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  • GROW FINANCIAL FEDERAL CREDIT UNION Vs. JEFF A SALAS, et al CONTRACTS AND INDEBTEDNESS - COUNTY document preview
  • GROW FINANCIAL FEDERAL CREDIT UNION Vs. JEFF A SALAS, et al CONTRACTS AND INDEBTEDNESS - COUNTY document preview
  • GROW FINANCIAL FEDERAL CREDIT UNION Vs. JEFF A SALAS, et al CONTRACTS AND INDEBTEDNESS - COUNTY document preview
  • GROW FINANCIAL FEDERAL CREDIT UNION Vs. JEFF A SALAS, et al CONTRACTS AND INDEBTEDNESS - COUNTY document preview
						
                                

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“ELECTRONICALLY FILED 5/24/2013 11:41:37 AM: KEN BURKE, CLERK OF THE CIRCUIT COURT, PINELLAS COUNTY**#* Electronically Filed 05/24/2013 11:41:39 AM ET. IN THE COUNTY COURT IN AND FOR PINELLAS COUNTY, STATE OF FLORIDA, CIVIL DIVISION GROW FINANCIAL FEDERAL CREDIT UNION FKA MACDILL FEDERAL CREDIT UNION Plaintiff, vs. case wo: |B -(03 205 - co JEFF A. SALAS AKA JEFF SALAS AND KARINA A. SALAS AKA KARINA SALAS Defendant(s) AFFIDAVIT IN PROOF OF CLAIM AND NON-MILITARY SERVICE COUNTY OF HILLSBOROUGH STATE OF FLORIDA BEFORE ME, the undersigned authority, duly authorized to take acknowledgments and administer oaths, personally appeared Jenny Turner, who, after being duly sworn upon oath, and upon personal knowledge of the facts herein, deposes and says: 1. Thathe/she is the Collections Supervisor for the Plaintiff, GROW FINANCIAL FEDERAL CREDIT UNION FKA MACDILL FEDERAL CREDIT UNION, and makes all statements contained herein from matters which are within his/her personal knowledge. 2. That the Defendant(s), JEFF A. SALAS AKA JEFF SALAS and KARINA A. SALAS AKA KARINA SALAS, is/are indebted to the Plaintiff in the principal sum of $8,300.85 . 3. That interest in the sum of $213.42 has accrued through April 15, 2013, and will continue to accrue at the tate of $0.00 per diem. 4. That these amounts are a just demand and are actually due. 5. That attached hereto and made a part hereof is a true copy or original of the contract or account upon which this suit is based, or that the attachments to Plaintiff's complaint are true and correct copies of the originals. 6. That this action has been brought in the proper venue in accordance with Chapter 47 of the Florida Statutes. 7. The Defendant(s) is/are not in any branch of the United States Military Services or its allies. 8. That the documents attached to this Affidavit were prepared by a person with knowledge, or from information transmitted by a person with knowledge, at or near the time of the event that the exhibits document. That the documents attached to this Affidavit were prepared and kept in the course of regularly conducted business activity. 10. That it is the regular business practice of Plaintiff to prepare the attached documents. oe NT SWORN TO AND SUBSCRIBED before me on April 15, 2013, by Jenny Tumer, who is personally known to me, and who took an oath.cles. (eo NOTARY PUBLIC J1300298/EC P4i7 *J1300298* *AFFIDAVIT IN PROOF OF CLAIM* *EOD*