arrow left
arrow right
  • Esl Federal Credit Union v. Eileen M. Shufelt aka Eileen M. Shufet, John Doe And/Or Mary RoeReal Property - Mortgage Foreclosure - Residential document preview
  • Esl Federal Credit Union v. Eileen M. Shufelt aka Eileen M. Shufet, John Doe And/Or Mary RoeReal Property - Mortgage Foreclosure - Residential document preview
  • Esl Federal Credit Union v. Eileen M. Shufelt aka Eileen M. Shufet, John Doe And/Or Mary RoeReal Property - Mortgage Foreclosure - Residential document preview
  • Esl Federal Credit Union v. Eileen M. Shufelt aka Eileen M. Shufet, John Doe And/Or Mary RoeReal Property - Mortgage Foreclosure - Residential document preview
  • Esl Federal Credit Union v. Eileen M. Shufelt aka Eileen M. Shufet, John Doe And/Or Mary RoeReal Property - Mortgage Foreclosure - Residential document preview
  • Esl Federal Credit Union v. Eileen M. Shufelt aka Eileen M. Shufet, John Doe And/Or Mary RoeReal Property - Mortgage Foreclosure - Residential document preview
  • Esl Federal Credit Union v. Eileen M. Shufelt aka Eileen M. Shufet, John Doe And/Or Mary RoeReal Property - Mortgage Foreclosure - Residential document preview
  • Esl Federal Credit Union v. Eileen M. Shufelt aka Eileen M. Shufet, John Doe And/Or Mary RoeReal Property - Mortgage Foreclosure - Residential document preview
						
                                

Preview

INDEX NO. E2023004004 NYSCEF DOC. NO. 35 RECEIVED NYSCEF: 11/20/2023 MONROE COUNTY CLERK’S OFFICE THIS IS NOT A BILL. THIS IS YOUR RECEIPT. Receipt # 3644018 Book Page CIVIL Return To: No. Pages: 5 ESTHER S. GABRIEL 333 W. Washington Street Instrument: EXHIBIT(S) Suite 200 Syracuse, NY 13202 Control #: 202311200777 Index #: E2023004004 Date: 11/20/2023 ESL Federal Credit Union Time: 12:44:55 PM Shufelt, Eileen M. John Doe and/or Mary Roe Total Fees Paid: $0.00 Employee: State of New York MONROE COUNTY CLERK’S OFFICE WARNING — THIS SHEET CONSTITUTES THE CLERKS ENDORSEMENT, REQUIRED BY SECTION 317-a(5) & SECTION 319 OF THE REAL PROPERTY LAW OF THE STATE OF NEW YORK. DO NOT DETACH OR REMOVE. JAMIE ROMEO MONROE COUNTY CLERK MI A INDH&x HOE 228023001004 NYSCEF DOC. NO. 35 RECEIVED NYSCEF: 11/20/2023 EXHIBIT “N” FYEEBS’ MONROE COUNTY CLERK 11/20/2023 11:39 AM INDE€XN8 E 2823003000004 NYSCEF DOC. NO. 35 RECEIVED NYSCEF: 11/20/2023 | || STATE OF NEW YORK SUPREME COURT COUNTY OF MONROE ESL Federal Credit Union, Index No. E2023004004 Plaintiff Vv, PLAINTIFF’S AFFIDAVIT Eileen M. Shufelt aka Eileen M. Shufet; OF STANDING “John Doe” and/or “Mary Doe”, Defendants. STATE OF NEW YORK COUNTY OF MONROE ) SS.: Michelle Jones, being duly sworn, deposes and says: 1 T am Supervisor of Loan Payment Solutions of ESL Federal Credit Union, the Plaintiff (“Plaintiff”) in the above-entitled actio n for foreclosure. 2 The facts recited herein are from my own knowledge and from review of the documents and records kept in the ordinary cours e of business with respect to the servicing of this mortgage, to which I have access. 3 I have reviewed the Summons and Comp laint filed April 19, 2023, and hereby verify the truth of the allegations contained therein; the same is true to my own knowledg e, except as to the matters therein stated to be alleged upon information and belief and as to those matters, I believe them to be true. 4 The source of my knowledge and information is from busi ness records and accounts, 5 T am personally familiar with the record-k eeping practices and procedures of Plaintiff. HARRIS BEACH 3 ATTORNEYS aT Error! Unknown document property name. INDIEXNG E 2823003000004 \NYSCEF DOC. NO. 35 RECEIVED NYSCEF: 11/20/2023 6 In the regular performance of my job functions, I am familiar with business records maintained by Plaintiff in connection with the servi cing mortgage loans. I have personal knowledge concerning the preparation, maint enance and retrieval of business records maintained in Plaintiffs record keeping systems. These records (which include data compilations, electronically imaged documents, and others) are made at or near the time by, or from information provided by, persons with knowledge of the activity and transactions reflected in such records, and are kept in the course of regularly conducted busin ess activity. It is the regular practice of Plaintiff's mortgage servicing business to make these records. 7 In connection with making this affi davit, I have personally examined these business records reflecting data and information as of the date of the affidavit. 8 To the extent records relate to the subject of this foreclosure action come from another entity, those records were received by Plaintiff in the ordinary course of its business, have been incorporated into and maintained as part of Plaintiff's business records, and have been routinely relied upon by Plaintiff. 9 The business records are regularly maintained in the ordinary course of Plaintiff's business. 10. Ihave confirmed that Plaintiff is the owner and holde r of the Original Note that is the subject of this foreclosure action. ESL Federal Credit Union B; Michelle Jones Supervisor of Loan Payment Solutions HARRIS BEACH # ATTORNEYS aT LAW INDIEXNG E 2823003000004 NYSCEF DOC. NO. 35 RECEIVED NYSCEF: 11/20/2023 STATE OF NEW YORK ) SS.: COUNTY OF MONROE ) On the 3 \ day of. Dotcber in the year 2023, before me, the undersigned, personally appeared Michelle Jones, personally known to me or proved to me on the basis of satisfactory evidence to be the individual whose name is subscribed to the within instrument and acknowledged to me that he executed the same in his capacity, and that by his signature on the instrument, the person or individual upon behalf of which the individual acted, executed the instrument. Notary Public KENDRA N CARGILL Notary Public, State of New York Reg. No. 01CA6294274 Qualified in Monroe County Commission Expires Dec. 16, 20 a HARRIS BEACH ATTORNEYS AT LAW