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Florida Court Reporting 561-689-0999
1 IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT
2 IN AND FOR PALM BEACH COUNTY, FLORIDA
3 CASE NO. 50-2009 CA 043986
4
5
CITIMORTGAGE, INC.,
6
Plaintiff(s),
7
vs.
8
MARIE ST. FORT AND MARIE ANDRE,
9
Defendant(s).
10 __________________________________ /
11
12
13
DEPOSITION OF CHRISTINE ODOM
14 TAKEN AT THE INSTANCE OF THE DEFENDANT(S)
15
16
17
West Palm Beach, Florida
18 March 22, 2011
9:30 - 10:38 a.m.
19
20
21
22
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25
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1 APPEARANCES:
2
3
4 SHAPIRO & FISHMAN, LLP
2424 N. Federal Hwy., Ste. 360
5 Boca Raton, Florida 33431
Attorneys for the Plaintiff(s)
6 By: CHAD M. MUNEY, ESQUIRE
MICHELLE B. BONDER, ESQUIRE
7 MARK C. HOLMBERG, ESQUIRE
8
9
10 KORTE & WORTMAN, P.A.
2041 Vista Parkway, Ste. #102
11 West Palm Beach, Florida 33411
Attorneys for the Defendant(s)
12 By: BRIAN K. KORTE, ESQUIRE.
13
14
15
16
17
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20
21
22
23
24
25
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1 - - - 2 I N D E X 3 - - - 4
WITNESS: PAGE 5 6 CHRISTINE ODOM 7
Direct Examination by Mr. Korte 4 8
Cross Examination by Mr. Muney 41 9
Redirect Examination by Mr. Korte 43 10 11
- - - 12
E X H I B I T S 13
- - - 14 15 NUMBER DESCRIPTION PAGE 16
DEFT'S EX. 1 NOTICE/LIS PENDENS, COMPLAINT, ETC 8 17
DEFT'S EX. 2 NOTICE/FILING COPY OF NOTE 8 18
DEFT'S EX. 3 NOTICE OF HEARING 8 19
DEFT'S EX. 4 DEFT'S MOTION/STRIKE AFFIDAVIT IN 8 20 SUPPORT OF PLTF'S MOTION/SUM. JDGMT 21 DEFT'S EX. 5 PLFT'S RESPONSES/DEFT'S 1ST REQUEST 8
FOR PRODUCTION 22
DEFT'S EX. 6 RE-NOTICE/TAKING DEPOSITION 12 23 24 PLFT'S EX. 1 12/25/09 LETTER TO SHAPIRO & FISHMAN 41 25
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1 Deposition of CHRISTINE ODOM was taken before me,
2 Wanda D. Good, Certified Professional Reporter, Notary
3 Public, State of Florida at Large, at 2041 Vista
4 Parkway, Suite #102, in the City of West Palm Beach,
5 County of Palm Beach, State of Florida, beginning at
6 the hour of 9:30 a.m., on March 22, 2011, pursuant to
7 notice filed herein, at the instance of the
8 Defendant(s) in the above-entitled cause pending before
9 the above-named court.
10 - - -
11 THEREUPON,
12 CHRISTINE ODOM,
13 being by me first duly sworn or affirmed to testify the
14 whole truth, as hereinunder certified, testified as
15 follows:
16 DIRECT EXAMINATION CHRISTINE ODOM
17 BY MR. KORTE:
18 Q. Ma'am, would you state your name for the
19 record, spelling your last.
20 A. Christine Odom, O-d-o-m.
21 Q. Ma'am, would you give me the benefit of our
22 educational background from the time you left college
23 going forward?
24 A. I only have a high school degree and a couple
25 of classes in college.
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1 Q. Okay. Where did you go to college?
2 A. Northlake in Irving, Texas.
3 Q. Can you give me the benefit of your
4 educational background from high school going -- your
5 work background going from high school forward?
6 A. I worked for Revco Drugstore in approximately
7 1982. I worked for Drugs for Less, and then I started
8 in the mortgage industry in 1986 with Lomas &
9 Nettleton.
10 Q. Can you spell that for me?
11 A. L-o-m-a-s & Nettleton, which is
12 N-e-t-t-l-e-t-o-n. I then went to Lion Funding, which
13 merged with Sunbelt National. Then I went to
14 Associate's Financial, and then it was Nation Home
15 Equity. Then back to Associate's Financial, and then
16 to Centex Home Equity, which is now Nationstar, which
17 is my current employer.
18 Q. What job title were you hired for at Centex
19 Home Equity?
20 A. Assistant vice-president.
21 Q. What title do you currently hold today at
22 Nationstar?
23 A. Vice-president.
24 Q. What are the duties for a vice-president at
25 Nationstar?
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1 A. For my title, it's in the foreclosure
2 department. My current duties are ancillary
3 departments as far as the litigation for foreclosures,
4 referrals, any of the ancillary departments that deal
5 with foreclosure.
6 Q. Anything else?
7 A. Vendor input or vendor setup, demand process,
8 acquisitions, compliance just for that area.
9 Q. Compliance for that area, you mean
10 acquisitions?
11 A. Compliance of the foreclosure, so new State
12 regulations. That's -- property preservation and
13 property inspections and hazard as it relates to
14 foreclosure hazard insurance.
15 Q. How many vice-presidents are there for
16 Nationstar who do what you do?
17 MR. MUNEY: Object to form.
18 THE WITNESS: Just me. Just one.
19 BY MR. KORTE:
20 Q. How many officers are in the corporate
21 structure at Nationstar that you're aware of that have
22 the same vice-president title as you?
23 MR. MUNEY: Object to form.
24 THE WITNESS: Two other.
25 BY MR. KORTE:
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1 Q. Ma'am, when did you join Centex?
2 A. 1999.
3 Q. And you joined them as assistant
4 vice-president?
