Charly Acquisitions, Ltd v. 43 North Broadway, LLC

CourtDistrict Court, S.D. New York
DecidedDecember 30, 2024
Docket7:23-cv-09851
StatusUnknown

This text of Charly Acquisitions, Ltd v. 43 North Broadway, LLC (Charly Acquisitions, Ltd v. 43 North Broadway, LLC) is published on Counsel Stack Legal Research, covering District Court, S.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Charly Acquisitions, Ltd v. 43 North Broadway, LLC, (S.D.N.Y. 2024).

Opinion

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK -------------------------------------------------------------X CHARLY ACQUISITIONS, LTD. and CHARLY TRADEMARKS, LTD.,

Plaintiffs, DECISION AND ORDER

-against- 23 Civ. 9851 (KMK) (AEK)

43 NORTH BROADWAY, LLC, THOMAS FICARA, MARGATE ENTERTAINMENT LLC, and DOES 1-20,

Defendants. -------------------------------------------------------------X THE HONORABLE ANDREW E. KRAUSE, U.S.M.J. Currently before the Court is the motion of Defendant 43 North Broadway, LLC (“43 North”) to use alternative means to effect service of its crossclaims on Defendants Thomas Ficara (“Ficara”) and Margate Entertainment LLC (“Margate”) (collectively, the “Crossclaim Defendants”), and for an extension of time of the deadline to complete service of the crossclaims. ECF No. 68 (“Mot.”). After the motion was filed, 43 North also moved for permission to serve discovery requests on the Crossclaim Defendants by the same alternative means. ECF No. 76. Both motions are unopposed. For the reasons that follow, the motions are GRANTED, with the particular limitations set forth below. BACKGROUND On November 7, 2023, Plaintiffs Charly Acquisitions, Ltd. and Charly Trademarks, Ltd. (collectively, “Charly”) commenced this action against 43 North, and on July 11, 2024, filed a first amended complaint, which added Ficara and Margate as new defendants in the action. ECF No. 51. On July 25, 2024, 43 North filed an answer to the first amended complaint which included crossclaims against Ficara and Margate. ECF No. 56. Summonses for the crossclaims were issued for Ficara and Margate on October 9, 2024. ECF Nos. 66, 67. A. 43 North’s Attempts to Personally Serve Ficara On October 17, 2024, a process server employed by 43 North attempted personal service

on Ficara at 21900 Neuralia Road, California City, CA 93505, a residential address where, according to 43 North, Ficara previously had been served by Charly. Mot. at 2 & Ex. 2; see ECF No. 58. The process server “spoke to Alan Doe who advised that [Ficara] has not lived at this location and his current whereabouts are unknown.” Id. Ex. 2. According to 43 North, the process server was able to identify “Alan Doe,” from a photograph found on Margate’s website, as Alan S. Rosenberg. Mot. at 2 & n. 1. Rosenberg is the individual who accepted service of the first amended complaint on Ficara’s behalf at 21900 Neuralia Road on August 27, 2024. Id. at 2 & n.1, Ex. 1; see ECF No. 58. The process server subsequently made two additional attempts at personal service on Ficara at the 21900 Neuralia Road address. Id. at 2 & Ex. 3. On November 8, 2024, the process

server went to the residence and spoke with John “Doe,” who refused to provide his last name; John “Doe” stated that Ficara no longer resided at that address, but told the process server that Ficara “still keeps his car on the property and gets mail” there. Id. Ex. 3. On November 13, 2024, the process server made a final attempt at service at 21900 Neuralia Road, but this time, “there was no answer, sound or movement inside the residence,” and there were “no new vehicles on the property.” Id. In October and November 2024, 43 North asserts that it also had the process server make several attempts at personal service on Ficara at what 43 North describes as “an alternative address for Ficara in Margate’s Articles of Organization”—9031 California City Boulevard, California City, CA 93505.1 Id. at 2-3 & Exs. 4, 5. On October 19, 2024, the process server went to the address, but there was no answer at the door. Id. at 2 & Ex. 4. The lights in the home were off but there was a dog in the yard and a vehicle in the driveway. Id. Ex. 4. On October 21, 2024, the process server made two attempts at service. At 2:35 p.m. that day, the

