On January 10, 2013 a
Stipulation,Agreement
was filed
involving a dispute between
U.S. Bank National Association, As Trustee For J.P. Morgan Mortgage Acquisition Trust 2006-Cw1,
and
Charis Nicholson,
Clerk Of The Suffolk County District Court,
John Doe #1 Through John Doe #10, The Last Ten Names Being Fictitious And Unknown To The Plaintiff, The Person Or Parties Intended Being The Persons Or Parties, If Any, Having Or Claiming An Interest In Or Lien Upon The Mortgaged Premises Described In The,
for Foreclosure (residential mortgage)
in the District Court of Suffolk County.
Preview
INDEX NO. 001128/2013
(FILED: SUFFOLK COUNTY CLERK 0871472014)
NYSCEF. DOC. NO. 19 RECEIVED NYSCEF: 09/05/2014
ee
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF SUFFOLK
U.S. BANK NATIONAL ASSOCIATION, AS TRUSTEE | Index No.: 1128/2013
FOR J.P. MORGAN MORTGAGE ACQUISITION
TRUST 2006-CW1,
STIPULATION OF
Plaintiff, | DISCONTINUANCE
WITHOUT PREJUDICE
-against-
CHARIS NICHOLSON, CLERK OF THE SUFFOLK
COUNTY DISTRICT COURT and “JOHN DOE #1”
through “JOHN DOE #10”, the last ten names being
fictitious and unknown io the piaintiff, the person or parties
intended being the persons or parties, if any, having or
claiming an interest in or lien upon the mortgaged premises
described in the Complaint,
Defendants.
£—_
WHEREAS, no party herein is an infant or incompetent person for whom a committee
cocS
has been appointed, ary
IT IS HEREBY STIPULATED AND AGREED, by and between undersigned counsel for
Plaintiff U.S. BANK NATIONAL ASSOCIATION, AS TRUSTEE FOR J.P. MORGAN
MORTGAGE ACQUISITION TRUST 2006-CW1 and for Defendant CHARIS NICHOLSON,
that this action and all claims, counterclaims, and causes of action are hereby discontinued,
without prejudice, and without costs to any party as against another party; Moreover,
notwithstanding CPLR Section 3217(c), if applicable, Plaintiff, its successors, and assigns
reserve the right to commence a new action; and
IT IS HEREBY FURTHER STIPULATED AND AGREED that this Stipulation may be
signed in counterparts and signatures by facsimile shall be deemed as good as originals; and
IT IS HEREBY FURTHER STIPULATED AND AGREED that this stipulation may be
filed with the Clerk of Court without further notice to each party.
Dated: White Plains, New York Dated: Brooklyn, New York
August 7, 2014 August 7, 2014
fl Alu:
Eckert S: al ans Cherin & Mellott, LLC Litvin Law Firm, P-C.
go eziorkowski, Esq. iy Moshes, Esq.
10 Bank Pe Suite 700 y island Avenue, Suite SR
White Plains, New York 10606 NY 11230
(914) 949-2909 (U8) 307-5684
Fax: (914) 949-5424 Fax: (347) 713-1465
Attorneys for Plaintiff Attorneys for Defendant
U.S. BANK NATIONAL ASSOCIATION, AS CHARIS NICHOLSON
TRUSTEE FOR J.P. MORGAN MORTGAGE
ACQUISITION TRUST 2006-CW1
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF SUFFOLK
US. BANK NATIONAL ASSOCIATION, AS Index No.: 1128/2013
TRUSTEE FOR J.P. MORGAN MORTGAGE
ACQUISITION TRUST 2006-CW1,
Plaintiff,
-against-
CHARIS NICHOLSON, CLERK OF THE SUFFOLK
COUNTY DISTRICT COURT and “JOHN DOE #1”
through “JOHN DOE #10”, the last ten names being
fictitious and unknown to the plaintiff, the person or
parties intended being the persons or parties, if any,
having or claiming an interest in or lien upon the
mortgaged premises described in the Complaint,
Defendants.
STIPULATION OF DISCONTINUANCE WITHOUT PREJUDICE
ECKERT SEAMANS CHERIN & MELLOTT, LLC
Attorneys for Plaintiff
U.S. BANK NATIONAL ASSOCIATION
10 Bank Street, Suite 700
White Plains, New York 10606
(914) 949-2909
Fax (914) 949-5424