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2ND DEPARTMENT/ PUBLIC LEGAL NOTICES CITATION FILE 2017-1332/B SURROGATE’S COURT, KINGS COUNTY, THE PEOPLE OF THE STATE OF NEW YORK, BY THE GRACE OF GOD FREE AND INDEPENDENT. TO: any and all unknown persons whose names or parts of whose names, and whose place or places of residence are unknown, and cannot, after diligent inquiry, be ascertained, distributees, heirs at law and next of kin of said CHARLOTTE BENSON, A/K/A CHARLOTTE A. BENSON, and if any of the said distributees, heirs at law or next of kin of deceased be dead, their legal representatives, their husbands or wives, if any, distributees and successors in interest whose names and/or places of residence and post of¿ce addresses are unknown. A petition having been duly ¿led by NEHEMIAH CURRY who is domiciled at 3613 Sturnidae Drive, Augusta, Georgia 30906, YOU ARE HEREBY CITED TO SHOW CAUSE before the Surrogate’s Court, KINGS County, at 2 Johnson St., Kings, Room 319, New York, on November 15th, 2018, at 9:30 o’clock in the forenoon of that day, why a decree should not be made in the estate of CHARLOTTE BENSON, A/K/A CHARLOTTE A. BENSON lately domiciled at 880 Nostrand Avenue, Brooklyn, New York 11225, United States, admitting to probate a will dated February 24, 2004, a copy of which is attached, as the Will of CHARLOTTE BENSON deceased, relating to real and personal property and directing that: Letters Testamentary issue to Nehemiah Curry. Dated, Attested and Sealed, September 20th, 2018 Hon. John G. Ingram, Acting Surrogate. Doreen A. Quinn, Chief Clerk, Ira. K. Miller, Ira K. Miller and Associates, 26 Court Street, Suite 400, Brooklyn, New York 11242 (718) 875-2191. This citation is served upon you as required by law. You are not required to appear. If you fail to appear it will be assumed you do not object to the relief requested. You have a right to have an attorney appear for you. #163697

CITATION File No. 2017-2376/A SURROGATE’S COURT-KINGS COUNTY CITATION THE PEOPLE OF THE STATE OF NEW YORK, By the Grace of God Free and Independent TO: HENRY DAVIS, SHAWN DAVIS, NGM INSURANCE COMPANY, TASHARA WALDRON, ASHLEY WALDRON, SHAQUILLE WALDRON, TERELL WALDRON, CORY WALDRON, JAMMIE AARON WALDRON AND TO: HARRIET ALECIA DAVIS, if living and if dead, and to her heirs at law, next of kin and distributees whose names and places of residence are unknown and if he/she died subsequent to the decedent herein, to his/her executors, administators, legatees, devisees, assignees and successors in interest whose name and places of residence are unknown. A petition having been duly ¿led by GREGORY DAVIS, who is domiciled at 470 Audobon Avenue, Apt. B9, New York, New York 10040 and BARBARA DAVIS, who is domiciled at 10 Richman Plaza, Apt. 32D, Bronx, New York 10453. YOU ARE HEREBY CITED TO SHOW CAUSE before the Surrogate’s

Court Kings County, at 2 Johnson Street, Room 319, Brooklyn, New York, on November 8, 2018, at 9:30 o’clock in the forenoon of that day, why a decree should not be made in the Estate of GERTRUDE DAVIS lately domiciled at 1170 St. Mark’s Avenue, Brooklyn, New York, 11213 in the County of Kings, New York, permitting the ¿ling of an additional Bond to increase bond to $790,666.00, issuing a Decree removing the limitations on the Letters of Administration to permit the sale of real property located at 1170 St. Marks Avenue, Brooklyn, New York 11213 and for such other and further relief as this court deems just and proper. Dated, Attested and Sealed September 20, 2018 HON. John G. Ingram Acting Surrogate Doreen A. Quinn Chief Clerk Tatia D. Barnes, Esq. Attorney for Petitioner 40 Wall Street, 28th Floor New York, New York 10005 (212) 537-4069 [NOTE: This citation is served upon you as required by law. You are not required to appear. If you fail to appear it will be assumed you do not object to the relief requested. You have a right to have an attorney appear for you.] #163717

