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AvantStay_Final_Demand_Letter_Zebra_LFTY0476_DAO_LLC (signed) - 9 Country Club Ln N, Briarcliff Manor, NY 10510.pdf

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Property9 Country Club Ln N, Briarcliff Manor, NY 10510
FolderLLC Documents
KindPDF
Updated2025-12-17
Dropbox path03 - LLC Documents/AvantStay_Final_Demand_Letter_Zebra_LFTY0476_DAO_LLC (signed) - 9 Country Club Ln N, Briarcliff Manor, NY 10510.pdf

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VIA EMAIL AvantStay, Inc. Attn: Legal Department 9901 Brodie Lane, Ste 160 #6012 Austin, TX 78748 Re: FINAL DEMAND FOR PAYMENT – WRONGFUL WITHHOLDING AND CONVERSION OF OWNER FUNDS Property: 9 Country Club Ln N, Hudson Valley, New York 10510 Owner: Zebra LFTY0476 DAO LLC To Whom It May Concern, This correspondence serves as formal notice and final demand on behalf of Zebra LFTY0476 DAO LLC (the “LLC”) concerning AvantStay, Inc.’s unlawful retention and conversion of rental proceeds generated from

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VIA EMAIL

AvantStay, Inc.
Attn: Legal Department
9901 Brodie Lane, Ste 160 #6012
Austin, TX 78748
Re: FINAL DEMAND FOR PAYMENT – WRONGFUL WITHHOLDING AND CONVERSION OF
OWNER FUNDS
Property: 9 Country Club Ln N, Hudson Valley, New York 10510
Owner: Zebra LFTY0476 DAO LLC
To Whom It May Concern,
This correspondence serves as formal notice and final demand on behalf of Zebra LFTY0476
DAO LLC (the “LLC”) concerning AvantStay, Inc.’s unlawful retention and conversion of
rental proceeds generated from the above-referenced property for the period October 1,
2025 through October 31, 2025.
AvantStay’s own Owner Distribution Statement dated November 15, 2025 confirms that the
property generated $18,409.20 in gross rental revenue for October 2025 and $14,727.36 in
owner income after AvantStay’s management fee, prior to any properly authorized owner
expenses. AvantStay expressly represented that these funds would be remitted to the owner
no later than December 15, 2025.
Instead of remitting the funds as promised and as required, AvantStay has unilaterally
zeroed out the owner account and appropriated the funds to itself, without contractual
authority, without owner consent, and without lawful justification.
LEGAL VIOLATIONS
AvantStay’s conduct constitutes multiple actionable violations under New York law,
including but not limited to conversion, unjust enrichment, breach of fiduciary duty, and
breach of contract.
DEMAND FOR IMMEDIATE PAYMENT
Zebra LFTY0476 DAO LLC hereby demands immediate payment of all October 2025 rental
proceeds wrongfully withheld, in an amount not less than $14,727.36, within ten (10)
calendar days of the date of this letter.
NOTICE OF INTENT TO LITIGATE

If AvantStay fails to remit full payment within the stated deadline, the LLC will proceed
without further notice to assert all available claims in New York State court.
Sincerely,

Earl Co, Member
Zebra LFTY0476 DAO LLC