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Filing # 39986915 E-Filed 04/07/2016 02:22:27 PM
IN THE CIRCUIT COURT OF THE SEVENTEENTH JUDICIAL CIRCUIT
IN AND FOR BROWARD COUNTY, FLORIDA
FEDERAL NATIONAL MORTGAGE
ASSOCIATION,
Plaintiff, Case No.: CACE 15-012905 (11)
VS.
RICARD C. PERITZ,; et. al.,
Defendant(s),
DEFENDA! FIRST REQUEST FOR PRODUCTION
COMES NOW the Defendant, DAVID L. GANNIS (“DEFENDANT”), by and through
undersigned counsel, and pursuant to Rule 1.350 Fla. R. C. P. (2011) and Rule 1.380 Fla. R. C.
P. (2011), hereby requests that the Plaintiff, DEUTSCHE BANK NATIONAL TRUST
COMPANY FKA BANKERS TRUST COMPANY OF CALIFORNIA, N.A., AS
TRUSTEE FOR THE CERTIFCATEHOLDERS OF THE VENDEE MORTGAGE
TRUST 1991-1, UNITED STATES DEPARTMENT OF VETERANS AFFAIRS,
GUARANTEED REMIC PASS-THROUGH CERTIFICATES (“PLAINTIFF”), produce the
following documents:
Plaintiff has in its possession, custody or control, each of the foregoing documents and
objects. Each of them, and all of the matters hereinabove described, constitutes or contains
evidence relevant and material to a matter involved in this action. To the extent you believe any
of the requested documents may be privileged, please state precisely the basis for the privilege
and identify (by author, intended recipient, current custodian, and date of preparation) all
documents withheld under any such privilege. To the extent these requests seek documents and
*** FILED: BROWARD COUNTY, FL HOWARD FORMAN, CLERK 4/7/2016 2:22:27 PM.****FEDERAL NATIONAL MORTGAGE ASSOC. v. RICHARD PERITZ, et al. Case No.: CACE 15-012905
Request to Produce
information for which you assert no claim of privilege, Defendant requires that the documents be
produced within the time frame set forth above.
DEFINITIONS AND INSTRUCTIONS
As used herein, the words and phrases set out below shall have the meaning or meanings
prescribed to them. “Document” or “documents” shall mean every original (and every copy of
any original or copy which differs in any way from any original) of every writing or recording of
any kind or description, whether handwritten, typed, drawn, sketched, printed or recorded by any
physical, mechanical, electronic or electrical means whatever, including without limitation,
books, records, computer listings, computer printouts, computer programs, and tapes upon which
information is stored, papers, pamphlets, brochures, circulars, advertisements, specifications,
blueprints, maps, plats, surveys, drawings, sketches, graphs, charts, plans, laboratory or
engineering reports, notebooks, worksheets, reports, lists, analyses, summaries, ledger accounts,
audits, inventories, tax returns, financial statements, profit and loss statements, cash flow
statements, annual or other periodic reports, prospectuses, registrations, correspondence,
communications, telegrams, solicitations, minutes, stock ledgers, stock certificates, licenses,
permits, calendars, appointment books, diaries, telephone bills and toll call records, expense
reports, balance sheets, accountant’s work papers, work sheets, commission statements,
itineraries, agendas, payroll records, notes, memoranda including inter-office memoranda,
checkbooks, canceled checks, receipts, contracts, agreements, instrument assignments,
applications, offers, acceptances, proposals, financing statements, documents of title, appraisals,
Page 2 of 6
Civil Justice Advocates PL
28 W. Flagler Street, Ste: 608, Miami, Florida 33130
(30) 639-8791 * notices@cjapl.comFEDERAL NATIONAL MORTGAGE ASSOC. v. RICHARD PERITZ, et al. Case No.: CACE 15-012905
Request to Produce
purchase orders, invoices, bills of lading, written memorials or oral communications, forecasts,
photographs, photographic slides or negatives, films, filmstrips, tapes and recordings.
1. The terms “you”, “your”, “yours” and “yourself” mean Plaintiff, its agents, assignees,
successors, employees, agents, contractors, and unless privileged, its attorneys.
2. “Related to” or “relating to” shall mean directly or indirectly mentioning or
describing, pertaining to, being connected with, or reflecting upon a stated subject matter.
3. The singular shall include the plural and the plural shall include the singular.
4. A masculine, feminine or neuter pronoun shall not exclude the other gender.
5. If a request for production is silent as to the time span for which production is
desired, production shall be made of all documents created for the immediately preceding five
(5) year period.
6. Each request shall extend to all documents which are or have been in the possession
or subject to the control of you, your officers, agents or employees at any time during the period
of time covered by this request.
