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HASSa
NYSCEF DOC. "NO. 114
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SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF NASSAU
JASON GRAHAM,
-against-
‘J-MOBILB USA, INC., and ELIAS PROPERTIES FLATBUSH,
LLC,
Defendants.
TMOSLEWANC, *
‘Third-Party Plaintiff,
~against-
ELIAS PROPERTIES FLATBUSH, LLC,
Third-Party Deford,
STLPULATION OF
DISCONTINUANCE
WITH PREJUDICE
Index No. 600285/2013
Hon. Jolin M. Galasso, J.S.C.
Third-Party Index No.
600285/2013
Appellate Division Docket No.
2015-04625
IT IS HEREBY STIPULATED AND AGREED, by and between the attomeys for the
respective parties to the above-captioned majter that, Whereas no party hereto is an infant or incompetent
person for whom a committee has been appointed and no person not a party has an interest in the subject
matter of the action herein, the above-entitled action, third-party action and all cross-claims and counter+
claims be and the same is hereby discontintied, with prejiidice and without costs to any party as against
another, This stipulation may be filed without further notice with the Clerk of the Court.
6
Dated: New York, New York
by
th Street, 2nd Floor
RECEIVED NYSCEF: 11/04/2015
Attorneys for Defendant/Third-Party Plaintiff
T-Mobile USA, Inc,
IL John Street
New York, NY 10038
(2)2) 964-7400
Our File No. TMO-00104
28
New York, NY 10631-5202
(347) 151-0157K347) 464-0921 (F)
Attorney for Plaintiff
Jason Grahan
ab & Pinter, Cusumano & Parole,
Esqs.
3 Huntington Quadrangle, Suite 201-S
Melville, NY 11747
{631} 465-1380/(63 1) 465-1469 (F)
Attomey for DefendantThird-Party Defendant
Elias Properties Flatbush, LLC|
|
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF NASSAU
JASON GRAHAM,
Piaintiff,
-against-
T-MOBILE USA, INC., and ELIAS PROPERTIES FLATBUSH, LLC,
Defendants.
X
T-MOBILE USA, INC.,
Third-Party Plaintiff, INDEX NO. 600285/2013
-against-
ELIAS PROPERTIES FLATBUSH, LLC,
Third-Party Defendant.
‘STIPULATION OF DISCONTINUANCE
‘SMITH MAZURE DIRECTOR WILKINS YOUNG & YAGERMAN, P.C.
Attomeys for Defendant/Third-Party Plaintiff
T-Mobile USA, Inc.
111 John Street
New York, NY 10038
(212) 964-7400
‘Our File No. TMO-00104
ERTIFICATION Pl LR §130-1.14
Daniel Y. Sohnen hereby certifies that, pursuant to 22 N.Y.C.R.R. §130-1.12, the foregoing Stipulation of Discontinuance is not
frivolous nor frivolously presented.
Dated: New York, New York Deniel Y. Sohnen
November 4, 2015
PLEASE TAKE NOTICE
that the within is a true copy ofa entered in the office of the clerk of the within named Court on
that a of which the within is a true copy will be presented for settlement to the Hon. one of the judges of the
within named Court at ,onat 9:30 am.
DYS/axr