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Print Form Verified Statement of Filing Fee Clear Form (06/01/13) CCCH 0108 A IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT, CHANCERY DIVISION MORTGAGE FORECLOSURE/MECHANICS LIEN SECTION ____________________________________________________ Plaintiff(s), v. No. ______________________________________ ____________________________________________________ Defendant(s). VERIFIED STATEMENT OF FILING FEE Plaintiff, through its attorney ___________________________________________, files this Verified Statement pursuant to 735 ILCS 5/15-1504.1(a-5)(3). Plaintiff has an obligation to pay the following additional filing fee, pursuant to 735 ILCS 5/15-1504.1: $500 The Plaintiff, together with its affiliates, has filed 175 or more foreclosure complaints on residential real estate located in Illinois during the calendar year immediately preceding the date of filing the complaint in this case, and Is filing the complaint on its own behalf as the holder of the indebtedness; or Is filing the complaint on behalf of a mortgagee that, together with its affiliates, has filed 175 or more foreclosure complaints on residential real estate located in Illinois during the calendar year immediately preceding the date of filing the complaint in this case; or The Plaintiff is not a depository institution and is filing the complaint on behalf of a mortgagee that, together with its affiliates, has filed 175 or more foreclosure complaints on residential real estate located in Illinois during the calendar year immediately preceding the date of filing the complaint in this case. 250 $ The Plaintiff, together with its affiliates, has filed at least 50, but no more than 174, foreclosure complaints on residential real estate located in Illinois during the calendar year immediately preceding the date of filing the complaint in this case, and Is filing the complaint on its own behalf as the holder of the indebtedness; or Is filing the complaint on behalf of a mortgagee that, together with its affiliates, has filed at least 50, but no more than 174, foreclosure complaints on residential real estate located in Illinois during the calendar year immediately preceding the date of filing the complaint in this case; or Is filing the complaint on behalf of a mortgagee that, together with its affiliates, has filed 175 or more foreclosure complaints on residential real estate located in Illinois during the calendar year immediately preceding the date of filing the complaint in this case; or The Plaintiff is not a depository institution and is filing the complaint on behalf of a mortgagee that, together with its affiliates, has filed at least 50, but no more than 174, foreclosure complaints on residential real estate located in Illinois during the calendar year immediately preceding the date of filing the complaint in this case. (OVER) (06/01/13) CCCH 0108 B $50 The Plaintiff, together with its affiliates, has filed no more than 49 foreclosure complaints on residential real estate located in Illinois during the calendar year immediately preceding the date of filing the complaint in this case, and Is filing the complaint on its own behalf as the holder of the indebtedness; or Is filing the complaint on behalf of a mortgagee that, together with its affiliates, has filed 175 or more foreclosure complaints on residential real estate located in Illinois during the calendar year immediately preceding the date of filing the complaint in this case or; filing the complaint on behalf of a mortgagee that, together with its affiliates, has filed at least 50, but no Is more than 174, foreclosure complaints on residential real estate located in Illinois during the calendar year immediately preceding the date of filing the complaint in this case; or The Plaintiff, together with its affiliates, is filing the complaint on behalf of a mortgagee that, together with its affiliates, has filed no more than 49 foreclosure complaints on residential real estate located in Illinois during the calendar year immediately preceding the date of filing the complaint in this case; or The Plaintiff is not a depository institution and is filing the complaint on behalf of a mortgagee that, together with its affiliates, has filed no more than 49 foreclosure complaints on residential real estate located in Illinois during the calendar year immediately preceding the date of filing the complaint in this case. VERIFICATION Under penalties as provided by law pursuant to Section 1-109 of the Code of Civil Procedure [735 ILCS 5/1-109], the undersigned certifies that the statements set forth in this instrument are true and correct, except as to matters therein stated to be on information and belief and as to such matters the undersigned certifies as aforesaid that he verily believes the same to be true. ________________________________________ One of Plaintiff's Attorneys Atty. No.: ______________________ Name: ___________________________________________ Atty. for: ________________________________________ Address: _________________________________________ City/State/Zip Code: _______________________________ Telephone: _______________________________________ Email: __________________________________________ DOROTHY BROWN, CLERK OF THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS