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  • Viene Restaurants Llc Vs Aurel As Personal Guarantor, Ene Contract and Indebtedness document preview
  • Viene Restaurants Llc Vs Aurel As Personal Guarantor, Ene Contract and Indebtedness document preview
  • Viene Restaurants Llc Vs Aurel As Personal Guarantor, Ene Contract and Indebtedness document preview
  • Viene Restaurants Llc Vs Aurel As Personal Guarantor, Ene Contract and Indebtedness document preview
						
                                

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Filing # 91667032 E-Filed 06/25/2019 05:12:39 PM IN THE CIRCUIT COURT OF THE 20TH JUDICIAL CIRCUIT IN AND FOR COLLIER COUNTY, FLORIDA CASE NO.: 11-2019-CA-002021-0001-XX CIVIL DIVISION Strategic Equipment LLC Plaintiff(s), vs. Viene Restaurants LLC d/b/a. ‘Burgerim Estero, Ene Aurel and’ :Alin Vieru as personal guarantors Defendant(s). TO: Aurel Ene ' 745 Landover Circle, Unit 101 Naples, FL 34104 NOTICE OF FILING, COMES NOW, the Plaintiff, Strategic Equipment LLC, by and through its undersigned attomeys and submits this Notice of Filing the attached Affidavit of Plaintiff's Claim. CERTIFICATE OF SERVICE. I HEREBY CERTIFY that a true and correct copy of the foregoing was mailed to the above named addressee on this 25th day of June, 2019. ROSENFELD STEIN BATTA, P.A. :ttorieys for: Plains) ‘21490. West Dixie:Highway Aventura, FL 33180... primary e-mail: ravi@rslawpa.com secondary. e-mails: ‘allan@rslawpa.com and:erin@rslawpa.com Phone; :(305):895-6680 Fax: (305):895-6682 /s/ Allan M. Stein By:., .Allan M:-Stein;.Esq. Florida Bar No. 277479" 19020103 FILED: COLLIER COUNTY, CRYSTAL K. KINZEL, CLERK, 06/25/2019 05:12:39 PMAFFIDAVIT OF INDEBTEDNESS ‘and DECLARATION’. STATE OF Eloric iQ. - ‘) COUNTY OF Hills yar ugh ) * address is: , And that the annexed exhibits to the lawsuit for: (Name of Debtor) _VIENE RESTAURANTS LLC DBA BURGERIM ESTERO and AUREL ENE and ALIN.VIERU as_ Personal ‘Guarantors,. doing Business/Residing at_ 23111 _Fashion Drive Ste. dil. city of _ Estero FL 33928 State of Florida. Are just, true and correct, and that there is now due the sum of (Principal amount of claim) ($19,920.05) and that no part thereof has been paid or satisfied. That the exhibits to the lawsuit were made at or near the time of the occurrence of the matters set forth by, or from information transmitted by a person having knowledge of those matters. That the exhibits to the lawsyit are kept in the course of our regular business activity, and that this is a regular practice in the course of our regularly conducted business activity. That providing a false certification or declaration hereto would subject the undersigned to criminal penalty under the laws of my state wherein I am signing below. . Plaintiff/creditor intends to introduce into evidence the exhibits attached to the complaint which’are available for further inspection at the offices of the Plaintiff's attorneys upon reasonable prior notice. WITNESS MY HAND AND SEAL this _|__ day of April 2012. ;a . -Sworn to (Or Affirmed) and Subscribed before me.this _} ‘day of ‘\, 20), by (Name of Affiant) AJicole Bosh —t Notary Public: Print Name: i 4 6: Personally known™ Type of Identification: Filed By: : ROSENFELD STEIN BATTA, P.As oN Attorneys for Plaintiff - . OLE J. TEMPERT 21490 West Dixie “Highway »: sos ee BO NICOLE ge ot ida Aventura, FL 33180” ¥ . . “+ My Gomum, Expires Apr) 7, 2020 :. Phone: (305) 895-6680 : No. FF 979801 * oe 29020103