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Displaying 24-32 of 32 results

PRELIMINARY CONFERENCE REQUEST

Document FRANK SORRENTINI v. KIM JOHN, 806664/2024E, 24 (N.Y. Sup. Ct., Bronx County Jul. 31, 2024)
PLEASE TAKE NOTICE, that pursuant to the Uniform Rules of Section 202.12, the undersigned requests a preliminary conference.
The names, addresses and telephone numbers of all attorneys appearing in the action are as follows: Harmon Linder & Rogowsky, Esq.
I, Jonathan C. Goltzman, Esq., an attorney duly admitted to practice in the courts of the State of New York, affirm under the penalty of perjury as follows:
We have made good faith efforts to resolve the issues raised herein without the intervention of the Court and have been unable to do so.
To date, we have not had full compliance and we have not received a Bill of Particulars.
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DEMAND FOR: Prior AZ Demand

Document FRANK SORRENTINI v. KIM JOHN, 806664/2024E, 23 (N.Y. Sup. Ct., Bronx County Jul. 22, 2024)
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DEMAND FOR BILL OF PARTICULARS Good Faith

Document FRANK SORRENTINI v. KIM JOHN, 806664/2024E, 22 (N.Y. Sup. Ct., Bronx County Jul. 9, 2024)
Re: Sorrentine v John Claim Number: 8737503940000011 Court Index Number: 806664/2024E Our File Number: 24-0068301 Dear Counselor(s): We served our Answer with Demand for Bill of Particulars and Combined Demand for Discovery and Inspection more than thirty (30) days ago.
If your office has already provided a Bill of Particulars responsive to our demand, then please provide the remaining discovery demanded.
This is our good faith effort to obtain this discovery.
If you do not provide a complete response to our demands within the next twenty (20) days we will seek the assistance of the Court.
Very truly yours, Christie Gardner For Jonathan Goltzman, Esq.
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AFFIRMATION/AFFIDAVIT OF SERVICE

Document FRANK SORRENTINI v. KIM JOHN, 806664/2024E, 8 (N.Y. Sup. Ct., Bronx County Jun. 21, 2024)
on \ AFFlRMANTSERVEDTHEWITHIN SUMMONS& VERIFIED COMPLAINT& NOTICEOF ELECTRONICFILING ON: KlM JOHNA/K/A JOHNKlM ,THE DEFENDANT/RESPONDENTTHEREINNAMED.
By affixing business a true copy of each to the door of said premises, which is the defendanfs/respondenes house /usual place of abode within the state. ]
On a copy of the two sections by depositing under the last completed service , affirmant SUMMONS& VERIFIED COMPLAINT& NOTICEOF ELECTRONICFILING to the above address in a First Class addressed envelope marked "Personal and Confidential" depository under the exclusive in an official postpaid properly in the State of NewYork.
the United States Post Office care and custody of Affirmant was unable, with due diligence the defendant/respondent having called thereat on the day of at on the day of at on the day of at on the day of at #6 NON-SERVICE After due search, I have been unable to effect process upon the inquiry and diligent careful attempts, ] party unknown at address being served because of the following: defendant/respondent ] Evading [ [ ] Noone ever in or available ] Moved left no forwarding to accept service ] Address does not exist [ [ [ #7 DESCRIPTION A description or spoken to on behalf , or other person served, the defendant/respondent of the of defendant/respondent is as follows: to find or a person of suitable age and discretion, .
t , f wt to NewYork Civil Practice day of Pursuant under the of perjury laws of NewYork, which mayinclude the foregoing is true, and I a fine or imprisonment, that this document maybe filed in an action or proceeding in a court of understand that law.
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STATEMENT OF AUTHORIZATION FOR ELECTRONIC FILING

Document FRANK SORRENTINI v. KIM JOHN, 806664/2024E, 7 (N.Y. Sup. Ct., Bronx County Jun. 13, 2024)
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EXHIBIT(S) - A Notice To Preserve

Document FRANK SORRENTINI v. KIM JOHN, 806664/2024E, 5 (N.Y. Sup. Ct., Bronx County Jun. 13, 2024)
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6

Document FRANK SORRENTINI v. KIM JOHN, 806664/2024E, 6 (N.Y. Sup. Ct., Bronx County Jun. 13, 2024)

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AFFIRMATION/AFFIDAVIT OF SERVICE

Document FRANK SORRENTINI v. KIM JOHN, 806664/2024E, 3 (N.Y. Sup. Ct., Bronx County May. 16, 2024)
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2

Document FRANK SORRENTINI v. KIM JOHN, 806664/2024E, 2 (N.Y. Sup. Ct., Bronx County Apr. 23, 2024)

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