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  • Lvnv Funding Llc v. Tipitina HorowitzOther Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
  • Lvnv Funding Llc v. Tipitina HorowitzOther Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
  • Lvnv Funding Llc v. Tipitina HorowitzOther Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
  • Lvnv Funding Llc v. Tipitina HorowitzOther Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
						
                                

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FILED: ORANGE COUNTY CLERK 11/21/2021 03:41 AM INDEX NO. EF005116-2021 NYSCEF DOC. NO. 6 RECEIVED NYSCEF: 11/21/2021 OF THE H220920 STATE OF NEW YORK PFW File Ninahs 09 LVNV FUNDING LLC Plaintiff vs. 05116-20 21 Index No. EF0 SEITLEMW ST1PULATION OF TIPITINA HOROWITz Def. adan_g.(s) IT IS HEREBY eyS STIPULATED AND AGREED, the atto Plaintiff by and between and the Defendant(s) appearing herein that above-captione settled the for the sum of $507 . 95 . The Defendant(s) shall Warshaw, pay the sum of $507.95 to Pressler, Felt & LLP , Attorneys for the Plaintiff, as follows: $507.95 to be paid at the rate 21 of $200.00 due by 10/08/ and then $154.00 per month and beginning 11/o1/21 on or before the 1st of each month until the balance thereafter has been paid in full. & LLP Pressler, Felt Warshaw, acknowledges the payment of $200.00 received and already the balance will be reduced that amount when the by payment is posted to the subject account. IT IS FURTHER STIPULATED AND AGREED, that in the event of de fault in payment, notice of such default will be mailed by ordinary mail to the Defendant(s) at their last known address, and if such default remains uncured for td10) days, then the Plaintifif may-ent er a-$11dgmen t-.ssithout further notice for the relief demanded in the complaint, together with costs and disbursement s, crediting the Defendant(s) for any payments hereunder. service of the sununona and coinplaint is bereby admitted. This agreement is a full, final, and complete settlement of all claims to or arising out of the specific account(s) identified in the pertaining which is/are the subject of this action, and all claims between Complaint, plaintiff and its agents, attorneys, and representatives and Defendant and Defendant's agents and representatives concerning or arising out of the collection on the specific account(s) sued upon in this litigation, and any facts cr activity circumstances leading up to this litigation. It is specifically understood between that this agreement does not affect the parties' rights as to the parties any other account(s) other than those identified in the Complaint . iledin Orange County 11/21/2021 03:41:59 AM $35.00 Bk: 1 5145of 2 Pg:1976 Index: # EF005116-2021 Clerk:EBR FILED: ORANGE COUNTY CLERK 11/21/2021 03:41 AM INDEX NO. EF005116-2021 NYSCEF DOC. NO. 6 RECEIVED NYSCEF: 11/21/2021 Defendant knows that Plaintiff's represents plaintiff case and that attorney only said attorney has not De provided advice or counsel to Facsimile or electronically scanned signatures deemed and acc t shall be originals. The parties to this agreement make the follow D9 representations :(a) each party has read the agreement in (b) ea ch Party freely and full; voluntarily enters this inducement is not agreement; (ct no promise or expressed in this document has been made to either in order them to enter party into this agreetnent; and (d) each .has knowingly voluntarily si gned party this agreement. Dated: /f{(G _2021 , New York PRESSLER, FELT & WARSW, Attorneys for Flaintif f 305 Suite 802 Broadway New York, NY 10 0 09 TIPItINA HOR WI 29 tyan R. Tappan Esq. DOGWOOD DR CENTRAL VALLEY, 7Y 109173221 2 of 2