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  • Lent -v- Duenas Print Rule 3.740 Collections -Reduced Filing Fee Limited  document preview
  • Lent -v- Duenas Print Rule 3.740 Collections -Reduced Filing Fee Limited  document preview
  • Lent -v- Duenas Print Rule 3.740 Collections -Reduced Filing Fee Limited  document preview
  • Lent -v- Duenas Print Rule 3.740 Collections -Reduced Filing Fee Limited  document preview
						
                                

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V C N-‘I 05 Imoanev OR mm? mom ATTORNEY: sure am nu: NR COURT U38 ONLY WE: Dame] Lent D.B.A Capital Reclamations m. WE; P.o. Box 64 smeg- ms;Running Springs, CA 92382 cm: STATE: 2|? CWE: Iatapuone N0“ (95 l)23 1-41 1 1 mt No; F I LE supemoa coum 0F CALIFonmA D mum, mess: COUNTY 0F SAN Benumomo ATTORNEY FOR {may SAN BERNARmNo DISTRICT SUPERiOR COURT OF CAUFORNIA, COUNTY OF San Bemardmo sweet? mokess; , 05c 1 4 zuzz Mum maess: 247 W. Thlrd Street cm AND z“, CODE; San Bemardino CA 9241 5-0210 game” NAME: San Bemardino Courthouse BY: Jumm alarm», Dapmy Plaintiff/PetitionerDaniel Lent D.B.A Capital Reclamations Defendanthespondeni: Sandy DuenaS, REQUEST FOR (Appflcaflou) E] Entry 0f Default m Judgment CASE Nuaaena CIVSB2205622 For use only in actions under the Fair Debt Buying Practices Act (Civ. Code, § 1788.50 at seq.) 1. On the complaint or cross—complaint flied a. on (dale): 3/10/2022 b. by (name): Daniel Lent D.B.A Capital Reclamations a m Enter defauit of defendant (names): Sandy Duenas, d. K] Irequest a judgment under Civil Code section 1788.60 and Code of Civii Procedure semion 585 against defendant (names): Sandy Duenas, Wm (Testimony may be required. Check with the stark regarding whether a hearing date is needed.) 2. e. a. b. E] Defauit Judgment to be entered. Demand of compiaint‘ interest was previously entered on (date): $4500.00 $1629.86 mm $0.00 $0.00 $4500.00 $1629.86 W c. Costs (see page 3) $295.95 $0.00 $295.95 d. Attorney fees $0.00 $0.00 $0.00 e. TOTALS $6425.81 $0.00 $6425.81 (*Must be established by business mccrds, authenticated through a swam declamtion, submitted with this application. (Civ. Code, §§ 1788.58(a)(4}, 1788.6D(s).)) 3. This action is not barred by the appficabie stamte of limitations (Civ. Code, § 1788.56). 4. Requirements for the complaint. a. The compiaint alleges ALL of the foliowing (Civ. Code‘ §§ 1788.58, 1788.60): (1) That the plaintiff is a debt buyer; (2) A short. plain statement regarding the nature of the underiying 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 righis of all owners of the debt; (4) The debt balance at change-off and an expianetion of the amount and nature of, and reason for, all post~charge—off interest and fees, if any, imposed by the charge-off creditor or any subsequent purchasers of the debt; (5) The date of the default OR the date of the last payment; (6) The name and address of the charge—ofi creditor at the time of charge—off in sufficient form so as to reasonably identify the charge-ofi creditor, and the charge-of‘f creditors account number associated with the debt; Pmiofl Form Mom f0! Mandatory Use REQUEST FOR ENTRY 0F DEFAULT Code o! CM Procedure. § 585; Judm mum! Of California CM! 0066‘ § 1 788.60 awmsmeuamaymozo] (Fair Debt Buying Practices Act) mmmmgw .I \r V cw-ms Hainfiff/pemioner: Daniel Lent D.B.A Capital Reclamations CASE NUMBER; l Defendant/Respondent; Sandy Dumas et 31 Clvs32205622 4. a. (7) The name and last known address of the debtor as they appeared in the charge-off creditor's records prior to the sale of the debt; (8) The names and addresses of ail persons or entities that purchased the debt after charge—off, induding the plaintiff debt buyer, in sufficient focm so as to reasonably identify each such purchaser; and (9) That the plaintiff has complied with Civil Code section 1788.52. b. A copy of the contract or other document described in Civil Code section 17885203) is attached to the complaint. 5. Documentation requirements for defaultjudgmant ALL of the following documents are submitted with this request for default judgment (Civ. Code, § 1788.60(a)—(c)): a. A copy of the contract or other document evidencing the debtor's agreement to the debt, authenticated through a sworn dedaration. See Civil Code section 1788.52(b) regarding documentation, induding for revolving credit accounts. b. Business records, authenticated through a sworn dedaration. to establish: (1) That the plamflff is EITHER the sole owner of the debt OR has the authority to assert the rights of all owners of the debt; (2) 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. imposed by the charge~off creditor or any subsequent purchasers of the debt: (3) The date of the default 0R the date of the last payment (4) 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; (5) The name and last known address of the debtor as they appeared in the chargeoff creditor's records prior to the sate of the debt; and (6) The names and addresses of all persons or entities that purchased the debt after charge-off, including the plaintiff debt buyer, in sufficient form so as to reasonably identify each such purchaser. M ’% Date; 1 1/3 0/2022 ’Daniel Lent , W (TYPE OR PRINT NAME) (SIGNATURE OF PLAINTIFF 0R ATTORNEY FOR PLAINTIFF) ' A Edaamme BUMP.“ FOR caum' USE ONLY (1) (2) efault entered Default document assistant or unlawful deminer assistant NOT entered as as requested on (date): requested (stare mesmg Eel 4 Cierk, by I | l 2022 I W l (Bus. & Prof. Code, § 6400 et seq.) A legal document assistant or Deputy 6. Legal unlawful detainer received any assistant- did help or advice for pay from a legal a did not document for compensation give advice or assistance with this form. If declarant has assistant or unlawfui detainer assistant, state: a. Assistant’s name: Annmarie Jackson c. Telephone no.: (951) 250-6054 b. Street address, city. and zip code: d. County of registration: Riverside 6461 Avenida Mariposa e. Registration no.: 243 Riverside, CA 92506 f. Expires on (date): 4/25/21 7. Declaration under Code Civ. Prom, § 585.5 (for entry ofdefault under Code Civ. Proc., § 585(6)). This action a. E] is is not on a contract or installment sale for goods or services subject to Civ. Code, § 1801 et seq. (Unmh Act). b. [:3 is is not on a conditional sales contract subject to Civ. Code. § 2981 et seq. (Rees—Levering Motor Vehicle Salas and Finance Act). c. is [:3 is not on an oingation for goods, services. loans, or extensions of credit subject to Code Civ. Proc., § 395(b). mv‘wawaAanuary 1. 2020: REQUEST FOR ENTRY OF DEFAULT ”392°” (Fair Debt Buying Practices Act)