0% found this document useful (0 votes)
77 views4 pages

Affidavit of Verification and Claim of Default

This affidavit asserts that the affiant served copies of answers, affidavits, and pleadings to the opposing party on December 5th, 2012. It claims that the opposing party did not respond within the required 21 days, and that the affiant provided a notice of default starting a 14 day period to cure the default, which also received no response. The affidavit formally claims default of the opposing party, and requests that the default be recorded by the clerk of the court.

Uploaded by

Nuqman Tehuti El
Copyright
© Attribution Non-Commercial (BY-NC)
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
Download as docx, pdf, or txt
0% found this document useful (0 votes)
77 views4 pages

Affidavit of Verification and Claim of Default

This affidavit asserts that the affiant served copies of answers, affidavits, and pleadings to the opposing party on December 5th, 2012. It claims that the opposing party did not respond within the required 21 days, and that the affiant provided a notice of default starting a 14 day period to cure the default, which also received no response. The affidavit formally claims default of the opposing party, and requests that the default be recorded by the clerk of the court.

Uploaded by

Nuqman Tehuti El
Copyright
© Attribution Non-Commercial (BY-NC)
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
Download as docx, pdf, or txt
Download as docx, pdf, or txt
You are on page 1/ 4

AFFIDAVIT OF VERIFICATION AND CLAIM OF DEFAULT

SS I, Noble Nuqman Tehuti: El, ex rel Norman-Leon: McCreary, first being duly sworn on OATH do hereby say and depose the following: 1) I am the above noted Affiant. 2) I have reached the age of discretion and am of proper mental capacity to make this my Affidavit and I have read it and understand it and it is TRUE to the best of my knowledge and belief upon reasonable study or inquiry. 3) 3) I have NOT filed this my Affidavit for ANY vexatious purpose or to restrain ANY Law Officer in the Lawful capacity of their sworn duty, but I have only sought to timely voucher the Record as to Facts concerned and to protect my basic Constitutionally protected basic Rights, which is my Right to so do. 4) 4) That I have been seriously and irreparably harmed by the Fraudulent and Spurious Plaintiffs Complaint and I will continue to be so irreparably harmed if this Honorable Court will NOT GRANT ME TIMELY JUST AND LAWFUL RELIEF SOUGHT AND REQUESTED BY ME. 5) 5) That on this December 5th of 2012, I did timely served TRUE COPIES of my ANSWERS, AFFIDAVITS, AND OR PLEADINGS OR BRIEFS upon the Opposing Party, and proof of service is attached hereto and made part of the Record. 6) 6) I then waited (23) TWENTY-THREE DAYS until December 28 and I did NOT receive ANY ANSWER, PLEADING, or BRIEF or Affidavit countering my COUNTER COMPLAINTS, &Affidavits POINT FOR POINT WITHIN THE PRESCRIBED (21) TWENTY-ONE DAYS as is required by Michigan Court Rule 2.108(B). 7) 7) That at that time I gave a CONSTRUCTIVE NOTICE OF DEFAULT to the Opposing Party starting the (14) FOURTEEN DAY running time to CURE THE DEFAULT and again I received NO RESPONSE FROM THE Opposing Party per Michigan Court Rule 2.603 (d). 8) 8) That I submitted my FINAL CONSTRUCTIVE NOTICE OF DEFAULT TO THE OPPOSING PARTY AND ALL PARTIES TO INCLUDE THE COURT WITH THIS MY AFFIDAVIT OF VERIFICATION PER Michigan Court Rule 2.603 (A),(B),(C),(D).

9) 9) THAT I FORMALLY CLAIM DEFAULT OF THE OPPOSING PARTY NAMED BELOW AND MAKE MY FORMAL CLAIM TO THE CLERK OF_____________COURT ON THIS ______________DATE. SS FURTHER AFFIANT SAYETH NOT:

RESPECTFULLY SUBMITTED; DATE___________ ______________________________________________ John Christian, , Doe, THE Affiant

WITNESS_______________ _______________________________________________ NOTARY PUBLIC MY COMMISSION EXPIRES WITNESS_______________

You might also like