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IN THE CIRCUIT COURT OF THE TWELFTH JUDICIAL CIRCUIT Aa
IN AND FOR SARASOTA COUNTY, FLORIDA pa Pn a
CIVIL ACTION wen WY OQ
DEUTSCHE BANK NATIONAL TRUST COMPANY BRD eo
AS TRUSTEE UNDER THE POOLING AND BRE —-~ BD
SERVICING AGREEMENT SERIES ITF INABS Beg Ww Q
2005-A, 2p Zs
Plaintiff, BAB fe
CASE NO. 2007-CA-008059-NC Ege
vs. DIVISION C oo
B JASON HARWELL , et al,
Defendant(s).
/
NOTICE OF FILING
Plaintiff, DEUTSCHE BANK NATIONAL TRUST COMPANY AS TRUSTEE UNDER THE POOLING
AND SERVICING AGREEMENT SERIES ITF INABS 2005-A, gives Notice of Filing of Affidavit As To Amounts
Due and Owing.
I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished by the U.S. Mail this
| \ Vey of September, 2007, to all parties on the attached service list.
Echevarria, Codilis & Stawiarski
P.O. Box 25018
Tampa, Florida 33622-5018
NDREA D. PIDALA
FLORIDA BAR NO. 0022848
E. TYLER SAMSING
FLORIDA BAR NO. 00283380
E_NUMBER: F07022552 “8 DOC_ID: M003100
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vimanaQ
IN THE CIRCUIT COURT OF THE TWELFTH JUDICIAL CIRCUIT
IN AND FOR SARASOTA COUNTY, FLORIDA
CIVIL ACTION
DEUTSCHE BANK NATIONAL TRUST COMPANY AS
TRUSTEE UNDER THE POOLING AND SERVICING
AGREEMENT SERIES ITF INABS 2005-A,
Plaintiff,
CASE NO.: 2007-CA-008059-NC
VS. DIVISION: C
B JASON HARWELL , et al,
Defendant(s).
/
AFFIDAVIT AS TO AMOUNTS DUE AND OWING
STATE OF (YY)
COUNTY OF, YON aber
BEFORE ME this day personally appeared Laura Hescott
(Affiant) who upon oath, deposes on personal knowledge and says:
1. This Affidavit is submitted in support of Plaintiff's Motion for Final Judgment for the purpose of
showing: that there is no genuine issue as to any material fact, that Plaintiff is entitled to enforce the Note and Mortgage
and Plaintiff is entitled to a judgment as a matter of law.
2, tam VICE Ole (title), of INDYMAC BANK FSB.
INDYMAC BANK FSB 1s the servicer of the loan. INDYMAC BANK FSB is responsible for the collection of this loan
transaction and pursuit of any delinquency in payments. I am familiar with the books of account and have examined all
books, records, and documents kept by INDYMAC BANK FSB concerning the transactions alleged in the Complaint.
All of these books, records and documents are kept by INDYMAC BANK FSB in the regular course of its business as
servicer of the loan transaction and are made at or near the time by, and from information transmitted by, persons with
personal knowledge of the facts such as your Affiant. It is the regular practice of INDYMAC BANK FSB to make and
FILE NUMBER: F07022552 DOC_ID: M001900
*FO7022552* *M001900*keep these books, records, and documents. The books, records, and documents which Affiant has examined are
managed by employees or agents whose duty it is to keep the books accurately and completely. Furthermore, Affiant
has personal knowledge of the matters contained in the books, records and documents kept by INDYMAC BANK FSB.
3, I have personal knowledge of the facts contained in this affidavit. Specifically, I have personal
knowledge of the facts regarding the sums of money which are due and owing to DEUTSCHE BANK NATIONAL
TRUST COMPANY AS TRUSTEE UNDER THE POOLING AND SERVICING AGREEMENT SERIES ITF
INABS 2005-A pursuant to the Note and Mortgage which is the subject matter of the lawsuit.
4, Plaintiff, DEUTSCHE BANK NATIONAL TRUST COMPANY AS TRUSTEE UNDER THE
POOLING AND SERVICING AGREEMENT SERIES ITF INABS 2005-A, is owed the following sums of money as
of 10/08/07:
PRINCIPAL $494,687.92
INTEREST 73,415.43
PER DIEM OF $142.31
(7.5% interest rate)
PRE-ACCELERATION LATE CHARGES 452.70
THROUGH June 28, 2007
PROPERTY INSPECTIONS 135.00
TAXES 14,205.48
INSURANCE 6,271.00
RECORDING/FAX/WIRE FEE 40.00
APPRAISAL 285.00
BPO 230.00
BK ATTY FEES AND COSTS 1,000.00
TOTAL $ 590,722.53
F0702255258 we
5. DEUTSCHE BANK NATIONAL TRUST COMPANY AS TRUSTEE UNDER THE POOLING
AND SERVICING AGREEMENT SERIES ITF INABS 2005-A has employed the services of the law firm of
Echevarria, Codilis & Stawiarski in this action against the Defendant(s), and is obligated to pay Echevarria, Codilis &
Stawiarski a reasonable attorney's fee for its services, along with all costs and expenses of this action. In this
uncontested foreclosure case, we have agreed to pay the law firm of Echevarria, Codilis & Stawiarski a flat fee of
$1,200.00. In the event the matter becomes contested, we have agreed to pay an hourly fee up to $175.00 per hour.
FURTHER AFFIANT SAYET -
The foregoing instrument bed before me this Jd day of Ppl bear
2007, by Laura Hescott who is personally known to me.
Type Name Here: PWYEA SMG L
NOTARY PUBLIC, State’6
My commission expires: LS FT
F07022552
CONV - 1005218357
INDYMAC-CONV R-ejayska
Y ELE JAMES C_ MORR >|
Ae Sadincn NOTARY PUBLIC MINNESOTA
ANN MY COMMISBIONService List
B JASON HARWELL
8345 Bluffview Way
Colorado Springs, CO 80919
THE UNKNOWN SPOUSE OF B JASON HARWELL N/K/A CHRISTINE HARWELL
8345 Bluffview Way
Colorado Springs, CO 80919
TOM CLAY HILL
58 County Road 17
Kremmling, CO 80459-9630