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Chase robo-signer implodes at trial winning case for homeowner

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Manage episode 219115411 series 2453550
Content provided by THE NEIL GARFIELD SHOW. All podcast content including episodes, graphics, and podcast descriptions are uploaded and provided directly by THE NEIL GARFIELD SHOW or their podcast platform partner. If you believe someone is using your copyrighted work without your permission, you can follow the process outlined here https://player.fm/legal.
In the December 2017 Florida judicial foreclosure case of Wells Fargo Bank v. Riley, Court holds after trial that Defendant homeowner prevails and keeps his home due to three legal theories, the first and paramount one that the Plaintiff Wells Fargo on behalf of a Chase Trust, had unclean hands for through a key witness dissembling at trial (and failing to prove) that the 'Chase Trust' had possession of the original Mortgage Loan Schedule (MLS) at issue in the case. As the opinion after trial noted, "even if Plaintiff had standing to foreclose (a meritorious claim), Planitff would be denied the equitable relief of foreclosure upon a finding that Plaintiff took action in pursuing this foreclosure that reasonable and honest men would condemn." Now to see this principle of unclean hands applied in California and other non-judicial case lawsuits on behalf of homeowner Plaintiffs....
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300 episodes

Artwork
iconShare
 
Manage episode 219115411 series 2453550
Content provided by THE NEIL GARFIELD SHOW. All podcast content including episodes, graphics, and podcast descriptions are uploaded and provided directly by THE NEIL GARFIELD SHOW or their podcast platform partner. If you believe someone is using your copyrighted work without your permission, you can follow the process outlined here https://player.fm/legal.
In the December 2017 Florida judicial foreclosure case of Wells Fargo Bank v. Riley, Court holds after trial that Defendant homeowner prevails and keeps his home due to three legal theories, the first and paramount one that the Plaintiff Wells Fargo on behalf of a Chase Trust, had unclean hands for through a key witness dissembling at trial (and failing to prove) that the 'Chase Trust' had possession of the original Mortgage Loan Schedule (MLS) at issue in the case. As the opinion after trial noted, "even if Plaintiff had standing to foreclose (a meritorious claim), Planitff would be denied the equitable relief of foreclosure upon a finding that Plaintiff took action in pursuing this foreclosure that reasonable and honest men would condemn." Now to see this principle of unclean hands applied in California and other non-judicial case lawsuits on behalf of homeowner Plaintiffs....
  continue reading

300 episodes

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