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  • FIFTH THIRD BANK MORTGAGE COMPANY vs. ADAM, SHARONet al. CA - Mortgage Foreclosure (filed prior to 6/1/2009) document preview
  • FIFTH THIRD BANK MORTGAGE COMPANY vs. ADAM, SHARONet al. CA - Mortgage Foreclosure (filed prior to 6/1/2009) document preview
  • FIFTH THIRD BANK MORTGAGE COMPANY vs. ADAM, SHARONet al. CA - Mortgage Foreclosure (filed prior to 6/1/2009) document preview
						
                                

Preview

FIFTH THIRD MORTGAGE COMPANY, IN THE CIRCUIT COURT OF THE 9TH JUDICIAL CIRCUIT IN AND#OR Plaintiff. ORANGE COUNTY, FLORIDA S Vs. case no. 48-C8 -CA aed 3 SHARON ADAM, et ux., et al., AFFIDAVIT IN SUPPORT OF MOTION FOR FINAL SUMMARY Defendant(s). JUDGMENT fi STATE OF OHIO COUNTY OF HAMILTON BEFORE ME this day personally appeared s\ison) y LYNN who upon vath, deposes on personal knowledge and says: 1, This Affidavit is submitted in support of Plaintiff's Motion for Final Judgment for the purpose of showing that there is in this action no genuine issue as to any material fact, and that Plaintiff is entitled to a judgment as a matter of law. 2. My name is JASON Fu Nd , and I am A Forecrosuse Aye 2ST of FIFTH THIRD MORTGAGE COMPANY. FIFTH THIRD MORTGAGE COMPANY is the owner or servicer for the owner of the note and mortgage herein. FIFTH THIRD MORTGAGE COMPANY is responsible for the collection of this loan transaction and pursuit of any delinquency in payments. I am familiar with the books of account and have examined all books, records, and documents kept by FIFTH THIRD MORTGAGE COMPANY concerning the facts alleged by FIFTH THIRD MORTGAGE COMPANY, in this cause. All of thesc books, records and documents are kept by FIFTH THIRD MORTGAGE COMPANY in the regular course of its business as servicer of the loan transaction and are made at or near the time by, and from information transmitted by, persons with personal knowledge of the facts such as your affiant. It is the regular practice of FIFTH THIRDMORTGAGE COMPANY to make aud keep these books, records, and documents. The books, records, and documents which Affiant has examined are in the custody, supervision and control of Affiant, and are complete, accurate and correct. Furthermore, Affiant personal knowledge of the matters contained in the books, records and documents kept by FIFTH THIRD MORTGAGE COMPANY. 3. Thave personal knowledge of the facts contained in this affidavit. Specifically, I have personal knowledge of the facts regarding the sums of money which are due and owing to FIFTH THIRD MORTGAGE COMPANY, pursuant to the Note and Mortgage which is the subject matter of the lawsuit. 4. The following amounts are due and payable: A. Principal Balance of $ 142, 146. 24. B. Accrued interest from JO/) /o7 through 6/1/05 _ in the amount of $__%,54|.°° thereafter at the rate of $___34.>_ per diem C. Late charges accrued up to default date ! $___)07!°. D. Escrow Advances $_Z,046,"P Hazard Insurance advance $_|§ ——— Taxes for the year Ze" 7 $ S557 Taxes for the year $s Other Poy § Zong te E. Maintenance and Inspections Gore. F. Other advances _ POs $_325.°°. G. Other advances Payoff Fees $40 H. $5. FIFTH THIRD MORTGAGE COMPANY, has employed the services of the law firm of Spear and Hoffman in this action against the Defendant(s), and is obligated to pay Spear and Hoffman a reasonable attorney’s fee for its services, along with all costs and expense of this action. FURTHER AFFIANT SAYETH NAUGHT. AE NT STATE OF OHIO COUNTY OF HAMILTON The Affiant, = Avsoy Fux % has sworn before me that he/she has personal knowledge of all the statements that he/she has made in this affidavit, and that all statements are true Foeecwsee and correct this 2”° day of _ Sows , 2008, and Affiant is the Awavyst of FIFTH THIRD MORTGAGE COMPANY, and who is personally known to me and who did take an A j ROAD nrc 70 zal Notary Public, State of OHI 4 SARA OHRADZANSKY Notary Public, State of Ohio My Commission Expires February 18, 2013 oath. My Commission Expires: Loan No: 4021 18996/Adam-Sharon.aff FTA-C-228/SPH