UNITED STATES DISTRICT COURTMIDDLE DISTRICT OF FLORIDAORLANDO DIVISION
NAME, individuallyand on behalf of others similarly situated,as a private attorney general;Plaintiff,Case No. 000000-v-E!"#A$ "N#%&MA'"%N (E&)"CE( **C;et al.,+efendants.
PLAINTIFF’S RESPONSE TO DEFENDANT ALIANCEONERECEIVABLES MANAGEMENT, INC.’S MOTION TO DISMISSAND MEMORANDUM OF LAW
Plaintiff, Name, hereby responds to +efendant Alliane%ne &eeivables Management, "n.s Alliane%ne/ Motion to +ismiss Plaintiffs Complaint and Memorandum of *a, and states12. "t is diffiult to omprehend the basis for Alliane%nes motion, hih appears to have been filed in bad faith.3. 'he Complaint speifies that Alliane%ne illegally pulled Plaintiffs redit report and illegally attempted to ollet on a none4istent debt. 'he fatual bases of Plaintiffs allegations against Alliane%ne are rystal lear1 5226. %n 7une 36, 3008, Alliane%ne initiated a hard pull of Plaintiffs redit report from E4perian ithout permissible purpose, thereby reduing his redit sore.95230. %n or about #ebruary :, 3006, Alliane%ne sent Plaintiff a letter attempting to ollet on a none4istent alleged debt.9. "f true, and Plaintiff affirmatively asserts that both of these statements are true, <226 is inherently a lear-ut violation of the #air Credit &eporting At and <230 is inherently a lear-ut violation of both the #air +ebt Colletion Praties At and the #lorida Consumer Colletion Praties At.