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  • Jefferson Capital Systems, Llc v. Robert RockOther Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
  • Jefferson Capital Systems, Llc v. Robert RockOther Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
  • Jefferson Capital Systems, Llc v. Robert RockOther Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
  • Jefferson Capital Systems, Llc v. Robert RockOther Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
						
                                

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FILED: SCHENECTADY COUNTY CLERK 11/12/2021 12:15 PM INDEX NO. 2021-1112 NYSCEF DOC. NO. 6 RECEIVED NYSCEF: 11/12/2021 AFFIDAVIT OF FACTS AND PURCHASE OF ACCOUNT BY DEBT BUYER PLAINTIFF (Debt Buyer Actions) The undersigned, being duly sworn, deposes and says: 1. I am a/an [O employee O officer ® member] of Jefferson Capital Systems, LLC ("Plaintiff'), and I have access to Plaintiff's books and records ("Business Records"), including electronic records, relating to the account ("Account") of ROBERT ROCK. The last four digits of the Account number are 9942. In my position, I also have personal knowledge of Plaintiff's procedures for creating and maintaining its Business Records, including its procedures relating to the purchase and assignment of consumer credit accounts. Plaintiff's Business Records were made in the regular course of business, and it was the regular course of such business to make the Business Records. The Business Records were made at or near the time of the events recorded. Based on my knowledge of Plaintiff's Business Records, I have personal knowledge of the facts set forth in this affidavit. 2. On 07/30/2019 , Plaintiff purchased or was assigned the Account from Bluestem Brands, Inc. (the "Purchase"). At that time, Bluestem Brands, Inc. assigned all of its interest in the Account, including the right to any proceeds from the Account, to Plaintiff. As part of the Purchase, Business Records relating to the Account were transferred to Plaintiff. Following the Purchase, those Business Records were maintained in the ordinary course of Plaintiff's business. 3. As set forth in the affidavit(s) of Bluestem Brands, Inc. submitted herewith, the complete chain of title, with the date of each sale or assignment of the Account, is as follows: a. Web Bank 7/23/2019 {original creditor and date of sale/assignment] b. Bluestem Brands, Inc. 07/30/2019 [debt seller and date of sale/assignment] c. _____/_/ [debt seller and date of sale/assignment] d. ____/_____/ [debt seller and date of sale/assignment] 4. At this time, Defendant owes $1,235.77 on the Account. This amount includes the charge-off balance of $1,235.77, post-charge-off interest of $0.00, and post-charge-off fees and charges of $0.00, less post-charge- off credits or payments made by or on behalf of the Defendant of $_400. WHEREFORE, deponent demands judgment against Defendant for $1,235.77 (plus interest from ___)____/ [date], if applicable), together with the costs and disbursements of this action. The above statements are true and correct to the best of my personal k wle Dated: April 20, 2021 Signature Donna Larson Name Sworn to before me this 20th day of April 021. KAREN WOLBECK NOTARYPUBUC-MINNESOTA PU IC Jan. 31, 2024 Notary My Comm. Exp. 1 of 2 FILED: SCHENECTADY COUNTY CLERK 11/12/2021 12:15 PM INDEX NO. 2021-1112 NYSCEF DOC. NO. 6 RECEIVED NYSCEF: 11/12/2021 CERTIFICATE OF CONFORMITY I, Peter Williams, an attorney at law of the State of Minnesota, who resides in the State of Minnesota and is fully acquainted with the laws of the State of Minnesota pertaining to the acknowledgment or proof of deeds of real property to be recorded therein, do hereby certify that I am duly qualified to make this certificate of conformity pursuant to Section 299-a of the Real Property Law of the State of New York and hereby certify that the acknowledgment or proof upon the foregoing document was taken by Karen Wolbeck, a Notary Public in the State of Minnesota, in the manner prescribed by the faws of the State of Minnesota and conforms to the laws thereof in all respects. IN WITNESS WHEREOF, I have hereunto set my signature this 4/22/2021 by: DocuSigned 811D9C3A28034C4... Peter D. Williams Attorney-at-Law for the State of Minnesota 16 McLeland Road, St. Cloud, MN 56303 Ph: (320) 229-8554 Attorney ID # 0392540 2 of 2