authorization to cfpb-foia section 1070.14(f)

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  • 8/12/2019 Authorization to CFPB-FOIA Section 1070.14(f)

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    Freedom of Information Act (FOlA)/Privacy Act (PA) request case no. 120914-000082

    To: Martin Michalosky, [email protected], FOIA Manager, Operations Division, Ryan McDonald,CFPB FOIA Service Center, [email protected], CFP B Ombudsman, [email protected].

    Section 1070.14 0 authorization of Mark Gillesoie in compliance with 28 U.S. C 1746(2)Unsworn declarations under penalty of perjury, executed within the United States.

    1 My name is Mark Gillespie. I am over 18 years of age. I live in Fort Worth, Texas.

    2 I hereby certify and agree that records concerning me may be accessed, analyzed andreleased to Neil 1 Gillespie, my brother, in the Freedom ofInfonnation Act (FOIA)/Privacy Act(PA) request case no. 120914-000082.

    3 Neil 1 Gillespie and I signed Home Equity Conversion Mortgage HECM) documentsJune 5, 2008 as co-trustees for the Gillespie Family Living Trust Agreement Dated February 10,1997 C'Gillespie Trust ) , along with our mother, Penelope Gillespie, as reques ted by the U.S.Department of Housing and Urban Mfairs (HUD), the lender, and/or lender-affiliated parties, fora reverse mortgage on our home, address 8092 SW 115th Loop, Ocala, Florida 34481, MarionCounty, held in the Gillespie Trust.

    4 HUD, the lender, and/or lender-affiliated parties required me and Neil J Gillespie beadded to the quit-claim deed with Penelope M Gillespie for a HECM reverse mortgage on ourhome, as co-trustees for the Gillespie Trust. A copy of the quit-claim deed is attached.

    5 On infonnation and belief, at all times pertinent to this HECM, Penelope M. Gillespiewas not competent and suffered from Alzhe imer's disease and dementia.

    6 My mother Penelope Gillespie died September 16,2009. The certificate of deathshows dementia was the immediate cause of death. (attached)

    7 On information and belief, Neil J Gillespie resided in the property continuously anduninterruptedly since February 9, 2005, address 8092 SW 115th Loop, Ocala, Florida 34481,Marion County, held in the Gillespie Trust.

    8 I gave consent to judgment in the foreclosure Reverse Mortgage Solutions Inc. v Neil JGillespie and Mark Gillespie as Co-Trustees of the Gillespie Fami ly Living Trust, et aI., FifthJudicial Circuit, Marion County, Florida, Case 2013-CA-OOOI15. Anthony J Solomon, Esq. ofKaufman, Englett and Lynd, PLLC (KEL) filed Notice of Consent to Judgment July 8, 2013 forDefendants Mark Gillespie, Joetta Gillespie (f.k.a. unknown spouse) and Elizabeth Bauerle, nowknown as Elizabeth Bidgood. A copy of the Notice of Consent to u g m ~ n t is attached.

    I declare under penalty of perjury that the foregoing is true and correct.

    Executed on May 7, 2014 by Mark Gillespie.

    ~ i L ~ J : MARKOILLES

  • 8/12/2019 Authorization to CFPB-FOIA Section 1070.14(f)

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    FiLF t

    ySBt{18w3-C)l. k.C{O'iCl 2 VlRecording Requested by &When Recorded Return To:

    US Recordings, Inc.2925 Country Drive Ste 201St. Prul. MN 55117

    This Quit-Claim Deed, Executed this day o fJIJIJ/ : 2 ~ ~ between Penelope M. Gillespie,Trustee of the Gillespie Family Living Trust Agreemen'dated February 10, 1997,Address: 8092 SW 115 111Loop, Ocala, FL 34481

    Party of the First Part.To:

    Penelope M. Gillespie, Neil J. Gillespie and Mark Gillespie,as Co-Trustees of the Gillespie Family Living TrustAgreement dated February 10, 1997

    Address: 8092 SW 115 111Loop, Ocala, FL 34481

    Party of the Second Part

    Witnessed, That the said first party, for and in consideration of the sum ofS 10.00in hand paid by the said second party, the receipt whereof is hereby acknowledged, does herebyremise, release and quit-claim unto the said second party forever, all the right, title, interest,claim and demand which the said first party has in and to the following described lot, piece orparcel ofIand, situate, lying and being in the County of MarioD State o f Florida ,to wit:

    LOT(S) 1, BLOCK G, OAK RUN WOODSIDE TRACT, ACCORDING TO THE PLAT.THEREOF AS RECORDED IN PLAT BOOK 2 AT PAGE(S) 106 THROUGH 112,INCLUSIVE, OF THE PUBLIC RECORDS OF MARION COUNTY, FLORIDA.

