- Joined
- May 29, 2026
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Case Filing
IN THE DISTRICT COURT OF THE COMMONWEALTH OF REDMONT
CIVIL ACTION
Two Guys Realty (represented by Attorney Aelia SingeHeart, consent below)
Plaintiff
v.
AWSJonny
Defendant
COMPLAINT
The Plaintiff complains against the Defendant as follows:
WRITTEN STATEMENT FROM THE PLAINTIFF
Two Guys Realty entered into a valid Mortgage Contract with AWSJonny on April 22, 2026, for the sale and financing of Plot C313. Pursuant to that agreement, AWSJonny borrowed $20,000 and agreed to repay the loan according to the payment schedule established by the parties. The property itself was pledged as collateral, and Two Guys Realty retained a lien upon the property until the balance was paid in full.
The Defendant has failed to satisfy the obligations of the Mortgage Contract and has placed the collateral securing the loan at risk of loss through inactivity. As a result, the Plaintiff seeks immediate judicial intervention to enforce its contractual rights, recover the collateral securing the loan, and obtain all other relief authorized by law and contract.
I. PARTIES
1. Two Guys Realty is the Plaintiff and mortgage holder in this action.
2. AWSJonny is the Defendant and borrower under the Mortgage Contract dated April 22, 2026.
II. FACTS
1. On April 22, 2026, the Plaintiff and Defendant entered into a Mortgage Contract concerning Plot C313. (P-001)
2. Under the Mortgage Contract, the Plaintiff financed the Defendant's acquisition of Plot C313 through a loan in the principal amount of $20,000. (P-001)
3. The Mortgage Contract required the Defendant to make monthly payments according to the agreed payment schedule. (P-001, P-002)
4. The Mortgage Contract expressly provides that Plot C313 serves as collateral for the loan and that the Plaintiff retains a lien on the property until the balance is paid in full. (P-001)
5. On or about May 15, 2026, the Defendant contacted representatives of the Plaintiff regarding payment obligations under the Mortgage Contract, demonstrating knowledge of the debt and payment schedule. (P-003)
6. On May 16, 2026, representatives of the Plaintiff provided the Defendant with the payment schedule and loan information. (P-003)
7. The payment schedule reflects that a substantial balance remained outstanding on the loan. (P-002)
8. The Defendant became subject to eviction proceedings due to failure to maintain the required minimum activity under Commonwealth regulations. (P-003)
9. The Defendant's inactivity places the collateral securing the loan at immediate risk of forfeiture, reclamation, or loss.
10. If the collateral is lost before the Plaintiff can enforce its rights, the Plaintiff will suffer substantial and irreparable harm.
III. CLAIMS FOR RELIEF
1. The Defendant entered into a valid and enforceable Mortgage Contract with the Plaintiff and accepted the benefits thereof. (P-001)
2. The Defendant remains obligated under the terms of the Mortgage Contract until the outstanding balance is paid in full. (P-001, P-002)
3. The Mortgage Contract expressly grants the Plaintiff a lien and security interest in Plot C313 until the debt is satisfied. (P-001)
4. Through inactivity resulting in eviction proceedings, the Defendant has jeopardized the collateral securing the loan and impaired the Plaintiff's contractual rights.
5. Pursuant to Section III of the Mortgage Contract, the Plaintiff is entitled to seek legal action, recovery of the property serving as collateral, recovery of the outstanding balance, and any additional relief authorized by the agreement. (P-001)
6. The Plaintiff is entitled to judicial enforcement of its lien, security interest, and contractual remedies.
IV. PRAYER FOR RELIEF
The Plaintiff seeks the following from the Defendant:
1. Immediate transfer and return of Plot C313 to Two Guys Realty.
2. Recognition and enforcement of the Plaintiff's contractual lien and security interest.
3. An order preventing the Defendant from transferring, selling, encumbering, abandoning, or otherwise interfering with the Plaintiff's rights in the collateral.
4. Judgment for any remaining outstanding balance owed under the Mortgage Contract.
5. Court costs and any attorney fees permitted by the Mortgage Contract.
6. Such further relief as the Court deems just and proper.
By making this submission, I agree I understand the penalties of lying in court and the fact that I am subject to perjury should I knowingly make a false statement in court.
DATED: This 24th day of June 2026