Full Deposition Transcript of Wells Fargo Tamara Savery

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TAMARA SAVERY - July 15, 2009

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IN THE UNITED STATES BANKRUPTCY COURT NORTHERN DISTRICT OF TEXAS DALLAS DIVISION

IN THE MATTER OF:

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)CHAPTER 13 CASE NO. 07-32604 )

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) ADV. PROC. NO. 08-03191 )

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FEDERICO GUEVARA III HERLINDA GUEVARA Plaintiffs,

FEDERICO GUEVARA III HERLINDA GUEVARA Plaintiffs,

VS.

WELLS FARGO BANK, N.A., SUCCESSORS BY MERGER TO WELLS FARGO HOME MORTGAGE, INC., ASSIGNS AND/OR SUCCESSORS IN INTEREST

Defendant.

ORAL DEPOSITION OF TAMARA SAVERY JULY 15, 2009

ORAL DEPOSITION OF TAMARA SAVERY, produced as a witness at the instance of the Plaintiffs, taken in the above-styled and -numbered cause on the 15th day of July, 2009, from 10:11 a.m. to 4:10 p.m., before Sherry Patterson, a Certified Shorthand Reporter in and for the State of Texas, reported by machine shorthand, at the offices of Hermes, Sargent, Bates, 901 Main Street, Suite 5200, Dallas, Texas, pursuant to the agreements as stated on the record and/or the Federal Rules of Civil

Procedure.

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1 2

A T TOR N E Y S

o F

R E COR D

3 APPEARING ON BEHALF OF THE PLAINTIFFS:

4 MR. THEODORE O. BARTHOLOW, III

BARTHOLOW & BARTHOLOW

5

11300 NORTH CENTRAL EXPRESSWAY, SUITE 301 DALLAS, TEXAS 75243

PHONE: (972) 739-5255

E-MAIL: [email protected]

6

7

8 APPEARING ON BEHALF OF THE DEFENDANT:

9 MR. MARK C. ALFIERI MR. ANDY SOULE

10 HERMES SARGENT BATES

901 MAIN STREET, SUITE 5200

11 DALLAS, TEXAS 75202 PHONE: (214) 749-6000

12 E-MAIL: [email protected]

13 AND

14 MR. JOHN GRISSOM (VIA TELEPHONE)

1 HOME CAMPUS

15 DES MOINES IOWA 50328-0001 PHONE: (515) 213-7258

16 17 18 19 20 21 22 23 24 25

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1 INDEX

2 ATTORNEYS OF RECORD 02

3 EXAMINATION BY MR. BARTHOLOW 04

4 SIGNATURE AND CORRIGENDA PAGE 154

5 CERTIFICATION PAGE 156

6 EXHIBITS

7 NUMBER DESCRIPTION PAGE

8 1 Defendant's Objections and Answers 20 to Plaintiff's First Set of Interrogatories

9

2

10

3

11

12

4

13 14 15 16 17 18 19

5 6 7 8 9 10

20

11

21 22 23

12 13

24

Proof of Claim

26

Defendant's Amended Objections and Answers to Plaintiff's First Set of Interrogatories

32

Verification signed by Ms. Savery 33

on 06/12/09

Copy of Note 42

Pool details printout 47

Copy of Deed of Trust with cover letter 48

Bankruptcy payment history 64

Customer account activity statement 64

Custodian Certification Schedule 68

Summary

Custodian Certification Schedule Summary

Www.spoke.com printout

Crossland Mortgage Corp. Limited Power of Attorney

69

71 72

14 Corporation Assignment of Deed of Trust 74

25

15

Escrow/Disbursements worksheet

131

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1 PRO C E E DIN G S

2 (Reading of Rule 30(b) (5) was waived by

3 agreement of Counsel.)

4 TAMARA SAVERY,

5 having been first duly sworn, testified as follows:

6 EXAMINATION

7 BY MR. BARTHOLOW (10:11 a.m.):

8 Q. Good morning, Ms. Savery.

9 A. Good morning.

10 Q. Just as a preliminary matter, let's go through a

11 little bit of the formalities. I understand you're

12 familiar with the process, but generally I'm going to

13 ask you a series of questions. I'd ask that you let me

14 finish asking each question before responding so that

15 the court reporter can be sure to get your answer fully.

16 Please also be sure to respond using words rather

17 than head nods or uh-huhs and huh-uhs. Although the

18 court reporter I'm sure is adept at reporting those,

19 it's easier if we have yeses and nos. And I'd ask that

20 you limit your response to the question that's asked.

21 Other than that, let's proceed with a little bit of

22 background information to begin with.

23 A. Okay.

24 Q. Let's talk about your educational background.

25 A. Okay. Within the mortgage business?

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1 Q. Well, let's just start generally.

2

I was in a two-year community college.

A. Okay.

I

3

did not finish college with a degree.

I've been in the

4 mortgage business for about 15 years now. Extensive

5 areas within Wells Fargo and the mortgage business from

6 customer service to accounting to client relations to

7 cross selling mortgage products, so I have some

8 extensive background. And of course now I'm in the

9 litigation default operation support area, so I have an

10 extensive background in the mortgage industry.

11 Q. Okay. And you indicated that you've worked other

12 places than Wells Fargo, correct?

13 A. Correct.

14 Q. How long have you worked for Wells Fargo?

15 A. I'm going on eight years with Wells Fargo.

16

Q. Okay.

So then you began eight years ago, just to

17 be clear?

18

A.

That is correct, in 2001, correct.

19

Q. All right.

Prior to working for Wells Fargo who

20 did you work for?

21

A.

I worked for Worldcom, which is a

22

telecommunications company.

Prior to that I worked for

23 First Nationwide Mortgage; and prior to that I worked

24 for Bechtel Power Corporation, which was in

25 telecommunications.

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1 Q. Okay. So little bit of telecommunications, a

2 little bit of mortgage experience?

3 A. Correct.

4 Q. What were your responsibilities at First

5 Nationwide?

6 A. At First Nationwide I worked in the payment

7 processing area, monetary research, researching payments

8 and application of payments.

9 Q. Okay.

10 A. So basically -- basically at First Nationwide it

11 was all payment -- payment processing and payment

12 research.

13 Q. Okay. And then eight years is a long time to be

14 at one place, so I imagine you've worn a few different

15 hats--

16 A. I have.

17 Q. -- in your time at Wells Fargo?

18 A. Yes.

19 Q. SO let's start with your first position at Wells

20 Fargo.

21 A. Okay.

22 Q. What was that?

23 A. When I came on board with Wells Fargo there was a

24 program where we were doing refinancing; and those

25 refinances were done over the -- via the telephone, rush

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1 on demand, so to speak. It was a program for easy

2 refinancing. And from that area I went onto --

3 Q. Quickly, where were you -- where was that office

4 located?

5 A. That was in Frederick.

6 Q. SO that would be Frederick

7 A. All of the positions that I have held have been

8 in Frederick, Maryland.

9 Q. Okay. So is that -- am I correct that that is a

10 facility that houses both ASC and Wells Fargo employees?

11 A. That is correct.

12 Q. Okay. And so in working in that division, was

13 your role technically with Wells Fargo or ASC in the

14 refi department?

15 A. ASC.

16 Q. ASC, okay.

17 A. Yes.

18 Q. All right. Sorry to interrupt you. What was the

19 next thing that you did?

20 A. The next area that I went into was an area that

21 no longer exists; but it was cross selling where we

22 would solicit, explain to our customers the different

23 products we had to offer such as credit cards or

24 additional insurance and that type of thing. And that

25 incorporated into your customer service -- when we had

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1 cross selling it incorporated into customer service.

2 And so I went from that position into customer service.

3 Q. Okay. Let me stop you there.

4 A. Okay.

5 Q. Was that mortgage related to cross selling?

6 A. It was mortgage related products, yes.

7 Q. Okay. So you mentioned insurance and credit

8 cards. Was it homeowners' insurance, or was it --

9 A. No. It could be life insurance. It could be

10 we had products -- Servpro, which was --

11 Q. Home clean-up?

12 A. Home clean-up, that type of thing. Different

13 things we could offer them.

14 Q. And credit cards?

15 A. Correct.

16 Q. Okay. How did the credit card system work?

17 We're getting a little bit afield, but I'm just --

18 A. As far as the credit -- it was a Wells Fargo

19 credit card. If they were interested in credit cards,

20 we could send them to -- basically I would explain some

21 of our products if they were interested; and then I

22 would send them onto someone who could explain the

23 details of that.

24 Q. And then you moved to your third position which

25 was in customer service?

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1 A. Correct.

2 Q. What was your title within -- in that position

3 initially?

4

A.

I was the -- I was a lead customer service

5 representative. And at that point with our -- back to

6 the rush on demand refinancing, that grew; and we

7 brought on several new people in a new group that were

8 doing the refinancing and taking the applications over

9 the telephone. And I was a lead over certain amount of

10 people within that group.

11 And what I did was train -- trained them on that

12 product, and I trained in different areas of -- I went

13

to Minneapolis and trained personnel.

Different areas

14 of customer service that I trained in rush on demand

15 refinancing, and I monitored for quality and trained

16 when necessary.

17 Q. What does monitored for quality mean?

18 A. Monitoring their telephone conversations to make

19 sure that, you know, they were -- the verification was

20 proper, the questions they were answering was proper, we

21 were in line of what we could say and could not say.

22 Q. Must have been a guilty pleasure.

23

Okay. And how long were you -- well, what were

24 the years that you served in that role?

25

Good question. Okay.

I started -- and forgive

A.

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1 me for not having my dates in my head. But with the

2 customer service position, that was -- with that role

3 I'm going to say it was close to three years, because

4 within that -- after rush on demand started to phase

5 out, we went back in -- I went back into the customer

6 service role.

7 And at that point I was a lead customer service

8 representative that would handle where -- our group was

9 in servicing. We were customer service. And if there

10

was a -- I was an escalation representative.

If the

11 representative was unable to handle a particular call or

12 did not know the information or if they wanted to speak

13 to a more senior representative, that phone call would

14 come to me.

15 Q. Okay. And so again, I'm sorry, what -- do you

16 know what specific years that would have been? Or I

17 guess was the next job the job you're currently in?

18 A. No. The next job that I went to from that was in

19 client relations or client services, and I was a

20 consultant. And that was for ASC. And my duties at

21 that point was a consultant for certain investors that

22 we -- that we acquired their pools of loans.

23 And I was that go-to person for that investor,

24 and it was Morgan Stanley and Goldman Sachs at the time.

25 And we acquired -- we didn't acquire, but I acquired

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Page 11 1 Ohio [phonetic] Savings as one of my relationships that

2 I had; and they -- I was the go-to person for any of

3 their reporting, any questions they may have had on one

4 of their loans in their pools that we were servicing.

5 So I was that go-to person in client relations, and that

6 position

7 Q. Can you define what being a go-to person

8 entailed?

9

A. Basically if there

again, if there was

10 questions on a particular loan in the pool, if there was

11 an acquisition or they were selling a certain pool of

12 loans, you know, they'd send me up the numbers reports.

13 Q. Okay. For example, you say questions regarding a

14 particular loan in a certain pool. What would be an

15 example of a type of question that you might get?

16 A. I may get a phone call from the investor, I've

17 got this particular loan that perhaps is in foreclosure,

18 REO, I need some details of what's going on, where that

19 loan is at in the process of foreclosure, or perhaps it

20 was an REO. And then my job was to go to those

21 different areas, those different departments and get the

22 details for the client.

23 Q. Okay. And forgive me, but let's decode the

24 acronym REO.

25 A. I apologize. That would be real estate -- or

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1 real estate -- after it goes into foreclosure, that's

2 real estate owned properties. And that department

3 and I apologize for the acronym. We call it REO. So if

4 any of those properties at that point was a real estate

5 owned property and if they needed information on either,

6 you know, the selling of that property, any visit we may

7 have had on that property, again, they would come to me.

8 And then I would outsource the different areas

9 Wells Fargo is a very large company with a lot of

10 different departments, so it was much more feasible to

11 have that one central person that could go to those

12 different areas and answer those questions for that

13 particular client.

14 Q. Okay. And so how long did you do that job?

15 A. I did that job a little over two years. I want

16 to say two and a half years.

17 Q. All right. And then?

18 A. And then I went onto the default operation

19 support group.

20 Q. Which is where you are now?

21 A. Which is where I am now. And I have been there

22 it was a year in April, so it was April 2008 I came

23 on board with the default operations support group.

24 Q. Okay. And so this case landed on your desk just

25 a few short months later then, correct?

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1 A. Well, a year later. I've been with the

2 department a year, so yes, it did.

3 Q. Okay, all right. So you began with the default

4 operation support group. Let's talk about training.

