On March 12, 2019 a
Party Discovery
was filed
involving a dispute between
Barclays Bank Delaware,
and
Briske, Chester S,
for Matter Involving Claims more than $8000 but less than $15,000
in the District Court of Indian River County.
Preview
Filing # 89104978 E-Filed 05/07/2019 01:04:13 PM
IN THE COUNTY COURT IN AND FOR
INDIAN RIVER COUNTY, FLORIDA
CASE NO.: 2019 CC 000506
BARCLAYS BANK DELAWARE
Plaintiff, REQUEST FOR ADMISSIONS
VS. Attorney Bar No: 0037092
CHESTER S BRISKE
Defendant(s)
/
COMES NOW, the Plaintiff, pursuant to Rule 1.370 of the Florida Rules of Civil
Procedure, and request the Defendant(s) to admit or deny the truthfulness of the matters asserted
hereafter. The matter is deemed admitted unless the party to whom this request is directed serve:
upon the Plaintiff a written answer or objection addressed to the matter within 30 days afte’
service of this request or such shorter or longer time as the court may allow.
1. Admit that you applied for the credit card which is the subject matter of this litigation.
2. Admit that you used the credit card which is the subject matter of this litigation.
3. Admit that you incurred the charges that form the basis of the debt sued upon.
4, Admit that you never filed a written dispute of the charges that appeared on a billing
statement of your credit card account.
5. Admit that you failed to make payment(s) when due towards the credit card account
sued upon.
6. Admit that the Plaintiffhas standing to bring this lawsuit.
7. Admit that the allegations Complaint are true and correct..
8. Admit that you owe the Plaintiff the amount sued for in the Complaint.
9. Admit that the debt which is the subject matter of this lawsuit was assigned to
Plaintiff.
10. Admit that you have no evidence that the debt which is the subject matter of this
lawsuit was not assigned to Plaintiff.
11. Admit that Plaintiff did not file a breach of contract cause of action.
12. Admit that Plaintiff did not ask for any attorney’s fees in its complaint for damages.
13. Admit that you have a contractual relationship with the Plaintiff.
14, Admit that you do not have a contractual relationship with Plaintiff.
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing was furnished by mail
to: ANDREW C. STEELE, ESQ. email address: ASTEELE@ANDREWSTEELELAW.COM
on this day of » 2019.
May
HAYT, HAYT & LANDAU, P.L.
Attorneys for Plaintiff
7765 S.W. 87 Avenue, Suite 101
Miami, FL 33173
(305) 661-6660
Robert J. Orovitz
501379
BY:
Dana M. Stern, E FRN: 37092
Jason S. Dragutsky, Esq., FBN: 757551
Jennifer Cruz Mesa, Esq., FBN: 94459
Robert J. Orovitz, Esq., FBN: 501379
ESERVICE@HAYTFLA.COM
Our File No.: 390765
Please understand that this is an attempt to collect a debt and any information we obtain will be
used for that purpose.
Document Filed Date
May 07, 2019
Case Filing Date
March 12, 2019
Category
Matter Involving Claims more than $8000 but less than $15,000
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