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 Abadir Barre, Esq.    
 BARRE LAW 
 CALL NOW: (646) 244-8784  
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 info@barrelaw.com  
 Call us today to schedule an appointment! 
   
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 BARRE, ESQ. 
 	
	 
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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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