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  • CACH LLC vs BRUGES, YEZIO SMALL CLAIMS BETWEEN $500.01-$2,500 document preview
  • CACH LLC vs BRUGES, YEZIO SMALL CLAIMS BETWEEN $500.01-$2,500 document preview
  • CACH LLC vs BRUGES, YEZIO SMALL CLAIMS BETWEEN $500.01-$2,500 document preview
  • CACH LLC vs BRUGES, YEZIO SMALL CLAIMS BETWEEN $500.01-$2,500 document preview
						
                                

Preview

IN THE COUNTY COURT OF THE TWELFTH JUDICIAL CIRCUIT IN AND FOR SARASOTA COUNTY, FLORIDA SMALL CLAIMS DIVISION CACH, LLC., CASE NO.: 2007 SC 004660 NC Plaintiff, VS. YEZIO BRUGES, Defendant. / PLAINTIFF’S MOTION FOR FINAL JUDGMENT COMES NOW, the Plaintiff, CACH, LLC., by and through its undersigned attorney and hereby moves for entry of Final Judgment for damages against Defendant, YEZIO BRUGES, and as grounds would state the following: 1. The Defendant was served with a Summons/Notice to Appear and Statement of Claim. ~ 2. The Defendant entered into a Stipulation on August 21°, 2007 10. makes S0g payments on or before September 20", 2007 and each subsequent paren cSSO:00 ~~ on the 20" of each month until the total debt of $2,488.07 is paid in full, —~ 2 3. The Plaintiff received two payments totaling $100.00. The Defendant: as dgfaultad on the Stipulation; therefore the undersigned is requesting a Final fidgms Be entered against YEZIO BRUGES. 2 Oe 4. The Plaintiff, CACH, LLC., has incurred actual damages in the amount of $1,708.16 for monies due on a BANK OF AMERICA credit card that was sold to the Plaintiff, CACH, LLC., for good and valuable consideration. 5. This is substantiated by the Affidavit of Indebtedness and Certificate of Assignment executed by an Authorized Agent of CACH, LLC., filed in support of this Motion. 6. The Plaintiff, CACH, LLC., did also retain the legal services of the undersigned to enforce this agreement and incurred legal fees and costs for services that the Defendant is contractually obligated to pay as provided by the terms and conditions of the agreement between the parties. These fees and costs are detailed in the Affidavit of the undersigned counsel filed in support of this motion. CEC ivmeayWHEREFORE, the Plaintiff, CACH, LLC., hereby demands Judgment against the Defendant, YEZIO BRUGES, for actual damages, attorney’s fees, interest, costs, and any further relief this Court deems just and proper. I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished by U.S. Mail to: YEZIO BRUGES, 3119 54TH DR E UNIT 103, BRADENTON, FL 34203-8443 on this 31“ day of January 2008. Respectfully submitted, iA fi i 4 MELISSA A. FERRIS Florida Bar No.: 0370703 P.O. BOX 547816 Orlando, FL 32854 (866)377-2500 (toll-free) (407)428-1045(Telephone) (407) 428-1044 (Facsimile)