5 Were you trained to be a default operations

6 support person?

7 A. Yes, there was training involved. One of the

8 reasons -- one of the key reasons that I was brought

9 onto that department was some of my knowledge and

10 understanding servicing agreements with our subprime

11 portfolio.

12

And of course, working in the mortgage industry,

13 I do have your basic knowledge of mortgage. And some of

14 the training did require the processes of bankruptcy,

15 because I came into a small group of bankruptcy

16 litigation representatives. We've now incorporated out

17 to include foreclosure litigation specialists is

18 actually what my title is.

19 Q. Okay. So what did that training entail?

20 A. The training entailed, of course, going through

21 the basics of bankruptcy, going through basically how we

22 handle the file from start to finish. And again, with

23 that position we have files assigned to us that's

24 litigated. There is an attorney assigned to it. But

25 you know, I go back to that go-to person.

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1 We're assigned that case, and that -- and an

2 attorney will come to us if there's information needed,

3 if they need certain documentation. We monitor that

4 file of where it stands in the litigation process.

5 Q. Would this be an attorney at Wells Fargo?

6 A. No. This would be an out sourced attorney from

7 our direct source.

8 Q. Okay.

9 A. Which are most of the attorneys --

10 Q. For example -- for example, counsel in this case;

11 would that be an example of your attorney contact?

12 A. That's correct, yes.

13 Q. Okay, okay. And so you operate as a go-to person

14 or an ombudsman basically for that attorney?

15 A. Well, and for Wells Fargo. I'm monitoring that

16 litigated file.

17 Q. Okay.

18 A. You know, and I track it on a weekly or monthly

19 basis depending on where it is in the process of

20 litigation. I also -- our group also is the group that

21 if a witness for either mediation, a hearing, a trial or

22 a deposition is needed, we're called upon to represent

23 the company in that manner.

24 Q. Okay. Let's go back to tracking.

25 A. Okay.

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1 Q. Tell me what tracking entails.

2 A. Well, when I say tracking, it just -- we're

3 monitoring that case of where it is in the litigation

4 process. Has an answer been filed, have we produced

5 documentation that we needed to. And we track it within

6 a data base, you know; what's the root cause of that

7 litigation, who is the attorney assigned to it.

8 And we're monitoring the steps of the attorney.

9 We're just literally entering that information in the

10 data base. If there's settlement requirements, if the

11 attorney says, you know, I think we might be able to

12 settle this case, here's what we're looking at, then we

13 gather that information for our VP level that would make

14 that decision on settlement; and we present that

15 information to them.

16 Q. Okay. And who is the VP level? Is there a

17 person that you would report to as the VP?

18 A. Jose Pinto.

19 Q. Jose Pinto, okay. Is Kim Miller also at your

20 facility?

21 A. Kim Miller is at our Fort Mill.

22 Q. Fort Mill facility, okay.

23 A. Correct.

24 Q. SO you do not report to her?

25 A. Not directly under Kim Miller, no.

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1 Q. Okay, all right. So how -- how would you first

2 see a case? How would a case first come to you?

3 A. We have what is a litigation mailbox, so to

4 speak, an e-mail.

5 Q. Okay. Is there a name for that program?

6 A. It's not a program. We do have a foreclosure

7 litigation mailbox. We also have a bankruptcy

8 litigation mailbox, which is monitored by our managers

9 or supervisors within our group.

10 Q. Is that just simply an e-mail address or --

11 A. It is.

12 Q. Okay. So for example, I filed a complaint in

13 this case. From your perspective, what did it have to

14 do to get to you?

15 A. Okay. Within this particular case it --

16

MR. ALFIERI: I'm going to have to caution

17 the witness that we're getting into the realm of

18 attorney-client privileged information. So I want you

19 to--

20

MR. BARTHOLOW: I wouldn't instruct the

21 witness in terms of, you know, how to answer. And

22 frankly, I'm not sure I understand what would be

23 privileged about it.

24

MR. ALFIERI: I'm reminding the witness that

25 there are privileges that the bank has with respect to

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1 communications with respect to this case and counsel.

2

MR. BARTHOLOW: And I'm not asking her to

3 tell me about the contents of communication.

4

MR. ALFIERI: Okay.

5

MR. BARTHOLOW: I'm asking her to tell me

6 about the pathway.

7

MR. ALFIERI: All right. Okay.

8 A. Okay. Again, something is assigned to me or

9 comes to me. It is through -- it is assigned through a

10 mailbox. And we handle certain states, and if it comes

11 to us we're assigned to that to add into our data base

12 to work that file.

13

Q.

(By Mr. Bartholow) Okay. And so it would come

14 to that mailbox. Do you know who would send it to the

15 mailbox?

16 A. I can't -- well, if you -- you know, sometimes

17 with our foreclosure litigation, if our foreclosure

18 attorney is noticed, whether it be, you know, a TRO was

19 filed or there's -- or this process is going into

20 litigation, they make us aware of it; and then we're

21 assigned that.

22 Q. Okay. So you had bankruptcy counsel in this

23 case, correct? Was Barrett -- was the Barrett Burke,

24 now Barrett Daffin Firm the firm that was bankruptcy

25 counsel for Wells Fargo in this case?

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1 A. To my knowledge they were bankruptcy counsel in

2 this case.

3 Q. Okay. Would the notification of this lawsuit

4 have come from them then?

5 A. That, I can't answer. I can't answer that,

6 because it did not come directly to me.

7 Q. Okay. Who did it go directly to?

8 A. I don't know who it went directly to.

9 Q. Okay. Could you find out for me?

10 A. Yes.

11 Q. Who then did bring a file to you?

12 A. When I was brought into this, you know -- in

13 other words, how did it get here today, putting it

14 simply?

15 Q. Well, no. More specifically, when you first

16 learned of the case was it -- you know, did it just

17 appear on your desk; or did somebody hand it to you and

18 say okay, Tamara, I want you to handle this? If it was

19 somebody, who was that somebody?

20 A. Okay. When the case was brought to my attention,

21 because I signed the verification, it was brought to me

22 by John Grissom.

23 Q. Okay. Is that typical?

24 A. It -- it's not as typical as some other files I

25 get from either foreclosure or bankruptcy attorneys; but

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1 yes, I would say yes, it's typical.

2

Q. Okay. How many times has that happened?
A. For me personally?
Q. Yes.
A. This would be the first time.
Q. Okay. And how many other cases have you handled 3

4

5 6

7 in your year and a half since you've been there?

8 A. Well, a total -- I don't have the exact total

9 number. I can tell you in my case load I believe at

10 this point it's about 94 cases.

11 Q. About 94?

12 A. Right.

13 Q. All of them bankruptcy cases?

14 A. They are not. They're bankruptcy and

15 foreclosure.

16 Q. Okay.

17 A. And some are small claims as well.

18 Q. Okay. How many bankruptcy cases have you

19 handled?

20 A. I cannot -- I mean, we -- we -- they come, they

21 go, they get settled. I can guesstimate a number for

22 you. But I would say, you know, 30 to 40.

23 Q. Okay, 30 to 40. And none of those came to you

24 through Mr. Grissom, correct?

25 A. No.

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1 Q. Okay.

2 A. Not directly, no.

3 Q. All right. Now, I am aware that this is getting

4 into attorney-client communications -- well, I guess

5 Mr. Grissom is Wells Fargo, correct?

6 A. Correct.

7 Q. Okay. He's general counsel there, so probably

8 there isn't an issue there. I guess what is the process

9 once Mr. Grissom gives you a case? What is -- what are

10 you instructed to do?

11 A. I was instructed when this was brought to my

12

attention

first time it was brought to my attention

13 to review and sign a verification. And when a person

14 was needed to be deposed or requested to be deposed in

15 this matter, it came to me as a request to be that

16 person.

17 Q. Okay. When was that?

18 A. That was -- I can't recall the exact date. I

19 want to say early June.

20 Q. Okay. This might help.

21

MR. BARTHOLOW: I'd like to mark this as

22 Plaintiffs' Exhibit 1.

23 (Exhibit No.1 was marked.)

24

(By Mr. Bartholow)

If you want to take a look,

Q.

25 and once you've had a chance to look that over if I

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1 could have it back.

2 I see you're looking at the last page of

3 Plaintiffs' Exhibit 1, and that's entitled verification?

4 A. Correct.

5 Q. Is that your signature?

6 A. That is my signature.

7 Q. Okay. And Tamara, something I meant to ask you

8 earlier that I didn't, have you ever gone by any other

9 name besides Tamara -- and how do you pronounce your

10 last name?

11 A. Savery.

12 Q. Savery, okay. Just like I would think. Nice

13 name.

14 A. Thank you.

15 Q. Have you gone by any other name?

16 A. No.

17 Q. Okay, all right. So that is your signature. And

18 what is the date of the notary here?

19 A. The note of the notary is April 9th.

20 Q. Okay. Does that refresh your recollection?

21 A. It refreshes my -- and I'm going to retract that

22 and say that I misspoke. When it first came as part of

23 being we need you to represent and being a deposition,

24 that would have been early June. But yes, so I -- I

25 misspoke on that when this first came to me in this

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1 form. It was April; and yes, I do recall this.

2 Q. Okay. I'm going to read just the statement

3 that's on the verification. I have read the above and

4 foregoing Objections and Answers to Plaintiffs'

5 Interrogatories, and the facts set therein are, to the

6 best of my knowledge, true and correct. Is that

7 accurate?

8 A. That is accurate.

9 Q. Okay. Did you read these interrogatories?

10 A. I did read the interrogatories, yes.

11 Q. Okay. And at the time that you signed this, did

12 you believe the facts contained there to be true and

13 correct?

14 A. At the time I signed it, I believed it to be true

15 and correct.

16 Q. Okay. Tell me why you believed it to be true and

17 correct.

18 A. Okay. The reason I believed it to be true and

19 correct, relying on the personnel and expertise of

20 others that reviewed this to be accurate. And to go a

21 little bit further, we realized that it was a mistake.

22 Q. Well, wait, wait, wait --

23 A. Okay.

24 Q. SO relying on the expertise of others, so

25 somebody told you it was true and correct; is that what

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1 you're saying?

2 A. No. When I read this -- when it came to me,

3 the -- the research that had been done and the expertise

4 of that person that had sent this to me to verify, I

5 believed it to be true and correct, yes.

6 Q. Okay. Now, when it came to you, did it come to

you in the form that we see here? Was this

was this

7

8 what you received the first time that you saw this?

9 A. Correct, yes.

10

MR. BARTHOLOW: And actually

is that

11 the -- is that the one labeled "my copy" at the top? I

12 apologize. No, it's not, okay. Good. Apparently I

13 don't have a my copy. That's fine.

14

MR. ALFIERI: Did you highlight your copy?

15

THE WITNESS: Did you highlight your copy in

16 red?

17

MR. BARTHOLOW: I did highlight my copy in

18 red.

19

THE WITNESS: Then this is your copy.

20

MR. BARTHOLOW: May we mark this one also,

21 and I'll just trade. I'm sorry. That would be helpful.

22 Appreciate it.

23 (Exhibit No.1 was re-marked.)

24

MR. BARTHOLOW: Okay, there we go. Is that

25 the same document that you were just looking at?

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1 2

THE WITNESS: Yes.

MR. ALFIERI: Go completely through it.

(By Mr. Bartholow) And you're looking through it

3

Q.

4 right now to confirm that?

5 A. I am looking through it to confirm that, correct.

6 Q. Okay. And as we were just discussing, when you

7 received this document it was in essentially the same

8 form with a blank verification attached; is that

9 correct?

10 A. That is correct.

11 Q. Okay. So then it would follow that you did not

12 in fact write any of the responses that are in there; is

13 that correct?

14 A. That is correct.

15 Q. Okay. And so now we need to go back to how did

16 you make the determination that this was true and

17 correct?

18 A. I made the determination that it was true and

19 correct based off the expertise and the research done by

20 the person that entered the answers.

21 Q. Who would be?

22 A. This came to me from Carol Davis who is a

23 paralegal in our Des Moines office.

24 Q. Okay. And did Carol prepare it?

25 A. I know our attorney I believe prepared it. As

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1 far as assisting in preparing it, I would say Carol

2 Davis did assist in preparing it and gathering the

3 information.

4 Q. Do you know why Carol didn't sign it then?

5 A. I do not know why Carol didn't sign it.

6 Q. Who is Carol? What is her role with the company?

7 A. She's a paralegal in our Des Moines legal office.

8 Q. The Des Moines legal office, okay. What types of

9 matters does that office handle?

10 A. That is our corporate legal department.

11 Q. Corporate legal department, okay. And who would

12 Carol report to?

13 A. John Grissom.

14 Q. Okay. So this came to you via Carol Davis who

15 reports to John Grissom. Had you spoken with any

16 attorney prior to receiving this document?

