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  • BANK OF AMERICA, N.A. v. COLANGELO, MICHAEL P Et AlP00 - Property - Foreclosure document preview
  • BANK OF AMERICA, N.A. v. COLANGELO, MICHAEL P Et AlP00 - Property - Foreclosure document preview
  • BANK OF AMERICA, N.A. v. COLANGELO, MICHAEL P Et AlP00 - Property - Foreclosure document preview
  • BANK OF AMERICA, N.A. v. COLANGELO, MICHAEL P Et AlP00 - Property - Foreclosure document preview
  • BANK OF AMERICA, N.A. v. COLANGELO, MICHAEL P Et AlP00 - Property - Foreclosure document preview
  • BANK OF AMERICA, N.A. v. COLANGELO, MICHAEL P Et AlP00 - Property - Foreclosure document preview
						
                                

Preview

DOCKET NO.: LLI-CV-14-6009873-S : SUPERIOR COURT BANK OF AMERICA, N.A. : JUDICIAL DISTRICT OF : LITCHFIELD V. : AT LITCHFIELD MICHAEL P COLANGELO, ET AL. : OCTOBER 14, 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: DAWN L COLANGELO and MICHAEL P COLANGELO 2nd Law Day: TIMBER LAKE HOMEOWNERS ASSOCIATION, INC. 3rd Law Day: HOUSEHOLD REALTY CORPORATION 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 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 July 28, 2014: Principal balance of $174,678.46, together with accrued interest in the amount of $22,601.80 calculated from August 1, 2012 at the rate of 6.5% per annum, plus late charges of $568.80, Escrow Advance for taxes and insurance of $16,545.66 and corporate advances of $0.00, 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 law 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 CERTIFICATION I hereby certify that a copy of the foregoing Motion and Appraisal (P.B. Sec. 23-16) was mailed on October 14, 2014 to all counsel and pro se parties of record, as follows: NO APPEARING PARTIES ________/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. 291260