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  • Lvnv Funding Llc v. Stacy GrangerOther Matters - Consumer Credit (Card) Debt Buyer Plaintiff document preview
						
                                

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FILED: ST. LAWRENCE COUNTY CLERK 08/06/2020 06:43 PM INDEX NO. EFCV-20-157277 NYSCEF DOC. NO. 5 RECEIVED NYSCEF: 08/06/2020 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF SAINT LAWRENCE LVNV Funding LLC INDEX # EFCV-20-157277 Plaintiff, -against- STIPULATION OF SETTLEMENT Stacy Granger Defendant(s), Itis herebystipulatedand agreed by and between the attorneyforthe plaintiff and the defendant as follows: 1. The defendant herein appears, acknowledges service of the Summons and Verified Complaint, admits the jurisdictionand venue ofthisCourt, and thatthere areno defenses to thisaction. This agrccmcñt settlesallclaims between the partieswith respect to an accountnumber issued by CreditOne Bank, N.A. bearing account number XXXXXXXXXXXX4160. 2. Plaintiff has agreed to accept the sum of$1115.20 (Future InterestWaived) in fullsatisfaction of the debt due plaintiff,to be repaidas follows:$62.00 on or before3/20/2020 and $62.00 on orbefore the 20th of each Month thereafter untilpaid infull. (the "Repayment Period"). 3. That the payments provided for herein are tobe made payable to Stephañ Einstein and Associates, P.C. and forwarded to them as attorneys for the plaintiff at 39 Broadway, Suite 1250, New York, New York 10006. Please wnte your matter number, statedbelow, on your check of money order for proper processing of your payment. 4. That in theevent Defendant fails to remit any payment when due, Plaiiitiff will notifyDefendant via regularmail to the address noted below. Ifany default isnot cured within ten (10)days of said notice,Plaintiffmay submit a judgment, without further notice, for entry for allsums due as computed from the complaint, less payments remitted, ifany, pluscosts, and interest, disbursements. 5. When allpayments due under thisagreement are received and clear Plaintiff'sescrow account, Plaintiff's attorneyagrees to provide Defendant a Stipulation of Discontimmnce with Prejudice. 6. This isan attempt to collecta debt and any information obtained wi be d for thatpurpose. Facsimile and/or scanned signatures shallhave the full force and effectas originals. Dated: February 19, 2020 STEPHEN E EI1 & ASSOCIATES, P.C. Attorneys forPlaintiff 39 Broadway Suite1250 __ New York, NY 10006 (212) 267-3550 Stacy Granger Pro Se Defendant m smum. 244 Center St Massena NY 13662-1521 Matter #: 359371.001 lDahri 45 S4e phen ch S Name of Employer Nn ½enn ch Address of Employer L STP NY POSTSUM 1 of 1