17 A. I did not.

18 Q. You did not?

19 A. No.

20 Q. Okay. Had you reviewed any document prior to

21 receiving this document?

22 A. I did not review any document prior to receiving

23 this. I read the interrogatories. And again, I based

24 my signing of this on the expertise that reviewed the

25 documents. And to my belief, it -- and that -- the

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1 proper document -- it was a failure of reviewing the

2 proper documentation, and we made a mistake.

3 Q. Okay. Now, have you seen the Proof of Claim

4 filed in this case?

5 A. I have.

6 Q. You have, okay. And who does it identify as the

7 creditor?

8 A. Wells Fargo.

9 Q. Wells Fargo, okay. Does it mention Freddie Mac?

10

MR. ALFIERI: I'm going to object. If you

11 want her to -- if you're asking her about a document,

12 please place the document in front of her.

13

MR. BARTHOLOW: Okay. I'd like to mark

14 Plaintiffs' Exhibit 2.

15 (Exhibit No.2 was marked.)

16

Q.

(By Mr. Bartholow) And I will represent to you

17 that this is the Proof of Claim filed in this case.

18 I'll also represent to you that it does not contain the

19 exhibits that were attached to it. This is simply the

20 claim form.

21 A. Okay.

22 Q. Okay. Do you agree that that's what this is?

23 A. I agree.

24 Q. Okay. You said that you have reviewed this

25 document; is that correct?

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1 A. That is correct.

2 Q. Okay. And I was just asking you whether this

3 document references Freddie Mac anywhere.

4 A. This document --

5

MR. ALFIERI: Take a look at it. Take a

6 look at the entire document and look and see if it

7 references Freddie Mac.

8 A. This document does not reference Freddie Mac.

9

Q.

(By Mr. Bartholow) Okay. Are you familiar with

10 the claims preparation process, how claims get prepared

11 for bankruptcy?

12 A. I'm not.

13 Q. Okay. Let's go back to your training then. You

14 mentioned that you were trained in general bankruptcy

15 matters. Was the claims process a part of that training

16 at all?

17 A. You know, we briefly touched on that; but I don't

18 prepare the Proof of Claims, that's not on a daily basis

19 that I do. So to say that I'm, you know, an expert in

20 that area, I cannot.

21 Q. Okay.

22 A. And it's not that often that -- let's just say I

23 don't see this on a daily basis.

24 Q. Okay. So this may be outside the scope of your

25 knowledge, and if so that's okay. But in your

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1 experience in cases where Wells Fargo is acting as

2 servicer for another entity, is it typical for a claim

3 to omit any reference to the entity for whom it is

4 serviced?

MR. ALFIERI: Objection, form.

5 6

Q.

(By Mr. Bartholow)

You can answer the question

7 if you know.

8

A.

I cannot answer that.

9 Q. Okay. And you can't answer that, is it because

10 you're unfamiliar with claims generally; is that right?

11

A.

In -- correct. You know, I could answer to

12 perhaps what would be in front of me and if I could say

13 that is typical. But as far as, you know, knowing

14 exactly if it is or if it isn't, I cannot answer that.

15 Q. Okay. And then would it also be accurate to say

16 that you can't answer whether Wells Fargo instructs its

17 attorneys generally to reference the owner of a loan as

18 opposed to simply listing its own name on a claim?

19

MR. ALFIERI: Objection, form.

20 21

A.

Correct.

(By Mr. Bartholow)

Okay.

So you didn't review

Q.

22 the claim when you signed the verification, correct?

23 Did you -- and you didn't review any other document when

24 you signed the verification?

25

A.

Correct.

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1 Q. Okay. And so you were relying on the preparation

2 work by another person in signing a verification; is

3 that how you typically sign verifications?

4

MR. ALFIERI: Objection, form.

5

Q.

(By Mr. Bartholow) Have you ever relied on

6 someone else's representation in signing a verification?

7

MR. ALFIERI: Objection, form.

8 A. I have.

9

Q.

(By Mr. Bartholow) You have?

10 A. Uh-huh.

11 Q. How many times?

12 A. Yes, excuse me. I couldn't tell you that. I

13 couldn't guesstimate on how many times.

14 Q. Would it be every time?

15 A. No.

16 Q. Okay. In the times where you have not relied on

17 somebody else's representation, what was the process for

18 verifying a document?

19

MR. ALFIERI: Objection, form.

20 A. What I would use to verify documentation would be

21 the Fidelity System that I use on a daily basis, it's

22 one of our software systems, documentation that's imaged

23 on our system. And it depends on what I'm being asked

24 to verify as to what I would look at to answer that --

25 to answer that particular question.

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1

Page 30 (By Mr. Bartholow) Okay. And why didn't you do

Q.

2 that in this case?

3

MR. ALFIERI: Objection, form.

4 A. Again, I signed that verifying the information

5 that was provided was to the best of my knowledge to be

6 true and correct, given that -- after it was reviewed,

7

I was relying on their expertise

the -- the preparer

8 and their knowledge as to being true and correct.

9

Q.

(By Mr. Bartholow) Okay. How would you

10 determine whether Freddie Mac or Wells Fargo owned a

11 given loan?

12

MR. ALFIERI: Objection, form.

13 A. Well, of course, one of the things we would look

14 at the documentation as far as the note, the deed of

15 trust. And we may look at our system, if it's in our

16 system as being an investor.

17 18

19

20 21 22

23

24

25

Q.

(By Mr. Bartholow) Okay. And in this case was

it in your system as being an investor?
A. It was.
Q. It was?
A. (Witness nods head. )
Q. Okay. And what system would that be?
A. That would be our Fidelity System.
Q. The Fidelity System, okay. Does that system go
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1 You just called it Fidelity?

2 A. Fidelity. I call it Fidelity. I'm not familiar

3 with MSP System.

4 Q. Okay. Let's talk about that system a little bit

5 then. What does it do?

6 A. Our Fidelity System?

7 Q. Uh-huh.

8 A. It tracks our loans. It's a data base where our

9 loans are set up. We can review histories. We can

10 review payments that are received. It has -- it has

11 different screens that enable us to see where that loan

12 is at, I mean, where -- you know, where -- any

13 information pertaining to that loan would be on that

14 system.

15 Q. Including an investor?

16 A. Including an investor.

17 Q. Okay. And do the bankruptcy attorneys have

18 access to that system?

19 A. I cannot answer if they have access to that

20 system or not.

21 Q. Okay. Do you know how bankruptcy attorneys

22 acquire the information they use to prepare claims?

23 A. The bankruptcy attorneys, if there's any other

24 system that they use I'm not aware of that, because I

25 don't prepare the Proof of Claims.

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1 Q. Okay.

2 A. I would say they were -- would be in conjunction

3 with this system within Wells Fargo, that our bankruptcy

4 system would use this. But there's -- and there are

5 other bankruptcy screens. All of those screens I can't

6 answer to because I don't use -- if I'm not using that

7 or I'm not preparing that, I'm not familiar with that

8 screen. It may not be something that I use.

9 Q. Okay.

10 A. So I wouldn't answer to that.

11 Q. Okay.

12

MR. BARTHOLOW: I'll mark this as Exhibit

13 Number 3.

14 (Exhibit No.3 was marked.)

15

(By Mr. Bartholow)

I'll represent to you these

Q.

16 are the Amended Objections and Answers.

17 A. Okay.

18 Q. Do you agree that that's what this is?

19 A. I agree.

20 Q. Okay. And when did you first see this document?

21 A. I don't recall the exact date that I first saw

22 this document.

23 Q. Okay. Originally we mentioned the date in

24 June--

25 A. Correct.

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1

Q.

as being the date that you thought the file

2 had first come to you.

3

MR. BARTHOLOW: I'm marking as Exhibit 4 a

4 verification.

5 (Exhibit No.4 was marked.)

6

Q.

(By Mr. Bartholow)

Do you recognize that as your

7 signature?

8 A. I do, yes.

9 Q. And is that the verification you signed in

10 connection with these amended responses?

11 A. Yes, sir.

12 Q. Okay. What's the date on that?

13 A. The date is June 12th, 2009.

14 Q. Okay. Would that be the day that you first saw

15 these amended responses?

16 A. Correct.

17 Q. SO you didn't write these responses either; is

18 that correct?

19 A. Correct.

20 Q. Okay. And how did these responses come to you?

21 A. If I recall, these were, again, sent to me from

22 Carol Davis.

23 Q. Okay. And when you signed this version, did you

24 review any documents?

25 A. No, I did not review the documents.

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1 Q. Okay. Why did you believe this version to be

2 true and correct?

3 A. Because again, I relied on the expertise and

4 the -- the investigation of the prior person reviewing

5 this information. And the first -- in looking at the

6 amended complaint, it did state that we were not the

7 owner of the note.

8 And I do believe that the person reviewing this

9 information was not fully using their full scope of

10 reviewing the documentation, and it was simply a

11 mistake. But once we realized that, we corrected it.

12 Q. How do you know that it was a mistake?

13

A. Because after it was

it -- in discussions with

14 this, after it was explained to me that we realized that

15 certain documentation was not reviewed, it was a lack of

16 reviewing the proper documentation.

17 Q. Do you know what documentation was reviewed?

18 A. Particularly what documentation was reviewed, I

19 cannot. I can speculate as to how they may have -- how

20 this answer prior to the amended answer may have come

21 about, but I'm speculating.

22

Q. Okay.

So then sort of same for both, if I'm

23 understanding correctly, that you executed a

24 verification without having reviewed anything; is that

25 correct?

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1 A. I reviewed the verification itself that I signed.

2 Q. Okay. And did you --

3

MR. SOULE: Just for clarification -- I'm

4 sorry. When you say you didn't review anything, you're

5 not talking about reviewing the answers?

6

MR. BARTHOLOW: No, I'm not talking about

7 reviewing -- that's a fair clarification.

8

Q.

(By Mr. Bartholow) Aside from this set of

9 interrogatories, Exhibit 3, the amended, did you review

10 any document whatsoever?

11 A. Not documents. What I did review with the second

12 set, I did review information on our system, but a

13 particular document, I did not.

14 Q. What information did you review on your system?

15 A. Basically verifying that the name, you know --

16 Q. I'm sorry. Let's be -- let's be real kind of

17 meticulous about this process.

18 A. Okay, certainly.

19 Q. Okay. So clearly there's an issue at this point,

20 right?

21 A. (Witness nods head.)

22 Q. And you're saying you did do a -- you reviewed

23 something. What -- I mean, let's -- very rudimentary,

24 what was the first step? You turned to your keyboard

25 and--

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1 A. When this came to me, you know, yes, I looked at

2 the system. I looked at the notes on the system.

3 Q. Would that be the Fidelity System?

4 A. I apologize. Yes, it would be the Fidelity

5 System.

6 Q. Okay. And which notes are you referring to? Are

7 there one set of notes for the whole file?

8 A. No. Well, not -- yes, there is one set of notes.

9 There's screens that pertain notes to the account. The

10 screen that I looked at was just verifying the names on

this document. Just

I looked at what I call -- it's

11

12 a screen I call the SERI screen. And that just

13

verified

I verified --

14 Q. Hang on one second.

15 A. Okay.

16 Q. That's S, as in Sam, E, as in eggs, R, as in

17 Robert?

18 A. 1, yeah.

19 Q. 1, okay.

20 A. And it's just simply a screen that I used

21 verifying the name on this account, verifying --

22 Q. Do you know what that code -- that code means as

23 an acronym for something?

24 A. No. It's generally one of our customer service

25 screens--

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1 Q. Okay.

2 A. -- that we use. Which is a basic screen with

3 general knowledge of -- you know, it has the customer's

4 name, we have the customer's address. It would have the

5 last payments received, that type of thing.

6 Q. How does that information get onto that screen?

7 Where is it stored?

8

MR. ALFIERI: Objection, form.

9 A. Where that information is stored from that

10 screen?

11

Q.

(By Mr. Bartholow) Uh-huh.

12 A. I can't answer that, as far as that expertise of

13 that Fidelity System, I cannot.

14 Q. Okay. Does your office maintain servers?

15 A. We do.

16 Q. Okay. Do you know whether the computer accesses

17 those servers in order to pull up information?

18

MR. ALFIERI: Objection, form.

19

A. Again, I'm not an expert in how our

you know,

20 how it -- the information is pulled onto that screen.

21 When we acquire loans, the information is loaded into

22 you know, I'm not a technical person; so I can't get

23 into technicalities of it. But that information is

24 uploaded to that system when we acquire --

25

Q.

(By Mr. Bartholow) Okay. Do you know who

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1 uploads the information?

