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  • U.S. BANK NATIONAL ASSOCIATION, AS TRUSTEE FOR BAN v. MULLE, THEODORE B. Et AlP00 - Property - Foreclosure document preview
  • U.S. BANK NATIONAL ASSOCIATION, AS TRUSTEE FOR BAN v. MULLE, THEODORE B. Et AlP00 - Property - Foreclosure document preview
  • U.S. BANK NATIONAL ASSOCIATION, AS TRUSTEE FOR BAN v. MULLE, THEODORE B. Et AlP00 - Property - Foreclosure document preview
  • U.S. BANK NATIONAL ASSOCIATION, AS TRUSTEE FOR BAN v. MULLE, THEODORE B. Et AlP00 - Property - Foreclosure document preview
						
                                

Preview

DOCKET NO.: LLI-CV16-6014392-S : SUPERIOR COURT : JUDICIAL DISTRICT U.S. BANK NATIONAL ASSOCIATION, AS : OF LITCHFIELD TRUSTEE FOR BANC OF AMERICA FUNDING: 2009-FT1 TRUST, MORTGAGE PASS- : THROUGH CERTIFICATES, SERIES 2009-FT1 : : : AT LITCHFIELD VS. : : February 8, 2017 THEODORE B. MULLE : DENISE D. MULLE : BANK OF AMERICA, N.A : DEMAND FOR DISCLOSURE OF DEFENSE Pursuant to the provision of § 13-19 of the Connecticut Practice Book, the Plaintiff in the above-entitled matter hereby demands that the attorney(s) appearing for the following named Defendant(s), BANK OF AMERICA, N.A., present to the Court, to become a part of the file in this case, a writing signed by such attorney(s) stating whether he or she has a reason to believe and does believe that there exists a bona fide defense to the Plaintiff’s action and whether such defense will be made, together with a general statement of the nature of substance of such defense, within ten (10) days of the filing of this demand. If said attorney shall fail to disclose as required, or shall not satisfy this Court that such defense will be made, the Plaintiff prays to Court to order judgment to be entered for the Plaintiff. Plaintiff, U.S. Bank National Association, as Trustee for Banc of America Funding 2009-FT1 Trust, Mortgage Pass-Through Certificates, Series 2009-FT1 By its Attorney, ___/s/409017_____________ Eileen C. O’Shaughnessy, Esq. Marinosci Law Group, P.C. 1350 Division Road, Suite 301 West Warwick, RI 02893 Telephone (401) 234-9200 Juris No. 409017 ORAL ARGUMENT IS NOT REQUESTED TESTIMONY IS NOT REQUIRED CERTIFICATION The undersigned hereby certifies that a copy of the above motion was mailed on February 8, 2017 to all counsel and/or pro se parties of record. Theodore B. Mulle 201 Aspetuck Ridge Road New Milford, CT 06776 Denise D. Mulle 201 Aspetuck Ridge Road New Milford, CT 06776 Bendett & McHugh, P.C. 160 Farmington Ave Farmington, CT 06032 ________/s/ 409017______________ Commissioner of the Superior Court