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Sept. 8, 2009, Affidavit of Fredericton, Lawyer Hugh J. Cameron, retained by Mecca Corporation, provides this Affidavit, which leaves out many facts, such as: Hugh Cameron registered; Cameron Auctioneers and Appraisers Ltd. furthermore, that, when Hugh Cameron attended the subject Auction as a BIDDER his married sister Suellin (Cameron) Ross was the Auctioneer.

Sept. 8, 2009, Affidavit of Fredericton, Lawyer Hugh J. Cameron, retained by Mecca Corporation, provides this Affidavit, which leaves out many facts, such as: Hugh Cameron registered; Cameron Auctioneers and Appraisers Ltd. furthermore, that, when Hugh Cameron attended the subject Auction as a BIDDER his married sister Suellin (Cameron) Ross was the Auctioneer.

Ratings: (0)|Views: 74 |Likes:

http://justicedonedirtcheap.blogspot.ca/ CLICK HERE FOR VIDEO. This Affidavit is provided within days of Toronto Ontario resident Betty Rose Danielski providing her Affidavit. (the alleged mortgagor and alleged foreclosure applicant).

Yes, I say alleged mortgagor, as I have good reason to believe that this alleged foreclosure is a facade.

Andre Murray has many times attempted to obtain bonafide proof, of the existence of a Mortgage and or that it was ever drafted or indeed granted by Betty Rose Danielski to Royal Bank of Canada ;

moreover, when Andre Murray requested proof of foreclosure, lawyer Moncton Mayor, George H. LeBlanc who claims to represent the Royal Bank of Canada, however, George H. LeBlanc is not able to provide the proof.

Now when we examine Hugh J. Cameron affidavit : Paragraph 8. “That afternoon afternoon, after the payment of the deposit, I left on a scheduled business trip for client meetings in Toronto, Ontario.”

Andre Murray has reason to believe that Betty Rose Danieski was on that list of peopleHugh Cameron would be meeting in Toronto, as Toronto is Betty Rose Danielski’s place of residence.

Paragraph 18. Hugh J. Cameron confirms that the Court Document Process Server Dave Daneliuk is regularly employed by Stewart Mckelvey law firm, however, Dave Daneliuk is discovered and revealed as perjuring himself on his own Affidavits of Service, where in this case Dave Daneliuk attempts to discredit Andre Murray in the eyes of the Court of law by 'swearing under oath' false claims, that Andre Murray was avoiding Court Document Process Service, despite the fact that Dave Daneliuk never had the Documents, which he falsely claimed to have, since the documents were not yet sent to Dave Daneliuk.

Subject property to this day April 2012, remains registered in the Title-holder name of Betty Rose Danielski, although despite this lack of property title transfer, Moncton Lawyer George H. LeBlanc would have us believe, that a foreclosure of Mortgage and Sale of subject property took place respectively, before and at July 2009.

Paragraph 4. must reasonably be appalling and offensive to anyone with a moral compass. Hugh J. Cameron obfuscates the fact that when the title search was conducted at Service New Brunswick Land Registry N.B. the "CONSTRUCTIVE NOTICE" filed to the attention of all honest, considerate people, explaining that Andre Murray had renovated the subject house and premises at his own out of pocket expense of $80, 000 over a four year period.

For these reasons, anyone purposefully ignoring these facts and subsequentially, thereafter, attends such a auction, must therefore, be intending to deprive Andre Murray of his Mechanics Lien Claim to their misbegotten gain.

Mecca Corporation despite Andre Murray's prominent "CONSTRUCTIVE NOTICE" of a Claim for Lien alternatively, perhaps, because of that very same subject "CONSTRUCTIVE NOTICE"of $80,000 value of current equity found by the renovations of Andre Murray; President Richard McGuigan evidentially instructed Hugh J. Cameron to attend the auction and purchase the Mortgagee Deed however the object was to disguise the Mecca Corporation by instead using an empty numbered shelf company.

There is much more about to be revealed soon !

