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Forethought Life Insurance Company v. 3 East 54th New York LLC et al

Docket 161281/2024, New York State, New York County, Supreme Court (Dec. 2, 2024)
Case TypeCommercial Division
TagsCommercial Division, Commercial, Civil
Plaintiff Forethought Life Insurance Company
Defendant 3 East 54th New York LLC
Defendant New York City Department of Finance, Office of the City Register, New York County
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NOTICE OF REJECTION Notice of Rejection of Defendant's Verified Answer

Document Forethought Life Insurance Company v. 3 East 54th New York LLC et al, 161281/2024, 14 (N.Y. Sup. Ct., New York County Feb. 3, 2025)
Defendant neither admits nor denies the allegations set forth in Paragraph 4 of complaint and respectfully refers the Court to the referenced documents for their terms.
Defendant neither admits nor denies the allegations set forth in Paragraphs 9, 10, 11, 12, 13, 14, 15, and 16 of Plaintiff's complaint and respectfully refers the Court to the referenced document for its terms.
Defendant neither admits nor denies the allegations set forth in Paragraph 20 of Plaintiff's complaint and respectfully refers the Court to the referenced documents for their terms.
Defendant neither admits nor denies the allegations set forth in Paragraph 44 of Plaintiff's complaint and respectfully refers the Court to the referenced document for its terms.
Steven M. Cherniak, being fully the undersigned, amthe Chief Operating Officer and I have of Defendant, read the annexed Verified Answer, know the contents thereof and the same are true to the best of myknowledge.
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ANSWER Verified Answer

Document Forethought Life Insurance Company v. 3 East 54th New York LLC et al, 161281/2024, 11 (N.Y. Sup. Ct., New York County Jan. 31, 2025)
Defendant neither admits nor denies the allegations set forth in Paragraph 4 of complaint and respectfully refers the Court to the referenced documents for their terms.
Defendant neither admits nor denies the allegations set forth in Paragraphs 9, 10, 11, 12, 13, 14, 15, and 16 of Plaintiff's complaint and respectfully refers the Court to the referenced document for its terms.
Defendant neither admits nor denies the allegations set forth in Paragraph 20 of Plaintiff's complaint and respectfully refers the Court to the referenced documents for their terms.
Defendant neither admits nor denies the allegations set forth in Paragraph 44 of Plaintiff's complaint and respectfully refers the Court to the referenced document for its terms.
Steven M. Cherniak, being fully the undersigned, amthe Chief Operating Officer and I have of Defendant, read the annexed Verified Answer, know the contents thereof and the same are true to the best of myknowledge.
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SUMMONS + COMPLAINT Summons & Verified Complaint

Document Forethought Life Insurance Company v. 3 East 54th New York LLC et al, 161281/2024, 1 (N.Y. Sup. Ct., New York County Dec. 2, 2024)
None of the Defendants are infants, incompetents, mentally ill, or alcohol abusers.
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AFFIRMATION/AFFIDAVIT OF SERVICE Affirmation of Service

Document Forethought Life Insurance Company v. 3 East 54th New York LLC et al, 161281/2024, 15 (N.Y. Sup. Ct., New York County Feb. 3, 2025)
Jonathan B. Nelson, Esq., an attorney admitted to the practice of law before the various Courts of the State of New York, hereby affirms, pursuant to the C.P.L.R., under penalty of perjury, the following to be true:
On February 3, 2025, deponent e-filed the Notice of Rejection with NYSCEF and deponent served a copy of the Notice of Rejection upon parties who have appeared and consented to e-filing via NYSCEF:
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13

Document Forethought Life Insurance Company v. 3 East 54th New York LLC et al, 161281/2024, 13 (N.Y. Sup. Ct., New York County Feb. 2, 2025)

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12

Document Forethought Life Insurance Company v. 3 East 54th New York LLC et al, 161281/2024, 12 (N.Y. Sup. Ct., New York County Feb. 2, 2025)

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10

Document Forethought Life Insurance Company v. 3 East 54th New York LLC et al, 161281/2024, 10 (N.Y. Sup. Ct., New York County Jan. 31, 2025)

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