REALLY NEED INPUT & SUGGESTIONS ON HOW TO GIVE AFFIRMATIVE ANSWER & STATING DEFENSES.
Recieved Summons on a debt I have on a credit card account with Citibank. Have 20 days to answer (10 left..) and bring answer down to courthouse & mail copy to plaintiffs attorney. Summons IS recorded at courthouse...
As I consider myself collection proof initially I was not going to answer. However... I am now thinking that perhaps might get all of this over with by filing bk sometime after May, and it would be nice to at least stall this lawsuit.
I spent considerable time at the courthouse (2 days) looking up cases (where Zakheim is the attorney) to be able to formulate an AFFIRMATIVE DEFENSE, however though I ended up concentrating on 3 cases, I am still on the 'fence' and CONFUSED (!) as how to give an answer.
I AM ESPECIALLY TROUBLED BY THE FACT THAT ATTORNEY FOR PLAINTIFF IS STATING TO BE A DEBT COLLECTOR (last sentence on Complaint !)
The comparable Defense answers that were given by other Defendants included answers i.e.:
* 'Plaintiff Lacks Standing to Bring this Action',
* 'Failure to State a Cause of Action for Open Account',
* 'Failure to State a Cause of Action for Money Lent'
* 'Failure to State a Cause of Action for Account Stated',
* 'Plaintiff cannot File Actions in Florida without Posting a Bond',
* 'Plaintiff failed to comply with the notice requirement of the Fir Debt Collections
Practices Act, 15 U.S.C # 1692 et.seq. as amended'
Here is the Complaint (STANDARD for Zakheim)
__________________________________________________ ________________________
CITIBANK (SOUTH DAKOTA), N.A. name of court in Fl
(address given) Case number.....
Plaintiff,
vs.
My name and address
Defendant
COMPLAINT
The Plaintiff sues the Defendant and alleges:
COUNT I - OPEN ACCOUNT
1. This is an action for damages which exceed $5000 but do not exceed $15,000
2. The Defendant made purchase of various and diverse consumer goods and/ or elected cash advances through the use of his CIT MASTERCARD credit account obtained from the Plaintfiff on account number **********
3. Def has failed to pay the balance due on the account
4. Defendant owes the Plaintiff $****.** that is due with interest according to the attached account (Exhibit A).
WHEREFORE, Plaintiff demands judgement against the Defendant for damages $****.** and any further relief this court deems just and proper.
COUNT II- ACCOUNT STATED
5. Plaintiff repeats and relleges the allegations of paragraph 1 and 2 as if fully set forth herein.
6. Before the institution of this action Plaintiff and Defendant had buisness transactions between them on a CIT MASTERCARD credit account and they agreed to the resulting balance.
7. Plaintiff rendered a statement of account to Defendant and Defendant did not object to the statement.
8. Defendant(s) owe(s) the Plaintiff $****.** that is due with interest according to the attached account (exhibit A).
WHEREFORE, Plaintiff demands judgement against the Defendant(s) for damages of $****.** and any further relief this court deems just and proper.
Zakheim & Associates, PA
(address & phone #)
THIS IS AN ATTEMPT TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE. THIS COMMUNICATION IS FROM A DEBT COLLECTOR.
__________________________________________________ ________________________
ANY INPUT & SUGGESTIONS ON HOW YOU WOULD ANSWER THIS WOULD BE GREATLY APPRECIATED !!!!!!!!!!!!!!!!!!!!!!!
Recieved Summons on a debt I have on a credit card account with Citibank. Have 20 days to answer (10 left..) and bring answer down to courthouse & mail copy to plaintiffs attorney. Summons IS recorded at courthouse...
As I consider myself collection proof initially I was not going to answer. However... I am now thinking that perhaps might get all of this over with by filing bk sometime after May, and it would be nice to at least stall this lawsuit.
I spent considerable time at the courthouse (2 days) looking up cases (where Zakheim is the attorney) to be able to formulate an AFFIRMATIVE DEFENSE, however though I ended up concentrating on 3 cases, I am still on the 'fence' and CONFUSED (!) as how to give an answer.
I AM ESPECIALLY TROUBLED BY THE FACT THAT ATTORNEY FOR PLAINTIFF IS STATING TO BE A DEBT COLLECTOR (last sentence on Complaint !)
The comparable Defense answers that were given by other Defendants included answers i.e.:
* 'Plaintiff Lacks Standing to Bring this Action',
* 'Failure to State a Cause of Action for Open Account',
* 'Failure to State a Cause of Action for Money Lent'
* 'Failure to State a Cause of Action for Account Stated',
* 'Plaintiff cannot File Actions in Florida without Posting a Bond',
* 'Plaintiff failed to comply with the notice requirement of the Fir Debt Collections
Practices Act, 15 U.S.C # 1692 et.seq. as amended'
Here is the Complaint (STANDARD for Zakheim)
__________________________________________________ ________________________
CITIBANK (SOUTH DAKOTA), N.A. name of court in Fl
(address given) Case number.....
Plaintiff,
vs.
My name and address
Defendant
COMPLAINT
The Plaintiff sues the Defendant and alleges:
COUNT I - OPEN ACCOUNT
1. This is an action for damages which exceed $5000 but do not exceed $15,000
2. The Defendant made purchase of various and diverse consumer goods and/ or elected cash advances through the use of his CIT MASTERCARD credit account obtained from the Plaintfiff on account number **********
3. Def has failed to pay the balance due on the account
4. Defendant owes the Plaintiff $****.** that is due with interest according to the attached account (Exhibit A).
WHEREFORE, Plaintiff demands judgement against the Defendant for damages $****.** and any further relief this court deems just and proper.
COUNT II- ACCOUNT STATED
5. Plaintiff repeats and relleges the allegations of paragraph 1 and 2 as if fully set forth herein.
6. Before the institution of this action Plaintiff and Defendant had buisness transactions between them on a CIT MASTERCARD credit account and they agreed to the resulting balance.
7. Plaintiff rendered a statement of account to Defendant and Defendant did not object to the statement.
8. Defendant(s) owe(s) the Plaintiff $****.** that is due with interest according to the attached account (exhibit A).
WHEREFORE, Plaintiff demands judgement against the Defendant(s) for damages of $****.** and any further relief this court deems just and proper.
Zakheim & Associates, PA
(address & phone #)
THIS IS AN ATTEMPT TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE. THIS COMMUNICATION IS FROM A DEBT COLLECTOR.
__________________________________________________ ________________________
ANY INPUT & SUGGESTIONS ON HOW YOU WOULD ANSWER THIS WOULD BE GREATLY APPRECIATED !!!!!!!!!!!!!!!!!!!!!!!
Comment