5 A. Yes.
6 Q. Ma'am, you've been brought here today as the
7 person with the most knowledge from CitiMortgage, Inc.
8 with regards to the transfer of the Note, calculation
9 of damages and affidavits for amounts due and owing; is
10 that correct?
11 A. Yes.
12 Q. Ma'am, what is your relationship to CitiBank
13 Mortgage -- or Citi Mortgage? I'm sorry.
14 A. We are the new servicer.
15 Q. Is it your testimony that you're the -- that
16 Nationstar is the servicer for CitiMortgage?
17 A. No. CitiMortgage -- we acquired loans from
18 CitiMortgage.
19 Q. When you say "acquired loans from
20 CitiMortgage," what does that mean?
21 A. We are now the new servicer. CitiMortgage
22 was the servicer. We're now the new servicer.
23 Q. Would it be fair to say that CitiMortgage was
24 taken out of the -- out of this loan at some point in
25 time?
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Florida Court Reporting 561-689-0999
1 A. I have --
2 MR. MUNEY: Object to form.
3 THE WITNESS: I have a Power of Attorney on
4 behalf of CitiMortgage.
5 BY MR. KORTE:
6 Q. Okay. Did Nationstar buy the loan itself or
7 just bought the servicing rights?
8 MR. MUNEY: Object to form.
9 THE WITNESS: Can you clarify --
10 MR. KORTE: Sure.
11 THE WITNESS: -- your question?
12 MR. KORTE: Let's start with some easy ones.
13 I'm going to hand you what's going to be marked as
14 Defendant's 1, which is a copy of the complaint.
15 (Defendant Exhibit Nos. 1 through 5 were
16 marked for identification purposes only and are
17 attached hereto.)
18 (Document(s) handed to Counsel Muney.)
19 MR. KORTE: I have a spare, but go to either
20 one of them.
21 MR. MUNEY: Thanks.
22 (Document(s) handed to the witness.)
23 BY MR. KORTE:
24 Q. Ma'am, you've been handed what's been marked
25 as Defendant's 1.
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1 Have you ever seen this document before?
2 A. Yes.
3 Q. When is the first time that you saw this
4 document?
5 A. Yesterday.
6 Q. Do you see on the front page of this
7 Defendant's 1 where it says the Plaintiff is
8 CitiMortgage?
9 A. Yes.
10 Q. Ma'am, does CitiMortgage own the mortgage
11 note in this case?
12 MR. MUNEY: Object to form.
13 MR. KORTE: What's wrong with the form?
14 MR. MUNEY: It's a form objection.
15 MR. KORTE: What's wrong with it?
16 MR. MUNEY: You're asking her to state a
17 legal conclusion.
18 BY MR. KORTE:
19 Q. Okay. Does Citi own this Note that's the
20 subject matter of this litigation?
21 MR. MUNEY: Same objection.
22 THE WITNESS: It's kind of a legal term. I
23 don't know how to answer that.
24 BY MR. KORTE:
25 Q. Okay. You're here today as the person with
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1 the most knowledge regarding the transfer of the Note,
2 correct?
3 A. Correct.
4 Q. What was the day that CitiMortgage received
5 the Note?
6 A. I do not know the -- I do not work for
7 CitiMortgage and do not work for Citi, so I don't know
8 that answer.
9 Q. You're here as the person with the most
10 knowledge in regards to CitiMortgage versus Marie
11 St. Fort, correct?
12 A. Yes.
13 Q. Case No. 2009 CA 043986, correct?
14 A. Yes.
15 Q. And I'm asking you as the person with the
16 most knowledge of the transfer of the Note the date the
17 Note was transferred to Citi, and you can't tell me the
18 answer to that question?
19 A. That is correct.
20 Q. What was the date that the Note was
21 transferred from Irwin Mortgage, if you know?
22 A. I don't know that question.
23 Q. What was date the Note was transferred to
24 Nationstar, if you know?
25 A. CitiMortgage is the holder of the Note, which
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Florida Court Reporting 561-689-0999
1 has been sent to the attorneys.
2 Q. Well, let's back up.
3 Who owns the actual Note itself? Who is the
4 person who would receive payments if they were made?
5 MR. MUNEY: I'm going to object to form.
6 That's two separate questions.
7 MR. KORTE: Okay.
8 MR. MUNEY: Can you split them up?
9 BY MR. KORTE:
10 Q. Well, you told me that Nationstar is now the
11 servicer, correct?
12 A. Correct.
13 Q. And it took over servicing from CitiMortgage,
14 correct?
15 A. Correct.
16 Q. Who does Nationstar forward its payments to
17 after it services the loan?
18 MR. MUNEY: Object to form.
19 THE WITNESS: Fannie Mae.
20 BY MR. KORTE:
21 Q. Why does it send the payments to Fannie Mae,
22 if you know?
23 A. They're the -- the owner of the Note.
24 Q. Who was the owner before Fannie Mae, if you
25 know?
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Florida Court Reporting 561-689-0999
1 A. I don't know.
2 Q. Do you know if CitiMortgage was ever the
3 owner of the Note?
4 MR. MUNEY: Object to form.
5 THE WITNESS: I can't -- I can't answer that
6 question.
7 BY MR. KORTE:
8 Q. Okay. As person with the most knowledge of
9 the assignment of the Note, can you tell me in what
10 year the Note was assigned to CitiMortgage?
11 MR. MUNEY: I'm going to object to form.
12 Is that issue on your depo notice?
13 MR. KORTE: Can I mark that as six, please?
14 MR. MUNEY: And can you read back that last
15 question, please?
16 (Requested portion of record was read by the
17 reporter.)
18 (Defendant Exhibit No. 6 was marked for
19 identification purposes only and is attached
20 hereto.)
21 (Document(s) handed to Counsel Muney.)