SUPPLEMENTAL SUMMONS Supplemental Summons and Notice of Object of Action SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF KINGS Action to Foreclose a Mortgage Index #: 521535/2017 Federal National Mortgage Association (“Fannie Mae”), A Corporation Organized And Existing Under The Laws Of The United States Of America, Plaintiff, vs Dov Brull, If Living, Or If Either Or All Be Dead, Their Wives, Husbands, Heirs-At-Law, Next Of Kin, Distributes, Executors, Administrators, Assignees, Lienors And Generally All Persons Having Or Claiming Under, By Or Through Said Dov Brull, By Purchase, Inheritance, Lien Or Otherwise, Of Any Right, Title Or Interest In And To The Premises Described In The Complaint Herein, And The Respective Husbands, Wives, Widow Or Widowers Of Them, If Any, All Of Whose Names Are Unknown To Plaintiff; 1966 Reality Inc.; New York City Parking Violations Bureau; New York City Transit Adjudication Bureau; New York City Department Of Finance; New York City Environmental Control Board; “John Does” and “Jane Does”, said names being ¿ctitious, parties intended being possible tenants or occupants of premises and corporations, other entities or persons who have, claim, or may claim, a lien against, or other interest in, the premises, Defendant(s). Mortgaged Premises: 1966 59th Street Brooklyn, NY 11204 SBL #: 5513 - 34 To the Above named Defendant: You are hereby summoned to answer the Complaint in this action, and to serve a copy of your answer, or, if the Complaint is not served with this Supplemental Summons, to serve a notice of appearance, on the Plaintiff(s) attorney(s) within twenty days after the service of this Supplemental Summons, exclusive of the day of service (or within 30 days after the service is complete if this Supplemental Summons is not personally delivered to you within the State of New York). In case of your failure to appear or answer, judg-

ment will be taken against you by default for the relief demanded in the Complaint. The Attorney for Plaintiff has an of¿ce for business in the County of Erie. Trial to be held in the County of Kings. The basis of the venue designated above is the location of the Mortgaged Premises. TO Dov Brull, 1966 Realty, Inc. Defendants In this Action. The foregoing Supplemental Summons is served upon you by publication, pursuant to an order of HON. Mark I. Partnow of the Supreme Court Of The State Of New York, dated the Eighteenth day of September, 2018 and ¿led with the Complaint in the Of¿ce of the Clerk of the County of Kings, in the City of Brooklyn. The object of this action is to foreclose a mortgage upon the premises described below, given by Dov Brull to MORTGAGE ELECTRONIC REGISTRATION SYSTEMS, INC., AS NOMINEE FOR HSBC MORTGAGE CORPORATION (USA), ITS SUCCESSORS AND ASSIGNS bearing date June 14, 2006 and recorded in the Of¿ce of the City Register of the City of New York, Kings County on July 31, 2006 as CRFN 2006000430397 of Mortgages. Thereafter said mortgage was assigned to HSBC BANK USA, N.A. by assignment of mortgage dated December 17. 2008 and recorded in the Of¿ce of the City Register of the City of New York, Kings County on January 5, 2009 as CRFN 2009000001581 of Mortgages, which was correction by corrective assignment of mortgage dated August 23, 2011 and recorded in the Of¿ce of the City Register of the City of New York, Kings County on September 1, 2011 as CRFN 2011000310501 of Mortgages. Thereafter said mortgage was assigned to FEDERAL NATIONAL MORTGAGE ASSOCIATION by assignment of mortgage dated November 23, 2015 and recorded in the Of¿ce of the City Register of the City of New York, Kings County on December 10, 2015 as CRFN 2015000438561 of Mortgages. The property in question is described as follows: 1966 59TH STREET, BROOKLYN, NY 11204 NOTICE YOU ARE IN DANGER OF LOSING YOUR HOME If you do not respond to this summons and complaint by serving a copy of the answer on the attorney for the mortgage company who ¿led this foreclosure proceeding against you and ¿ling the answer with the court, a default judgment may be entered and you can lose your home. Speak to an attorney or go to the court where your case is pending for further information on how to answer the summons and protect your property. Sending a payment to your mortgage company will not stop this foreclosure action. YOU MUST RESPOND BY SERVING A COPY OF THE ANSWER ON THE ATTORNEY FOR THE PLAINTIFF (MORTGAGE COMPANY) AND FILING THE ANSWER WITH THE COURT. DATED: September 20, 2018 Gross Polowy, LLC Attorney(s) For Plaintiff(s) 1775 Wehrle Drive, Suite 100 Williamsville, NY 14221 The law ¿rm of Gross Polowy, LLC and the attorneys whom it employs are debt collectors who are attempting to collect a debt. Any information obtained by them will be used for that purpose. 57751 #163713

