44 DECEMBER 1 - DECEMBER 7, 2017 BROOKLYN MEDIA GROUP
CITY ENVIRONMENTAL
CONTROL BOARD;
NEW YORK CITY
PARKING VIOLATIONS
BUREAU and “JOHN
DOE #1” THROUGH
“JOHN DOE #100”, the
names of the last 100
defendants being fictitious,
the true names
of said defendants being
unknown to plaintiff,
it being intended to
designate fee owners,
tenants or occupants
of the liened premises
and/or persons or parties
having or claiming
an interest in or lien
upon the liened premises,
if the aforesaid
individual defendants
are living, and if any
or all of said individual
defendants be dead,
their heirs at law, next
of kin, distributees, executors,
administrators,
trustees, committees,
devisees, legatees, and
the assignees, lienors,
creditors and successors
in interest of them,
and generally all persons
having or claiming
under, by, through, or
against the said defendants
named as a class,
of any right, title or interest
in or lien upon
the premises described
in the complaint herein,
Defendants. TO THE
ABOVE NAMED DEFENDANTS:
YOU ARE
HEREBY SUMMONED
to answer the complaint
in the above-entitled
foreclosure action, and
to serve a copy of your
answer on plaintiff’s attorney
within thirty (30)
days after the service
of this summons, exclusive
of the day of service
or within thirty (30)
days after completion of
service where service is
made in any other manner
than by personal
service within the State.
The United States of
America, if designated
as a defendant in this
action, may answer or
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. Kings
County is designated
as the place of trial. The
basis of venue is the
location of the subject
premises. Dated: August
31, 2016 TO THE
ABOVE NAMED DEFENDANTS:
The foregoing
summons is served
upon you by publication,
pursuant to an Order
of Honorable Mark
I. Partnow, a Justice
of the Supreme Court,
dated October 16, 2017,
and filed with supporting
papers in the Kings
County Clerk’s Office.
This is an action to foreclose
a tax lien covering
the properties known as
357 Bay Ridge Avenue,
Borough of Brooklyn,
New York and identified
as Block 5863, Lot
57 (the “Tax Parcel”).
The relief sought is the
sale of the Tax Parcel
at public auction in satisfaction
of the tax lien.
In case of your failure to
appear, judgment may
be taken against you in
the sum of $26,600.66,
together with interest,
costs, disbursements
and attorneys’ fees of
this action, and directing
the public sale of the
Tax Parcel. PHILLIPS
LYTLE LLP Anthony J.
Iacchetta Attorney for
Plaintiffs NYCTL 2015-
A Trust and The Bank
of New York Mellon, as
Collateral Agent and
Custodian 28 East Main
Street Suite 1400 Rochester,
New York 14614
Telephone No. (585)
238-2000 aiacchetta@
phillipslytle.com
SUPREME COURT OF
THE STATE OF NEW
YORK COUNTY OF
KINGS SUMMONS
AND NOTICE Index No.
506793/2016 Borough:
Brooklyn Block: 374
Lot: 48 NYCTL 2015-A
TRUST AND THE BANK
OF NEW YORK MELLON,
AS COLLATERAL
AGENT AND CUSTODIAN,
Plaintiffs, v. The
heirs-at-law, next of kin,
distributees, executors,
administrators, assignees,
lienors, creditors,
successors-in-interest
and generally all persons
having or claiming
under, by or through
DOMENICO DIMEGLIO,
by purchase, inheritance,
lien or otherwise
of any right, title or interest
in and to the premises
described in the
complaint herein, and
all creditors thereof, and
the respective wives, or
widows of his, if any, all
of whose names and
addresses are unknown
to plaintiffs; RALPH
DIMEGLIO; NEW YORK
STATE DEPARTMENT
OF TAXATION AND
FINANCE; UNITED
STATES OF AMERICA;
NEW YORK CITY
PARKING VIOLATIONS
BUREAU; NEW YORK
CITY ENVIRONMENTAL
CONTROL BOARD and
“JOHN DOE #1” through
“JOHN DOE #100”, the
names of the last 100
defendants being fictitious,
the true names of
said defendants being
unknown to plaintiff, it
being intended to designate
fee owners, tenants
or occupants of the
liened premises and/or
persons or parties having
or claiming an interest
in or lien upon the
liened premises, if the
aforesaid individual defendants
are living, and
if any or all of said individual
defendants be
dead, their heirs at law,
next of kin, distributees,
executors, administrators,
trustees, committees,
devisees, legatees,
and the assignees,
lienors, creditors and
successors in interest
of them, and generally
all persons having
or claiming under, by,
through, or against the
said defendants named
as a class, of any right,
title or interest in or lien
upon the premises described
in the complaint
herein, Defendants. TO
THE ABOVE NAMED
DEFENDANTS: YOU
ARE HEREBY SUMMONED
to answer the
amended complaint in
the above-entitled foreclosure
action, and to
serve a copy of your
answer on Plaintiffs’ attorney
within thirty (30)
days after the service
of this summons, exclusive
of the day of service
or within thirty (30)
days after completion of
service where service is
made in any other manner
than by personal
service within the State.
The United States of
America, if designated
as a defendant in this
action, may answer or
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 amended complaint.
Kings County is
designated as the place
of trial. The basis of venue
is the location of the
subject premises. Dated:
July 5, 2016 TO THE
ABOVE NAMED DEFENDANTS:
The foregoing
summons is served
upon you by publication,
pursuant to an Order
of Honorable Mark
I. Partnow, a Justice
of the Supreme Court,
dated October 16, 2017,
and filed with supporting
papers in the Kings
County Clerk’s Office.
This is an action to foreclose
a tax lien covering
the property known
as 149 Luquer Street,
Borough of Brooklyn,
New York and identified
as Block 374, Lot
48 (the “Tax Parcel”).
The relief sought is the
sale of the Tax Parcel
at public auction in satisfaction
of the tax lien.
In case of your failure to
appear, judgment may
be taken against you in
the sum of $28,833.30,
together with interest,
costs, disbursements
and attorneys’ fees of
this action, and directing
the public sale of the
Tax Parcel. PHILLIPS
LYTLE LLP Richard J.
Evans, Jr. Attorneys for
Plaintiffs NYCTL 2015-
A Trust and the Bank
of New York Mellon, as
Collateral Agent and
Custodian 28 East Main
Street Suite 1400 Rochester,
New York 14614
Telephone No. (585)
238-2000 revans@phillipslytle.
com
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