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  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
  • D&J Realty Partners, Llc v. Eugene HubbardCommercial Division document preview
						
                                

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FILED: SUFFOLK COUNTY CLERK 10/08/2018 03:04 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 10/08/2018 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF SUFFOLK ___ _______..______________ ____-X D&J REALTY PARTNERS, LLC, : SUMMONS : Plaintiff, : Index No. /2018 : - against - : Date Purchased: 10/ /2018 : EUGENE HUBBARD, : Plaintiff designates Suffolk : County as the place of trial Defendant. : pursuant to CPLR 507 ---------------------------------X TO THE ABOVE NAMED DEFENDANT: YOU ARE HEREBY SUMMONED, to answer the Verified Complaint in this action and to serve a copy of your Answer on the Plaintiff's attorneys within twenty (20) days after the service of this Summons, exclusive of the day of service, or within thirty (30) days after the completion of service or service made in any manner other than personal delivery within the State of New York. In case of your failure to appear or answer, judgment will be taken against you by default for the relief demanded in the Complaint. Dated: Uniondale, New York October 8, 2018 RUSKIN SCOU FALTISCH K P.C. Attorneys o Plaintif : osep R. Harbeson ael A. H. Schoenberg 1425 Plaza East Tower, 15th Floor Uniondale, New York 11556 (516) 663-6600 TO: Eugene Hubbard 470 Main Street Westhampton Beach, New York 11978 800546 1 of 7 FILED: SUFFOLK COUNTY CLERK 10/08/2018 03:04 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 10/08/2018 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF SUFFOLK -------------- --------------------------------X D&J REALTY PARTNERS, LLC, : : Index No. /2018 Plaintiff, : : VERIFIED COMPLAINT - against - : EUGENE HUBBARD, : : Defendant. : ------------------------------------------------------------------------X ("DJRP" Plaintiff D&J Realty Partners, LLC or "Plaintiff"), by and through its attorney, Ruskin Moscou Faltischek, P.C., as and for its Verified Complaint against defendant Eugene ("Hubbard" Hubbard or "Defendant"), alleges as follows: NATURE OF THE ACTION 1. DJRP, as purchaser, bring this action for an order of specific performance of the Residential Contract of Sale, dated August 27, 2013 ("Contract"), with Hubbard, as seller, for the sale of the residential real property located at 114 Jessup Lane, Westhampton Beach, New York ("Property"), with a Suffolk County Tax Map designation: Section 01900, Block 0007, Lot 012.002. 2. DJRP was, and it remains, ready, willing and able to close on the Contract despite Hubbard's inability to convey insurable title. Hubbard, however, refuses to close on, and has anticipatorily breached, the Contract. 3. DJRP is, therefore, entitled to an order of specific performance directing Hubbard to sell the Property to DJRP under the Contract. 1 2 of 7 FILED: SUFFOLK COUNTY CLERK 10/08/2018 03:04 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 10/08/2018 JURISDICTION AND VENUE 1. This Court has jurisdiction over Hubbard pursuant to CPLR § 301. 2. Venue in Suffolk County is proper pursuant to CPLR § 507 because the judgment demanded herein affects the title to, and the possession, use and enjoinment of, real property located in Suffolk County. THE PARTIES 3. DJRP is a limited liability company formed under the laws of the State of 3rd Delaware, with its principal place of business located at 707 Palisade Avenue, FlOOr, Englewood Cliffs, New Jersey 07632. 4. Hubbard is an individual who, upon information and belief, resides in the State of New York, County of Suffolk. FACTS CONCERNING ALL CAUSES OF ACTION 5. Upon information and belief, Hubbard is the fee simple owner of all that certain plot, piece or parcel of land, with the buildings and improvements thereon erected, located at the Property. 6. On August 27, 2013, Hubbard, as seller, and DJRP, as purchaser, entered into the Contract pursuant to which Hubbard agreed to sell, and DJRP agreed to purchase, the fee simple interest in the Property for the sum of $1,250,000 ("Purchase Price"). A true and accurate copy of the Contract is attached hereto as Exhibit A. 7. On or about August 27, 2013, DJRP paid to Hubbard's attorney, as escrow agent, the down payment in the amount of $125,000 ("Down Payment") required under the Contract. 8. The purchase price balance owed under the Contract is $1,125,000 ("Purchase Price Balance"). 2 3 of 7 FILED: SUFFOLK COUNTY CLERK 10/08/2018 03:04 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 10/08/2018 9. Pursuant to Paragraphs 13 and 14 of the Contract, Hubbard is obligated to convey good, clean, insurable, and marketable title to the Property. 10. Pursuant to paragraph 15 of the Contract, the closing on the sale of the Property about" ("Closing") was schedule for "on or October 28, 2013. 