36 APRIL 13 - APRIL 19, 2018 BROOKLYN MEDIA GROUP
Supplemental Summons
and Notice of
Object of Action Supreme
Court of the
State Of New York
County Of Kings Action
to Foreclose a
Mortgage Index#:
505872/2016 Federal
National Mortgage
Association (“Fannie
Mae”), A Corporation
Organized And Existing
Under The Laws
Of The United States
Of America, Plaintiff
vs Jennifer Bailey
Jackson Aka Jennifer
Bailey-Jackson If
Living, And If He/She
Be Dead, Any And All
Persons Unknown To
Plaintiff, Claiming, Or
Who May Claim To
Have An Interest In,
Or General Or Specific
Lien Upon The Real
Property Described In
This Action; Such Unknown
Persons Being
Herein Generally Described
And Intended
To Be Included In Wife,
Widow, Husband, Widower,
Heirs At Law,
Next Of Kin, Descendants,
Executors, Administrators,
Devisees,
Legatees, Creditors,
Trustees, Committees,
Lienors, And Assignees
Of Such Deceased,
Any And All Persons
Deriving Interest In
Or Lien Upon, Or Title
To Said Real Property
By, Through Or Under
Them, Or Either Of
Them, And Their Respective
Wives, Widows,
Husbands, Widowers,
Heirs At Law,
Next Of Kin, Descendants,
Executors, Administrators,
Devisees,
Legatees, Creditors,
Trustees, Committees,
Lienors, And Assigns,
All Of Whom And
Whose Names, Except
As Stated, Are Unknown
To Plaintiff, Asset
Acceptance LLC,
University Of Pennsylvania,
New York State
Department Of Taxation
And Finance, New
York City Parking Violations
Bureau, New
York City Transit Adjudication
Bureau, New
York City Environmental
Control Board, Beneficial
New York Inc.,
People Of The State
Of New York, United
States Of America
Acting Through The
IRS, John Doe (being
fictitious, the names
unknown to Plaintiff intended
to be tenants,
occupants, persons
or corporations having
or claiming an interest
in or lien upon the
property described in
the complaint or their
heirs at law, distributees,
executors, administrators,
trustees,
guardians, assignees,
creditors or successors.),
Defendant(s)
Mortgaged Premises:
9303 Avenue K Brooklyn,
NY 11236 BL #:
8220-107 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 Supplemental
Summons,
to serve a notice of
appearance, on the
Plaintiff(s) attorney(s)
within twenty days after
the service of this
Supplemental Summons,
exclusive of
the day of service (or
within 30 days after
the service is complete
if this Supplemental
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
Complaint. The Attorney
for Plaintiff has an
office for business in
the County of Erie. Trial
to be held in the County
of Kings. The basis
of the venue designated
above is the location
of the Mortgaged
Premises. TO Jennifer
Bailey Jackson AKA
Jennifer Bailey-Jackson
Defendant In this
Action. The foregoing
Supplemental Summons
is served upon
you by publication,
pursuant to an order of
HON. Mark I. Partnow
of the Supreme Court
Of The State Of New
York, dated the Twenty
Sixth day of February,
2018 and filed with
the Complaint in the
Office of the Clerk of
the County of Kings,
in the City of Brooklyn.
The object of this
action is to foreclose
a mortgage upon the
premises described
below, dated July 5,
2007 executed by Jennifer
Bailey Jackson
AKA Jennifer Bailey-
Jackson to secure
the sum of $82,015.73
and recorded at CRFN
2007000495106 in the
Office of the City Register
of the City of New
York, Kings County on
September 27, 2007.
Said mortgage was
consolidated with the
mortgage referred to at
CRFN: 2006000232177
by a Consolidation,
Extension and Modification
Agreement
executed by Jennifer
Bailey Jackson AKA
Jennifer Bailey-Jackson
dated July 5, 2007
and recorded September
27, 2007 at CRFN
2007000495107 in
the Office of the City
Register of the City
of New York, Kings
County to form a single
lien in the amount
of $309,000.00. The
mortgage was subsequently
modified on
March 28, 2014. The
consolidated mortgage
was subsequently
assigned by an assignment
executed
October 21, 2014 and
recorded on October
29, 2014, in the Office
of the City Register of
the City of New York,
Kings County at CRFN
2014000361140. The
property in question
is described as follows:
9303 AVENUE
K, BROOKLYN, NY
11236 NOTICE YOU
ARE IN DANGER OF
LOSING YOUR HOME
If you do not respond
to this summons and
complaint by serving
a copy of the answer
on the attorney for the
mortgage company
who filed this foreclosure
proceeding
against you and filing
the answer with the
court, a default judgment
may be entered
and you can lose your
home. Speak to an
attorney or go to the
court where your case
is pending for further
information on how to
answer the summons
and protect your property.
