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  • In The Matter Of The Application Of The City Of York, To Acquire By Exercise Of Its Powers Of Eminent Domain, Fee Interests In Certain Real Property Known As Tax Block 708, Lot 48; And Fee Interests And A Temporary Easement In Tax Block 710, Lot 11; All Located in the Borough of Manhattan, Required as Part of the HUDSON PARK AND BOULEVARD PROJECT, PHASE 2, STAGE 3 v. NoneReal Property - Condemnation document preview
  • In The Matter Of The Application Of The City Of York, To Acquire By Exercise Of Its Powers Of Eminent Domain, Fee Interests In Certain Real Property Known As Tax Block 708, Lot 48; And Fee Interests And A Temporary Easement In Tax Block 710, Lot 11; All Located in the Borough of Manhattan, Required as Part of the HUDSON PARK AND BOULEVARD PROJECT, PHASE 2, STAGE 3 v. NoneReal Property - Condemnation document preview
						
                                

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CARTER LEDYARD MILBURN Michael H. Bauscher 28 Liberty Street, 41st Floor Partner New York, NY 10005 bauscher@clm.com D / 212-238-8785 June 1, 2023 BY NYSCEF Hon. Shlomo S. Hagler Justice of the Supreme Court 60 Centre Street, Part 17 New York, New York 10007 Project: Hudson Park and Boulevard Project Condemnor: City of New York Matter: Phase 2, Stage 3; Index No. 451121/2023 Dear Justice Hagler: We are co-counsel for Petitioner, the City of New York, in the above-referenced eminent domain proceeding. The Petition in this matter is currently returnable before the Court on Tuesday, June 6, at 12:00 pm, at which time the City will request that a vesting order be signed allowing the acquisition of the property sought to be acquired. We have respectfully submitted, via NYSCEF, a proposed order granting the City’s Petition (NYSCEF Doc. 19). We have shared the proposed order with counsel of record. We will request at the June 6 appearance that the Court sign the proposed order. Respectfully, Michael Bauscher MHB:tbm cc: All Counsel (via NYSCEF) 11192353.1 Carter Ledyard & Milburn LLP / clm.com