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  • Mariner Finance, Llc v. Marchell Casolare Other Matters - Consumer Credit (Non-Card) Transaction document preview
  • Mariner Finance, Llc v. Marchell Casolare Other Matters - Consumer Credit (Non-Card) Transaction document preview
  • Mariner Finance, Llc v. Marchell Casolare Other Matters - Consumer Credit (Non-Card) Transaction document preview
  • Mariner Finance, Llc v. Marchell Casolare Other Matters - Consumer Credit (Non-Card) Transaction document preview
						
                                

Preview

INDEX NO. 2017EF3172 FILED: ONONDAGA COUNTY CLERK 07/27/2017 05:03 PM NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 07/27/2017 STATE OF NEW YORK CONSUMER CREDIT SUPREME COURT __ COUNTY OF ONONDAGA NON-CARD TRANSACTION MARINER FINANCE, LLC Plaintiff, SUMMONS VS. Plaintiff's Address: 3214 Erie Blvd. E. Syracuse, New York 13214 MARCHELL CASOLARE 307 Florida Road Mattydale, New York 13211 Defendant(s). The Basis of Venue is: Defendant resides in: County of ONONDAGA Transaction took place in: County of ONONDAGA TO THE ABOVE NAMED DEFENDANT(S): YOU ARE HEREBY SUMMONED to answer the Complaint in this action and to serve a copy of your answer on the Plaintiff's attorney(s) within 20 days after the service of this Summons exclusive of the day of service (or within 30 days after the service is complete if this Summons is not personally delivered to you within the State of New York). In case of your failure to appear or answer, judgment will be taken against you by default for the relief demanded in the Complaint. July 27, 2017 ROBE ITL ESQ. Attorne'’ for Plaintiff P.O. Address and telephone number 16 E. Main Street - Suite 200 Rochester, NY 14614 (585) 325-5343 1 of 2 INDEX NO. 2017EF3172 FILED: ONONDAGA COUNTY CLERK 07/27/2017 05:03 PM NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 07/27/2017 STATE OF NEW YORK SUPREME COURT. COUNTY OF ONONDAGA MARINER FINANCE, LLC COMPLAINT Plaintiff, vs. MARCHELL CASOLARE Defendant(s). Plaintiff, by the undersigned attorney, alleges: (1) Plaintiff is a Limited Liability Company licensed under the Laws of the State of New York, located at 3214 Erie Blvd. E., Syracuse, New York 13214. (2) That on or about January 3, 2017, the Defendant(s) entered into a Note and Security Agreement with Plaintiff, whereby, and in consideration for a loan of $2,160.60, the Defendant(s) agreed pursuant to the Note and Security Agreement to repay said loan, together with a finance charge, all as set forth in the Note and Security Agreement. (3) That said Note and Security Agreement was neither a revolving nor open-end credit transaction. (4) That there remains a present balance under said Note and Security Agreement in the sum of $2,131.52 together with interest at the rate of 24.99% per annum from July 24, 2017. (5) That the Defendant(s) has failed to pay the sums due to the Plaintiff pursuant to the aforesaid Note and Security Agreement. (6) That by reason of the aforesaid default of the Defendant(s), there is due and owing to the Plaintiff the sum of $2,131.52 together with interest at the rate of 24.99% per annum from July 24, 2017. WHEREFORE, Plaintiff demands judgment against the Defendant(s) in the sum of $2,131.52 together with interest at the rate of 24.99% per annum from July 24, 2017, plus costs, disbursements and attorney fees. Dated: July 27, 2017 ROBERT B.'GITLIN, ES Attorney for Plaintiff 16 East Main Street-Suite 200 Rochester, New York 14614 (585) 325-5343 2 of 2