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  • GRAND BEACH RESORT CONDOMINIUM ASSOCIATION INC, vs. MACK, ARTHUR NEAL et al CA - Timeshare Foreclosure (filed prior to 6/1/2009) document preview
  • GRAND BEACH RESORT CONDOMINIUM ASSOCIATION INC, vs. MACK, ARTHUR NEAL et al CA - Timeshare Foreclosure (filed prior to 6/1/2009) document preview
  • GRAND BEACH RESORT CONDOMINIUM ASSOCIATION INC, vs. MACK, ARTHUR NEAL et al CA - Timeshare Foreclosure (filed prior to 6/1/2009) document preview
  • GRAND BEACH RESORT CONDOMINIUM ASSOCIATION INC, vs. MACK, ARTHUR NEAL et al CA - Timeshare Foreclosure (filed prior to 6/1/2009) document preview
						
                                

Preview

IN THE CIRCUTT COURT OF THE 9TH JUDICLVL dRCUTT OF FLORIDA, IN AND FOR ORANGE COUNTY ,co Grand Beach Resort Condominium .-a .cDr}r-. Association, Inc. -:c}z;:-< - 1 Case #: 06-C A-10703 -^ -y. oT> 1 Plaintiff, Division #: sr f -.- '.1^Zicn Z-'Z 00 S— 5' ^ -0 mlZ -vs. UNC- . —10 -c-n IT 0 Arthur Neal Mack and Teresa A. Mack; et al. Ta:^ CD zz^ CSI \ Defendant(s). MOTION FOR SUMMARY FINAL JUDGMENT OF FORECLOSURE AS TO COUNT VIII-Abdulaziz Ahmed Kabli and Nermeen Alwi Hussin Plaintiff, Grand Beach Resort Condominium Association, Inc., by and through their imdersigned attomeys and pursuant to Rule 1.510, Florida Rules of Civil Procedure, moves for the entry ofa summaryjudgment against Defendant(s), Abdulaziz Ahmed Kabli and Nermeen Alwi Hussin, and as grounds, therefore, would state: 1. Plaintifffiled its action to foreclose a condominium assessment lien on property located in Orange County, Florida, and described in the complaint herein. 2. Defendant(s), Abdulaziz Ahmed Kabli and Nermeen Alwi Hussin, has/have not paid the lien as required. 3. Plaintiff obtained service on said defendant(s). 4. There are no issues of fact in dispute and Plaintiff is entitled to judgment as a matter of law. 5. Affidavits in support ofthis motion are attached hereto. 6. Plaintiff intends to argue the general right of a Uen-holder to foreclose its lien upon non-payment ofthe lien. WHEREFORE, Plaintiffrequests that this Court enter suinmary judgment against the defendants hereto for the rehef sought in the complaint and for such other reliefas is equitable and fair. CERTIFICATE OF SERVICE THIS IS TO CERTIFY that a tme and correct copy ofthe foregoing Motion for Summary V Judgment and all supporting affidavits were mailed to the following on day of 2007 to wit: /l/t*^Y Abdulaziz Ahmed Kabli P.O. Box 7665 Jed 21472, Saudi Arabia Nermeen Alwi Hussin P.O. Box 7665 Jed 21472, Saudi Arabia SHAPIRJO & FISHMAN, LLP Attomeys for Plaintiff 10004 N. Dale Mabry Highway /12 FL 33618 me: (813) 880-8888 (813) 880-8800 06-714471 This is an attempt to collect a debt and any information obtained will be used for that purpose.