Preview
INDEX NO. 151316/2014
(FILED: NEWYORK COUNTY CLERK 0271372014)
NYSCEF DOC. NO}; 1 RECEIVED NYSCEF: 02/13/2014
SUPREME COURT OF THE STATE OF NEW YORK Date purchased and Filed:
COUNTY OF NEW YORK
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Plaintiff designates
IHESS CORPORATION, New York County as the
place of trial
The basis of the venue is
Plaintiff, Defencant’s Residence
-against- SUMMONS
B40 RIVERSIDE DRIVE CORP., Plaintiff resides at
1 Hess Plaza
Woodbridge, NJ 07095
Defendant. County of Middlesex
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To the above named Defendant:
You are hereby summoned to answer the complaint in this action and to
serve a copy of your answer, or, if the complaint is not served with this summons, to
serve a notice of appearance, on the Plaintiff's Attorney(s) within twenty (20) days after
the service of this summons, exclusive of the day of service (or within thirty (30) days
after the service is complete if this summons is not personally delivered to you within the State of
New York); and in case of your failure to appear or answer, jud ent will be taken
against you by default for the relief d complaint
‘Dated: November 29, 2013
RAYMOND A, FLECK, JR.
FUECK, PLECK & PLECK
Defendant's address: torney(s) for Plaintiff
840 Riverside Drive 1P05 Franklin Avenue Suite 300
New York, NY 10025 arden City, NY 11530
16) 248-1080
26736 302262(2013-01487)
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF NEW YORK
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HESS CORPORATION,
Plaintiff, VERIFIED COMPLAINT
-against-
340 RIVERSIDE DRIVE CORP., Index No.
Date Purchased and
Filed:
Defendant.
Plaintiff, by their attorneys, Fleck, Fleck & Fleck, complaining of the
defendant alleges upon information and belief:
1. Plaintiff is a foreign corporation organized and existing pursuant to the
‘laws of the State of Delaware and is authorized to do business in the State of New
York.
2, That defendant, 340 Riverside Drive Corp., is a domestic corporation
‘with a principal place of business at 340 Riverside Drive New York, NY 10025.
3. That the defendant, 340 Riverside Drive Corp., owes plaintiff the sum of Seventy
Three Thousand One Hundred Three and 92/100 Dollars ($73,103.92) for fuel oil sold and
delivered and accepted by, defendant between various dates and May 1, 2013 at a location
iowned by defendant and known as 340 Riverside Drive New York, NY.
4, That the defendant, 340 Riverside Drive Corp., maintained an account with the
Iplaintiff and invoices for fuel oil sold were sent to defendant and were not objected to by
defendant. That payments were made on said account by defendant between various
dates and April 22, 2013. The last payment received was on or about April 22, 2013. That
there is now a balance due and owing on the account in the sum of Seventy Three
Thousand One Hundred Three and 92/100 Dollars ($73,103.92). That the amount of
Beventy Three Thousand One Hundred Three and 92/100 Dollars ($73,103.92) was agreed
to by the defendant.
WHEREFORE, plaintiff demands judgment against defendant in the sum Seventy
Three Thousand One Hundred Three and 92/100 Dollars ($73,103.92) with interest from
May 31, 2013 together with the costs and disbursemey his actign.
DATED: Garden City, New York .YMOND A. - Re
November 29, 2013 F LECK, FLECK & FLECK
Attorneys for plaintiff
1205 Franklin Avenue Ste. 300
Garden City, NY 11530
(616) 248-1080
ATTORNEY'S VERIFICATION
STATE OF NEW YORK )
COUNTY OF NASSAU )ss:
The undersigned, an attorney admitted to practice in the Courts of New York
State, shows; that deponent is a member of the firm of FLECK, FLECK & FLECK, the
attorneys of record for the plaintiff in the within action; that deponent has read the
foregoing Verified Complaint and knows the contents thereof; that the same is true to
deponent's own knowledge, except as to the matters therein stated to be alleged upon
information and belief, and that as to those matters deponent believes it be true,
Deponent further says that the reason this verification is made by deponent and not by
Plaintiff is that the plaintiff does not reside within the county wherein deponent has his
office.
The grounds of deponent's belief as to all matters not stated upon deponent's
knowledge are as follows: Investigations which his office has caused to be made and
reports thereon and communications had with the said plaintiff in this action.
The undersigned affirms that the foregoing statements are true, under the penalties
of perjury.
DATED: Garden City, New York
November 29, 2013
YMOND A. FLECK, JR.
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