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  • Discover Bank v. Candice M HunterOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
  • Discover Bank v. Candice M HunterOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
  • Discover Bank v. Candice M HunterOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
  • Discover Bank v. Candice M HunterOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
  • Discover Bank v. Candice M HunterOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
  • Discover Bank v. Candice M HunterOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
  • Discover Bank v. Candice M HunterOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
  • Discover Bank v. Candice M HunterOther Matters - Consumer Credit (Card) Original Creditor Plaintiff document preview
						
                                

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FILED: OTSEGO COUNTY CLERK 05/14/2021 10:09 AM INDEX NO. EF2021-261 NYSCEF DOC. NO. 5 RECEIVED NYSCEF: 05/14/2021 SUPREME COURT FOR THE STATE OF NEW YORK COUNTY OF OTSEGO ________________________________________________ DISCOVER BANK, Plaintiff, Index No. EF2021-261 vs. ANSWER CANDICE M HUNTER, Defendant. ________________________________________________ Defendant CANDICE M HUNTER, by and through her attorneys, Law Offices of Robert S. Gitmeid & Assoc., PLLC, without waiving any affirmative defenses, as and for an Answer to the Plaintiff’s Complaint, states the following upon information and belief: 1. Defendant lacks knowledge or information sufficient to form a belief as to the truth or falsity of the allegations set forth in Paragraph 1 and, therefore, DENIES the allegations on that basis. 2. Defendant ADMITS to the allegation set forth in Paragraph 2. 3. Defendant lacks knowledge or information sufficient to form a belief as to the truth or falsity of the allegations set forth in Paragraph 3 and, therefore, DENIES the allegations on that basis. 4. Defendant DENIES the allegation set forth in Paragraph 4. 5. Defendant lacks knowledge or information sufficient to form a belief as to the truth or falsity of the allegations set forth in Paragraph 5 and, therefore, DENIES the allegations on that basis. 1 of 4 FILED: OTSEGO COUNTY CLERK 05/14/2021 10:09 AM INDEX NO. EF2021-261 NYSCEF DOC. NO. 5 RECEIVED NYSCEF: 05/14/2021 AFFIRMATIVE DEFENSES First Affirmative Defense The Complaint fails to state a claim against Defendant upon which relief can be granted. Second Affirmative Defense Defendant denies the amounts claimed by Plaintiff and the remaining allegations. Defendant demands that Plaintiff verifies the alleged debt and provides a detailed accounting of all alleged purchases, charges, credits, offsets and payments to the alleged account. Third Affirmative Defense Defendant alleges that the amounts claimed by Plaintiff are inflated to include improper charges and late payment fees inappropriately charged by Plaintiff. The Defendant submits that these charges created an unconscionable contract and that allowing Plaintiff to collect these amounts would be inequitable and against public policy. Fourth Affirmative Defense Defendant contends that Plaintiff charged excessive interest, late fees and penalties. As a result of the excessive amounts charged by Plaintiff, Defendant is unable to reduce the debt, making performance of any obligation impossible. 2 of 4 FILED: OTSEGO COUNTY CLERK 05/14/2021 10:09 AM INDEX NO. EF2021-261 NYSCEF DOC. NO. 5 RECEIVED NYSCEF: 05/14/2021 Fifth Affirmative Defense This action is barred by the statute of limitations. Sixth Affirmative Defense Plaintiff’s claims are barred by estoppel, unclean hands, and waiver. Seventh Affirmative Defense Defendant did not breach any duty or obligation allegedly owed to Plaintiff. Eighth Affirmative Defense Plaintiff’s claims are barred by its failure to satisfy all conditions precedent. Ninth Affirmative Defense Plaintiff failed, refused and/or neglected to take reasonable steps to mitigate Plaintiff’s damages, if any, thus barring or diminishing any recovery by Plaintiff against Defendants. Tenth Affirmative Defense Defendant reserves the right to assert additional defenses as discovery progresses. 3 of 4 FILED: OTSEGO COUNTY CLERK 05/14/2021 10:09 AM INDEX NO. EF2021-261 NYSCEF DOC. NO. 5 RECEIVED NYSCEF: 05/14/2021 PRAYER FOR RELIEF WHEREFORE, the Defendant prays for relief from this Honorable Court as follows: A. That the Plaintiff takes nothing by way of this Complaint, B. To dismiss the Complaint with prejudice based upon the admissions, denials, and defenses as alleged herein, C. To award the Defendant’s costs, and D. To award the Defendant such other and further relief as this Court deems just and equitable. Respectfully Submitted, _________________________ Louis Greco, Esq. Attorney for Defendant Law Offices of Robert S. Gitmeid & Assoc., PLLC 11 Broadway, Suite 960 New York, NY 10004 Tel: (212) 226-5081 Fax: (212) 208-2591 TO: CLERK SUPREME COURT COUNTY OF OTSEGO STATE OF NEW YORK CC: ELIZABETH DEERY, ESQ. ZWICKER & ASSOCIATES, P.C. Attorneys for Plaintiff 100 Corporate Woods, Suite 230 Rochester, New York 14623 4 of 4