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  • SALANDER ENTERPRISES LLC V STEPHANIE ROGERS (E-CASE) AC Breach of Contract document preview
  • SALANDER ENTERPRISES LLC V STEPHANIE ROGERS (E-CASE) AC Breach of Contract document preview
  • SALANDER ENTERPRISES LLC V STEPHANIE ROGERS (E-CASE) AC Breach of Contract document preview
  • SALANDER ENTERPRISES LLC V STEPHANIE ROGERS (E-CASE) AC Breach of Contract document preview
						
                                

Preview

24WR-AC00010 IN THE CIRCUIT COURT OF WRIGHT COUNTY ASSOCIATE DIVISION STATE OF MISSOURI Salander Enterprises, LLC. Plaintiff(s), Vv. STEPHANIE ROGERS Case No. Serve At: Division No. 404 W LONG ST MOUNTAIN GROVE MO 65711-2031 Defendant. PETITION -CONTRACT action, states to the Court the following: COMES NOW Plaintiff and for its cause of licensed to do business in the State of 1 Plaintiff is a Wisconsin limited li ability corporation Missouri. HT. That Defendant is a resident of the County of WRIG ed into a Consumer Credit Loan and Secur ity On or about May 23, 2016, Defendant enter ax Financial Services, LLC dba Mid-American Agreement (hereafter "the Contract" with Fairf attached hereto as Exhibit Loans. The Contract is incorporated herein and to the Fairfax Financial Services, LL‘ C dba Mid-Amer ican Loans tendered performance pursuant s). Contract by loaning money to the Defendant( its ican Loans sold, transferred and conveyed Fairfax Financial Services, LLC dba Mid-Amer Enterprises, LLC. interest in the Contract to Plaintiff Salander and is in default pursuant to the Contract. Defendant failed to repay the loan as required tiff declared the whole outstanding balance Upon default, and as authority by the Contract, Plain immediately due and payable. all reasonable costs, charges, nd expenses, including The Contract entitles Plaintiff to recover the agreement. court costs, incurred in connection with enforcing MO_0104 File No.: 22-1347 Plaintiff has suffered damages in the amount 9. To date, Defendant ha: s failed to tender payment and of $6,791.28. of t Defendant for its damages, together with the costs WHEREFORE, Plaintiff requests judgment agains r interest, attorneys’ fees, , and such other and furthe the suit, fees pursuant to the Contract, post-judgment relief as the Court may deem just and proper. Evans and ChristophenDursb 1035 Andrew C. St. Johin#75980 Attomeys for Plaintiff 211 North Broadway Suite 2500 St. Louis MO 63102 Phone: (314) 436-6757 Fax: (314) 436-2066 Email: cdurso@evans-dixon.com MO_0104 File No.: 22-1347