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  • Corn Hill Landing Llc v. Nilsa Irizarry Del-Rio, Orlando Malve Valentin Commercial - Contract document preview
  • Corn Hill Landing Llc v. Nilsa Irizarry Del-Rio, Orlando Malve Valentin Commercial - Contract document preview
  • Corn Hill Landing Llc v. Nilsa Irizarry Del-Rio, Orlando Malve Valentin Commercial - Contract document preview
  • Corn Hill Landing Llc v. Nilsa Irizarry Del-Rio, Orlando Malve Valentin Commercial - Contract document preview
  • Corn Hill Landing Llc v. Nilsa Irizarry Del-Rio, Orlando Malve Valentin Commercial - Contract document preview
  • Corn Hill Landing Llc v. Nilsa Irizarry Del-Rio, Orlando Malve Valentin Commercial - Contract document preview
  • Corn Hill Landing Llc v. Nilsa Irizarry Del-Rio, Orlando Malve Valentin Commercial - Contract document preview
  • Corn Hill Landing Llc v. Nilsa Irizarry Del-Rio, Orlando Malve Valentin Commercial - Contract document preview
						
                                

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FILED: MONROE COUNTY CLERK 01/28/2019 02:09 PM INDEX NO. E2018010816 NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 01/28/2019 MONROE COUNTY CLERK'S OFFICE THIS IS NOT A BILL. THIS IS YOUR RECEIPT. Receipt # 1944689 Book Page CIVIL Return To: No. Pages: 5 MICHAEL ANTHONY FURLANO 1 West Main Street Mset: MISCELLANEOUS DOCUMENT Suite 800 Rochester, NY 14614 Control #: 201901280704 Index #: E2018010816 Date: 01/28/2019 Corn Hill Landing LLC Time: 2:10:44 PM Del-Rio, Nilsa Irizarry Valentin, Orlando Malve Total Fees Paid: $0.00 Employee: State of New York MONROE COUNTY CLERK'S OFFICE WARNING - THIS SHEET CONSTITUTES THE CLERKS ENDORSEMENT, REQUIRED BY SECTION 317-a(5) & SECTION 319 OF THE REAL PROPERTY LAW OF THE STATE OF NEW YORK. DO NOT DETACH OR REMOVE. ADAM J BELLO MONROE COUNTY CLERK 1 of 5 201901280704 Index#:E2018010816 INDEX NO. E2018010816 FILED: MONROE COUNTY CLERK 01/28/2019 02:09 PM NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 01/28/2019 STATE OF NEW YORK COUNTY OF MONROE SUPREME COURT CORN HILL LANDING LLC Plaintiff, Answer -vs- NILSA IRIZARRY DEL-RIO and ORLANDO MALVE VALENTIN Defendant. Defendant's Answer The Defeñdsñt, Nilsa Irizarry Del-Rio, through her attorneys the Legal Aid Society of Rochester, NY, hereby answers and counteclaims as follows: 1. Defendant does not have enough information to confirm or deny Paragraph One. 2. Defendant admits Paragraph Two. First Cause of Action 3. Paragraph Three is a legal state.ent that requires no answer. 4. Defendant denies Paragraphs Four. 5. Defendant denies Paragraph Five. 6. Defendant denies Paragraph Six. Second Cause of Action 7. Paragraph Seven is a legal statement that requires no answer. 8. Defendet denies Paragraph Eight. Third Cause of Action 9. Paragraph Nine is a legal statement that requires no answer. 10. Defendant denies Paragraph Ten. 2 of 5 201901280704 Index#:E2018010816 INDEX NO. E2018010816 FILED: MONROE COUNTY CLERK 01/28/2019 02:09 PM NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 01/28/2019 11. Defendant denies Paragraph Eleven. 12. Defedant denies any and all other allegations not expressly admitted herein. Defense One Plaintiff Fails to State a Cause of Action as to its First Cause of Action 13. Defendant repeats and realleges the foregoing paragraphs as if set forth fully herein. 14. Plaintiff fails to state a cause of action pursuant to CPLR 3211(a)(7). ' pefense Tw_o Plaintiff Fails to State a Cause of Action as to its Second Cause of Action 14. Defendant repeats and realleges the foregoing paragraphs as if set forth fully herein. 15. Plaintiff fails to state a cause of action pursuant to CPLR 3211(a)(7). Defense Three Plaintiff Fails to State a Cause of Action as to its Third Cause of Action 16. Defendant repeats and realleges the foregoing paragraphs as if set forth fully herein. 17. Plaintiff fails to state a cause of action pursuant to CPLR 3211(a)(7). 2 3 of 5 201901280704 Index INDEX #: NO.E2018010816 E2018010816 FILED: MONROE COUNTY CLERK 01/28/2019 02:09 PM NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 01/28/2019 WHEREFORE, Defendant demsds judgment as follows: (a) to dismiss Plaintiff's claim; (b) to grant Defeñdst reasonable attorney's fees; and (c) to grant Defeñdañt such other and further relief as the court deems just and proper. Dated: January 28, 2018 Michael A. Furlano, sq. Attorney for Respondents LEGAL AID SOCIETY OF ROCHESTER, NY One West Main Street, Suite 800 Rochester, NY 14614 (585) 295-5763 To: Corn Hill Landing LLC 301 Exchange Blvd Rochester, NY 14608 3 4 of 5 201901280704 Index INDEX #: NO.E2018010816 E2018010816 FILED: MONROE COUNTY CLERK 01/28/2019 02:09 PM NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 01/28/2019 VERIFICATION STATE OF NEW YORK ) COUNTY OF MONROE ) ss: NILSA IRIZARRY DEL-RIO being duly swom, deposes and says as follows: I have read the foregoing answer and itis true to my knowledge, except as to those matters alleged on information and belief, and those matters I believe to be true. This verification is made by me because I am one of the defendants in this action. Nilsa Irizarry Del-Ri , D2fendant Swom to before me thisÚ day of January, 2019. N ic MichaelA. Furlano NotaryPublic,Stateof New York Qualifiedin MonroeCounty No. 02FU6312135 Commissi©n Expires September 22, 2022L 4 5 of 5