post published july 16th 2012 with email sent to patrick weber adn to larry pivach 5/25/2012

Dear patrick and larry, i just sent you some of the information in teh form of articles  and pdfs  concerning david j stern.  Residential funding had david j stern as the lawyer for the paperwork.  Theunlawful practices and  violationsfrom the mortgage brokers  are horrific.  
 
These are some of the infractions i discovered when going though the paperwork concernign guardianship laand mortgae situatins.  
 
1. residential funding and een option noe mortgage  did not  do any research or due diligence concerning my  incapacity.  Asdeclaration of   incapacity or incompetencey dated:   january 03rd 2006 filed document #06116GAHDH(order determining limited incapacity.) This date is prior to any   documents/signatures for either mortgage or rfinancing.    
2. Dincapacity.  Asdeclaration of   incapacity or incompetencey dated:   january 03rd 2006 filed document #06116GAHDH(order determining limited incapacity.)
2.  paperwork from peele management corporation to pelican capital had probglems with the assignment of mortgae as it had crossed out transfer companies, was signed in 2004 but not submitted and occialely recored until 2006 and somehow residential funding was involved as ther stamp was  onteh paperwork.  I personally had never heard of or seen any documentation of a Pell,e management corporation  located in  reno nevada… see document 3785331 or 3982 pg 2341 recorded by dwight e brock on 02/14/2006.
tihs is  definately anexample of ther falsified documents as stated in teh article writttn by huffington post emailed to you today adn dated  2/06/11. and the      
3. In documentation: case number 08-1272-CAdocumented feb 21st 2008 @9:54  listed as complaint to foreclose mortgage and to enforce lost loan documents  they  lied about me delivering them a promissory note and balloon  mortgage on November 2nd  as the option one documentation  states that those papers were signed on november 2nd . in sarasota.   They also claimed to own and hold the mortgage # (5):   “the plaintiff owns and holds mortgage” then they state on count II listd under #21:    ” the plaintiff is not presently in possession of original note and mortgage. ”   
3.  
A Tender Loving Care Service 
Marion Gregory   Director 239-598-1515
naplesmarion@aol.com 
Mary Jean Ziska   Assistant Director 239-287-2294
whatabtmary@yahoo.com