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  • BANK OF NEW YORK MELLON vs. LARGE, VICKIE ALEXANDRAReal Prop/Mort Foreclosure-Non-Homestead, Residential $50-249K document preview
  • BANK OF NEW YORK MELLON vs. LARGE, VICKIE ALEXANDRAReal Prop/Mort Foreclosure-Non-Homestead, Residential $50-249K document preview
  • BANK OF NEW YORK MELLON vs. LARGE, VICKIE ALEXANDRAReal Prop/Mort Foreclosure-Non-Homestead, Residential $50-249K document preview
  • BANK OF NEW YORK MELLON vs. LARGE, VICKIE ALEXANDRAReal Prop/Mort Foreclosure-Non-Homestead, Residential $50-249K document preview
						
                                

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Filing # 120419427 E-Filed 01/28/2021 02:00:38 PM IN THE CIRCUIT COURT OF THE FOURTEENTH JUDICIAL CIRCUIT IN AND FOR BAY COUNTY, FLORIDA CIVIL DIVISION THE BANK OF NEW YORK MELLON f/k/a Case #: 19004414CA THE BANK OF NEW YORK as Trustee for Nationstar Home Equity Loan Trust 2007-A Plaintiff, -VS.- Vickie Alexandra Large a/k/a Victoria Alexandra Large a/k/a Vickie Large; et al. Defendant(s). PLAINTIFF’S WITNESS LIST Plaintiff, THE BANK OF NEW YORK MELLON f/k/a THE BANK OF NEW YORK as Trustee for Nationstar Home Equity Loan Trust 2007-A, by and through its undersigned counsel, hereby files this, its Witness List for the Non-Jury Trial. Plaintiff intends to call the following as fact witness at the Trial in this matter: 1. Representative of Plaintiff will testify as to the business records of the Plaintiff and how those records are kept and maintained in the normal course of Plaintiffs business. Representative of Plaintiff may also testify as to the fact that a default occurred and the amounts due and owing, and the representative will also testify as to Plaintiffs standing to bring the subject action and as to the origination, processing, and servicing of Defendant's loan and Plaintiff's business records.* 2. Vickie Alexandra Large a/k/a Victoria Alexandra Large a/k/a Vickie Large 3. Shawn Michael Large 4. The remaining defendant(s). 5. Plaintiffs attorney may testify as to the fees and costs incurred in this matter. 6. Rebuttal and impeachment witnesses. 7. Any person(s) listed on the note and mortgage. 8. The Plaintiff reserves the right to call any witness listed and/or called by any other party and reserves the right to supplement this Witness List with additional 1 witnesses as they become known or necessary, upon proper notice to the other parties. * The Plaintiff intends to provide a specific name of its corporate representative by way of an Amended Witness List once that individual’s trial schedule has been finalized. In the interim, in order to avoid any prejudice to the Defendant, should the Defendant wish to depose the Plaintiff's trial witness prior to the start of the trial, the Defendant or its attorney (whichever is applicable) should contact the undersigned and the Plaintiff's trial witness will be made available for deposition prior to the commencement of the trial. CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished by U.S. Mail and/or email service if an email address is so listed below on this 28 day of January , 2021 to the following: Shawn Michael Large, 3426 Douglas Road, Apartment B, Panama City, FL 32405 Vickie Alexandra Large a/k/a Victoria Alexandra Large a/k/a Vickie Large, c/o Mitch Dever, Esq., mitchdever@comcast.net *Pursuant to Fla. R. Jud. Admin. 2.516(b)(1)(A), Plaintiff’s counsel hereby designates its primary email address for the purposes of email service as: FLeService@logs.com* LOGS LEGAL GROUP LLP Attorneys for Plaintiff 4630 Woodland Corporate Blvd., Suite 100 Tampa, Florida 33614 Telephone: (813) 880-8888 Ext. 55153 Fax: (813) 880-8800 For Email Service Only: FLeService@logs.com For all other inquiries: jkopf@logs.com By: /s/ Jennifer Kopf Jennifer Kopf, Esq. FL Bar # 50949 Pursuant to the Fair Debt Collections Practices Act, you are advised that this office may be deemed a debt collector and any information obtained may be used for that purpose. 19-321900 FCO1 CXE 2