22 MR. MUNEY: I don't see any assignment of
23 note issue here.
24 MR. KORTE: Okay. Well, I'm asking you.
25 MR. MUNEY: Can you show me on that where it
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Florida Court Reporting 561-689-0999
1 talks about assignment of note as your deposition
2 topic for today?
3 MR. KORTE: Absolutely, but I'm going to have
4 my question answered first, if she knows.
5 THE WITNESS: No.
6 BY MR. KORTE:
7 Q. You don't know?
8 A. (Shakes head back and forth.)
9 Q. Ma'am, I'm going to hand you what's been
10 marked as Defendant's No. 6. I'm going to hand this to
11 your lawyer, which he was provided a copy of weeks in
12 advance of today's deposition.
13 (Document(s) handed to Counsel Muney.)
14 MR. MUNEY: Right. It says "Transfer of
15 Note." It doesn't say "Assignment of Note."
16 MR. KORTE: No problem.
17 BY MR. KORTE:
18 Q. Then let's do this: Ma'am, do you know what
19 day or year the Note was transferred from Irwin
20 Mortgage to CitiMortgage, the Plaintiff in this case?
21 A. No.
22 Q. Okay. Before coming here today, did you
23 speak to anyone besides your lawyer to become
24 acquainted with the issues the transfer of the Note?
25 A. No.
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Florida Court Reporting 561-689-0999
1 Q. Ma'am, before coming here today, other than
2 getting documents from your lawyers, did you review any
3 documents before this deposition to educate yourself
4 about the transfer of the Note?
5 A. Can you -- can you clarify? Only about the
6 transfer of the Note?
7 Q. Ma'am, you're here today as the person with
8 the most knowledge in regards to the transfer of the
9 Note, correct?
10 A. Of the most knowledge of the -- of the
11 Complaint and so forth.
12 Q. I'm going to show you what's been marked as
13 Defendant's 5, ma'am.
14 Do you see the bold words here (indicating),
15 where I'm pointing to where it says "name"?
16 A. Can you restate your question then?
17 Q. As the person with the most knowledge of the
18 transfer of the Note, what documents did you review
19 before coming here today?
20 A. I reviewed our Mortgage, the Note, the
21 affidavits and the Complaint. That's all that I can
22 remember at this point.
23 Q. Did any of the documents that you reviewed
24 reference a date of transfer of the Note to
25 CitiMortgage?
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Florida Court Reporting 561-689-0999
1 A. There was a Note with an endorsement that I
2 reviewed.
3 Q. Is that all you have that you reviewed that
4 had any indication of a transfer of the Note?
5 A. Yeah, it was the -- if was the endorsement,
6 if I can remember correctly, on -- from Irwin to Citi.
7 I don't have the document in front of me.
8 Q. Okay. If you had the document, would that
9 tell you the date of the transfer?
10 MR. MUNEY: Object to form.
11 THE WITNESS: I don't recall without the
12 document in front of me.
13 MR. KORTE: I'm going to hand you what's been
14 marked as Defendant's 2.
15 (Document(s) handed to Counsel Muney and the
16 witness.)
17 BY MR. KORTE:
18 Q. Ma'am, this is a Notice of Filing the copy of
19 the Note. If you could review that document and let me
20 know when you're finished.
21 A. Okay.
22 Q. Ma'am, after reviewing Defendant's 2, can you
23 tell me the date of the transfer the Note to
24 CitiMortgage?
25 A. It does not have a date.
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1 Q. That wasn't my question.
2 A. No, I cannot.
3 Q. Ma'am, if you look back at Defendant's No. 1,
4 please, and find the Note contained in Defendant's 1 --
5 I apologize.
6 Ma'am, have you had an opportunity to look at
7 Defendant's 1, specifically the Note?
8 A. Yes.
9 Q. Ma'am, can you do me a favor and tell me if
10 there's an endorsement in blank on that Note.
11 A. No.
12 Q. Can you tell me when the endorsement found on
13 Defendant's 2 was added to that Note?
14 A. No.
15 Q. Would it be fair to say that all of your
16 knowledge regarding this case arises after the Note is
17 transferred from CitiMortgage to Nationstar?
18 MR. MUNEY: Object to form.
19 THE WITNESS: Can you restate your question?
20 BY MR. KORTE:
21 Q. Sure. Would it be fair to say that all of
22 your knowledge regarding this Note arises after the
23 Note was transferred from CitiMortgage to Nationstar?
24 MR. MUNEY: Object to form.
25 THE WITNESS: Can you restate the question
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1 another way?
2 BY MR. KORTE:
3 Q. Okay. Let's approach it in small pieces.
4 Did you ever speak to anybody from
5 CitiMortgage about this Note?
6 A. No.
7 Q. Did you ever speak to anybody at Irwin about
8 this Note?
9 A. No.
10 Q. Did you ever have an opportunity to go
11 through Irwin's records?
12 MR. MUNEY: Object to form.
13 THE WITNESS: No.
14 BY MR. KORTE:
15 Q. Would it be fair to say that the documents
16 that you told me about before that you reviewed before
17 coming here today are contained in the Nationstar
18 system?
19 MR. MUNEY: Object to form.
20 THE WITNESS: Yes.
21 BY MR. KORTE:
22 Q. Other than reviewing the Mortgage, the Note
23 the affidavit and the Complaint, you didn't review any
24 of the documents that CitiMortgage may have had?
25 MR. MUNEY: Object to form.
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1 THE WITNESS: You'll have to restate your
2 question. I reviewed the documents that Citi had
3 that are attached here.
4 BY MR. KORTE:
5 Q. Okay. Did you physically go to CitiMortgage
6 at any time in your career to review their documents?
7 A. No.
8 Q. And you told me previously you never spoke
9 to -- you never spoke to anybody from CitiMortgage?
