On August 17, 2021 a
Complaint,Petition
was filed
involving a dispute between
Troy Ambulance Service Inc,
and
Glen A Weatherwax,
for Commercial - Contract
in the District Court of Washington County.
Preview
FILED: WASHINGTON COUNTY CLERK 08/17/2021 10:37 AM INDEX NO. EC2021-33233
NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 08/17/2021
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF WASHINGTON
TROY AMBULANCE SERVICE INC
PO BOX 438
COHOES, NY 12047
SUMMONS
Plaintiff,
Index No.
Date Filed
GLEN A WEATHERWAX
Defendant(s).
TO THE ABOVE NAMED DEFENDANT(S) :
YOU ARE HEREBY SUMMONED to answer the ccrap|aint in thisaction and to serve a copy of
your answer on the plaintiffs attorneys within twenty days after service of this summons, exclusive of the
day of service, or thirtydays after service iscompleted ifthissurñrñons is not personally delivered toyou
within the State of New York. Upon your failure to answer, a judgrñêñt will be entered against you by
default for the relief demanded in the complaint.
The basis of venue isthat the defendant reside(s) in the County of WASHINGTON.
Dated:
Brian S. Strohl Esq.
OVERTON, SSELL, OERR AND DONOVAN, LLP
Attorneys fo the Plainti
19 Executive r.
CliftonPark, New York 12065
(518) 383-4876
FORPROCESSSERVERONLY
DEFENDANT1: DEFENDANT2:
GLEN A WEATHERWAX
30 COUNTY ROUTE 70
GREENWICH, NY 12834
NOTICE: WE ARE A DEBT COLLECTOR ATTEMPTING TO COLLECT A DEBT AND ANY
INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.
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FILED: WASHINGTON COUNTY CLERK 08/17/2021 10:37 AM INDEX NO. EC2021-33233
NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 08/17/2021
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF WASHINGTON
TROY AMBULANCE SERVICE INC
VERIFIED
COMPLAINT
Plaintiff,
Index No.
GLEN A WEATHERWAX
Defendant(s).
The plaintiff
alleges:
1. The Plaintiffisa domestic corporate authorized and licensed to estab||sh and maintain an
ambulance sêrvics to render medical assistance and transportation.
2. Upon information and belief,defendant resides, or the transaction took place in the COUNTY in
which thisaction was commenced and the defendant resides at the address set forthabove, such
address being the address of the defendant lastknown to the plaintiffand/or the address provided to the
plaintiff
by the defendant at the time services were rendered.
3. From July 10, 2020 toJuly 10, 2020, the at
plaintiff, the express or implied request of the
defendant, rendered hospital and/or medical services to the dêfêñdant, or individuals for whom the
defendant isfinancially responsible.
4. Upon information and belief, the plaintiff
sent the defendant numerous billingstatements to the
address pisvided at the time services were rendered or the last known address and before the account
came to counsel's office for co!!ect!ons. Additionai|y, counsel's officealso sent written correspondence to
the defendant, at the last known address or the address prov|ded to the and
plaintiff, before commencing
this lawsuit. Although due demand has been made, the dêfêñdant has failed to pay the fullamount due
for services rendered by the plaintiff.
5. The reasonable value and agreed price of such services that remains unpaid is$2,172.00.
WHEREFORE , the plaintiff
demands judgment against the defendant in the sum of $2,172.00
with interest from July 10, 2020, plus the costs and disbursements of the action and for such other,
further or differentreliefas to this Court may deem just.
Brian S. Stro , Esq.
OVERTON, SSELL, OERR AND DONOVAN, LLP
Attorneys for the n iff
19 Executive Park Dr.
Clifton Park, New York 12065
(518) 383-4876
NOTICE: WE ARE A DEBT COLLECTOR ATTEMPTING TO COLLECT A DEBT AND ANY
INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.
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FILED: WASHINGTON COUNTY CLERK 08/17/2021 10:37 AM INDEX NO. EC2021-33233
NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 08/17/2021
SVC-H-3 (81)
SUPREME COURT OF THE STATE OF NEW YORK :
: ss. :
COUNTY OF WASHINGTON
TROY AMBULANCE SERVICE INC
PO BOX 438
COHOES, NY 12047 Plaintiff,
VERIFICATION
GLEN A WEATHERWAX Defendant(s).
The undersigned, being duly sworn, deposes and says:
1. I am an officeror agent of the which
piâiñtiff, isa domestic corporate authorized and liceñsed to
establish and maintain an ambulance service torender rñédical assistance and transportaticñ..
2. I have read the foregoing complaint and the same istrue to my kñGwledge, except those matters
alleged upon information and belief,and as tothose matters, I believe itto be true.
3. The grounds of my belief as to allmatters not stated upon my know!êdge are the plaintiff's
business records.
STEP N P. R ZL F
VICE PRESIDENT
Sworn to before me this
YÂ of ,20 2·/
day
Notdry Public
KATHLEEN ST. GELAIS
STATE OF NEW YORK
NOTARY PUBUC.
RegistrationNo. 018T6044158
Quali5edin RensselaerCounty
Commission ExpiresJuly3, 20A3
3 of 3
Document Filed Date
August 17, 2021
Case Filing Date
August 17, 2021
Category
Commercial - Contract
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