FILED: SUFFOLK COUNTY CLERK 04/16/ :58 AM INDEX NO /2016 NYSCEF DOC. NO. 50 RECEIVED NYSCEF: 04/16/2016 CAROL CANZONA

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1 FILED: SUFFOLK COUNTY CLERK 04/16/ :58 AM INDEX NO /2016 NYSCEF DOC. NO. 50 RECEIVED NYSCEF: 04/16/2016 CAROL CANZONA 408 Mariners Way, Copiague Harbor, New York or April 13, 2016 VIA FACSIMILE ( ) Honorable Peter H. Mayer Supreme Court of the State ofnew York, Suffolk County One Court Street Riverhead,New York Answer to Plaintiffs attorney's request for an April 19, 2016 date to present a motion as noted below: and request by defendant for further postponement to Tuesday, May 30, Re: 2^ REVISED DEFENDANT REQUEST FOR POSTPONMENT - INDEX /2016 Honorable Peter H. Mayer Last night I inadvertently noticed that I had submited/faxed to you a copy of the atached unsigned. Please fmd atached a signed copy. Also, I just read that you require a working copy of the of the E-filed conformation notice. Pleasefindsame atached. I apologize for the confusion. Respectfuly, Carol Canzona, Pro se: CC: SchneiderMitola LLP Phone: Fax: Page 1 of 1 1 of 7

2 NYSCEF Notification: Suffolk - Real Property - Other - <NOTICE OF PETITION> Page 1 of 2 From: efile <efile@nycourts.gov> To: bl7usa <bl7usa@aim.com>, SuffolkEF <SuffolkEF@nycourts.gov>; efile <efile@nycourts.gov>; rmitola <rmitola@schneidermitola.com> Subject: NYSCEF Notification: Suffolk - Real Property - Other - <NOTICE OF PETITION> /2016 (The Board of Managers of the Anchorage Condominium - v. - Carol Anne Canzona) Date: Thu, Apr 14, :34 pm Suffolk County Supreme Court Notification 04/14/2016 This is an AUTOMATED response for Supreme Court / Court of Claims cases. Please retain this notification for your records. The NYSCEF web site has received documents from the filing user, Carol Canzona, for the following case/claim. Case Information Index #: /2016 Short Caption; The Board of Managers of the Anchorage Condominium - v. - Carol Anne Canzona Assigned Case Judge: Peter H Mayer Filing User Information User Name: Carol Canzona Phone Number: Fax Number: Service Address: bl7usa@aim.com Work Address: 408 MarinersWay, Copiague, NY, Documents Filed (To view a document, click the document type link) Doc # Document Type Additional Doc Info 49 : NOTICE OF PETITION Relief Sought: OTHER RELIEF Return Date: 04/19/2016 Special Instructions Filed Date 04/14/2016 r/ie judge assigned to tiiis case requires worldna copies. Print out a Confirmation Notice and attach it to the FRONT facing out of an exact copy of the e-filed document. Working copies should include tabs and motion sequence number. 1) If the application is brought on by notice of motion, all working copies are to be delivered to the courtroom of the assigned justice prior to the return date. 2) If the application is brought on by order to show cause, deliver working copies of the proposed order to show com/webmail-std/en-us/printmessage 2 of 7 4/14/2016

3 NYSCEF Notification; Suffolk - Real Property - Other - <NOTICE OF PETITION> Page 2 of 2 cause and its supporting documents to the Special Term Clerk at the assigned justice's facility. Working copies on all subsequent documents related to the order to show cause must be submitted directly to the Part as directed by the judge. See the Protocol and/ or the Part rules for more infomnation. Semce Notifications Sent Name Address RYAN MITOLA Carol Canzona irmitolaqischneidermitola.com 'bl7usa(a)aim.com THIS IS INTENDED ONLY FOR THE USE OF THE NAMED ADDRESSEE(S) AND FOR THE PURPOSES OF THE NEW YORK STATE COURTS ELECTRONIC FILING SYSTEM. IF YOU ARE NEITHER THE INTENDED RECIPIENT NOR A PERSON DESIGNATED TO RECEIVE MESSAGES ON BEHALF OF THE INTENDED RECIPIENT PLEASE NOTIFY THE SENDER IMMEDIATELY. THANK YOU. Judith A. Pascale, Suffolk County Clerk - Phone: Fax: (fax) Website: https: //mail, aol. com/ webmail-std/en-us/printmessage 4/14/ of 7

