Plaintiff submitted affidavits of service that constituted prima facie proof of proper service, pursuant to CPLR 308(4). Defendants rebutted the presumption of proper service by averring that service was effectuated at the wrong address. The process server's subsequent affidavit did not establish proper service as a matter of law, because it did not specifically confirm that the follow up mailings had been sent to the correct address. Accordingly, a traverse hearing is required to determine whether personal jurisdiction was obtained over defendants.
Italian Elegant Jewelry, LLC v. Fteha, NY Slip Op 03967 (1st Dep't June 16, 2022)