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  • Wells Fargo Bank NA Plaintiff vs. George Goodman, et al Defendant Real Prop Homestead Res Fore - >$50K - <$250,000 document preview
  • Wells Fargo Bank NA Plaintiff vs. George Goodman, et al Defendant Real Prop Homestead Res Fore - >$50K - <$250,000 document preview
						
                                

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Filing # 32368165 E-Filed 09/22/2015 05:00:48 PM ¥ IN THE CIRCUIT COURT OF THE 17TH JUDICIAL CIRCUIT, IN AND FOR BROWARD COUNTY, FLORIDA CIVIL DIVISION CASE NO. CACE15012974 WELLS FARGO BANK, N.A. Plaintiff, vs. GEORGE GOODMAN, ET AL Defendants. / ANSWER TO COMPLAINT OF FORECLOSURE Defendant, AMTRUST BANK, A DIVISION OF OHIO SAVINGS BANK, by and through its undersigned counsel, and answers Plaintiff's Complaint as follows: 1. That as to the facts and allegations contained in paragraph 12 (d) of the Complaint, AMTRUST BANK, A DIVISION OF OHIO SAVINGS BANK admits that it has an interest in the subject property. 2. That as to the facts and allegations contained in numbered paragraphs 1 THROUGH 12 (a) (b) (©) AND 12 (e) of the Complaint, AMTRUST BANK, A DIVISION OF OHIO SAVINGS BANK is without sufficient knowledge so as to form a Tesponsive pleading thereto and therefore denies same and demands strict proof thereof. 3. That as to any further facts and allegations not previously denied, be and the same are herein denied and strict proof thereof is hereby demanded. 4. In the event Plaintiff prevails and there is a sale of the property being foreclosed herein, Defendant should be permitted and allowed to have such surplus as there may be applied to the satisfaction of AMTRUST BANK, A DIVISION OF OHIO SAVINGS BANK’S lien, including interest File No.: 15-03544 NYCB V1.20140101 *** FILED: BROWARD COUNTY, FL HOWARD FORMAN, CLERK 9/22/2015 5:00:47 PM.****from date of default, costs and attorney's fees, and that this Mortgage should be prior to the interest of all other Defendants in this action. WHEREFORE, Defendant, AMTRUST BANK, A DIVISION OF OHIO SAVINGS BANK, having fully answered Plaintiff's Complaint moves the same be progressed toward final adjudication, with this Court setting the rights and priorities among the respective Defendants herein, THEREBY CERTIFY that a true and correct copy of the foregoing was sent by mail this 22. day of 2015 to: WELLS FARGO BANK, N.A. c/o GWENETH M. BRIMM, ESQ. ServiceMail@aldridgepite.com GEORGE GOODMAN c/o MICHAEL A. CITRON, ESQ. service@floridaloanlawyers.com Michael@floridaloanlawyers.com Kahane & Associates, P.A. 8201 Peters Road, Suite 3000 Plantation, Florida 33324 Telephone: (954) 382-3486 Telefacsimile: (954) 382-5380 Designated service email: notice@kahaneandassociates.com , Esq. ar No.: 908150 File No.: 15-03544 NYCB V1.20140101