2 A. I do not.

3 Q. Okay. Sorry to go off on that rabbit trail. But

4 you looked at the SERI screen, and what did it indicate?

5 A. It's just basically for my knowledge. I just

6 I went -- when this document came to me, I pulled it up

7 to be, you know, familiar with making you know,

8 reviewing the names on the document. It's just

9 something that I do with every loan. That is the only

10 screen that I recall looking at when I -- when I

11 re-signed this.

12 Q. Okay. And what -- what was the information that

13 you found?

14 A. Again, it's basically -- you know, when I'm

15 looking at a case --

16 Q. No. I mean, in this case what did you find?

17 A. Okay.

18 Q. What did it say?

19 A. Again, that screen just tells us general

20 information on the account. It did not have investor

21 information on that screen.

22 Q. Okay. Did it say investor on that screen?

23 A. It did not.

24 Q. What else did you review?

25 A. That is about -- at that point when this was

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1 signed, that's all that I reviewed at that time.

2 Q. Okay. So would you agree that these amended

3 answers indicate that there is an investor?

4 A. I agree.

5 Q. Okay. However, the screen that you referenced

6 did not indicate there was an investor; is that correct?

7 A. Correct.

8 Q. Would it normally indicate that there's an

9 investor? Is there a field for that?

10 A. There is another investor screen that you can

11 review, yes.

12 Q. Okay. Were you aware of the differences between

13 these amended responses and the original response?

14 A. I was.

15 Q. Okay. Then would you agree that one of the

16 differences was that the original response said Wells

17 Fargo owned the loan, and this one says Freddie Mac owns

18 the loan?

19 A. Yes, I agree that is a difference, yes.

20 Q. Okay. Would you agree that that means that

21 Freddie Mac is an investor for purposes of your system?

22 A. Freddie Mac is the owner of this loan.

23 Q. Okay.

24 A. The investor, the owner.

25 Q. Okay. Same -- same for purposes of this

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1 conversation?

2 A. Correct.

3 Q. Okay. So knowing that to be the difference, you

4 didn't look at any screen that would indicate whether

5 there was an investor; is that correct?

6 A. At that -- at the time of filing -- of signing

7 this--

8 Q. That's the question.

9 A. At the time of signing this, no.

10 Q. Okay. Let's -- let's move on. Have you ever

11 seen the note in this case?

12 A. I have.

13 Q. Have you in fact brought the note here today?

14 A. We do have a copy of the note, yes, we do.

15

Q. Is

is it the original note in this case?

16 A. Yes, it is.

17 Q. Okay. Do you believe it to be true and correct

18 in every respect?

19 A. I do.

20

MR. BARTHOLOW: Okay. I've got a copy. I

21 assume we don't want to mark the original as an exhibit.

22 If I can --

23

THE WITNESS: Can we call for a break, or

24 should we wait for after?

25

MR. BARTHOLOW: Sure. You're welcome to --

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1 I'm sorry, I meant to give you that information.

2 Anytime you need to use the restroom or get a glass of

3 water you're welcome to do that.

4

THE WITNESS: Okay, thank you. MR. BARTHOLOW: That's fine.

5 6

MR. ALFIERI: Ten minutes?

7

MR. BARTHOLOW: Sure. Obviously you

8 understand that you're not to speak with your attorneys

9 about your testimony.

10 11 12

THE WITNESS: Oh, yeah.

(Recess, 10:56 a.m. to 11:08 a.m.)

Q.

(By Mr. Bartholow) Okay. Ms. Savery, we just

13 went on a quick break; is that correct?

14 A. Yes.

15 Q. And did I ask you not to discuss this case with

16 your counsel during the break?

17 A. Yes.

18 Q. Is that correct?

19 A. Correct.

20 Q. Okay. And did you?

21 A. No.

22 Q. No, okay. Did you go into your counsel's office

23 during the break?

24 A. I did.

25 Q. Okay. Since it wasn't about the case, what did

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1 you discuss?

2

MR. ALFIERI: I'm going to object with

3 respect to attorney-client privilege to the disclosure

4 of any information that was talked -- that was discussed

5 between Ms. Savery and her counsel, and I instruct her

6 not to answer.

7

MR. BARTHOLOW: What would be the basis for

8 the privilege?

9

MR. ALFIERI: Attorney-client.

10

MR. BARTHOLOW: Well, I know. But you know,

11 is there some general -- if you're not talking about the

12 case--

13

MR. ALFIERI: Any communications between an

14 attorney and their client is privileged. Let's move

15 onto the next topic, please.

16 17

MR. BARTHOLOW: Okey-dokey.

Q.

(By Mr. Bartholow) All right. We were about to

18 go to the note.

19

MR. BARTHOLOW: Let me see if I can procure

20 that. Here we go. And we're up to 5 now.

21 22

(Exhibit No.5 was marked.)

MR. BARTHOLOW: Counsel, do you want to take

23 a look at that?

24

Q.

(By Mr. Bartholow) Okay. Do you recognize the

25 document that I've put in front of you?

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1 A. Yes. I recognize it to be the note.

2 Q. Okay. And by the note you mean the note executed

3 by Federico and Herlinda Guevara in this case -- that is

4 the subject of this case?

5 A. Correct.

6 Q. And you brought with you today the actual

7 original note or what you've represented to me to be the

8 actual original note; is that correct?

9 A. That is correct.

10 Q. Okay. Now, having looked at the copy that I've

11 given you and this actual original, are they identical

12 in every respect?

13 A. May I?

14 Q. Absolutely.

15 A. Thank you. Okay. Yes, they --

16

MR. ALFIERI: For the record, the original

17 has yellow highlights where the signature of the general

18 counsel of Lone Star Realty signed. And on the back

19 appears to be a stamp of -- from Wells Fargo Home

20 Mortgage, Inc., without recourse pay to the order of.

21 That is not on the copy. It is on the original.

22

Q.

(By Mr. Bartholow) Okay. So this is not a true

23 and correct copy of the note?

24 A. Not a complete true and correct copy of the note,

25 no.

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1 Q. Okay. When did you first obtain the original

2 note that we have here today?

3 A. We obtained that --

4 Q. You in particular. When did it first come to

5 your hands?

6 A. It didn't come directly to my hands.

7 Q. Oh, it didn't?

8 A. It did not.

9 Q. SO today would be the first time that you've

10 actually seen this document?

11 A. No. I saw this document yesterday.

12 Q. Oh.

13 A. In reviewing documents.

14 Q. Okay. Do you recognize the copy of the note as

15 being the copy that was produced in connection with the

16 discovery request in this case?

17 A. I do recognize the note.

18 Q. Okay. Let me, I guess, lay a little better

19 foundation for that question.

20 Did you review the documents that were produced

21 in connection with the discovery request that the

22 Plaintiffs made in this case?

23 A. I have.

24 Q. Okay. Have you reviewed everyone of those

25 documents?

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1 A. Can you clarify "everyone of those documents" as

2 produced in what was requested in the discovery?

3 Q. Yes.

4 A. Yes, I have.

5 Q. Okay. And that included this copy?

6 A. Correct.

7 Q. Okay. And so your testimony is that the copy

8 that was produced in discovery differs from the original

9 in that there's an endorsement that appears on the

10 original that does not appear in the copy; is that

11 correct?

12 A. That is correct.

13 Q. Okay. The endorsement that's on the back of this

14 document appears to be a stamp; would you agree?

15 A. I would agree.

16 Q. Okay. When was that stamped?

17 A. I do not know.

18 Q. Okay. So it could have been yesterday?

19 A. I do not know when it was stamped.

20 Q. Could have been the day the mortgage was signed,

21 right?

22

MR. ALFIERI: Objection, form.

23

Q.

(By Mr. Bartholow) You don't know?

24 A. Correct.

25 Q. Okay. When did Freddie Mac acquire this loan?

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1 A. The exact date that Freddie Mac bought or

2 acquired this loan, I want to say that it was in March

3 of 2001; or it could have been May of 2001. And I'm

4 going back to documentation that I reviewed, but the

5 exact date I do not know.

6 Q. Okay. What document would you have reviewed to

7 determine that?

8 A. Pooling documents when this --

9 Q. Pooling documents?

10 A. Right.

11

MR. BARTHOLOW: Okay. Is that something

12 that's been produced?

13

MR. ALFIERI:

(Nodding head.)

14 A. It has.

15

MR. BARTHOLOW: Mark, is that part of what

16 was produced in June I guess, or about 16 pages that

17 came through?

18 MR. ALFIERI: Yes.

19 MR. BARTHOLOW: Okay.

20 MR. ALFIERI: And I think it's Bates Stamp

21 Number WFB00404 to 420 or so.

22

Q.

(By Mr. Bartholow) All right. I'm going to hand

23 to you -- indeed they are WFB00404 through WFB00419 for

24 your review.

25 A. Thank you.

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1

Page 47 MR. BARTHOLOW: And I'd like to mark that as

2 Plaintiffs' Number 6, Exhibit Number 6. If you would

3 allow the reporter to mark that, please.

4 (Exhibit No.6 was marked.)

5

Q.

(By Mr. Bartholow) Okay. Take a minute to look

6 at it.

7

A.

(Reading document.)

8 Q. Okay. Have you seen those documents before?

9 A. Yes.

10 Q. Okay. How did you come to -- or did you -- did

11 you gather those documents for purposes of this case?

12 A. I personally did not gather these documents for

13 this case, no.

14 Q. Who did?

15 A. Carol Davis would have produced these documents.

16 Q. Carol Davis, okay. So do you know where -- how

17 Carol got these documents?

18 A. I don't, no.

19 Q. Do you know what data base they came from?

20 A. I do not, no.

21 Q. Do you know how the information that's contained

22 in them was populated?

23 A. I do not.

24 Q. Okay. Do you know what they are?

25 A. Yeah. It appears -- it is pool details from

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1 loans that we -- that were sold to -- it appears that

2 were sold to Freddie Mac.

3 Q. How do you know that they're -- what is -- what

4 is pool details?

5 A. Basically when pool deals -- pool loans that we

6 acquired for servicing that were sold to Freddie Mac.

7 Q. Okay. Well, looking at Page 2, this looks to me

8 like a screen shot. Would you agree that that's what

9 this is?

10 A. I would agree, yes.

11 Q. Okay. Is this what the Fidelity System looks

12 like?

13

MR. ALFIERI: Objection, form.

14 A. Not to -- this is not a familiar screen to me,

15 no.

16

Q.

(By Mr. Bartholow) Okay. Would you have any way

17 of seeing this screen within the scope of your duties?

18 A. Not within the scope of my duties, no.

19 Q. Okay. Let's move on.

20

MR. BARTHOLOW: And I'm handing to you a

21 document I would like to have marked as Plaintiffs'

22 Exhibit 7.

23 (Exhibit No.7 was marked.)

24

Q.

(By Mr. Bartholow) Have you seen this document

25 before?

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1 A. I have.

2 Q. You have, okay. And do you recognize it to be

3 Wells Fargo's response to the qualified written request

4 letter that I sent?

5 A. I do.

6 Q. Okay. I've highlighted some language on this

7 page. Could you read the highlighted language please?

8 A. I would also like to confirm that Wells Fargo

9 Home Mortgage is the current holder of the mortgage for

10 this loan and that the loan has a current interest rate

11 of 7.125 percent.

12 Q. Okay. And who is the person that signed this?

13 A. Hanna Tomlinson.

14 Q. Is that somebody you know?

15 A. I know of her, yes.

16 Q. Okay. Have you spoken with her regarding this

17 matter?

18 A. I have not.

19 Q. You have not, okay. All right. Let's go back to

20 briefly the -- it is the Amended Objections.

21 A. Okay.

22 Q. SO looking again at Exhibit 3; is that correct?

23 A. Correct.

24 Q. Okay. Looking at Interrogatory Number 2, the

25 answer here indicates that Wells Fargo is researching to

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1 determine whether Plaintiffs' mortgage is part of a

2 whole loan servicing agreement. Have you participated

3 in any research to determine that?

4 A. I did not.

5 Q. Okay. Are you aware of any research that is

6 ongoing regarding that?

7 A. I do not.

8 Q. Okay. Who would be responsible for conducting

9 that kind of research?

10 A. This -- as far as conducting that research, I

11 would go back to Carol Davis or John Grissom.

12 Q. Okay. So in your capacity as a litigation

13 specialist, you would effectively outsource research of

14 that nature?

15

MR. ALFIERI: Objection, form.

16 A. That depends on the circumstance, if it's

17 whether it was a case directly assigned to me or not.

18

Q.

(By Mr. Bartholow) Okay. So are you testifying

19 that this case was not directly assigned to you?

20 A. Correct.

21 Q. Well, at least you get to be in Dallas.

22 Were you involved in the preparation of any of

23 the responses in these amended responses to

24 interrogatories? I already asked you that; didn't I?

