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  • AFFINITY PLUS FEDERAL CREDIT UNION vs Aggrey Kwame Consumer Credit Contract document preview
  • AFFINITY PLUS FEDERAL CREDIT UNION vs Aggrey Kwame Consumer Credit Contract document preview
  • AFFINITY PLUS FEDERAL CREDIT UNION vs Aggrey Kwame Consumer Credit Contract document preview
  • AFFINITY PLUS FEDERAL CREDIT UNION vs Aggrey Kwame Consumer Credit Contract document preview
						
                                

Preview

62-CV-23-6188 Filed in District Court State of Minnesota 11/20/2023 2:59 AM CONSUMER CREDIT CONTRACT STATE OF MINNESOTA DISTRICT COURT COUNTY OF RAMSEY SECOND JUDICIAL DISTRICT Affinity Plus Federal Credit Union Plaintiff, DECLARATION OF VS. IDENTIFICATION, NON- MILITARY STATUS, AMOUNT Aggrey Kwame DUE AND COSTS AND Defendant(s) DISBURSEMENTS Court File N0. The undersigned states: that s/he is one of the attorneys for Plaintiff in the above-entitled action; that the Summons and Complaint in the action have been duly served on Defendant(s) and the Summons and Complaint according to the proof of said service duly filed in the office of the Clerk of said Court; that the time allowed by law and specified in said Summons for Defendant(s) to answer the Complaint in said action has elapsed, that an answer or other pleading has been received by or served upon Plaintiff or its attorney. Declarant further states that to the best of his/her knowledge, information and belief the full names and address of Defendant(s) is/are Aggrey Kwame 1400 CENTENNIAL DR APT 7 SAINT PAUL MN 55113 and that Defendant's occupation is Roseville Good Samaritan, Center Attn Payrolll415 Cnty Rd B W, Saint Paul MN 55113. Declarant further states that pursuant to a search of the Department of Defense Manpower Data Center the Defendant(s) above named, are not now in the military service of the United States and that this affidavit is made in compliance with the Servicemembers Civil Relief Act. Declarant further states that s/he has read the Complaint in this action and knows the contents thereof, and that the Complaint alleges that there is now due by Defendant(s) to Plaintiff on the debt set forth the amount of $5,482.81, plus interest from February 22, 2023, at the rate of 6.00% accrued to November 15, 2023, plus post-judgment costs and interest as applicable. Declarant further states that the following items of costs and disbursement by and on behalf of Plaintiff in said action are just, true and correct, and have been necessarily paid and incurred by Plaintiff in said action, to-wit: Page 1 of 2 MN_0745 File N0123-112610 62-CV-23-6188 Filed in District Court State of Minnesota 11/20/2023 2:59 AM 1 Costs allowed by Minn. Stat. § 549.02 $200.00 2 Hearing Fee $75.00 3 Sheriff's/Metro Legal Service Fees $165.00 4 Fees of Clerk of Court $305.00 5 Account Balance in Complaint $5,482.81 $0.00 6 (LESS) Credits Prior to Judgment 7 Accrued Interest $228.92 Total Amount to be Recovered $6,456.73 In the state of Minnesota, county of Hennepin, I declare under penalty of perjury that everything I have stated in this document is true and correct. Minn. Stat. § 358.116. MESSERLI & KRAMER PA MM #452533 Date ///W [j Brian A. Chou, #0332124 D Jefferson C. Pappas, #0304943 [j Jillian N. Walker, #0388575 D Stephanie S. Lamphere, #0396794 cia M. Westerhoff, #0398577 gig arcus S. Boston, #0401167 D Craig P. Henderson, #0402194 D Stephen M. Kaminsky, #0402966 cc—litigation@messerlikramer.com 3033 Campus Drive, Ste. 250 Plymouth, MN 55441 Ph#:(763)548-7900 Fax#:(763)548—7922 The above bill of costs and disbursements taxed and allowed at $ this day of , 20 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. Page 2 of 2 File No: 23—1 12610 MN_0745