Date today is January 31, 2013.

http://justicedonedirtcheap.blogspot.ca/ CLICK HERE FOR VIDEO. This Affidavit is provided within days of Toronto Ontario resident Betty Rose Danielski providing her Affidavit. (the alleged mortgagor and alleged foreclosure applicant).

Yes, I say alleged mortgagor, as I have good reason to believe that this alleged foreclosure is a facade.

Andre Murray has many times attempted to obtain bonafide proof, of the existence of a Mortgage and or that it was ever drafted or indeed granted by Betty Rose Danielski to Royal Bank of Canada ;

moreover, when Andre Murray requested proof of foreclosure, lawyer Moncton Mayor, George H. LeBlanc who claims to represent the Royal Bank of Canada, however, George H. LeBlanc is not able to provide the proof.

Now when we examine Hugh J. Cameron affidavit : Paragraph 8. “That afternoon afternoon, after the payment of the deposit, I left on a scheduled business trip for client meetings in Toronto, Ontario.”

Andre Murray has reason to believe that Betty Rose Danieski was on that list of peopleHugh Cameron would be meeting in Toronto, as Toronto is Betty Rose Danielski’s place of residence.

Paragraph 18. Hugh J. Cameron confirms that the Court Document Process Server Dave Daneliuk is regularly employed by Stewart Mckelvey law firm, however, Dave Daneliuk is discovered and revealed as perjuring himself on his own Affidavits of Service, where in this case Dave Daneliuk attempts to discredit Andre Murray in the eyes of the Court of law by 'swearing under oath' false claims, that Andre Murray was avoiding Court Document Process Service, despite the fact that Dave Daneliuk never had the Documents, which he falsely claimed to have, since the documents were not yet sent to Dave Daneliuk.

Subject property to this day April 2012, remains registered in the Title-holder name of Betty Rose Danielski, although despite this lack of property title transfer, Moncton Lawyer George H. LeBlanc would have us believe, that a foreclosure of Mortgage and Sale of subject property took place respectively, before and at July 2009.

Paragraph 4. must reasonably be appalling and offensive to anyone with a moral compass. Hugh J. Cameron obfuscates the fact that when the title search was conducted at Service New Brunswick Land Registry N.B. the "CONSTRUCTIVE NOTICE" filed to the attention of all honest, considerate people, explaining that Andre Murray had renovated the subject house and premises at his own out of pocket expense of $80, 000 over a four year period.

For these reasons, anyone purposefully ignoring these facts and subsequentially, thereafter, attends such a auction, must therefore, be intending to deprive Andre Murray of his Mechanics Lien Claim to their misbegotten gain.

Mecca Corporation despite Andre Murray's prominent "CONSTRUCTIVE NOTICE" of a Claim for Lien alternatively, perhaps, because of that very same subject "CONSTRUCTIVE NOTICE"of $80,000 value of current equity found by the renovations of Andre Murray; President Richard McGuigan evidentially instructed Hugh J. Cameron to attend the auction and purchase the Mortgagee Deed however the object was to disguise the Mecca Corporation by instead using an empty numbered shelf company.

There is much more about to be revealed soon !

Date today is January 31, 2013.

More info:

Published by: Justice Done Dirt Cheap on Feb 29, 2012
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09/17/2013

