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Table Of Contents

INTRODUCTION
JURISDICTION AND VENUE
PARTIES
STATEMENT OF FACTS
A. The Homeowner Affordability and Stability Plan
B. The Home Affordable Modification Program (HAMP)
D. Protections for Third-Party Beneficiary Homeowners
E. The Representative Plaintiffs’ Denial of Access to HAMP
1. Doreen Edwards
2. Olubukola Keshinro
3. Garry Brewster
4. Maria and Thomas Vellucci
F. Facts Applicable to Plaintiffs and Others Similarly Situated
G. Defendants are Acting Under Color of Federal Law in Implementing HAMP
CLASS ACTION ALLEGATIONS
The Prerequisites Of Rule 23(a) Are Satisfied
B. The Prerequisites Of Rule 23(b)(2) Are Satisfied
FIRST CAUSE OF ACTION
(Against Aurora for Breach of Contract)
SECOND CAUSE OF ACTION
(Against Aurora for Violation Of Due Process)
THIRD CAUSE OF ACTION
Violation Of Due Process)
FOURTH CAUSE OF ACTION
(Against Aurora for Breach of the Covenant of Good Faith and Fair Dealing)
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Class Action Complaint

Class Action Complaint

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Published by wickedbarbie

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Published by: wickedbarbie on Nov 17, 2010
Copyright:Attribution Non-commercial

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11/28/2011

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