Details for Trombley

SUPREME COURT OF THE
STATE OF NEW YORK
COUNTY OF
WASHINGTON
REVERSE MORTGAGE
SOLUTIONS INC.,
vs.

Plaintiff,

LINDA J. WILBUR AS HEIR
TO THE ESTATE OF RICHARD
TROMBLEY A/K/A RICHARD
TROMBLAY A/K/A RICHARD
CHARLES
TROMBLEY,
SR.;
LISA CATONE A/K/A LISA
M. TROMBLEY AS HEIR TO
THE ESTATE OF RICHARD
TROMBLEY A/K/A RICHARD
TROMBLAY A/K/A RICHARD
CHARLES
TROMBLEY,
SR.;
RICHARD C. TROMBLEY, JR.
AS HEIR TO THE ESTATE OF
RICHARD TROMBLEY A/K/A
ROCHARD TROMBLAY A/K/A
RICHARD CHARLES TROMBLEY,
SR.; TIMOTHY M. TROBLEY
AS HEIR TO THE ESTATE OF
RICHARD TROMBLEY A/K/A
RICHARD TROMBLAY A/K/A
RICHARD CHARLES TROMBLEY,
SR.; HEIDI A. GEROUX AS HEIR
TO THE ESTATE OF RICHARD
TROMBLEY A/K/A RICHARD
TROMBLAY A/K/A RICHARD
CHARLES
TROMBLEY,
SR.;
UNKNOWN HEIRS OF THE
ESTATE OF RICHARD TROMBLEY
A/K/A RICHARD TROMBLAY
A/K/A
RICHARD
CHARLES
TROMBLEY, SR.; 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 the following
designation, namely: the 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; SECRETARY
OF HOUSING AND URBAN
DEVELOPMENT;
BARCLAYS
AMERICAN/ RETAIL SERVICES,
INC.;
NEW
YORK
STATE
DEPARTMENT OF TAXATION AND
FINANCE; UNITED STATES OF
AMERICA, INTERNAL REVENUE
SERVICES; THE PEOPLE OF THE
STATE OF NEW YORK,
Defendants.

_____________________
INDEX NO. 25609/2016

RECORDED ON DECEMBER 10,
2007, AT LIBER 2482 PAGE 54,
OF THE PUBLIC RECORDS OF
WASHINGTON COUNTY, NEW
YORK, COVERING PREMISES
KNOWN AS 5015 STATE ROUTE
40 ARGYLE, NY 12809.
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.
WASHINGTON County
is designated as the place of
trial because the real property
affected by this action is located
in said county.

Plaintiff designates
WASHINGTON as the place of
trial situs of the real property

NOTICE
YOU ARE IN DANGER OF
LOSING YOUR HOME

SECOND
SUPPLEMENTAL SUMMONS

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.

Mortgaged Premises:
5015 STATE ROUTE 40
ARGYLE, NY 12809
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,
if the complaint is not served with
this summons, to serve a notice
of appearance on the Plaintiff’s
Attorney within 20 days after the
service of this summons, exclusive
of the day of service (or within 30
days after the service is complete
if this summons is not personally
delivered to you within the State of
New York) in the event the United
States of America is made a party
defendant, the time to answer for
the said United States of America
shall not expire until (60) days after
service of the Summons; and in
case of your failure to appear or
answer, judgment will be taken
against you by default for the relief
demanded in the complaint.
NOTICE OF NATURE OF
ACTION AND RELIEF SOUGHT
THE OBJECT OF THE
ABOVE CAPTION ACTION IS
TO FORECLOSE A MORTGAGE
TO SECURE THE SUM OF
$187,500.00 AND INTEREST,

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 the
mortgage company will not
stop the 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: __________________, 2019
RAS BORISKIN, LLC
Attorney for Plaintiff
BY: ___________________
Matthew Ingber, Esq.
900 Merchants
Concourse, Suite 310
Westbury, NY 11590
516-280-7675

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