inhu- Ht? Cuum THE Ci OF NEW YU COUNTY OF KINGS: HOUSING PART DECATUR ASS ETS, LLC: Index No.: /2014 Petitioner (Landlord) - ~against? PETITION OLGA ORTIZ and . HOLDOVER JOHN DOE and/or JANE DOE 1357 Decatur Street Petitioner's Address: Apartment 2ND FLOOR AZOULAY WEISS, LLP Brooklyn, NY 11233 - 864 Willis Avenue, Suite 6 Respondent (Tenant) Albertson, NY 11507 First name of Tenant and/or Undertenant being fictious and unknown to Petitioner, Person intended being in possession of the premises herein described. I THE PETITION OF Decatur Assets, LLC alleges the following statements are true upon information and belief: 1. The undersigned' IS the attorney for the Petitioner DECATUR ASSETS, LLC (hereinafter referred to as "the Petitioner"). . 2. Petitioner is the owner and landlord of the premises. 3. Respondent Olga Ortiz (hereinafter referred-to as "the Respondents"), are any individuals in occupancy of the premises, the name DO and being fictious and unknown to . Petitioner. Said respondents are intended to be whosoever is in possession of the premises herein described and the occupant of said premises pursuant to I I I 4. I The term for which said premises were rented by the Respondents expired on SEPTEMBER 30, 2014 pursuant to the annexed Notice of Termination together with an affidavit of service for the same. 5. The premises from which removal is sought was rented for dwelling purposes and are described as follows: 1357 DECATUR STREET, APT. 2ND FLOOR, Brooklyn, NY 11233 situated within the teritorlal jurisdiction of the Civil Court of The City of New York, COUNTY OF KINGS. FLOOR 1424 6. The Respondents continue in possession of the premises without permission of the Landlord, or' of the Petitioner, after the expiration of said term. 7. THE APT IS NOT SUBJECT TO THE NYC EMERGENCY HOUSING RENT LAW OR THE RENT STABILIZATION LAW OF 1969 AS AMENDED, BECAUSE IT BECAME VACANT AFTER JUNE 30,1971 AND IS WITHIN A BUILDING CONTAINING LESS THAN SIX APARTMENTS. The Premises are a multipie dwelling and pursuant to the Administrative Code Article 41 there is currently an effective registration statement on file with the Office of Code Enforcement, which designates the managing agent named below, a natural person over 21 years of age, to be In control of and responsible for the maintenance and operation of the dwelling. MDR No.: 382790 Registered Managing Agent: Alen Paknovsh Address: 172-13 Hillside Avenue, Jamaica, NY 11432 9. The property herein sought to be recovered is the residence of the respondents herein. 10. Except for the premises being sought in. this proceeding, the Petitioner lacks written information . or notice of any address where Respondent resides - is employed has a place of business - has their principal office - in New York State. WHEREFORE, Petitioner requests a final judgment awarding possession of the Premises to Petitioner; the issuance of a warrant to remove Respondent from possession of the Premises; a judgment for fair value of use and occupancy (past future) for Petitioner and against Respondentwith costs and disbursments. Dated: October 28, 2014 Petitioner: DECATUR ASSETS, LLC STATE OF NEW YORK, COUNTY OF NASSAU 88.: The undersigned, affirms under the penalties of perjury, that he is one of the attorneys for the Petitioner; that he has read the foregoing petition and known the contents thereof; that same are true to his own knowledge except as to matters stated to be upon information and belief; and as to those atters??e believes them to be true. The grounds of his belief as to matters not stated upon his statements and/or records provided by the Petitioners, its agents and/or emplo and contained in the file in attorneys office. This verification is made pursuant to section 741 of RPAPL. Dated: October 28, 2014 UOuzy Az y, Esq. Albertson, New York -2ND FLOOR 1424