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  • Portfolio Recovery Associates, LLC -v- SANCHEZ Print Rule 3.740 Collections -Reduced Filing Fee Limited  document preview
  • Portfolio Recovery Associates, LLC -v- SANCHEZ Print Rule 3.740 Collections -Reduced Filing Fee Limited  document preview
						
                                

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SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN BERNARDINO CIVSB2416905 Portfolio Recovery Associates, LLC Case No. VS- CERTIFICATE OF ASSIGNMENT JORGE SANCHEZ A civil action 01' proceeding presented for filing must be accompanies by this certificate. If the ground is the residence of a party, name and residence shall be stated. The undersigned declares that the above-entitled matter is filed for proceedings in the SAN BERNARDINO DISTRICT-CIVIL DIVISION District of the Superior Court under Rule 404 of this court for the checked reason: D General E Collection Nature ofAction Ground D 1 Adoption Petitioner resides within the district. D 2 Conservator Petitioner or conservatee resides within the district. D 3 Contract Performance in the district is expressly provided for. D 4 Equity The cause of action arose within the district. D 5 Eminent Domain The property is located within the district. D 6 Family Law The petitioner, defendant, plaintiff or respondent resides within the district. D 7 Guardianship Petitioner or ward resides within the district or has property within the district. D 8 Harassment The petitioner, defendant, plaintiff or respondent resides within the district. t D 9 Mandate The defendant functions wholly within the district. D 10 Name Change The petitioner resides within the district. D 11 Personal Injury The injury occurred within the district. D 12 Personal Property The property is located within the district. D 13 Probate Decedent resided or resides within the district or had property within the district. D 14 Prohibition The defendant functions wholly within the district. D 15 Review The defendant functions wholly within the district. D 16 Title to Real Property The property is located within the district. D 17 Transferred Action The lower court is located within the district. D 18 Unlawful Detainer ' The property is located within the district. D l9 Domestic Violence The petitioner, defendant, plaintiff 0r respondent resides within the district. E] 20 Other Collections — Defendant resides in this district D 21 THIS FILING WOULD NORMALLY FALL IN THE JURISDICTION OF THE COURT The address of the accident, performance, party, detention, place ofbusiness, or other factor which qualifies this case for filing in the above-designated district is: JORGE SANCHEZ 798 SANTA FE LN (NAME — INDICATE TITLE 0R OTHER QUALIFYING FACTOR) ADDRESS COLTON CA 92324-6307 (CITY) (STATE) (ZIP CODE) I declare, .under penalty of perjury, that the foregoing is true and correct and that this declar 'on was executed on April 26. 2024 in San Jose , California 1559467001 I||||||\||||11|||\||l|||||\|||IllflllllHIHIIIIIIIIIIHIIIIIII Mignamre ofAnomey/pany lS-lGSOS-JGORCV 10/94 TEMP 58-16503