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  • US BANK TRUST NATIONAL ASSOCIATION vs. DECKER, SHAWN R HOMESTEAD RESIDENTIAL FORECLOSURE $50,001-$250,000 document preview
  • US BANK TRUST NATIONAL ASSOCIATION vs. DECKER, SHAWN R HOMESTEAD RESIDENTIAL FORECLOSURE $50,001-$250,000 document preview
  • US BANK TRUST NATIONAL ASSOCIATION vs. DECKER, SHAWN R HOMESTEAD RESIDENTIAL FORECLOSURE $50,001-$250,000 document preview
  • US BANK TRUST NATIONAL ASSOCIATION vs. DECKER, SHAWN R HOMESTEAD RESIDENTIAL FORECLOSURE $50,001-$250,000 document preview
						
                                

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Filing # 174836545 E-Filed 06/07/2023 04:26:16 PM IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT, IN AND FOR OSCEOLA COUNTY, FLORIDA U.S. BANK TRUST NATIONAL CASE NO. 2023-CA-003233 ASSOCIATION, NOT IN ITS INDIVIDUAL CAPACITY, BUT SOLELY AS TRUSTEE OF LSF9 MATER PARTICIPATION TRUST, Plaintiff, v. SHAWN R DECKER A/K/A SHAWN DECKER; SAMANTHA DECKER; BRECKENRIDGE HOMEOWNERS’ ASSOCIATION, INC.; OSCEOLA COUNTY, A POLITICAL SUBDIVISION OF THE STATE OF FLORIDA; UNITED STATES OF AMERICA ON BEHALF OF SECRETARY OF HOUSING AND URBAN DEVELOPMENT; UNKNOWN TENANT IN POSSESSION 1; UNKNOWN TENANT IN POSSESSION 2, Defendants. / JOINT STIPULATION GRANTING THIRTY (30) DAY EXTENSION Defendant Samantha Decker (hereinafter referred as “Defendant”), by and through the undersigned counsel, and Plaintiff, U.S. Bank Trust National Association, not in its individual capacity, but solely as trustee of LSF9 Master Participation Trust (hereinafter referred as "Plaintiff"), by and through their undersigned counsel hereby agree and stipulate as follows: 1. The Verified Compliant to Foreclosure Mortgage was filed on April 14, 2023. 2. Defendant was served with the Complaint in this case on May 6, 2023. 3. Defendant since served has diligently been searching for representation. Page 1 of 2 4. On June 5, 2023, Defendant hired the below signed counsel Stacy A. McCland, Esq. 5. Prior to the due date for a response, Stacy A. McCland emailed attorney Morgan B. Lea requesting a thirty (30) day extension for the response to the Complaint that was due on May 26, 2023, so that Defendant could possibly resolve the matter. Plaintiff’s counsel responded agreeing to the thirty (30) day extension. WHEREFORE, the Parties respectfully request an Order from this Court extending the deadline to answer the Complaint by thirty (30) days with due date being on Monday, June 26, 2023. Stacy A. McCland _______________________________________ Stacy A. McCland (Jun 7, 2023 11:48 EDT) Stacy A. McCland, Esq. Florida Bar No: 60570 McCland Law, P.A. 241 Ruby Avenue, Suite C Kissimmee, FL 34741 Telephone: (321) 766-9030 Primary E-mail: stacy@mcclandlaw.com Secondary E-Mail: service@mcclandlaw.com Morgan B. Lea Digitally signed by: Morgan B. Lea DN: CN = Morgan B. Lea email = Morgan. Lea@mccalla.com C = US O = McCalla Raymer OU = Foreclosure & Evictions _______________________________________ Date: 2023.06.07 13:42:40 -04'00' Morgan B. Lea Florida Bar No: 96405 McCalla Raymer Leibert Pierce, LLC 225 East Robinson Street, Suite 155 Orlando, Florida 32801 Telephone: (407) 674-1850 Primary E-Mail: Morgan.lea@mccalla.com, Secondary E-Mail: Mrservice@mccalla.com Page 2 of 2