MIDLAND CREDIT MANAGEMENT, INC v. SMITH, MARIA, NNI-CV24-6031516-S, 26847777 (Conn. Super. Ct. Feb. 9, 2024) (2024)

RET. DATE: MARCH 5, 2024
`
`>
`
`SUPERIOR COURT
`
`MIDLAND CREDIT MANAGEMENT,INC.
`
`JUDICIAL DISTRICT OF
`: NEW HAVEN
`
`VS.
`
`: AT MERIDEN
`
`>
`
`MARIA SMITH
`
`COMPLAINT
`
`
`
`JANUARY 18, 2024
`
`1.
`
`The Defendant, Maria Smith (the "Defendant"), applied for the
`
`issuance of a COMENITY CAPITAL BANK credit card (the "Card").
`
`2.
`
`At all times mentioned herein, the Defendant was the holder and the
`
`user of said Card currently identified under the account number ************""4791
`
`(the “Account’).
`
`3.
`
`The Plaintiff, MIDLAND CREDIT MANAGEMENT,INC., a
`
`corporation organized underthe laws of Kansas,(the "Plaintiff'), acquired the
`
`Accountprior to the commencementof this action and is the proper party to bring
`
`suit.
`
`-l-
`London & London > Attorneys at Law
`48 Christian Lane » Newington, CT 06111 * (860) 666-4500 + JURIS No. 406548
`
`

`

`4,
`
`By the use of the aforesaid Card, the Defendant agreed to be bound
`
`by the terms and conditions of the Card agreement which wasdelivered to the
`
`Defendant.
`
`5.
`
`Pursuantto the terms thereof, the Defendant agreed, inter alia, as
`
`follows:
`
`a.
`
`to pay promptly, upon rendition of a statement, the amount of any
`
`credit purchases and/or cash advances;
`
`b.
`
`to pay a finance charge at an annuai percentage rate as setforth in
`
`the Card agreement, on all outstanding cash advances and on all
`
`credit purchases; and
`
`c.
`
`to pay any andail costs of collection, including reasonable attorneys'
`
`fees.
`
`6.
`
`By the use of said Card, the Defendant becameindebted to
`
`COMENITY CAPITAL BANK,Plaintiff's predecessor-in-interest, in the sum of
`
`$7,215.30, representing charges for goods, services or cash advances, together
`
`with any finance charges through the charge-off date (October 31, 2022).
`
`7.
`
`The Defendant defaulted in making payment when due, by reason of
`
`which the entire indebtedness is immediately due and payable, together with any
`
`finance charges as aforesaid and any andall reasonable costs of collection
`
`including but notlimited to, reasonable attorneys' fees and court costs.
`
`-3-
`London & Londen + Aiftorneys at Law
`48 Christian Lane « Newington, CT 06111 » (860) 666-4500 » JURIS No. 406548
`
`

`

`8.
`
`COMENITY CAPITAL BANK,the original creditor, assigned all ofits
`
`right, title, and interest in, to, and under the Account; and the Plaintiff, MIDLAND
`
`CREDIT MANAGEMENT,INC., acquired the Account in the normal course of
`
`business on or about November 23, 2022. As a result of the foregoing sale and
`
`assignment, Plaintiff succeededtoall right, title, and interest in, to, and under the
`
`Account and is now the owner of the Account. COMENITY CAPITAL BANK and
`
`the Plaintiff are hereinafter, collectively, sometimes referred to as the "Bank."
`
`Second Count: Unjust Enrichment
`
`1-4.
`
`Paragraphs 1 through 3, and 8 of the First Count are herebyre-
`
`alleged and incorporated as Paragraphs 1 through 4 of this the Second Count as
`
`if fully stated herein.
`
`5.
`
`COMENITY CAPITAL BANK provided the Defendant the revolving
`
`line of credit requested by the Defendant's application in reliance on the
`
`Defendant's promise to pay.
`
`6.
`
`The Defendant utilized the credit extended by COMENITY CAPITAL
`
`BANK, which resulted in a balance duethe Plaintiff, as a result of the Plaintiff's
`
`acquisition of the Account.
`
`7.
`
`Despite written demand, the Defendant has unjustly failed, neglected
`
`and refused to pay $7,215.30, although the Defendant received the benefit of the
`
`Credit.
`
`-3-
`London & London = Attorneys at Law
`48 Christian Lane « Newington, CT 06114 » (B60) 666-4500 - JURIS No. 406548
`
`

