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  • Resurgent Receivables LLC vs Bradley J Lehman Default Judgment document preview
  • Resurgent Receivables LLC vs Bradley J Lehman Default Judgment document preview
  • Resurgent Receivables LLC vs Bradley J Lehman Default Judgment document preview
  • Resurgent Receivables LLC vs Bradley J Lehman Default Judgment document preview
						
                                

Preview

30-CV-24-427 Filed in District Court State of Minnesota 6/4/2024 1:57 PM STATE OF MINNESOTA IN 293888-92 DISTRICT COURT COUNTY OF ISANTI TENTH JUDICIAL DISTRICT _ Subject Matter: Consumer Credit Contract Resurgent Recelvables ) LLC, ) Plaintiff' DECLARATION OF PROOF PURSUANT TO STIPULATION AND CONSENT OF ) VS ' ) JUDGMENT, IDENTIFICATION, NON- MILITARY STATUS AND COSTS AND ) Bradley Lehman, DISBURSEMENTS ) ) Defendant. ) File No.2 Case No STATE OF NORTH DAKOTA ) ) ss.: COUNTY OF CASS ) I, April Gonzalez-Anderson, declare: that I am the attorney for the plaintiff in the action above entitled; that plaintiff and defendant have entered into a stipulation and consent which is filed with the court; that pursuant to said stipulation and consent, plaintiff may cause judgment to be entered against defendant without notice or if defendant should default in the hearing payment schedule noted in paragraph 3 of said stipulation and consent; that defendant has defaulted in the payment schedule noted in and that pursuant thereto plaint is paragraph 3 iff entitled to entry of judgment agains defendant without notice or t hearing for balance due in the sum of $3,323.97, and costs of $570.00 for a total judgment of $3,893.97. I further state that to the best of my knowledge, information and belief the defendant's full name, residence/post-office address and occupation are as follows: Name & Address Bradley Lehman Occupation Unknown 601 Edgewood St SW Isanti MN 55040 I further state that defendant above named is not now as I verily believe, in the military service of the United States; and that this declaration is made in compliance with the Servicemembers Civil Relief Act of 2003. I further state a search was made of the U.S. Department of Defense Manpower Data Center website that showed the defendant is not on active duty status. 30-CV-24-427 Filed in District Court State of Minnesota 6/4/2024 1:57 PM I further state that the follcm ing items of costs and disbursements by and on behalf 0f the plaintiff in said action are just, true and correct and have been necessarily paid and incurred by plaintiff in said action, to-wit: Costs allowed by statute $200.00 Service of process fees $70.00 Fees of the court administrator $300.00 TOTAL OF COSTS AND DISBURSEMENTS $5 70.00 Amount of principal to be recovered $3,323.97 TOTAL AMOUNT TO BE RECOVERED $3,893.97 l declare under penalty of perjury that everything l have stated in this document is true and correct. Minn. Stat. 358.116 § (2016 ). Dated: June 4,2024 A6 MUM" April Gonzalez—Anderson (MN# 0400390)