On December 29, 2015 a
Complaint,Petition
was filed
involving a dispute between
4150 Sawgrass Llc,
and
Bell, Lawrence,
Walker, Lakonya,
for DELINQUENT TENANT - COUNTY
in the District Court of Pinellas County.
Preview
Case Number: 15-009768-CO
Filing # 35978064 E-Filed 12/29/2015 02:20:55 PM
IN THE COUNTY COURT OF THE SIXTH
JUDICIAL CIRCUIT IN AND FOR
PINELLAS COUNTY, FLORIDA
CASE NO...
JUDGE :
DIVISION:
4150 SAWGRASS LLC
D/B/A SAWGRASS APARTMENTS
vs
PLAINTIFF,
LAKONYA WALKER
LAWRENCE BELL
DEFENDANT(S).
/
COMPLAINT FOR TENANT EVICTION
Plaintiff sues defendant(s) and alleges:
COUNT I- EVICTION
1. This is an action to evict a tenant from property in PINELLAS County, Florida commenced under authority of
Part II of Chapter 83 (Florida Residential Landlord and Tenant Act) and Chapter 51 (Summary Procedure) of Florida
Statutes.
2. Pursuant to the attached lease agreement, defendant(s) has/have possession of the residential property described
as follows:
4181 76th Ave. N. Apt. No: 216 PINELLAS PARK, FL 33764
3. Plaintiff is the owner/landlord of the subject property and its common areas and grounds, and the person whose
signature appears on attached lease agreement for the owner/landlord is the agent for the plaintiff.
4, Defendant(s) is/are obligated to pay rent each month to plaintiff, plus late charges when the monthly payments are
made late as provided in the lease agreement.
5. Defendant(s) failed to pay rent which was due on 12/01/2015, and plaintiff properly served defendant(s) with a
three-day notice to pay rent or give possession, a copy of which is attached, as provided in Florida Statutes 83.56(3),
and defendant(s) did not do either. Said three-day notice is made a part hereof as if copied in full in this paragraph
of this complaint.
6. Defendant(s) owes plaintiff past due rent in the sum of $900.00 which is now past due, and may owe additional
rent by the date of a hearing. The monthly rental rate as per lease is $815.00.
7. Plaintiff has elected to terminate defendants right of occupancy pursuant to said lease agreement.
8. Plaintiff is obligated to pay its attorneys a reasonable fee for their services for which defendant(s) is/are liable.
WHEREFORE, plaintiff demands judgment instanter against the defendant(s) for possession of the subject property,
costs, and attorney’s fees.
s/ James I. Barron, IIT
James I. Barron, III (efile@jamesbarronlaw.com)
Florida Bar Number: 852953
Attorney for Plaintiff
4150 SAWGRASS LLC
D/B/A SAWGRASS APARTMENTS
Law Offices of James I. Barron, III P.A.
121 S. Orange Avenue, Suite 1500
Orlando, FL 32801
407-865-5621
95597 SAPN AN
***ELECTRONICALLY FILED 12/29/2015 02:20:53 PM: KEN BURKE, CLERK OF THE CIRCUIT COURT, PINELLAS COUNTY***
Document Filed Date
December 29, 2015
Case Filing Date
December 29, 2015
Category
DELINQUENT TENANT - COUNTY
For full print and download access, please subscribe at https://www.trellis.law/.