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  • SCOTT THOMAS VS CENLAR AGENCY INC ET AL Mortgage Foreclosure (General Jurisdiction) document preview
  • SCOTT THOMAS VS CENLAR AGENCY INC ET AL Mortgage Foreclosure (General Jurisdiction) document preview
						
                                

Preview

WILLIAM G. MALCOLM #129271 -— 2 BRIAN S. THOMLEY #275132 MALCOLM ¢ CISNEROS A Law Corporation 2112 Business Center Drive, Second Floor DEC 29 2017 Irvine, California 92612 herei R. Uyrte” Uxoceitter GMs rCherh Telephone: (949) 252-9400 Bi 7S epuly, Telecopier: (949) 252-1032 ~ Glories Kev base Counsel for Cenlar FSB SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF LOS ANGELES - STANLEY MOSK COURTHOUSE 10 SCOTT THOMAS, an individual, Case No. BC656922 i BY FAX Plaintiff, Hon. William Fahey 12 V. DECLARATION OF DIANE 13 CONSTANTINE IN SUPPORT OF CENLAR, FSB; BAYVIEW LOAN MOTION FOR SUMMARY JUDGMENT 14 SERVICING, LLC, a Delaware Limited Liability Company; MTC FINANCIAL Date: March 2, 2018 15 INC. dba TRUSTEE CORPS, a California Time: 9:30 a.m. Corporation; and DOES 1-100, Dept: 69 16 INCLUSIVE Complaint Filed: Apr. 7, 2017 17 Defendants. Trial Date: April 2, 2018 18 Reservation No. 171213273963 19 20 I, DIANE CONSTANTINE, declare as follows: 21 1 1 am an Assistant Secretary of Defendant Cenlar FSB (“Cenlar”). In this capacity, 22 T have access to the business records of Cenlar as they pertain to the loan which is the subject of 23 this action. Those business records are made and kept in the ordinary course of business by 24 persons who have a duty to make such records on behalf of Cenlar. Those records are made at or 25 near the time of the occurrence of the event or events of which they are recorded. I have 26 personally reviewed those records and am familiar with their contents. If called upon as a o 27 witness, I would and could competently testify to them. 28 Mt 1 DECLARATION OF DIANE CONSTANTINE ISO MOTION FOR SUMMARY JUDGMENT