25 A. You did.

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1

Q.

I apologize.

2

Okay. Have you been involved in any of the

3 research that is referenced anywhere in these amended

4 interrogatories?

MR. ALFIERI: Objection, form.

5 6

A.

I have been involved in researching information.

7

(By Mr. Bartholow)

Okay.

Such as?

Q.

8 9

A.

Part of what I participated in in gathering

information

if I can rephrase from saying research,

10 but gathering information; I would rephrase that to

11 gathering information -- in preparation for -- and not

12

So I'm going to say no.

I'm going to

these answers.

13 retract that and say no.

14 Q. Okay. What information have you gathered?

15 A. Information -- gathered information such as, you

16 know, check copies where payments were made as far as

17 fees on the account, you know, different information

18 pertaining -- the request that was required from us,

19 documentation, I assisted in locating that information

20 in preparation for -- for this file today.

21 Q. And who did you assist?

22 A. I assisted Carol Davis.

23 Q. You assisted Carol Davis?

24 A. Correct.

25

Q. Okay.

She's not in Dallas today; is that

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1 correct?

2 A. That is correct.

3 Q. Okay. Well, so what I'm gathering is that what

4 you are -- I don't know if this is fair to say, more

5 knowledgeable about would be the pay history of the

6

loan; or would that

would that be more within the

7 scope of what you have prepared for in preparation for

8 today?

9 A. I am knowledgeable of the pay history.

10 Q. Okay. Well, we'll go through that in a minute.

11 A. Okay.

12 Q. And hopefully that will go a little bit smoother.

13

MR. ALFIERI: Objection to the side bar.

14

(By Mr. Bartholow)

Is Wells Fargo presently the

Q.

15 custodian of this note?

16 A. That is correct.

17 Q. How do you know that?

18 A. When we obtained the note, the custodian that we

19 retrieved the original note from was Wells Fargo.

20 Q. Did you retrieve it?

21 A. I participated in retrieving the note.

22 Q. What did your participation involve?

23 A. The participation was having a verification form

24 signed by a VP level that would allow us to retrieve

25 that document from the custodian.

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1 Q. Do you have that verification form?

2 A. I do not.

3 Q. Okay. Can you produce that for me, please?

4 A. I believe I could. That's simply a form that we

5 would use to enable us to retrieve a document from the

6 custodian.

7 Q. Okay. And that was signed by somebody at the VP

8 level?

9 A. Correct.

10 Q. Do you know who that person was?

11 A. I do.

12 Q. And it was --

13 A. Reginald Watkins.

14 Q. Reginald Watkins, okay.

15

MR. SOULE: On your request for documents,

16 all those are obviously subject to production requests

17 and

18

MR. BARTHOLOW: Which have been made already

19 in the original request to produce.

20

MR. SOULE: For the verification of the

21 release of the note?

22

MR. BARTHOLOW: Absolutely.

23

MR. SOULE: Where was that?

24

MR. BARTHOLOW: All of these Freddie forms

25 that are required in order to release a note are

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1 specifically requested and identified.

2

MR. SOULE: Okay. Just so long -- I just

3 want to make sure we -- either we have the request on

4 file and they have to go through our office is fine, but

5 I just want to make sure that you're not asking her to

6 do something that -- without -- she needs to make sure

7 that it's okay with counsel.

8 9

MR. BARTHOLOW: It has been requested.

MR. SOULE: Okay, thank you.

10

Q.

(By Mr. Bartholow)

I'm going to go through a

11 little bit of a technical part where I'm going to ask

12 you about various forms. If you don't know about them,

13 obviously that's what you'll tell me.

14

MR. BARTHOLOW: But I'm marking Exhibit 8.

(Exhibit No.8 was marked.)

15 16

Q.

(By Mr. Bartholow) Okay. Now, you have already

17 testified that you were involved in information

18 gathering but not production of documents; is that

19 correct?

20 A. Correct.

21 Q. Okay. So I'm not going to ask you whether you

22 produced documents, but I would like you to turn to --

23 and I'm sorry. I've again given you my marked copy.

24 Sorry about that.

25 (Exhibit No.8 was re-marked.)

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1

Q.

(By Mr. Bartholow) Okay. I am proffering that

2 the document I've given to you is the amended objections

3 and responses to our first request for production. Have

4 you seen this document before?

5 A. Yes.

6 Q. Okay. Is it that document?

7 A. Yes.

8 Q. Okay. I'd like you to look at Request Number 6.

9

MR. ALFIERI: I'm going to have to object to

10 this, Thad, because this is not within the topics that

11 this witness was brought to Dallas to testify to. Now,

12 you did ask that she be able to testify on topic 2 and 3

13 with respect to the interrogatories, and we have done

14 that.

15 And you know, obviously she's available for

16 further testimony; but there's nothing in this Exhibit A

17 that would indicate she has been requested or that we've

18 produced a witness to testify to the production of

19 documents in this case.

20

MR. BARTHOLOW: I'm not asking her to

21 testify to the production of documents.

22

MR. ALFIERI: Okay. Then--

23

MR. BARTHOLOW: And I haven't even asked her

24 a question yet, so --

25

MR. ALFIERI: Then let me rephrase it.

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1 There is nothing in Topic A whereby you have asked for

2 any knowledge of a witness with respect to the requests

3 for production that Plaintiffs served on Wells Fargo.

4

MR. BARTHOLOW: Okay. I'm using this as a

5 basis for questions relating to the note. And to the

6 extent that this witness is here to testify regarding

7 information relied on -- well, the transaction history,

8 the computer systems employed in connection with

9 servicing the loan, the relationship between Freddie Mac

10 as it pertains to the mortgage loan, which is what the

11 subject of these questions are going to be, I think I'm

12 well within my rights to ask her.

13

MR. ALFIERI: Okay. I would ask you then to

14 withdraw Exhibit 8 from this deposition. And you can

15 continue to ask her any questions with respect to any

16 topic that was duly noticed under the deposition. And

17 to the extent your questions touch on those topics,

18 she's here to answer.

19 But I will object and ask her not to testify with

20 the exhibit in front of her or to the extent that you

21 draw her attention to any question

22

MR. BARTHOLOW: Wait a minute, Mark. Wait a

23 minute. She has already testified that she's reviewed

24 this document. Why can't she testify as to the document

25 that she's reviewed if she has knowledge of it? I mean,

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1 what's -- what is gained by limiting that? We'll notice

2 up another deposition.

3

MR. ALFIERI: Okay. I'm -- you know, my

4 you've asked us to produce a witness with respect to the

5 topics in Exhibit A.

6

MR. BARTHOLOW: She can testify that she

7 doesn't know if she doesn't know. She's here. We may

8 as well

9

MR. ALFIERI: I think we're going to --

10 again, I'm going to instruct the witness not to answer,

11 not to look through that document, to please proffer it

12 back to Counsel. And then we can continue with whatever

13 questions

14

MR. BARTHOLOW: Do we need to get a ruling

15 on it? Is that -- is that where we are? Do we need to

16 get a ruling from the Court on it?

17

MR. ALFIERI: Well, if that's what you're

18 insisting upon, yeah.

19

MR. BARTHOLOW: First of all, I just don't

20 understand why this is a big deal. I don't get it.

21 Maybe you could explain to me why there's a benefit

22 here.

23

MR. ALFIERI: Well, she made -- she made a

24 comment with respect to her review of this document.

25 She reviewed it by looking to see what it was in front

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1 of her.

2

MR. BARTHOLOW: She also made a comment that

3 she reviewed it in preparation for today and that she

4 reviewed all of the documents that were produced in

5 connection with this previously. We can have that read

6 back from the record if you like. I think it's within

7 the scope of her knowledge.

8 9

MR. ALFIERI: Okay. I would disagree. I'll

get a

you know, if you want to get a ruling from the

10 Court on that, we can do that. But I'm going to

11 instruct this witness not to testify to any -- and to

12 use that as an exhibit

13

MR. SOULE: Why don't -- just to kind of

14 bring it back to the middle. Why don't you just ask her

15 the questions that you were going to related to the

16 documents -- or the topic areas that are on Exhibit A.

17 It sounds like you're going to get to the same point

18 anyway.

19

MR. BARTHOLOW: Well, I agree. Which is

20 part of why I don't understand the objection.

21 22

MR. SOULE: Well, why don't you take it from

that

if it's possible, if you could take it from

23

that

from that angle and work that direction as

24 opposed to -- I think what Mark is saying is that as a

25 corporate rep you've asked for a person to testify on

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1 Numbers 1 through 11, which is fine.

2 And to the extent that some of those documents

3 were attached to the request for production to me is not

4 really relevant. It's the documents that have

5 themselves are what's relevant and not necessarily the

6 request for production.

7

MR. BARTHOLOW: Fair enough. We'll do that.

8 Exhibit 8 withdrawn I suppose for the moment.

9

Q.

(By Mr. Bartholow) Have you seen any pooling and

10 servicing agreement that this loan is a part of?

11 A. I have not.

12 Q. Okay. Do you know whether this loan is subject

13 to a pooling and servicing agreement?

14 A. I do not.

15 Q. Would you be able to find out?

16 A. I could.

17 Q. How would you do that?

18 A. I would have to go back through some research and

19 different departments and acquire that from other areas

20 that would handle that. I do not handle that.

21 Q. Okay. What departments would that include?

22 A. Again, I don't know exactly. I would have to

23 research who would actually handle that. I cannot

24 answer that.

25 Q. Have you seen an original of any assignment of

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1 the note or deed of trust?

2

A. An original copy?
Q. Uh-huh.
A. I have not.
Q. Okay. What documents establish that Freddie Mac
is the owner of the note in this case? 3

4

5 6

7 A. The document that establishes that Freddie Mac is

8 the owner of -- the actual document -- the document that

9 we do have -- we have the original note that has Freddie

10 Mac at the bottom of the note, but it's assigned to

11 Wells Fargo. The document that

12 Q. Wait, wait, wait, wait.

13 A. The only --

14 Q. I'm sorry. I think that the note that we've got

15 here is endorsed and blank; is that correct?

16 A. Correct.

17 Q. Okay. It doesn't say Freddie Mac anywhere on it,

18 right?

19 A. Only at the bottom of the note.

20 Q. That it's a Freddie Mac form, right?

21 A. As a Freddie Mac instrument, yes.

22 Q. I mean, that doesn't mean anything

23 A. It doesn't.

24 Q. regarding Freddie Mac's ownership, does it?

25 A. Correct.

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1 Q. Okay. So what document does Wells Fargo have

2 that shows that Freddie Mac owns this loan?

3 A. I cannot answer that. I don't know.

4 Q. What document does Wells Fargo have that shows

5 that Wells Fargo owns this loan?

6 A. Wells Fargo doesn't own this loan.

7 Q. What document do you have that shows that Wells

8 Fargo had possession of this note on the day this case

9 was filed?

10 A. The document that we have in possession of --

11 that we have -- let me ask you to repeat that again. I

12 apologize.

13 Q. Do you have a document that establishes that

14 Wells Fargo was in possession of this note on the day

15 this bankruptcy case was filed?

16 A. The documents that we have are copies of the note

17 and the security instrument that we had possession of

18 the note the day this was filed. We do have the

19 original note.

20 Q. You've got it today.

21 A. Correct.

22 Q. How do we know that you had it when the case was

23 filed?

24

MR. ALFIERI: Objection, form.

25 A. I don't.

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1

Q.

(By Mr. Bartholow) Okay. Do you have any

2 document that establishes that Freddie Mac had

3 possession of the note on the day the case was filed?

4 A. I don't.

5 Q. Are you familiar with the term P309 transaction

6 history?

7 A. I am.

8 Q. What is that?

9 A. That is one of our screens that houses our

10 payment history.

11 Q. Okay.

12 A. The payment history transactions on this

13 particular loan.

14 Q. Okay. And has one of those been produced in this

15 case?

16 A. The P309 screen shots in this case, I don't

17 believe so, no.

18 Q. Okay. But it's something that could be produced?

19 A. Correct.

20 Q. Okay. And it's something that obviously you're

21 familiar with?

22 A. Correct.

23 Q. Okay. Is it Wells Fargo's practice to produce

24 Excel spreadsheets to document loan histories?

25 A. It is.

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1 Q. It is, okay. And are they produced on a regular

2 basis, or are they produced only upon demand?

3 A. Upon demand.

4 Q. Okay. Do you know how many times an Excel

5 spreadsheet has been produced in connection with this

6 loan?

