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  • John Byrne v. Ann L. Johnke, Paul W. JohnkeTorts - Motor Vehicle document preview
						
                                

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FILED: NASSAU COUNTY CLERK 10/30/2020 03:35 PM INDEX NO. 606245/2020 NYSCEF DOC. NO. 3 RECEIVED NYSCEF: 10/30/2020 ACITO KLEIN & CANDILOROS, P.C. 241 Bleecker Street, Suite 200 New York, New York 10014 (212) 370-4545 Fax#: (212) 983-1867 October 30, 2020 Via E-Filing LAW OFFICE OF DOUGLAS J. FANNING, LLP Attorneys for Plaintiff, JOHN BYRNE 401 Franklin Avenue, Suite 312 Garden City, New York 11530 ATTN : DOUGLAS F . FANNING , E SQ . Re: Byrne v. Johnke, et ano. Supreme Court/Nassau County Index #606245/2020E Dear Mr. Fanning: This office represents the Defendants, ANN L. JOHNKE and PAUL W. JOHNKE in the above referenced matter. On August 31, 2020 an Answer was served and in conjunction, demands for rudimentary discovery, inclusive of a Demand for Bill of Particulars and a Demand for Medicals. To date we have not received one iota of discovery. Please consider this our good faith attempt to resolve these discovery issues and obviate motion practice. However, if we do not receive your responses within 20 days, we shall assume you have abandoned this matter and shall serve a motion seeking to dismiss and/or to preclude. Please be guided accordingly and thank you for your anticipated attention and cooperation. Very truly yours, ACITO KLEIN CANDILOROS, P.C. by: Ambar Zarzuela, Paralegal 02.LP7588 1 of 1