arrow left
arrow right
  • PORTFOLIO RECOVERY ASSO V GILBERTO A BARRIOS ET AL (E-CASE) AC Breach of Contract document preview
  • PORTFOLIO RECOVERY ASSO V GILBERTO A BARRIOS ET AL (E-CASE) AC Breach of Contract document preview
  • PORTFOLIO RECOVERY ASSO V GILBERTO A BARRIOS ET AL (E-CASE) AC Breach of Contract document preview
  • PORTFOLIO RECOVERY ASSO V GILBERTO A BARRIOS ET AL (E-CASE) AC Breach of Contract document preview
						
                                

Preview

IN THE CIRCUIT COURT OF JACKSON COUNTY, MISSOURI PORTFOLIO RECOVERY ASSOCIATES, LLC Plaintiff, v. GILBERTO A BARRIOS, NOLEIDA D BARRIOS C Defendants. | i i ASSOCIATE CIRCUIT DIVISION ) ) ) ) Case: 1516-CV23300 | iu ; | | ) i i JUDGMENT BY DEFAULT The above captioned case comes for hearing and consideration. Plaintiff appears by counsel. Defendant(s) GILBERTO A BARRIOS and NOLEIDA D BARRIOS C have failed to appear. All remaining defendants fail to appear and are in default. After review of the file, hearing statements of counsel and otherwise being fully informed, the court finds that the allegations contained in Count | of the Plaintiff's Petition are true and Plaintiff is entitled to judgment against Defendant(s) as alleged. Alternatively plead Count Il is dismissed by Plaintiff without prejudice. It is therefore ordered, adjudged and decreed that judgment is awarded in favor of Plaintiff personally against Defendant(s) jointly and severally in the amount of $7,501.87 plus the costs of this action. SO ORDERED: Respectfully submitted, Ss xx Lob ofS if Sean Hadican, #56131 Shelley R. Porter, #59294 Eric Wetzel, #63314 Jennifer A. Cook, #64341 Counsel for Plaintiff 120 Corporate Blvd Norfolk, VA 23502 866/428-8102 Fax: (757) 518-0860 SPHadican@portfoliorecovery.com SRPorter@portfoliorecovery.com EWetzel@portfoliorecovery.com. JEACook@portfoliorecovery.com 13-08897 Spe ae on aAFFIDAVIT State of California City of San Diego ss. 1, the undersigned, Crystol Grace , Custodian of Records, for Portfolio Recovery Associates, LLC hereby depose, affirm and state as follows: 1 Jam competent to testify to the matters contained herein. 2 Tam an authorized employee of Portfolio Recovery Associates, LLC, (“Account Assignee”) which is doing business at Riverside Commerce Center, 120 Corporate Boulevard, Norfolk, Virginia, and I am authorized to make the statements, representations and averments herein, and do so based upon a review of the business records of the Original Creditor HSBC BANK NEVADA, N.A/METRIS and those records transferred to Account Assignee from CAPITAL ONE BANK (USA), NLA. (“Account Seller”), which have become a part of and have integrated into Account Assi ignee’s business records, in the ordinary course of business. 3. According to the business records, which are maintained in the ordinary course of business, the account, and all proceeds of the account are now owned by the Account Assignee, all of the Account Seller's interest in such account having been sold, assigned and transferred by the Account Seller on 10/16/2612. Further, the Account Assignee has been assigned all of the Account Seller’s power and authority to de and perform all acts necessary for the settlement, satisfaction, compromise, collection or adjustment of said account, and the Account Seller has retained no further interest in said account or the proceeds thereof, for any purpose whatsoever. 4, According to the records transferred to the Account Assignee from Account Seller, and maintained in the ordinary course of business by the Account Assignee, there was due and payable from GILBERTO A BARRIOS and NOLEDA D BARRIOS C (‘Debtor and Co-Debtor") to the Account Seller the sum of $7,501.87 with the respect to account number ending in 5954 as of the date of 4/30/2012 with there being no known un-credited payments, counterclaims or offsets against the said debt as of the date of the sale. 5. According to the account records of said Account Assignee, after all known payments, counterclaims, and/or setoffs Occurring subsequent to the date of sale, Account Assignee claims the sum of $7,501.87, not inclusive of pre judgment interest or costs which may be awarded by the court, as due and owing as of the date of this affidavit. 6. Plaintiff believes that the defendant is not a minor or an incompetent individual, and declares that the Defendant is not on active military service of the United States, Ponfolio Recovery Associates, LLC Li He L Db cata By: Crystol Grace . Custodian of Records : A notary public ar other officer completing this certificate verifies only the identity of the individual who signed the document, to which this ceniffcate is auached, and nat the ttuth(ulness, accuracy, or validity of that document, 7-28 4915 Crystol Grace Subscribed and swom to for affirmed) before me on of by . proved to me ‘on the basis of satisfacighy evidence to be the person who appeared before me. WAU VAM AAMAS SENECA Notary Public Beare Annan een RAR ROA ‘This communication is from a debt collector and is an attempt to collect a debt. Any information obtained wiil be used for that purpose. 13-08897-4536,