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  • Mariner Finance, Llc v. Mckenzie R. Berndt Other Matters - Consumer Credit (Non-Card) Transaction document preview
  • Mariner Finance, Llc v. Mckenzie R. Berndt Other Matters - Consumer Credit (Non-Card) Transaction document preview
  • Mariner Finance, Llc v. Mckenzie R. Berndt Other Matters - Consumer Credit (Non-Card) Transaction document preview
  • Mariner Finance, Llc v. Mckenzie R. Berndt Other Matters - Consumer Credit (Non-Card) Transaction document preview
						
                                

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FILED: MONROE COUNTY CLERK 02/28/2020 06:59 AM INDEX NO. E2019011881 NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 02/28/2020 MONROE COUNTY CLERK’S OFFICE THIS IS NOT A BILL. THIS IS YOUR RECEIPT. Receipt # 2361052 Book Page CIVIL Return To: No. Pages: 2 ROBERT BRIAN GITLIN Instrument: AFFIDAVIT Control #: 202002280002 Index #: E2019011881 Date: 02/28/2020 MARINER FINANCE, LLC Time: 7:00:00 AM BERNDT, MCKENZIE R. Total Fees Paid: $0.00 Employee: State of New York MONROE COUNTY CLERK’S OFFICE WARNING – THIS SHEET CONSTITUTES THE CLERKS ENDORSEMENT, REQUIRED BY SECTION 317-a(5) & SECTION 319 OF THE REAL PROPERTY LAW OF THE STATE OF NEW YORK. DO NOT DETACH OR REMOVE. JAMIE ROMEO MONROE COUNTY CLERK 1 of 2 Index#:E2019011551 FILED: 2020022800G2 MONROE COUNTY CLERK 02/28/2020 06:59Mariner AM INDEX NO. E2019011881 ev v1f v v s .-, .., ..-0 FRI 16: 32 FAX William M Higgins EBq 444 Rochester NYSCEF DOC. NO. 4 RECEIVED NYSCEF: 02/28/2020 STATE OF NEW YORK SUPREME COURT COUNTY OF MONROE ...-........,............-......--...,-._...........--....--x MARINER FINANCE, LLC, AFFIDAVIT OF FACTS CONSTITUTING THE CLAIM THE DEFAULT AND THE AMOUNT DUE Plaintiff, vs. Index #E2019011881 McKENZIE R. BERNDT Defendant(s) ..-.._..............-------------------------------x STATE OF NEW YORK) SS: COUNTY OF MONROE) WILLIAM ERWIN. being duly sworn, deposes and says: 1. That the deponent is Branch Manager. of the plaintiff in the within action. 2. This action was commenced by the service of the summons and coîñplãint upon the defendant. 3. Deponent has reviewed the books and recordspertaining to the defendant's account sued upn, and has personal knowledge of the facts as they are alleged in the complaint heretofore tued herein, and is an action for breach of contract as more fully set forth in said coniplaint 4. That said Loan Agreement was neither a revolving nor open-end credit transaction. 5. Notice of Defhult (a copy of the summons and complaint) was, malled to the defendent/s) on J=nuary 3. 2020. a date which is at least 20 days prior to entry of this judgment and proof'of service thereof is annexed. 6. Dspoñcat knows from plaintiff's records that the defendant(s) is not a member of the military service. Wherefore deponent demands jud-tont against the defendant(s) in the sum of $2.661.34. with interest from December 8. 2019 together with the costs and disbursements of this action. . , WILLIAM ERWIN Sworn t fore me on the 11 D A . 2020. 2 of 2