10 A. Regarding this loan.
11 Q. Correct. And you never physically went to
12 Irwin Mortgage either, correct?
13 A. Correct.
14 Q. Do you know if there were any other parties
15 between the time of the making of the Note by Irwin and
16 the time of the delivery of the documents to
17 CitiMortgage?
18 MR. MUNEY: Object to form.
19 THE WITNESS: I don't have the knowledge on
20 that, no.
21 BY MR. KORTE:
22 Q. Do you know who CitiMortgage got the Note
23 from?
24 A. No.
25 Q. Do you know if CitiMortgage was the servicer
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1 of the Note before Nationstar?
2 A. Yes.
3 Q. Do you know who they were servicing for?
4 MR. MUNEY: Object to form.
5 THE WITNESS: No.
6 BY MR. KORTE:
7 Q. Do you know when Fannie Mae came into
8 ownership of this Note?
9 A. No.
10 Q. Do you have any personal knowledge as to
11 whether or not CitiMortgage was servicing for itself?
12 MR. MUNEY: Object to form.
13 THE WITNESS: No, I do not.
14 MR. KORTE: Can you hand back six, please?
15 (Document(s) handed to Counsel Korte.)
16 BY MR. KORTE:
17 Q. Ma'am, you've also been brought here today to
18 discuss the calculation of damages, correct?
19 A. Correct.
20 Q. Can you tell me how the damages were
21 calculated in this case?
22 MR. MUNEY: Object to form.
23 THE WITNESS: You'll need to restate your
24 question differently, please.
25 BY MR. KORTE:
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1 Q. Okay. What part of my question don't you
2 understand?
3 A. Well, your question, so if you can restate
4 it.
5 Q. How much money is CitiMortgage seeking in
6 this case?
7 A. The amount that is in the Complaint as far as
8 the principal balance and the interest.
9 Q. Okay. Well, how much is the amount? How
10 much?
11 A. I don't have the current figures with me.
12 The figures in the Complaint are outdated.
13 Q. Okay. Well, can you tell me how the damage
14 calculation was actually done in this case?
15 MR. MUNEY: Object to form.
16 THE WITNESS: How -- how they were done in
17 the Complaint?
18 MR. KORTE: No, ma'am.
19 MR. MUNEY: Object to form.
20 MR. KORTE: Let me hand you back No. 6.
21 (Document(s) handed to the witness.)
22 BY MR. KORTE:
23 Q. If you'd do me a favor and review the section
24 where you were brought here today as the person with
25 the most knowledge of the calculation of damages.
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1 Do you see that section, ma'am?
2 A. Yes.
3 Q. How were the damages calculated?
4 MR. MUNEY: I'm going to object to form.
5 That was asked and answered.
6 MR. KORTE: There's no answer yet.
7 MR. MUNEY: She said it was the principal --
8 principal due plus the interest.
9 BY MR. KORTE:
10 Q. Is that the only way that it was done, ma'am?
11 A. And -- and expenses.
12 Q. Okay. So tell me, how much is the principal?
13 A. A hundred and seventy-two thousand, nine
14 twenty sixty-eight.
15 Q. And ma'am, how was that number arrived at?
16 A. The number would have been taken off the
17 system, the servicing system that would have been used
18 deducting any payments that were applied to the
19 account --
20 Q. And that would be the system --
21 A. -- from the origination.
22 Q. I apologize. I didn't mean to interrupt you.
23 A. That's okay.
24 Q. Ma'am, and that would have been the system of
25 CitiMortgage, correct?
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1 A. Correct.
2 Q. Do you have access to the CitiMortgage
3 system?
4 MR. MUNEY: Object to form.
5 THE WITNESS: Not to their system.
6 BY MR. KORTE:
7 Q. Ma'am, so how do you know how they calculated
8 that number if you don't have access to their system?
9 MR. MUNEY: Object to form.
10 THE WITNESS: Loans were and the data was
11 transferred to our company, so we have the data on
12 our system currently.
13 BY MR. KORTE:
14 Q. Before coming here today, ma'am, did you
15 review the amount of the principal?
16 A. Yes.
17 Q. Do you know how CitiMortgage got its numbers
18 to enter into the system that you ultimately took over
19 its data?
20 MR. MUNEY: Object to form.
21 THE WITNESS: Yes.
22 BY MR. KORTE:
23 Q. Ma'am, I think you told me earlier that this
24 loan was sometime originated by Irwin Mortgage,
25 correct?
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1 A. I did not tell you, but yes, it was.
2 Q. Okay. Do you know how Irwin Mortgage
3 calculated the principal balance?
4 MR. MUNEY: Object to form.
5 THE WITNESS: I was not an employee of Irwin,
6 so I do not know.
7 BY MR. KORTE:
8 Q. And we don't know if there were any
9 intervening servicers or owners of this Note between
10 the time of the making by Irwin and the time it was
11 taken by Citi, correct?
12 MR. MUNEY: Object to form.
13 THE WITNESS: I don't know that answer.
14 BY MR. KORTE:
15 Q. Do we know if there are any other records
16 besides those contained in Citi's mortgage?
17 A. State your question again?
18 Q. Do you know if there is any data by any other
19 parties besides CitiMortgage contained in
20 CitiMortgage's data that was taken by Nationstar?
21 MR. MUNEY: Object to form.
22 THE WITNESS: No.
23 BY MR. KORTE:
24 Q. Would it be fair to say that your calculation
25 of damages, as you sit here today, is based upon the
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1 records of CitiMortgage?
2 MR. MUNEY: Object to form.
3 THE WITNESS: Yes.
4 BY MR. KORTE:
5 Q. And would it also be fair to say that you
6 don't know how CitiMortgage calculated the damages?