4 CAROL CANZONA 408 Mariners Way, Copiague Harbor, New York or April 13, 2016 VIA FACSIMILE ( ) Honorable Peter H. Mayer Supreme Court of the State of New York, Suffolk County One Court Street Riverhead, New York Answer to Plaintiffs attorney's request for an April 19, 2016 date to present a motion as noted below: and request by defendant for further postponement to Tuesday, May 30, Re: DEFENDANT REQUEST FOR POSTPONMENT - INDEX /2016 MOTION RETURN DATE: The Board of Managers of Anchorage Condominiums v. Carol Aime Canzona a/k/a Carol Arme Letscher a/k/a Carol P. Canzona a/k/a Carol Canzona Dear Justice Mayer: I have been actively and diligently seeking out an atorney to representme since I was first confronted with this lawsuit because I knew 1 would never be able to handle it onmy own. At this moment Iam terrorized by the fact that I have to appear in court in any capacity much less representing myself Iam a 52 year old widow with only a high school diploma and no colege credentials whatsoever, whose former husband, Clifford Canzona, was killed in the tragic crane accident on the East side of New York City in If he were alive today 1 could rely on him to come forward and handle this monstrosity that Iam facing alone. I have recently recovered from serious foot injuries putme on disability and keptme from earning a living since November of 2015 working as a commissioned saleslady in furniture sales (which requiresme to be constantly onmy feet) and, upon returning to health, I have recently been able to get a new sales position. Nevertheless, my current financial capacity can be described as extremely modest, at best. I have asked friends, relatives, acquaintances and anybody for thename of a competent atorney that could representme and they have provided several, each of which I have solicited for representation.some said outrightno but others have reviewed the case, based on the submitals presently docketed, and have backed off citing its complexity, length and cost of representation against "The Board of Managers of Anchorage Condominiums ". Page 1 of 2 4 of 7

5 My most recent atempt to obtain a lawyer was with the highly recommended firmof Romano & Associates, Garden City, NYwhom I thought were going to go ahead and representme aftermy having personaly met with atorney Michael J. Romano. The great relief I felt coming from his office was crushed by the letter I received just a day or two ago declining to representme based on their conclusion that this case is too big and too expensive for them to proceed givenmy financial status. He has urgedme to get adequate representation as soon as possible (please see his letter atached herein). Another highly promising recommendation was the very competent atorney, Thomas W. Horn, Esq. of Sag Harbor, NY who my father interviewed forme at his office because, if absent, I might losemy new job. (My 78 year old, galant, ex marine father whose irreplaceable help in responding to the threatening letters I have been bombarded with by the plaintiffs law firm demanding payment for atorney fees they feel they are entitled to and who first passed themselves off as debt colectors, and who, we believe, have violated federal statutes on debt colection in their pursuit, among other demands stated in the most bulying manner I have ever been confronted with - please see defendant exhibits 1 through 4 (NSCEF DOC. NO. 34 through 37) and exhibits 5 through 10 (NSCEF DOC. NO. 39 through 44) ofmy docketed Answer and Demand. (NSCEF DOC. NO. 38). My responding letters are less ladylike than I would have preferred, but that's how marines think.). Unfortunately, after a number of phone cals to Mr. Horn that have not been retimied, I believe he has come to thesame conclusion as Mr. Romano; that this case is too big and too expensive for him to proceed givenmy financial status. In desperation I have recently contacted the Suffolk County Bar Association (SCBA) and have been referred to, and since contacted, Touro Law School, Central Islip, NY to seek out afordable representation. I will continue to seek help elsewhere in the meantime. Therefore, until such time as I can obtain afordable representation, and for them to familiarize themselves with my case, I respectfuly request a postponement date to Tuesday, May 30, Your consideration is greatly appreciated. Respectfuly submited, Carol Canzona, Pm Se: CC: SchneiderMitola LLP Phone: Fax: Page 2 of 2 5 of 7

6 Romano & Associates A ttorneys at Law 400 Garden City Plaza, Suite 432 Garden City,New York (516) Fax (516) info@romanofirm.com April 9,2016 Transmitted via Federal Express And to bl7usa(n)smailcom Carol Anne Canzona 408 Mariners Way Copiague, NY Dear Ms. Canzona: Re: The Board of Managers of the Anchorage Condominium v. Carol Anne Canzona Index No.: /2016 After a caretul review of this mater, we regret to inform you that we are unable to accept a retainer to represent you in the above-referenced mater. In doing so we make no conrnient on the merits of this case. We have simply made an economic decision that we are unable to handle this case m this office. As per the Court's website, the return date for the Plaintiffs preliminary injunction motion is April 19,2016 in Suffolk County Supreme Court. I strongly advise that you contact the Court. It is therefore of the utmost importance that you act quickly if you wish to pursue this mater. With this in mind, please be advised that you are free to consult with other counsel in this mater and we urge you to do so immediately. Please be advised that my cursory review of the documents that you had provided in no way establishes and attorney-client privilege, but was performed as a mere courtesy. Additionaly, we have not signed a retainer agreement as you advised you wanted to think about how you wanted to proceed subsequent to our free consultation on Thursday, April 7, of 7

7 Enclosed is the check in the amount of $3, that you had left at my office. You had advised that you wanted to think over whether or not you wanted to move forward before officially retaining me. We regret that we are unable to be of further assistance in this mater. MJR/jld CERTIFIED MAIL - RETURN RECEIPT REQUESTED Michael J. Romano 7 of 7

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