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  • CITIMORTGAGE, INC. v. JORAY, JOANN Et AlP00 - Property - Foreclosure document preview
  • CITIMORTGAGE, INC. v. JORAY, JOANN Et AlP00 - Property - Foreclosure document preview
  • CITIMORTGAGE, INC. v. JORAY, JOANN Et AlP00 - Property - Foreclosure document preview
  • CITIMORTGAGE, INC. v. JORAY, JOANN Et AlP00 - Property - Foreclosure document preview
  • CITIMORTGAGE, INC. v. JORAY, JOANN Et AlP00 - Property - Foreclosure document preview
  • CITIMORTGAGE, INC. v. JORAY, JOANN Et AlP00 - Property - Foreclosure document preview
						
                                

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DOCKET NO.: LLI-CV-14-6009913-S SUPERIOR COURT CITIMORTGAGE, INC. JUDICIAL DISTRICT OF LITCHFIELD Vv. AT LITCHFIELD JOANN JORAY, ET AL. MAY 5, 2014 MOTION FOR JUDGMENT OF STRICT FORECLOSURE AND FINDING OF ENTITLEMENT OF POSSESSION The Plaintiff hereby moves that a Judgment of Strict Foreclosure enter in this action and that the Court make a finding that the Plaintiff is entitled to possession of the subject premises upon title to the subject premises vesting in the Plaintiff. Pursuant to Sec. 23-17 of the Connecticut Practice Book (2010) law days should be assigned to the parties to the action in the inverse order of their priority, as follows: 1st Law Day: JOANN JORAY, SCOTT D JORAY 2nd Law Day: SCASCO/FORMAGGIONI OIL Plaintiff By: 430794 John J. Ribas Hunt Leibert Jacobson, P.C. 50 Weston Street Hartford, CT 06120 Its Attorneys Juris No. 101589 860-808-0606 ORAL ARGUMENT REQUESTED TESTIMONY NOT REQUIRED HUNT LEIBERT JACOBSON, PC. e ATTORNEYS AT LAW 50 WESTON STREET © HARTFORD, CONNECTICUT 06120 @ (860) 808-0606 @ JURIS NO. 101589 PRELIMINARY STATEMENT OF DEBT Pursuant to Sec. 23-18(b) of the Connecticut Practice Book (2010), the following is a preliminary statement of the Plaintiff's monetary claim calculated as of March 3, 2014: Principal balance of $164,232.21, together with accrued interest in the amount of $6,071.33 calculated from July 1, 2013 at the rate of 5.5% per annum, plus late charges of $748.60, Escrow Advance for taxes and insurance of $2,892.49 and corporate advances of $202.50 plus counsel fees and court costs. 430794. John J. Ribas ORDER The foregoing Motion for Judgment of Strict Foreclosure having been presented to this Court, it is hereby GRANTED / DENIED. In accordance with the order of Jaw days hereinabove set forth, the first law day shall be with subsequent days to each party in the order set forth. BY THE COURT (Asst.) Clerk HUNT LEIBERT JACOBSON, PC. @ ATTORNEYS AT LAW 50 WESTON STREET e@ HARTFORD, CONNECTICUT 06120 © (860) 808-0606 @ JURIS NO. 101589 CERTIFICATION Thereby certify that a copy of the foregoing Motion and Appraisal (P.B. Sec. 23-16) was mailed on May 5, 2014 to all counsel and pro se parties of record, as follows: JOANN JORAY, PRO SE PO BOX 911 TORRINGTON, CT 06790 SCOTT D JORAY, PRO SE PO BOX 911 TORRINGTON, CT 06790 430794 John J. Ribas Attorney for the Plaintiff PURSUANT TO FEDERAL LAW, THIS LAW FIRM IS A DEBT COLLECTOR. WE ARE ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE. HOWEVER, IF YOU ARE IN BANKRUPTCY OR RECEIVED A BANKRUPTCY DISCHARGE OF THIS DEBT, THIS COMMUNICATION IS NOT AN ATTEMPT TO COLLECT THE DEBT AGAINST YOU PERSONALLY, BUT IS NOTICE OF A POSSIBLE ENFORCEMENT OF THE LIEN AGAINST THE COLLATERAL PROPERTY. 291779 HUNT LEIBERT JACOBSON, P.C. ¢ ATTORNEYS AT LAW 50 WESTON STREET @ HARTFORD, CONNECTICUT 06120 © (860) 808-0606 @ JURIS NO. 101589