`8.
`
`9.
`
`The Bank relied on the Defendant's promise to payto its detriment.
`
`As a result of the foregoing, the Defendant has been unjustly
`
`enriched and the Plaintiff has suffered damages.
`
`Third Count: Account Stated
`
`1-6.
`
`Paragraphs 1 through 5, and 8 of the First Count are hereby re-
`
`alleged and incorporated as Paragraphs 1 through 6 ofthis the Third Countasif
`
`fully stated herein.
`
`7.
`
`The Defendant received monthly billing statements accurately
`
`setting forth the charges and amounts due on the Account, which is the subject of
`
`this action.
`
`8.
`
`The Defendantretained the statements for an unreasonable time
`
`without any objection, as defined by the Federal Truth-In-Lending Act (TILA), 15
`
`U.S.C. 1666(a), requiring submission of written notice of objection within sixty (60)
`
`days of transmission of the account statement.
`
`9,
`
`As no proper written objection was made, the statements are
`
`presumed accurate, and constitute an "account stated" whichis prima facie
`
`evidence of the correctness of the Account.
`
`10.
`
`‘The final statement of account rendered has detailed an account
`
`balance of $7,215.30.
`
`-4-
`.
`London & London + Aftorneys at Law
`48 Christian Lane « Newington, CT 06111 + (860) 666-4500 + JURIS No, 406548
`
`

`

`WHEREFORE, the Plaintiff claims:
`1.
`Monetary damages;
`2.
`Costs of bringing this action as provided for by statute;
`3.
`An order on the Defendant(s) for reasonable weekly payments out of
`sums earned or to be earned for services rendered in accordance
`with the statute made and provided;
`Post-judgmentstatutory interest, pursuant to Connecticut General
`Statute §37-3a, as the Court may award;
`and
`Suchother relief as this Court deems proper.
`
`4.
`
`5.
`
`Notice is hereby given to the Defendantthat the Plaintiff intends to seek
`
`satisfaction of any judgment renderedin the Plaintiff's favor in this action from any
`
`debts accruing to the Defendant by reason of the Defendant's personalservices.
`
`Hereoffail not but of this writ with your doings thereon make due
`
`service and return according to law.
`
`Dated at Newington, Connecticut, this day, January 18, 2024.
`
`PLAINTIFF,
`MIDLAND CREDIT MANAGEMENT, INC.
`
`aulhA—
`
`
`Joane R. Mueller-London, Esq.
`Its Attorney
`
`-5-
`London & London « Afforneys at Law
`48 Christian Lane - Newington, CT 06114 + (860} 666-4500 « JURIS No. 406548
`
`

`

`RET. DATE: MARCH 5, 2024
`
`:
`
`SUPERIOR COURT
`
`MIDLAND CREDIT MANAGEMENT,INC.
`
`JUDICIAL DISTRICT OF
`: NEW HAVEN
`
`VS.
`
`MARIA SMITH
`
`: AT MERIDEN
`
`:
`
`JANUARY 18, 2024
`
`CLAIM FOR RELIEF
`
`The matter in demand is more than Two Thousand Five Hundred and 00/100
`
`($2,500.00) Dollars but less than Fifteen Thousand ($15,000.00) Dollars exclusive of
`
`interest and costs. The remedy sought is based upon an expressor implied promise
`
`to pay a definite sum.
`
`PLAINTIFF -
`MIDLAND CREDIT MANAGEMENT, INC.
`
`By: {I. al A.J|
`
`
`Joanie R. Mueller-London
`its Attorney
`inquiries@londonandlondon.com
`
`This communication is from a debt collector. We are required to tell you that this is an
`
`effort to collect a debt, and any information obtained will be used for that purpose.
`
`-6-
`London & London« Attorneys at Law
`48 Christian Lane « Newington, CT 06141 » (860) 666-4500 » JURIS No. 406548
`
`

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MIDLAND CREDIT MANAGEMENT, INC v. SMITH, MARIA, NNI-CV24-6031516-S, 26847777 (Conn. Super. Ct. Feb. 9, 2024) (2024)
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