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  • WILMINGTON SAVINGS FUND SOCIETY FSB Vs. UNKNOWN TENANTS IN POSSESSION 1.et al REAL PROP/MTGE FRCL HOMESTEAD RES2 $50,001 - $249,999 document preview
  • WILMINGTON SAVINGS FUND SOCIETY FSB Vs. UNKNOWN TENANTS IN POSSESSION 1.et al REAL PROP/MTGE FRCL HOMESTEAD RES2 $50,001 - $249,999 document preview
  • WILMINGTON SAVINGS FUND SOCIETY FSB Vs. UNKNOWN TENANTS IN POSSESSION 1.et al REAL PROP/MTGE FRCL HOMESTEAD RES2 $50,001 - $249,999 document preview
  • WILMINGTON SAVINGS FUND SOCIETY FSB Vs. UNKNOWN TENANTS IN POSSESSION 1.et al REAL PROP/MTGE FRCL HOMESTEAD RES2 $50,001 - $249,999 document preview
  • WILMINGTON SAVINGS FUND SOCIETY FSB Vs. UNKNOWN TENANTS IN POSSESSION 1.et al REAL PROP/MTGE FRCL HOMESTEAD RES2 $50,001 - $249,999 document preview
  • WILMINGTON SAVINGS FUND SOCIETY FSB Vs. UNKNOWN TENANTS IN POSSESSION 1.et al REAL PROP/MTGE FRCL HOMESTEAD RES2 $50,001 - $249,999 document preview
  • WILMINGTON SAVINGS FUND SOCIETY FSB Vs. UNKNOWN TENANTS IN POSSESSION 1.et al REAL PROP/MTGE FRCL HOMESTEAD RES2 $50,001 - $249,999 document preview
  • WILMINGTON SAVINGS FUND SOCIETY FSB Vs. UNKNOWN TENANTS IN POSSESSION 1.et al REAL PROP/MTGE FRCL HOMESTEAD RES2 $50,001 - $249,999 document preview
						
                                

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Filing # 169796013 E-Filed 03/28/2023 12:01:03 PM IN THE CIRCUIT COURT OF THE SIXTH JUDICIAL CIRCUIT IN AND FOR PINELLAS COUNTY, FLORIDA WILMINGTON SAVINGS FUND SOCIETY, FSB, NOT IN ITS INDIVIDUAL CAPACITY BUT SOLELY AS OWNER TRUSTEE OF CSMC 2021-JR1 TRUST, Plaintiff, CASE NO.: 23-000465-CI vs. PEARLINE FIELDS; UNKNOWN SPOUSE OF PEARLINE FIELDS;, et. al., Defendant(s). / NOTICE OF FILING SUPPORTING AFFIDAVIT AS TO ATTORNEY’S FEES Plaintiff, WILMINGTON SAVINGS FUND SOCIETY, FSB, NOT IN ITS INDIVIDUAL CAPACITY BUT SOLELY AS OWNER TRUSTEE OF CSMC 2021-JR1 TRUST, by and through undersigned counsel, hereby gives Notice of Filing the attached SUPPORTING AFFIDAVIT AS TO ATTORNEY’S FEES, in the above referenced matter. I certify that a copy hereof has been furnished to the parties on the attached service list by mail if no e-mail address is indicated or by e-mail if an e-mail address is indicated on March 28, 2023. POPKIN & ROSALER, P.A. Attorney for Plaintiff 1701 West Hillsboro Blvd, Suite 400 Deerfield Beach, FL 33442 Telephone: (954) 360-9030 Facsimile: (954) 420-5187 By: /s/ Corey Ohayon Ƒ BRIAN L. ROSALER Florida Bar No.: 0174882 Ŷ COREY M. OHAYON Florida Bar No.: 0051323 Designated primary email address: pleadings@popkinrosaler.com 22-49926 ***ELECTRONICALLY FILED 03/28/2023 12:01:03 PM: KEN BURKE, CLERK OF THE CIRCUIT COURT, PINELLAS COUNTY*** SERVICE LIST CASE NO.: 23-000465-CI Pearline Fields 2700 Penzance Street Palm Harbor, Fl 34684 Unknown Tenant(S) In Possession #1 N/K/A Tyrone Fields 2700 Penzance Street Palm Harbor, Fl 34684 22-49926 IN THE CIRCUIT COURT OF THE SIXTH JUDICIAL CIRCUIT IN AND FOR PINELLAS COUNTY, FLORIDA WILMINGTON SA VJNGS FUND SOCIETY, FSB, NOT IN ITS INDIVIDUAL CAPACITY BUT SOLELY AS OWNER TRUSTEE OF CSMC 2021- JR1 TRUST, Plaintiff, CASE N0.:23-000465-Cl vs. PEARLINE FIELDS; UNKNOWN SPOUSE OF PEARLINE FIELDS;, et. a!., _______________________________! Defendant(s). SUPPORTING AFFIDAVIT AS TO ATTORNEY'S FEES STATE OF FLORIDA COUNTY OF BROWARD BEFORE ME, the undersigned authority, duly authorized to administer and take oaths, personally appeared KENNETH L. SALOMONE, ESQUIRE, who after being first duly sworn says as follows; I. Affiant is an attorney licensed to practice law in the State of Florida, having been admitted to the Florida Bar in 1991. 2. Affiant has experience in foreclosures of mortgages and notes and is familiar with the amount customarily charged by attorneys and allowed by the Court for attorney's fees in such actions. Affiant knows the reasonable value of said services and has reviewed the file in this cause. 3. Affiant is familiar with the factors to be considered in determining the reasonableness of a fee outlined in Fla. Bar Code Prof. Resp., D.R. 2-106(B) and under Florida Patient's Compensation Fund v. Rowe, 472 So.2d 1145 (Fla. 1985). 22-49926 4. Affiant believes the sum of $870.00 would be a reasonable attomey's fee to be allowed Plaintiffs' attorney due to the amount of time expended in the prosecution ofthis lawsuit. STATE OF FLORIDA COUNTY OF BROWARD ,...\ \'.I •v• • • • • FURTHER AFFIANT SA YETH NAUGHT. ( \ 1 \ .NIETH L. SALOMONE, ESQUIRE ••• • a\J?arNo.: • • • • 893481 The foregoing instrument was acknowledged before me by means of [Zl physical presence or 0 MAR- 2 online notarization, this - - - -3-2023 - - - - - - ' by KENNETH L. SALOMONE, who is personally known to me. My Commission Expires: State of Florida BRIAN LEE ROSALER Comrnl:mlon # GG 289776 Exp!ros March :20, 2023 Bvw.l't\1 rtuu fiu