Sending a payment
to your mortgage
company will not stop
this foreclosure action.
YOU MUST RESPOND
BY SERVING A COPY
OF THE ANSWER
ON THE ATTORNEY
FOR THE PLAINTIFF
(MORTGAGE
COMPANY) AND FILING
THE ANSWER
WITH THE COURT.
DATED: March 8,
2018 Gross Polowy,
LLC Attorney(s) For
Plaintiff(s) 1775 Wehrle
Drive, Suite 100 Williamsville,
NY 14221
The law firm of Gross
Polowy, LLC and the
attorneys whom it employs
are debt collectors
who are attempting
to collect a debt.
Any information obtained
by them will be
used for that purpose.
52600-1
Ghidrah Music LLC Articles
of Org. filed with
the NY Sec. of State
(SSNY) March 1st,
2018. Office in Kings
Co. SSNY design
agent of LLC upon
whom process may
be served. SSNY shall
mail copy of process
to 1063 Bushwick Avenue
Ap 2 - Brooklyn,
NY 11221. Purpose:
Entertainment
NOTICE OF SALE
SUPREME COURT
COUNTY OF KINGS
JPMorgan Chase
Bank, National Association,
Plaintiff
AGAINST Carrie B.
Hay a/k/a Carrie Hay;
Marcia Hibbert; et al.,
Defendant(s) Pursuant
to a Judgment of
Foreclosure and Sale
duly dated March 09,
2016 I, the undersigned
Referee will
sell at public auction
at the Kings County
Supreme Court, 360
Adams Street, Room
224, Brooklyn, NY
11201 on May 17, 2018
at 2:30PM, premises
known as 1564 East 57
Street, Brooklyn, NY
11234. All that certain
plot piece or parcel of
land, with the buildings
and improvements
erected, situate,
lying and being in the
Borough of Brooklyn,
County of Kings, City
and State of NY, Block:
8377 Lot: 67. Approximate
amount of judgment
$493,075.24 plus
interest and costs.
Premises will be sold
subject to provisions
of filed Judgment Index#
17447/2012. Cary
H. Kaplan, Esq., Referee
Shapiro, DiCaro &
Barak, LLC Attorney(s)
for the Plaintiff 175
Mile Crossing Boulevard
Rochester, New
York 14624 (877) 759-
1835 Dated: March 12,
2018 For sale information,
please visit www.
Auction.com or call
(800) 280-2832 52296
NOTICE OF SALE
SUPREME COURT
KINGS COUNTY JPMorgan
Chase Bank,
National Association,
Plaintiff against Donavan
Denny, et al
Defendants Attorney
(s) for Plaintiff (s) Fein,
Such & Crane, LLP
28 East Main Street,
Suite 1800, Rochester,
NY 14614 Attorney (s)
for Plaintiff (s). Pursuant
to a Judgment of
Foreclosure and Sale
Entered February 6th,
2018 I will sell at Public
Auction to the highest
bidder at the Room
224 of Kings County
Supreme Court, 360
Adams Street, Brooklyn,
NY 11201 on May
17th, 2018 at 2:30 p.m.
Premises known as 60
Lott Avenue, Brooklyn,
NY 11212. Sec N/A
Block 3621 Lot 38. All
that certain Plot, Piece
or Parcel of Land, with
the buildings and improvements
thereon
erected, situate, lying
and being in the
Borough of Brooklyn,
County of Kings, City
and State of New York
Approximate Amount
of Judgment is
$729,022.21 plus interest
and costs. Premises
will be sold subject
to provisions of filed
Judgment Index No
23511-06. Gregory T.
