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  • DEUTSCHE BANK TRUST COMPANY AMERICAS AS TRUSTEE RA v. PECK, CIARA V., A/K/A CIARA V. SCOTT Et AlP00 - Property - Foreclosure document preview
  • DEUTSCHE BANK TRUST COMPANY AMERICAS AS TRUSTEE RA v. PECK, CIARA V., A/K/A CIARA V. SCOTT Et AlP00 - Property - Foreclosure document preview
  • DEUTSCHE BANK TRUST COMPANY AMERICAS AS TRUSTEE RA v. PECK, CIARA V., A/K/A CIARA V. SCOTT Et AlP00 - Property - Foreclosure document preview
  • DEUTSCHE BANK TRUST COMPANY AMERICAS AS TRUSTEE RA v. PECK, CIARA V., A/K/A CIARA V. SCOTT Et AlP00 - Property - Foreclosure document preview
  • DEUTSCHE BANK TRUST COMPANY AMERICAS AS TRUSTEE RA v. PECK, CIARA V., A/K/A CIARA V. SCOTT Et AlP00 - Property - Foreclosure document preview
  • DEUTSCHE BANK TRUST COMPANY AMERICAS AS TRUSTEE RA v. PECK, CIARA V., A/K/A CIARA V. SCOTT Et AlP00 - Property - Foreclosure document preview
						
                                

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State of Connecticut Additional Interest Calculations Docket Number LLI-CV16-6014382-S Plaintiff DEUTSCHE BANK TRUST COMPANY AMERICAS AS TRUSTEE RA Defendant PECK, CIARA V., AJKIA CIARA V. SCOTT Et Al Principal Interest Rate Per Diem $319,667.94 6.875% = $60.21 Additional Interest from January 23, 2017. toe: April 17; 2017 $60.21 x 84 per diem days Total Additional Interest: $5,057.64 Debt as of January 23, 2017 = $516,784.14 Less payments made Less disallowed amounts $702.00 * Additions! allowable amounts Plus additional interest $5,057.64 otal debt as of April 17, 2017 = $521,139.78 * property inspections Sonja J. Bowser » Attorney for the Plaintiff (print name)DOCKET NO: LLI-CV-16-6014382-S : SUPERIOR COURT DEUTSCHE BANK TRUST COMPANY : J.D. OF LITCHFIELD AMERICAS AS TRUSTEE RALI 2006-Q816 VS : AT LITCHFIELD PECK, CIARA V,, ET AL AFFIDAVIT OF DEBT. _—_— CS heande [boot , being over the age of eighteen years and understanding the obligations ofan oath, hereby depose and say: 1, Tam employed as a[n. Cee , by SunTrust Mortgage, / nl wn by eu Inc, ("Plaintiff's Servicer"), which is the mortgage Joan servicer for the mortgage loan account at issue. a, Plaintiff's Servicer is a business. | have personal knowledge of the record keeping practices and procedures of Plaintiff's Servicer with regard to servicing of mortgage loans as i pertains to amounts due on mortgage loan accounts. Plaintiff's Servicer services mortgage loan accounts in the regular course of its business and makes in the regular course of its business records of the acts, transactions, events and occurrences regarding and pertaining fo the morlgage loan accounts it services. Records of such acts, transactions, events and occurrences are made at the time of the acts, transactions, events and occurrences or within a reasonable time thereafter. b. ‘This is an action to foreclose a mortgage securing a debt owed by Ciara V, Peck a/k/a Ciara V. Scott whieh is evidenced by a promissory note dated March 21, 2005 in the original principal amount of $320,000.00 (the "Loan"), which loan is serviced by Plaintiff's Servicer. c, have access to Plaintiff's Servicer's business records of the amounts due on the Loan, Tam personally familiar with the indebtedness owed on the Loan from my review of the business records maintained by Plaintiff's Servicer regarding the Loan. 2. As of January 23, 2017, $516,784.14 will be due and owing on the Loan, which amount includes the following: Principal’ $319,667.94 Interest from 08/01/09 to 03/23/17 @ 6.875% $164,321.92 Pre-acceleration Late Charges $0.00 Hazard Insurance Advances $9,099.19 Tax Advances $22,860.09 Property Inspections $702.00 Property Freservation $133.00 PMIAMIP Insurance $0.00 Other: . $0.00 (Suspense Account Credit) ($0.00) (Other Credit) _ _ ($0.00) “POTAL: $516,784.14‘“Yiiese itemized amounts may not include all fees, expenses and sums currently due and owing under on the Loan but the decision to omit such items does not indicate that such fees, expenses and sums were not properly due and owing at the time of any prior communications to the obligors on the Loan. 3. Presently, the per diem interest due on and after January 23, 2017 is $60.21. 4. Itis requested that this Court take judicial notice that there are no setoffs or counterclaims presently pending in the above-entitled action, I hereby swear or affirm the above statements I am making are true and correct to the best of my knowledge under penalty of perjury. _AFFIANT Dated: {tile Leng SA YY SC Laund Lla _ EA er | decape S fry Title SunTrust Mortgage Inc. Servicer for Oewen Loan Servicing, LLC, as Attorney in Fact for Deutsche Bank Prust Company Americas As Trustee RAL] 2006-QS8 16 City of Richmond J ) Commonwealth of Virginia) The foregoing instrument was subscribed and sworn before me this é f "day of Tereueek 20 e_ oy _C¥ DEAN LIVERMAN Notary Public. Commonwealth of Virginia 7509255 My Commission Expires Nov 30, 2019 ry pubke Notary registration number: PSOPZES My Commission Expires: u[efze9