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  • US BANK TRUST NATIONAL ASSOCIATION NOT IN ITS INDIVIDUAL CAPACITY BUT SOLEY AS OWNER vs. THOMPSON, MARY LYNN HOMESTEAD FORECLOSURE $50,001-$249,999 document preview
  • US BANK TRUST NATIONAL ASSOCIATION NOT IN ITS INDIVIDUAL CAPACITY BUT SOLEY AS OWNER vs. THOMPSON, MARY LYNN HOMESTEAD FORECLOSURE $50,001-$249,999 document preview
  • US BANK TRUST NATIONAL ASSOCIATION NOT IN ITS INDIVIDUAL CAPACITY BUT SOLEY AS OWNER vs. THOMPSON, MARY LYNN HOMESTEAD FORECLOSURE $50,001-$249,999 document preview
  • US BANK TRUST NATIONAL ASSOCIATION NOT IN ITS INDIVIDUAL CAPACITY BUT SOLEY AS OWNER vs. THOMPSON, MARY LYNN HOMESTEAD FORECLOSURE $50,001-$249,999 document preview
  • US BANK TRUST NATIONAL ASSOCIATION NOT IN ITS INDIVIDUAL CAPACITY BUT SOLEY AS OWNER vs. THOMPSON, MARY LYNN HOMESTEAD FORECLOSURE $50,001-$249,999 document preview
  • US BANK TRUST NATIONAL ASSOCIATION NOT IN ITS INDIVIDUAL CAPACITY BUT SOLEY AS OWNER vs. THOMPSON, MARY LYNN HOMESTEAD FORECLOSURE $50,001-$249,999 document preview
						
                                

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Filing # 24585217 E-Filed 03/06/2015 02:23:07 PM IN THE CIRCUIT COURT OF THE FIRST JUDICIAL CIRCUIT, IN AND FOR ESCAMBIA COUNTY, FLORIDA. CASE No. 2014 CA 001582 Div. WN BANK OF AMERICA, N.A., PLAINTIFF, VS. MARY LYNN THOMPSON, ET AL. DEFENDANT(S). MOTION FOR DEFAULT Plaintiff moves for entry of a Default by the Clerk against defendant(s), Unknown Tenant #1, N/K/A Barbara Thompson, for failure to serve any paper on the undersigned since the filing of the Complaint. Gladstone Law Group, P.A. Attorney for Plaintiff 1499 W. Palmetto Park Road Suite 300 Boca Raton, FL 33486 Telephone #: 561-338-4101 Fax #: 561-338-4077 Email: eservice@gladstonelawgroup.com By: “Rostynes Ma {us 458794 Christine Mordis, Esq. FBN 65457 DEFAULT A Default is entered in this action against defendant(s) named in the above motion, for failure to serve or file any paper as required by law. Dated: Clerk of the Circuit Court B: Deputy Clerk Our Case #: 14-000068-FNMA-FR(13-001579)\2014 CA 001582 Div. WN\BOA IN THE CIRCUIT COURT OF THE FIRST JUDICIAL CIRCUIT, IN AND FOR ESCAMBIA COUNTY, FLORIDA. CASE No. 2014 CA 001582 Div. WN BANK OF AMERICA, N.A., PLAINTIFF, vs. MARY LYNN THOMPSON, ET AL. DEFENDANT(S). ) AFFIDAVIT OF NON-MILITARY SERVICE STATE OF FLORIDA COUNTY OF PALM BEACH BEFORE ME, the undersigned authority, personally appeared Ostune Aa us, who being first duly sworn, deposes and says: 1 Affiant is the attorney for Plaintiff in this action. 2. Affiant has caused an investigation to be made as to Defendant Unknown Tenant #1, N/K/A Barbara Thompson. Defendant is and has been over the age of 18 years at all times since the filing of this lawsuit. Defendant has not been on active duty with the military services of the United States of America since the filing of this lawsuit. Affiant cannot attempt to determine military status of the Defendant by conducting a Department of Defense Manpower Data as Affiant does not have Defendant's Social Security Number or Date of Birth. However, Affiant has reviewed the affidavit for return of service of process, and believes based on said affidavit that the Defendant is not presently engaged in active duty military service as contemplated by the Servicemembers Civil Relief Act at 50 U.S.C. App. §521. Attached hereto is the Affidavit of Retum of Service. Under penalties of perjury, I declare I have read the foregoing Affidavit and the facts stated are true and accurate based on personal knowledge. Gladstone Law Group, P.A. Date: MAR 0 6 2015 Attomey for Plaintiff 1499 W. Palmetto Park Road Suite 300 Boca Raton, FL 33486 Telephone #: 561-338-4101 Fax #: 561-338-4077 Email: eservice@gladstonelawgroup.com py: Rosyw-hius 15877 for Christine Morais, Esq. aN FBN 65457 Sworn tQ dub Tig ame on MAR 0 6 2015 2015 by Rosie Adaius S (SS? ho is p Hy’ cys Q \ aoe , es V COMI BE 845768 Notary Public Our Case #: 14-000068-FNMA-FR(13-001579)\2014 CA 001582 Div. WN\BOA orn f 22,2018 RETURN OF SERVICE CIRCUIT Court County of Escambia State of Florida Case Number. 2014 CA 001582 SANK OF AMERICA, N.A. vs. MARY CYNN THOMPSON, ET AL. For. Roger Gladstone, Esq. Gladstone Law Group, P.A. . am9to be served on Unknown 19th day of August, 2014 at 40:5 Received by GISSEN AND ZAWYER on the . Tenant #1, 121 Craft Street, Pensacola, FL 32514 I: the 20th day of August, 2014 at 4:45 pm, 1, Ron Magee, do hereby affirm that on OTICE OF LIS PENDENS, n with a true copy of this SUMMONS, N! individually Served the within named perso da te and hour endorsed thereon by me, pursuant to State Statutes. VERIFIED COMPLAINT, EXHIBITS with the NOT IN THE U.S. MILITARY Military Status: INDIVIDUAL SERVED WAS served, Defendant is not married. Marital Status: Based upon inquiry of party Additional Information pertaining to this Service: PERTY IS NOT A MOBILE HOME NIK/A BARBARA THOMPSON, MOTHER. PRO on in age and have proper authority in the jurisdicti thatif \ cert y ni ‘0 interest in the above action, am of legal | have which this service was made. stated in it are true. NO read the foregoing document and the facts Under Penalties of Perjury, I declare | have 5(2). NOTARY REQUIRED PUR! SUANT TO F.S. 92.52 Ron Magee Process Server GISSEN AND ZAWYER 3185 N W 82nd Avenue Suite 100 Miami, FL 33122 (308) 371 |~A664 ‘Our Job Serial Number: ZPS-2014030077 Ref: 1 ht 1 Detabase Serviess, inc. - Process Server's Tootbox VE.Sa © 1992-201 Copyig