SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK STEVEN CROMAN, Plaintiff, INDEX NO.: 6S2677/2019 --- against -- AFFIDAVIT OF ABU SUFIAN AHMED ABU SUFIAN AHMED, MOHAMMED A. HAZIM, MOKLIS ALI, 100 2°d AVE REALTY INC., and 100 SECOND AVENUE ASSOCIATES, Defendants. STATE OF NEW YORK ) ) ss: COUNTY OF NEW YORK ) BEFORE ME, the undersigned authority, being duly authorized to acknowledgments and administer oaths, personally appeared Abu Sufian Ahmed, who being duly sworn, deposes and states as follows: 1. 1, Abu Sufian Ahmed, affiant, do solemnly, sincealy, and truthfully make thi Affidavit upon my personal knowledge and state that the facts set forth herein are true correct. 2. I am over the age of eighteen years, suffer from no legal incapacity, and I am otherwise sui juris. 3. I am a Defendant in the above-referenced matter, and I am fully familiar wit facts and circumstances set forth herein, unless stated otherwise. 4. I submit this affidavit in support of Defendants' Order to Show Cause to Can Plaintiff s Notice of'Pendency. FILED: NEW YORK COUNTY CLERK 07/08/2019 04:30 PM INDEX NO. 652677/2019 NYSCEF DOC. NO. 9 RECEIVED NYSCEF: 07/08/2019 1 of 3
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2019 04:30 PM - Stop Croman CoalitionSUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK STEVEN CROMAN, Plaintiff, INDEX NO.: 6S2677/2019--- against --AFFIDAVIT OF ABU SUFIANAHMED
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SUPREME COURT OF THE STATE OF NEW YORKCOUNTY OF NEW YORK
STEVEN CROMAN,
Plaintiff, INDEX NO.: 6S2677/2019
--- against -- AFFIDAVIT OF ABU SUFIAN
AHMEDABU SUFIAN AHMED, MOHAMMED A.
HAZIM, MOKLIS ALI, 100 2°d AVE REALTY
INC., and 100 SECOND AVENUEASSOCIATES,
Defendants.
STATE OF NEW YORK )
) ss:
COUNTY OF NEW YORK )
BEFORE ME, the undersigned authority, being duly authorized to take
acknowledgments and administer oaths, personally appeared Abu Sufian Ahmed, who after
being duly sworn, deposes and states as follows:
1. 1, Abu Sufian Ahmed, affiant, do solemnly, sincealy, and truthfully make this
Affidavit upon my personal knowledge and state that the facts set forth herein are true and
correct.
2. I am over the age of eighteen years, suffer from no legal incapacity, and I am
otherwise sui juris.
3. I am a Defendant in the above-referenced matter, and I am fully familiar with the
facts and circumstances set forth herein, unless stated otherwise.
4. I submit this affidavit in support ofDefendants'
Order to Show Cause to Cancel
Plaintiff s Notice of'Pendency.
FILED: NEW YORK COUNTY CLERK 07/08/2019 04:30 PM INDEX NO. 652677/2019
NYSCEF DOC. NO. 9 RECEIVED NYSCEF: 07/08/2019
1 of 3
5. As the Court is aware, Plaintiff filed a Complaint on May 6, 2019. A copy of the
Complaint is annexed to the Affirmation of Amanda Chiamllo ("Chiarello Aff.") at Exhibit"A."
Plaintiff also filed a Notice of Pendency on May 7, 2019. A copy of the Notice of Pendency is
annexed to Chiarello Aff. at Exhibit"B."
6. Plaintiff has no legal basis to file a Notice of Pendency in this action.
7. The Plaintiff s filed papers are an attempt to harass Defendants and tortiously
interfere with Def endants contract with a third-party.
8. Plaintiff does not have the title to, or the possession, use or enjoyment of, 100
Second Avenue, New York, New York ("the Property").
9. The alleged written "Right of FirstOffer"
contract pmvided by the Plaintiff was
not entered into between the Plaintiff and Defendants. While the parties did prepare the "Right of
FirstOffer"
contract, it remained unsigned, uninitialed, and unstruck. A copy of that document
is annexed to the Chiarello Aff. at Exhibit "C"
In fact, I have no knowledge of signing a "Right
of FirstOffer"
contract, and the alleged initials and signature in Plaintiff's version of the
document do not appear to be my initials and signature, and further, the document is also not
notarized.
10. Irrespective, approximately three to four weeks prior to entering into a contract
with a third-party for the sale of the Property, I appmached Plaintiff to seek his interest in
purchasing the Property. 1 met with Plaintiff at a restaurant known as Haveli Banjara, located at
100 2*]Avenue, New York, NY 10003.
11. At this meeting, I verbally communicated with Plaintiff that the Defendants were
planning on selling the Paperty.
12. Plaintiff responded that he would be willing to buy the Property, but for an
FILED: NEW YORK COUNTY CLERK 07/08/2019 04:30 PM INDEX NO. 652677/2019
NYSCEF DOC. NO. 9 RECEIVED NYSCEF: 07/08/2019
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amount significantly less than what Defendants were seeking.