SUPPLEMENTAL SUMMONS SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF KINGS SUPPLEMENTAL SUMMONS AND NOTICE Index No.514347/2017 Dated Filed: 9/21/2018 JPMorgan Chase Bank, N.A. Plaintiff, -against- Audrey Savin, if she be living or dead, her spouse, heirs, devisees, distributees and successors in interest, all of whom and whose names and places of residence are unknown to Plaintiff, Petro Inc.; City of New York Environmental Control Board; City of New York Parking Violations Bureau; City of New York Transit Adjudication Bureau; State of New York; and “JOHN DOE”, said name being ¿ctitious, it being the intention of Plaintiff to designate any and all occupants of premises being foreclosed herein, and any parties, corporations or entities, if any, having or claiming an interest or lien upon the mortgaged premises, Defendants. PROPERTY ADDRESS: 946 East 95th Street, Brooklyn, NY 11236 TO THE ABOVE-NAMED DEFENDANTS: YOU ARE HEREBY SUMMONED to answer the complaint in this action and to serve a copy of your answer, or a notice of appearance on the attorneys for the Plaintiff within thirty (30) days after the service of this summons, exclusive of the day of service. The United States of America, if designated as a defendant in this action, may appear within sixty (60) days of service hereof. In case of your failure to appear or answer, judgment will be taken against you by default for the relief demanded in the complaint. TO THE ABOVE-NAMED DEFENDANTS: The foregoing Summons is served upon you by publication pursuant to Order the Hon Mark I. Partnow, a Justice of the Supreme Court Kings County, dated Sept. 21, 2018 and ¿led with the complaint and other papers in the Kings County Clerk’s Of¿ce. NOTICE OF NATURE OF ACTION AND RELIEF SOUGHT THE OBJECT of the above captioned action is to foreclose a Mortgage to secure $175,000.00 and interest, recorded in the Kings County Of¿ce of the City Register on July 31, 2001, in Reel 5236 of Mortgages, page 2317 covering premises known as 946 East 95th Street, Brooklyn, NY 11236 a/k/a Block 8144, Lot 44. The relief sought in the within action is a ¿nal judgment directing the sale of the premises described above to satisfy the debt secured by the Mortgage described above. Plaintiff designates Kings County as the place of trial. Venue is based upon the County in which the mortgaged premises is situated. NOTICE YOU ARE IN DANGER OF LOSING YOUR HOME IF YOU DO NOT RESPOND TO THIS SUMMONS AND COMPLAINT BY SERVING A COPY OF THE ANSWER ON THE ATTORNEY FOR THE MORTGAGE COMPANY WHO FILED THIS FORECLOSURE PROCEEDING AGAINST YOU AND FILING THE ANSWER WITH THE COURT A DEFAULT JUDGMENT MAY BE ENTERED AND YOU CAN LOSE YOUR HOME. SPEAK TO AN ATTORNEY OR GO TO THE COURT WHERE YOUR CASE IS PENDING FOR FURTHER INFORMATION ON HOW TO ANSWER THE SUMMONS AND PROTECT YOUR

Week of October 19 - October 25, 2018 • HOME REPORTER • 15 PROPERTY, SENDING A PAYMENT TO YOUR MORTGAGE COMPANY WILL NOT STOP THIS FORECLOSURE ACTION. YOU MUST RESPOND BY SERVING A COPY OF THE ANSWER ON THE ATTORNEY FOR THE PLAINTIFF (MORTGAGE COMPANY) AND FILING THE ANSWER WITH THE COURT. Dated: October 13, 2017 Frank M. Cassara, Esq. Senior Associate Attorney SHAPIRO, DICARO & BARAK, LLC Attorneys for Plaintiff 175 Mile Crossing Boulevard Rochester, New York 14624 (585) 2479000 Fax: (585) 247-7380 File No. 17-061169 -#95708 #163793

