On December 15, 2015 a
Motion,Ex Parte
was filed
involving a dispute between
Salem Place Condominium Trust,
and
Spring Associates, Inc.,
T.D. Bank, N.A.,
for Real Property
in the District Court of Hampshire County.
Preview
BACON WILSON, P.C.
ATTORNEYS AT LAW
33 STATE STREET
SPRINGFIELD, MA O1103
TELEPHONE (413) 781-0560
Fax (413) 739-7740
9 CHAPEL STREET
WESTFIELD, MA 01088
TELEPHONE (413) 562-6611
Fax (a1) 862-0548
31 TRUMBULL ROAD
NORTHAMPTON, MA 01060
TELEPHONE (4131 584-1267
FAX (a131 584-0453
6 SouTH East STREET
RO, Box 2060
AMHERST, MA 01004
TELEPHONE (413) 256-6701
Fax (413) 256-6469
COMMONWEALTH OF MASSACHUSETTS
HAMPSHIRE, SS. SUPERIOR COURT
DEPARTMENT OF THE TRIAL COURT
CIVIL ACTION NO. 1580CV00251
SALEM PLACE CONDOMINIUM
TRUST,
Plaintiff
PLAINTIFF’S EMERGENCY MOTION
TO AMEND FINDINGS AND ORDER
v.
SPRING ASSOCIATES, INC. and HAMPSHIRE SUPERIOR COURT
T.D. BANK, N.A.,
SEP 2 0 2016
Defendants
HARRY JEXANOWSKI, JR.
CLERK / MAGISTRATE
NOW COMES the Plaintiff, Salem Place Condominium Trust, and respectfully
requests that the Court amend the Findings and Order dated March 10, 2016.
AS GROUNDS THEREFOR, the Plaintiff states that there isa typographically
error in paragraph 6. The notice of sale must appear in the Hampshire Gazette not the
Springfield Republican. As such, the Plaintiff seeks to amend paragraph 6 by deleting
the Springfield Republican and inserting the Hampshire Gazette. The amending of the
Findings and Order will not prejudice the Defendants. However, since the Plaintiff is set
to publish the Findings and Order forthwith, it is necessary that the Findings and Order
be amended prior thereto.
WHEREFORE, the Plaintiff, Salem Place Condominium Trust, respectfully
requests that the Court amend paragraph 6 of the Findings and Order to delete the
Springfield Republican and insert the Hampshire Gazette.
#foo /t6
Allowed
(4. Rup )
I/Respectfully submitted,
The Plaintiff,
Salem Place Condominium Trust,
By its Attorney,
ADAM J. BASCH, ESQ.
BACON WILSON, P.C.
33 State Street
Springfield, MA 01103
Ph: (413) 781-0560
Fax: (413) 739-7740
abasch@baconwilson.com
BBO# 655482
September 15, 2016
CERTIFICATE OF SERVICE
1, ADAM J. BASCH, hereby certify that on September 15, 2016, | caused a copy
of the foregoing Plaintiff's Emergency Motion to Amend Findings and Order to be
served upon all interested parties by mailing a copy thereof, postage prepaid, first class
mail to:
Spring Associates, Inc.
664 Main Street
Amherst, MA 01002
T.D. Bank, N.A.
Attn: Legal Department
1441 Main Street
Springfield, MA 01103
ADAM J. BASCH
1504638
Document Filed Date
September 20, 2016
Case Filing Date
December 15, 2015
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