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CourtFile
NUMber:
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[
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L
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t
1
I-
t
INTHECOURT
OFQUEEN'SBENCH
OF
NEWBRUNSWICK
TRIALDIVISIONJUDICIALDISTRICTOFMONCTON
BETWEEN:
ROYALBANKOFCANADA"501376N.B.
Ltd.~
a
body
corporate,Plaintiffs,-and-
ANDREMURRAY,
Defendant,
AFFIDAVIT
I.Hugb
J.
Cameron,oftheCityofFrederictonintheCountyofYorkandProvinceof
New
Brunswick.
MAKEOATHANDSAY:
I.IamaPartnerwiththelawfinnStewartMcKelvey,solicitorsforthepurchaser.501376
N.B.
Ltd.andassuchhavepersonalknowledgeofthe
matters
deposedtoherein.exceptwhereotherwisestatedandwheresostateddoverilybelievethesameto
be
trueandamauthorized
to
makethisaffidavitonbehalfof501376N.B.Ltd,
L
L
2.
Wewereretained
by
501376
N.B.Ltd.
toattendPowerofSaleProceedingsontheirbehalftoattempttopurchaserealpropertylocatedat29Marshal1Street,Fredericton,NBknownasPIDNo.01548650(the"Property"),inresponsetotheadvertisementofaNoticeofMortgageSaJeinthe
DailyGleaner.
AttachedheretoandmarkedasExhibit"A"isacopyoftheadvertisementfortheNoticeofMortgageSale.
3.
Our
firmrequestedandreceivedtheBiddingPapers
&
TermsofSalefromtheofficeofGeorge
H.
LeBlancofCox
&
Palmer,BarristerandSolicitors.inMoncton,NewBrunswick,thesolicitorsfortheMortgagee.RoyalBankofCanada.
t
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l
4.
AftermyreviewoftheBiddingPapers
&
TermsofSale,IcompletedatitlesearchoftheProperty.IobtainedacopyoftheRoyalBankofCanadaMortgageandacopyofaClaimforLien
by
anindividual,Mr.AndreMurray.Attachedheretoandmarked
asExbibits"8"and
"C",
respectively,
are
copiesoftheRoyalBankofCanadaMortgageandtheClaimforLien
by
Mr.MurraytogetherwiththeNoticeofActionwithStatementofClaimAttachedpursuanttohisallegedlien.
193320.111
 
i
f;..
I
r
-2-
5.On
'Fhur:sday.
July16.2009;
(attended.at
theFrederictonCourtHouse
and
purc'basedthePropertyforourclienrforthesumof$79.101.00andpaidadepositof$8,OOO~OOowardsthepurchasepriceoftheProperty.AttachedheretoandmarkedasExhibit~D"isacopyoftheexecutedBiddingPapersandagreementtopurchasethePropertyandacopyofthereceiptwithrespecttothepaymentofthe
depositall
dated
July16.2009.
r
t
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r
[
[,
6.ImmediatelyafterthesaleofthePropertytoourclient.3individualsintroducedthemselvestomeasneighboursofthePropertyandinformedmethattheywerepleasedthatsomeonehadpurehasedtheProperty.TheyaUexpressedexasperationwithrespecttotheactivities
they
described-tomethathad
been
carriedonat
the
Property.ItwascleartometTomtheinformationprovidedbytheneighboursthatwhoeverwasresidingatthePropertyhadbeeomeaproblemfortheneighboursastheywerenot.keepingthePropertyingoodshape,hadnotcutthelawn
and
theneighbours
were
concernedwith,anddisturbed
by.
theactivitiesthatwerebeingcarried
on
at
theProperty.7.BeforeIlefttheCourtHouseIwasinformed
by
StevenHillofCox
&
Palmer.thesolicitorfortheMortgagee,thatheunderstoodthattherewassomeoneorsomepeopleincluding.perhaps.
Andre
Murray,
residingatthePropertyandthattheRoyalBankwould
be
givingthemnoticeofthesaleandthattheywouldhavetovacatetheProperty.
r
8.ThatThursdayafternoon.afterthepaymentofthedeposit,
I
leftonascheduledbusiness
trip
forclientmeetingsinToronto.Ontario.9.Iaminformedbymyassistant,ValerieCaldwell,andbelievethatonFridaymorning.
July
17.2009~Andre
Murray
telephonedouroffice.
l'
10.PriortoMr.Murray'stelephonecalltoouroffice.IhadnotspokentohimandnoonefromourofficeshadcontactedMr.Murray,oranyone.
at
theProperty.withrespecttothesale.11.Ihad.
early
onthemorningof
Friday,July
17.2009,providedinstructionsto
my
assistantValerieCaldwell.byemail.topreparealettertobedelivered,byhand.totheProperty.OurclientwasconcernedthatanyoccupantsattheProperty,eitherwith.
OT
without.permissionoftheMortgagor,wheretheywerebeinggivennoticetovacatethe
Property
by
the
Mortgagee,would,perhapseitherevacuatethePropertyinadisorderlymannerorcausedamagetothePropertyasaresultofthenoticefromtheMortgageetovacatetheProperty.
l_
l
L
12.TheinstructionsIreceivedfromourclientweretooffertheoccupantsatthePropertyadditionaltime,
if
possible.toremovetheirbelongingsfromthePropertyinordertoavoiddamagetothePropertyandto,
if
possible.remainonfavorabletermswithwhoever
it
wasresidingattheProperty.Inaddition,ourinstructionsweretodiscussthepossibilityofenteringintoaLeasewiththeoccupantsofthePropertywithourclient.
193320.v1
 
