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20 Matthew Anglin V Matthew Anglin NOTICE of MOTION 21

Plaintiff Matthew Anglin filed a motion in Albany County Supreme Court seeking an order to compel Defendants Our Lady of the Assumption Roman Catholic Church and Roman Catholic Diocese of Albany to respond to Plaintiff's discovery requests. The motion was filed pursuant to the Child Victims Act.

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0% found this document useful (0 votes)
141 views2 pages

20 Matthew Anglin V Matthew Anglin NOTICE of MOTION 21

Plaintiff Matthew Anglin filed a motion in Albany County Supreme Court seeking an order to compel Defendants Our Lady of the Assumption Roman Catholic Church and Roman Catholic Diocese of Albany to respond to Plaintiff's discovery requests. The motion was filed pursuant to the Child Victims Act.

Uploaded by

Mona Singh
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
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FILED: ALBANY COUNTY CLERK 03/16/2021 06:22 PM INDEX NO.

900142-20
NYSCEF DOC. NO. 21 RECEIVED NYSCEF: 03/16/2021

SUPREME COURT OF THE STATE OF NEW YORK


COUNTY OF ALBANY
X
MATTHEW ANGLIN, Index No. 900142-20

Plaintiff,

NOTICE OF MOTION
-agamst-

OUR LADY OF THE ASSUMPTION ROMAN


CATHOLIC CHURCH, ROMAN CATHOLIC DIOCESE
OF ALBANY, AND JAMES C. MCNERNEY,

Defendants.
X

Upon the affirmation of Elizabeth A. Cate, Esq. dated March 16, 2021, and the exhibits

annexed hereto, and all prior pleadings and proceedings, Plaintiff MATTHEW ANGLIN will

move this court, located at Supreme Court of the State ofNew York, for the County of Albany, at

the Albany County Courthouse, 16 Eagle Street, Room 102, Albany, New York, 12207, on the 6th

day of April, 2021, at 9:30 a.m. for an Order:

a. Compelling Defendants OUR LADY OF THE ASSUMPTION ROMAN CATHOLIC

CHURCH and ROMAN CAHOLIC DIOCESE OF ALBANY to respond to Plaintiff's

Notice to Produce and Plaintiff's First Set of Interrogatories.

b. For such other, further and different relief as this Court may deem just, proper and

equitable.

The above-entitled action is filed pürsüant to the Child Victims Act. An affinnation that a

good faith effort has been made to resolve the issues raised in this motion is annexed hereto.

Filed in Albany County Clerk's Office 03/16/2021 06:22:34 PM 1 of 2 Index # 900142-20 Clerk: KT
FILED: ALBANY COUNTY CLERK 03/16/2021 06:22 PM INDEX NO. 900142-20
NYSCEF DOC. NO. 21 RECEIVED NYSCEF: 03/16/2021

Pursuant to CPLR 2214(b), answering affidavits, if any, are required to be served upon the

undersigned at least seven days before the return date of this motion.

Dated: March 16, 2021

Elizabeth A. Cate, Esq.


THE ZALKIN LAW FIRM, P.C.
10 Times Square
1441 Broadway, Suite 3147
New York City, NY 10018
10590 W. Ocean Air Drive, Ste 125
San Diego CA 92130
Telephone: (858) 259-3011
Facsimile: (858) 259-3015
Email: [email protected]

Attorney for Plaintiff MATTHEW ANGLIN

TO:

TOBIN AND DEMPF, LLP

Michael L. Costello, Esq.

Attorneys for Defendants OUR LADY OF THE ASSUMPTION


ROMAN CATHOLIC CHURCH and ROMAN CATHOLIC
DIOCESE OF ALBANY
481
515 Broadway, Floor

Albany, NY 12207

T: (518) 463-1177

[email protected]

Of Counsel

PHELAN PHELAN & DANEK LLP

Marie Flynn Danek, Esq.

300 Great Oaks Blvd.

Albany, NY 12203

[email protected]

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