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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
  • 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 State of Minnesota District Court RAMSEY County Judicial District: SECOND Court File Number: Case Type: CONSUMER CREDIT CONTRACT Affinity Plus Federal Credit Union Plaintiff Civil Cover Sheet vs (Non-Family Case Type) Minn. R. Gen. Prac. 104 Aggrey Kwame Defendant Date Case Filed: November 15, 2023 This civil cover sheet must be filed by the initial filing lawyer or party, if unrepresented by legal counsel, unless the court orders all parties or their legal counsel to complete this form. Once the initial civil cover sheet is filed, opposing lawyers or unrepresented parties who have not already been ordered to complete this form may submit their own cover sheet within 7 after days being served with the initial cover sheet. See Rule 104 of the General Rules of Practice for the District Courts. If information is not known to the filing party at the time of filing, it shall be provided to the Court Administrator in writing by the filing party within seven (7) days of learning the information. Any party impleading additional parties shall provide the same information to the Court Administrator. The Court Administrator shall, upon receipt of the completed certificate, notify all parties or their lawyers, if represented by counsel, of the date of filing the action and the file number assigned. ATTORNEY FOR PLAINTIFF ATTORNEY FOR DEFENDANT MESSERLI & KRAMER PA William Kline Attorney Name #1981583 17850 Fitch Ave. Suite 150 Marcus S. Boston, #0401167 Date: Postal Address 3033 Campus Drive. Ste. 250 Plymouth, MN 55441 IRVINE _C_A 92614 Ph#: (763) 548-7900 City State Zip Code Fax#: (763) 548-7922 (800) 316 3133 - Telephone Number CIV117 State ENG Rev 1/20 www.mncourts.gov/forms Page 1 of 4 MN_0245 File No: 23-112610 62-CV-23-6188 Filed in District Court State of Minnesota 11/20/2023 2:59 AM cc-litigation@messer11kramer.com E—mail address williamk@guardianlit.com E-mail address Minnesota Attorney License No. PLAINTIFF, Self—represented DEFENDANT. Self-represented Name Name Postal Address Postal Address City State Zip Code City State Zip Code ( ) Telephone Number ( l Telephone Number E-mail address E-mail address (Attach addition sheet for additional attorneys / patties) Note: If either Plaintiff or Defendant gets an attorney, the attorney's name, address, and attorney ID number must be in telephone number given writing to the Court Administ rator immediately. l. Provide a concise statement of the case including facts and legal basis: Plaintiff alleges that Defendant owes a principal balance of $5,482.81 plus other costs as alleged in the Complaint. 2. Date Complaint was served: June 10, 2023 3. For Expedited Litigation Track (ELT) Pilot Courts only: a. D the parties jointly and voluntarily agree that this case shall be gove rned by the Special Rules for ELT Pilot. Date of agreement: b. E The court is requested to consider excluding this case from ELT for the follo wing reasons: Case ready for Adiudication CIV117 State ENG Rev 1/20 www.mncourts.gov/forms Page 2 of 4 MN_0245 File N0: 23-l12610 62-CV-23-6188 Filed in District Court State of Minnesota 11/20/2023 2:59 AM Note: ELT is mandatory in certain cases, and where mandatory, exclusion may also be sought by timely motion under the Special Rules for ELT Pilot. c. Anticipated number of trial witnesses: d. Amount of medical expenses to date: e. Amount of lost wages to date: f. Identify any known subrogation interests: 4. For Complex Cases (See Minn. Gen. R. Prac. 146): a. Is this a "complex case" as defined in Rule 146? D Yes No b. State briefly the reasons for compl ex case treatment for this case: c. Have the parties filed a "CCP Election" for this case as provided in Rule 146(d)? D Yes g No 5. Estimated discovery completion within months from the date of this form. 6. Disclosure / discovery of electronically stored information discussed with other party? No E] Yes, date of discussion: If Yes, list agreements, plans, and disputes: 7. Proposed trial start date: September 14, 2024 8. Estimated trial time: O days 2 hours (estimates less than a day must be stated in hours). 9. Jury trial is: waived by consent of Affinity Plus Federal Credit Union pursuant to Minn. R. Civ. P. 38.02. D requested by (NOTE: Applicable fee must be enclosed) (Specify party) 10. Physical/mental/blood examination pursuant to Minn. R. Civ. P. 35 is requested: E] Yes flNo 11. Identify any party or witness who will require interpreter services, and describe the service s needed (specifying language, and if known, particular dialect): None 12. Issues in dispute: Debt l3. Case Type / Category: #3A (NOTE: select case types from the Civil Case Type Index found at http://www.mncourts.gov/1nncourtsgov/media/scao_libraiy/doc uinents/eFile%20Support/Handout-Case- Type-Index.pdf.) CIV11'7 State ENG Revt/ZO www.mncourts.gov/torms Page 3 of 4 MNw0245 File N0: 23-112610 62-CV-23-6188 Filed in District Court State of Minnesota 11/20/2023 2:59 AM 14. Recommended Alternative Dispu Resolution te (ADR) mechanism: None (See list of ADR processes set fortli in Minn. Gen. R. Prac. 114.02(a)) Recommended ADR provider (known as a "neutral"): Recommended ADR completion date: If applicable, reasons why ADR not appro priate for this case: Case ready for adjudication, settlement efforts made, non-c omplex money recovery matter involving small balance with an established claim By signing below, the attorney or party subm itting this form certifies that the above information is true and correct. MESSERLI & KRAMER PA //«/§ Zea: Marcus S. Boston, #0401167 Date: 3033 Campus Drive, Ste. 250 Plymouth, MN 55441 cc-litigation@messerlikramer.com Ph#: (763) 548-7900 Fax#: (763) 548-7922 CIV117 State ENG Rev 1/20 www.mncourtsgov/forms Page 4 of 4 MN_0245 File No: 23-112610