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IN THE CIRCUIT COURT OF THE THIRTEENTH JUDICIAL CIRCUIT. IN AND FOR HILLSBOROUGH COUNTY, FLORIDA ‘CIVIL ACTION CASE NO.: 09-CA-001079 DIVISION: D AMADOU WANE, etal, Defendant(s). Nomi LING Plan, US BANK NA, AS TRUSTEE OF GPMET 2007-AR, gives Notice of ling of AFFIDAVIT AS TO AMOUNTS DUE AND OWING THEREBY CERTIFY that re and comet copy ofthe foregoing bas been fished by US. Maio all artes isted on the tached service list on this__/\ay or March, 2010 Florida Default Law Group, P.L. P.O. Box 25018 ‘Tampa, Florida 33622-5018 (813) 251-4766 Rober whe _ Florida Bar No, 52854 Nikolay Kolev Florida Bar No. 0028005 12453743, IN THE CIRCUIT COURT OF THE THIRTEENTH JUDICIAL CIRCUIT IN AND FOR HILLSBOROUGH COUNTY, FLORIDA CIVIL ACTION US BANK NA, AS TRUSTEE OF GPMFT 2007- ARI, Plaintiff, CASE NO. 09-CA-001079 vs. DIVISION: D AMADOU WANE, etal, Defendant(s). AFFIDAVIT AS TO AMOUNTS DUE AND OWING. STATE OF. ———rerigorreny COUNTY oF cae ona BEFORE ME this day personally appeared (Attia) who ‘upon oath, deposes on personal knowledge and says: 1. This Affidavit is submitted in support of Plaintiff's Motion for Final Judgment for the purpose of showing: that there is no genuine issue as to any material fut, that Plaintif is entitled to enforce the Note and Mortgage and Plaintiffs ‘entitled toa judgment as a matter of law, 2 Tam. £so0 (title), of GMAC MORTGAGE, LLC. GMAC MORTGAGE, LLC is the servicer ofthe loan. GMAC MORTGAGE, LLC is responsible forthe collection ofthis, loan transaction and pursuit of any delinquency in payments. I am familiar with the books of account and have examined all books, records, and documents kept by GMAC MORTGAGE, LLC concerning the transactions alleged in the Complaint. All ‘of these books, records and documents are kept by GMAC MORTGAGE, LLC in the regular course of its business as servicer ‘of the loan transaction and are made at or near the time by, and from information transmitted by, persons with personal knowledge of the facts such as your Affiant. Its the regular practice of GMAC MORTGAGE, LLC to make and keep these books, records, and documents, The books, records, and documents which Afiant has examined are managed by employees or agents whose duty itis to keep the books accurately and completely. Furthermore, Affiant has personal knowledge of the matters contained in the books, records and documents kept by GMAC MORTGAGE, LLC. 3. Thave personal knowledge ofthe facts contained inthis affidavit. Specifically, I have personal knowledge of the facts regarding the sums of money which are due and owing to Plaintiff or its assigns pursuant to the Note and Mortgage which isthe subject matter of the lawsuit. 4. Plaintiffor its assigns, is owed the following sums of money as of 04/19/2010: CANN 12395988 99002992 PRINCIPAL, INTEREST PER DIEM OF $32.51 (6.37500% interest rate) PRE-ACCELERATION LATE CHARGES THROUGH January 9, 2009 PROPERTY INSPECTIONS TAXES INSURANCE PROPERTY PRESERVATION BPO TOTAL $186,154.23 1487272 85.14 168.75 2,007.83 32.41 40.00 249.00 $203,610.08 5. PlaitfFor its assigns has employed the services of the law fr of Florida Default Law Group, PL. inthis action against the Defendants), and is obligated to pay Florida Default Law Group, PL. a reasonable attorney's fee forts services, along with all costs and expenses ofthis action. In his foreclosure case, we have agreed to pay the law firm of Florida Default Law Group, P-L. a fat fee of $1,200.00. In the event the mater becomes contested, we have agreed pay an hourly fee up to $175.00 per hour. FURTHER AFFIANT SAYETH NOT, Limited Signing Officer ‘The foregoing instrumepy#&e sworn wo and subseribed before me this ALL day of. 2010, who is personally known tome. / by [—_NOTARIAL Sex norany rustic saeor_____ [apes Sea Nowy rac Myon cps Oe 38 ‘Type Name Here: My commission expires: Fovon2092-0350442126 GMAC-CONV.

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