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  • Midland Credit Management Inc. vs Velazquez, Jesus, JrCivil document preview
  • Midland Credit Management Inc. vs Velazquez, Jesus, JrCivil document preview
  • Midland Credit Management Inc. vs Velazquez, Jesus, JrCivil document preview
  • Midland Credit Management Inc. vs Velazquez, Jesus, JrCivil document preview
						
                                

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Filing # 156964646 E-Filed 09/08/2022 08:35:22 AM STATE OF FLORIDA MIDLAND CREDIT MANAGEMENT, INC., Plaintiff -V$- AFFIDAVIT OF LOIS RIEFFER JESUS VELAZQUEZ JR, Defendant(s). Lois Rieffer, whose business address is 16 McLeland Road Suite 101, St. Cloud, MN 56303, certifies and says: l. I am employed as a Legal Specialist and have access to pertinent account records for MIDLAND CREDIT MANAGEMENT, INC. ("Plaintiff"). I am a competent person over eighteen years of age, and make the statements herein based upon personal knowledge of those account records maintained by Plaintiff Plaintiff is the current owner of, and/or successor to, the obligation sued upon, and was assigned all the rights, title and interest to Defendant's SYNCHRONY BANK account XXXXXXXXXXXX6376 (MCM Number 30300271 1) (hereinafter "the account"). 2. l have access to and have reviewed the electronic records pertaining to the account maintained by Plaintiff and am authorized to make this affidavit on Plaintiff's behalf. The electronic records reviewed consist of data acquired from the seller or assignor when Plaintiff purchased or was assigned the account, together with records generated by Plaintiff in connection with servicing the account since the date Plaintiff purchased or was assigned the account. 3. l am familiar with and trained on the manner and method by which Plaintiff creates and maintains its business records pertaining to the Account. The records are kept in the regular course of business. It was in the regular course of business for a person with knowledge of the act or event recorded to make the record or data compilation, or for a person with knowledge to transmit information thereof to be included in such record. In the regular course of business, AFIFIDAIV'1T oF LoIs RIEFFER - 1 I IL I IllllIIIIIIIIlullnullluuullllw IWHHIIIIII Illllllll =s r mm IWIIIIIIIIIIIWIHH 30300271 1 AFFREC 20-272788 9/8/2022 8:35 AM Electronically Filed; Hillsborough County/13th Judicial Circuit Page 1 | the record or compilation is made at or near the time of the act or event by Plaintiff as a regular practice. 4. Plaintiffs records show that Defendant(s) owed a balance of$1 1,8 l 3.62 as of 2020-12-03 . 5. The complete chain of title including SYNCHRONY BANK, the original creditor, and all post charge-offpurchasers/assignees of the debt are as follows: 1. SYNCHRONY BANK 2019-10-29 2. Midland Credit Management, Inc. I certify under penalty of perjury that the foregoing statements are true and correct. Q_EC 112@20 Date STATE OF MINNESOTA 54 //b* )"' ' COUNTY OF STEARNS DEC 1 12020 Signed and swam to (or affirmed) before me on by Lois Rieffer. Julie A Kimmes Notary Public 1 1/ ' ' 1bfAy" I1c , Minnesota mycununsseone¢a¢s01ra1mJ2s CAI37 AFF1DAV1'T oF Lols R1i8F1=ER`- 2 I 1IIIIIIMIIIIHIIHIIII IIIIHHII IIIIIIIIIII HI IH Illlll IIIIIIIIIIIIIIIII II H 11 30300271 1 AFFREC 20-272788 9/8/2022 8:35 AM Electronically Filed; Hillsborough County/13th Judicial Circuit Page 2