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  • US BANK NATIONAL ASSOCIATION vs.AGOSTO, RAFAEL et al. 3 document preview
  • US BANK NATIONAL ASSOCIATION vs.AGOSTO, RAFAEL et al. 3 document preview
  • US BANK NATIONAL ASSOCIATION vs.AGOSTO, RAFAEL et al. 3 document preview
  • US BANK NATIONAL ASSOCIATION vs.AGOSTO, RAFAEL et al. 3 document preview
						
                                

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Filing #91751908 E-Filed 06/27/2019 07:59:09 AM IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT IN AND FOR ORANGE COUNTY, FLORIDA GENERAL JURISDICTION DIVISION CASE NO. 2017-CA-008145-O US BANK NATIONAL ASSOCIATION, AS. SUCCESSOR TRUSTEE, TO BANK OF AMERICA, NATIONAL ASSOCIATION, SUCCESSOR BY MERGER TO LASALLE NATIONAL ASSOCIATION, AS TRUSTEE FOR OWNIT MORTGAGE LOAN TRUST, MORTGAGE LOAN ASSET-BACKED CERTIFICATES, SERIES 2006-7, Plaintiff, vs. WANDA AGOSTO A/K/A WANDA AGOSTO RODRIGUEZ AND RAFAEL AGOSTO A/K/A RAFAEL O. AGOSTO, et al. Defendants, ———! / CONSENT AND STIPULATION TO ENTRY OF FINAL JUDGMENT OF FORECLOSURE For good and valuable consideration, including but not limited to forbearance from litigation, the sufficiency of which hereby acknowledged by all parties hereto, Plaintiff, US BANK NATIONAL ASSOCIATION, AS SUCCESSOR TRUSTEE, TO BANK OF AMERICA, NATIONAL ASSOCIATION, SUCCESSOR BY MERGER TO LASALLE NATIONAL ASSOCIATION, AS TRUSTEE FOR OWNIT MORTGAGE LOAN TRUST, MORTGAGE LOAN ASSET-BACKED CERTIFICATES, > SERIES 2006-7 (holder ofa Mortgage recording in Official Records Book 8810, Page 1152 of Orange, Florida, as set forth in the Complaint, and a Promissory Note executed in connection therewith, and Defendant, WANDA AGOSTO A/K/A WANDA AGOSTO RODRIGUEZ, by and through his undersigned counsel, hereby consents and stipulates to the entry of Final Judgment of Foreclosure in this matter pursuant to the provisions hereof: 1 Plaintiff hereby agrees to an extended sale date of the subject property and requests that the Court set the sale date no sooner than 120 days from the entry of Final Judgment. The parties agree that the sale date shall be set for the first available date after the stated time period. Defendant expressly releases PLAINTIFF from any and all liability related to, stemming from, arising under, or in any way related to the claims, whether known or unknown, made by, or which could have been made by Defendant against PLAINTIFF in this matter and any other causes of action related to, stemming from, or arising out of this matter, and shall upon execution of this Stipulation by the Plaintiff or its authorized representative and/or counsel, and in reliance upon the terms and provisions thereof, voluntary dismiss any Counterclaims and Affirmative Defenses filed in this matter with prejudice. This Stipulation may be executed in counterparts and shall be filed with the Court. The parties thereto shall execute such other documents as are required to effect and/or carry out the terms of this Stipulation. Counsel signing below represent that they are the attorneys for the parties indicated, with full authority to sign this settlement agreement on behalf of their respective clients. 17-042242 - KiW 5 Whereas, in connection with the Settlement of the Dispute, Ocwen has provided the Defendant with the Opportunity to evaluate the full range of loss mitigation options including loan modification or alternative repayment plans as well as options that did not involve retaining the Property. Defendant elected not to be evaluated for such property retention options and chose to pursue aconsent judgment, DATED onthis__ 26" day of aA , 2019 US BANK NATIONAL ASSOCIATION, AS WANDA AGOSTO A/K/A WANDA AGOSTO SUCCESSOR TRUSTEE, TO BANK OF AMERICA, RODRIGUEZ (as Defendants) NATIONAL ASSOCIATION, SUCCESSOR BY MERGER TO LASALLE NATIONAL. —~ ASSOCIATION, AS TRUSTEE FOR OWNIT py LY 3 MORTGAGE LOAN TRUST, MORTGAGE LOAN Antonie-G: Martin, Esquire (Date) ASSET-BACKED CERTIFICATES, SERIES 2006-7 Attorney for Defendant (as Plaintiff) Fla, Bar No. Attorney Bar Number Martin Law Group, PL —_—__ _ 1420 Celebration Blvd By: _——— Celebration, FL 34747 <——Taurence S, Barsl Esquire “(date) 863-949-0892 Attorney for Plaintiff E-MAIL: Info@callmartinlawgroup.com Fla. Bar No, 515981 Robertson, Anschutz, & Schneid, P.L. 6409 Congress Ave, Suite 100 Boca Raton, FL 33487 561-241-6901 Service: mail@rasflaw.com 17-042242 - KiW