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  • CS-2018-195 document preview
  • CS-2018-195 document preview
						
                                

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® @ e1039135781% 17-22248-0ZC6 013 IN THE DISTRICT COURT OF TULSA COUNTY STATE OF OKLAHOMA AMERICREDIT FINANCIAL SERVICES INC, d/b/a GM Financial Kirsten Pace _ mae CS-2018-00195 BRIAN CORY DISTRI T COURT Felt BD and KIMBERLY CORY, JAN 11 2018 Defendants. PETITION FOR INDEBTEDNESS Sane Oe EY, Court Gierk COMES NOW the Plaintiff, by and through its undersigned attorneys who hereby enter their appearance herein, and for its cause of action against the defendant alleges and states as follows: 1. The defendant executed a contract with plaintiff relating to the purchase of collateral with the account number XXXXX2631. The contract granted to plaintiff a security interest in the collateral. The defendant defaulted on the obligations required under the contract. After all due credits were applied to the indebtedness owed by the defendant, there remained a balance due. 2. The defendant remains indebted to the plaintiff in the amount of $3,590.29, inclusive of credits, adjustments, interest, and fees, if applicable. WHEREFORE, Plaintiff prays for Judgment against the Defendant in the sum of $3,590.29, with interest at the statutory rate from the date of judgment, all court costs and a reasonable attomey's fee, and for such other and further Li William LJeKon, Jr., #012804 David Mueller,#18783 Keith A. Daniels, #019788 Harley L. Homjak, #019736 Jenifer A. Gani, #021876 Peggy S. Horinek, #010344 Tracy Cotts Reed, #013577 LOVE, BEAL & NIXON, P.C. Attorney for Plaintiff P.O. Box 32738 Oklahoma City, OK 73123 Telephone: 405/720-0565 Fax: 405/720-9570 E-Mail: Attorney@LBNLegal.com relief as this Court may deem equitable, just and proper. LL RYE 8102 201 WY os yyaqn inna