FORGED, FRAUDULENT MORTGAGE, ILLEGAL FORECLOSURE LEADS TO TORTIOUS INTERFERENCE AND OBSTRUCTION OF JUSTICE
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THIS CASE HAS MOVED
FROM THE NJ COURTS TO THE U.S. COURT OF APPEALS
UNITED STATES COURT OF APPEALS - THIRD DISTRICT – CASE 19-1032
VERONICA A. WILLIAMS,
Appellant, Pro Se
v.
LITTON LOAN SERVICING, HSBC BANK USA, N.A.; GOLDMAN SACHSGROUP; FREMONT HOME LOAN TRUST 2006-C MORTGAGEBACKEDCERTIFICATES , SERIES 2006-C; OCWEN FINANCIAL CORPORATION; STERN &EISENBERG, PC; THE STATE OF NEW JERSEY
Defendants
RECAP OF CASE 19-1032
Systemic Financial & Legal Fraud Over 14 Years
This comprehensive and salient explanation of this case is based on select documents filed with the U.S. District Court of New Jersey.
ACTION
YEAR
$$ US DOLLAR
EXPLANATION
Bought Home in 1983
1983
$88,000
I first purchased my home.
Litton Loan Bought Mortgage
2005
Refinanced with Fremont
2006
$121,926.01
Total Amount Refinanced
$38,339.67
Mortgage Balance
$86,526.34
Cash Out received by Williams
Made regular payments
1983-2009
$286,486+
Plaintiff's Paid at least $286,486.54 in monthly Interest & Principal
Fremont Filed Fraudulent Mortgage
2010
$291,418.35
Cash Out $169,492.34never received !!
Fraudulent Mortgage has different terms & conditions
No. Years to Pay Plaintiff $256,018 overstated principal
36+
Mortgage holder must pay taxes and interest at least 36 years to cover overstated mortgage principal
Here are two lists of the files that underlie this document:
OVERVIEW OF SELECT FILINGS
APPEAL FILING 118-4
Explains why this case should be heard in the Federal Courts. It also highlights how some of the evidence and witness testimony with reveal what happened, during a trial.
FILING NO. 99
Rebuts the defendants' filings while providing a high level, integrated explanation of the elements of this case.
FILINGS NO. 38, 41 & 57
References the foreclosure file that was made unavailable by the State of New Jersey for 8 years. This Plaintiff was denied knowledge of, or access, by the Defendants to most hearing for the 3 legal cases in which I was named. This included holding all foreclosure hearings without my knowledge.
AMENDED COMPLAINT
Includes torts claims that former attorney left out.
A detailed chart and overview article may be viewed at https://finfix.org/USAppealsCt/Case_19-1032_Recap_1-22-19.docx.
I created a graphical image of the increasing pain that I've felt since the Defendants began attacking me in 2005.
A freelancer colleague animated my image. I wrote a description of my feelings as the fight against the depraved fraud intensified. This is only a small piece of the whole story. The complete account of this reign of fraud will be announced sometime in the future. It was but for the grace of God that I endured the pain that these Defendants cast upon me. Each action inflicted pain and consumed massive amounts of energy to fight and respond the growing teams of attorneys assigned to fight against me. Just a few of the actions since 2005 include:
(Click each line to review more)
I tried to express the brutality of the defendants' actions in a more descriptive animation.CLICK HERE TO VIEW IT.
MORE INFORMATION WILL BE PROVIDED AT TRIAL