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Filing # 91261937 E-Filed 06/18/2019 11:40:46 AM
IN THE CIRCUIT COURT OF THE 17%
JUDICIAL CIRCUIT, IN AND FOR
BROWARD COUNTY, FLORIDA
CASE NO. 19-011791 CACE (11)
DEUTSCHE BANK, National Trust
Company, as Trustee for American.
Home Mortgage Assets Trust 2006-6,
Mortgage-backed Pass-through
Certificates Series 2006-6,
Plaintiff,
vs.
MARTINE DESROSIERS a/k/a MARTINE
DESROSIERS THERIAULT, et al.,
Defendants
DEFENDANT, SOMERSET CONDOMINIUM
NO. SEVEN, INC.’S, ANSWER
The Defendant, SOMERSET CONDOMINIUM NO. SEVEN, INC. (hereinafter referred to
as “SOMERSET NO. 7”), by and through its undersigned counsel files this, its Answer to the
Verified Complaint for Foreclosure of Mortgage filed herein and says:
le
2.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
*** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 06/18/2019 11:40:46 AM.****13.
14,
15.
16.
17.
18.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
Without knowledge and therefore denied.
Admitted that Defendant, SOMERSET NO. 7, may claim some right, title, or
interest in the property herein sought to be foreclosed by virtue of unpaid dues, liens
and/or assessments. Defendant, SOMERSET NO. 7, denies that said interest, if any,
is subordinate, junior, and inferior to the lien of Plaintiffs mortgage.
Without knowledge and therefore denied.
WHEREFORE, Defendant, SOMERSET CONDOMINIUM NO. SEVEN, INC., prays that
this Court require strict proof as to the allegations contained in the Complaint, and that the Court
take jurisdiction of the parties hereto for the purposes of determining the priority of the claimants to
the proceeds of any foreclosure sale ordered herein by the Court and that said funds that are
received from any foreclosure sale be disbursed in accordance therewith. This Defendant also
demands an award of attorney's fees and costs, pursuant to the recorded Declaration, Section
718.116, Florida Statutes, and Section 57.105, Florida Statutes. This Defendant is also entitled torecover from Plaintiff condominium maintenance assessments in accordance with the recorded
declarations and Section 718.116, Florida Statutes.
I Sein pee ey that a true and correct copy of the foregoing was furnished by E-
Mail this igh iy of June, 2019 to Stacy Robins, Esq., McCabe, Weisberg & Conway, LLC,
500 S. Australian Avenue, Suite 1000, West Palm Beach, FL 33401, flpleadings@mwe-law.com
and by U.S. Mail this 13 bey of June, 2019 to Martine Desrosiers Theriault, 2801 Somerset
Drive, #116, Lauderdale Lakes, FL 33311.
Martin & Bennis, P.A.
Attorneys for Defendant/SOMERSET NO. 7
319 S.E. 14th Street
Ft. Lauderdale, FL 33316
Phone: (954) 524-5331
Fax: (954) 522-8610
E-mail: bob@martinandbennis.com
“ROBERT C. MARTIN
Fla. Bar No. 326615