On October 08, 2019 a
Motion-Secondary
was filed
involving a dispute between
Bank Of America N.A.,
and
Chaires Hector Felix,
for Collections Case - Seller Plaintiff (General Jurisdiction)
in the District Court of Los Angeles County.
Preview
Electronically FILED by Superior Court of California, County of Los Angeles on 03/12/2020 02:41 PM Sherri R. Carter, Executive Officer/Clerk of Court, by J . Turriaga,Deputy Clerk
Erin E. Patterson, SBN 262285
Jason W. Tang, SBN 314337
Nicholas J. Babilis, SBN 291676
Patrick J. Layman, SBN 59643
Thomas J. Sebourn, SBN 279272
Carina M. Jordan, SBN 302099
Suttell & Hammer, APC
P.O. Box C-90006
Bellevue, WA 98009
Tel: (425) 455-8220/(888) 788-8355
Facsimile: (425) 453-3239
Attorneys for Plaintiff
s/h 675275.001
SUPERIOR COURT OF CALIFORNIA, COUNTY OF LOS ANGELES
Central District, Stanley Mosk Courthous
10 UNLIMITED CIVIL CASE
11
Case No.: 19STCV35900
12 Bank of America, N.A.
13
STATEMENT OF EVIDENCE IN SUPPORT
Plaintiff, | OF ENTRY OF DEFAULT JUDGMENT
14 VS. CCP § 585 (d)
15 Hector Felix Chaires
16
17 Defendant.
18 In accordance with California Code of Civil Procedure § 585(d) plaintiff respectfully
19
requests the entry of default judgment and provides the following evidence in support of
20
default judgment in the foregoing matter:
21
22
EXHIBIT 1. Affidavit of Balance as provided by Plaintiff; Bank of America, N.A.
23 EXHIBIT 2. Assistant Secretary’s Certificate of Bank of America, National Association
24
25
Pursuant to Plaintiff's business records, the Defendant defaulted in making the payments
26 due under the terms of the agreement. As a result of Defendant's failure to make the agreed
27 upon monthly payments and pursuant to the terms of the agreement, the entire unpaid balance
28
on the account became immediately due and payable.
STATEMENT OF EVIDENCE IN SUPPORT OF SUTTELL & HAMMER, APC
JUDGMENT CCP 585 (d) - I PO BOX C-90006; BELLEVUE, WA, 98009
888-788-8355 /425-453-3239 Fax
Category
Collections Case - Seller Plaintiff (General Jurisdiction)
Status
Request for Dismissal - Before Trial not following ADR or more than 60 days since ADR 05/29/2020
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