On January 29, 2016 a
Party Statement
was filed
involving a dispute between
U.S. Bank National Association, As Trustee, Successor In Interest To Bank Of America, National Association As Trustee As Successor By Merger To Lasalle Bank National Association, As Trustee For Certificateholders Of Bear Stearns Asset Backed Securities I Llc, Asset Backed-Certificates, Series 2006-E,
and
Mortgage Electronic Registration Systems, Inc. As Nominee For Bravo Credit Corporation,
Tania D. Paige Moorer Tania Moorer,
for P00 - Property - Foreclosure
in the District Court of Fairfield County.
Preview
DOCKET NO.: FBT-CV16-6061112-S : SUPERIOR COURT
U.S. BANK NATIONAL ASSOCIATION, AS : JUDICIAL DISTRICT OF
TRUSTEE, SUCCESSOR IN INTEREST TO BANK : FAIRFIELD
OF AMERICA, NATIONAL ASSOCIATION AS
TRUSTEE AS SUCCESSOR BY MERGER TO
LASALLE BANK NATIONAL ASSOCIATION, AS
TRUSTEE FOR CERTIFICATEHOLDERS OF BEAR
STEARNS ASSET BACKED SECURITIES I LLC,
ASSET BACKED-CERTIFICATES, SERIES 2006-E
V. : AT BRIDGEPORT
TANIA D. PAIGE MOORER A/K/A TANIA , 2018
MOORER, ET AL.
. AFFIDAVIT OF ATTORNEY'S FEES
Joseph B. Damaj
1,
4.
of Hartford, Connecticut being duly sworn, does hereby depose and say:
This affidavit is made on my own personal knowledge;
lam over 18 years of age and competent to testify to the matters stated herein.
Tam employed by Plaintiff's counsel in the above entitled action;
The following tasks were performed in connection with this matter:
a. Receipt and review of loan documents; opening of file; request for
title examination; drafting of correspondence to client.
b. Receipt and review of title examination; drafting of Amended Complaint ; research regarding
appropriate service addresses.
c. Request for and review of appraisal report of property and Affidavit of
Appraiser.
d. Receipt and review of Assignment of Mortgage.
e. Review of appearance status.
f. Drafting of Motion for Default for Failure to Appear.
g. Drafting of Motion for Default for Failure to Plead.
h. Preparation of Affidavit of Debt and correspondence to client regarding
execution of same.
i. Drafting of Motion for Judgment of Strict Foreclosure; Preliminary
Statement of Debt and Listing of Law Days.
j. Preparation of Objection to Motion to Dismiss.
Preparation of Affidavit of Attorney's Fees.
Preparation and review of file for judgment hearing.
. Attendance at original judgment hearing 12/11/2017.
Attendance at judgment hearing.
BRORSo. Request for and review of title rundown to ensure no new IRS liens
filed; preparation and drafting of Certificate of Foreclosure and Motion
for Deficiency Judgment; correspondence to Town Clerk with recording
instructions (anticipated).
OR
Prepare Fax Bid, Review Committee Deed and prepare Motion for Supplemental
Judgment (anticipated).
Based upon the tasks performed in this case, together with previous court awards, Plaintiff's counsel
submits that the attorney's fee requested is reasonable under the circumstances.
Plaintiff respectfully requests an award of attorney's fees of $3,500.00 upon granting of Judgment of
Strict Foreclosure or an award of attorney's fees of $3,750.00 upon granting of a Judgment of Foreclosure by
Sale.
/ ~ Joseph R.
Affiant/Attorney
May | /;2018
Subscribed and sworn to before me
this », jday of May, 2018.
te
hits LEAHY AM
Ann N. Symons Cf
Notary Public ,
My Commission expires: October 31, 2020
PURSUANT TO FEDERAL LAW, THIS LAW FIRM IS A DEBT COLLECTOR.
WE ARE ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION
OBTAINED WILL BE USED FOR THAT PURPOSE. HOWEVER, IF YOU ARE
IN BANKRUPTCY OR RECEIVED A BANKRUPTCY DISCHARGE OF THIS
DEBT, THIS COMMUNICATION IS NOT AN ATTEMPT TO COLLECT THE
DEBT AGAINST YOU PERSONALLY, BUT IS NOTICE OF A POSSIBLE
ENFORCEMENT OF THE LIEN AGAINST THE COLLATERAL PROPERTY.
313282
Document Filed Date
May 10, 2018
Case Filing Date
January 29, 2016
Category
P00 - Property - Foreclosure
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