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DEUTSCHE BANK NATIONAL TRUST COMPANY,
AS TRUSTEE, ON BEHALF OF THE HOLDERS OF
THE IMPAC SECURED ASSETS CORP.
MORTGAGE PASS-THROUGH CERTIFICATES
SERIES 2007-1,
Plaintiff,
vs.
MANUEL JESUS, et al.,
Defendants.
Filing # 123041363 E-Filed 03/12/2021 05:02:03 PM
IN THE CIRCUIT COURT OF THE
17TH JUDICIAL CIRCUIT, IN AND FOR
BROWARD COUNTY, FLORIDA.
CIVIL DIVISION
CASE NO.: CACE18000514
MOTION TO RESET FORECLOSURE SALE DATE
COMES NOW, Plaintiff, DEUTSCHE BANK NATIONAL TRUST COMPANY, AS
TRUSTEE, ON BEHALF OF THE HOLDERS OF THE IMPAC SECURED ASSETS CORP.
MORTGAGE PASS-THROUGH CERTIFICATES SERIES 2007-1, by and through its undersigned
counsel, and moves this Court to Reset Foreclosure Sale Date, and as grounds thereof would state as
follows:
1. A Final Judgment of Mortgage Foreclosure was entered in favor of Plaintiff by this Court on
February 18, 2020, scheduling the foreclosure sale for March 25, 2020.
2. The foreclosure sale set for March 25, 2020 was cancelled.
3. Plaintiff hereby requests for the clerk to reschedule the foreclosure sale date as the property is
no longer subject to moratorium. See verified statement of compliance.
WHEREFORE, Plaintiff, respectfully requests that this Court enter an Order Resetting
Foreclosure Sale.
I HEREBY CERTIFY that a true and correct copy of the foregoing Motion was mailed/emailed
this 12 day of March, 2021 to defendants on the attached service list:
By:
17-01303
/s/ Shane Fuller
Shane Fuller, Esq.
Bar Number: 100230
Choice Legal Group, P.A.
P.O. Box 771270
Coral Springs, Florida 33077
Telephone: (954) 453-0365
Facsimile: (954) 771-6052
Toll Free: 1-800-441-2438
DESIGNATED PRIMARY EMAIL FOR SERVICE
PURSUANT TO FLA. R. JUD. ADMIN 2.516
eservice@clegalgroup.com
*** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 03/12/2021 05:02:03 PM.****SERVICE LIST
Case No: CACE18000514
MANUEL JESUS
17425 NW 75TH PL APT 105
HIALEAH, FL 33015
CLERK OF THE CIRCUIT COURT IN AND FOR BROWARD COUNTY, FLORIDA
201 SE 6TH STREET
FORT LAUDERDALE, FL 33301
AWILDA ESTERAS, ESQ.
SIEGFRIED, RIVERA, HYMAN, LERNER, DE LA TORRE, MARS & SOBEL, P.A.
ATTORNEY FOR SHENANDOAH COMMUNITY ASSOCIATION, INC
ELEVENTH FLOOR, 201 ALHAMBRA CIRCLE
CORAL GABLES, FL 33134
ASSOCIATION9@SRHL-LAW.COM.
COLLECTIONS4@SRHL-LAW.COM
CHARLES J. F. SCHREIBER, JR., ESQ.
ATTORNEY FOR STATE OF FLORIDA
THE CAPITOL, SUITE PL-01
TALLAHASSEE, FL 323991050
OAG.FORECLOSE.ESERVE@MYFLORIDALEGAL.COM
SCOTT J. LEVINE, ESQ.
BROUGH, CHADROW & LEVINE, P.A.
