GREATER ATLANTIC LEGAL SERVICES, INC.

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GREATER ATLANTIC LEGAL SERVICES, INC. CHANCERY ABSTRACT COLUMBIA BANK, its successors and/or assigns; vs. Plaintiff, JAMES BRANDEBERRY; RICHARD NASH; MRS. BRANDEBERRY, wife of James Brandeberry; MRS. NASH, wife of Richard Nash; Defendants, SUPERIOR COURT OF NEW JERSEY HUNTERDON COUNTY DOCKET NO. F-003812-15 GREATER ATLANTIC LEGAL SERVICES, INC. hereby certifies to DATA TRACE that it has reviewed the proceedings currently on file in the Superior Court Clerk s office for the above entitled action and reports the same regular as to form, except as hereinafter noted. GREATER ATLANTIC LEGAL SERVICES, INC. YOUR REFERENCE # LLSS520-322094 TITLE OFFICER

Complaint to Foreclose Filed January 30, 2015 Fein, Such, Kahn & Shepard, P.C., Attorneys for Plaintiff FIRST COUNT Complaint filed to foreclose mortgage made and executed by James Brandeberry and Richard M. Nash to Columbia Bank, its successors and/or assigns to secure the sum of $684,000.00. Obligation and mortgage dated July 12, 2006. The mortgage was recorded in Hunterdon County on August 10, 2006 in Book 3048, Page 689, et seq. THIS IS A PURCHASE MONEY MORTGAGE. A COMPLETE COPY OF THE COMPLAINT WITH PROPERTY DESCRIPTION ATTACHED IS ANNEXED HERETO. Mrs. Brandeberry, wife of James Brandeberry and Mrs. Nash, wife of Richard Nash are made defendants for reasons more particularly set forth in the annexed copy of the Complaint. By virtue of a default in accordance with the terms of the obligation and mortgage, plaintiff has elected to call the whole of the principal sum due. The Notice of Intention was mailed to the debtors in compliance with the Fair Foreclosure Act. WHEREFORE, Plaintiff demands judgment: Fixing the amount due on the mortgage; Barring and foreclosing all of the defendants of all equity or redemption in and to the aforesaid lands; Directing that plaintiff be paid the amount due to plaintiff as provided in the mortgage together with interest and costs; Adjudging that the lands described above be sold according to law to satisfy the amount due to plaintiff; Such other and further relief as may be set forth in the demand for judgment included on the annexed copy of the Complaint. 1

SECOND COUNT Plaintiff is entitled to possession of the mortgaged premises. WHEREFORE, Plaintiff demands judgment against said defendants for possession of the mortgaged premises and for any other relief that may be set forth in the demand for judgment on the copy of the Complaint annexed hereto. By: The Complaint is signed, Fein Such Kahn and Shepard, PC Attorneys for Plaintiff Robert E. Smithson, Jr. Summons dated February 4, 2015 (See returns of service for Mrs. Brandeberry, wife of James Brandeberry, Richard Nash, Mrs. Nash, wife of Richard Nash and James Brandeberry annexed hereto.) NOTE: WE CALL YOUR ATTENTION TO THE FACT THAT THE SUMMONS SERVED UPON MRS. BRANDEBERRY, WIFE OF JAMES BRANDEBERRY, RICHARD NASH, MRS. NASH, WIFE OF RICHARD NASH AND JAMES BRANDEBERRY DOES NOT APPEAR TO CONFORM WITH RULE 4:4-2 IN THAT IT FAILS TO CONTAIN A CURRENT LISTING BY COUNTY OF TELEPHONE NUMBERS OF THE LEGAL SERVICES OFFICE AND THE LAWYER REFERRAL OFFICE SERVING EACH COUNTY. Certification as to the Fictitious First Name for Mrs. Brandeberry, wife of James Brandeberry RECEIVED April 13, 2015 (See copy annexed hereto.) 2

