Sie sind auf Seite 1von 2

INDYMAC FEDERAL BANK, FSB, SUCCESSOR IN INTEREST TO INDYMAC BANK, F.S.B.

vs.

Plaintiff,

IN THE CIRCUIT COURT OF THE 17TH JUDICIAL CIRCUIT, IN AND FOR BROWARD COUNTY, FLORIDA CIVIL DIVISION CASE NO. CAGE 09-000519 (05)

AMOS DELVA; CLAUDINE DELVA; WACHOVIA BANK, NATIONAL ASSOCIATION; UNKNOWN PERSON(S) IN POSSESSION OF THE SUBJECT PROPERTY;

Defendants.

AFFIDAVIT OF INDEBTEDNESS

STATE OF

COUNTY OF~""f{XX\\E ME,theundersigned authority, personally appeared V

being first duly sworn, deposes and says:

^

\^

JbJ y

who,

1. Affiant is an authorized signer of ONEWEST BANK, FSB and is personally familiar with the loan which is

held by the Plaintiff and is subject matter of this actions.

2. The information hereinafter given as to the indebtedness arising by virtue of the execution of the note and

mortgage

sued upon in this action is contained in the original books and records maintained in the office of said

servicing agent. Affiant has personal knowledge of the books and records of the servicing agent and how they are

maintained as they relate to the mortgage loan held by Plaintiff.

These books and records included data

compilations of the payments, including escrow payments and advances, made and received on the mortgage loan

in question and are kept in the course of a regularly conducted business activity by said servicing agent.

The

entries are made at or near the time that each payment is received, by persons with knowledge of the information

being recorded.

It is the regular practice of said servicing agent to make these entries at the time the payments are

received. In connection with making this affidavit, I have personally examined these business records reflecting

data and information as of July 8, 2009.

08-11129 1006263857

3. Affiant has actual and personal knowledge of the facts stated herein and is authorized to make

this Affidavit.

4.

The allegations of the Complaint filed in this action are true and correct.

 

5.

There is now due and owing to the Plaintiff upon said note and mortgage the following amounts:

a.

Principal balance on note and mortgage (Per Diem-$23.02)

$188,409.60

b.

Accrued interest through 07/08/2009

$9,405.32

c.

Advanced by Plaintiff

$3,136.81

Description

Amount

Property Inspections

$138.00

NSF Fee

$80.00

Hazard Insurance

$2,773.81

BPO

$145.00

d.

Pre-Acceleration Late Charges

$686.12

e.

Title Search/Foreclosure Report

$390.00

f.

Clerk's filing fee

$341.00

g.

Service of process

$260.00

6.

On account of Defendants default under the note and mortgage sued upon herein, Plaintiff retained its

attorney of record and instructed the filing of this action and agreed, bound and obligated itself to pay said attorney

for his services in its behalf such sum as the Court shall adjudge to be reasonable, not to exceed the sum set forth in

the Affidavit of Time and Effort.

FURTHER AFFIANT SAYETH NAUGHT.

Title:

Sworn to and subscribed before me this

, 2010.

Authorized Signatory

NOTARY PUBLIC, STAT^ OF Commissioned Name of Notary Personally known or produced jdentification Type of Identification Produced

08-111291006263857

. Affiant

pAVID CECIL ROMERO

^ Y C°MM|SSION EXPIRES

December4,2013