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  • BANK OF AMERICA, N.A. v. DUCEY, BRIAN J, AKA DUCEY BRIAN Et AlP00 - Property - Foreclosure document preview
  • BANK OF AMERICA, N.A. v. DUCEY, BRIAN J, AKA DUCEY BRIAN Et AlP00 - Property - Foreclosure document preview
  • BANK OF AMERICA, N.A. v. DUCEY, BRIAN J, AKA DUCEY BRIAN Et AlP00 - Property - Foreclosure document preview
  • BANK OF AMERICA, N.A. v. DUCEY, BRIAN J, AKA DUCEY BRIAN Et AlP00 - Property - Foreclosure document preview
  • BANK OF AMERICA, N.A. v. DUCEY, BRIAN J, AKA DUCEY BRIAN Et AlP00 - Property - Foreclosure document preview
  • BANK OF AMERICA, N.A. v. DUCEY, BRIAN J, AKA DUCEY BRIAN Et AlP00 - Property - Foreclosure document preview
  • BANK OF AMERICA, N.A. v. DUCEY, BRIAN J, AKA DUCEY BRIAN Et AlP00 - Property - Foreclosure document preview
  • BANK OF AMERICA, N.A. v. DUCEY, BRIAN J, AKA DUCEY BRIAN Et AlP00 - Property - Foreclosure document preview
						
                                

Preview

DOCKET NO.: LLI-CV16-6014317-S : SUPERIOR COURT BANK OF AMERICA, N.A. : JUDICIAL DISTRICT OF : LITCHFIELD V. : AT LITCHFIELD BRIAN J. DUCEY A/K/A BRIAN DUCEY, ET AL. : DECEMBER 14, 2016 MOTION FOR DEFAULT FOR FAILURE TO APPEAR The Plaintiff in the above-entitled matter respectfully moves, pursuant to Section 17-20 of the Practice Book, that a default be entered against the defendant(s), Secretary of Housing and Urban ORAL ARGUMENT NOT REQUESTED TESTIMONY NOT REQUIRED File: 002400F01 Development, Portfolio Recovery Associates, LLC, CACH, LLC and State of Connecticut, Department of Revenue Services, for failure to appear within the time prescribed by Section 3-2 of the Practice Book (2010). Plaintiff By:_____/432748/______ Matthew F. Bristol Hunt Leibert Jacobson, P.C. 50 Weston Street Hartford, CT 06120 860-808-0606 Its Attorneys Juris No. 101589 File: 002400F01 ORDER The foregoing Motion having been presented to the Court, after hearing had, it is hereby ORDERED: GRANTED/DENIED. BY THE COURT ______________________________ Judge/Clerk CERTIFICATION I hereby certify that a copy of the above was mailed or electronically delivered on December 14, 2016 to all counsel and self-represented parties of record and that written consent for electronic delivery was received from all counsel and self-represented parties of record who were electronically served: HERTZMARK CREAN & LAHEY LLP silaslevine@hcllaw.net Brian J. Ducey a/k/a Brian Ducey 1602 Nantahala Blvd Mount Pleasant, SC 29464 Secretary of Housing and Urban Development 451 7th Street S.W. Washington, DC 20410 File: 002400F01 Portfolio Recovery Associates, LLC 120 Corporate Boulevard, Suite 100 Norfolk, VA 23502 CACH, LLC 4340 S. Monaco Street, 2nd Floor Denver, CO 80237 State of Connecticut, Department of Revenue Services 450 Columbus Boulevard, Suite 1 Hartford, CT 06103 _____/432748/__________ Matthew F. Bristol Attorney for the Plaintiff 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. File: 002400F01