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  • Ariel Bronxville Llc v. Saeid Tehrani, Shahla Tehrani A/K/A SHAHLE TEHRANI, Hsbc Mortgage Corporation (Usa), Bpd Bank, Manheim Automotive Financial ServicesReal Property - Mortgage Foreclosure - Residential document preview
  • Ariel Bronxville Llc v. Saeid Tehrani, Shahla Tehrani A/K/A SHAHLE TEHRANI, Hsbc Mortgage Corporation (Usa), Bpd Bank, Manheim Automotive Financial ServicesReal Property - Mortgage Foreclosure - Residential document preview
  • Ariel Bronxville Llc v. Saeid Tehrani, Shahla Tehrani A/K/A SHAHLE TEHRANI, Hsbc Mortgage Corporation (Usa), Bpd Bank, Manheim Automotive Financial ServicesReal Property - Mortgage Foreclosure - Residential document preview
  • Ariel Bronxville Llc v. Saeid Tehrani, Shahla Tehrani A/K/A SHAHLE TEHRANI, Hsbc Mortgage Corporation (Usa), Bpd Bank, Manheim Automotive Financial ServicesReal Property - Mortgage Foreclosure - Residential document preview
						
                                

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INDEX NO. 015816/2010 NYSCEF DOC. NO. 19 RECEIVED NYSCEF: 03/19/2021 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NASSAU X Ariel Bronxvile, LLC Plaintiff, Index No.: 15816-2010 Post Foreclosure Settlement Conference Mediation Part REQUEST TO FILE NOTICE OF SALE PART ORDER Saeid Tehrani, et al., Defendant. X A Request to file a Notice of Sale having been made by Plaintiff's counsel, a Pre-Foreclosure Auction Status Conference in accordance with the Administrative Order of the Chief Administrative Judge, AO/157/20, effective July 27, 2020, was held on and the following parties appeared before the undersigned: Plaintiff: } co-counsel for Plaintiff: } counsel for Defendant: o Unrepresented or c Represented by: Defendant's counsel: c of counsel o per diem o retained counsel Email: Plaintiff: Defendant: © The Court having received a submission of an Affirmation by counsel or an Affidavit of Investigation which indicates that the subject property is vacant/abandoned waives the COVID-19 Pre-Foreclosure Auction Status Conference. c Defendant failed to appear at the Pre-Foreclosure Auction Status Conference. i The Court having received a submission of a Pre-Foreclosure Auction Status Conference Form by Plaintiffs counsel pertaining to the action referred to above on 03 FEBRUARY 2021, directs: i The Court having held a ¢virtual 0 in person COVID -19 Pre-Foreclosure Auction Status Conference pertaining to the action referred to above on 19 MARCH 2021, directs: = that the Plaintiff may proceed with the foreclosure sale and the subject property will be scheduled to be sold at Foreclosure Auction on 21 JUNE 2021 at 02:30 p.m.; = An adjournment for a second COVID-19 Pre-Foreclosure Auction Status Conference, which will be held Q virtually o in person on at oam.op.m.;o0N/A. =o that the foreclosure sale is stayed pending other outcome. 0 30 0 450 60 0 90 day stay = Other: Plaintiff raised issues pertaining to homeowner/mortgagor’s eligibility re: submission of Hardship Declaration, which was also discussed during the conference. Dated: 19 March 2021 4, Court Attorney-Referee 29 September2020 ANTHONY J. PROVENZANO Court Attomey - Referee 1 of 2INDEX NO. 015816/2010 NYSCEF DOC. NO, 19 RECEIVED NYSCEF: 03/19/2021 N.Y.S. SUPREME COURT, COUNTY OF NASSAU FORECLOSURE AUCTION PART ACKNOWLEDGEMENT OF RECEIPT OF THE COVID-19 HARDSHIP DECLARATION Ariel Bronxville LLC PLAINTIFF woexno — 5816/2010 ve Saeid Tehrani et al. DEFENDANT IN COURT: \/We, Pankaj Malik am/are the above named Defendant(s) or the attorney for the Defendant(s) in the above stated matter and I/We acknowledge receiving a blank COVID-19 Hardship Declaration, which has been provided in accordance with the Emergency Eviction and Foreclosure Prevention Act of 2020 and the Order of the Chief Administrative Judge, A0/341/20. The COVID-19 Hardship Declaration was previously mailed to me/us or to my client by the Court; or, | was provided with a blank COVID-19 Hardship Declaration when conferencing the matter referred to above; or, | obtained a copy of the COVID-19 Hardship Declaration on the Court’s website at: 1/We confirm that I/we have had a reasonable opportunity to review the COVID-19 Hardship Declaration to determine whether to submit it prior to the sale of the subject property at public auction and that the Court has held a conference, as required by the statute, to ensure that I/we received a blank Hardship Declaration and had an opportunity te review it prior to the foreclosure auction being allowed to proceed. ZZ DEFENDANT / DEFENDANT(S) ATTORNEY E-mail; pmalik@wbny.com S.C. / COURT ATTORNEY-REFEREE DEFENDANT/DEFENDANT(S) ATTORNEY DATE: 4 7 Ly (ed 2 ey E-mail: mv ENTERED Mar 19 2021 NASSAU COUNTY COUNTY CLERK'S OFFICE 2 of 2