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  • Suntrust Bank Plaintiff vs. Bernard Taylor Defendant Contract and Indebtedness document preview
  • Suntrust Bank Plaintiff vs. Bernard Taylor Defendant Contract and Indebtedness document preview
						
                                

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*#* FILED: BROWARD COUNTY, FL HOWARD FORMAN, CLERK 7/17/2013 10:52:03 AM.**** SUNTRUST BANK Plaintiff, vs. BERNARD TAYLOR Defendant(s) Our File No.: 234535 Electronically Filed 07/17/2013 10:52:03 AM ET IN THE CIRCUIT COURT IN AND FOR BROWARD COUNTY, FLORIDA CASE NO.: 12-35091-CACE-05 AFFIDAVIT AFFIDAVITSUNTRUST BANK Plaintiff, vs. AFFIDAVIT IN SUPPORT OF CLAIM BERNARD TAYLOR Defendant(s) / STATE OF COUNTY OF WA BEFORE ME, the undersigned authority, personally appeared, who after being duly sworn, deposes and says: . 1. lam a 18 years of age and am competent to make this affidavit. 2. Iam the [{ Custodian of Records [ ] Assistant Custodian of Records for the Plaintiff and am duly authorized to attest to the records and facts at issue. 3. Tam familiar with all of the facts and circumstances in connection with this case and have been authorized to make this certification in the above referenced case. 4. In the ordinary course of business and as a regular business practice, employees or representatives of the Plaintiff with knowledge of the accounts compile business records memorializing account activity and transactions at or near the time they occur. 5. Entries in the files and business records of Plaintiff are made contemporaneously with transactions in order to preserve the accuracy of the transaction. 6. Plaintiff's files and business records are maintained by SUNTRUST BANK. 7. Ihave authorized access to the files and business records relating to this account. 8. There is now due and owing from Defendant to Plaintiff, the principal amount of $77,914.67. 9. Upon information and belief, the Defendant is now, nor has been within 30 days hereof, in the military service of the United States as defined in the Service members Civil Relief Act as amended nor an infant, incompetent, under mental defect or infirm, 10. Defendant is entitled to no known valid defenses, setoffs or counterclaims, and Plaintiff further states that written demand was made upon the Defendant. FURTHER AFFIANT SAYETH NAUGHT. The foregoing instrument was acknowledged before ffie this ise day of Mou 201% , by Gq wre 4 a Rho is personally known to me and who did take an oath. Notary idl State of ¢ i a ALO Our File #: 234535 Please understand that this is an att@mpt to colleptesidebiaaneRany information we obtain will be used for that purpose. Notary Public Commonwealth of Virginia 7094012