;
  • Report:  #1227567

Complaint Review: Americorp Enterprises. Camillo Resciniti. Owner Concord Corporate Centreof 3100 Steele - Concord Ontario

Reported By:
Johnny R. - Ontario, Canada
Submitted:
Updated:

Americorp Enterprises. Camillo Resciniti. Owner Concord Corporate Centreof 3100 Steele
3100 Steeles Avenue West Concord, L4K 3R1 Ontario, Canada
Phone:
416-727-7264
Web:
http://www.americorpenterprises.com/
Categories:
Tell us has your experience with this business or person been good? What's this?
Report Attachments

Another Lawsuit filed against Camillo Resciniti and Nick Rescinit of Americorp Enterprisese for not paying their debts.  This time the owners fo Concord Corporate Centre at 3100 Steeles Avenue West, Concord, ON. refuse to pay their American Express bill.

This is another case where Nick Rescinit and Camillo Rescinit will not pay or honour their debts.  They will force the company or person they owe money to take them to court, and force them to settle for a lesser amount. The company or person that the Rescinitis owe money to will settle for a lesser amount  so they can avoid paying the legal fees and being dragged in court for a 2-3 years.

If they could do this AMEX Canada, they will do it to you too.  My suggestion is, do not get into business with them or rent any properties from them.  

 

 

 

 

COURT FILE NO.  CV-13-1130505R

ONTARIO

SUPERIOR COURT OF JUSTICE

B E T W E E N

AMEX BANK OF CANADA

 Plaintiff

 -and-

CAMILLO RESCINITI

Defendant

STATEMENT OF CLAIM.

THIS CLAIM IS BROUGHT AGAINST YOU PURSUANT TO THE SIMPLIFIED

V PROCEDURE AS PROVIDED BY RULE 76 OF THE RULES OF CIVIL PROCEDURE

I I TO THE DEFENDANT(S)

A ~ A LEGAL PROCEEDING HAS BEEN COMMENCED AGAINST YOU BY the

plaintiff(s). The claim made against you is set out in the following pages.

IF YOU WISH TO DEFEND THIS PROCEEDING, you or an Ontario lawyer acting for

you must prepare a statement of defence in Form 18A prescribed by the Rules of Civil Procedure,

serve it on the plaintiff(s) lawyer(s) or, where the plaintiff(s) do(es) not have a lawyer, serve it on

the plaintiff(s)_, and file it, with proof of service, in this court office, WITHIN TWENTY DAYS

after this statement of claim is sewed on you, if you are served in Ontario.

If you are served in another province or territory of Canada or in the United States of

* America, the period for serving and filing your statement of defence is forty days. If you are served

outside Canada and the United States of America, the period is sixty days.

Instead of serving and filing a statement of defence, you may serve and file a notice of intent

to defend in Form 18B prescribed by the Rules of Civil Procedure. This will entitle you to ten more

days within which to serve and file your statement of defence.

IF YOU FAIL TO DEFEND THIS PROCEEDING, JUDGMENT MAY  GIVEN

AGAINST YOU IN YOUR ABSENCE AND WITHOUT FURTHER NOTICE TO YOU. IF

YOU WISH TO DEFEND THIS PROCEEDING BUT ARE UNABLE TO PAY LEGAL FEES, I

LEGAL AID MAY BE AVAILABLE TO YOU BY CONTACTING A LOCAL LEGAL AID

OFFICE.

 

 

IF YOU PAY THE PLAlITlFF’S CLAIM, and $750.00 for costs, within the time for

serving and filing your statement of defence, you may move to have this proceeding dismissed by

’ the court. If you believe the amount claimed for costs is excessive, you may pay the plaintiffs

claim and $100.00 for costs and have the costs assessed by the court.

Date:  Feb 1, 2013  Issued by:  i A Local Registrar

Address of Court Office

0' 50 Eagle Street West _

Newmarket, Ontario

L3Y 6B1

TO: CAMILLO RESCINITI

56 Orico Court

Kleinburg, Ontario Y

LOJ lC0

 C L A I M

 

l. The Plaintiff claims from the Defendant: l

(a) The sum of $31,020.09;

(b) Costs of this action on a Solicitor and Client basis.

(c) Such further and other relief as this Honourable Court may deem just. _

2. By agreement in writing, the Defendant agreed with the Plaintiff to establish a credit

_ Facility by way of the provision of an American Express Air Credit Card. p

3. Pursuant to the aforesaid agreement, the Plaintiff advanced monies at the request of the

Defendant. All such advances were made solely for the benefit of the Defendant and at an

Interest rate agreed upon as between the parties.

4. Full particulars of the said advances were provided to the Defendant.

 

5. Default in payment pursuant to the terms of the agreement occurred on or before January

16th, 2013 and still continues.

6. The Plaintiff therefore claims the sum of $3l, 020.09 as is set out in paragraph l herein

Being the balance now due and owing to the Plaintiff.

7. The Plaintiff proposes that this action be tried at Newmarket.

Date:   

FLUXGOLD IZSAK JAEGER LLP

Barristers & Solicitors

7 100 York Boulevard, Suite 220

Richmond Hill, Ontario L413 lJ 8

-Phone: (905) 763-3770

Fax: (905) 763-3772

Robert A. lzsak

V ~- Lawyer for the Plaintiff

 

Report Attachments


Reports & Rebuttal
Respond to this report!
Also a victim?
Repair Your Reputation!
//