Supporting Documentation · Feb 13, 2025
2325 COM Cover Letter re Zinnia Health Objection w Exs
37d5c980694ca7d9a34699a63c80d2d7af2772d092414553aabe468fe77d691eIndexed text · page 35
Show all pagesfinds appropriate and just. FOURTH COUNT ACCOUNT STATED 1. Plaintiff repeats and realleges the allegations set forth in the preceding paragraphs as if same were set forth at length herein. 2. Plaintiff has tendered to Defendants its statement relating to monies owed on account. 3. Plaintiff's statement disclose that there is due from Defendants to Plaintiff Sysco Metro New York, LLC the sum of $78,474.31 upon an account stated between them. 4. Defendants did not dispute the accuracy or correctness of Plaintiff's statements and invoices. 5. Payment of the aforesaid sum has been demanded and has not been made. WHEREFORE, Plaintiff demands judgment against Defendants Zinnia Health, LLC, AW II, LLC doing business as Endeavor House North, LLC and Advanced Health and Education, LLC, jointly, severally or in the alternative for the sum of $78,474.31 plus pre-judgment and post judgment legal interest, costs of suit and for whatever further and other relief the court finds appropriate and just. Law Offices of Joseph A. Molinaro, LLC. Joseph A. Molinaro JOSEPH A. MOLINARO DESIGNATION OF TRIAL COUNSEL Pursuant to Rule 4:25-4, Joseph A. Molinaro, Esq. is hereby designated as trial counsel for the plaintiff in the within matter.BER-L-000272-24 01/16/2024 10:12:07 AM Pg 4 of 5 Trans ID: LCV2024122730
File revisions (1)
- Sep 29, 2026
37d5c980694c1,825,139 bytes