Declaration In Support Of Application For Default Judgment Page 2

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6.
The defendant(s) took possession of the premises on __________________________________ and was/were in possession
of the premises when the complaint was filed.
Defendant(s) has not vacated the premises as of the date of this declaration.
Defendant(s) vacated the premises on______________________________________________________________.
7.
Rent is due and unpaid since ____________________________________________________________________________.
8.
A
3-day notice
30-day notice has been served on defendant(s)
pay rent or quit
quit possession of the premises. Service of the notice was effected by
____________________________________________________________. A true and correct copy of the notice with proof
of service attached hereto and marked as Exhibit __________.
9.
The period stated in the notice expired on ____/______/____________ and defendant(s) failed to comply with the
requirements of the notice by that date.
10.
The rent demanded in the 3-day notice is in the amount of $ __________________ which covers the rental period from
_____/_____/_____ through _____/______/_____.
11.
The daily fair market rental rate for the premises is $ _____________. Damages for daily rental losses which accrued after
the rental period covered by the three-day notice and through the time that the defendant(s) unlawfully detained the premises
is $ ___________ which is based on __________________________ in which defendant(s) remained in unlawful possession.
12.
The total rent and damages sought is $ ___________________________________________________________.
13.
Court costs actually incurred and included in the application for default judgment total $ ___________________.
14.
The written rental agreement contains a provision for attorney’s fee.
Plaintiff(s) request attorney’s fees in the amount
of $ _____________.
pursuant to the court fee schedule set forth in Consolidated Local Rule 9.12
as justified for the following reasons:
____________________________________________________________________________________________________
15.
Plaintiff requests forfeiture of lease/agreement.
16.
The facts stated above are within my personal knowledge except the following facts which have been set forth on information
and belief and based upon the sources here after identified: _____________________________________________________
____________________________________________________________________________________________________
If called and sworn as a witness in this proceeding, I can testify competently to the above facts.
I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct.
Date: _____/_____/__________
Signature: _________________________________________
UDL/E-7 (Rev 1/2007) DECLARATION IN SUPPORT OF APPLICATION FOR DEFAULT JUDGMENT (UNLAWFUL DETAINER)
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