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  • Discover Bank vs Christal J RoweDebt Contract - Debt Contract document preview
  • Discover Bank vs Christal J RoweDebt Contract - Debt Contract document preview
  • Discover Bank vs Christal J RoweDebt Contract - Debt Contract document preview
  • Discover Bank vs Christal J RoweDebt Contract - Debt Contract document preview
  • Discover Bank vs Christal J RoweDebt Contract - Debt Contract document preview
  • Discover Bank vs Christal J RoweDebt Contract - Debt Contract document preview
						
                                

Preview

Electronically Filed 6/12/2017 5:43:17 PM Laura Richard County Clerk Fort Bend County, Texas NO. 16-CCV-058897 DISC Q BANK, g IN THE COUNTY COURT Plaintiff ATLAW NOS FORT BEND COUNTY, TEXAS 5° QHRISTAL JLRO endant(s’ 11 SETTLEMENT AGREEMENT Allg to this law ave agreed to settle on the following terms: The parties & full alye any dispute between them without the necessity of proceeding \ er Wy jud Talprocess. Therefore, the parties agree to settle this matter, pursuant to the p: it terms descrjbed below. The parties will approve an Agreed Judgment in favor of laintiff for/the/full of Plaintiff's claim, including all court costs. Conditioned onthe Defenddnt(s) g the payment obligations set forth below, Plaintiff agrees not to abstract the ‘ud Gr taR any post-judgment remedies. After Defendant(s) timely fu payme Gbliggtions forth below, Plaintiff will consider the Agreed Judgment Satisfied, Defendant(s), Ghristal J. Rowe, wi reper a sig inal of this Rule 11 Settlement Agreement and Agreed Judgment to Plaintiff Sel at; ZWICKER & ASSQTAT! 14090 Sw Freeway Suite 408 Sugar Land, TX 77478. Defendant(s) agrees to make monthly payments as J Bed\belowt ¢ total balance of $7,737.00 is paid - it is acknowledged by the parties that as a 2017p ments have been made towards this balance in the total sum of $ .00. D dant ill pay ths form of check or money order as follows: ° Starting on 6/25/2017, Defendant(s) will make a minimuty jay tof 5644.75 to be paid on or before the 25TH of each month for a to of mont! 4. All checks and money orders for payments shall be payable to Discover 8 Ank ang ZWICKER & ASSOCIATES, P.C. Attn: Payment Processing 80 Minuteman Road Andover, Massachusetts 01810 1-866-367-9942 ime is of the essence for all payments under this Agreement. Plaintiff will fi Opy of this Rule 11 Settlement Agreement with the Court. This Rule ‘tlement Agreement constitutes the entire agreement of the parties for ‘of the indebtedness which is the basis of this lawsuit, and supersedes all prior BOtiations ents. There are no oral agreements between the parties not set forth hey This' 11 Settlem Agreement may be revised or modified only by a written instrument signed parties, and it shall be binding upon and inure to the benefit of Plaintiff and eféndai ‘s), and f ir respective heirs, administrators, representatives, executors, successors and assigns. This Rule 11 Settlement Agreemenyis ynade and entered into within the State of Texas and shall, in all respects ke puéd erp ed and governed by the laws of the State of Texas, 10 The language of this Rule 11 Si it Agreenhs Il cases, be construed as a whole, according to its fair mi fng, and ‘or, of st, any of the parties. Should any provisions of this Rule |] ent Agr en be declared, or be determined, by any court to be unenforceable or h al id, th alidity of the remaining parts, terms or provisions of this Rule |! Settlement ‘men all_not\be affected and any unenforceable or invalid part, term or provision shg4ld at be dee d\as @ part of this Rule 11 Settlement Agreement. 1 Defendant(s) expressly represents that this Rule 1 em t Agreepa s entered into by free will and accord, and is not subject to any represi 10ns45 representative or attorney of Plaintiff. Defendant(s} has read this Rule |1 Se pent Agree nt and fully understands it Defendant(s) further represents that the r: ificattogs and, lkgal consequences of this Rule 11 Settlement Agreement have been ex: R ail Nel odan{s) counsel (or Defendant(s) waive the right and opportunity to obtain sus d by pdunsel), and Defendant(s) execute it relying wholly upon Defendant(s)’ jud , belie knowledge of the nature, extent, effect, and duration of the claims and the biities compromised and settled by this Rule 11 Settlement Agreement. ee towe, Defendany Le. Date: (hin Kieqberly Soasa“Attom or Defendant = =] Date: 7 (Dawn Rogers, Esq. (State 24087383) [] Juli Mathew, Esq. (State 249535 Attomeys for Plaintiff 14090 Sw Freeway Suite 408 Sugar Land, TX, 77478 ZATE_LITIGATION@ZWICKERP! YY