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  • Yvette Mcclamb v. Housing Partnership Development Corporation, Kalahari Condominium, The Board Of Managers Of Kalahari Condominium, Wallack Management Co., Inc., Rnc Industries, Llc, West New York Restoration Of Ct, Inc.Torts - Other Negligence (Premises Trip and Fall) document preview
  • Yvette Mcclamb v. Housing Partnership Development Corporation, Kalahari Condominium, The Board Of Managers Of Kalahari Condominium, Wallack Management Co., Inc., Rnc Industries, Llc, West New York Restoration Of Ct, Inc.Torts - Other Negligence (Premises Trip and Fall) document preview
  • Yvette Mcclamb v. Housing Partnership Development Corporation, Kalahari Condominium, The Board Of Managers Of Kalahari Condominium, Wallack Management Co., Inc., Rnc Industries, Llc, West New York Restoration Of Ct, Inc.Torts - Other Negligence (Premises Trip and Fall) document preview
						
                                

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FILED: NEW YORK COUNTY CLERK 08/07/2018 11:34 AM INDEX NO. 154374/2018 NYSCEF DOC. NO. 18 RECEIVED NYSCEF: 08/07/2018 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK ——— ---.------------------------------------------------------------X YVETTE MCCLAMB, Index No. 154374i2018 (ECF) Plaintiff, v. STIPULATION TO EXTEND HOUSING PARTNERSHIP DEVELOPMENT TIME TO ANSWER OR OTHERWISE CORPORATION, KALAHARI CONDOMINIUM, RESPOND TO CROSS-CLAIMS THE BOARD OF MANAGERS OF KALAHARI CONDOMINIUM, WALLACK MANAGEMENT CO., INC., RNC INDUSTRIES, LLC AND WEST NEW YORK RESTORATION OF CT, INC., Defendants. -----------......._ ____--------.________.-----------------------X —— — — IT IS HEREBY STIPULATED AND AGREED, by and between the undersigned attorneys, that the time within which DEFENDANT WEST NEW YORK RESTORATION OF CT, INC. may answer, move or otherwise plead in response to the Cross-Claims filed by DEFENDANT HOUSING PARTNERSHIP DEVELOPMENT CORPORATION is hereby extended from September 3, 2018 through and including September 14, 2018. IT IS FURTHER STIPULATION AND AGREED, that DEFENDANT WEST NEW YORK RESTORATION OF CT, INC. waives it right to object to sufficiency of service of the Cross-Claims by DEFENDANT HOUSING PARTNERSHIP DEVELOPMENT CORPORATION and waives its right to object to the jurisdiction of the New York State Supreme Court, New York County. IT IS FURTHER STIPULATED AND AGREED, that this Stipulation may be executed in multiple counterparts, all of which together shall constitute one and the same instrument. This Stipulation may be executed and delivered facsimile or electronic mail, which facsimile or by electronic mail counterparts shall be deemed to be originals. # 3620017v. 1 1 of 3 FILED: NEW YORK COUNTY CLERK 08/07/2018 11:34 AM INDEX NO. 154374/2018 NYSCEF DOC. NO. 18 RECEIVED NYSCEF: 08/07/2018 Dated: New York New York Dated: Smithtown, New York August 2018 AugustG_, 2018 __, STRADLEY RONON STEVENS DEVITT SPELLMAN BARRETT LLP & YOUNG, LLP By: Scott H. Bernstein, Esq. By: 100 Park Avenue, Suite 2000 50 Route 1, Suite 3 New York, New York 10017 Smithtown, New York 11787 Telephone: (212) 812-4132 Telephone: (631) 724-8833 Facsimile: (646) 682-7180 Facsimile: ATTORNEYS FOR DEFENDANT ATTORNEYS FOR DEFENDANT WEST NEW YORK RESTORATION HOUSING PARTNERSHIP OF CT, INC. DEVELOPMENT CORPORATION 2 # 3620017v. 1 2 of 3 FILED: NEW YORK COUNTY CLERK 08/07/2018 11:34 AM INDEX NO. 154374/2018 NYSCEF DOC. NO. 18 RECEIVED NYSCEF: 08/07/2018 ssaurrud/r{r sr{parrm urus s Xsuud V r rr ~ alusrs{a{{ r{J thslaf g rrla{r{ rrraN gG 'u Purr{ssrr{ zruzs{ksuuad NONOOYiae ~q '{{anode ~ uouoll suarrarr{ As{purrS A3 IGNI@ SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK Index No. 154374/2018 (ECF) YVETTE MCCLAMB, Plaintiffs, -against- HOUSING PARTNERSHIP DEVELOPMENT CORPORATION, KALAHARI CONDOMINIUM, THE BOARD OF MANAGERS OF KALAHARI CONDOMINIUM, WALLACK MANAGEMENT CO., INC., RNC INDUSTRIES, LLC AND WEST NEW YORK RESTORATION OF CT, INC., Defendants. STIPULATION TO EXTEND TIME TO ANSWER OR OTHERWISE RESPOND TO CROSS-CLAIMS STRADLEY RONON STEVENS 4 YOUNG, LLP Attorneys for Defendant 100 Park Avenue, Suite 2000 New York, New York 10017 (212) 812-4124 (telephone) Pursuant to 22 NYCRR 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, the contentions contained in the annexed document are not frivolous. Dated: August _Z7 2018 Signature: Scott H. Bernstein 3 of 3