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Calendar Number 64 IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY-DEPARTMENT CHANCERY DIVISION U.S.

. Bank, National Association, PLAINTIFF V. Matthew B. Rosenthal, et al., DEFENDANTS ) ) ) ) ) ) )

No. 10 CH 037591

MATTHEW B. ROSENTHALS ANSWER TO PLAINTIFFS COMPLAINT Now comes the Defendant, Matthew B. Rosenthal, by and through his attorney, Arno Gerbrecht, and answers the complaint as follows:
1. Defendant admits the allegations contained in Paragraph 1 of the Complaint.

2. No answer to Paragraph 2 is required because the referenced Exhibits speak for themselves. 3.
a. Defendant admits the allegations contained in Paragraph 3(a).

b. Defendant lacks sufficient evidence to admit or deny the allegations contained in Paragraph 3(b) but demands specific proof thereof. c. Defendant denies the allegations contained in Paragraph 3(c) and demands specific proof thereof. d. Defendant lacks sufficient evidence to admit or deny the allegations contained in Paragraph 3(d) but demands specific proof thereof. e. Defendant lacks sufficient evidence to admit or deny the allegations contained in Paragraph 3(e) but demands specific proof thereof. f. Defendant lacks sufficient evidence to admit or deny the allegations contained in Paragraph 3(f) but demands specific proof thereof. g. Defendant lacks sufficient evidence to admit or deny the allegations contained in Paragraph 3(g) but demands specific proof thereof. h. Defendant lacks sufficient evidence to admit or deny the allegations contained in Paragraph 3(h) but demands specific proof thereof. i. No answer to Paragraph 3(i) is required because the referenced language speaks for itself. j. Defendant lacks sufficient evidence to admit or deny the allegations contained in Paragraph 3(j) but demands specific proof thereof. k. Defendant denies the allegations contained in Paragraph 3(k) and demands specific proof thereof. l. Defendant lacks sufficient evidence to admit or deny the allegations contained in Paragraph 3(l) but demands specific proof thereof.

m. Defendant lacks sufficient evidence to admit or deny the allegations contained in Paragraph 3(m) but demands specific proof thereof. n. Defendant does not answer Paragraph 3(n) because it fails to call for an answer. o. Defendant does not answer Paragraph 3(o) because it fails to call for an answer. p. Defendant does not answer Paragraph 3(p) because it fails to call for an answer. q. Defendant lacks sufficient evidence to admit or deny the allegations contained in Paragraph 3(q) but demands specific proof thereof. r. Defendant does not answer Paragraph 3(r) because it fails to call for an answer. s. Defendant admits the allegations contained in Paragraph 3(s). t. Defendant lacks sufficient evidence to admit or deny the allegations contained in Paragraph 3(t) but demands specific proof thereof. 4. Defendant admits the allegations contained in Paragraph 4. Wherefore, Defendant Matthew B. Rosenthal hereby prays that the Complaint at Law filed by Plaintiff be denied in its entirety at Plaintiffs cost, and for any such other and further relief as this Court deems just and equitable. Respectfully submitted, __________________ Arno Gerbrecht Attorney for Defendants, Matthew B. Rosenthal and Jolan Rosenthal ____ ____ Attorney Number: _____

CERTIFICATE OF SERVICE I certify, under penalties as provided by law pursuant to 735 ILCS 5/1-109, that I caused this Answer to be sent to the party at the attached Service List by U.S. mail first class postage prepaid on _______, 2011, and that this statement as set forth is true and correct.

__________________ Arno Gerbrecht Attorney for Defendants, Matthew B. Rosenthal and Jolan Rosenthal ____ ____ Attorney Number: _____

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