Request and Certification of Default as to James Brandeberry; Richard Nash; Mrs. Brandeberry, wife of James Brandeberry; Mrs. Nash, wife of Richard Nash Filed April 13, 2015 Default Filed April 13, 2015 Certification as to Fictitious First Name for Mrs. Nash, wife of Richard Nash RECEIVED April 14, 2015 (See copy annexed hereto.) Substitution of Attorney Filed June 30, 2015 Fein, Such, Kahn & Shepard, P.C. do hereby consent to the substitution of Phelan Hallinan & Diamond, P.C. as Attorneys for Plaintiff. Notice of Motion for Entry of Order Substituting Plaintiff Filed April 8, 2016 DENIED. Order Substituting Plaintiff Filed May 2, 2016 DENIED. 3

CLERK'S NOTATION: PROPOSED ORDER SUBSTITUTES COLUMBIA BANK AS PLAINTIFF, BUT AS COLUMBIA BAN IS ALREADY PLAINTIFF ORDER IS INCORRECT. Proof of Mailing of Tenants' Rights Pursuant to R 4:64-1 RECEIVED May 11, 2016 On May 10, 2016 a Notice to Residential Tenants of Rights During Foreclosure was mailed by regular and certified mail to each Tenant and Inquilino, at 37 Hill and Dale Road, Lebanon, New Jersey 08833-4701. Notice of Motion for Entry of Order Substituting Plaintiff Filed May 19, 2016 The Notice of Motion is directed to each James Brandeberry, Richard Nash, Mrs. Brandeberry, wife of James Brandeberry and Mrs. Richard Nash, his wife at 37 Hill and Dale Road, Lebanon, New Jersey 08833-4701. Certification in Support of Order Substituting Plaintiff RECEIVED May 19, 2016 (See copy annexed hereto.) Proof of Mailing RECEIVED May 19, 2016 On May 18, 2016 the Notice of Motion was mailed in separate envelopes to each James Brandeberry, Richard Nash, Mrs. Brandeberry, wife of James Brandeberry and Mrs. Richard Nash, his wife at 37 Hill and Dale Road, Lebanon, New Jersey 08833-4701. 4

NOTE: WE CALL YOUR ATTENTION TO THE FACT THAT THE PROOF OF MAILING OF THE NOTICE OF MOTION FOR ENTRY OF ORDER SUBSTITUTING PLAINTIFF DOES NOT SPECIFY THAT THE NOTICE WAS SERVED VIA CERTIFIED MAIL. Order Substituting Plaintiff Filed June 9, 2016 (See copy annexed hereto.) Proof of Mailing Order Substituting Plaintiff RECEIVED August 3, 2016 On August 2, 2016 a copy of the Order Substituting Plaintiff was mailed by regular and certified mail to each of the defendants. Proof of Mailing RECEIVED August 17, 2016 On August 15, 2016, a copy of the filed default was mailed by regular mail to each of the defendants at the addresses at which each were served with process. Notice of Motion for Entry of Order Substituting Plaintiff Filed February 7, 2017 The Notice of Motion is directed to each James Brandeberry, Richard Nash, Mrs. Brandeberry, wife of James Brandeberry and Mrs. Richard Nash, his wife at 37 Hill and Dale Road, Lebanon, New Jersey 08833-4701 and Richard Nash at 10080 E. Mountainview Lake Drive, Unit 114, Scottsdale, AZ 85258-5280. 5

Certification in Support of Order Substituting Plaintiff RECEIVED February 7, 2017 (See copy annexed hereto.) Proof of Mailing RECEIVED February 17, 2017 On February 2, 2017 the Notice of Motion was mailed in separate envelopes to each James Brandeberry, Richard Nash, Mrs. Brandeberry, wife of James Brandeberry and Mrs. Richard Nash, his wife at 37 Hill and Dale Road, Lebanon, New Jersey 08833-4701 and Richard Nash at 10080 E. Mountainview Lake Drive, Unit 114, Scottsdale, AZ 85258-5280. NOTE: WE CALL YOUR ATTENTION TO THE FACT THAT THE PROOF OF MAILING OF THE NOTICE OF MOTION FOR ENTRY OF ORDER SUBSTITUTING PLAINTIFF DOES NOT SPECIFY THAT THE NOTICE WAS SERVED VIA CERTIFIED MAIL. Order Substituting Plaintiff Filed March 1, 2017 (See copy annexed hereto.) Proof of Mailing Order Substituting Plaintiff RECEIVED March 9, 2017 On March 8, 2017 a copy of the Order Substituting Plaintiff was mailed by regular and certified mail to each of the defendants. 6

Notice of Motion for Entry of Order Substituting Plaintiff Filed July 28, 2017 The Notice of Motion is directed to each James Brandeberry, Richard Nash, Mrs. Brandeberry, wife of James Brandeberry and Mrs. Richard Nash, his wife at 37 Hill and Dale Road, Lebanon, New Jersey 08833-4701 and Richard Nash at 10080 E. Mountainview Lake Drive, Unit 114, Scottsdale, AZ 85258-5280 and 5806 Golden Eagle Circle, Palm Beach Gardens, FL 33418-1507. Certification in Support of Order Substituting Plaintiff RECEIVED July 28, 2017 (See copy annexed hereto.) Proof of Mailing RECEIVED July 28, 2017 On July 27, 2017 the Notice of Motion was mailed in separate envelopes to each James Brandeberry, Richard Nash, Mrs. Brandeberry, wife of James Brandeberry and Mrs. Richard Nash, his wife at 37 Hill and Dale Road, Lebanon, New Jersey 08833-4701 and Richard Nash at 10080 E. Mountainview Lake Drive, Unit 114, Scottsdale, AZ 85258-5280 and 5806 Golden Eagle Circle, Palm Beach Gardens, FL 33418-1507. NOTE: WE CALL YOUR ATTENTION TO THE FACT THAT THE PROOF OF MAILING OF THE NOTICE OF MOTION FOR ENTRY OF ORDER SUBSTITUTING PLAINTIFF DOES NOT SPECIFY THAT THE NOTICE WAS SERVED VIA CERTIFIED MAIL. Order Substituting Plaintiff Filed August 15, 2017 (See copy annexed hereto.) 7

Proof of Mailing Order Substituting Plaintiff RECEIVED August 18, 2017 On August 17, 2017 a copy of the Order Substituting Plaintiff was mailed by regular and certified mail to each of the defendants. Proof of Mailing RECEIVED March 20, 2018 On August 15, 2017, a copy of the filed default was mailed by regular mail to each of the defendants at the address at which each were served with process. Proof of Mailing RECEIVED May 16, 2018 On August 15, 2017, a copy of the filed default was mailed by regular mail to each of the defendants at the address at which each were served with process. Certification of Diligent Inquiry and Accuracy of Foreclosure Documents and Factual Assertions RECEIVED May 25, 2018 Notice of Motion for Final Judgment Filed May 25, 2018 The Notice of Motion for Final Judgment is directed to each James Brandeberry, Mrs. Brandeberry, wife of James Brandeberry, Richard Nash, Mrs. Nash, wife of Richard Nash and Tenant. 8

Proof of Service of Notice of Motion for Final Judgment RECEIVED May 25, 2018 (See copy annexed hereto.) NOTE: WE FAIL TO FIND ANY CERTIFICATION THAT NOTICE OF FORECLOSURE MEDIATION AVAILABILITY WAS SERVED WITH SUMMONS AND COMPLAINT FILED, PURSUANT TO COURT ORDER OF FEBRUARY 27, 2013 FILED IN THIS ACTION. Certifications of Non-Military Status RECEIVED May 25, 2018 James Brandeberry and Richard Nash are not in the military service. The military status of Mrs. Brandeberry, wife of James Brandeberry and Mrs. Nash, wife of Richard Nash could not be determined due to lack of social security numbers. Reports from the Department of Defense Manpower Data Center annexed thereto. Proof of Mailing RECEIVED May 25, 2018 On August 15, 2016, a copy of the filed default was mailed to each of the defendants at the addresses where they were served with process. Proof of Service of Notice to Cure Pursuant to Fair Foreclosure Act RECEIVED May 25, 2018 On July 26, 2016, a Notice to Cure pursuant to the Fair Foreclosure Act was mailed by regular and certified mail to each James Brandenberry and Richard Nash at the following address: 37 Hill and Dale Road, Lebanon, New Jersey 08833-4710. As of August 9, 2016, no response has been received to the aforesaid Notice of Intention to Apply for Final Judgment. 9

