Download - Cause of Action for Quiet Title
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8/3/2019 Cause of Action for Quiet Title
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LAWFUL DEMAND
Any party with an interest in this matter, must within twenty (20) days of service
of this Open Letter/Affidavit/Declaration, answer point-for-point, any and all
points inferences or allegations contained within this presentment, with which they
disagree or have issue, or show cause why they are not required to answer said by
returning:
I. An Affidavit of Good Faith Concerning the Terms of Execution andII. A Sworn/Certified Validation of any Contractually Binding Agreement
Between Affiant and the Parties Mentioned herein.
Your failure to respond, as stipulated, and rebut, with particularity, in writing,
within (Twenty days) 20 days of receipt of this Open Letter / Affidavit /
Declaration, by rebutting point for point everything in this Affidavit with which
you disagree, as it is your lawful, legal and binding agreement with and by tacit
admission to the fact that everything in this Open Letter/Affidavit Declaration is
to be true, correct, legal, lawful and fully binding upon you in any court in
America, without your protest or objection or that of those who represent you,
should you fail to answer within the time prescribed. Your silence is your
acquiescence. See: Connally v. General Construction Co., 269 U.S. 385,391.
Notification oflegalresponsibility is the firstessential of dueprocess of
law. See also: U.S. v. Tweel, 550 F.2d.297. Silencecan only beequated with
fraud wherethere is a legal or moral dutyto speak or when an inquiryleft
unanswered would be intentionally misleading.
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CIRCUITCOURTOF THE STATE OF VIRGINIG
COUNTYOF FREDERICK
MARSHA MAINES
Plaintiff,
v.
[DEFENDANT(S) NAMES]
Defendants
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CASE NO:
_______
COMPLAINT
TO QUIET
TITLE TO
REAL
PROPERTY
Plaintiffcomplains and forcauses of action alleges as follows:
FIRSTCAUSE OF ACTION
(For________Against____)
. Defendant__,___ is__, and at alltimesherein mentioned was__, a
resident__oftheCity of___,County of__, State ofCalifornia.
. Defendant__,___, is__, and at alltimesherein mentioned, was__a
Corporation organized and existing underthelaws ofthe State ofCalifornia
withprinciple officeslocated at___, intheCity of___,County of___.
. Plaintiff__ is__ ignorant ofthetruenames and capacities of defendants
sued herein as DOES Ithrough X, inclusive, and thereforesues__these
defendants bysuch fictitiousnames. Plaintiff__will amend thiscomplaintto
allegetheirtruenames and capacities when ascertained.
. Plaintiff__ is__ informed and believes__and thereon alleges__that, at alltimesherein mentioned,each ofthe defendantssued herein wasthe agent and
employee ofeach oftheremaining defendants and was at alltimes acting
withinthepurpose and scope ofsuch agency and employment.
. Plaintiff___ is___not and at alltimesherein mentioned the owner and/or
entitled to possession ofthepropertylocated at____.
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. Plaintiff___ is___informed and believe___and thereupon allege___that
______, and each ofthem,claim___an interest intheproperty adverseto
plaintiffherein. However,theclaim ofsaid Defendant___is___without any
right whatsoever, and said Defendant___have___notlegal orequitableright,
claim, or interest insaid property.
. Plaintiff___thereforeseek___a declarationthatthetitleto thesubject
property is vested inplaintiff___alone and thatthe defendant___herein, and
each ofthem, be declared to haveno estate,right,title or interest inthe
subjectproperty and thatsaid defendant___, and each ofthem, be forever
enjoined from asserting anyestate,right,title or interest inthesubject
property adverseto plaintiffherein.
WHEREFORE,plaintiff__pray__judgment against defendant__and each of
them, as follows:
. For an ordercompellingsaid Defendant___, and each ofthem,to transfer
legaltitle and possession ofthesubjectpropertyto Plaintiff__herein;
. For a declaration and determinationthat Plaintiff__ is___therightful
holder oftitleto theproperty and that Defendant___herein, and each of
them, be declared to haveno estate,right,title or interest insaid property;
. For a judgment foreverenjoiningsaid defendants, and each ofthem, from
claiming anyestate,right,title or interest inthesubjectproperty;
. Forcosts ofsuitherein incurred;
. Forsuch other and furtherrelief asthecourtmay deem proper
DATED:
_______________
__________________________________________
(Signature)
VERIFICATION
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I,___, am a ___inthe above-entitled action. Ihaveread the foregoing___and
know thecontentsthereof. Thesame istrue of my own knowledge,except as
to those matters which aretherein alleged on information and belief, and asto
those matters,I believe itto betrue.
I declare underpenalty ofperjurythatthe foregoing istrue and correct andthatthis declaration wasexecuted at Long Beach,California.
DATED:____________________________________________________