Did you talk to anybody at NovaStar
about xxxxxxxxx note?
No.
Did you talk to anybody at
Deutsche Bank about his note?
No.
Did you talk to anybody at
Financial Asset Securities Corporation about
xxxxxxxxxxxxxx note?
No.
Did you talk to anybody at Wells
Fargo about xxxxxxxxxxxx note?
MR. FRESHWATER: Objection.
You can answer if you can.
THE WITNESS: No.
BY MS. DOBERDRUK:
Did you talk to anybody at MERS
about xxxxxxxxx note?
No.
Have you ever talked to anybody at
Deutsche Bank about xxxxxxxxxxx and
their loan documents?
No.
Have you ever talked to anybody at
the Soundview Home Loan Trust about xxxxxx
xxxxxxxxxxxx documents?
No.
How did you find out that you were
going to appear here for deposition?
By e-mail.
And do you know how the decision
was made to choose you personally to come here?
I have a vague understanding of how
our process works, yes.
[…]
Have you ever used a program called
LPS Desktop?
Yes.
And what do you use that for?
Looking up contact information.
Did the request from counsel come
through LPS Desktop?
Not that I’m aware of.
Do you see documents on the
LPS Desktop screens, notes and mortgage
documents?
MR. FRESHWATER: Grace, I’m going
to object. Are you talking in general? And if
you are, I would object to relevance. If
you’re talking about a specific case, that’s
okay.
BY MS. DOBERDRUK:
Have you viewed xxxxxxxxx note
on any computer screen?
Yes.
In LPS Desktop?
No.
What computer screen did you look
at?
My laptop’s.
[…]
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