arrow left
arrow right
  • GE EMPLOYEES FEDERAL CREDIT UNION v. DIIORIO, SALVATORE Et AlP00 - Property - Foreclosure document preview
  • GE EMPLOYEES FEDERAL CREDIT UNION v. DIIORIO, SALVATORE Et AlP00 - Property - Foreclosure document preview
  • GE EMPLOYEES FEDERAL CREDIT UNION v. DIIORIO, SALVATORE Et AlP00 - Property - Foreclosure document preview
  • GE EMPLOYEES FEDERAL CREDIT UNION v. DIIORIO, SALVATORE Et AlP00 - Property - Foreclosure document preview
  • GE EMPLOYEES FEDERAL CREDIT UNION v. DIIORIO, SALVATORE Et AlP00 - Property - Foreclosure document preview
  • GE EMPLOYEES FEDERAL CREDIT UNION v. DIIORIO, SALVATORE Et AlP00 - Property - Foreclosure document preview
  • GE EMPLOYEES FEDERAL CREDIT UNION v. DIIORIO, SALVATORE Et AlP00 - Property - Foreclosure document preview
  • GE EMPLOYEES FEDERAL CREDIT UNION v. DIIORIO, SALVATORE Et AlP00 - Property - Foreclosure document preview
						
                                

Preview

SUPERIOR COURT DOCKET NO: FST-CV-23-6063925-S JUDICIAL DISTRICT OF STAMFORD-NORWALK AT STAMFORD GE EMPLOYEES FEDERAL CREDIT UNION VS. SALVATORE DIIORIO, et. al. PRELIMINARY STATEMENT OF MONETARY CLAIM Pursuantto Practice Book Section 23-18(b), the Plaintiff hereby sets forth its preliminary statement of its monetary claim by the contents of the affidavit of debt, executed on February 5, 2024, of which a copy is attached as Exhibit A (from which personal identification information has been redacted per P.B. §4-7 when applicable). These amounts are preliminary and are subject to change, correction, modification, addition, reduction, deletion or amplification at the time of the hearing on Plaintiff's Motion for Judgment of Strict Foreclosure. The omission of any item of debt or a statement of an item in an amount that is less than the total amount owed on the subject mortgage loan is not and is not intended to be a waiver of any such items or amounts. Litigation costs, expenses and attorney's fees are not included even though claimed and claimable pursuant to the terms of the promissory note and mortgage that form the basis for this action. Plaintiff, 430738 Dominick D. Neveux BROCK & SCOTT, PLLC 270 Farmington Avenue Suite 151 Farmington, CT 06032 Telephone: (844) 856-6646 Email: CT_Pleadings@ brockandscott.com Juris No.: 439942 ORAL ARGUMENT IS NOT REQUESTED TESTIMONY IS NOT REQUIRED EXHIBIT A SUPERIOR COURT DOCKET NO: FST-CV-23-6063925-S JUDICIAL DISTRICT OF STAMFORD-NORWALK AT STAMFORD GE EMPLOYEES FEDERAL CREDIT UNION vs. SALVATORE DIIORIO, ET AL AFFIDAVIT OF DEBT iG Antoine Hurdle , an Assistant Secretary of LoanCare, LLC (Plaintiff's Servicer) as attorney in fact under a limited power of attorney for GE Employees Federal Credit Union, a corporation located and having a principal place of business at 265 BIC DRIVE MILFORD, CT 06461; do being duly sworn, depose and say: 1 That GE Employees Federal Credit Union is the Plaintiff in the above-entitled action; 2. That there is no set-off or counterclaim thereto; 3. That the amount of debt due and owing the plaintiff from the defendant is as follows: Principal Balance $250,000.57 Interest from 11/01/22 to 02/19/24 @ 4.750% $15,429.47 Pre-Acceleration Late Fees $556.85 Tax Advances $32,082.87 Hazard Insurance Advances $3,869.00 Escrow Beginning Balance $1,808.44 Property Inspection Fees $345.00 Total Debt: $304,092.20 B&S File No.: 23-14135 FCO1 per diem at 4.750% = $32.53 4. Amounts recited above do not include attorney’s fees and/or costs incurred in connection with this action. Such additional fees/costs will be set forth in a separate motion seeking the Court’s approval thereof. 5. That the Note and Mortgage which are the subject of the within action have not been pledged, negotiated, hypothecated or otherwise assigned and remain current and active liabilities of the Defendant, Salvatore Dilorio. (,Toki Assistant Secretal Name: Antoine Hurdle q LoanCare, LLC as attorney in fact under limited power of attorney for GE Employees Federal Credit Union STATE OF VIRGINIA COUNTY/CITY OF VIRGINIA BEACH On this 5 day of feb , 2024, before me personally appeared Antoine Hurdle Assistant Secretary of LoanCare, LLC as attorney in fact under a limited power of attorney for GE Employees Federal Credit Union, signer and sealer of the foregoing affidavit, who swore to the truth of the same before me. Notary Public My Commission Expires: 33!-27 » LINDA ANN BROWN Notary Public Commonwealth of Virginio J Registration No. 7824757 My Commission Expires March 31, 2027 B&S File No.: 23-14135 FCO1 CERTIFICATION I certify that a copy of the above was or will immediately be mailed or delivered electronically or nonelectronically on a2 February 19, 2024 to all counsel and self-represented parties of record and that written consent for electronic delivery was received from all counsel and self-represented parties of record who were or will immediately be electronically served, as follows: KRISLY N MINA LAUNER E-Services Only: AG.CollectionsForeclosure@ ct.gov 430738 Dominick D. Neveux Commissioner of the Superior Court