On June 13, 2018 a
Complaint,Petition
was filed
involving a dispute between
Lvnv Funding Llc,
and
Erik Pettersen,
for Other Matters - Consumer Credit (Card) Debt Buyer Plaintiff
in the District Court of Delaware County.
Preview
FILED: DELAWARE COUNTY CLERK 06/13/2018 02:33 PM INDEX NO. EF2018-580
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NYSCEF
SUPREMEDOC.COURTNO. 1 OF THE STATE OF NEW YORK INDEX # RECEIVED NYSCEF: 06/13/2018
D
COUNTY OF DELAWARE SUMMONS
____________________________________--__________
LVNV FUNDING LLC PLAINTIFF'S ADDRESS
PLAINTIFF, 6801 S CIMARRON 424J
LAS VEGAS NV 89113
- AGAINST - X
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DEFENDANT'S ADDRESSES
ERIK PETTERSEN 130 PARK ST
DEFENDANT(S) . ROXBURY NY 12474-1534
_______________________._______________ ______
CONSUMER CREDIT TRANSACTION
THE BASIS OF THE VENUE IS:
A DEFENDANT RESIDES IN THE COUNTY OF DELAWARE
THE TRANSACTION TOOK PLACE IN THE COUNTY OF DELAWARE
10 THE ABOVE NAMED DEFENDANT(S) : ERIK PETTERSEN
YOU ARE HEREBY SUMMONED TO ANSWER THE COMPLAINT IN THIS ACTION AND TO
SERVE A COPY OF YOUR ANSWER ON THE PLAINTIFF'S ATTORNEY(S) WITHIN
20 DAYS AFTER THE SERVICE OF THIS SUMMONS, EXCLUSIVE OF THE DAY OF
SERVICE (OR WITHIN 30 DAYS AFTER THE SERVICE IS COMPLETE IF THIS
SUMMONS IS NOT PERSONALLY DELIVERED TO YOU WITHIN THE STATE OF NEW YORK) .
UPON YOUR FAILURE TO ANSWER, JUDGMENT WILL BE TAKEN AGAINST YOU FOR THE
RELIEF DEMANDED IN THE COMPLAINT, TOGETHER WITH THE DISBURSEMENTS OF
THIS ACTION.
DATED THE 19 DAY OF MARCH , 2018
FORSTER & GARBUS LLP
FILE NO. AITORNEY(S) FOR PLAINTIFF
Q64664626353 60 MOTOR PARKWAY
ORIG CRED: CREDIT ONE BANK, N.A. COMMACK, NY 11725
ORIG ACCT# END IN: 5202 —
393-9400
(631)
NOTE: THE LAW PROVIDES THAT:
(A) IF THIS SUMMONS IS SERVED BY ITS DELIVERY TO YOU PERSONALLY WITHIN
THE COUNTY OF DELAWARE YOU MUST APPEAR AND ANSWER WITHIN 20 DAYS AFTER
SUCH SERVICE: OR
(B) IF THIS SUMMONS IS SERVED BY DELIVERY TO ANY PERSON OTHER THAN YOU
OR IS SERVED OUTSIDE THE COUNTY OF DELAWARE OR BY PUBLI-
PERSONALLY, ,
CATION, OR BY ANY MEANS OTHER THAN PERSONAL DELIVERY TO YOU WITHIN THE
COUNTY OF DELAWARE YOU ARE ALLOWED 30 DAYS AFTER SERVICE IS COMPLETE
WITHIN WHICH TO APPEAR AND ANSWER.
DEFE1KIAtFZ'S POB:
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FILED: DELAWARE COUNTY CLERK 06/13/2018 02:33 PM INDEX NO. EF2018-580
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NYSCEF
SUPREMEDOC.COURTNO. 1 OF THE STATE OF NEW YORK RECEIVED NYSCEF: 06/13/2018
COUNTY OF DELAWARE FORMAL COMPLAINT
_____________,._____________ ___________________
LVNV FUNDING LLC
PLAINTIFF,
- AGAINST -
ERIK PETTERSEN
DEFENDANT(S).