ATTORNEY FOR WEDGEWOOD COVE AT SHENANDOAH HOMEOWNERS ASSOCIATION, INC
2149 NORTH COMMERCE PARKWAY
WESTON, FL 33326
SLEVINE@BCLPA-LAW.COM
ESTELA M. JESUS
17425 NW 75TH PL APT 105
MIAMI, FL 33015
ALEXANDER MIRANDA A/K/A ALEXANDER M. MIRANDA
16452 SW 53 RD TER
MIAML, FL 33185
ROSE M. PEREZ
621 LAKESHORE TERRACE
DAVIE, FL 33325
UNKNOWN SPOUSE OF ROSE M. PEREZ
621 LAKESHORE TERRACE
DAVIE, FL 33325
UNKNOWN TENANT
621 LAKESHORE TERRACE
DAVIE, FL 33325
17-01303IN THE CIRCUIT COURT FOR THE SEVENTEENTH JUDICIAL CIRCUIT
IN AND FOR BROWARD COUNTY, FLORIDA
GENERAL JURISDICTION
DEUTSCHE BANK NATIONAL TRUST
COMPANY, AS TRUSTEE, ON BEHALF OF THE
HOLDERS OF THE IMPAC SECURED ASSETS
CORP. MORTGAGE PASS-THROUGH
CERTIFICATES SERIES 2007-1
Plaintiff, DIVISION:
vs. Case No.: CACE18000514
MANUEL JESUS; SHENANDOAH COMMUNITY
ASSOCIATION, INC; STATE OF FLORIDA;
WEDGEWOOD COVE AT SHENANDOAH
HOMEOWNERS ASSOCIATION, INC; UNKNOWN
SPOUSE OF ALEXANDER MIRANDA A/K/A
ALEXANDER M. MIRANDA; ESTELA M. JESUS;
ALEXANDER MIRANDA A/K/A ALEXANDER M.
MIRANDA; ROSE M. PEREZ; UNKNOWN SPOUSE
OF ROSE M. PEREZ; UNKNOWN TENANT IN
POSSESSION OF THE SUBJECT PROPERTY,
Defendant(s).
STATE OF UTAH )
COUNTY OF SALT LAKE )
VERIFIED STATEMENT OF COMPLIANCE WITH THE CARES ACT
1. Lam an officer of Select Portfolio Servicing, Inc. (“SPS”), acting as servicing agent and attorney-in-fact for
DEUTSCHE BANK NATIONAL TRUST COMPANY, AS TRUSTEE, ON BEHALF OF THE HOLDERS OF
THE IMPAC SECURED ASSETS CORP. MORTGAGE PASS-THROUGH CERTIFICATES SERIES 2007-1 who
is the Plaintiff herein. SPS is the servicer of the subject mortgage and in such capacity performs mortgage loan
services with respect to the subject mortgage on the Plaintiff's behalf. As an officer of SPS, I am authorized to make
this affidavit on behalf of the Plaintiff.
2. As a mortgage servicer, SPS collects payments from borrowers and maintains up-to-date electronic records
concerning the loans it services in its electronic record-keeping system. I have access to SPS’s business records,
including the business records for and relating to the subject loan. I make this affidavit based upon my review of those
records relating to the Borrower(s)'s loan and from my own personal knowledge of how the records are kept and
maintained. The loan records are maintained by SPS in the course of its regularly conducted business activities and
are made at or near the time of the event, by or from information transmitted by a person with personal knowledge. It
is the regular practice to keep such records in the ordinary course of a regularly conducted business activity.
3. To the extent that the business records of the loan in this matter were created by a prior servicer, the prior
servicer’s records for the loan were integrated and boarded into SPS’s systems, such that the prior servicer’s records
concerning the loan are now part of SPS’s business records. SPS conducts quality control and verification of the
information received from the prior servicer as part of the boarding process to ensure the accuracy of the boarded
records. It is the regular practice of SPS to integrate prior servicers’ records into SPS’s business records, and to rely
upon the accuracy of those boarded records in providing its loan servicing functions. These prior servicer records are
integrated and relied upon by SPS as part of SPS’s business records.
4, Plaintiff is seeking to foreclose on the following property 621 LAKESHORE TERRACE, DAVIE, FL 33325.
‘The property is secured by a loan serviced and/or owned by the Plaintiff.
17-01303 NATFC001.J0015. The subject loan secured by the above-described property : is not a federally backed mortgage pursuant to the
definition found in Section 4022(a)(2) of the CARES Act.
6. The subject loan is not currently engaged in any loss mitigation negotiations. See attached Exhibit A.
I swear under penalty of perjury that the above information is true and correct and made of my own personal
knowledge as informed by the business records referenced above. | understand further proof may be required at trial.
Name: ' Cynthia May
Title Document Control Officer
Select Portfolio Servicing, Inc.
Date: ( NHS ZO? (
STATE OF UTAH )
COUNTY OF SALT LAKE )
Subscribed and sworn to before me on this da fala Jay , inthe year 202.) by
Cynthia May *Personally Known Document Control Officer of Select Portfolio Servicing,
Inc., who personally appeared and proved on the basis of satisfactory evidence to be the person whose name is
subscribed to this instrument, and acknowledged that he/she executed the same, Witness my hand and official seal.
= Public
LISA FISH
\ Notary Public State of Uroh
3 My Commission Expires on:
July 13, 2021
l
17-01303 NATFC001.J001