7 MR. MUNEY: Object to form.
8 MR. KORTE: Let me strike the question.
9 BY MR. KORTE:
10 Q. Would it be fair to say that you don't know
11 how CitiMortgage calculated the principal balance?
12 MR. MUNEY: Object to form.
13 THE WITNESS: State your question another
14 way, please.
15 BY MR. KORTE:
16 Q. Do you know how the prior servicer,
17 CitiMortgage, calculated the damages?
18 A. Yes.
19 Q. Okay. How do you know that?
20 A. From the records that we have.
21 Q. Any other way?
22 A. No.
23 Q. Do you know how CitiMortgage got its initial
24 numbers from the prior owner or servicer of the Note?
25 A. No.
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1 MR. MUNEY: Object to form.
2 BY MR. KORTE:
3 Q. Ma'am, did you do any independent research
4 before coming here today to determine the validity of
5 the principal balance number?
6 MR. MUNEY: Object to form.
7 THE WITNESS: You need to restate that.
8 BY MR. KORTE:
9 Q. Okay. What did you do independently to
10 verify the validity of the $172,920.68 principal
11 balance claim?
12 MR. MUNEY: Object to form. Isn't that asked
13 and answered?
14 MR. KORTE: She asked me to restate it.
15 MR. MUNEY: Now it's restated. I think it
16 was asked and answered.
17 BY MR. KORTE:
18 Q. Ma'am, do you understand my question?
19 A. Yes.
20 Q. Can you tell me the answer?
21 A. Through our business records.
22 Q. You personally went through your business
23 records and independently verified that amount?
24 MR. MUNEY: Object to form.
25 THE WITNESS: Yes.
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1 BY MR. KORTE:
2 Q. Which business record did you go through to
3 make that calculation?
4 MR. MUNEY: Object to form. She didn't say
5 she made a calculation.
6 THE WITNESS: Correct.
7 BY MR. KORTE:
8 Q. Okay. What documents did you review to come
9 up with a $172,920.68?
10 A. Our system records.
11 Q. Those are the system notes?
12 MR. MUNEY: Object to form.
13 THE WITNESS: Our system payment histories.
14 BY MR. KORTE:
15 Q. Can you tell me about the system payment
16 histories, how it's recorded and calculated?
17 MR. MUNEY: Object to form.
18 THE WITNESS: It shows the balances, and it
19 shows the payments and how they're subtracted from
20 the principal balance.
21 BY MR. KORTE:
22 Q. Are those computerized records, ma'am?
23 A. Yes.
24 Q. Did you review any physical records to verify
25 the accuracy of that number?
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1 MR. MUNEY: Object to form. What's a
2 physical record?
3 BY MR. KORTE:
4 Q. Ma'am?
5 A. You'll have to restate your question.
6 Q. Okay. Do you know the difference between
7 computer records and paper records?
8 A. Not in your -- in the way you're stating it.
9 What kind of paper records are you asking about?
10 Q. Let me -- let me take it the really hard way
11 then.
12 Can you tell me on the very first payment how
13 much was applied to principal and how much was applied
14 to interest?
15 MR. MUNEY: I'm going to object to form and
16 also object that I don't see that on your depo
17 notice that you put payment history as a topic.
18 MR. KORTE: This is a calculation of damages,
19 and she can't tell me how she calculated them. I'm
20 going to go through these questions. You can
21 object all day long or instruct her not to answer.
22 MR. MUNEY: If you're going to go off your
23 depo notice to topics not requested for today, I'm
24 going to move for a protective order and end the --
25 end the depo.
Page: 28
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1 MR. KORTE: Fair enough.
2 BY MR. KORTE:
3 Q. Ma'am, let me ask the question so we have it
4 nice and clean so he doesn't terminate the deposition
5 and it's easy for you to go through.
6 In calculating your damages, how much from
7 the very first payment was applied to principal and how
8 much was applied to interest?
9 MR. MUNEY: I'm going to object to form. She
10 said how --
11 MR. KORTE: Is that a speaking objection
12 again?
13 MR. MUNEY: It's not a speaking objection.
14 It's a concise, nonargumentative objection under
15 the Rules of Civil Procedure. I'm done.
16 BY MR. KORTE:
17 Q. Ma'am --
18 MR. MUNEY: And if she doesn't know,
19 regarding topics that weren't noticed --
20 MR. KORTE: Now that's a speaking objection.
21 MR. MUNEY: No, that's part of my form
22 objection.
23 BY MR. KORTE:
24 Q. Ma'am, as to the very first payment for
25 purposes of calculation of damages, how much was
Page: 29
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1 applied to principal, how much was applied to interest?
2 A. I do not have that information in front of
3 me, so I don't know.
4 Q. Can you tell me how much was applied to
5 principal and interest for any of the payments?
6 A. I did not bring any of that information.
7 Q. For purposes of damage calculations, did you
8 review the calculation of principal and interest at any
9 time before coming here today?
10 MR. MUNEY: Object to form.
11 THE WITNESS: Not to the calculation.
12 BY MR. KORTE:
13 Q. Ma'am, can you tell me how interest was
14 calculated in this particular case as it -- as a result
15 that relates to damages?
16 MR. MUNEY: Object to form. She's already
17 told you that.
18 THE WITNESS: In the Complaint, it states
19 here with interest from and after December 1st,
20 2008.
21 BY MR. KORTE:
22 Q. Can you tell me how much that is?
23 A. I don't have any current figures with me.
24 MR. KORTE: Ma'am, I'm going to hand you
25 what's been marked as Defendant's 4.
Page: 30
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1 (Document(s) handed to witness and Counsel
2 Muney.)
3 BY MR. KORTE:
4 Q. Ma'am, I'd like for you to go through that
5 document and find -- there's an Affidavit of
6 Indebtedness attached thereto. Let me know when you've
7 found it.
