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  • PORTFOLIO RECOVERY ASSOCIATES LLC VS JOSHUA A GAMBOA Collections Case - Purchased Debt (Charged Off Consumer Debt Purchased on or after January 1,2014) (Limited Jurisdiction) document preview
  • PORTFOLIO RECOVERY ASSOCIATES LLC VS JOSHUA A GAMBOA Collections Case - Purchased Debt (Charged Off Consumer Debt Purchased on or after January 1,2014) (Limited Jurisdiction) document preview
						
                                

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CIV-105 ATTORNEY OR PARTY WITHOUT ATTORNEY FOR COURT USE ONLY Hunt 8 Henriques, Attorneys at Law Michael S. Hunt, Esq. ¹99804 Janalie Henriques, Esq. ¹111589 Keri L. Salet ¹318913 151 Bemal Road Suits 8, San Josd CA 95119-1306 TELEPHoNE No. 408-362-2270 FAX NO fonltonsif 408-362-2299 E-MAE, AooREss fonroneik infotrhunthenriques.corn ATTORNEY FOR (Name) Plaintiff SUPERIOR COURT OF CALIFORNIA, COUNTY OF LOS ANGELES sTREEl ADDREss: 12720 Norwalk Blvd, Room 101 MAILING ADDRESS GITY AND zIP GQDE: Norwalk CA 90650 BRANGH NAME Norwalk (Southeast Judicial) PLAINTIFF/PETITIONER: Porffolio Recovery Associates, LLC DEFENDANT/RESPONDENT'OSHUA A GAMBOA CASE NUMBER. REQUEST FOR (Application) DL] Entry of Default QQ Judgment 19NWLC45971 For Mse only in actions under the Fair Debt Buying Practices Act (Civ. Code, E 1788.50 et seq.) 1. On the complaint or cross-complaint filed a. on (dele)l November 20, 2019 b, by (name)l Portfolio Recovery Associates, LLC c. [K Enter default of defendant (names): JOSHUA A GAMBOA d. [K I request a judgment under Civil Code section 1788.60 and Code ol Civil Procedure section 585 against defendant (names)l JOSHUA A GAMBOA (Testimony may be required. Check mfh the clerk regarding whether a hearing date is needed) e. ~ Default was previously entered on (date): 2. Judgment to be entered. Amount Credits acknowledoed Balance a. Demand of complaint*............. $ 2,734.94 $ 0.00 $ 2,734.94 b. Interest......................... $ $ $ c. Costs (see page 3) ....... 246.00 $ o.oo 246.00 d. Attorney fees ................... $ $ $ e. TOTALS........................ $ 2,980.94 $ $ 0.00 2,980.94 (* Must be established by business records, authenticated through a swam declaralion, submiffed with this application. (Civ. Code, 8 I 788.58(a)(4), I 788.60(e).)) 3. This action is not barred by the applicable statute of limitations (Civ. Code, 6 1788.56). 4. Requirements for the complaint. a. The complaint alleges ALL of the following (Civ. Code, 55 1788.58, 1788.60): (1) That the plaintiff is a debt buyer; (2) A short, plain statement regarding the nature of the underlying debt and the consumer transaction from which it is derived; (3) That the plaintiff is EITHER the sole owner of the debt OR has the authority to assert the nghts of all owners of the debt; (4) The debt balance at charge-off and an explanation of the amount and nature of, and reason for, all post- charge-off interest and fees, if any, Iri.posed by the charge-off creditor or any subsequent purchasers of the debt; (5) The date cf the default OR the date of the last payment; (6) The name and address of the charge-off creditor at the time of charge-off in sufficient form so as to reasonably identify the charge-off creditor, and the charge-off creditor's account number associated with the debt; Form Adopled for Mandatory Use REQUEST FOR ENTRY OF DEFAULT Pegef of 3 Judioal Counal of California Code of Civt Procedure. 5 535; Cw-105 IRev. January I, 202OI (Fair Debt Buying Practices Act) Civil Code, 5 1733 ec www.couns.ca.gov lllllllllllllllIIIIIIIlllll 1346883.001