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  • WELLS FARGO BANK vs. UNITED STATES OF AMERICA ACTING THROUGH SECRETARY OF VETERANS AFFAIRS HOMESTEAD RESIDENTIAL FORECLOSURE $250,001 AND UP document preview
  • WELLS FARGO BANK vs. UNITED STATES OF AMERICA ACTING THROUGH SECRETARY OF VETERANS AFFAIRS HOMESTEAD RESIDENTIAL FORECLOSURE $250,001 AND UP document preview
  • WELLS FARGO BANK vs. UNITED STATES OF AMERICA ACTING THROUGH SECRETARY OF VETERANS AFFAIRS HOMESTEAD RESIDENTIAL FORECLOSURE $250,001 AND UP document preview
  • WELLS FARGO BANK vs. UNITED STATES OF AMERICA ACTING THROUGH SECRETARY OF VETERANS AFFAIRS HOMESTEAD RESIDENTIAL FORECLOSURE $250,001 AND UP document preview
  • WELLS FARGO BANK vs. UNITED STATES OF AMERICA ACTING THROUGH SECRETARY OF VETERANS AFFAIRS HOMESTEAD RESIDENTIAL FORECLOSURE $250,001 AND UP document preview
  • WELLS FARGO BANK vs. UNITED STATES OF AMERICA ACTING THROUGH SECRETARY OF VETERANS AFFAIRS HOMESTEAD RESIDENTIAL FORECLOSURE $250,001 AND UP document preview
						
                                

Preview

Filing # 185819604 E-Filed 11/09/2023 11:18:53 AM IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT IN AND FOR OSCEOLA COUNTY, FLORIDA CIVIL ACTION WELLS FARGO BANK, N.A., Plaintiff, CASE NO.: 2023 CA 003228 MF vs. DIVISION: RAMON CARTAGENA, et al, Defendant(s). PLAINTIFF’S MOTION TO ABATE, EXTEND TIMELINES AND STAY ACTION Plaintiff, WELLS FARGO BANK, N.A., by and through its undersigned counsel, moves this Court to extend timelines and stay the subject and in support thereof states: 1 Plaintiff filed this action on April 13», 2023. 2 Subsequent to the action being filed, Plaintiff and Defendant engaged in loss mitigation discussions in an attempt to resolve the case without further judicial intervention. 3 In light of the foregoing, Plaintiff respectfully requests the action be stayed while loss mitigation is pursued. 4 The abatement sought by Plaintiff will not result in any inconvenience to the parties, and, if not granted, will result in significant prejudice to both parties. WHEREFORE, Plaintiff respectfully requests this Honorable Court enter an order abating this action, extending any deadline including perfecting service of process, and upon the expiration of such the abatement of this action shall be vacated without further order of the Court and a case management conference will be set, and Plaintiff requests any other relief deemed equitable and just. CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished by the U.S. Mail or eService this 09 day of _November , 2023, to all parties on the attached service list. Albertelli Law P.O. Box 23028 Tampa, FL 33623 (813)221-4743 (813) 221-9171 facsimile eService: servealaw@albertellilaw.com By: /s/ Charline Calhoun Florida Bar #16141 - 23-003322 SERVICE LIST Ramon Cartagena c/o Ayana Cruz, Esq. 2100 Constitution Boulevard Suite 116 Sarasota, FL 34231 E-Serve 1: eservice@vanstonelaw.com, E-Serve 2: acruz@vanstonelaw.com United States of America Acting through Secretary of Veterans Affairs c/o U.S. Attorney, 400 North Tampa Street - Suite 3200 Tampa, FL 33602 TD Bank USA, N.A. c/o President or Vice President, 2035 Limestone Rd Wilmington, DE 19808 Midland Funding LLC c/o Midland Credit Management, Inc., Registered Agent, 13008 Telecom Drive, Suite 350 Tampa, FL 33637 Eagle Bay of Osceola County Master Association, Inc. c/o Association Solutions Of Central Fl, Inc., Registered Agent, 811 Mabbette Street Kissimmee, FL 34741 Eagle Bay of Osceola County Homeowners Association, Inc c/o Crystal Maier 448 South Alafaya Trail, Unit 8 Orlando, FL 32828 E-Serve 1: crystal@dhnattorneys.com Tommy M. Cartagena c/o Ayana Cruz 2100 Constitution Blvd., Suite 116 Sarasota, FL 34231 E-Serve 1: acruz@vanstonelaw.com