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VIRGINIA: THE CIRCUIT COURT OF THE CITY OF ALEXANDRIA

JANICE WOLK GRENADIER, Plaintiff, vs. ILONA ELY FREEDMAN GRENADIER et al AND GRENADIER INVESTMENT CO. LTD, AND DAVID MARK GRENADIER Defendent

) Case No.: CH010654 ) ) Addendum to Statement of Facts For ) Appeal ) ) ) ) ) )

Addendum to Statement of Facts Filed on November 20, 2012 as per request of Defendants Lawyer an Outline of Exhibits included in Statement of Facts

Plaintiff Janice Wolk Grenadier Outlines the following: Exhibit 1 - Money due to Plaintiff from the Bellefonte Ave Partnership 1. Loan to purchase property / Loan for Refinance Costs / Refinance Loan -Total due Plaintiff as of 9.28.2012 $ 269,129.27

2. Due Plaintiff for advanced Mtg Pymts - $ 32,631.76 3. Due Plaintiff for advanced Real Estate Taxes - $9,143.99 Back up of the above Numbers 1. Compound Interest Calculator from computer for the purchase 2. 3. 4. 5. Copies of checks front & Back for $3,600 Loan Bank Statement showing Purchasers check and $ 3600. Loan Original Purchase HUD 1 Refinance for Bellefonte Hud 1 $ 3600. Loan to

6. Compound Interest Calculator $ 490. cost of Refinance 7. Compound Interest Calculator for Loan from Hud 1 $29, 732.95 owed Plaintiff 9/28/2012 - $218,497.90 8. Compound Interest Calculator for Mtg Payments Advanced by Plaintiff 9. Copies of Mtg Payment checks advanced by Plaintiff Front and back 10. Schedule of Payments from Burke & Herbert Bank 11. Compound Interest Calculator for Mrtg Pymts adv 12. Copies of checks back and front 13. Compound Interest Calculator for Bellefonte Real Estate Taxes 14. Copies of Checks back and front 15. City of Alexandria Tax Records Showing who paid which Real Estate Taxes

Exhibit 2 - The funds owed Plaintiff and Back up from Property at 28 E. Bellefonte Ave 1. Mortgage Payment difference in Refi from 1992 2000 due Plaintiff $ 92,295.58 2. Total due Plaintiff on Bellefonte - as of September 26, 2012 - $403,200.60 3. Note from purchase of Bellefonte on January 20, 1987 4. Outline of P&I difference per year 5. Compound Interest Calculator (9) times to show for each year from 1992 2000 Exhibit 3 The Bankruptcy Plaintiff would never have been in if it wasnt for the Defendants willful acts that were malicious, violent oppressive, fraudulent, wanton and grossly reckless with stealing from the Real Estate Partnership and misleading Plaintiff on who stole the money from the Sonia Grenadier Trust. 1. Bankruptcy Fees Due to Plaintiff $122,928.39 2. Compound Interest Calculator ( 8 ) times to show different Attorneys fees 3. Cash Receipts and Disbursements Record from Bankruptcy

Exhibit 4 The partial Financial loss to Plaintiff for Defendants willful acts that were malicious, violent oppressive, fraudulent, wanton and grossly reckless with purposely misleading Plaintiff on who stole the money from the Sonia Grenadier Trust. 1. Note being held by Defendant Lawyer Ilona as value as of September 26, 2012 - $ 246,061.36 and when it comes due of $603,722.82 2. The loss of re-sales on homes $ 1,977,552.62 which could have been much more. 3. Compound Interest Calculator (2) 4. Tax Records and Worksheet of purchasers of homes 5. Plat of land where homes were build 6. Agreement of Easement 7. Compound interest Calculator (9) 8. Tax Records Exhibit 5 1. 28. E. Bellefonte Ave Purchase contract 2. 2 Addendum to Bellefonte contract one adding Plaintiff as Purchaser 3. Hud 1 from Settlement of Bellefonte Ave Jan 20, 1987 4. Deed of Trust Bellefonte Ave 5. Settlement Sheet from re-finance of Bellefonte Ave October 21, 1992 6. October 21, 1992 Letter Plaintiff to David Elsburg settlement attorney that the money Plaintiff was loaning to GIC 7. Subpoena from Defendant Ilona to David Elsburg for file which shows Defendant knew of Letter - Plaintiff only learned of letters existence in September of 2008. 8. Plaintiff First Motion for Default which shows Defendant Ilona lying in court on September 12, 2007

9. Copy of Exhibit A - showing Defendant Ilona FRAUD on the Court misleading the court on September 12, 2007 that she had been served a copy of service from the City of Alexandrias sheriffs office 10. Letter dated February 8, 2008 from Defendant Ilona (3) pages full of lies. Page 2 the second paragraph she says to look at the HUD1 For the sale of Southway today according to tax records she still owns Southway. Page 3 she gets personal and it opens up to how much she was involved in mulish behavior against setting me up - She goes into a rumor that only if she had started it would she have brought it up that David and one of his sisters was sleeping together - the factious statement I believe now was started with Ilona David pulled a gun that night. 11. Counterclaim and Cross - Complaint

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