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  • Cobblestone at Pembroke Homeowners Association Inc Plaintiff vs. Bryan Roberts, et al DefendantReal Property/Mortgage Foreclosure $1 - $15,000 document preview
  • Cobblestone at Pembroke Homeowners Association Inc Plaintiff vs. Bryan Roberts, et al DefendantReal Property/Mortgage Foreclosure $1 - $15,000 document preview
  • Cobblestone at Pembroke Homeowners Association Inc Plaintiff vs. Bryan Roberts, et al DefendantReal Property/Mortgage Foreclosure $1 - $15,000 document preview
  • Cobblestone at Pembroke Homeowners Association Inc Plaintiff vs. Bryan Roberts, et al DefendantReal Property/Mortgage Foreclosure $1 - $15,000 document preview
  • Cobblestone at Pembroke Homeowners Association Inc Plaintiff vs. Bryan Roberts, et al DefendantReal Property/Mortgage Foreclosure $1 - $15,000 document preview
  • Cobblestone at Pembroke Homeowners Association Inc Plaintiff vs. Bryan Roberts, et al DefendantReal Property/Mortgage Foreclosure $1 - $15,000 document preview
  • Cobblestone at Pembroke Homeowners Association Inc Plaintiff vs. Bryan Roberts, et al DefendantReal Property/Mortgage Foreclosure $1 - $15,000 document preview
  • Cobblestone at Pembroke Homeowners Association Inc Plaintiff vs. Bryan Roberts, et al DefendantReal Property/Mortgage Foreclosure $1 - $15,000 document preview
						
                                

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Filing# 168527288 E-Filed 03/10/2023 10:03:47 PM IN THE COUNTY COURT OF THE SEVENTEENTH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA CASE NO: COCE21070988 COBBLESTONE AT PEMBROKE HOMEOWNERS ASSOCIATION Plaintiff VS BRYAN ROBERTS, ET AL Defendants I DEFENDANT'S ANSWER TO THE PLAINTIFF'S COMPLAINT COMES NOW, Samantha Shorter, the Defendant and hereby answers the Plaintiff' s Complaint as follows: 1.-The Defendant admits the allegations as set forth in paragraph 1 . 2.-The Defendant admits the allegations as set forth in paragraph 2. 3.-The Defendant denies the allegations as set forth in paragraph 3. 1 *** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 03/10/2023 10:03:47 PM.**** 4.- The Defendant denies the allegations as set forth in paragraph 4 5.- The Defendant admits the allegations as set forth in paragraph 5. COUNT I (LIEN FORECLOSURE) 6.- In answer to paragraphNumber 6, the Defendant is without sufficient information or belief to admit or deny the allegations in this paragraph. 7.- The Defendant admits the allegations as set forth in paragraph 7. 8.-In answer to paragraphNumber 8, the Defendant is without sufficient information or beliefto admit or deny the allegations in this paragraph. 9.-The Defendant denies the allegations as set forth in paragraph 9. 10.-The Defendant denies the allegations as set forth in paragraph 10. 11.- The Defendant admits the allegations as set forth inparagraph 11. 12.- The Defendant denies the allegations as set forth in paragraph 12. 13.- The Defendant denies the allegations as set forth in paragraph 13. 2 14.-In Answer to paragraph 14 the Defendant is without sufficient information or beliefto admit or deny the allegations in this paragraph. 15.- The Defendant denies the allegations as set forth in paragraph 15 16.- The Defendant denies the allegations as set forth in paragraph 16 17.- In Answer to paragraph 17 the Defendant is without sufficient information or beliefto admit or deny the allegations in this paragraph. 18.- The Defendant denies the allegations as set forth in paragraph 18 19.- The Defendant denies the allegations as set forth in paragraph 19 COUNT II (MONEY OWED) 20.-In Answer to paragraph 20 the Defendants is without sufficient information or beliefto admit or deny the allegations in this paragraph. 21.- The Defendant denies the allegations as set forth in paragraph 21 22. - The Defendant denies as set forth in paragraph 22 the allegations 3 23.- The Defendant denies the as set allegations forth in paragraph23 24.- The Defendant denies the allegations as set forth in paragraph24 25.- The Defendant denies the allegations as set forth in paragraph25 THEREFORE, the Defendant Samantha Shorter respectfully requests to this Honorable Court to disregardthe Plaintiffs Complaint. Respectfully submitted, I HEREBY CERTIFY, that a true and correct copy of the foregoingwas served via U.S mail to Mr. Carlos A. TriayEsquire,Attorneyfor the Plaintiff at P.O Box 227010 Miami, FL. 33122 this March 8,2023. LLZA Samantha Shorter Defendant 6550 Hayes St. Hollywood, FL. 33024 4