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  • Onemain Financial Group, Llc -v- Brooks Print Rule 3.740 Collections $10,000 or Less Limited  document preview
  • Onemain Financial Group, Llc -v- Brooks Print Rule 3.740 Collections $10,000 or Less Limited  document preview
  • Onemain Financial Group, Llc -v- Brooks Print Rule 3.740 Collections $10,000 or Less Limited  document preview
  • Onemain Financial Group, Llc -v- Brooks Print Rule 3.740 Collections $10,000 or Less Limited  document preview
						
                                

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PLD-C-001 ATTORNEY 0R PARTY WITHOUT ATTORNEY STATE BAR NUMBER: 1 18226 FOR COURT USE ONLY NAME: Harlan M. Reese, Esq. FIRM NAME: REESE LAW GROUP (CA Debt Collection Lic. No.: 10303-99) STREET ADDRESS: 3168 Lionshead Avenue 806600 ELECTRONICALLY FILED CITY, STATE,ZIP CODE: Carlsbad, CA 92010 SUPERIOR COURT OF CALIFORNIA TELEPHONE No.: 760/842—5850 FAX No.: 760/842—5865 COUNTY OF SAN BERNARDINO E-MAILADDRESS(Optional): CourtDocs@reeselawgroup.com SAN BERNARD'NO DISTRICT ATTORNEY FOR(Name). ONEMAIN FINANCIAL GROUP, LLC SUPERIOR COURT OF CALIFORNIA, COUNTY OF SAN BERNARDINO 5/1/2024 7:22 AM STREETADDRESS=247 West Third Street By: Nuvia Rivera, DEPUTY MAILING ADDRESS: 247 West Third Street CITY AND ZIPCODE: San Bernardino CA 9241 5-021 0 BRANCH NAME: SAN BERNARDINO JUSTICE CENTER PLAINTIFF: ONEMAIN FINANCIAL GROUP, LLC DEFENDANT: LATANYA M BROOKS , E DOES 1 To COMPLAINT E CONTRACT AMENDED COMPLAINT (Number): E CRoss-COMPLAINT E AMENDED CRoss-COMPLAINT (Number): Jurisdiction (check aII that apply): ACTION Is A LIMITED CIVIL CASE (does not exceed $35,000) CASE NUMBER E Amount demanded E does not exceed $10,000 exceeds $10,000 CIVSBZ41 3886 EE ACTION ACTION Is Is AN UNLIMITED RECLASSIFIED by CIVIL CASE this (exceeds $35,000) amended complaint or cross-complaint 1. E from limited to unlimited from unlimited to limited (name or names): Plaintiff* ONEMAIN FINANCIAL GROUP, LLC alleges causes of action against defendant* (name or names): LATANYA M BROOKS , 2. This pleading, including attachments and exhibits, consists ofthe following number of pages: 3. a. Each plaintiff named above is a competent adult “1” Except plaintiff (name): Same as paragraph above. E E (1) (2) (3) a corporation qualified to do business an unincorporated other (specify).- entity (describe): in California. EE b. (1) Plaintiff (name): has complied with the fictitious business name laws and is doing business under the fictitious name (specify): EE c. (2) has complied with all Information about additional plaintiffs licensing requirements as a licensed (specify): who are not competent adults is shown in Attachment 30. 4. E E a. Each defendant named above except defendant is a natural person E E except defendant (name): E E (1) (2) (3) a business organization, form unknown. a corporation. an unincorporated entity (describe): E E (1) (2) (3) a business organization, form unknown. a corporation. an unincorporated entity (describe): E (4) a public entity (describe): E (4) a public entity (describe): E (5) other (specify): * If this form is used as a cross-complaint, plaintiff E (5) other (specify): means cross-complainant and defendant means cross-defendant. Page 1 of 2 Form Approved for Optional Use COMPLA|NT_Contract Code of Civil Procedure, §425.12 Judicial Council of California PLD-C-001 [Rev. January 1, 2024] PLD-C-001 SHORT TITLE: CASE NUMBER: ONEMAIN FINANCIAL GROUP, LLC v. CIVSBZ41 3886 LATANYA M BROOKS, 4. b. E The (1) true names of defendants Doe defendants sued as Does are unknown (specify Doe numbers): to plaintiff. were the agents or employees of the named E (2) defendants and acted within the scope of that agency or employment. Doe defendants (specify Doe numbers): are persons whose capacities are unknown to E E c. d. plaintiff. Information about additional defendants Defendants who are joined under Code of who are not natural persons Civil Procedure section 382 are (names): is contained in Attachment 4c. EE Plaintiff is required to comply with a claims statute, and E a. b. has complied with applicable claims statutes, or is excused from complying because (specify): This court This action is is subjectto the proper court because Civil Code section 1812.10 E Civil Code section 2984.4. a. b. E E a defendant entered a defendant lived here into the contract here. when the contract was entered into. c. d. E E a defendant the contract lives was here now. to be performed here. e. f. Q . E E a defendant other (specify): is a corporation or unincorporated association and real property that is the subject of this action is located here. its principal place of business is here. The following causes of action are attached and the statements above apply to each (each complaint must have one or more causes of action attached): Breach of Contract E Common Other (specify): Counts E Other allegations: 10. Plaintiff prays forjudgment for costs of suit; for such relief as is fair, just, and equitable; and for E E a. b. damages interestonthe of: $8,905.30 damages E (1) (2) accordingto proof at the rate of (specify): percent per year from (date): c. E attorney's fees (1) (2) of: $ accordingto proof d. Other(specify): 11. E Plus costs of The paragraphs suit. Minus any payments made that have not yet been credited. of this pleading alleged on information and belief are as follows (specify paragraph numbers): Date: April 26, 2024 Harlan M. Reese, Esq. (TYPE 0R PRINT NAME) > (lfyou wish to verify this pleading, affix a verification.) WW Rm (SIGNATURE 0F PLAINTIFF 0R ATTORNEY) PLD-C-OO1 [Rev. January Page 2 of 2 1, 2024] COMPLAINT_Contract