Certification of Search Fees RECEIVED May 25, 2018 Total fees requested $50.00. Certification of Amount Due RECEIVED May 25, 2018 Certification by a representative of the plaintiff sets forth that there is due the sum of $814,851.10 on its mortgage together with interest to grow due thereon from April 3, 2018. (See copy annexed hereto.) Administrative Order Requiring a Certification Setting Forth the Status of a Pending Foreclosure Matter Filed May 31, 2018 (See copy annexed hereto.) Attorney Certification in Response to Administrative Order Certification Setting Forth the Status of a Pending Foreclosure Matter RECEIVED June 12, 2018 Final Judgment Filed June 15, 2018 (See copy annexed hereto.) Plaintiff s Costs $7,900.00. 10

Writ of Execution issued June 15, 2018 (Writ not as yet returned to Court.) Proof of Mailing Final Judgment RECEIVED June 19, 2018 (See copy annexed hereto.) Certification of Mailing Notice of Sale RECEIVED July 18, 2018 (See copy annexed hereto.) LAST ENTRY THIS CHANCERY ABSTRACT IS A REFLECTION OF THE SUPERIOR COURT FILE AS IT APPEARS ON THE DATE OF THIS CHANCERY ABSTRACT. BECAUSE OF A DELAY IN THE DOCKETING AND FILING OF PLEADINGS THERE MAY BE ADDITIONAL PLEADINGS WHICH HAVE BEEN RECEIVED BY THE CLERK'S OFFICE BUT ARE NOT YET SHOWING AS FILED. 11

THIS CHANCERY ABSTRACT IS CERTIFIED TO DATA TRACE DATED: August 29, 2018 GREATER ATLANTIC LEGAL SERVICES, INC. 1542 KUSER ROAD, SUITE B-9 HAMILTON, NEW JERSEY 08619 Phone 800 345-4631 Fax 609 581-5604 www.greateratlanticlegal.com BA 12

SWC-F-003812-15 02/07/2017 9:05:00 AM Pg 1 of 1 Trans ID: CHC2017117416 680733 PHELAN HALLINAN DIAMOND & JONES, PC Michael R. Schoeniger, Esq. ID No. 069402013 400 Fellowship Road Suite 100 Mt. Laurel, NJ 08054 856-813-5500 Attorney for Plaintiff TRENT BRIDGE ASSET HOLDING TRUST C/O U.S. BANK TRUST NATIONAL ASSOCIATION PLAINTIFF, VS. JAMES BRANDENBERRY, ET AL. DEFENDANT(S) SUPERIOR COURT OF NEW JERSEY CHANCERY DIVISION HUNTERDON COUNTY DOCKET NO: F-003812-15 CIVIL ACTION CERTIFICATION IN SUPPORT OF ORDER SUBSTITUTING PLAINTIFF I, Michael R. Schoeniger, Esq., do hereby certify: Date: January 24, 2017 1. I am an attorney at law of the State of New Jersey and a member of the Law Firm of Phelan Hallinan Diamond & Jones, PC, attorneys for the plaintiff in the above matter. 2. It has been ascertained that on 12/19/2016, TRENT BRIDGE ASSET HOLDING TRUST C/O U.S. BANK TRUST NATIONAL ASSOCIATION- assigned said mortgage to KINGSMEAD ASSET HOLDING TRUST C/O U.S. BANK TRUST NATIONAL ASSOCIATION, recorded on 12/20/2016 in Book 2040, Page 253. A copy of said assignment is attached hereto. 3. I hereby certify that the foregoing statements made by me are true and I am aware that if any of the foregoing statements made by me are willfully false, I am subject to punishment. By:/s/ Michael R. Schoeniger Michael R. Schoeniger, Esq. Attorney for Plaintiff

