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COVER PAGE
IN ACCORDANCE WITH RULES OF COURT,
RULE 18
SE RV IC E O F PROCESS,RuleI8.07,
Service on Solicitor of Record
18.07(2) Service on Solicitor of Record
(2) A document served by telephone transmission
shall include a cover page indicating
(a) the name, address and telephone number of the sender,
Sender name, Andre MurraySender address : 31Marshall Street,Fredericton, New Brunswick, Canada, E3A 4J8
Sender telephone number: 1 505 472 - 0205
Senders e-mail: [email protected]
(b) the name of the solicitorto be served:
George LeBlanc Solicitor of Record for
ROYAL BANK OF CANADA & 501376 N.B. Ltd., a body corporate
Name of solicitor's firm: Cox &Palmer,
Address for service: Blue Cross Centre, 644 Rue Main Street, Suite 502,
MonctonNB,
ElC lE2
E-mail address:[email protected]
Telephone number:Main 506 856 9800
Telephone number: Direct 506 3824529
Fax 5068568150
(c) the date and time of transmission,Date__ October 27, 2010__ Time 1:30PMc _
(d) the total number of pages transmitted, including
the cover page, 4 pages, _
(e) the telephone number fromwhich the document istransmitted, 506- 472 - 0205 _
(f) the name and telephone number of a person tocontact in the event of transmission problems.
Name: __ Andre Murray _ Telephone: 506 - 472 - 0205
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H P O ffic ejet 65 00 E7 09a A II-in-O ne series Fax Log for
506 472 0205
Oct 27 2010 1:32PM
L a s t T ra n s ac tion
Date Time Type Station 1 0 Duration Pages Result
Digital Fax
Oct 27 1:29PM Fax Sent 15068568150 2:33 4 OK
N/A
Note:
Image on Fax Send Report is set to On
An image of page 1 will appear here for faxes that are sent as Scan and Fax.
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Court File Number: MC064209
IN THE COURT OF QUEENS BENCH OF NEW BRUNSWICK
TRIAL DIVISION
JUDITICAL DISTRICT OF MONCTON
BETWEEN:
ROYAL BANK OF CANADA & 501376 N.B. Ltd.,
a body corporate,
Plaintiffs,
- and-
ANDRE MURRA Y
Defendant,
AMENDED DEMAND FOR PARTICULARS
(FORM 27L)
TO: The Plaintiffs, ROYAL BANK OF CANADA & 501376 N.B. Ltd., a body
corporate
The Defendant, ANDRE MURRA Y, demands particulars with respect to allegations
contained within the Plaintiffs Statement of Claim, Dated at Moncton, New Brunswick,September 17,2009 and Court File Date Stamped September 18,2009, (hereafter
referred to as Plaintiff's Statement of Claim) as follows:
1. With respect to "RBC has a legal interest in the property at 29-31 Marshall
Street, Fredericton" and "pursuant to a Mortgage" as referred to in paragraph 4,
of the Plaintiff's Statement of Claim, the particulars, as to the Royal Bank of
Canada (hereafter RBC) "legal interest" by providing the [Ulliegal name, and
identity and capacity of the signing authority on behalf of the Mortgagee.
2. With respect to "RBC has a legal interest in the property at 29-31 Marshall
Street, Fredericton" and "pursuant to a Mortgage" as referred to in paragraph 4,
ofthe Plaintiff's Statement of Claim, the particulars as to the RBC "legal
interest" by providing the exact time of the actual renewal, pursuant to the
Mortgage Maturity Date of October 31, year 2005, of said Mortgage, including
the [Ulliegal name, and identity and capacity of the signing authority on behalf of
the alleged Mortgagee RBC at time of "renewal".
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3. With respect to, "A Mortgage Sale was held on July 16th, 2009 pursuant to which
the property was sold to Hugh Cameron" as referred to in paragraph 7, of the
Plaintiff's Statement of Claim, the registration number of said Mortgage, place
of registration of said Mortgage, date of initial registration of said Mortgage and
all subsequent Dates which are relevant to the subsequent renewal of MortgageRegistration pursuant to the Mortgage Maturity Date of October 31, year 2005 of
said Mortgage furthermore, alleged to have been sold on July 16th,2009.
4. With respect to, "A Mortgage Sale was held on July 16th, 2009, pursuant to which
the property was sold to Hugh Cameron" as referred to in paragraph 7, of the
Plaintiff's Statement of Claim, the full legal registration P.I.D. number of said
"property" as "was sold to Hugh Cameron" place of registration of said
"property", date of registration of said "property was sold to Hugh Cameron".
5. With respect to "on July 16th, 2009, pursuant to which the property was sold to
Hugh Cameron" as referred to in paragraph 7 of the Plaintiff's Statement ofClaim, the full legal name of Hugh Cameron and the particulars with respect to
the word "property".
6. With respect to "wrongfully converted the property" as referred to in paragraph 9.
of the Plaintiff's Statement of Claim, kindly provide the particulars.
7. With respect to "occupying the property without permission or consent" as
referred to in paragraph 9. ofthe Plaintiff's Statement of Claim, kindly provide
the particulars with special regard to the alleged "without permission or consent".
8. With respect to "conversion o(property and unjust enrichment" as referred to inparagraph 10 of the Plaintiff's Statement of Claim, kindly provide the
particulars of the allegations: "conversion o(property" and "unjust enrichment"
found there within.
9. With respect to "the Plaintiff's seek damages (or conversion o(
property and unjust enrichment" as referred to in paragraph 10 of the
Plaintiff's Statement of Claim, the particulars of said damages sought.
If the particulars requested are not delivered to the undersigned WITHIN 10 DAYS after
service of this demand, an application will be made to the Court for an order requiring the
delivery thereof.
DATED at the City of Fredericton in the County of York and the Province of New
Brunswick, Canada, a DEMAND FOR PARTICULARS
(FORM 27L) from 26th , day of October, 2010, and as AMENDED
this 27th, day of October, 2010.
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Andre Murray Defenda
Address for service within New Brunswick:
31 Marshall Street,
Fredericton, N.B.E3A4J8
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