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DOCKET NO.: TTD-CV-23-6026626S SUPERIOR COURT
BANK OF AMERICA, N.A. J.D. OF TOLLAND
AT ROCKVILLE
VS.
AHMAD MOAZZAM MAY 18, 2023
MOTION FOR JUDGMENT IN ACCORDANCE WITH STIPULATION
The Plaintiff respectfully requests this Court to enter judgment in its favor and against the
Defendant, AHMAD MOAZZAM, in accordance with the terms of the Stipulation of the parties
attached hereto.
Specifically, the Plaintiff requests the Court to enter Judgment in its favor as follows:
Damages Claimed in Complaint: $7,089.53
Payments made: $446.00
Current damages due: $6,643.53
Costs: $428.29 ($360.00 fee and $68.29 Service fee)
Total Judgment: $7,071.82
Furthermore, the Plaintiff seeks a payment order in accordance with the terms of the said
attached Stipulation, with the next payment of $458.00 is due on or before 5/28/2023.
RESPECTFULLY SUBMITTED,
THE PLAINTIFF
By:
Hol
Richard A Terry, Esq.
Its Attorneys
Rubin & Rothman, LLC
1787 Veterans Highway
Islandia, NY 11749
800-298-6058
Juris No. 438783
R&R # 1400266
R&R # 1463447
ORDER
The Court, having considered the foregoing Motion, it is hereby ORDERED:
GRANTED/DENIED.
BY THE COURT
Judge/Clerk
CERTIFICATION OF SERVICE
Thereby certify that a copy of the foregoing Motion for Judgment in Accordance with
Stipulation, attached Stipulation and Bill of Costs was or will immediately be mailed
and/or
electronically mailed to the parties of record, on May 18, 2023 as follows:
MATTHEW L GUSTAITIS, ESQ.
MGUSTAITIS.ESQ@OUTLOOK.COM
By:
Hol!
Richard A. Terry, Esq.
Its Attorneys
Rubin & Rothman, LLC
1787 Veterans Highway
Islandia, NY 11749
800-298-6058
Juris No. 438783
THIS COMMUNICATION IS FROM A DEBT COLLECTOR. THIS IS AN ATTEMPT
TO
COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT
PURPOSE.
DOCKET NO.: TTD-CV-23-6026626S SUPERIOR COURT
BANK OF AMERICA, N.A. J.D. OF TOLLAND
AT ROCKVILLE
VS.
AHMAD MOAZZAM MAY 18, 2023
PLAINTIFF'S BILL OF COSTS
Entry Fee. $360.00
Marshal’s Fee. $68.29
TOTAL. laaeenaessesseeseeaseeeeseasoeress $428.29
THE PLAINTIFF,
B
Holly R. Nien Esq U7
Richard A. Terry, Esq.
Rubin & Rothman, LLC.
1787 Veterans Highway
Islandia, NY 11749
Tel (631) 234-1500 ext. 2331
Juris #: 438783
R&R # 1463447
TOLLAND JUDICIAL DISTRICT
AT ROCKVILLE
File No.1463447 Ds3C 0201
Ref# 165923 031 cc
ween eee eens
BANK OF AMERICA, N.A.
Plaintiff, . STIPULATION OF
-against- SETTLEMENT
AHMAD MOAZZAM
Docket No. TTD-CV-23-6026626S
Defendant (s) .
--
The parti tione
may enter in favor of the plai ntiff d on file hereby stipulate that judgment
Ss in the above ca
the following terms:
1 Defendant(s) acknowled ige that
plaintiff and have no defen sé to this they owe $ 7,089.53 to the
action or counterclaim against the
plaintifێ.
2 Defendant(s) agree thet judgment shall enter against them in the
amount of $ 7,089.53 nlur. costs.
3 Defendant(s) agree s to
satisfaction of the judgment, as pay plaintiff the sum of $
follows:
6,400.00 in
a $ 446.00 on 4/28/23;
b $ 458.00 on 5/28/23 and on the 28th day of each month
thereafter until the full amount thereof is paid.
4 All payments should be sent t © P.O. Box 550, Central Islip,
11722 payable
to RUBIN & ROTHMAN, New York
In addition to mailing payments, youas can
attorneys, and refer to file# 1463447,
make
on-line at RRLLC189.com or by cal ling us during electro nic payments
office hours.
matter resolved by the court and ge that they had the right to have this
Ss The defendant(s) acknowled
the defendant (s) hereby waive that right
because this stipulated agreement is in their best interest.
will not enforce the judgment to be entered herein Plaintiff
made in accordance with the terms of this stipula
as long as payments are
of the above minimum monthly payment will be credite tion, Payments in excess
balance but will not relieve the defend
d to the account
future payments at the rate and on the antdates(s) 5; of their obligation to make
pecified herein.
6 Upon payment
dant by tt. cwfen
(s) in accordance with the terms
this stipulation, plainti will issue a satisfaction of judgme nt.
of
Defendant (s) waive any cease and desist request.
RUBIN & ROTHMAN: LLC
®
Attorneys fo, PlAinpiff
JURS {Onn 4
Sign: =
By
Print: R
WORD R
PR. R MoT ILSHAN
WE
Holly R. Nelon, Esq.XX
ARE ATTEMPTING TO COLLECT A DEBT. ANY INFORMATION OBTAINED WILL BE
USED FOR THAT PURPOSE. THIS COMMUNICATION IS FROM A DEBT COLLECTOR.
MATTHEW DAVID MULHALL
Notary Public
Concecticut,
My pie eo 4 2) wh DS CF:
TOLLAND JUDICIAL DISTRICT File No.1463447
AT ROCKVILLE
Ds3C 0201
--- Ref# 165923 031 cc
-
BANK OF AMERICA, N A.
Plaintiff, STIPULATION OF
-against- SETTLEMENT
AHMAD MOAZZAM
Docket No. TTD-CV-23-6026626S
Def sn¢ant (s)
--
State of Connecticut
County of ar Herb SS: (Town/City)
ACKNOWLEDGEMENT
on the [Ley of Ma , 20.13
d notary before me, the undersigne
public, appeared AHMAD’ MOAZZAM
who having been known to me or satisfactorily proven to be the person
described in the foregoing stipulation, acknowledged the same to be
his or her own free act and deed and executed the same before me.
In witness whereof I hereurto set my hand.
My Commission Expires: ALI (Loe
Print name and title Matthews Navid Mul ho [|
1 Au l
Signature of Notar Public
MATTHEW DAVID MULHALL
Notary Public
ity CommissioConnecticut
n Expires Dec 31, 2026
AGE, 2, 01