8 Are you there, ma'am?
9 A. It doesn't say Affidavit of Indebtedness, but
10 I have an Affidavit in Support of Motion for Final
11 Summary Judgment. Is that what you're referencing?
12 Q. Yes, ma'am. Ma'am, I'd like you to turn to
13 the fourth page of that affidavit.
14 Have you seen this document before coming
15 here today, ma'am?
16 A. Yes.
17 Q. When was the first time you saw it?
18 A. Yesterday.
19 Q. Before coming here today, ma'am, did you
20 speak to anybody at CitiMortgage regarding this
21 affidavit?
22 MR. MUNEY: Object to form.
23 THE WITNESS: No.
24 BY MR. KORTE:
25 Q. Who at CitiMortgage designated you as the
Page: 31
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1 person with the most knowledge of this affidavit?
2 MR. MUNEY: Object to form.
3 THE WITNESS: I don't have the document in
4 front of me.
5 BY MR. KORTE:
6 Q. Ma'am, the affidavit that is in front of you
7 as Defendant's 4, the one we just turned to --
8 A. Mm-hmm?
9 Q. -- who at Citi designated you as the person
10 with the most knowledge of the affidavit contained in
11 Defendant's 4?
12 MR. MUNEY: Object to form. I think she was
13 saying she didn't have some other document in front
14 of her, not this document.
15 THE WITNESS: I'm sorry. I didn't have -- I
16 don't have the Power of Attorney that gives me that
17 authority --
18 MR. KORTE: Okay.
19 THE WITNESS: -- to tell you who gave me that
20 power.
21 BY MR. KORTE:
22 Q. You're referencing a Power of Attorney that
23 gives you an authority to do this.
24 Have you seen this of Power of Authority
25 before? Or Power of Attorney before?
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1 A. Yes.
2 Q. Who was it executed by?
3 A. As I stated, I don't have the document in
4 front of me, so I don't -- I cannot tell you.
5 Q. Do you know the date that it was executed?
6 A. It was September of 2010.
7 Q. All right, ma'am. Going back to the
8 affidavit itself, ma'am, do you see where it says
9 "preacceleration late charges" in Paragraph 14?
10 A. Yes.
11 Q. Ma'am, can you tell me how that was
12 calculated?
13 MR. MUNEY: Object to form.
14 THE WITNESS: Since I did not sign the
15 affidavit --
16 MR. MUNEY: I think she answered this.
17 BY MR. KORTE:
18 Q. I'm sorry. Since you didn't sign the
19 affidavit, so finish your sentence.
20 A. I did not sign the affidavit, so...
21 Q. Do you know how the preacceleration late
22 charges were calculated?
23 MR. MUNEY: Object to form.
24 THE WITNESS: I don't, no.
25 BY MR. KORTE:
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Florida Court Reporting 561-689-0999
1 Q. Would -- do you know how any of these numbers
2 contained in Paragraph 14 were actually calculated?
3 MR. MUNEY: Object to form.
4 THE WITNESS: They would have been from the
5 business records of Citi.
6 BY MR. KORTE:
7 Q. Do you have any personal knowledge as you sit
8 here today of how they were calculated?
9 MR. MUNEY: Object to form.
10 THE WITNESS: You'll need to restate your
11 question regarding what you're talking about,
12 calculation.
13 BY MR. KORTE:
14 Q. Sure. I'm referencing Paragraph 14 of
15 Defendant's 4 in the affidavit of before you.
16 Do you see that, ma'am?
17 A. Mm-hmm.
18 Q. Do you see where it says "principal due on
19 note and mortgage"? Do you see that section, ma'am?
20 A. Mm-hmm.
21 Q. You have to say "yes" or "no" or she can't
22 get that down.
23 A. Yeah, I already saw it.
24 Q. You have to say "yes" or "no" so she can get
25 you (indicating to court reporter).
Page: 34
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1 A. Oh, yes. I'm sorry.
2 Q. You can't say "uh-huh" or "uh-uh."
3 A. I'm sorry. Yes.
4 Q. Ma'am, as to that number on principal due, do
5 you have any personal knowledge of how Citi calculated
6 that number?
7 MR. MUNEY: Object to form.
8 THE WITNESS: We have that in our business
9 records.
10 BY MR. KORTE:
11 Q. As to the next number, the preacceleration
12 late charges, do you know how that number was
13 calculated by Citi when it made this affidavit?
14 MR. MUNEY: Object to form.
15 THE WITNESS: We would still have that in our
16 business records.
17 BY MR. KORTE:
18 Q. I'm asking you about your personal knowledge.
19 Do you as you sit here today have any
20 personal knowledge of how that was calculated?
21 MR. MUNEY: Object to form. She answered by
22 saying it was in the business records.
23 MR. KORTE: Okay. And I'm --
24 MR. MUNEY: That's her answer.
25 MR. KORTE: I'm asking her personal
Page: 35
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1 knowledge. I'm clarifying my question.
2 BY MR. KORTE:
3 Q. Do you have any personal knowledge as to how
4 it was calculated?
5 MR. MUNEY: Wait. I object. Can you clarify
6 if you meant did she read the business records or
7 did she -- was she involved in the calculations
8 that went into the business records?
9 BY MR. KORTE:
10 Q. Ma'am, how did you gain your personal
11 knowledge as to the amount of principal due on the Note
12 and Mortgage, if ever?
13 A. Through the business records, through the
14 payment histories.
15 Q. Those are the payment histories that you
16 received from Citi?
17 A. Yes, as well as the ones that we have -- have
18 since we acquired the loans.
19 Q. Well, how many payments have you received
20 since Nationstar took over the servicing of this loan?
21 MR. MUNEY: Object to form.
22 THE WITNESS: I don't have the information in
23 front of me, but we have the business records.
24 BY MR. KORTE:
25 Q. Do you have the business records of Irwin
Page: 36
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1 Mortgage?
