On November 14, 2007 a
Party Statement
was filed
involving a dispute between
U S Bank National Association,
and
Chase Home Finance,
Marion L Quinn,
Montgomery County Treasurer,
Wesley A Quinn,
for MARION L QUINN
in the District Court of Montgomery County.
Preview
ELECTRONICALLY FILED
COURT OF COMMON PLEAS
Thursday, March 04, 2010 4:30:28 PM
CASE NUMBER: 2007 CV 09571 Docket ID: 14853271
GREGORY A BRUSH
CLERK OF COURTS MONTGOMERY COUNTY OHIO
COURT OF COMMON PLEAS
MONTGOMERY COUNTY, OHIO
U.S. Bank, N.A., as Trustee for the Structured Case No. 2007 CV 9571
Asset Securities Corporation Mortgage Loan
Trust, 2006- NC1, Judge Connie S. Price
Plaintiff,
NOTICE OF FILING ORIGINAL
-vs- AFFIDAVIT OF CUSTODIAL AGENT,
MARK J. KELLY
Wesley A. Quinn, et al.,
Defendants.
Now comes Plaintiff, U.S. Bank, N.A., as Trustee for the Structured Asset
Securities Corporation Mortgage Loan Trust, 2006- NC1, and hereby gives notice of
filing the original Affidavit of Custodial Agent, Mark J. Kelly, Vice President of
Deutsche Bank National Trust Company with original signature and raised seal. A
true and correct copy of the Affidavit of Custodial Agent has been attached hereto to
be filed herein.
Respectfully submitted,
/S/ Deanna C. Stoutenborough
Deanna C. Stoutenborough (# 0069761)
Rick D. DeBlasis, Esq. (# 0012992)
Craig A. Thomas, Esq. (#0037667)
LERNER, SAMPSON & ROTHFUSS
LSR # 200725626
Attorney for Plaintiff
120 E. Fourth St., 8th Floor
Cincinnati, OH 45202
Ph.: (513) 412-6093
Fx.: (513) 362-3592
Deanna.stoutenborough@lsrlaw.com
CERTIFICATE OF SERVICE
I hereby certify that, on March 4, 2010, I electronically filed the foregoing
Notice of Filing Original Affidavit of Custodial Agent with the Clerk of the Court using
the electronic filing system and have requested the Clerk to send notification of such
filing, via the ECF system, to the following:
Craig A. Thomas, Esq.
P.O. Box 5480
Cincinnati, OH 45201
Co-counsel for Plaintiff
Randall J. Smith, Esq.
Miami Valley Fair Housing Center, Inc.
21-23 E. Babbitt Street
Dayton, OH 45405
Counsel for Defendants, Wesley and Marion Quinn
Collette S. Carr, Esq.
301 West Third Street
5th Floor
Dayton, OH 45402
Counsel for Defendant, Montgomery County Treasurer
I hereby further certify that a true and correct copy of the foregoing Notice of
Filing Original Affidavit of Custodial Agent was sent via ordinary U.S. mail, postage
prepaid, to the following on this 4th day of March, 2010:
Chase Home Finance
3415 Vision Drive
Columbus, OH 43219
/S/ Deanna C. Stoutenborough
2
Document Filed Date
March 04, 2010
Case Filing Date
November 14, 2007
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