Scooter500

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About Scooter500

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  1. I also have this questionare From CACH; 1. State all facts upon which YOU base YOUR contention that YOU owe nothing on II the ACCOUNT (for purposes ofthese Special Interrogatories, "YOU' and "YOUR" mean and II refer to me, your agents, attorneys, representatives or anyone acting on your 1 Case No. Case number Special Interrogatories 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 behalf, and "ACCOUNT" means the MBNA AMERICA, N.A. account number which is the subject ofthis lawsuit). IfYOU make no such contention, do not answer this interrogatory. 2. Describe each do
  2. nterrogatories; 1. Admit that ORIGINAL CREDITOR issued to YOU the ACCOUNT (for purposes ofthese Requests for Admissions, "ORIGINAL CREDITOR" means MBNA AMERICA, N.A., "YOU" and "YOUR" mean and refer to "me" your agents, attorneys, representatives or anyone acting on your behalf, and "ACCOUNT" means the Mbna America, N.A. account number # which is the subject ofthis lawsuit). 2. Admit that YOU used said ACCOUNT (e.g., for purchases and/or cash advances). 3.Admit that YOU and ORIGINAL CREDITOR entered into an agreement regarding the ACCOUNT. 4. Admit that YOU agreed to pay ORIGINAL CREDITOR an
  3. Interrogatories; 1. Admit that ORIGINAL CREDITOR issued to YOU the ACCOUNT (for purposes ofthese Requests for Admissions, "ORIGINAL CREDITOR" means MBNA AMERICA, N.A., "YOU" and "YOUR" mean and refer to "me" your agents, attorneys, representatives or anyone acting on your behalf, and "ACCOUNT" means the Mbna America, N.A. account number # which is the subject ofthis lawsuit). 2. Admit that YOU used said ACCOUNT (e.g., for purchases and/or cash advances). 3.Admit that YOU and ORIGINAL CREDITOR entered into an agreement regarding the ACCOUNT. 4. Admit that YOU agreed to pay ORIGINAL CREDITOR a
  4. I have this questionare From CACH; 1. State all facts upon which YOU base YOUR contention that YOU owe nothing on II the ACCOUNT (for purposes ofthese Special Interrogatories, "YOU' and "YOUR" mean and II refer to me, your agents, attorneys, representatives or anyone acting on your 1 Case No. Case number Special Interrogatories 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 behalf, and "ACCOUNT" means the MBNA AMERICA, N.A. account number which is the subject ofthis lawsuit). IfYOU make no such contention, do not answer this interrogatory. 2. Describe each documen
  5. My 20 questions; 1. Who is the named plaintiff in the suit? CACH LLC Mandarich Laww group in CA. 2. What is the name of the law firm handling the suit? (should be listed at the top of the complaint.) Initally the case was handled by David Duvek law offices in San Diego, they later hired Mandarich in Los Angeles. 3. How much are you being sued for? over $10,000 son had cancer, tried to pay bills as often as we could. tried to keep up payments.. 4. Who is the original creditor? (if not the Plaintiff) Bank of America 5. How do you know you are being sued? (You were served, right?)
  6. My 20 questions; 1. Who is the named plaintiff in the suit? Me, rather not use my name. 2. What is the name of the law firm handling the suit? (should be listed at the top of the complaint.) Initally the case was handled by David Duvek law offices in San Diego, they later hired Mandarich in Los Angeles. 3. How much are you being sued for? over $10,000 son had cancer, tried to pay bills as often as we could. tried to keep up payments.. 4. Who is the original creditor? (if not the Plaintiff) Bank of America 5. How do you know you are being sued? (You were served, right?) Served at
  7. Hi Shellie, They had until the last week to provide a witness list. They did not provide a list. That leads me to another question, Are they allowed to provide a list later on, or was the cutoff day last week the only opportunity they have to supply them?
  8. Hi Amos, Yes they provided a loan schedule as well along with some statements for the last few months of the account prior to it being sold to CACH LLC.
  9. Here is what CACH LLC is using nowdays; Exhibit C Bill of Sale and Assignment of loans The undersigned Assignor ("Assignor") on and as of the date herof hereby absolutely sells transfers, assigns, set-over, quitclaims and conveys to CACH LLC, a limited liability company organized udner the laws of colorado ("Assignee") without recourse and without representations or warrenties or any type, kind charater or nature, express or implied, subject to the Buyers repurchase rights as set forth in Sections 8.1 and 8.2 of the Assingors right title and interest in and to each of the loans indetifi
  10. Exhibit C Bill of Sale and Assignment of loans The undersigned Assignor ("Assignor") on and as of the date herof hereby absolutely sells transfers, assigns, set-over, quitclaims and conveys to CACH LLC, a limited liability company organized udner the laws of colorado ("Assignee") without recourse and without representations or warrenties or any type, kind charater or nature, express or implied, subject to the Buyers repurchase rights as set forth in Sections 8.1 and 8.2 of the Assingors right title and interest in and to each of the loans indetified in the loan schedule ("Loan Schedule")
  11. This is what Cach LLC is using nowdays. My question is does this doc below have any legal ground as being the original contract between myself and BofA? My anme is not upon it. It's not the original CC agreement. This is a doc between the sale of Junk debt from BofA(MBNA) to Cach LLC. It says it's assigned to them. They do have some statements of mine as well.