7 A. I'm only aware of one.

8 Q. Only aware of one, okay. Now, is there only one

9 kind of Excel spreadsheet that can be produced, or are

10 there more than one kind? And without -- I'm not trying

11 to bait you here. I'm familiar with something that's

12 called a bankruptcy transaction history that appears to

13 be an Excel spreadsheet. Is that different from a

14 normal Excel spreadsheet transaction history? Are you

15 familiar with the bankruptcy -- excuse me. Strike the

16 question.

17 Are you familiar with a bankruptcy transaction

18 spreadsheet, transaction history spreadsheet?

19 A. Transaction bankruptcy history spreadsheet, yes.

20 Q. You are, okay. Does that differ from the typical

21 Excel spreadsheet that's produced?

22

MR. ALFIERI: Objection, form.

23 A. I'm only aware of one transaction spreadsheet

24 bankruptcy history spreadsheet in relation to this case

25 or any case. I'm only familiar with one spreadsheet.

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1

MR. BARTHOLOW: Let me -- I'll make it

2 easier. I'm not trying to be tricky with that. I'm

3 afraid I just have one copy here. But we'll mark this

4 as I guess Exhibit 8.

5 (Exhibit No.8 was re-marked.)

6

Q.

(By Mr. Bartholow)

Do you recognize that

7 document?

8 A. Yes.

9 Q. Okay. And are you familiar with how that

10 document is generated?

11 A. I am.

12 Q. Okay. Who generates that document?

13 A. We have a qualified written response group that

14 handles these payment histories --

15 Q. Okay.

16 A. in producing the spreadsheet.

(Exhibit No.9 was marked.)

17 18

Q.

(By Mr. Bartholow) And I'm going to give you

19 Exhibit 9. Keep that one handy. Do you recognize that

20 document?

21 A. No.

22 Q. Okay. Do you recognize the title Customer

23 Account Activity Statement that appears on it?

24 A. I do. I understand what that statement means.

25 Q. Okay. Have you seen this type of document

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1 before? Without regard to this particular case, but a

2 customer account activity statement like this?

3 A. I have.

4 Q. You have, okay. So it's your testimony that

5 you've never seen this one, though?

6 A. Correct.

7 Q. Okay. But you did review all of the documents

8 that were produced in connection with this case?

9 A. This is the history that I reviewed.

10 Q. Okay. Not the question. The question was did

11 you review all of the documents that Wells Fargo

12 produced in connection with this case?

13 A. I did.

14 Q. Okay. Did you review all the documents

MR. ALFIERI: Objection, form.

15 16

Q.

(By Mr. Bartholow)

Did you review all of the

17 documents that I produced on behalf of the Guevaras in

18 connection with this case?

19 A. I have.

20 Q. Okay. And so it's your testimony that you have

21 never seen that document before?

22 A. I do not recall looking at this particular

23 account activity statement.

24 Q. Okay. Do you know how Wells Fargo determines

25 when and whether to charge a late fee?

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1 A. I do.

2 Q. Okay. How do they do it?

3 A. Okay. After the -- after the 15-day grace period

4 and this is typical. Some notes can vary, but it's

5 typical that the payment is due on the 1st of the month;

6 and after 15 days a late fee is assessed on the 16th of

7 the month. And typically that's 5 percent of what their

8 payment is.

9 Q. Is it assessed every time?

10 A. Every -- each time the payment is late, yes, a

11 late fee is assessed if it's not received by the due

12 date or the grace period that's been granted.

13 Q. Are there any exceptions that would be made?

14 A. Not that I'm aware of.

15 Q. Okay. Are you aware of any changes to Wells

16 Fargo's accounting practices following April of 2007?

17

MR. ALFIERI: Objection, form.

18 A. I am not.

19

Q.

(By Mr. Bartholow) Okay. And specifically with

20 regard to how Wells Fargo books receipts and pays late

21 fees from those receipts, have you ever heard of any

22 changes being made?

23 A. I have not.

24 Q. Okay. Are you familiar with Freddie Mac

25 Servicing Guidelines?

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1 A. If it pertains to what I do on a daily basis,

2 yes.

3 Q. Okay. And what does that include?

4 A. General servicing of the loan. I do -- I have

5 some knowledge of how the custodial files are held.

6 Q. How are the custodial files held?

7 A. It's designated by Freddie Mac who the custodian

8 would be.

9 Q. I'm sorry, what is designated?

10 A. Who the custodial facility would be, who the

11 custodian would be.

12 Q. Where would that designation be, or how does

13 that designation -- I mean, does it appear on a computer

14 screen? Is it in a file?

15 A. It -- in general I'm just -- no, it would not

16

be

it would not be -- are you asking in relation to

17 this loan or just in general?

18 Q. I want to know what your knowledge is

19 A. Okay.

20 Q. -- regarding the custodial procedures pertaining

21 to Freddie Mac and their guidelines.

22

MR. ALFIERI: Okay. Ask -- wait for the

23 question.

24

THE WITNESS: Thank you.

25

MR. ALFIERI: Mr. Bartholow will ask you a

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1 question. Answer the question.

2 A. Okay. Could you re-ask the question, please?

3 Thank you.

4

Q.

(By Mr. Bartholow) Okay. You stated a moment

5 ago that you were familiar with the custodian -- custody

6 guidelines for Freddie Mac, correct?

7 A. Yes, correct.

8 Q. Okay. What are the custody guidelines for

9 Freddie Mac? What is your knowledge of them anyway?

10

MR. ALFIERI: Ask a specific question to my

11 witness, please.

12

MR. BARTHOLOW: That is as specific as I can

13 get.

14

Q.

(By Mr. Bartholow)

Please answer the question if

15 you can.

16 17

MR. ALFIERI: Objection, form.

Q.

(By Mr. Bartholow) You can answer if you know,

18 if you're able. If you're unable, that's fine. We

19 can -- I can pullout some Freddie guidelines and we can

20 talk about them specifically.

21 A. Okay. Let's move forward.

22

(Exhibit No. 10 was marked.)

23

Q.

(By Mr. Bartholow)

The document I am handing you

24 is a custodian certification schedule summary form

25 1034S. Have you seen this form before?

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1 A. I have not.

2

(Exhibit No. 11 was marked.)

3

Q.

(By Mr. Bartholow) Okay. Let's do 11. And the

4 document I'm now proffering to you is custodian

5 certification schedule summary for multipurchase

6 contracts Freddie Mac form 1034SM. Have you seen this

7 form before?

8 A. I have not.

9 Q. Okay. This is going to be kind of like a pop

10 quiz. But do you know when Freddie Mac considers

11 delivery to be complete, what is required to complete

12 delivery of loan documents? I'm specifically referring

13 to mortgage notes and the mortgage file.

14 A. I do not.

15 Q. Okay. Do you know how a custodian would certify

16 to Freddie Mac that the documents had in fact been

17 delivered to it?

18 A. I do not.

19 Q. SO as a consequence it follows that you do not

20 know whether this custodian of the Guevaras' loan had

21 certified this loan as having been delivered to Freddie

22 Mac; is that correct?

23 A. Correct.

24 Q. Are you familiar with a program called Midanet?

25 A. I am not.

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1 Q. I'll spell it. It's, M-i-d-a-n-e-t.

2 A. I'm not familiar with that.

3 Q. Okay. Do you know what the proper form of

4 endorsement that would appear on a note would look like

5 in order for it to be enforceable by Freddie Mac?

6 A. The endorsement from Freddie Mac? Could you

7 is that the question?

8 Q. No.

9 A. I'm sorry.

10 Q. Do you know whether Freddie Mac has any

11 requirement regarding the type of endorsement that must

12 appear on notes that it acquires?

13 A. From my knowledge, Freddie Mac does not

14 require -- Freddie Mac requires an endorsement to the

15 server. To my knowledge, Freddie Mac does not require

16 from the server to Freddie Mac. I believe that there is

17 a waiver involved to where that is not required, to my

18 knowledge.

19 Q. Okay. And what is that knowledge based on?

20 A. Based on the guidelines that I've reviewed.

21 Q. Okay. Would those be the Freddie Mac Servicing

22 Guidelines?

23 A. Correct.

24

MR. BARTHOLOW: When did you guys think you

25 waned to break for lunch?

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1

MR. ALFIERI: Do you feel like you want to

2 break?

3

THE WITNESS: That's fine.

4

MR. ALFIERI: Now or whenever. We haven't

5 talked about it, so --

6

MR. BARTHOLOW: I'm a little early here, but

7 I've been

8 9

MR. ALFIERI: Is this a good stopping point?

MR. BARTHOLOW: This is probably a good

10 stopping point for me, if that's all right.

11

MR. ALFIERI: That's fine. We can go off

12 the record.

13 (Recess, 11:51 a.m. to 1:07 p.m.)

14

Q.

(By Mr. Bartholow) All right. Ms. Savery, I

15 found

16

MR. BARTHOLOW: Well, let's mark this I

17 suppose.

18 (Exhibit No. 12 was marked.)

19

Q.

(By Mr. Bartholow)

This I will represent to you

20 is a printout from spoke. com, which is a business

21 networking site; and it mentions a Tamara Savery who

22 works for Wells Fargo in San Francisco. Is that a

23 different person?

24 A. I've never seen -- never seen anything like this.

25 I couldn't tell you if there's another Tamara Savery or

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1 not.

2 Q. Have you ever had that address that's on there?

3 A. In San Francisco?

4 Q. Uh-huh.

5 A. I have not.

6 Q. Have you ever lived in San Francisco?

7 A. No.

8 Q. Okay. We'll assume it's somebody else. Just

9 asking.

10 A. Nope, never lived in San Francisco.

11 Q. Okay. Now onto some meatier things.

12

MR. ALFIERI: Oh, can we take a break for a

13 second? I thought John may want to join us. Hold on

14 one second. Let me get his number. I apologize.

(Recess, 1:09 p.m. to 1:10 p.m.)

15 16 17

(Exhibit No. 13 was marked.)

MR. ALFIERI: John, we're back on the record

18 now.

19

MR. GRISSOM: Okay. I may have to drop off

20 pretty quick, but go ahead.

21

MR. ALFIERI: Okay. Well, do what you need

22 to do; and we're going to continue the deposition.

23

MR. GRISSOM: All right, thanks.

24

MR. BARTHOLOW: And Mark, if I could trouble

25 you at some point -- it doesn't have to be right now.

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2 exhibit made? I thought I brought two of them.

10 11 12

13

14

15 16

3

MR. ALFIERI: Absolutely, absolutely.

4

MR. BARTHOLOW: I'm referencing Exhibit 8,

5 for the record.

6

MR. ALFIERI:
me to bring it out now?
MR. BARTHOLOW:
just a second.
MR. ALFIERI:
MR. BARTHOLOW:
MR. ALFIERI:
down.
MR. BARTHOLOW:
MR. ALFIERI:
MR. BARTHOLOW: 7

8 9

17 move on.

18

Q.

(By Mr. Bartholow)

Yeah, absolutely. Do you want

Yeah. We can hang on for

Let me go get it.

Okay, thank you.

The secretary will bring it

Thank you.

Or are you going to use that?

No, no, that's fine. We can

I have marked Plaintiffs'

19 Exhibit 13 here, which was produced by you in connection

20 with my request. It's Bates stamped 00310, and it is

21 entitled Crossland Mortgage Corp. Limited Power of

22 Attorney. Ms. Savery, have you seen this document

23 before?

24 A. I have not.

25 Q. Okay. And I apologize, I'm not trying to beat on

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1 you here. But the testimony before was that you had

2 reviewed all of the documents that had been produced to

3 me. And this, as you'll notice, is Bates stamped which

4 means it was produced to me. I guess it's -- you

5 overlooked it in reviewing it or

6 A. Unfortunately I believe I misspoke. But no, I

7 have not reviewed this document.

8 Q. Okay. Well, then we will move on.

9

MR. BARTHOLOW: I'd like to mark Exhibit 14.

10 11

(Exhibit No. 14 was marked.)

Q.

(By Mr. Bartholow) Ms. Savery, I will represent

12 to you that this is a corporation assignment of deed of

13 trust that purports to transfer the deed of trust and

14 note from Lone Star Realty to Wells Fargo. Have you

15 seen this document before?

16 A. Yes, I have.

17 Q. You have, okay. Do you know where it came from?

18 A. Who produced the document, no, I do not.

19 Q. Okay. You'll see that it identifies -- well,

20 first of all, are you a notary?

21 A. I am not.

22 Q. You are not a notary, okay. You'll see that it

23 identifies somebody named Paula Hester, general counsel

24 for Lone Star --

25 A. Uh-huh.

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1 Q. -- on there.

2 A. Correct.

3 Q. Okay. What is your -- do you know what this

4 document is?

