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  • Wilmington Savings Fund Society Fsb as Trustee of Stanwich Mortgage Loan Trust A v. Mark K Theriot AKA Mark Theriot, Sarah B Theriot AKA Sarah TheriotReal Property - Mortgage Foreclosure - Residential document preview
  • Wilmington Savings Fund Society Fsb as Trustee of Stanwich Mortgage Loan Trust A v. Mark K Theriot AKA Mark Theriot, Sarah B Theriot AKA Sarah TheriotReal Property - Mortgage Foreclosure - Residential document preview
						
                                

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FILED: CORTLAND COUNTY CLERK 10/11/2012 01:31 PM INDEX NO. EF12-428 NYSCEF DOC. NO. 7 RECEIVED NYSCEF: 06/08/2021 PROVEST, LLC KOZENY, MCCUBBIN, & KATZ, LLP 320 Carleton Avenue Suite2600 395 North Service Rd Central NY Is[ip, 11722 NY Melville, I1747 (631) 666-6168 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF CORTLAND JNDEX # 12-428 WELLS FARGO BANK, N.A., Plaintift Against A FFIDAVIT OF SERVICE MARK K. THERIOT A/K/A MARK THERIOT, ET AL Defendants, STATE OF TX COUNTY OF G R E ] O 4 A R D / ^J being dulysworn.deposes and says: that deponent is not a party to this action. 18 years of age is over and resides in the State of TK. That on - 27-43- at t 608 BENTON deponent g ST, KILGORE, TX, 75662, served thewithin SUMMONS & VERIF1ED COMPLAINT which containsthe Mditione! noticerequiremcats inaccordance withRPAPL §1320, alongwith a copy ofthe Homeowner's Foreclosure Notice as requiredby RPAPL §1303, which noticewas printedon a coloredpiece ofpaper, which color differedfrom thatof thecolor ofthe SUMMONS & VERE FIED COMPLAINT and the noticewas in bold,fourteen-pointtype,with the title of thenoticein bold,twenty-point type, bearing index# 12-428, filed08/31/2012 on MARK K. THERIOT A/K/A MARK THERIOT, defendant therein narned. INDIVIDUAL thereat a true copy of each to said defendant by delivering deponent personally, knew said person so served to be the person described as said defendant (S)IIe therein. ide:"ified (her) himself as such. SU1TABLE AGE PERSON thereat a copy of each to By delivering , a person of suitable age and discretion. That person was also asked by deponent whethersaid premises was the &renant's dwelling place of abode and the reply place/usual was affirmative. A FFlXING TO DOOR, ETC. a true copy of each to the door of said premises, By affixing which is defendant's dwellingplace/usual place of abode within the state. Deponent was unable, with due diligence to finddefendant or a person of suitable age and discretion called thereat, having there on MAILING On deponent also enclosed a copy of same, in a prepaid sealed, first class wrapper rnarked personal and confidential, properlyaddressed to defendant and mailedto defendant at defendant'slast known address by depositing said wrapperin a post office States Postal of the United Servicewithinthe TXstate DESCRIPTION Deponent describes the individual served to the best ofdeponent's at the time ability and circumstances of service as follow: Sex SkinColor Hair Color Age (Aprx) Height (Aprx) Weight (Aprx) USE IN NYC The languagerequiredby NYCRR (f) & 2900.2(e), (b) was set forth ClVIL CT. on the face of said summons(es) o MILITARY I asked the person spoken to whether the defendant was in active service of the rnilitary SERVICE UnitedStates or of the State of TX in any capacity whateverand n:ceived reply. a negative The source t- 3 of my and the grounds inforrnation of my belief are the conversations e g and observations above narrated. N R8 Upon inferinaGouand belief 1 aver that the defendant is not in the military TX service of state or of the UnitedStates as that term in either the State.or F deral stat is defined tes. N 25 u_ d r> /b cu Ó , SWORN TO BEFORE ME ON I IC SE # SCM ^/3 4 FIL l9449 te CASE ID # 3395813 Signature h -------. PAT ARNOL D Commission Expiration Se pernbe 1 of 1