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Displaying 9-13 of 13 results

AFFIRMATION CHESWOLD (TL) LLC - 3215 AFFIRMATION OF COMPLIANCE

Document BOKF, N.A. DBA BANK OF TEXAS v. JUANA Y. BRITO et al, EF001466-2025, 5 (N.Y. Sup. Ct., Orange County Feb. 18, 2025)
Defendants is not a party to this action, to CPLR2106, and under is the The undersigned being duly sworn deposes and says: that deponent in the State of NewYork and pursuant over 18 years of age, resides penalties of perjury, hereby affirm as follows.
hat on February 14, 2025 within action by First Class Mail at defendant's , deponent sent a copy of the summonsin the to Cheswold (TL) LLC, the defendant herein, properly enclosed in an envelope addressed to said defendant Dwelling Place/Usual place of abode Place of Employment Last known address 7 yf) NcWN,) KDL Pf) the legend "PERSONAL& CONFUENTIAL"and not at bearing indicating on the outside thereof, by return address or otherwise, that the communication is from an attorney or concems an alleged debt.
That deponent deposited said envelope in an official depository Latharn NY care and custody of the United States Postal Service at under the exclusive .
understand that this documentmaybe filed in an action or proceeding in a court of law.
that the foregoing is true, and I ngela oy Work Order # 1720956 2106005
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AFFIRMATION CHESWOLD (TL) LLC - AFFIRMATION OF SUPPLEMENTAL MAILING

Document BOKF, N.A. DBA BANK OF TEXAS v. JUANA Y. BRITO et al, EF001466-2025, 6 (N.Y. Sup. Ct., Orange County Feb. 18, 2025)
Juana Y. Brito, et al. , affirms Angela Roy That deponent is not a party to this action, and says: is over 18 years of age and resides in the State of New Defendants York.
action by Priority Mail, herein, by return address or otherwise, that indicating on the outside thereof, That deponent deposited said envelope in an official the United States Postal Service at Latham NY .
depository under the exclusive care and custody of I affinn on 02/14/2025 under the penalties of cerjury under the laws of NewYork, which mayinclude a fine or imprisonment, and I understand that this documentmaybe filed in an action or proceeding in a court of law.
that the foregaing is true, Angela Roy PaµRCuAssNY, LLCRO.
Box5 PENFrµLD,NY14526 Work Order # 1720982
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STATEMENT OF AUTHORIZATION FOR ELECTRONIC FILING STATEMENT OF AUTHORIZATION FOR FILING

Document BOKF, N.A. DBA BANK OF TEXAS v. JUANA Y. BRITO et al, EF001466-2025, 7 (N.Y. Sup. Ct., Orange County Feb. 18, 2025)
e Firpt who are authorized users of the NYSCEFsystem hereby the ttorney represent that his/her to utilize agent") ("the filing .
agent D to file NYSCEFfiling cuments on their behalf and at in any e-filed their direction in which they are counsel of record through NYSCEF,as provided in Section 202.5-b of matter the Uniform Rules for the Trial Courts.
authorize _ e Filing Agent) in which these attorneys have extends to any consensual matter This authorization in which to any mandaton matter or may hereafter consented to e-filing consent, previously in which they authorize the filing they have recorded their and to any matter representation, in the NYSCEFsystem.
agent to record consent or representation extends to any and all documents these attorneys generate and This authorization posted once on the submit agent in any such matter.
This authorization regarding this in writing on a prescribed authorization the Firm revokes the agent shall continue until filing form delivered to the E-Filing Resource Center.
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CERTIFICATE OF MERIT

Document BOKF, N.A. DBA BANK OF TEXAS v. JUANA Y. BRITO et al, EF001466-2025, 3 (N.Y. Sup. Ct., Orange County Feb. 10, 2025)
a home loan, as such term is defined in foreclosure action involves This residential Real Property Actions and Proceedings Law §1304 to the extent alleged in paragraphNINTH ofthe Complaint.
modification, extension, I have consulted with DAVID CUMMINGS,a representative of the Plaintiff.
the commencementofthis there is a reasonable basis for I certifythat action, belief, to enforce rights under these documents.
the mortgage, defendant; all any modification, documents: Attached herein and as part ofthe Complaint are copies ofthe following the mortgage executed by the agreement and note or bond underlying security instruments ofassignment and any other instrument ofindebtedness, including (ifany); and consolidation.
Attached hereinand as part ofthe Complaint, are supplementalaffidavits ifapplicable, documents as described in paragraph 5 supra are lost, whether by destruction, that certain attesting or otherwise.
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NOTICE OF PENDENCY

Document BOKF, N.A. DBA BANK OF TEXAS v. JUANA Y. BRITO et al, EF001466-2025, 2 (N.Y. Sup. Ct., Orange County Feb. 10, 2025)
the above nameddefendant(s) and is nowpending in the Supreme Court of the above plaintiffagainst State of NewYork, ORANGECounty, of a Mortgage executed by JUANAY.
DBABANKOFTEXASto secure the sum of $124,000.00 recorded in the ORANGECounty Clerk's Office on October 25, 2018 in Liber Book M14478 of Mortgages, at Page 37, et seq.
Schedule A- Description of the Premises All that certain, erected, situated, of NewYork, more particularly and improvements piece, or parcel of land, with the buildings thereon lying and being in the City of Middletown, County of Orange, State side of Horton Ave. which premises are situated on the northwesterly as follows: described at a point on the westerly side of Horton Ave. said point of beginning north Beginning (Tax Map) from the intersection 37 degrees 31 minutes 20 seconds east, 301.1 feet side of East Main Street and northwesterly of the northerly side of Horton Ave. Thence leaving Horton Ave. North 52 degrees 28 minutes 40 seconds west, (Tax Map) to a point; feet 143.7 Thence north 38 degrees 23 minutes 05 seconds east, 74.00 feet (Tax Map) to a point; Thence south 52 degrees 28 minutes 40 seconds east, 45.06 feet to a point; Thence south 38 degrees 23 minutes 05 seconds west, 14.00 feet to a point; Thence south 52 degrees 28 minutes 40 seconds east, 97.50 feet of Horton Ave.; to the westerly side Thence along Horton Ave., south 37 degrees 31 minutes 20 seconds west, 60.00 feet (Tax Map) to the point of Beginning.
585/226-7310 to 22 NYCRR130-1.1, of NewYork State, an attorney admitted to practice in the courts the undersigned, Pursuant belief and reasonable inquiry, contained in the annexed document are not the contentions frivolous.
for Attorneys(s) true copy of a the within a (certified) that of the clerk of the within named Court on entered in the oflice that an Order of which the within Hon.
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