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LEGAL DIRECTORY
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VIRTUALLY SHOW CAUSE
before the Surrogate’s Court,
Kings County, at 2 Johnson
Street, Brooklyn, New York
11201, on July 14, 2021, at
9:30 o’clock in the fore noon of
that day.
WHY the account of the
proceedings of Catalina
Salazar, as Administrator of
the estate of Erik Salazar,
deceased, should not be
judicially settled, and
WHY the administrator
should not be empowered
to compromise and settle a
certain claim for wrongful death
against Arbella Protection and
Garrison Property & Casualty,
for the sum of $520, 000.00
and to discontinue any claim for
conscious pain and suffering,
and
WHY the provisions in
the Limited Letters of
Administration issued to the
petitioner on 09/14/2019,
refraining the compromise or
collecting upon the aforesaid
claim and cause of action,
should not be modifi ed to
permit said compromise, and
WHY the fi ling of a bond should
not be dispensed with and
WHY the defendant Arbella
Protection Insurance and
Garrison Property & Casualty
Insurance, or defendant’s
insurance company, should
not pay to Abrams & Verri,
Esqs., out of the proceeds of
the settlement for the claim
of wrongful death, the sum
of $173,316.00 as and for
attorney’s fees, together with
disbursement in the sum of
$228.24, and
WHY the entire recovery of
$520,000.00 should not be
allocated to the cause of action
for decedent’s wrongful death,
and
WHY the balance of the
settlement, to wit the sum of
$299.071.44, should not be
distributed to those distributees
having sustained a pecuniary
loss as follows:
0% of the balance to Audencio
Gutierrez alleged father of
decedent, being disqualifi ed on
the grounds of abandonment;
and
100% of the balance to Catalina
Salazar, mother of decedent in
the amount of $299,071.44; and
WHY the claim of Manuel E.
Mirasol, Esq. in the amount of
$3,000.00 should not be paid in
full satisfaction of its lien; and
WHY the claim of Nationwide
Insurance in the amount of
$44,384.32 should not be paid
in full satisfaction of its Worker’s
Compensation lien; and
WHY upon payments as
hereinbefore mentioned the
said administrator should not
be permitted to execute and
deliver general releases and
all other necessary papers
to the defendant, Arbella
Protection Insurance and
Garrison Protection Insurance
or defendant’s insurance
company, releasing them from
all claims against them arising
out of the aforesaid action for
wrongful death, together with
any other papers necessary to
effectuate the said compromise.
THIS IS VIRTUAL COURT
APPEARANCE DATE. YOU
ARE NOT PERMITTED TO
APPEAR IN PERSON. This
citation is served upon you as
required by law. No response is
required if you consent to the
petition. If you, or your attorney,
choose to fi le objections, they
must be verifi ed and fi led using
the New York State Courts
Electronic Filing (NYSCEF)
system and accompanied by the
appropriate fi ling fees, except
that unrepresented parties
may fi le certifi ed objections
by mailing to the Court along
with the appropriate fi ling fees.
Verifi ed objections must be
fi led on or before the return
date listed above. If you are not
sure you want to consent, or
fi le formal verifi ed objections to
this petition, you must email the
court at KingSurrLopezTorres@
NYCourts.gov no later than the
return date listed above. Upon
timely receipt of your email,
the Court will contact you with
further information. Failure
to response by email or fi le
verifi ed objections will result in
an assumption that you do not
opposed the Court granting
the relief in this matter and no
further notice will be given to
you.
Dated, Attested, and Sealed
HON. Margarita Lopez Torres
May 27, 2021
Surrogate
Dorren A. Quin
Chief Clerk
Petitioner or Attorney for
Petitioner: Manuel E. Mirasol,
Esq.
Address: 5 Penn Plaza 23 Floor
New York New York 10001
Telephone Number: 347-669-3232
Email: mlaw370@gmail.com
LEGAL NOTICE
LEGAL NOTICE
WRONGFUL DEATH CITATION
File No. 2017-4185/B
SURROGATE’S COURT–
KINGS COUNTY
CITATION
THE PEOPLE OF THE STATE
OF NEW YORK
TO:
Audencio Gutierrez; Workers
Compensation; Medicare;
Medicaid
and to Audencio Gutierrez as
distribute of past deceased
Erik Salazar and any and all
unknown persons whose names
or parts of whose names, and
whose places of residence
are unknown and cannot after
diligent inquiry, be ascertained,
and those persons who may
be necessary and proper
parties to this proceeding,
being persons interested as
creditors, legatees, devisees,
benefi ciaries , distributes, or
otherwise of the estate of Erik
Salazar, deceased, who at
the time of death resided at
665 Bushwick Avenue Apt. 4R
Brooklyn, New York 11221.
A petition having been duly
fi led by Catalina Salazar, who
is domiciled at 665 Bushwick
Avenue Apt. 4R Brooklyn, New
York 11221.
YOU ARE HEREBY CITED TO
/NYCourts.gov
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