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  • Fage Foster, Jr. and Lisa Foster v. JPMorgan Chase Bank, N.A. and Federal Home Loan Mortgage CorporationContract - Other Contract document preview
  • Fage Foster, Jr. and Lisa Foster v. JPMorgan Chase Bank, N.A. and Federal Home Loan Mortgage CorporationContract - Other Contract document preview
  • Fage Foster, Jr. and Lisa Foster v. JPMorgan Chase Bank, N.A. and Federal Home Loan Mortgage CorporationContract - Other Contract document preview
  • Fage Foster, Jr. and Lisa Foster v. JPMorgan Chase Bank, N.A. and Federal Home Loan Mortgage CorporationContract - Other Contract document preview
  • Fage Foster, Jr. and Lisa Foster v. JPMorgan Chase Bank, N.A. and Federal Home Loan Mortgage CorporationContract - Other Contract document preview
  • Fage Foster, Jr. and Lisa Foster v. JPMorgan Chase Bank, N.A. and Federal Home Loan Mortgage CorporationContract - Other Contract document preview
  • Fage Foster, Jr. and Lisa Foster v. JPMorgan Chase Bank, N.A. and Federal Home Loan Mortgage CorporationContract - Other Contract document preview
  • Fage Foster, Jr. and Lisa Foster v. JPMorgan Chase Bank, N.A. and Federal Home Loan Mortgage CorporationContract - Other Contract document preview
						
                                

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Case Number 281045 FAGE FOSTER, JR. AND LISA FOSTER IN THE DISTRICT COURT OF Plaintiffs FORT BEND COUNTY, TEXAS JPMORGAN CHASE BANK, N.A. AND FEDERAL HOME LOAN MORTGAGE CORPORATION Defendants JUDICIAL DISTRICT STIPULATION AND MOTION FOR ENTRY OF CONSENT JUDGMENT Plaintiff Lisa Foster and Fage Foster Jr. the Fosters Plaintiff ) and defendant JPMorgan Chase Bank, N.A. (Chase) and Federal Home Loan Mortgage Corporation Freddie Mac collectively, the Parties file this Stipulation and Motion for Entry of Consent Judgment, and would respectfully show as follows: The Parties have agreed that the Fosters should take nothing on claims Chase and Freddie Mac asserted no claim in this suit. The arties stipulate as follows: (a) The Texas Home Equity Note dated February 24, 2017 in the original principal amount of $ signed by the Fosters (Note) and Texas Home Equity Security Instrument dated February 24, 201 signed by the Fosters (Security Instrument) were originated in compliance with the Texas Constitution’s requirements and contractual terms such that all contractual and constitutional origination requirements were satisfied. The Note, Security Instrument, and lien granted in the Security Instrument, including the power of sale and right to foreclose, are valid and enforceable and comply with the Texas Constitution and other applicable law (c) Any purported breach of the Note or Security Instrument by Chase, Freddie Mac TRU Mortgage, the lender, any mortgage servicer, or any holder of the Note was cured within the sixtieth day after the date the Fosters rovided notice of the alleged breach to the lender or holder of the Note TIPULATION AND OTION FOR NTRY OF ONSENT UDGMENT Page (d) Chase and Freddie Mac are entitled to a take nothing judgment on all claims the Fosters asserted in this suit. 4. The Parties request that the Court render a consent judgment in favor of Chase and Freddie Mac and against the Fosters in accordance with the Parties’ stipulation and that the Fosters take nothing on their claims. 5. The Parties have agreed to bear their own attorney’s fees and costs. Wherefore, the Fosters, Chase, and Freddie Mac request that the Court render a consent judgment in favor of Chase and Freddie Mac and against the Fosters in accordance with the Parties’ stipulation, that the Fosters take nothing on their claims, and for such other and further relief to which they may be justly entitled. Respectfully submitted, /s/Joshua D. Gordon Robert “Chip” Lane Texas Bar No. 24046263 Joshua D. Gordon Texas Bar No. 24091592 S. Alex Lick State Bar No. 24107844 The Lane Law Firm, P.L.L.C. 6200 Savoy Drive, Suite 1150 Houston, Texas 77036 713-595-8200 Telephone 713-595-8201 Facsimile notifications@lanelaw.com joshua.gordon@lanelaw.com alex.lick@lanelaw.com ATTORNEY FOR PLAINTIFFS LISA FOSTER AND FAGE FOSTER JR. STIPULATION AND MOTION FOR ENTRY OF CONSENT JUDGMENT Page 2 /s/ Wm. Lance Lewis Wm. Lance Lewis Texas Bar No. 12314560 R. Kendall Yow Texas Bar No. 24066806 Quilling, Selander, Lownds, Winslett & Moser, P.C. 2001 Bryan Street, Suite 1800 Dallas, Texas 75201 214-880-1833 Telephone 214-871-2111 Facsimile llewis@qslwm.com kyow@qslwm.com ATTORNEYS FOR DEFENDANTS JPMORGAN CHASE BANK, N.A. AND FEDERAL HOME LOAN MORTGAGE CORPORATION CERTIFICATE OF SERVICE This is to certify that on January 13, 2022, a true and correct copy of the foregoing document has been furnished to all parties in accordance with the Texas Rules of Civil Procedure. /s/Joshua D. Gordon Joshua D. Gordon STIPULATION AND MOTION FOR ENTRY OF CONSENT JUDGMENT Page 3