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  • Deutsche Bank National Trust Company, As Trustee For Gmacm Mortgage Loan Trust 2005-Ar6 v. Germaine Brown, Ernest Brown, Midland Funding Llc, Discover Bank, Chase Bank Usa, John Doe #1 Through John Doe #12, Real Property - Mortgage Foreclosure - Residential document preview
  • Deutsche Bank National Trust Company, As Trustee For Gmacm Mortgage Loan Trust 2005-Ar6 v. Germaine Brown, Ernest Brown, Midland Funding Llc, Discover Bank, Chase Bank Usa, John Doe #1 Through John Doe #12, Real Property - Mortgage Foreclosure - Residential document preview
  • Deutsche Bank National Trust Company, As Trustee For Gmacm Mortgage Loan Trust 2005-Ar6 v. Germaine Brown, Ernest Brown, Midland Funding Llc, Discover Bank, Chase Bank Usa, John Doe #1 Through John Doe #12, Real Property - Mortgage Foreclosure - Residential document preview
  • Deutsche Bank National Trust Company, As Trustee For Gmacm Mortgage Loan Trust 2005-Ar6 v. Germaine Brown, Ernest Brown, Midland Funding Llc, Discover Bank, Chase Bank Usa, John Doe #1 Through John Doe #12, Real Property - Mortgage Foreclosure - Residential document preview
						
                                

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LEOPOLD & ASSOCIATES, PLLC December 3, 2018 VIA FASCIMILE & NYSCEF Hon. Elaine Slobod, J.S.C. Orange County Supreme Court 255-285 Main Street Goshen, New York 10924-3550 Fascimile: 845.476.3447 Re: DEUTSCHE BANK NATIONAL TRUST COMPANY, AS TUSTEE FOR GMACM MORTGAGE LOAN TRUST 2005-AR6 v. GERMAINE BROWN, ET AL., Index No.:EF008109-2018 Dear Honorable Elaine Slobod: We represent Plaintiff in the above referenced forec10sure action. At our last appearance on October 30, 2018, in which borrowers failed to appear, Your Honor ordered our office to file our Order of Reference by December 4, 2018. We request Your Honor consider this correspuñdéñce as a sufficient update for the delay in filing our motion. Since our last appearance, our client made addidonal efforts after the serlement confereñce to reach a resoludon on this action. As such, our client has extended a loan modification trial plan to the borrowers and a complete loan modification package has been received. Borrowers verbally accepted the trial plan a few weeks ago. Our office requests a sixty-day extension to allow the borrowers time to start making paymcats on the trial plan. If borrowers fail to do so, our office will proceed with the foreclõsurc action by way of filing our Order of Reference. Leopold & Associates, PLLC / 80 Buciness Park Drive, Suite 110 / Armonk, NY 10504 Tel: 914-219-5787 xl94 / Fax: 914-219-5522 THIS LETTER IS AN ATTEMPT TO COLLECT A DEBT. ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE. Scanned with CamScanner In addition, we have submitted a working copy of this correspondence via facsimile for immediate attention as requested in your part rules. Thank you for the courtesy. Please feel free to contact me directly should you have any questions or concerns. esp et lly, Chantel . Mills, sq. Cc: Ernest Brown 2515 Constitution Way New Windsor, NY 12553 Germaine Brown 2515 Constitution Way New Windsor, NY 12553 Scanned with CamScanner