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FILED: QUEENS COUNTY CLERK 01/31/2023 03:17 PM
`NYSCEF DOC. NO. 20
`
`INDEX NO. 718648/2022
`
`RECEIVED NYSCEF: 01/31/2023
`
`SUPREME COURT OF THE STATE OF NEW YORK
`COUNTY OF QUEENS
`------------------------------------------------------------------------X
`BSD FARMERS LLC,
` Plaintiff,
` -against-
`
`Index No.: 718648/2022
`
`AFFIRMATION
`CANCELING NOTICE OF
`PENDENCY
`
`JOAN MARIE ZOSE,
` Defendant.
`------------------------------------------------------------------------X
`
`WHEREAS, no party served herein is an infant or incompetent person for whom a committee has
`been appointed,
`
` IT IS HEREBY AFFIRMED AND AGREED by:
`
`(a) the attorneys for the plaintiff;
`
`(b) the attorneys for the defendants who have appeared or answered including those who have
`waived all notices, that the action be discontinued, and that the Notice of Pendency filed in the
`office of the Clerk of the County of Queens on September 8, 2022, against 117-30 231st Street,
`Cambria Heights, NY 11411 Block 12747, Lot 170, County of Queens be canceled and
`discharged of record.
`
`Dated: Kew Gardens, New York
`January 31, 2023
`
`Yours, etc.,
`
` /s/ Bradley M. Zelenitz
`Bradley M. Zelenitz
`Zelenitz, Shapiro & D’Agostino, P.C.
`Attorneys for Plaintiff(s)
`120-32 Queens Boulevard, 2nd Fl.
`Kew Gardens, NY 11415
`(718) 523-1111
`bzelenitz@zsdlaw.com
`
`Page 1 of 2
`
`1 of 2
`
`

`

`FILED: QUEENS COUNTY CLERK 01/31/2023 03:17 PM
`NYSCEF DOC. NO. 20
`
`INDEX NO. 718648/2022
`
`RECEIVED NYSCEF: 01/31/2023
`
`ATTORNEY'S AFFIRMATION
`
`STATE OF NEW YORK )
`COUNTY OF QUEENS
`)ss:
`
`The undersigned shows that:
`
`1.
`
`2.
`
`3.
`
`
`
`Deponent is an attorney admitted to practice in the Courts of the State of New
`York, I am the attorney for the plaintiff herein.
`
`This affirmation is made pursuant to CPLR 6514(d) for the purpose of
`cancellation of the notice of pendency of action referred to in the affirmation
`canceling lis pendens annexed hereto.
`
`The following defendants have been served with Summons and Complaint and/or
`Summons and Notice of Object of Action on the dates set forth after their
`respective names:
`
`Defendant(s)
`
`Joan Marie Zose
`
`Date of Service
`
`9/13/22
`
`The undersigned affirms that the foregoing statements are true, under the penalties of perjury.
`
`Dated: Kew Gardens, New York
`January 31, 2023
`
`Yours, etc.,
`
` /s/ Bradley M. Zelenitz
`Bradley M. Zelenitz
`Zelenitz, Shapiro & D’Agostino, P.C.
`Attorneys for Plaintiff(s)
`120-32 Queens Boulevard, 2nd Fl.
`Kew Gardens, NY 11415
`(718) 523-1111
`bzelenitz@zsdlaw.com
`
`Page 2 of 2
`
`2 of 2
`
`

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