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  • WELLS FARGO BANK NA AS INDENTURE TRUSTEE - VS - ALBERT, GREGORY L et al HOMESTEAD RES. - $50,001 - $249,999 document preview
  • WELLS FARGO BANK NA AS INDENTURE TRUSTEE - VS - ALBERT, GREGORY L et al HOMESTEAD RES. - $50,001 - $249,999 document preview
  • WELLS FARGO BANK NA AS INDENTURE TRUSTEE - VS - ALBERT, GREGORY L et al HOMESTEAD RES. - $50,001 - $249,999 document preview
  • WELLS FARGO BANK NA AS INDENTURE TRUSTEE - VS - ALBERT, GREGORY L et al HOMESTEAD RES. - $50,001 - $249,999 document preview
  • WELLS FARGO BANK NA AS INDENTURE TRUSTEE - VS - ALBERT, GREGORY L et al HOMESTEAD RES. - $50,001 - $249,999 document preview
  • WELLS FARGO BANK NA AS INDENTURE TRUSTEE - VS - ALBERT, GREGORY L et al HOMESTEAD RES. - $50,001 - $249,999 document preview
						
                                

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Filing # 10887734 Electronically Filed 03/03/2014 04:08:53 PM IN THE CIRCUIT COURT OF THE EIGHTH JUDICIAL CIRCUIT IN AND FOR ALACHUA COUNTY, FLORIDA WELLS FARGO BANK, N.A., AS CASE NO.: 01-2012-CA-004631 INDENTURE TRUSTEE FOR THE REGISTERED HOLDERS OF IMH ASSETS CORP., COLLATERALIZED ASSET- BACKED BONDS, SERIES 2005-2, Plaintiff, VS. GREGORY L. ALBERT; et al., Defendant(s). / P LAINTIFF, WELLS FARGO ETN INR BANK, Ne N.A., AS IN INDENTURE TRUSTEE ERE FOR EI THE REGISTERED HOLDERS OF IMH ASSETS CORP., COLLATERALIZED ASSET- BACKED BONDS, SERIES 2005-2’S, EXHIBIT LIST COMES NOW the Plaintiff, WELLS FARGO BANK, N.A., AS INDENTURE TRUSTEE FOR THE REGISTERED HOLDERS OF IMH ASSETS CORP., COLLATERALIZED ASSET-BACKED BONDS, SERIES 2005-2, by and through their undersigned counsel, and file and serve their Exhibit List, and disclose the following Exhibits in accordance with this Court’s Order Setting Non-Jury Trial and Directing Pre-Trial and Mediation Procedures: 1 Original and/or copy of the promissory note for the subject loan, including any allonges, affidavits or attachments thereto. Original and/or copy of mortgage for the subject loan, including any riders or attachments thereto. Copy of the assignment of mortgage for the subject loan, including any riders or attachments thereto, along with any documents evidencing a merger or acquisition of Plaintiffs predecessors in interest. The Pooling and Servicing Agreement relating to the subject loan, including the mortgage loan schedule associated with the loan. Plaintiff's Counsel’s Affidavit of Attorney as to Fees. Plaintiff's Counsel’s Affidavit of Costs along with any documents to support the costs. Affidavit by expert as to reasonableness of Plaintiffs Counsel’s Attorney’s Fees 1221-412B "2012 CA 004631" 10887734 Filed at Alachua County Clerk 03/03/14 04:09:02 PM EST Copy of the default letter. Copy of payment history for the subject loan. 10 A copy of any and all documents that support the amounts that the Plaintiff asserts is due and owing from the Defendant borrower. 11 Any and all documents contained or available within the public records of the state of Florida. Any and all depositions transcripts, including any and all exhibits thereto. 12 Any and all answers to interrogatories propounded, answered and/or responded to in this action. . 13 Any and all materials that were produced in response to interrogatories, request for production, admissions, notices of production of non-party and subpoenas duces tecum with or without deposition. / 14. Any and all materials produced at or attached as exhibits to any and all depositions. 15 Any and all applicable ordinances, codes, rules, and statutes. 16 Any and all exhibits listed by all parties to this action, without waiving objections thereto. 17 Any and all articles, journals or materials that are accepted as authoritative on the issues on this case. 18 Any and all demonstrative evidence including but not limited to charts, diagrams, blowups, animations, and other exhibits. 19 Any and all expert witness reports, notes and records generated by any witness testifying on behalf of any of the parties herein. 20. Curricula vitae for any and all expert witnesses. 21 Any and all reports, documents or other writing prepared by any witness. 22. Any rebuttal and impeachment evidence. 23 Plaintiff reserves the right to add to, delete from, or modify the foregoing list. 24 Any and all exhibits listed by the Defendant on their Exhibit List(s). 25 Any and all documents previously and contained in the Court Record. 26 Any and all documents that reflect the ownership, holding or servicing transfers 1221-412B CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the foregoing was provided via E- Mail or Regular U.S. Mail to the parties listed on the service list on this O day of —Febrdayen LY. ALDRIDGE | CONNORS, LLP Attorney for Plaintiff 1615 South Congress Avenue Suite 200 Barrie Krumholz, Esq. Delray Beach, FL 33445 Telephone: (561) 392-6391 F.B.N.# 47063 Facsimile: (561) 392-6965 y Byte Wk FEN Yes L [/ Primary E-Mail: ServiceMail@aclawllp.com Secondary E-Mail: Service List: By U.S. Mail: Gregory L. Albert 3150 Ne 13th St Gainesville, FL 32609 Chase Bank USA, N.A. 1201 Hays Street Tallahassee, FL 32301 1221-412B