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Filing # 81967419 E-Filed 12/11/2018 04:30:40 PM IN THE CIRCUIT COURT OF THE SEVENTEENTH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA OCWEN LOAN SERVICING, LLC , CASE NO: CACE16000598, Plaintiff, VS, TERESA F, EYRICH;GARY W. EYRICH; et al., Defendant(s). / PLAINTIFF, OCWEN LOAN SERVICING, LLC ’S, EXHIBIT LIST COMES NOW the Plaintiff, OCWEN LOAN SERVICING, LLC , by and through its undersigned counsel, and files and serves its Exhibit List, and discloses the following Exhibits in accordance with this Court's Order Setting Non-Jury Trial and Directing Pre-Trial and Mediation Procedures: 1. Original or copy of the promissory Note for the subject loan, including any allonges, affidavits or attachments thereto, and modifications thereof, 2. Documents evidencing Plaintiff's right to enforce the subject Note and Mortgage, including but not limited to: a 1221-13178B Original or copy of the Assignment(s) of Mortgage for the subject loan, including any riders or attachments thereto; Bailee letters and related documents showing Plaintiff's possession of the original Note; Certificates of Note Possession; Cottification of Business Records (and attachments thereto) pursuant to Florida Statute 90.803(6)(¢) or 90,902(11); Documents from Plaintiff's loan servicer’s system of record evidencing its possession of the original Note (or possession by its agents or attorneys), and its servicing of the subject loan; Lost Note Affidavit(s), including attachments thereto; Lost Modification Agreement Affidavits, including attachments thereto; ##* FILED: BROWARD COUNTY. FL BRENDA D. FORMAN. CLERK 12/11/2018 4:30:40 PM.*##* h, Any Pooling and Servicing Agreement relating to the subject loan, including the redacted mortgage loan schedule associated with the Pooling and Servicing Agreement (redacted to remove information concerning the other loans on the schedule and any personally identifiable information regarding the Defendant in this action); i. Documents evidencing the merger(s) or acquisition(s) of Plaintiff's predecessors in interest, including but not limited to, records of: i Office of the Comptroller of the Currency of the United States; Federal Deposit Insurance Corporation; iii, National Information Center (part of the Federal Reserve System); and iv. Any Secretary of State, . Original or copy of the Mortgage for the subject loan, including any riders or attachments 6. thereto. Any documents submitted or signed by Defendant as part of the loan application or closing process, including but not limited to, HUD-1 forms, TILA disclosures, etc. Documents which reflect Plaintiff's loan servicer's authority to act on behalf of the Plaintiff, including but not limited to, Powers of Attomey and/or Servicing Agreements. Documents showing changes in name or “doing business as” names of Plaintiff and its Servicer(s). Plaintiffs Counsel’s Affidavit of Attomey as to Fees and Costs, along with any documents to support the costs. Affidavit by Plaintiff's expert as to reasonableness of Plaintiffs Counsel's Attorney's Fees, Copy of the notice sent to the Defendant advising of the default (the “Demand Letter”), as well as any other correspondence sent to the Defendant, including but not limited to: a. Notices of Servicing Transfers, b. Notices of Assignment of Debt; ©. Notices regarding Homeownership Counseling; Responses to any Request For Information or Qualified Written Request, including attachments thereto; ¢. Notices regarding attempts to schedule meetings with the Defendant, 1221-13178B 10. Documents evidencing proof of mailing or shipping of letters or other notices, including but not limited to: a, Copies of certified mail return receipts; b. Collection Note entties; ©. Letter Log entries; 4. Postal Service (or other shipping company) records of mailing and tracking. 11. Copy of the payment history for the subject loan, 12, Documentation of interest rate changes, and notices of payment changes sent to the Defendant; 13. Documentation of Plaintiff"s damages, including but not limited to payments made for: Taxes; ee Insurance; Property appraisals and Broker Price Opinions; Title Searches; Property Preservation; Bankruptcy Fees; Prior Servicer’s fees; e f & h, Late charges; Aflidavits of Indebtedness and any attachments thereto; js Other servicing fees, 14, Documents contained or available within the public records of the state of Florida, 15, Depositions transcripts, including the exhibits thereto. 16, Answers to interrogatories propounded, answered and/or responded to in this action. 17. Any materials which were produced in response to: a. Interrogatories; b, Requests for production; ¢. Requests for Admissions; 4. Notices of production of non-party; and €. Subpoenas duces tecum, with or without deposition; £, Notices of service of trial exhibits, including emails sent to Defendants or their counsel with copies of Plaintif?’s trial exhibits attached thereto, 1221-13178B

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