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  • BARCLAYS BANK DELAWARE vs. BRISKE, CHESTER S Matter Involving Claims more than $8000 but less than $15,000 document preview
  • BARCLAYS BANK DELAWARE vs. BRISKE, CHESTER S Matter Involving Claims more than $8000 but less than $15,000 document preview
  • BARCLAYS BANK DELAWARE vs. BRISKE, CHESTER S Matter Involving Claims more than $8000 but less than $15,000 document preview
  • BARCLAYS BANK DELAWARE vs. BRISKE, CHESTER S Matter Involving Claims more than $8000 but less than $15,000 document preview
						
                                

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Filing # 89327672 E-Filed 05/10/2019 02:42:48 PM. IN THE COUNTY COURT OF THE NINETEENTH JUDICIAL CIRCUIT, IN AND FOR INDIAN RIVER COUNTY, FLORIDA BARCLAYS BANK DELAWARE, CASE NO: 31-2019-CC-000506 Plaintiff, Vv. CHESTER S BRISKE, Defendant. DEFENDANT’S RESPONSE TO PLAINTIFF’S REQUEST FOR ADMISSIONS COMES NOW, the Defendant, by and through his undersigned attorney and files these Responses to Plaintiff's Request for Admissions filed herein and says: Defendant is without knowledge as to paragraph 1 Defendant is without knowledge as to paragraph 2 Defendant is without knowledge as to paragraph 3 Defendant is without knowledge as to paragraph 4 Defendant is without knowledge as to paragraph 5 Defendant is without knowledge as to paragraph 6. Defendant is without knowledge as to paragraph 7 8 Defendant is without knowledge as to paragraph 8 9. Defendant is without knowledge as to paragraph 9. 10. Defendant is without knowledge as to paragraph 10. 11. Defendant is without knowledge as to paragraph 11 12. Defendant is without knowledge as to paragraph 12. 13. Defendant is without knowledge as to paragraph 13 14. Defendant admits 14 and looks forward to explaining to the Judge that the real purpose of these admissions were to lay a trap, instead of the genuine issue of getting to the truth. RESPECTFULLY SUBMITTED on this 10" day of May, 2019. By: /s/ Andrew C. Steele ANDREW C. STEELE, ESQUIRE Florida Bar No. 017475 astecle@andrewsteelelaw.com 1625 S. Washington Avenue, Suite D Titusville, FL 32780 -lof2- (321) 269-2882 CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the foregoing has been furnished to Jason S. Dragutsky, Esq., via E-service through the Florida Courts E-Portal to any and all E-mail addresses noticed/designated by aforementioned attorney in this case on this 10" day of May, 2019. By: /s| ANDREW C. STEELE Andrew C. Steele, Esquire -2o0f2-