Gletzer v. Harris

In Gletzer v. Harris, 51 AD3d 196, 203, 854 N.Y.S.2d 10 First Dept. [2008] the mortgagees recorded their mortgages after the expiration of the judgment lien during the lien gap, and therefore the renewal lien was not entitled to nunc pro tunc relief resulting in a lost of priority. In the instant mortgage foreclosure proceeding, the plaintiff's mortgage was undeniably recorded while defendant Mason Tenders' judgment lien was in full force and effect and not during the lien gap.