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  • Credit Acceptance Corporation v. Pamela Winters aka Pamela J WintersOther Matters - Consumer Credit (Non-Card) Transaction document preview
  • Credit Acceptance Corporation v. Pamela Winters aka Pamela J WintersOther Matters - Consumer Credit (Non-Card) Transaction document preview
						
                                

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FILED: CLINTON COUNTY CLERK 09/15/2023 01:16 PM INDEX NO. 2023-00023118 NYSCEF DOC. NO. 10 RECEIVED NYSCEF: 09/15/2023 STATE OF NEW YORK SUPREME COURT COUNTY OF CLINTON CREDIT ACCEPTANCE CORPORATION ATTORNEY Plaintiff AFFIRMATION Index #2023-00023118 PAMELA WINTERS AKA PAMELA J. WINTERS Defendant, O Joseph M. Shur Shelly L. Baldwin, pursuant to CPLR § 2106 and under the penalties of perjury, affirms as follows: 1. I am an attorney duly licensed to practice law in the State of New York and I am O a partner an associate of the law firm of Relin, Goldstein & Crane, LLP, attorneys for Plaintiff in the above-titled a tion. As such, I am fully familiar with the underlying facts, circumstances and supporting documentation of this case. 2. This Affirmation is made in support of Plaintiff's application for a default judgment. 3. The cause of action forming the basis of Plaintiff's request for the entry of judgment accrued on November 20, 2020 in the state of Michigan. Upon information and belief, the statute of limitations in Michigan is four years. Based upon a reasonable inquiry, I have reason to believe that the Statute of Limitations did not expire at the time when this action was commenced. 4. Based on a review of the records supplied to my office by the Plaintiff, I have reason to believe that the applicable statute of limitations in New York State has not expired. Wherefore, Plaintiff respectfully requests judgment against the Defendant in the sum of $6,310.56, with interest from November 20, 2020 at the rate of 9%, together with the costs and disbursements of this action. Dated: O Jos ph M. Shur, Esq. Shelly L. Baldwin, Esq. 1 of 1