On October 04, 2013 a
Motion-Secondary
was filed
involving a dispute between
Albert Perez
Individually And Derivatively On Behalf Of Total Computer Software Llc,
and
John Doe Corporation,
Total Computer Group, Llc,
Total Computers, Ltd.,
Total Computer Software Llc,
Total Computer Systems, Ltd.
D B A Total Computer Group,
Vincent Tedesco,
for Commercial Division
in the District Court of Suffolk County.
Preview
FILED: SUFFOLK COUNTY CLERK 05/26/2020 04:16 PM INDEX NO. 063193/2013
NYSCEF DOC. NO. 424 RECEIVED NYSCEF: 05/26/2020
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF SUFFOLK
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ALBERT PEREZ, individually and derivatively :
on behalf of TOTAL COMPUTER SOFTWARE, LLC, : Index No.: 063193/2013
:
Plaintiff, :
-against- :
: AFFIRMATION OF AARON E.
VINCENT TEDESCO, TOTAL COMPUTER : ZERYKIER IN FURTHER
SYSTEMS, LTD. d/b/a TOTAL COMPUTER : SUPPORT OF DEFENDANTS’
GROUP, TOTAL COMPUTER GROUP, LLC, : MOTION FOR SUMMARY
TOTAL COMPUTERS, LTD. And JOHN DOE : JUDGMENT AND OPPOSITION
CORPORATION, : TO CROSS MOTION
:
Defendants and :
:
TOTAL COMPUTER SOFTWARE, LLC, :
:
Nominal-Defendant. :
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TOTAL COMPUTER SOFTWARE, LLC, :
: Index No.: 792083/2018
Third-Party Plaintiff, :
:
-against- :
:
ALBERT PEREZ, :
:
Third-Party Defendant. :
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AARON E. ZERYKIER, an attorney licensed to practice law in the State of New York,
affirms the following to be true under penalty of perjury:
1. I am a Partner with the law firm of Farrell Fritz, P.C., attorneys for Vincent Tedesco
(“Tedesco”), and Total Computer Systems, Ltd., d/b/a Total Computer Group (“Group”), Total
Computer Group, LLC, and Total Computers, Ltd., and Total Computer Software, LLC
(collectively the “Total Parties”).
2. I have personal knowledge of the facts set forth in this Affirmation.
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FILED: SUFFOLK COUNTY CLERK 05/26/2020 04:16 PM INDEX NO. 063193/2013
NYSCEF DOC. NO. 424 RECEIVED NYSCEF: 05/26/2020
3. I respectfully submit this Affirmation in further support of Tedesco and the Total
Parties’ motion for summary judgment dismissing Plaintiff Albert Perez’s (“Plaintiff” or “Perez”)
Second, Third, Fourth, Fifth, Sixth, Ninth, and Thirteenth Causes of Action and in opposition to
Perez’s cross-motion to vacate the Court’s July 12, 2018 Decision.
4. Exhibit “A” contains excerpts from the July 6, 2017 hearing transcript.
5. Exhibit “B” contains excerpts from the December 4, 2017 hearing transcript.
6. Exhibit “C” contains excerpts from the April 27, 2017 hearing transcript.
WHEREFORE, for the reasons explained in the accompanying Memorandum of Law,
Defendants respectfully request that the Court issue an Order granting Defendants’ motion to
dismiss Plaintiff’s Complaint, deny Plaintiff’s cross-motion; and grant such other and further relief
as the Court deems just and proper.
Dated: Uniondale, New York
May 26, 2020
/s Aaron Zerykier
Aaron E. Zerykier
-2-
FF\9462321.1
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Document Filed Date
May 26, 2020
Case Filing Date
October 04, 2013
Category
Commercial Division
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