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  • J.P. Morgan Mortgage Acquisition Corp. v. Mary Elaine Davis, Internal Revenue Service, Garden Care Center Inc.,, Lvnv Funding, Llc, City Of New York Department Of Transportation Parking Violations Bureau, Transit Adjudication Bureau, City Of New York Environmental Control Board, New York State Department Of Taxation And Finance, John Doe #1 Through John Doe #12Real Property - Mortgage Foreclosure - Residential document preview
  • J.P. Morgan Mortgage Acquisition Corp. v. Mary Elaine Davis, Internal Revenue Service, Garden Care Center Inc.,, Lvnv Funding, Llc, City Of New York Department Of Transportation Parking Violations Bureau, Transit Adjudication Bureau, City Of New York Environmental Control Board, New York State Department Of Taxation And Finance, John Doe #1 Through John Doe #12Real Property - Mortgage Foreclosure - Residential document preview
						
                                

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FILED: QUEENS COUNTY CLERK 05/17/2024 09:51 AM INDEX NO. 710524/2024 NYSCEF DOC. NO. 8 RECEIVED NYSCEF: 05/17/2024 OFTHESTATEOFNEWYORK SUPREMECOURT COUNTYOFQUEENS J.P. Morgan Mortgage Acquisition Corp. Certificate of Merit Plaintiff(s), -against- Index No. .. Mary Elaine Davis, InternalRevenue Service, Garden Care Center Inc., LVNV Funding, LLC, City of New York Department of Transportation Parking Violations Bureau, Transit Adjudication Bureau, City of New York Environmental Control Board , NewYork State Department of Taxation and Finance, and "JOHN DOE #1," through "JOHN DOE#12," the last twelve names being fictitious 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 being foreclosed herein, Defendant(s). 1. I am an attorney law duly licensed to practice in the State of NewYork, and amaffiliated at with the law finn of Sheldon May & Associates, P.C., attorney for Plaintiff in this action. 2. This residential foreclosure action involves a home loan, as such term is defined in Real Property Actions and Proceedings Law §1304. Upon information and belief, defendant is a resident of the property subject to foreclosure. 3. I have reviewed the facts of this case and reviewed pertinent documents, including the mortgage, security agreement and note or bond underlying the mortgage executed by defendant, all instruments of assignment (if any), and all other instruments of indebtedness including any 0 modification, extension, and consolidation. 4. I have consulted Name \ WC about the facts of this case with the following representatives s of Plaintiff: Title ,ms s 5. Upon this review and consultation, to the best of my knowledge, information, and belief, I certify that there is a reasonable basis for the commencementof this action, and that Plaintiff is the creditor entitled to enforce rights under these documents. 6. If applicable, listed in Exhibit A and attached hereto are copies of the following documents not otherwise included as attachments to the summons and complaint: the mortgage, security agreement and note or bond underlying the mortgage executed by the defendant; all instruments of assignment (if any); and any other instrument of indebtedness, including any modification, extension, and consolidation. (Check box if no documents are attached in Exhibit A: m.) 7. Listed in Exhibit B and attached hereto are supplemental affidavits attesting that certain documents as described in paragraph 5 supra are lost, whether by destruction, theft, or otherwise. (Check box if no documents are attached in Exhibit B: m.) 8. I amaware of my obligations under NewYork Rules of Professional CorfD f(22 NYCRR Part 1200) and 22 NYCRR Part 130. Dated: May 16, 2024 Rockville Centre, NewYork By: Ted ric May, Esq. 1 of 1