process server spoke to the occupant of the property, Katie “Doe,” who refused to provide her last name; Katie “Doe” stated that “the defendant lives around the corner,” but did not provide an exact address. Id. At 4:40 p.m. that day, the process server “attempted to obtain the subject’s new address but no one answered the door.”2 Id. On November 8, 2024, the process server again attempted service on Ficara at the 9031 California City Boulevard address. Id. Ex. 5. There was no answer at the home, and there was a lock on the gate to the yard and front door, but there was a white truck in the driveway. Id. On November 9, 2024, the process server returned, and again, there was no answer at the door or sound inside the home—“no change from previous attempt.” Id. On November 11, 2024, the process server made a third attempt and this time spoke to a woman named “Kelly,” who stated

that Ficara had never lived at that address and that the owner was someone by the name of Josh

1 While 43 North purports to be relying on information from Margate’s Articles of Organization in its efforts to serve the Crossclaim Defendants and in support of its motion here, it has not submitted this document for the Court’s consideration, nor has it provided any declaration to substantiate the assertions regarding the document in the motion papers. Accordingly, the Court cannot assess whether the 9031 California City Boulevard address is a proper service address for Ficara. 2 Although 43 North states that the service attempts at 9031 California City Boulevard in October 2024 were attempts to serve Ficara—and the process server’s interaction with the individual at this address appear to be referencing an individual rather than an entity—the affidavit of attempted service and proof of diligence regarding these efforts both state that the attempts to serve on October 19 and October 21, 2024 were attempts to serve Margate. See Mot. Ex. 4. In contrast, for the three November 2024 attempts, there are affirmations of attempted service for both Ficara and Margate. See Mot. Ex. 5. Meister. See id. She added that she “does not get mail for Thomas [Ficara] here” and “doesn’t know where he lives.” Id. B. Attempts to Communicate with Ficara via Email To determine whether email could serve as a means of alternative service, 43 North’s

counsel sent an email to tomficara@yahoo.com on December 5, 2024. ECF No. 74 (Declaration of Rachel A. Levin (“Levin Decl.”)) ¶ 6 & Ex. 3. 43 North’s counsel received a response that same day in which the user of the “tomficara@yahoo.com” email address acknowledged awareness of the lawsuit: “Your client robbed me of $250,000. I could solve your case in ONE MINUTE, but why should I?” Id. On December 5, 2024, counsel for 43 North also sent an email to tvtsnetwork@gmail.com, the email address used by Charly to send subpoenas to Ficara in May 2024, in response to which Charly “did not receive a mailer daemon notice, or any other indication that the email failed to deliver.” Id. ¶ 7 (citing ECF No. 42); see Hakim v. Accenture U.S. Pension Plan, 735 F. Supp. 2d 939, 953 (N.D. Ill. 2010) (“As anyone who has received a ‘failed delivery’ e-mail from mailer-daemon knows, various problems can prevent the delivery

of an e-mail message.”). 43 North’s counsel likewise “did not receive a bounce-back or mailer daemon notice” in response to its December 5, 2024 email. Levin Decl. ¶ 9. C. 43 North’s Attempts to Serve Margate Margate is a limited liability company (“LLC”) registered in Pennsylvania. Id. Ex. 6. 43 North attempted service on Margate at the address registered for the LLC as reflected on the Pennsylvania Department of State business entity search website—108A Erickson Avenue, Essington, PA 19029. Mot. at 3 & Exs. 6, 7; Levin Decl. ¶ 12 & Ex. 6. On October 16, 2024, a process server went to the address and found a business there called ASAP. Mot. Ex. 6. Margate was neither known nor located at this address. Id.

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Hakim v. Accenture United States Pension Plan
735 F. Supp. 2d 939 (N.D. Illinois, 2010)

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Charly Acquisitions, Ltd v. 43 North Broadway, LLC, Counsel Stack Legal Research, https://law.counselstack.com/opinion/charly-acquisitions-ltd-v-43-north-broadway-llc-nysd-2024.