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IN THE _______________________________ COURT OF
___________________________________ (County),
_____________________________________________ (State)
__________________________________________ PLAINTIFF
(Name of Plaintiff)
V. CAUSE NO. _________,_________
___________________________________________ DEFENDANT
(Name of Defendant)
COMPLAINT
COMES NOW ___________________________________________________ (Name
of Plaintiff), Plaintiff in the above-styled and numbered cause, by and through his attorneys, and
files this his Complaint against Defendant, ___________________________________________
(Name of Defendant), and in support thereof would show unto the Court the following matters
and facts:
1. Plaintiff is an adult resident citizen of _________________________________________
______________________________________________________________________________
(city, county, state).
2. Defendant is an adult resident citizen of _______________________________________
______________________________________________________________________________
(city, county, state).
3. On __________________________________________________ (date) , in
_________________________________________________________________ (county and
state) , in consideration that Plaintiff would sell to _____________________________________
______________________________ (Name of Principal Debtor) , referred to in this action as
the Principal Debtor, payable in __________________________________ (e.g., ninety days) ,
such goods as the Principal Debtor should desire to buy from Plaintiff, Defendant promised in
writing to be answerable to Plaintiff for the price of any such goods so sold on credit. A copy of
the Guaranty is attached as Exhibit A, and incorporated by reference.
4. Plaintiff thereafter, and in reliance on the Guaranty, sold and delivered to Principal
Debtor the following goods: (describe goods) _____ ___________________________________
______________________________________________________________________________
_________________________________________________________________ , for the sum of
$_____________________________ payable in ________________________________ (e.g.,
ninety days) . Defendant had notice of all of these transactions.
5. On __________________________________________ (date) , Plaintiff orally demanded
payment of the sum of $___________________ from the Principal Debtor , but the Principal
Debtor failed and refused, and still fails and refuses, to pay that sum or any part of it.
6. Plaintiff has performed all the conditions of the principal obligation and Guaranty to be
performed by Plaintiff.
7. By letter dated ______________________________________ (date) Plaintiff notified
Defendant of the demand on, and nonpayment by, Principal Debtor , and demanded payment of
the sum of $________________ from Defendant. A copy of that letter is attached as Exhibit B,
and incorporated by reference.
8. Defendant has failed and refused, and still refuses, to pay the sum of $_______________,
or any part of it.
Wherefore, Plaintiff prays for judgment of and from the Defendant for the sum of
$_________________ for the balance owed on the open account and $________________ for
reasonable attorney's fees for a total judgment of $________________ plus the court costs of this
proceeding, with interest thereon at the legal rate from the date of judgment until paid.
Respectfully submitted,
__________________________________________
(Name of Plaintiff)
By: ______________________________________
(Signature of Plaintiff’s Attorney)
__________________________________________
(Name of Plaintiff’s Attorney)
State Bar No. ________________
One of His Attorneys
OF COUNSEL:
____________________________________________
(Name of Plaintiff’s Attorney)
Post Office Box _________-__________
_____________________________________________________________
City, State, Zip Code
Telephone: ________-_______-_________
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FAQs
Here is a list of the most common customer questions. If you can’t find an answer to your question, please don’t hesitate to reach out to us.
Credit Transactions in airSlate SignNow refer to the digital signatures and document management processes that are essential for conducting business transactions electronically. These transactions facilitate secure and efficient agreements, allowing users to sign and manage documents seamlessly online.
airSlate SignNow simplifies Credit Transactions by providing an intuitive platform where users can easily upload documents, send them for signatures, and track their progress. The service ensures that all Credit Transactions are encrypted and compliant with legal standards, making it a reliable choice for businesses.
airSlate SignNow offers various pricing plans tailored to meet the needs of businesses handling Credit Transactions. These plans range from basic to advanced features, allowing users to choose a package that best fits their volume of transactions and required functionalities.
Yes, airSlate SignNow allows seamless integration with numerous third-party applications, enhancing your ability to manage Credit Transactions. Popular integrations include CRM systems, document storage solutions, and accounting software, streamlining your workflow.
Using airSlate SignNow for Credit Transactions offers numerous benefits, including reduced processing time, enhanced security, and improved document tracking. It helps businesses accelerate their agreement processes while ensuring compliance and security in every transaction.
Absolutely! airSlate SignNow employs advanced security measures such as encryption and multi-factor authentication to protect Credit Transactions. This ensures that all documents and signatures are kept confidential and secure from unauthorized access.
airSlate SignNow enhances the efficiency of Credit Transactions by enabling users to send documents for signatures instantly and track their status in real-time. This eliminates delays often associated with traditional paper-based processes, allowing for quicker decision-making.
The best way to complete and sign your credit transactions 497329798 form
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