____________________________________________-......
PLAINTIFF, BY ITS ATIORNEY(S), COMPLAINING OF THE DEFENDANT(S), UPON
INFORMATION AND BELIEF, ALLEGES:
1. THAT THE DEFENDANT(5) RESIDES IN THE 2)UNTY IN WHICH THIS ACTION IS
BROUGHT; OR THAT THE DEFENDANT(S) TRANSACTED BUSINESS WITHIN THE COUNTY
IN WHICH THIS ACTION IS BROUGHT IN PERSON OR THROUGH HIS AGENT AND THAT
THE INSTANT CAUSE OF ACTION AROSE OUT OF SAID TRANSACTION
2. ON INFORMATION AND BELIEF THE DEFENDANT IN PERSON OR THROUGH
AN AGENT MADE PURCHASES UNDER A CREDIT AGREEMENT
AT DEFENDANT'S REQUEST - A COPY OF WHICH WAS FURNISHED TO
DEFENDANT. PLAINTIFF, AS PURCHASER OF THIS ACCOUNT, WHICH WAS ORIGINALLY
OWNED BY THE BELOW CREDITOR, PURCHASED IT FOR VALUE. THE DEFENDANT WAS NOTIFIED
OF SAME.
3. THERE REMAINS AN AGREED BALANCE ON SAID ACCOUNT OF $ 818.61 ,DUE
DUE AND
OWING ON PLAINTIFF'S CAUSE OF ACTION. NO PART OF SAID SUM HAS BEEN PAID ALTHOUGH
DULY DEMANDED.
4. DEFENDANT(S) IS IN DEFAULT AND DEMAND FOR PAYMENT HAS BEEN MADE.
5. PLAINTIFF, AS OWNER, IS AUTHORIZED TO PROCEED WITH THIS ACTION.
CHAIN OF TITLE:
LVNV Funding LLC who purchased this account from Sherman Originator LLC on
08/16/2017 who purchased this account from Sherman Originator III LLC on
08/16/2017 who purchased this account from FNBM, LLC on 08/16/2017 who purchased
this account from Credit One Bank, N.A. on 08/16/2017.
DEFAULT DATE 01/20/2017. ORIGINAL CREDITOR: CREDIT ONE BANK, N.A.
ORIGINAL ACCOUNT NOMBER ENDING IN: 5202
ON INFORMATION AND BELIEF THE CAUSES OF ACTION A$SERTED THEREIN ARE NOT
OUTSIDE OF THE APPLICABLE STATUTE OF LIMITATIONS FOR ENFORCING THE DEBT.
THERE IS NOW DUE PLAINTIFF FROM DEFENDANT(S) THE AMOUNT SET FORTH IN
THE COMPLAINT, NO PART OF WHICH HAS BEEN PAID, ALTHOUGH DULY DEMANDED.
WHEREFORE, PLAINTIFF DEMANDS JTJDGMENT AGAINST DEFENDANT(S) FOR THE SUM OF
818.61 WITH INTEREST THEREON FROM THE 23 DAY OF JULY , 2017,
TOGETHER WITH THE DISBURSEMENTS OF THIS ACTION
WE ARE DEBT COLLECTORS; ANY FORSTER & GARBUS LLP
INFORMATION OBTAINED WILL BE USED ATTORNEY(S) FT)R PLAINTIFF
IN ATTEMPTING TO COLLECT THIS DEBT. 60 MOTOR PARKWAY
COMMACK, NY 11725
DATED: THE 19 DAY OF MARCH , 2018
VALER WATT5 JOELO. LEIDERMAN
~ERMA' TES5E.GJNTHERTARAMJORDAN
PURSUANTTOPART130-1..1-aOFTHERULESOFTHE
CHIEFADMIN]$TRATORTH[SSIGNATUREAPPLIES
TOTHEATTACHEDSUMMONSANDCOMPLAINT
2 of 2
O64664626353
Document Filed Date
June 13, 2018
Case Filing Date
June 13, 2018
Category
Other Matters - Consumer Credit (Card) Debt Buyer Plaintiff
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