1.',
r~
-3-
I
J.
Alsr:lin
that
Jetter
I.
asked
if
wecould
attend·at:·tftc'
Property
on
·Monday,
July
20,
2009atII:00a.m,asourclienthadrequestedthatweattempttohavethePropertyinspectedtodetermineif
it
requiredanyimmediaterepairsand,aswell,toallowtheirinsurer.State
Farm,
toattendatthe
Property
tophotograph
the
PropertytoobtaininsuranceontheProperty.14.IaminformedbyValerieCaldwellandbelievethat,a~oughshehadcompletedadraftoftheletterto
be
deliveredtothePropertywhen
Mr.
Murraytelephonedouroffice,thefetter
had
notyetbeendeliveredtotheProperty.
r
I
l..
r
r
t.
r
r
L·
15.IaminformedbyValerieCaldwellandbelieve
that
sheexplainedto
Mr.
Murraythatshewasintheprocessofcompletingalettertodeliver
to
the
Property
and
sheexplainedthecontentsofthatlettertohim.16.Mr.MurrayinformedValerieCaldwellthathewaspleasedandrelievedtohearthisandaskedwhenhewouldreceivetheletterandthatheintendedtocooperate.Ms.Caldwellinformedhimthataprocessserverwoulddelivertheletterlaterthat
day.
Mr.
Murray
theninformedherthathewasnotatthe
Property
butthathewouldcallanunnamedfriendwhowas"packinguptomove"andadvisehimthattheletterwould
be
delivered.AttachedheretoandmarkedasExhibit
ME"
isacopyoftheletterIapprovedfordeliverytothe
Property
totheattention
of
Andre
Murray,whowethenunderstoodfromthemechanic'slienclaimattachedheretoandmarkedasExhibit"C'"and.also,histelephoneconversationwithValerieCaldwell.wasaresidentattheProperty.
[
17.IaminformedbyValerieCaldwellandbelievethat
Mr.
Murraycalledherbacksometimelaterthatdaytosaythathisunnamedfriendinformedhimthatsomeonehadknockedonthedoorofthehousebutthatfrienddidnotanswerthedoor.Mr.Murrayinfonnedherthathewasanxioustoreadtheletterbutthathedidnotexpectto
be
atthePropertyovertheweekend.Ms.Caldwellprovidedourprocessserver'stelephonenumberto
Mr.
Murray
to
allowhimtocontacttheprocessserverdirectlytoobtainacopyoftheletter.Mr.
Murray
informedherthathemadenoteofthattelephonenumber.18.Iaminformed
by
ValerieCaldwellandbelievethatshespokewithourprocessserver.DaveDaneliuk,duringtheafternoonofFriday.July17,2009andheconfirmedthathehadbeentothehousetoattempttodelivertheletter,butnooneansweredthedoor.HedeliveredthetetteronJuly19,2009.
L
1
l
19.DuringherconversationswithMr.Murray.Ms.Caldwellaskedhimifhehada
numberwhere
wecould
reach
him.Heinformedherthathehadanewcell
phone
anddidnotknowhistelephonenumber.20.OnJuly
J
7,2009,I
also
contactedourclient'sinsurer,StateFarm,toinquireonourclient'sbehalfwhattheyrequiredtoarrangeinsuranceon(heProperty.TheyconfinnedthattheyrequiredaccesstotheProperty
(0
getinteriorandexteriorphotographs.
!93320.,,1

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