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  • Crown Asset Management Llc v. Mary Acosta Other Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
  • Crown Asset Management Llc v. Mary Acosta Other Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
						
                                

Preview

FILED: NASSAU COUNTY CLERK 08/05/2020 06:23 PM INDEX NO. 617069/2019 NYSCEF DOC. NO. 5 RECEIVED NYSCEF: 08/05/2020 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NASSAU Crown Asset Management, LLC INDEX # 617069/2019 Plaintiff, -against- STIPULATION OF SETTLEMENT Mary Acosta Defendant(s), It is hereby dp±t-' and agreed by and between the attorney for the plaintiff and the defendant as follows: 1. The defendant herein appears, acknowledges service of the Su•a=as and Verified Ce-plaia!, admits the jurisdiction and venue of this Court, and that there are no defc::ses to this action. This agreement settles all claims between the parties with respect to an account number issued by Comenity Bank bearing account number )O000000000CX5205. 2. Plaintiff has agreed to accept the sum of $5340.00 (Future InterestWaived) in full satisfaction of the debt due plaintiff, to be repaid as follows: $222.50 on or before 3/16/2020 and $222.50 on or before the 16th of each Month thereafter until paid in full. (the "Repayment Period"). 3. That the payiñents provided for herein are to be made payable to Stenben Einstein and Associates, P,C_and forwarded to them as attomeys for the plaintiff at 39 Broadway, Suite 1250. New York, New York 10086. Please-eiñte your matter number, stated below, on your chec1 ör money order for progief processing of your payment. 4. That in the event Defendant fails to remit any payment w due, Plaintiff will notify Defendant via regular mail to ' the address noted below. If any default is not cured ten (10) days of said notice, Plaintiff may submit a judgment, without further notice, for entry for all s ne as computed from the complaint, less payments remitted, if any, plus costs, intenest, and disbursemen . ' 5. When all payments due under this agreement a rec ed and clear Plaintiff's escrow account, Plaintiff's D' catigr- attorney agrees to provide Defendant a Stip±tion f with Prejudice. 6. This is an attempt to collecta debt and any informati ob will be used for that purpose. Facsimile and/or scanned signatures shall have the full force and effect ginals. Dated: February 13, 2020 EP INSTEIN & ASSOCIATES, P.C. for Plaintiff way Suite 1250 New York, NY 10006 (212) 267-3550 & BRYANT y for Defendant Northwest 23rd Street STE 42 Oklahoma City OK 73107 (405)606-4406 Matter #: 340816.001 N Name of Employer Address of Employer L_STP NY_POSTSUM 1 of 1