5 A. It's an assignment of deed of trust from Lone

6 Star to TD Service Company.

7 Q. Okay. You -- okay. It's an assignment from Lone

8 Star to TD Service Company?

9 A. Excuse me. It's -- the undersigned herein grants

10 and assigns transfer to Wells Fargo Mortgage, so it's

11 transferring -- transferring the assignment to Wells

12 Fargo.

13 Q. Okay. And when is it dated?

14 A. The date on the document is March 1st, 2001.

15 Q. Okay. In addition to Ms. Hester's name, this

16 document appears to have a name that is marked out by a

17 single line. Do you see that?

18 A. I do.

19 Q. Okay. What is that name?

20 A. From what I can make out, it -- Fiary [phonetic]

21 Yarbrough.

22 Q. Perhaps Gary Yarbrough?

23 A. Perhaps Gary. It looks like an F, but yes, Gary

24 Yarbrough, okay.

25 Q. And above the signature line it indicates his

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1 title. Can you make that out? On the right side.

2 A. General counsel senior vice president -- or

3 senior vice president is what's crossed out.

4 Q. Is what's stricken, okay.

5 A. Right.

6 Q. All right. Now, I know you're not a handwriting

7 expert -- or I don't know that actually. Are you a

8 handwriting expert?

9 A. I am not.

10 Q. If you look at the name Paula Hester as it's

11 handwritten in here, does it appear to be written in the

12 same hand, just based on your nonexpert opinion, as the

13 name for Mr. Yarbrough on here?

14 A. Okay. If you could clarify. You're asking if

15 both the signature for Gary Yarbrough and Paula Hester

16 are the same -- does it appear --

17 Q. Does the handwriting for where, yeah, his name is

18 written and her name is written above it, does that

19 appear to be the same handwriting?

20 A. I can't make that determination. To me it

21 doesn't appear to be the same.

22 Q. Okay. That's all I'm asking. The date on the

23 left side where it says March 1, 2001, does it resemble

24 the handwriting that says Gary Yarbrough beneath it or

25 the handwriting that says Paula Hester? Again, in your

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1 amateur opinion.

2 A. In my opinion it does not.

3 Q. Okay. Now, let's go back, though, to the Exhibit

4 13. With the understanding that you're not familiar

5 with this document, I would like you to turn to the

6 second page. Do you see handwritten beneath the word

7 broker a name?

8 A. Yes, I do.

9 Q. A corporate name, what is that?

10 A. The name under the broker is Lone Star Realty

11 Investments, Incorporated.

12 Q. Okay. And then there's a by line. Is there a

13 signature on the by line?

14 A. There is not.

15 Q. Okay. And what is the name beneath the by line?

16 A. Gary T. Yarbrough, Sr. Vice President.

17 Q. Okay. Now let's move down to the notary. It

18 appears to me to say State of Texas, County of Tarrant.

19 Does that seem plausible to you? It's a little hard to

20 read.

21 A. From what I can make out, it does, correct.

22 Q. Okay. And can you make out the date beneath

23 that?

24 A. The date looks to be the 11th day of October,

25 1999.

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1 Q. Okay. And what does it say after that?

2 A. Hereby before the undersigned Notary Public in

3 and for said county and state this 11th day of October,

4 1999 personally appeared Gary T. Yarbrough, the Sr. Vice

5 President of Lone Star Realty Investments, Incorporated.

6 Q. Okay. Keep going.

7 A. Broker herein, who after been duly sworn --

8

THE REPORTER: Slow down a little bit when

9 you're reading, please.

10

THE WITNESS: Okay. I apologize.

11 A. Broker herein, who after having been duly sworn

12 upon his/her/then [sic] oath acknowledged the execution

13 of the foregoing limited Power of Attorney for and on

14 above [sic] said corporation and stated that the

15 representations contained therein are true.

16 Q. Okay. And beneath that is it signed by a notary?

17 A. Yes.

18 Q. Okay. So would you agree that we have a document

19 that is not signed by Gary Yarbrough and a notary who

20 says that Gary Yarbrough signed the document?

21 A. I would agree.

22 Q. Okay. Do you have the original bankruptcy

23 payment history? Oh, this one's it. It looked like a

24 copy, excuse me.

25

I'm handing back to you Plaintiffs' Exhibit 8,

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1 which is the bankruptcy payment history. And

2 unfortunately this is going to be the tedious part of

3 the process. But I'm going to ask you to go through it

4 with me in great detail. Are you familiar with this

5 document?

6 A. I am familiar with this document.

7 Q. Did you prepare this document?

8 A. I did not prepare this document.

9 Q. Do you know who prepared this document?

10 A. This particular document, I do not know who

11 prepared this.

12 Q. Okay. Do you know what department would

13 typically prepare it?

14 A. Our quality written response correspondence

15 department.

16 Q. QWR for short?

17 A. Yes.

18 Q. Okay. And it is entitled Bankruptcy Payment

19 History. What is the purpose of this document?

20 A. The purpose of this document is to put in ledger

21

form from our payment histories on the system

our

22 bankruptcy payment histories to format it in a ledger

23 form to make it a little bit easier to read and

24 understand and follow.

25 Q. Okay. Now, it appears that the first date on

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1 2

here is April 9th, 2001. And again, I apologize, I
didn't have the larger paper to print this on. It's
small. Are you able to read this?
A. Yes. It's a little difficult; but yes, I am.
Q. I'm sorry to do that to you. Hopefully we won't 3

4

5

6 go blind in this process.

7

Okay. So it appears to begin on April 9th. And

8 skipping to the last page, which is for this document

9 Page 10 of 10, correct?

10 A. Correct.

11 Q. It appears to -- that the ending balance on April

12 9th, 2009 is on -- 2009, that's the final line of the

13 ledger?

14 A. Correct.

15 Q. And then beneath that there are -- there's a line

16 for unapplied funds; is that correct?

17 A. That is correct.

18 Q. Okay. From the debtor and from the trustee.

19 Let's start with that.

20 A. Okay.

21 Q. What are unapplied funds from the debtor?

22

A. Unapplied funds from the debtor

what would be

23 the easiest way to explain this. When we get a payment

24 in the bankruptcy, we're getting payments from the

25 debtor. We're getting payments from the trustee. Once

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1 those payments go to our processing center, then we have

2 an allotted amount of time to apply those funds.

3 These are remaining funds that at the time this

4 was created appears not to have been applied at this

5 particular time it was created. That doesn't mean

6 they're not going to be applied. But at this -- the way

7 I am seeing this, this is the -- this is moneys left

8 that have not at the date this was done been applied yet

9 to the particular loan.

10 Q. Okay. Now, looking at this document is there a

11 way for me to tell when this was done?

12 A. Well, you would look at -- if I'm reading this

13 correctly, the 04/09 -- the very last date on this

14 payment history of 04/09/09, is that the last date that

15 you have?

16 Q. Yes.

17 A. Okay. And your question is, is there a way to

18 tell if this has been applied given off of this

19 spreadsheet?

20 Q. No, no, no.

21 A. Okay.

22 Q. My question was simply is there a way to tell

23 when this document was prepared?

24

A. Oh, I apologize. Not

I don't believe so.

25 Q. Okay. We know it was at least prepared on or

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1 after April 9th, correct?

2 A. Correct.

3 Q. Okay. Now, let's -- I -- and again, it's a

4 really bad copy. But I see $167.64 on that unapplied

5 funds from the debtor line.

6 A. I see the same thing.

7 Q. Is there a way for me to identify that number

8 somewhere in the bankruptcy payment history above?

9 A. No. These are simply funds that -- after the

10 last payment was received from the borrower applied,

11 these are remaining funds that have not yet been applied

12 to wherever we deem that they need to be applied. So

13 from looking at this number and versus the bankruptcy,

14 there's not a way to tell --

15 Q. Okay.

16 A. -- from this ledger.

17 Q. Okay. Are you familiar with the term suspense

18 account?

19 A. I am.

20 Q. Okay. What is a suspense account?

21 A. Basically the suspense account -- again, going

22 back and kind of to the process. When we receive

23 payments from the debtor or receive payments from the

24 trustee, we receive interest payments from the trustee

25 as well.

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1

Once that goes to our processing center -- you

2 know, we may get a check from the trustee. We may get a

3 check from the debtor. And it will go to our bankruptcy

4 department so they can identify where these funds need

5 to be applied. If it's funds from the debtor, they're

6 going to be applied to that portion of where it needs to

7 be applied to.

8 If it's interest from the trustee, then it's

9 going to be applied to interest of the trustee. Or if

10 it's a payment from the trustee, it's going to be

11 applied. And until then -- we receive the funds.

12 They're put into a hold account or a suspense account

13 until it's determined where those funds need to be

14 applied.

15 And per RESPA we do have -- we have to apply the

16 funds within 48 hours. And then it's taken -- when it's

17 in bankruptcy, then it's taken to our bankruptcy

18 department. And they analyze given off the bankruptcy

19 case, you know, if this is debtor and trustee payments

20 coming in, then we need to make sure and determine where

21 those payments are going and they're applied correctly,

22 whether it be trustee interest, trustee payment or

23 debtor payment.

24 So when you hear suspense account and you see

25 suspense account, it's those funds going into that hold

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1 account until it's determined where they need to be

2 properly applied.

3 Q. Okay. And that determination is made by whom?

4 A. In this case that would be our bankruptcy

5 department that's processing the payment.

6 Q. Okay. Where is that located?

7 A. South Bend Fort -- South -- Fort Mills, South

8 Carolina.

9 Q. Okay. Say that three times fast.

10 A. Right.

11 Q. SO in this case we have unapplied trustee funds.

12 Now, what I guess I don't understand then is if we

13 have -- if we have unapplied funds from the trustee,

14 should there be a line on this payment history that

15 shows where the money just came in and was placed in the

16 unapplied account?

17 A. Well, let's go back up to -- I'm going -- I'm

18 going to say that you're asking me if a column should be

19 added to determine when those funds come in. And

20 basically it is -- unfortunately, I mean, it stops here

21 the day this was completed.

22 The day this is completed this is the exact

23 amount we have unapplied fund -- funds from the debtor

24 and unapplied funds from the trustee. Part of that

25 could be interest payments. We don't know that by

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1 looking at this.

2 Q. Okay.

3 A. So you know, following this bankruptcy history,

4 you're going to see, you know, trustee funds being

5 received and applied and if -- whether it was going to

6 interest. And you're also going to see the debtor funds

7 received and applied and how those payments were

8 applied.

9 Looking at this box, what is remaining and left

10 because it's not continued. This was done to the

11 04/09 of '09, it -- I cannot determine where those funds

12 are going to be at yet. We cannot determine.

13 Q. Would you be able to give me an updated

14 bankruptcy payment history?

15 A. You can obtain -- yes. We can obtain an updated

16 bankruptcy history, yes.

MR. BARTHOLOW: Any objection to that, Mark?

17 18

MR. ALFIERI: No, not at all.

19

MR. BARTHOLOW: Thanks.

20

Q.

(By Mr. Bartholow) Okay. So turning back to the

21 first page; and it looks like we're going all the way

22 back to 2001, April of 2001. Am I reading it correctly 23 that it shows that $1,012.94 was received on April 9th

24 from the debtor funds?

25 A. That is correct.

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1 Q. Okay. And then moving three columns to the

2 right, the amount applied to principal was $120.24?

3 A. Correct.

4 Q. Amount applied to interest was $892.70?

5 A. That's correct.

6 Q. The principal balance at that time was

7 $150,229.76?

8 A. That is correct.

9 Q. There is zero in escrow, zero Proof of Claim

10 balance, zero outstanding fee balance, and zero

11 outstanding corporate advance balance. Is that all

12 correct?

13 A. That is all correct.

14 Q. Okay. And the comment for this line says monthly

15 mortgage payment, MMP.

16 A. Correct.

17 Q. Okay. And although the -- I think my

18 understanding is that the amount of principal paid

19 increases while the amount of interest paid decreases

20 with each subsequent payment; is that accurate?

21 A. Yes.

22 Q. Okay. And aside from the standard amortization

23 of principal and interest, would you agree that from

24 that date, the April 9th through looks like August 16th, 25 the debtor has made payments of 1,012. And those

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1 payments have been applied to interest and principal;

2 and the principal balance has been reduced accordingly

3 and that there have been zero charges at any point up to

4 that point for escrow balance, Proof of Claim balance,

5 outstanding fee balance and outstanding corporate

6 advance balance? Do you agree that's all proceeded

7 normally?

8 A. I agree.

9 Q. Okay. Then -- and actually I think that even

10 includes September 16th; would you agree, of 2002, the

11 next one?

12 A. I agree.

13 Q. Okay. Then we have on October 16th, 2002 what

14 appears to be a $50.65 late fee; is that correct?

15 A. Yes.

16 Q. Okay. And that is reflected -- it appears in two

17 columns, the column for fees assessed or recovered,

18 correct?

