After almost year and a half of initial litigation started Raanan Katz
and RK centers file their motion for leave to file verified second
amended complaint. This motion was granted. Here is one of many
interesting parts of the requested changes. Looks like Raanan Katz just
(almost two years after) remembered how many of his companies suffered
alleged "damages", considering that no damages were produced by Raanan
Katz prior and after filing Second Amended Complaint.
PLAINTIFFS' MOTION FOR LEAVE TO FILE VERIFIED SECOND AMENDED COMPLAINT
Plaintiffs,
R.K./FL MANAGEMENT, Inc, RK. ASSOCIATES VII, INC., 17070 COLLINS AVENUE
SHOPPING CENTER, LTD., RAANAN KATZ, DANIEL KATZ, RK HALLANDALE 1, LLC,
RK HALLANDALB LIMITED PARTNERSHIP, 18100 COLLINS AVENUE SHOPPING CENTER,
LTD, RK 17600-17632 COLLINS, LLC, R.K.ASSOCIATES # 2, INC., RK.
ASSOCIATES XVIII, LLC, R K CAUSEWAY PLAZA, LLC, RK BISCAYNE PLAZA, LLC,
CALIFORNIA CLUB MALL SHOPPING CENTER, LTD., RK SANS SOUCI PLAZA, LLC and
RK SAGE PLAZA, LLC (collectively, "Plaintiffs"), through their
undersigned counsel and pursuant to Fla. R. Civ. P. 1.190(a), hereby
file this Motion for Leave to File Verified Second Amended Complaint
(the "Proposed Second Amended Complaint"), and state as follows...
6.
Moreover, Plaintiffs RK HALLANDALE 1, LLC, RK HALLANDALE LIMITED
PARTNERSHIP, 18100 COLLINS AVENUE SHOPPING CENTER, LTD, RK 17600-17632
COLLINS, LLC, R.K.ASSOCIATES # 2, INC., R.K, ASSOCIATES XVIII, LLC, R K
CAUSEWAY PLAZA, LLC, RK BISCAYNE PLAZA, LLC, CALIFORNIA CLUB MALL
SHOPPING CENTER, LTD., RK SANS SOUCI PLAZA, LLC and RK SAGE PLAZA, LLC
(the "Additional Plaintiffs") are all affiliated with the Original
Plaintiffs, all Plaintiffs operate under the trade name "RK Centers"
(f/k/a "RK Associates"), all are the targets of Defendants' tortuous
misconduct, and the Additional Plaintiffs are the title owners of the
properties upon which Defendants have trespassed (the basis of
additional claims set forth in the attached proposed Second Amended
Complaint). Thus, Plaintiffs seek to add the Additional Plaintiffs as
parties to the Second Amended Complaint. ..."
I've heard that lollipop, because of sugar, helps brain to be active. Is that true???
This blog is about RK Centers and Raanan Katz abusive litigation and business practice, including publicly available information about RK Centers (former RK Associates) and his criminally convicted owner Raanan Katz. RK Centers blog publishes court records, media publications and opinions. This blog is not associated in any way with RK Centers official websites and blogs.
Showing posts with label LLC. Show all posts
Showing posts with label LLC. Show all posts
Monday, June 3, 2013
Monday, September 10, 2012
Memorandum Of Lease Between RK Centers and Ross For Less
Where is the GOTCHA CLAUSE in the lease agreement between RK Centers and Ross For Less? Isn't it among the most critical provisions of RK Centers and Ross For Less Memorandum of Lease? NO…
This is another example that Raanan Katz and RK Centers apply "GOTCHA CLAUSE" exclusively to small business owners with limited or no financial legal resources. Small business owners have been beaten up and injured by RK Centers gotcha, against public policy actions. It is time to STOP it NOW!!!
“This Memorandum of Lease is effective upon recordation and is entered into by
and between R.K. CAUSEWAY PLAZA, LLC, an Oklahoma limited liability company
("Landlord"), having its principal place of business at 17100 Collins Avenue, Suite 225, Sunny Isles Beach, FL 33160, and ROSS FLORIDA DRESS FOR LESS, L. C., a Florida limited liability company ("Tenant"), having its principal place of business at 8311 Central Avenue, Newark, CA 94560-3433, who agree as follows:
By written lease (the "Lease"), Landlord leases to Tenant and Tenant hires from Landlord a portion of the real property located in the City of North Miami, County of Miami-Dade, State of Florida, described in Exhibit A hereto, for a term of approximately ten (10) years which term is subject to extension by Tenant for four (4) additional periods of five (5) years each.”
Where is RK Centers “standard industry” automatic lease renewal and acceleration clauses here???
This is another example that Raanan Katz and RK Centers apply "GOTCHA CLAUSE" exclusively to small business owners with limited or no financial legal resources. Small business owners have been beaten up and injured by RK Centers gotcha, against public policy actions. It is time to STOP it NOW!!!
“This Memorandum of Lease is effective upon recordation and is entered into by
and between R.K. CAUSEWAY PLAZA, LLC, an Oklahoma limited liability company
("Landlord"), having its principal place of business at 17100 Collins Avenue, Suite 225, Sunny Isles Beach, FL 33160, and ROSS FLORIDA DRESS FOR LESS, L. C., a Florida limited liability company ("Tenant"), having its principal place of business at 8311 Central Avenue, Newark, CA 94560-3433, who agree as follows:
By written lease (the "Lease"), Landlord leases to Tenant and Tenant hires from Landlord a portion of the real property located in the City of North Miami, County of Miami-Dade, State of Florida, described in Exhibit A hereto, for a term of approximately ten (10) years which term is subject to extension by Tenant for four (4) additional periods of five (5) years each.”
Where is RK Centers “standard industry” automatic lease renewal and acceleration clauses here???
Labels:
extension,
gotcha clause,
landlord,
LLC,
memorandum of lease,
R.K. CAUSEWAY PLAZA,
rk centers,
ross for less
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