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  • Second Round Sub, Llc v. Jessica RedfieldOther Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
  • Second Round Sub, Llc v. Jessica RedfieldOther Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
  • Second Round Sub, Llc v. Jessica RedfieldOther Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
  • Second Round Sub, Llc v. Jessica RedfieldOther Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
						
                                

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FILED: CHENANGO COUNTY CLERK 05/09/2021 06:58 AM INDEX NO. 2021-00005184 NYSCEF DOC. NO. 5 RECEIVED NYSCEF: 05/09/2021 SUPREME COURT OF THE STATE OF NEW YORK PFW File Niiiiser R238555 COf¿N4fY·0F CHENA-NGO SECOND ROUND SUB, LLC Plaintiff vs. Index No. 2021-00005184 STIPULATIONOFSETTLEMENT JESSICA REDFIELD illil'lil9llllll'll"i||i-" !i:±r|iii|¡h|l |.|'|, Defendant(s) IT IS HEREBY STIPULATED AND AGREED, by and between the attorneys for Plaintiff and the Defendant(s) appearing herein that the above-captioned action is settled for the sum of $1,605.69 . The Defendant(s) shall pay the sum of $1,605.69 to Pressler, Felt & Warshaw, LLP , Attorneys for the Plaintiff, as follows: $1,605.69 to be paid at the rate of $120.00 due by 04/15/21 and then $150.00 per month beginning 05/15/21 and on or before the 15th of each month thereafter until the balance has been paid in full. Pressler, Telt & Warshaw, LLP acknowledges the payment of $120.00 already received and the balance will be reduced by that amount when the payment is posted to the subject account. IT IS FURTHER STIPULATED AND AGREED, that in the event of default in payment, notice of such default will be mailed by ordinary mail to the Defendant(s) at their last known address, and if such default remains uncured for ten (10) days, then the Plaintiff may enter a judgment without further notice for the relief demanded in the complaint, together with costs and disbursements, crediting the Defendant(s) for any payments hereunder. Service of the summons and complaint is hereby admitted. This agreement is a full, final, and complete settlement of all claims pertaining to or arising out of the specific account(s) identified in the Complaint, which is/are the subject of this action, and all claims between Plaintiff and its agents, attorneys, and representatives and Defendant and Defendant's agents and representatives concerning or arising out of the collection activity on the specific account(s) sued upon in this litigation, and any facts or circumstances leading up to this litigation. It is specifically understood between agreement not parties' rights the parties that this does affect the as to any other account(s) other than those identified in the Complaint. Wisdir.M8Washaw,tiP APR 2 7 2m 1 of 2 FILED: CHENANGO COUNTY CLERK 05/09/2021 06:58 AM INDEX NO. 2021-00005184 NYSCEF DOC. NO. 5 RECEIVED NYSCEF: 05/09/2021 Defendant knows that Plaintiff's attorney represents only Plaintiff in this ease añd that said attorney has not provided advice or counsel to Defendant. Facsimile or electronically scanned signatures shall be deemed and accepted as originals. The parties to this agreement make the following additional representations :(a) each party has read the agreement in full; (b) each party freely and voluntarily enters this agreement; (c) no promise or inducement which is not expressed in this document has been made to either party in order to induce them to enter into this agreement; and (d) each party has knowingly and voluntarily signed this agreement. Dated: C4 2021 New York ) , PRESSLER, FELT & WARSHAW, LLP Attorneys for Plaintiff 305 Broadway Suite 802 New York, NY 10007 JES ACA REDFIE ino sq. 3781 COUNTY ROAD 32 OXFORD, NY 138303358 2 of 2