11. After execution of the Contract, an issue ("Issue") arose concerning Hubbard's ability to transfer insurable title to DJRP, in that the Village of Westhampton Beach refused to issue a variance for the Property unless and until a declaration of covenants was properly recorded. 12. As a result of the aforesaid issue, and other issues, the Closing was adjourned one or more times. 13. By letter, dated August 22, 2018, DJRP's attorney advised Hubbard's attorney that the Closing would take place on October 4, 2018, at which time DJRP would tender the Purchase Price Balance. "rejected" 14. By letter, dated August 29, 2018, Hubbard's attorney the August 22 terminated," Letter, claimed that "the [C]ontract is void canceled and and insisted that the Down Payment be returned to DJRP. AS AND FOR A FIRST CAUSE OF ACTION - Specific ( Breach of Contract Performance) 15. DJRP repeats and realleges all of the foregoing allegations as if fully stated herein. 16. The Contract is a valid, binding and enforceable contract. 17. DJRP has fully performed all of its duties, responsibilities and obligation under the Contract. 18. Pursuant to paragraph 21 of the Contract, DJRP has the option to waive any of 3 4 of 7 FILED: SUFFOLK COUNTY CLERK 10/08/2018 03:04 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 10/08/2018 Hubbard's impediments to Closing without any abatement of the Purchase Price. 19. DJRP waived the Issue that was an impediment to the Closing and agreed to accept title to the Property notwithstanding same. 20. At all relevant times, DJRP was, and it remains, ready, willing and able to close on the Contract, and accept the fee simple interest to the Property without the Issue being rectified, upon its payment of the Purchase Price Balance. 21. Hubbard refused and continues to refuse to close on the Contract. 22. Hubbard's refusal to close on the Contract is a material breach of said Contract. 23. DJRP is ready, willing, and able to pay the Purchase Price Balance, in full, to Hubbard in exchange for a proper deed of the fee to the Property, free from all encumbrañces, except as provide for in the Contract and as stated above. 24. DJRP has no adequate remedy at law. AS AND FOR A SECOND CAUSE OF ACTION - (Breach of Contract Return of Down Payment) 25. DJRP repeats and realleges all of the foregoing allegations as if fully stated herein. 26. Hubbard's counsel's August 29 Letter is an anticipatory breach of the Contract. 27. Hubbard's failure to appear at the Closing and/or to transfer title of the Property to DJRP constitutes a breach of the Contract. 28. By reason of the foregoing, in the event that Hubbard is not required to specifically perform under the Contract and convey title to the Property to DJRP, then DJRP is entitled to recover its Down Payment of $125,000, together with such other damages incurred by DJRP, in an amount to be determined at trial, together with interest thereon accruing since August 29, 2018. 4 5 of 7 FILED: SUFFOLK COUNTY CLERK 10/08/2018 03:04 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 10/08/2018 WHEREFORE, DJRP respectfully demañds judgmcñt as follows: a. On the First Cause of Action, directing Hubbard to specifically perform under the Contract and to convey the fee simple interest in the Property to DJRP, free from all cuomubrances, except as provide for in the Contract; b. On the Second Cause of Action, a money judgment against Hubbard in an amount to be determined at trial but believed to be not less than $125,000, with interest thereon accruing from August 29, 2018; c. The costs and disbursements of this action; and d. Such other and further relief as the Court deems just and proper. Dated: Uniondale, New York October 8, 2018 RUSKIN SCOU FALTISC EK P.C. Attorneys or Plaintiff · B oseph . Harbeson ha 1 A. H. Schoenberg East Tow , 15th Floor 1425 RXR Plaza Uniondale, New York 11556 (516) 663-6600 800546 5 6 of 7 FILED: SUFFOLK COUNTY CLERK 10/08/2018 03:04 PM INDEX NO. 619585/2018 NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 10/08/2018 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF SUFFOLK ------..------------------------------------------------------- X D&J REALTY PARTNERS, LLC, : : Index No. /2018 Plaintiff, : : VERIFICATION - against - : OF COMPLAINT : EUGENE HUBBARD, : : Defendant. : ---X STATE OF NEW JERSEY ) ) ss: COUNTY OF BERGEN ) I, Moshael Straus, being duly sworn, say: I am a Managing Member of D&J Realty Partners, LLC, the plaintiff in this action. I have read the foregoing VERIFIED COMPLAINT and know the contents thereof; the same is true to my own knowledge, except as to those matters therein stated to be alleged upon information and belief, and as to those matters I believe them to be true. The grounds for my belief as to all matters therein not stated upon my own knowledge are the files, books and records maintained by Plaintiff. MOSHA!EL STRAUS S om to before me the O_ day of ctober, 2018 BRIAN HAIMM JERSEY NOTARY PUBLIC OF NEW 1.D. # 2388791 Commission Expires Wi9 gy Notary Public 800546 6 7 of 7