19 A. Yes.

20 Q. And the column for outstanding fee balance; is

21 that correct?

22 A. That is correct.

23 Q. Okay. Then we see on October 21st of 2002, it

24 appears that a payment comes in, that it is applied to

25 principal and interest, and that there's no change to

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1 the late charge; is that correct?

2 A. That is correct.

3 Q. Okay. Now I'm looking at November 18th, 2002.

4 It appears that a payment in the amount of $1,063.58; is

5 that correct, that amount?

6 A. Correct.

7 Q. Comes in and is applied to principal and interest

8 and to the recovery of fees in the amount of $50.65 for

9 the fees?

10 A. That is correct.

11 Q. Okay. And the comment on the right-hand side is

12 monthly mortgage payment with additional funds applied

13 to late charges, correct?

14 A. Correct.

15 Q. Okay. What I think has happened there is the

16 payment came in, it was sufficient to cover the monthly

17 mortgage payment and outstanding late charges; is that

18 correct?

19

MR. ALFIERI: Objection, form.

(By Mr. Bartholow) What do you think happened

20

Q.

21 with that payment?

22

MR. ALFIERI: Objection, form.

23

Q.

(By Mr. Bartholow) You can answer, if you can --

24 if you know.

25 A. Could you restate the question for me, please?

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1 Q. Okay. Well, let me ask it this way. We agree

2 that $1,063.58 came in, correct?

3 A. Correct.

4 Q. Okay. That $134.55 of that was applied to

5 principal?

6 A. Correct.

7 Q. And $878.39 of it was applied to interest?

8 A. Correct.

9 Q. And that $50.65 was applied to cover the late

10 charges?

11 A. Correct.

12 Q. Okay. And flipping back to the previous page,

13 the last entry for 10/21/02 shows an outstanding fee

14 balance of $50.65, correct?

15 A. Correct.

16 Q. Okay. And then flipping back to Page 2, this

17 first entry now shows an outstanding fee balance of zero

18 dollars; is that correct?

19 A. The very first entry, that line does show an

20 outstanding fee balance of zero.

21 Q. Okay. And then when we read the comment, it says

22 monthly mortgage payment with additional funds applied

23 to late charges. What does that mean?

24 A. The additional funds -- if any additional funds

25 were received, it was applied to a late charge to pay a

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1 late charge.

2 Q. Okay. And the funds received this time it

3 appears are $1,063.58?

4 A. That is correct.

5 Q. And it appears that the previous payment amount

6 had been $1,012.94?

7 A. That is correct.

8 Q. Okay. So would you therefore agree that the

9 debtors paid sufficient money to pay the late fee as

10 well as their regular payment?

11 A. I agree.

12 Q. And that in fact the fee balance was reduced to

13 zero as a result?

14 A. Correct.

15 Q. Okay. I think that's pretty uncontroversial, but

16 you've

17 A. It is.

18

Q.

got to --

19

A. It is. I'm just

my lines are running

20 together, so I apologize.

21 Q. No, I apologize for the small printout.

22

Okay. It appears that a late charge is assessed

23 on December 16th of 2002; is that correct?

24 A. Yes.

25 Q. Okay. When we were talking about this before,

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1 you indicated that late charges are automatic; is that

2 right? That they're automatically applied to the

3 account?

4 A. Well, they're assessed if the payment is not

5 received--

6 Q. Timely?

7 A. -- timely.

8 Q. Sorry for interrupting.

9

Okay. So in the case of December '02, it appears

10 that the payment didn't come in until December 23rd; is

11 that correct?

12 A. Correct.

13 Q. And that's why on the 16th the late fee was

14 charged in December. The payment amount was sufficient

15 to cover the payment plus the outstanding late charge;

16 is that correct?

17 A. Okay. So we're looking at -- on the 23rd?

18 Q. Correct.

19 A. Another late charge was assessed, okay, because

20 it came in after the -- the due date and the grace

21 period. And then we received 1,063 on the 23rd, and

22 that payment included paying a late charge as well.

23 Q. Okay. And that's what the comments reflect as

24 well?

25 A. That is what the comments reflect, correct.

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1 Q. Okay, all right. And then it looks like they

2 were late in January and that they paid on the 17th; is

3 that correct, January of '03?

4 A. That is correct.

5 Q. Okay. And it appears to be the same thing where

6 they did pay the late charge along with the payment?

7 A. That is correct.

8 Q. Okay. Then it appears that the late charge was

9 assessed on February 18th, 2003; is that correct?

10 A. Correct.

11 Q. Can you tell me why it would be assessed on the

12 18th rather than the 16th?

13 A. I cannot.

14 Q. Okay.

15 A. I know it's after the due date. It's after the

16 grace period, because the payment was received on the

17 21st.

18 Q. Okay. It does appear -- yeah, like you said, it

19 was received on the 21st. Again, it was sufficient to

20 cover the late fee, correct?

21 A. Correct.

22 Q. Okay. Again on March 17th there was a late fee,

23 of 2003?

24 A. Correct.

25 Q. And on March 25th of 2003 there was a payment

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1 that covered the late fee?

2 A. Correct.

3 Q. Again on April 16th of '03, late fee?

4 A. Correct.

5 Q. And April 28th of '03 another payment that

6 covered the late fee?

7 A. Correct.

8 Q. All right. May 16th, late fee. May 27th there

9 was a payment that appears to be just a bit short of

10 covering the late fee, 65 cents short of covering the

11 late fee; is that correct?

12 A. Correct.

13 Q. However, it appears that all but 65 cents was

14 applied to the late fee, correct?

15 A. Correct.

16 Q. Okay. And is it your understanding that at this

17 point this was a no escrow loan and that there were no

18 taxes being taken out or insurance being paid?

19 A. Correct.

20 Q. At this -- at this point in time, okay. And then

21 let's see, they were late again in June of 2003, but

22 their June 27th, 2003 payment appears was sufficient to

23 cover that late fee as well as the little bit that was

24 remaining from the previous month?

25 A. That is correct.

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1 Q. Okay. It appears that they were late again in

2 July of '03, but their July 21st payment was sufficient

3 to cover the late fee?

4 A. That is correct.

5 Q. And August they were on time it appears.

6 A. It does appear, yes.

7 Q. And the payment was a full payment amount with no

8 late fee, correct?

9 A. Correct.

10 Q. Okay. Then they made a payment on September

11 17th, which means they were late and charged a late fee

12 for September 16th of 2003, correct?

13 A. That is correct.

14 Q. One of my questions going back to -- what was it,

15 was it January 18th of 2003, there was an 18th which was

16 when the late fee was charged -- I guess it was charged

17 despite a payment made on the 17th. Actually I'm sorry,

18 we need to look at February. That's what I was looking

19 at. The late fee was charged on the 18th in February;

20 is that correct?

21 A. That is correct.

22 Q. Okay. So what I don't understand is why in

23 September in the one up from the bottom, payment's made

24 on the 17th and the late fee was still charged; whereas

25 it appears the late fee was not charged until the 18th

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1 back in February. Do you know why that would be?

2 A. I do not.

3 Q. Okay. The payment in September did not include a

4 late fee; is that correct?

5 A. The payment in September that was received?

6 Q. Correct.

7 A. Did not include enough to cover a late payment,

8 correct.

9 Q. Okay. It was a -- for a mortgage payment,

10 correct?

11 A. Yes.

12 Q. And then in October -- and we've got to straddle

13 two pages here. But October 16th a late fee was applied

14 to the account, and on October 20th it appears that

15 there was a payment made that was in the amount of 1,104

16 or $1,114.24. Is that what you've got?

17 A. Correct.

18 Q. Okay. And it appears that that was sufficient to

19 pay down the late fee balance?

20 A. Correct.

21 Q. Okay. Now, on November 17th we have a payment in

22 the amount of $1,063.59, correct?

23 A. I's hard to determine if that's 1,063 or 1,083,

24 but I'm going to go with 63 since the others are 63; but

25 in that particular line it looks like it's kind of

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1 running together.

2 Q. I agree. But if we look at the next line, also

3 November 17th, the amount that appears to have been 4 applied to principal was $50.65; is that correct?

5 6

7

A. Correct.
Q. Okay. So
1,063, right?
A. I agree.
Q. Okay. Do
there? you know why a late fee wasn't charged

that would mean that it was probably

8 9

11 A. On the 17th?

12 Q. Uh-huh.

13 A. I do not know. I cannot answer that.

14 Q. Okay. Then it looks like they were late in

15 December, and a late fee was charged; and then on

16 Christmas eve, December 24th they paid 1,063 and paid

17 off the late fee?

18 A. Correct.

19 Q. Okay. I apologize for the tedium, but this will

20 be useful in the long run.

21

Okay. Looking again at January of '04, on the

22 16th there was a late fee applied. On the 20th a

23 payment came in that covered the late fee, correct?

24 A. Correct.

25 Q. Okay. February on the 17th a late fee was

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1 assessed; and on the 24th a payment came in that covered

2 the late fee, correct?

3 A. Correct.

4 Q. Okay. March, late fee on the 16th; payment on

5 the 26th. Payment covered the late fee?

6 A. Correct.

7 Q. April 6th, late fee; April 23rd, payment that

8 covered the late fee?

9 A. Correct.

10 Q. May 17th, 2004, late fee; 21st -- May 21st, 2004,

11 payment that covered the late fee?

12 A. Correct.

13 Q. Okay. June 16th, late fee; June 21st, 2004

14 payment that covered it?

15 A. Correct.

16 Q. And then it looks like on July 15th they made a

17 timely payment that included a late fee. There's no 18 late fee balance, so on July 15th, $50 was applied to

19 principal; is that correct?

20 A. That is correct.

21 Q. $50.65. And then a late fee in August of '04,

22 and a payment including the late fee on August 23rd of

23 '04?

24 A. Correct.

25 Q. September 16th, '04, late fee; September 17th,

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1 '04, payment including late fee?

2 A. Correct.

3 Q. October 14th, '04, regular payment, no late fee?

4 A. Correct.

5 Q. November 16th, '04, late fee; November 19th, '04,

6 payment including the late fee?

7 A. Correct.

8 Q. And then timely payments on December 15th, '04,

9 January 10th, 'OS, February 15th, 'OS?

10 A. Correct.

11 Q. Late fee March 16th, '05; regular payment not

12 including the late fee on March 17th, '05. Is that

13 correct?

14 A. Payment on the 17th as a regular payment.

15 Q. Uh-huh.

16 A. And on March 17th --

17 Q. I'm not there yet.

18 A. I apologize.

19 Q. Just those two lines, the 16th and 17th.

20 A. Okay. Correct, okay.

21 Q. 16th there's a late charge assessed, and 17th

22 there's a payment made that does not include a late fee;

23 is that correct?

24 A. That is correct.

25 Q. Okay. And then on the 17th of '05 there is a

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1 line that says adjustment.

2 A. Uh-huh.

3 Q. Tell me what adjustment means.

4 A. There was an adjustment to the account. And it

5 appears that a late fee was -- or the funds were put

6 back to the account. The late fee was not assessed. It

7 was -- it's adjusting -- it's adjusting that late fee

8 amount.

9 Q. Okay. Do you know why that would have been done?

10 A. I do not.

11 Q. Do you know where the funds would have come from

12 to do that?

13 A. For this particular -- no, I do not. I do not.

14 Q. Okay. Would you be able to find that out?

15 A. Yes.

16 Q. How would you go about finding it out?

17 A. I would probably research the -- in finding that

18 out I could look at history on the payment screen if any

19 notes pertain as to why that was credited back.

20 Q. Okay. And I understand there are a lot of notes

21 on this account, but in your review of the notes do you

22 recall anything --

23 A. I don't recall.

24 Q. -- relating to this payment?

25 A. I do not.

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1 Q. And understanding that we're talking about a

2 large number of payments, so --

3 A. Right, I do not recall.

4 Q. Next we have an April 18th, 2005 payment that was

5 a regular payment amount?

6 A. Uh-huh.

7 Q. With no late fee, and it appears that no late fee

8 was charged for April of '05; is that correct?

9 A. April of '05 -- is that '05 or the 18th?

10 Q. It's April 18th, 2005 I think.

11 A. Okay, okay.

12 Q. And it seems to be applied to contractual due

13 date April 1st, 2005. It's the next line after that

14 March 17th we were just talking about.

15 A. Okay. Correct, okay, yes. Monthly mortgage

16 payment made, yes.

17 Q. No late fee included?

18 A. No late fee included.

19 Q. That was on the 18th?

20 A. Yes.

21 Q. Do you know why that would be?

22 A. No. I can't answer as to why that late fee was

23 not assessed in April.

24 Q. And I think I probably need to ask you for each

25 one of those lines, unless you're -- you're able to and

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