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  • Platinum Rapid Funding Group, Ltd. v. Miguel Angel Silva d/b/a SILVA TRANSPORTATION, Miguel Angel Silva Other Matters - Contract - Other document preview
  • Platinum Rapid Funding Group, Ltd. v. Miguel Angel Silva d/b/a SILVA TRANSPORTATION, Miguel Angel Silva Other Matters - Contract - Other document preview
  • Platinum Rapid Funding Group, Ltd. v. Miguel Angel Silva d/b/a SILVA TRANSPORTATION, Miguel Angel Silva Other Matters - Contract - Other document preview
						
                                

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At IAS Part ___ of the Supreme Court of the State of New York held in and for the County of Nassau at the Courthouse located at 100 Supreme Court Drive, Mineola, New York on the __ day of , 2019. PRESENT: --- ¬--------------------------------------------------X Index No.: 604447/2019 PLATINUM RAPID FUNDING GROUP, LTD., Date Filed: April 1, 2019 Plaintiff, - against - PROPOSED JUDGMENT MIGUEL ANGEL SILVA d/b/a SILVA TRANSPORTATION and MIGUEL ANGEL SILVA, Defendants. ------------------------------------- -----------------X WHEREAS, Plaintiffs commenced this action on April 1, 2019 against the Defendants and asserted claims of breach of contract; and WHEREAS, Defendants were duly served with process and the Defendants MIGUEL ANGEL SILVA d/b/a SILVA TRANSPORTATION and MIGUEL ANGEL SILVA; failed to answer, appear or move with respect to the Complaint and their time to do so expired; and WHEREAS, Plaintiffs served Defendants MIGUEL ANGEL SILVA d/b/a SILVA TRANSPORTATION and MIGUEL ANGEL SILVA, with an additional copy of the Summons pursuant to CPLR 3215, but they still failed to answer, move or otherwise respond to the Complaint; and WHEREAS, on or about May / b, .2019 Plaintiffs moved before the Court by Notice of Motion, the supporting affidavit of Ismael Laboy, sworn to on May b , 2019 and the exhibits annexed thereto, for a default judgment against the Defendants MIGUEL ANGEL SILVA d/b/a SILVA TRANSPORTATION and MIGUEL ANGEL SILVA; and WHEREAS, the Court having received no opposition to the Motion for a Default Judgment; and NOW, on motion of Lindsey Rohan, Esq., Attorney for the Plaintiff, itis ORDERED, ADJUDGED AND DECREED, that Plaintiff's Motion for Default Judgment is granted; and itis further ORDERED, ADJUDGED AND DECREED, that Plaintiff, PLATINUM RAPID FUNDING GROUP, LTD., with a place of business at 348 RXR Plaza, Uniondale, New York 11556, do recover of Defendants, MIGUEL ANGEL SILVA d/b/a SILVA TRANSPORTATION, 182nd with its last known principal place of business at 205 NE Place, Portland, OR 97230 182nd MIGUEL ANGEL SILVA, residing at a last known address of 205 NE Place, Portland, OR 97230, jointly and severally, the sum of $33,000.00 with interest at the statutory rate of nine (9%) per cent per annum from ___, through the date of entry of this Judgment in the amount of $ together with fees in the amount of $ together with costs and disbursements as taxed by the Clerk in the amount of $ for a totaljudgment amount of $ that Plaintiffs have execution thereon. Dated: , 2019 Uniondale, New York ENTER: __ J.S.C. SUPREME COURT OF THE STATE OF NEW YORK Index No.: 604447/2019 COUNTY OF NASSAU Date Filed: April 1, 2019 PLATINUM RAPID FUNDING GROUP, LTD., Plaintiff, - against - MIGUEL ANGEL SILVA d/b/a SILVA TRANSPORTATION and MIGUEL ANGEL SILVA, Defendants. PROPOSED JUDGMENT _____ LINDSEY ROHAN, ESQ. Attorney for Plaintiff Platinum Rapid Funding Grouo. Ltd C/O 348 RXR Plaza Uniondale, New York, 1 1556| T: 631.335.8571 | E: Lindsev LRohanLaw.com Pursuant to 22 N.Y C.R.R. Part 130-1.1, the undersigned, an attorney admitted to practice in the courts of New York State, certifies that,upon information and belief and reasonable inquiry under the circumstances, (1) the presentation of the annexed document or the contentions contained therein are not frivolous as defined in 22 NYCRR 130-1.1(c) and that (2) ifthe annexed document isan initiating pleading, (i) the matter was not obtained through illegalconduct, or thatif itwas, the, ttorney or other persons responsible for the illegal conduct are not participating in the matter or shari in any fee earned therefrom and that (ii)ifthe matter involves potential claims for personal inj r w eath, the matter was not obtaiñéd in violation of 22 NYCRR 1200.41 a. / Dated: May , 2019 ) Q Sign ture {/ Li dsev ohan Prir Namef Service of a copy of the within PROPOSED DGMENT ishereby admitted this, ___ day of , 2019. For Attorney(s) NOTICE OF ENTRY : Please take notice that the within is a True entered in the _ [ ] (Certified) Copy Office of the Clerk of the within named Court on the day of , 2019. [ ] NOTICE OF SETTLEMENT : Please take notice that an Order of which the within is a True Copy will be presented for Settlement to Honorable one the Judges _ , of of the within named Court on the day of , 2019. Dated: Yours, etc. LINDSEY ROHAN, ESQ. Attornev for Plaintiff Platinum Rapid Funding Group, Ltd C/O 348 RXR Plaza Uniondale, New York, 11556| T: 631.335.8571 | E: Lindsev@LRohanLaw.com To: Attorney(s) for: