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  • Sefcu v. Jason RoachCommercial - Contract document preview
  • Sefcu v. Jason RoachCommercial - Contract document preview
  • Sefcu v. Jason RoachCommercial - Contract document preview
  • Sefcu v. Jason RoachCommercial - Contract document preview
						
                                

Preview

FILED: ONONDAGA COUNTY CLERK 06/15/2021 11:04 AM INDEX NO. 005434/2021 NYSCEF DOC. NO. 1 SEFCO8 27298314 RECEIVED NYSCEF: 06/15/2021 SUPREME COURT OF THE STATE OF NEW YORK Index No. COUNTY OF ONONDAGA SUMMONS Plaintiff's Address: SEFCU PATROON CRK CORP CTR Plaintiff, ALBANY NY 12206 against Defendant's Address: JASON ROACH JASON ROACH 7846 BROWNELL RD Defendant(s). KIRKVILLE NY 13082 See below for co-defendant addresses CONSUMER CREDIT TRANSACTION The basis of the venue is: DEFENDANT RESIDES IN THE COUNTY OF ONONDAGA Transaction took place in the COUNTY OF ALBANY Plaintiff resides in the COUNTY OF ALBANY To the above named defendant(s) : YOU ARE HEREBY SUMMONED TO ANSWER THE COMPLAINT IN THIS ACTION AND TO SERVE A COPY OF YOUR ANSWER ON PLAINTIFF'S ATTORNEYS WITHIN THE TIME PROVIDED BY LAW AS NOTED BELOW. Upon your failure to answer, judgment will be taken against you for the relief demanded in the complaint, together with fbe costs of this action. Dated: 05/25/21 // Jul Solomon x359 _Je ua I. Aron x381 Phone: 518-456-8100 SOLOMON AND SOLOMON, P.C. File#: 27298314 Attorneys for Plaintiff Columbia Circle, Box 15019 Albany, New York 12212-5019 myaccount@solomonpc.com NOTE: The law provides that : (a) If this summons is served by its delivery to you personally within the STATE OF NEW YORK, you must appear and answer within TWENTY days after such service, or (b) If this summons is served by delivery to any person other than you personally, or is served outside the STATE OF NEW YORK, or by publication, or by any means other than personal delivery to you within the STATE OF NEW YORK, you are allowed THIRTY days after service is complete to answer. Co-defendant names and addresses, if applicable, listed below: This is an attempt to collect a debt. Any information obtained will be used for that purpose. This communication is from a debt collector. Calls are randomly monitored and may be recorded to ensure quality service. Our office is open Monday through Friday, 8:00 am to 5:00 pm. FRTYSS PRTFRM RMESKO 054357PRTFRM 000002 27298314 01 20210525082842 YSS AS400 BLNK 002801006 0001N 1 of 2 FILED: ONONDAGA COUNTY CLERK 06/15/2021 11:04 AM INDEX NO. 005434/2021 NYSCEF DOC. NO. 1 SEFCO8 27298314 RECEIVED NYSCEF: 06/15/2021 SUPREME COURT OF THE STATE OF NEW YORK Index No. COUNTY OF ONONDAGA COMPLAINT SEFCU Plaintiff, against JASON ROACH Defendant(s). Plaintiff, by its attorneys, complaining of the defendant(s), respectfully alleges upon information and belief: 1. Plaintiff is A FEDERALLY CHARTERED CREDIT UNION. 2. That the defendant(s) resides in the county 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. FOR A FIRST CAUSE OF ACTION - Breach of Contract 3. That the Defendant(s) entered into a credit agreement with the Plaintiff. 4. Pursuant to the credit agreement Defendant(s) is(are) obligated for all charges made in connection with the credit extended under the agreement. 5. Defendant(s) failed to make payments as provided in said agreement, and all sums due under the agreement have been duly declared due and payable. 6. Reasonable attorneys fees pursuant to the terms of the agreement are due to Plaintiff from the Defendant. The fees payable to counsel are based on a contingency fee of 22.5% FOR A SECOND CAUSE OF ACTION - Account Stated 7. Plaintiff rendered to Defendant(s) monthly, full and true accounts the indebtedness owing by the Defendant(s) as a result of the above agreement in the amount set forth above. 8. The account statements were delivered to and accepted without objection and held by Defendant for an unreasonable amount of time after they were rendered resulting in an account stated. WHEREFORE, Plaintiff demands judgment against Defendant for the sum of $2247.04 plus interest at 4.74% as of 07/24/20 and attorney's fees and for such further relief as this court de s equitable. Julie 9( Solomon x359 Ubsh I. Aron x381 SOL ON AND SOLOMON, P.C. Attorneys for Plaintiff 1 Columbia Circle Albany, NY 12203 518-456-8100 myaccount@solomonpe.com This is an attempt to collect a debt. Any information obtained will be used for that purpose. This communication is from a debt collector. Calls are randomly monitored and may be recorded to ensure quality service. Our office is open Monday through Friday, 8:00 am to 5:00 pm. FRTYCP PRTFP4 IBiESKO 054357PRTMB1 000002 27298314 01 20210525082842 YCP Mi400 BEE 0028010D7 0002N 2 of 2