    COUNTY OF MARION,STATE OF FLORIDA

    A.P.N. 7013007001

    To Have and to Hold the same together with all and singular the appurtenances thereuntobelonging or bt anywise appertaining, and all the estate, right, title, intm:st, lien, equity andclaim whatsoever of the said first party, either in law or equity, to the only proper use, benefitand behoof of the said second party forever.

    In Witness Whereof, The said first party has signed and sealed these presents the day and year

    : ~ e l i v ~ i n : : ~ : K W I A TWitness S i g n a t u r e . Witness print

    / - ~ 11, ~ ~ t 2 R - V - - -Witness Signature Witness print

    ; ; ~ J I .Penelope M. i l l e s p ~ O q L Sw I \ b ~ l oof

    STATE OF FLORIDA,

    COUNTY OF 1 1 1 f 1 l ; ~ 1 1 O ~ \ FL ~ Y L { B

    \I HEREBY CERTIFY that on this day, before me, an officer duly authorized in the Statef id d i h o ~ f id k k l d ll d

  • 8/12/2019 Authorization to CFPB-FOIA Section 1070.14(f)

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  • 8/12/2019 Authorization to CFPB-FOIA Section 1070.14(f)

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    Electronically Filed 07 08 2013 07:33:04 PM ET

    IN THE CIRCUIT COURT OF THEFIFTH JUDICIAL CIRCUIT OFFLORIDA IN AND MARION COUNTYGENERAL JURISDICTION DIVISION

    REVERSE MORTGAGE SOLUTIONS, INC., Case No.: 2013-CA-000115

    Plaintiff,v

    MARK GILLESPIE et al.,

    Defendants.

    NOTICE OF DEFENDANTS' CONSENT TO ,JUDGMENT

    Defendants, MARK GILLESPIE and JOEIT A GILLESPIE AKA UNKNOWN SPOUSE

    OF MARK GILLESPIE and ELIZABETH BAUERLE NKA ELIZABETH BIDGOOD

    (hereinafter, the Defendants ), file this Notice of Defendant's Consent to Judgment:

    1 The Defendants, MARK GILLESPIE and JOETTA GILLESPIE AKA

    UNKNOWN SPOUSE OF MARK GILLESPIE and ELIZABETH BAUERLE NKA

    ELIZABETH BIDGOOD, have been named as Defendants in this action.

    2 Plaintiff is seeking to recover the property located at 8092 SW 115th Loop,

    Ocala, FL 34481 based on an event of default under the terms of the Adjustable Rate Note

    (Home Equity Conversion) a/kIa reverse mortgage .

    3 Because this is a reverse mortgage, the Defendants have no financial liability

    under the terms of the subject loan. See paragraph 7(a) of the Note and 9(a) of the Mortgage.

    4. Defendants do not wish to contest entry of final judgment against Defendants.

    5. The Defendants desire swift resolution to this action so they hereby give consent

    to having Judgment entered in favor of the Plaintiff in this action.

    KEL File #13LAW34876

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    CERTIFICATE OF SERVICE

    I HEREBY CERTIFY that I have electronically filed via the Florida Courts eFilingPortal and furnished a true and correct copy of the foregoing to Angela M. Brenwald, Esquire, ofMcCalla Raymer LLC, 225 E. Robinson S1. Orlando, FL 32801,

    [email protected]; via [x] Email Delivery, today July 5, 2013.

    KAUFMAN, ENGLETT LYND, PLLC

    /s/ Anthony J. SolomonAnthony J. Solomon, Esq.Florida Bar No. 93057111 N. Magnolia Avenue, Suite 1600Orlando, FL 32801Telephone No.: (407) 513-1900Primary Email: [email protected]

    Secondary Email: [email protected] for Defendants: MARK GILLESPIE andJO TI A GILLESPIE AKA UNKNOWN SPOUSE OFMARK GILLESPIE

    KEL File 13LAW34876