Floyd v. Deutsche Bank National Trust Company, as Trustee, in trust for registered Holders of Long Beach Mortgage Loan Trust 2003-2, Asset-Backed Certificates, Series 2003-2
(5:21-cv-01231)
District Court, W.D. Texas
DEC 14, 2021 | REPUBLISHED BY LIT: DEC 15, 2021
How to Stop Foreclosure in Texas, Even if You’ve Failed Before, or Before That.
It’s DeAcceleration for Homeowners, thanks to Federal Court Judge Ellison, Houston, Texas. @uscourts @DeutscheBank @WellsFargo @RocketMortgage @usbank @Yale @Harvard @UTexasLaw @Baylor @ACLUTx pic.twitter.com/AmzZJCN1FR
— lawsinusa (@lawsinusa) June 8, 2022
LIT COMMENTARY; Y’ALL TOO DAMN LATE TO THE PARTY TO FIX THE FRAUDULENCE
STIPULATION OF DISMISSAL WITH PREJUDICE (JUN 9, 2022)
Plaintiff Gloria Jo Floyd (“Plaintiff”) and Defendant, Deutsche Bank National Trust Company, as Trustee, in trust for registered Holders of Long Beach Mortgage Loan Trust 2003- 2, Asset-Backed Certificates, Series 2003-2 (“Defendant”) hereby file this Stipulation of Dismissal pursuant to Rule 41(a)(1)(A)(ii) of the Federal Rules of Civil Procedure, and would respectfully show unto the Court as follows:
1. Plaintiff filed this lawsuit against Defendant seeking to delay or prevent foreclosure by Defendant. Defendant appeared denying all claims. Plaintiff wishes to dismiss all claims against Defendant with prejudice and Defendant consents to same.
2. In conformity with Rule 41(a)(1)(A)(ii), this Stipulation is signed by all parties who have appeared in the action.
3. By this Stipulation, it is hereby stipulated all claims of Plaintiff against Defendant are dismissed with prejudice. This Stipulation disposes of all claims and causes of action by all parties.
4. Plaintiff and Defendant further stipulate that all costs of court, attorney’s fees and other costs incurred are to be borne by the party incurring the same.
WHEREFORE, PREMISES CONSIDERED, all claims and causes of action brought by Plaintiff against Defendant are dismissed with prejudice.
Respectfully submitted,
By: /s/ James Minerve
James Minerve
Texas Bar No. 24008692
13276 N. Highway 183, Ste. 209
Austin, Texas 78750
888-819-1440 (Office)
210 336-5867 (Cell)
888-230-6397 (Fax)
jgm@minervelaw.com
ATTORNEY-IN-CHARGE FOR PLAINTIFF
By: /s/ Michael F. Hord Jr.
Michael F. Hord, Jr.
Texas Bar No. 00784294
Eric C. Mettenbrink
Texas Bar No. 24043819
Hirsch & Westheimer, P.C.
1415 Louisiana, 36th Floor
Houston, Texas 77002
(713) 220-9182 Telephone
(713) 223-9319 Facsimile
mhord@hirschwest.com
emettenbrink@hirschwest.com
ATTORNEY-IN-CHARGE FOR DEFENDANT
CERTIFICATE OF SERVICE
I hereby certify that on this 9th day of June, 2022 a true and correct copy of the foregoing document was served as follows:
James Minerve
13276 N HWY 183, Ste. 209
Austin, Texas 78750
(888) 819-1440 (Office)
(210) 336-5867 (Mobile)
(888) 230-6397 (Fax)
jgm@minervelaw.com
Vie E-Service
/s/ Michael F. Hord Jr.
Your Hirschy Bar Lawyer melted and was Unopposed yesterday in the Strange case. @DeutscheBankAG @DeutscheBank Y’all give this foreclosure mill and lawyer a lot of business in Texas. We know y’all won’t be too happy, considerin’ – but carnivores like y’all can switch to brisket. pic.twitter.com/brB7YoDWj5
— lawsinusa (@lawsinusa) June 8, 2022
Notice of Removal by Foreclosure Mill to Federal Court
New post: Hey CA5, Look it’s Another Foreclosure Law Firm’s Notice of Removal to Federal Court https://t.co/BckWtyLRuw
— LawsInTexas (@lawsintexasusa) December 15, 2021
New foreclosure case. Bookmark for updates.