2 MR. MUNEY: Object to form as asked and
3 answered, I believe.
4 THE WITNESS: I don't know.
5 BY MR. KORTE:
6 Q. Can you tell me how the line item at
7 Paragraph 14, preacceleration late charges, were
8 calculated in this case by the affiant?
9 MR. MUNEY: That's -- that's the same
10 question you just asked.
11 MR. KORTE: Well, that was as to principal
12 due. Now we're talking about the preacceleration
13 late charges.
14 MR. MUNEY: No, I think you asked about the
15 late charges too. I think that now you're down to
16 the next, the third line.
17 BY MR. KORTE:
18 Q. Well, let's talk about the interest due since
19 your lawyer wants to move on there.
20 How was that calculated?
21 MR. MUNEY: Object to form; asked and
22 answered. She pointed you to the business records.
23 BY MR. KORTE:
24 Q. Ma'am, as you sit here today, do you have any
25 personal knowledge from any source as to how the
Page: 37
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1 interest was calculated from December 1st, 2008 through
2 August 10, 2010?
3 A. Yes, through our business records.
4 Q. Which business records specifically?
5 MR. MUNEY: Object to form.
6 THE WITNESS: Our payment histories.
7 BY MR. KORTE:
8 Q. Anything else?
9 MR. MUNEY: Object to form.
10 THE WITNESS: It would be through the -- our
11 system. There's different screens, but...
12 BY MR. KORTE:
13 Q. Anything else other than your screens and the
14 payment histories?
15 A. Of course through reference to the Note.
16 Q. Since you bring up the Note, can you tell me
17 when Nationstar took physical possession of the Note,
18 if ever?
19 MR. MUNEY: Object to form.
20 THE WITNESS: We have not.
21 BY MR. KORTE:
22 Q. Do your records reflect, if you know, whether
23 there's a bailee agreement between Fannie Mae and
24 Nationstar regarding the Note?
25 MR. MUNEY: Object to form.
Page: 38
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1 THE WITNESS: State your question again?
2 BY MR. KORTE:
3 Q. Do you know whether or not Fannie Mae bailed
4 this loan to the Plaintiff for purposes of this
5 litigation?
6 MR. MUNEY: Object to form. That's -- you
7 may want to give a better clarification of the
8 question.
9 THE WITNESS: Please.
10 MR. KORTE: No, that's my question.
11 MR. MUNEY: Well, if you don't --
12 THE WITNESS: Can you clarify it?
13 BY MR. KORTE:
14 Q. What part do you want me to clarify, ma'am?
15 MR. MUNEY: Hold on. If you don't understand
16 a question as it's asked or you don't know the
17 answer, that's a fine answer if you don't
18 understand or don't know.
19 THE WITNESS: Okay. I don't know.
20 MR. KORTE: I've now asked you to stop the
21 speaking objections. You've just intimated an
22 answer to a question that I had pending for which
23 your deponent has parroted the exact answer.
24 MR. MUNEY: I asked you to clarify the
25 question. You said you wouldn't and --
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Florida Court Reporting 561-689-0999
1 MR. KORTE: And you then continue with your
2 speaking objections suggesting the answer to the
3 deponent.
4 MR. MUNEY: No, that's not what I did.
5 MR. KORTE: That's exactly what you did.
6 MR. MUNEY: Well, you can rephrase the
7 question.
8 MR. KORTE: I'm not rephrasing the question.
9 MR. MUNEY: Okay.
10 BY MR. KORTE:
11 Q. Is there a bailee agreement between Fannie
12 Mae and the Plaintiff regarding this Note?
13 A. I don't know.
14 Q. At any time before coming here today, did you
15 have an opportunity to speak with the affiant of the
16 affidavit before you in Defendant's 4?
17 A. No.
18 Q. Did you ever reach out to the affiant before
19 coming here today?
20 MR. MUNEY: Object to form.
21 THE WITNESS: No.
22 MR. KORTE: Ma'am, I have nothing further for
23 you today.
24 MR. MUNEY: We'll conclude and we'll read.
25 MS. BONDER: Rehabilitate?
Page: 40
Florida Court Reporting 561-689-0999
1 MR. KORTE: Outstanding. I guess they're
2 back on.
3 MS. BONDER: Can we just have a couple of
4 minutes?
5 MR. MUNEY: Yeah. Let's take a break, and
6 we'll go over the notes from the depo, see if we
7 want to get into any redirect or any other
8 questioning.
9 Do you mind if we have a minute?
10 MR. KORTE: Not with the deponent.
11 MR. MUNEY: No?
12 MR. KORTE: No. She's on the stand.
13 MR. MUNEY: Right. Can we have a minute?
14 MR. KORTE: Sure. There's a conference room
15 right next door.
16 MR. MUNEY: Okay.
17 MS. BONDER: Okay. Thank you.
18 MR. MUNEY: I'd appreciate it if you don't
19 talk about anything while we're not here. If
20 that's going to be a problem, she should go to
21 another room.
22 MS. BONDER: She's still on the record. It's
23 okay.
24 MR. MUNEY: Okay.
25 (Mr. Muney, Ms. Bonder and Mr. Holmberg exit
Page: 41
Florida Court Reporting 561-689-0999
1 deposition room.)
2 (Off-the-record recess was had.)
3 (Plaintiff's counsel enter deposition room.)
4 MR. MUNEY: We're going to call this
5 Composite Exhibit -- hold on a second.
6 I'd like to introduce Plaintiff's
7 Composite 1.
8 (Plaintiff Composite Exhibit No. 1 was marked
9 for identification purposes only and is attached
10 hereto.)
11 MR. MUNEY: Can you see? Did you see this
12 already?
13 (Document(s) handed to Counsel Korte.)
14 MR. KORTE: How can I see something already
15 that you just handed me?
16 (Document(s) handed to the witness.)