SUPPLEMENTAL SUMMONS SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF KINGS INDEX NO. 515727/2016 U.S. BANK NATIONAL ASSOCIATION AS TRUSTEE UNDER THE POOLING AND SERVICING AGREEMENT DATED AS OF DECEMBER 1, 2004, ASSET BACKED SECURITIES CORPORATION HOME EQUITY LOAN TRUST, 2004-HE10, Plaintiff, Plaintiff designates KINGS as the place of trial situs of the real property vs.RALPH ARNOUX AS CO-ADMINISTRATOR, HEIR AND DISTRIBUTEE OF THE ESTATE OF MAX ANTOINE ARNOUX; MARIE BEECHAM AS CO-ADMINISTRATOR, HEIR AND DISTRIBUTEE OF THE ESTATE OF MAX ANTOINE ARNOUX; MAX ARNOUX, JR. AS HEIR AND DISTRIBUTEE OF THE ESTATE OF MAX ANTOINE ARNOUX; RICHARD ARNOUX AS HEIR AND DISTRIBUTEE OF THE ESTATE OF MAX ANTOINE ARNOUX if living, and if he be deceased, the heirs at law, next of kin, distributes, executors, administrators, trustees, devisees, legatees, assignees, lienors, creditors, and successors in interest, and generally all persons having or claiming, under, by or through said defendant who may be deceased, by purchase, inheritance, lien or otherwise, any right title or interest in and to the premises described in the Complaint herein, all of whom and whose names and places of residence are unknown to the plaintiff and cannot after diligent inquiry be ascertained; PATRICK ROBILLARD AS HEIR AND DISTRIBUTEE OF THE ESTATE OF MAX ANTOINE ARNOUX if living, and if he be deceased, the heirs at law, next of kin, distributes, executors, administrators, trustees, devisees, legatees, assignees, lienors, creditors, and successors in interest, and generally all persons having or claiming, under, by or through said defendant who may be

deceased, by purchase, inheritance, lien or otherwise, any right title or interest in and to the premises described in the Complaint herein, all of whom and whose names and places of residence are unknown to the plaintiff and cannot after diligent inquiry be ascertained; MICHELLE M. JOSEPH AS HEIR AND DISTRIBUTEE OF THE ESTATE OF MAX ANTOINE ARNOUX; JESSICA MIRANDA ANTOINE AS HEIR AND DISTRIBUTEE OF THE ESTATE OF MAX ANTOINE ARNOUX; CHARLISE TINDLE AS HEIR AND DISTRIBUTEE OF THE ESTATE OF MAX ANTOINE ARNOUX; MAXIM ARNOUX AS HEIR AND DISTRIBUTEE OF THE ESTATE OF MAX ANTOINE ARNOUX; ANTHONY M. ARNOUX AS HEIR AND DISTRIBUTEE OF THE ESTATE OF MAX ANTOINE ARNOUX; JOHNNY ARNOUX AS HEIR AND DISTRIBUTEE OF THE ESTATE OF MAX ANTOINE ARNOUX if living, and if he be deceased, the heirs at law, next of kin, distributes, executors, administrators, trustees, devisees, legatees, assignees, lienors, creditors, and successors in interest, and generally all persons having or claiming, under, by or through said defendant who may be deceased, by purchase, inheritance, lien or otherwise, any right title or interest in and to the premises described in the Complaint herein, all of whom and whose names and places of residence are unknown to the plaintiff and cannot after diligent inquiry be ascertained; BANKERS INSURANCE COMPANY; CRIMINAL COURT OF THE CITY OF NEW YORK; NANCY T. SUNSHINE, IN HER CAPACITY AS COMMISSIONER OF JURORS; PALISADES COLLECTION LLC AAO AT&T; NEW YORK CITY PARKING VIOLATIONS BUREAU; NEW YORK STATE DEPARTMENT OF TAXATION AND FINANCE; UNITED STATES OF AMERICA - INTERNAL REVENUE SERVICE; NEW YORK CITY ENVIRONMENTAL CONTROL BOARD, “JOHN DOE #1”; “JOHN DOE #2”; “JANE DOE #3”; “JOHN DOE #4”; “JOHN DOE #5”; “JANE DOE #6”; “JOHN DOE #7”; “JOHN DOE #8” through “JOHN DOE #12, “the last ¿ve names being ¿ctitious and unknown to plaintiff the persons or parties intended being the tenants occupants persons or corporations if any having or claiming an interest in or lien upon the premises described in the Complaint, Defendants. SUPPLEMENTAL SUMMONS Mortgaged Premises: 47 VANDERBILT AVENUE BROOKLYN, NY 11205 Block: 1872 Lot: 2 #164091

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