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  • Degelman, James C Vs Unknown Spouse Real Property Mortgage Foreclosure document preview
  • Degelman, James C Vs Unknown Spouse Real Property Mortgage Foreclosure document preview
						
                                

Preview

IN THE CIRCUIT COURT OF THE TWENTIETH JUDICIAL CIRCUIT, IN AND FOR COLLIER COUNTY, FLORIDA GENERAL JURISDICTION DIVISION AURORA LOAN SERVICES, LLC, Case No.: 2009-CA-005801 Plaintiff, v. : 3 < o = JAMES C. DEGELMAN, et al., \ 1 = pa Defendant. Aye 64 3 © / Ny Me 2 2 MOTION FOR REFERRAL TO MEDIATION LL og DS 4 1g ALNNGS B3ITI09 yard a COMES NOW, the Defendant, JAMES C. DEGELMAN (hereinafter, te “Defendant”), by and through undersigned Counsel, and requests this Court enter an Order referring the parties hereto to Mediation pursuant and as grounds in support would state: That this action involves the Defendant’s primary residence. 2. That the Defendant requests mediation pursuant to Fla.R.Civ.P. 1.700 and Chapter 44, Florida Statutes. 3. Moreover, Defendant requests mediation pursuant to the Florida Supreme Court Administrative Order, AOSC 09-54. 4. That the undersigned Counsel believes that this procedure will be effective in resolving this case. 5. That the Defendant is desirous in keeping the subject property. WHEREFORE, Defendant, by and through undersigned counsel, requests this Honorable Court refer this case to mediation, have Plaintiff coordinate mediation withand notify Defendant’s counsel of the scheduled mediation, and for such other and further relief as this Court deems just and proper. CERTIFICATE OF SERVICE I HEREBY CERTIFY that I have furnished a true and correct copy of the foregoing to: Andrew S. Kanter, Esq., Attorney for Plaintiff, of Albertelli Law, P.O. Box 23028, Tampa, FL 33623, by U. S. Mail today April 27, 2011. Sean A. oe 4 Florida Bar No. 0084494 Kaufman, Englett & Lynd, PLLC 111 N. Magnolia Ave., Suite 1500 Orlando, FL 32801 Telephone No.: (407) 513-1900 Facsimile No.: (407) 513-1983 Attorney for Defendant, JAMES C. DEGELMAN KEL File #11LAW16278