17 CROSS EXAMINATION CHRISTINE ODOM
18 BY MR. MUNEY:
19 Q. Could you please describe Exhibit 1 in your
20 own words.
21 MR. KORTE: Object to form.
22 THE WITNESS: This is a bailee letter from
23 Citi sending the documents to Shapiro & Fishman,
24 the original Note and Mortgage, which they held
25 prior to filing of the Complaint.
Page: 42
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1 BY MR. MUNEY:
2 Q. And what's the date of that letter?
3 A. December 25th, 2009.
4 Q. So this letter demonstrates that the original
5 Note and Mortgage were in possession of CitiMortgage
6 and mailed or shipped to their attorney, Shapiro &
7 Fishman, to initiate the foreclosure on December 25th,
8 2009?
9 MR. KORTE: Form.
10 THE WITNESS: Right.
11 BY MR. MUNEY:
12 Q. Is that correct?
13 A. Yes.
14 Q. And what -- you also have Defendant's
15 Exhibit 1 in front of you, correct?
16 A. Yes.
17 Q. And what is the date that this Complaint was
18 filed in the Court of Palm Beach?
19 A. December 31st, 2009.
20 Q. Okay. So although you were not sure the date
21 that CitiMortgage was transferred the Note and Mortgage
22 from the -- from Plaintiff's Exhibit 1, it's clear to
23 you that CitiMortgage did have possession of the Note
24 and Mortgage prior to the filing of the subject
25 foreclosure case?
Page: 43
Florida Court Reporting 561-689-0999
1 MR. KORTE: Form.
2 THE WITNESS: Correct. Yes.
3 MR. MUNEY: And just to -- nothing further.
4 REDIRECT EXAMINATION CHRISTINE ODOM
5 BY MR. KORTE:
6 Q. Ma'am, a little redirect, if you don't mind.
7 I see that you were able to ascertain that the original
8 Note and Mortgage were transferred to Shapiro & Fishman
9 on or around December 2009 via the document handed to
10 you as --
11 MR. KORTE: Plaintiff's 1? How did you mark
12 it?
13 MR. MUNEY: Yes, Plaintiff's Composite
14 Exhibit 1, which is -- which comprises of two --
15 MR. KORTE: Two pages.
16 MR. MUNEY: Two pages.
17 BY MR. KORTE:
18 Q. Ma'am, show me the word "Note" on that
19 document, if you would. Just point out to me where it
20 says "transferring Note" to you.
21 MR. MUNEY: I'm going to object to form.
22 Those documents speak for themselves.
23 MR. KORTE: I'm asking her to point to the
24 document where it says "Note."
25 BY MR. KORTE:
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Florida Court Reporting 561-689-0999
1 Q. Ma'am, where does it say "transferred Note"?
2 A. It does not.
3 Q. How are you able to surmise that the Note was
4 originally transferred when it doesn't say "Note
5 transferred"?
6 A. The documents were attached to this letter,
7 the original Note and Mortgage.
8 Q. Ma'am, I apologize. Via Composite Exhibit 1
9 of the Plaintiff's making, show me where it says the
10 Note was transferred to them at any time.
11 A. Well, it states here "loan documents," which
12 in my terminology would be your Note and Mortgage.
13 Q. Well, were you present when this document was
14 drafted?
15 A. No.
16 Q. Have you seen the attachments to this
17 document?
18 A. Yes.
19 Q. You have seen the attachments? The original
20 document with the attachments, you've seen it?
21 A. Yes.
22 Q. Okay. And that document has originals
23 attached to it?
24 A. Yes.
25 Q. When did you see that document?
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1 A. Today.
2 Q. So you saw an original Note today?
3 A. Yes.
4 MR. KORTE: I have nothing further.
5 You guys filed the original.
6 We're done. I'll take a copy expedited.
7 MR. MUNEY: We'll read, please.
8 - - -
9 (Witness excused.)
10 - - -
11 (Thereupon, at 10:38 a.m. the deposition
12 concluded.)
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1 CERTIFICATE OF OATH
2
- - -
3
4 THE STATE OF FLORIDA, )
)
5 COUNTY OF PALM BEACH. )
6
7
8 I, Wanda D. Good, the undersigned authority,
9 certify that CHRISTINE ODOM personally appeared before
10 me and was duly sworn.
11
12
13
14
15 WITNESS my hand and official seal the 27th of
16 March, 2011.
17
18
19
20
21
22 Wanda D. Good
Notary Public, State of Florida
23 My Commission #DD950330
Expires: January 17, 2014
24
25
Page: 47
Florida Court Reporting 561-689-0999
1 C E R T I F I C A T E 2
THE STATE OF FLORIDA, ) 3 )
COUNTY OF PALM BEACH. ) 4 5 I, WANDA D. GOOD, Professional Court
Reporter, State of Florida at large, do hereby certify 6 that I was authorized to and did stenographically
report the foregoing proceeding; and that the 7 transcript, pages numbered 1 to 46 inclusive, are a
true and correct transcription of my shorthand notes of 8 said proceeding. 9
I further certify that the said proceeding 10 was taken at the time and place hereinabove set forth
and that the taking of said proceedings was commenced 11 and completed as hereinabove set out. 12
I further certify that I am not an attorney 13 or counsel of any of the parties, nor am I a relative
or employee of any attorney or counsel or party 14 connected with the action, nor am I financially
interested in the action. 15 16 The foregoing certification of this
transcript does not apply to any reproduction of the 17 same by any means unless under the direct control
and/or direction of the certifying reporter. 18 19 IN WITNESS WHEREOF, I have hereunto set my
hand and seal this 27th day of March, 2011. 20 21 22 23 24 WANDA D. GOOD, Notary Public
in and for the State of Florida 25 My Commission #DD 950330
Expires: January 17, 2014
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