7. “Identification” or “Identify” when referring to a document, shall mean to set forth
the author or originator, addressee, signators, date, title or subject matter, and the present
custodian of any copy thereof and the last known address of each such custodian.
8. The term “and” shall include the term “or” and the term “or” shall include the term
“and”. The term “each” shall include the term “every” and the term “every” shall include the
term “each.” The term “any” shall include the term “all” and the term “all” shall include the
term “any”.
Page 3 of 6
Civil Justice Advocates PL
28 W. Flagler Street, Ste: 608, Miami, Florida 33130
(30) 639-8791 * notices@cjapl.comFEDERAL NATIONAL MORTGAGE ASSOC. v. RICHARD PERITZ, et al. Case No.: CACE 15-012905
Request to Produce
DOCUMENTS UPON WHICH PRIVILEGE IS CLAIMED
For each document requested herein which is sought to be withheld under a claim of
privilege, provide the following information:
(a) The place, approximate date, and manner of recording or otherwise
preparing the document;
(b) The name and title of sender; and the name and title of the person who
received the document;
(c) The name of each person or persons (other than stenographic or clerical
assistant) participating in the preparation of the document;
(d) The name and corporation position, if any, of each person to whom the
contents of the documents have heretofore been communicated by copy, exhibition, reading or
substantial summarization;
(e) A statement of the basis on which privilege is claimed and whether or not
the subject matter of the contents of documents is limited to legal advice or information provided
for the purpose of securing legal advice;
(69) The number of the request to which the document is responsive; and
(g) The entity and corporate or business position, if any, of the person or
persons supplying the attorney with the information.
IDENTIFICATION OF DOCUME
Page 4 of 6
Civil Justice Advocates PL
28 W. Flagler Street, Ste: 608, Miami, Florida 33130
(30) 639-8791 * notices@cjapl.comFEDERAL NATIONAL MORTGAGE ASSOC. v. RICHARD PERITZ, et al. Case No.: CACE 15-012905
Request to Produce
In an effort to promote an orderly presentation of documentary evidence in this case in
the event of a trial, and to insure full compliance with this process and facilitate the return of the
documents to the owners thereof when they are no longer required, Plaintiff should identify each
document produced in response to this request with the initials of the Plaintiff (or some other
identifying initials) and number each document consecutively, commencing with the number 1.
These markings should appear in the lower right hand corner of each document. Plaintiff also
should place the documents called for by each paragraph of this Request in a separate enclosure,
which should be marked with Plaintiffs name, date of the request and the paragraph of the
request to which the documents respond.
DOCUMENTS REQUESTED
1. Produce Fannie Mae Form 2005 for the loan which is the subject of this litigation.
Plaintiff has indicated that the note and mortgage which is the subject of this litigation is a
Federal National Mortgage Association (“Fannie Mae”) loan. For loans registered with MERS
(“Mortgage Electronic Registration System”), the document custodian MUST verify that the
Mortgage was transmitted on Schedule of Mortgages Form 2005. (Please refer to Paragraph 9
above for a definition and description of requested document.)
2. All Assignments of Mortgage for the Mortgage on this case..
3. Produce copies of any document such as that from the United States Postal Office,
computer entry, digital image or electronic correspondence which demonstrates that the Notice
of Intent to Accelerate was (a) sent to and (b) received by Defendant before commencement of
this action.
Page 5 of 6
Civil Justice Advocates PL
28 W. Flagler Street, Ste: 608, Miami, Florida 33130
(30) 639-8791 * notices@cjapl.comFEDERAL NATIONAL MORTGAGE ASSOC. v. RICHARD PERITZ, et al. Case No.: CACE 15-012905
Request to Produce
4. A copy of any insurance policy, including PMI or credit default swap that would
offset any losses incurred by Plaintiff as a result of non-payment of the subject debt.
5. A copy of the payment history.
7. The Servicing Agreement.
8. The Return Receipt for the Notice of Acceleration.
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished
by U.S. Mail on this 7TH day of April, 2016 to:
CHOICE LEGAL GROUP, P.A.
Christine Lankey Hall
P.O. Box 9908
Fort Lauderdale, Florida 33310-0908
Attorney for Plaintiff
Eservice@clegalgroup.com
Respectfully submitted,
CIVIL JUSTICE ADVOCATES, PL
28 W. Flagler Avenue, Suite 608
Miami, Florida 33180
Tel: (305) 639.8791
Fax: (786) 953.5195
By: Yoaun Ut. Heuncsoey
m Joann M. Hennessey
Florida Bar No.: 192465
a Ami Patel
Florida Bar No.: 85259
Page 6 of 6
Civil Justice Advocates PL
28 W. Flagler Street, Ste: 608, Miami, Florida 33130
(30) 639-8791 * notices@cjapl.com