Cerchione, Esq., Referee
SUPREME COURT
OF THE STATE OF
NEW YORK COUNTY
OF KINGS SUPPLEMENTAL
SUMMONS
AND NOTICE Index
No. 521304/2016 Date
Filed: 3/21/2018 JPMorgan
Chase Bank,
National Association,
Plaintiff, -against- Mohammed
Ullah a/k/a
Mohammed I. Ullah;
Capital One Bank;
Norman Harrison, if he
be living or dead, his
spouse, heirs, devisees,
distributees and
successors in interest,
all of whom and whose
names and places of
residence are unknown
to Plaintiff; Secretary
of the U.S. Department
of Housing and Urban
Development; City of
New York Environmental
Control Board; City
of New York Parking
Violations Bureau; City
of New York Transit
Adjudication Bureau;
State of New York;
and “JOHN DOE”, said
name being fictitious,
it being the intention of
Plaintiff to designate
any and all occupants
of premises being foreclosed
herein, and any
parties, corporations
or entities, if any, having
or claiming an interest
or lien upon the
mortgaged premises,
Defendants. PROPERTY
ADDRESS: 69
Crystal Street, Brooklyn,
NY 11208 TO THE
ABOVE NAMED DEFENDANTS:
YOU ARE
HEREBY SUMMONED
to answer the complaint
in this action and
to serve a copy of your
answer, or a notice of
appearance on the attorneys
for the Plaintiff
within thirty (30) days
after the service of this
summons, exclusive
of the day of service.
The United States of
America, if designated
as a defendant in this
action, may appear
within sixty (60) days
of service hereof. In
case of your failure
to appear or answer,
judgment will be taken
against you by default
for the relief demanded
in the complaint. TO
THE ABOVE NAMED
DEFENDANTS: The
foregoing Summons
is served upon you
by publication pursuant
to an Order of the
Hon. Mark Partnow,
a Justice of the Supreme
Court, Kings
County, entered Feb.
26, 2018 and filed with
the complaint and other
papers in the Kings
County Clerk’s Office.
NOTICE OF NATURE
OF ACTION AND RELIEF
SOUGHT THE
OBJECT of the above
captioned action is to
foreclose a Consolidation
and/or Modified
Mortgage (hereinafter
“the Mortgage”) to secure
$244,869.14 and
interest, recorded in
the Kings County Office
of the City Register
on March 11, 2016, in
CRFN 2016000087129
covering premises
known as 69 Crystal
street, Brooklyn,
NY 11208 a/k/a Block
4192, Lot 14. 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. Plaintiff
designates Kings
County as the place
of trial. Venue is based
upon the County in
which the mortgaged
premises is situated.
NOTICE YOU ARE IN
DANGER OF LOSING
YOUR HOME IF YOU
DO NOT RESPOND
TO THIS SUMMONS
AND COMPLAINT BY
SERVING A COPY OF
THE ANSWER ON THE
ATTORNEY FOR THE
MORTGAGE COMPANY
WHO FILED THIS
FORECLOSURE PROCEEDING
AGAINST
YOU AND FILING THE
ANSWER WITH THE
COURT, A DEFAULT
JUDGMENT MAY BE
ENTERED AND YOU
CAN LOSE YOUR
HOME. SPEAK TO AN
ATTORNEY OR GO TO
THE COURT WHERE
YOUR CASE IS PENDING
FOR FURTHER
INFORMATION ON
HOW TO ANSWER
THE SUMMONS AND
PROTECT YOUR
PROPERTY. SENDING
A PAYMENT TO
YOUR MORTGAGE
COMPANY WILL NOT
STOP THIS FORECLOSURE
ACTION.
YOU MUST RESPOND
BY SERVING A COPY
OF THE ANSWER
ON THE ATTORNEY
FOR THE PLAINTIFF
(MORTGAGE COMPANY)
AND FILING THE
ANSWER WITH THE
COURT. Dated: March
10, 2017 Frank M.
Cassara, Esq. Senior
Associate Attorney
SHAPIRO, DICARO &
BARAK, LLC Attorneys
for Plaintiff 175 Mile
Crossing Boulevard
Rochester, New York
14624 (585) 247-9000
Fax: (585) 247-7380
Our File No. 13-026468
#94508
/www.theworldsfare.nyc
/www.theworldsfare.nyc
link
/www.Auction.com
/www.Auction.com