SWC-F-003812-15 02/07/2017 9:05:01 AM Pg 1 of 2 Trans ID: CHC2017117416

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SWC-F-003812-15 F 03/01/2017 02/07/2017 9:05:00 Pg 1 of AM 2 Trans Pg 1 ID: of 2 CHC2017184947 Trans ID: CHC2017117416 680733 PHELAN HALLINAN DIAMOND & JONES, PC 400 Fellowship Road Suite 100 Mt. Laurel, NJ 08054 856-813-5500 Attorney for Plaintiff TRENT BRIDGE ASSET HOLDING TRUST C/O U.S. BANK TRUST NATIONAL ASSOCIATION PLAINTIFF, SUPERIOR COURT OF NEW JERSEY CHANCERY DIVISION HUNTERDON COUNTY VS. DOCKET NO: F-003812-15 CIVIL ACTION JAMES BRANDENBERRY, ET AL. DEFENDANT(S) ORDER SUBSTITUTING PLAINTIFF This matter, being opened to the Court by Phelan Hallinan Diamond & Jones, PC, attorneys for the Plaintiff, and it appearing that the plaintiff be substituted to KINGSMEAD ASSET HOLDING TRUST C/O U.S. BANK TRUST NATIONAL ASSOCIATION, and for good cause shown: It is on this day day 1 of, March 20, 17 ORDERED and ADJUDGED that: 1. The complaint in this action be and hereby is amended by striking the name of TRENT BRIDGE ASSET HOLDING TRUST C/O U.S. BANK TRUST NATIONAL ASSOCIATION. 2. KINGSMEAD ASSET HOLDING TRUST C/O U.S. BANK TRUST NATIONAL ASSOCIATION be and hereby is substituted in the place and stead of TRENT BRIDGE ASSET HOLDING TRUST C/O U.S. BANK TRUST NATIONAL ASSOCIATION as the

SWC-F-003812-15 F 03/01/2017 02/07/2017 9:05:00 Pg 2 of AM 2 Trans Pg 2 ID: of 2 CHC2017184947 Trans ID: CHC2017117416 party plaintiff and all subsequent pleadings be filed with the Court shall use the name of the substituted plaintiff in the caption. 3. The Superior Court Clerk is directed to change, as herein modified, the name of the party plaintiff on the automated case management system docket. 4. A copy of the order shall be served on all appearing parties within Seven (7) days of the date of this order. J.S.C.

SWC-F-003812-15 07/28/2017 9:20:58 AM Pg 1 of 1 Trans ID: CHC2017575320 680733 PHELAN HALLINAN DIAMOND & JONES, PC William Adam Aitken, Esq. ID No. 037591985 400 Fellowship Road Suite 100 Mt. Laurel, NJ 08054 856-813-5500 Attorney for Plaintiff KINGSMEAD ASSET HOLDING TRUST C/O U.S. BANK TRUST NATIONAL ASSOCIATION PLAINTIFF, VS. JAMES BRANDEBERRY, ET AL. DEFENDANT(S) SUPERIOR COURT OF NEW JERSEY CHANCERY DIVISION HUNTERDON COUNTY DOCKET NO: F-003812-15 CIVIL ACTION CERTIFICATION IN SUPPORT OF ORDER SUBSTITUTING PLAINTIFF I, William Adam Aitken, Esq., do hereby certify: 1. I am an attorney at law of the State of New Jersey and a member of the Law Firm of Phelan Hallinan Diamond & Jones, PC, attorneys for the plaintiff in the above matter. 2. It has been ascertained that on 06/22/2017, KINGSMEAD ASSET HOLDING TRUST C/O U.S. BANK TRUST NATIONAL ASSOCIATION BY: ROUNDPOINT MORTGAGE SERVICING CORPORATION ITS ATTORNEY IN FACT assigned said mortgage to CARISBROOK ASSET HOLDING TRUST, recorded on 06/29/2017 in Book 2041, Page 150. A copy of said assignment is attached hereto. 3. I hereby certify that the foregoing statements made by me are true and I am aware that if any of the foregoing statements made by me are willfully false, I am subject to punishment. Date: July 22, 2017 By:/s/ William Adam Aitken William Adam Aitken, Esq. Attorney for Plaintiff

