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Ken,
That's exactly what the document says. Essentially, if a federally insured financial institution becomes in
solvent, likely due to another massive financial fraud, the FDIC relies on NTC to continue to purge the evidence
of the mortgage fraud created by these financial institutions.
Thanks,
Larry
Ken,
Wire confirmation attached.
Also, not sure if you had a copy of this MERS Opinion Letter from Covington in October 2004. Please
utilize in the cases in which we have a basis to include MERS.
Also, think of a creative way to introduce the FDIC – Privacy Impact Assessment for Nationwide Title
Clearing, March 2015.
https://www.fdic.gov/about/privacy/documents/Nationwide_Title_Clearing.pdf
Sincerely,
1
Larry Schneider
S & A Capital Partners
1st Fidelity Loan
Mortgage Resolution
305‐710‐4201
larry@sacapitalpartners.com
From: Kenneth Eric Trent, P.A. [mailto:trentlawoffice@yahoo.com]
Sent: Wednesday, July 13, 2016 10:33 AM
To: Larry Schneider <larry@sacapitalpartners.com< a="">></larry@sacapitalpartners.com<>
Subject: please don't forget to send me that wire
Thank you!
Domestic Wires:
Regions Bank
1799 West Oakland Park Blvd
Oakland Park, FL 33311
________________________
ABA Number: 062005690
Kenneth E. Trent
831 East Oakland Park Blvd
Ft. Lauderdale, FL 33334
Acct. #: 0132330847