22-02912H


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SUMMONS AND NOTICE
SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF
CHEMUNG
Plaintiff designates Chemung County as the place of trial. Venue is based upon the county in which the
mortgaged premises are situated.
Index No. 2022-5100
Filed 2/17/22
DOUGLAS MARK PARSONS,
Plaintiff, vs.
DRAGON ROCK PROPERTIES, INC., LAWRENCE E. FIERO and “John Doe #1” through “John Doe #10”, the last 10 names being
fictitious and unknown to the
Plaintiff, the person or parties
intended being the tenants,
occupants, persons or parties, if
any, having or claiming an interest
in or lien upon the mortgaged
premises described in the verified complaint,
Defendants.
TO THE ABOVE NAMED DEFENDANTS:
YOU ARE HEREBY SUMMONED to answer the verified complaint in this action and to serve a copy of your answer, or, if the verified complaint is not served with this summons, to serve a notice of appearance on the attorneys for the Plaintiff within 20 days after the service of this summons, exclusive of the day of service (or within 30 days after service is complete if this summons is not personally delivered to you within the State of New York). In case of your failure to appear or answer, judgment will be taken against you by default for the relief demanded in the verified complaint.
NOTICE OF NATURE OF ACTION AND RELIEF SOUGHT
The object of the above captioned action is to foreclose a Mortgage to secure $60,000.00 and interest, recorded in the office of the Clerk of the County of Chemung on June 27, 2017, Instrument No. 201713527, covering premises located at 332 Lorenzo Place in the City of Elmira, County of Chemung, New York (Tax Map No. 89.10-2-40).
The relief sought in the within action is a final judgment directing the sale of the premises described above to satisfy the debt secured by the Mortgage described above. The Plaintiff also seeks a deficiency judgment against Defendants Dragon Rock Properties, Inc. and Lawrence E. Fiero for any debt secured by said Mortgage which is not satisfied by the proceeds of the sale of said premises.
Date: February 15, 2022
Coughlin & Gerhart, LLP.
Samuel M. Blakley, Esq.
Attorneys for Plaintiff
99 Corporate Drive,
Binghamton, NY 13904
P.O. Box 2039,
Binghamton, NY 13902-2039
607-723-9511
NOTICE OF SERVICE
BY PUBLICATION
SUPREME COURT OF THE
STATE OF NEW YORK
COUNTY OF CHEMUNG
Index No. 2022-5100
DOUGLAS MARK PARSONS,
Plaintiff, - against -
DRAGON ROCK PROPERTIES, INC., LAWRENCE E. FIERO and “John Doe #1” through “John Doe #10”, the last 10 names being
fictitious and unknown to the
Plaintiff, the person or parties
intended being the tenants,
occupants, persons or parties, if
any, having or claiming an
interest in or lien upon the
mortgaged premises described in
the verified complaint,
Defendants.
TO: LAWRENCE E. FIERO
The foregoing summons is served upon you by publication pursuant to an Order of the Honorable Christopher P. Baker, a Justice of the Supreme Court of the State of New York, dated the 9th day of August, 2022, and so amended on August 18, 2022, and filed, with the complaint and other papers, in the office of the Clerk of the County of Chemung, Elmira, New York.
You are named as a defendant in this action because of your status as guarantor. This action was brought to obtain a judgment of foreclosure and sale against you for the amounts due and owing Plaintiff under a Note and Mortgage dated June 22, 2017 given by Dragon Rock Properties, Inc. to Douglas Mark Parsons. The balance of the Note was accelerated due to your failure, neglect and refusal to pay the installments when due.
The mortgaged premises affected by this foreclosure action, at the time of the commencement of said action and at the time of the filing of this notice, was identified as Tax Map No. 89.10-2-40, and is located at 332 Lorenzo Place in the City of Elmira, in the County of Chemung and the State of New York
The relief sought in the within action is a judgment of foreclosure and sale for the amount due and owing to Douglas Mark Parsons by Dragon Rock Properties, Inc. and yourself. In the event of your default, judgment may be entered against you in the amount of $57,387.32 plus interest in the amount of $4,842.21 through February 7, 2022 and continuing thereafter at the contract rate of 5.00%, taxes advanced by Plaintiff in the amount of $13,848.66, along with the costs and disbursements of this action and reasonable attorney's fees.
Dated: August 15, 2022.
COUGHLIN & GERHART, L.L.P.
Samuel M. Blakley, Esq.
Attorneys for Plaintiff
99 Corporate Drive,
Binghamton, NY 13904
P.O. Box 2039,
Binghamton, NY 13902-2039
607-723-9511
Sept. 2, 9, 16, 23, 2022 22-02912H

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