On December 20, 2023 a
Affidavit in Support of Pet
was filed
for AC Suit on Account
in the District Court of Stoddard County.
Preview
23S D-AC 00724
STATE OF MISSOURI
Midiand Credit Management, Inc,
Plaintiff
“V+ AFFIDAVIT OF BRENDA BITTMAN
CAROLYN A ELLSWORTH,
Defendant(s). 4
2
Brenda Bittman, whose business address is 600'W. Saint Germain St Suite 200, St.
Cloud, MN 56301-3616, certifies and says:
I Lam employed as a Legal Specialist and have access to pertinent account records
for Midland Credit Management, Inc. ("Plaintiff or "MCM"). I am a competent person
over eighteen years of age, and make the statements herein based upon personal knowledge
of those account records maintained by Plaintiff. Plaintiff is the current owner of, and
was assigned all the rights, title and interest to Defendant's COMENITY BANK account
XXXXXXXXXXXXX
fA (MCM Number) (tereinafter "the Account").
2. I have access to and have reviewed the electronic records pertaining to the Account
maintained by MCM and am authorized to make this affidavit on MCM's behalf. The
electronic records reviewed consist of (i) data and records acquired from the seller or assignor
when MCM purchased or was assigned the Account, which were incorporated into MCM’s
business records upon purchase or assignment, and (ii) data and records generated by MCM
in connection with servicing the Account since the date the Account was purchased by or was
assigned to MCM.
3 i am familiar with and trained on the manner and method by which MCM creates
and maintains its business records pertaining to the Account, which consist of (i) data and
documents acquired from the seller or assignor, and (ii) subsequent collection and/or servicing
activities by MCM. The records are acquired or created, and are kept in the regular course of
MCM'ss business. It was in the regular course of MCM's business for a person with knowledge
of the subsequent collection and/or servicing activities recorded, and a business duty to report,
AFFIDAVIT OF BRENDA BITTMAN - I
(ienuaemene mary) Ag HORA
451
to make the record or data compilation, or to transmit information thereof to be included in
such record, or for such information to be posted in MCM's records by a computer or similar
digital means. In the regular course of MCM's business, the record or compilation of the
subsequent collection activities is made at or near the time of the act or event by MCM as a
regular practice.
4. MCM's records show that Defendant(s) owed a balance of $1,079.57 as of 2023-10-19
I certify under penalty of perjury that the foregoing statements are true and correct.
OCT 2 6 2025
Date
Outudle. (lta.
Brenda Bittman
STATE OF MINNESOTA.
COUNTY OF STEARNS
OCT
2 6 2023
Signed and sworn to (or affirmed) before me on
by Brenda Bittman.
GHRISTYLYNNEISS
Minnesota
Notary Public
le
ty Conmnseton
Expres tan 3t,
TAl
AFFIDAVIT OF BRENDA BITTMAN - 2
Aye
neem a AO (MLA
STATE OF MISSOURI
Midland Credit Management, Inc,
Plaintiff
-VS+ AFFIDAVIT OF BRENDA BITTMAN
CAROLYN ELLSWORTH,
ee :
Defendant(s). we
'
ot
Brenda Bittman, whose business address is 600 W. Saint Germain St Suite 200, St.
Cloud, MN 56301-3616, certifies and says:
1 Iam employed as a Legal Specialist and have access to pertinent account records
for Midland Credit Management, Inc. ("Plaintiff’ or "MCM"). I am a competent person
over eighteen years of age, and make the statements herein based upon personal knowledge
of those account records maintained by Plaintiff. Plaintiff is the current owner of, and
was assigned all the rights, title and interest to Defendant's COMENITY BANK account
XXXXXXKXXXXXX
A CMCM Number (hereinafter "the Account").
2 I have access to and have reviewed the electronic records pertaining to the Account
maintained by MCM and am authorized to make this affidavit on MCM's behalf. The
electronic records reviewed consist of (i) data and records acquired from the seller or assignor
when MCM purchased or was assigned the Account, which were incorporated into MCM's
business records upon purchase or assignment, and (ii) data and records generated by MCM
in connection with servicing the Account since the date the Account was purchased by or was
assigned to MCM.
3. Tam familiar with and trained on the manner and method by which MCM creates
and maintains its business records pertaining to the Account, which consist of (i) data and
documents acquired from the seller or assignor, and (ii) subsequent collection and/or servicing
activities by MCM. The records are acquired or created, and are kept in the regular course of
MCM's business. It was in the regular course of MCM's business for a person with knowledge
of the subsequent collection and/or servicing activities recorded, and a business duty to report,
AFFIDAVIT OF BRENDA BITTMAN - 1}
(AGEMENT IO (EEA
to make the record or data compilation, or to transmit information thereof to be included in
such record, or for such information to be posted in MCM's records by a computer or similar
digital means, In the regular course of MCM's business, the record or compilation of the
subsequent collection activities is made at or near the time of the act or event by MCM as a
regular practice.
4. MCM's records show that Defendant(s) owed a balance of $701.65 as of 2023-10-19.
l certify under penalty of perjury that the foregoing statements are true and correct.
OCT 2 6 2025
Mt. MOF bees.
te
Brenda Bittman
STATE OF MINNESOTA
COUNTY OF STEARNS
OCT 2.6 2025
Signed and sworn to (or affirmed) before me on
by Brenda Bittman.
CHRISTY LYNN BISS
Notary Public
Co g 31,808
TAl
AFFIDAVIT OF BRENDA BITTMAN - 2
NRA ANE GEG CAAA ANNIE
Document Filed Date
December 20, 2023
Case Filing Date
December 20, 2023
Category
AC Suit on Account
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