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  • Credit Acceptance Corporation vs Patrick Lindsay, Heather Geddes Consumer Credit Contract document preview
  • Credit Acceptance Corporation vs Patrick Lindsay, Heather Geddes Consumer Credit Contract document preview
  • Credit Acceptance Corporation vs Patrick Lindsay, Heather Geddes Consumer Credit Contract document preview
  • Credit Acceptance Corporation vs Patrick Lindsay, Heather Geddes Consumer Credit Contract document preview
  • Credit Acceptance Corporation vs Patrick Lindsay, Heather Geddes Consumer Credit Contract document preview
  • Credit Acceptance Corporation vs Patrick Lindsay, Heather Geddes Consumer Credit Contract document preview
						
                                

Preview

46-CV-22-588 Filed in District Court State of Minnesota 7/6/2022 4:43 AM M ESS E RLI I KRAM E R Telephone Representatives Available: AAA?_Is_soeRrIfi\l|EKYr§r2_errf/\CV 8 a‘m. - 7 p.m. Monday, Tuesday. Thursday 3°33 campus Drive ATTORNEYS AT LAW Suite 250 a am, - 5 pm Wednesday 8 a-m- ' 6 pm Fr'day . Plymouth. Minnesota 55441—2662 main 763-548-7900 fax 763-548-7922 Lobby Hours: _ toll free 844-417-6626 8 a-m. ~ 5 Pm. Monday Friday — TTY: 711 February 15, 2022 | Heather Geddes 220 ASH ST W TRIMONT, MN 56176 Our Client: Credit Acceptance Corporation Consumer: Patrick Lindsay and Heather Geddes Account Number: XXXX33 75 Balance: $17,749.20 Our File Number: 21—166703 Dear Heather Geddes: This letter is written in compliance with the Minnesota Rules of Civil Procedure, Rule 26.06 and the Minnesota Rules of General Practice for the District Courts, Rule 15.10. As such this letter is written in an effort to confer on a discovery 1 plan and also to discuss settlement. Please review the following information carefully. We have outlined a few options for you to review and respond as you feel appropriate: l) Contact our firm within the next fourteen days to work out a discovery plan. An attorney can be reached by calling 844—417-6626; or 2) Send us a letter within the next fourteen days listing your contact information and availability between the hours of 9:00-5:00 Monday through Friday. An attorney will then attempt to reach you to discuss a discovery plan; or 3) If you do not wish to collaborate on a discovery plan, attached is a proposed plan that we have formulated. If we do not hear from you within fourteen days we will assume the attached plan is acceptable and will present it to the Court when, and if, the case is filed. Very truly yours, MESSERLI & KRAMER PA IMPORTANT NOTICE This communication is from a debt collector and is an attempt to collect a debt. Any information obtained will be used for that purpose. MN_0303 rile No: 21—166703 46-CV-22-588 Filed in District Court State of Minnesota 7/6/2022 4:43 AM CONSUMER CREDIT CONTRACT STATE OF MINNESOTA DISTRICT COURT COUNTY OF MARTIN FIFTH JUDICIAL DISTRICT Credit Acceptance Corporation RULE 2606(0) DISCOVERY PLAN Plaintiff, vs. CW” F116 N0- Patrick Lindsay Heather Geddes Defendant(s). TO: Heather Geddes, that address is 220 ASH ST W TRIMONT, MN 56176 Pursuant to Rule 2606(0) of the Minnesota Rules of Civil Procedure, the parties submit the following Discovery Plan: (l) Plaintiff provided its 26.01(a) Required Disclosures on February 15, 2022. Plaintiffproposes Defendant provide his/her 26.01(a) Required Disclosures as soon as possible. (2) Discovery will be needed on any denial, dispute, or defense claimed or asserted by Defendant. Discovery should not be conducted in phases, but should be limited to the issues raised in Plaintiff’s Complaint and Defendant’s Answer. (3) Any of Plaintiff’s electronically stored information can be reproduced in hardcopy format. (4) Parties may claim privilege of or protection of trial—preparation materials at the time of production. If a party disagrees with a designation, the disagreeing party must object to the designation within fourteen days of receiving the document. If the parties are unable to resolve a designation dispute, the parties may petition the court for a determination. MN_O303 File N0121—l66703 46-CV-22-588 Filed in District Court State of Minnesota 7/6/2022 4:43 AM (5) No changes should be made to the limitations on discovery imposed under the Minnesota Rules of Civil Procedure or Local Rules. Plaintiff does not propose any other limitations. (6) The court need not issue any other orders under Rules 2603, 16.02, and 16.03 at this time. MESSERLI & KRAMER PA I! 2;) /:/2 Phong H. Nguyen v.4 M , g/ 3.7 ,. DATE: eSigned on 2/15/2022 in l-lennepin County, MN 3033 Campus Drive, Ste. 250 Plymouth, MN 55441 cc-litigation@messerlikramercom Ph#: (763) 548-7900 Fax#: (763) 548—7922 Dated: This _ day of ,2022 Heather Geddes DEFENDANT PRO SE MN_0303 File No: 21-166703