SWC-F-003812-15 07/28/2017 9:21:01 AM Pg 1 of 3 Trans ID: CHC2017575320

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SWC F 003812-15 08/15/2017 Pg 1 of 1 Trans ID: CHC2017613823 680733 PHELAN HALLINAN DIAMOND & JONES, PC 400 Fellowship Road Suite 100 Mt. Laurel, NJ 08054 856-813-5500 Attorney for Plaintiff TENBSMI AD ASSI G HOLDENB GRUSG C/O U.S. KANT GRUSG NAGEONAL ASSOCEAGEON PLAENGEFF, SUPI REOR COURG OF NI W JI RSI Y CHANCI RY DEVESEON HUNGI RDON COUNGY Vs. DOCT I G NO: F-003812-15 CEVEL ACGEON JAMI S KRANDI KI RRY, I G AL. DI FI NDANG(S) ORDI R SUKSGEGUGENB PLAENGEFF Ghis matter, being opened to the Court by Phelan Hallinan Diamond & Jones, PC, attorneys for the Plaintiff, and it appearing that the plaintiff be substituted to CARISBROOK ASSET HOLDING TRUST, and for good cause shown: Et is on this 15th day of August, 20_1k_, ORDI RI D and ADJUDBI D that: 1. Ghe complaint in this action be and hereby is amended by striqing the name of TENBSMI AD ASSI G HOLDENB GRUSG C/O U.S. KANT GRUSG NAGEONAL ASSOCEAGEON. 2. CARESKROOT ASSI G HOLDENB GRUSG be and hereby is substituted in the place and stead of TENBSMI AD ASSI G HOLDENB GRUSG C/O U.S. KANT GRUSG NAGEONAL ASSOCEAGEON as the party plaintiff and all subsevuent pleadings be filed with the Court shall use the name of the substituted plaintiff in the caption. 3. Ghe Superior Court Clerq is directed to change, as herein modified, the name of the party plaintiff on the automated case management system docqet. 4. A copy of the order shall be ser7ed on all appearing parties within Se7en (k) days of the date of this order.

SWC-F-003812-15 05/25/2018 12:11:22 PM Pg 1 of 2 Trans ID: CHC2018288938

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SWC F 003812-15 05/31/2018 1:44:37 PM Pg 1 of 1 Trans ID: CHC2018297695 SUPERIOR COURT OF NEW JERSEY OFFICE OF THE CLERK RICHARD J. HUGHES JUSTICE COMPLEX P.O. BOX 971 TRENTON, NEW JERSEY 08625-0971 (609) 421-6100 ADMINISTRATIVE ORDER REQUIRING A CERTIFICATION SETTING FORTH THE STATUS OF A PENDING FORECLOSURE MATTER It is hereby Ordered that the Plaintiff shall file a certification setting forth the status of this pending foreclosure matter, including when it is anticipated that the matter will move to judgment or otherwise be resolved. That certification shall be filed on or before June 14, 2018. To ensure that your certification is received and reviewed by the Superior Court Clerk s Office, please file it in as an exceptional circumstances document in ecourts. For further information, please contact the Superior Court Clerk's Office by calling (609) 421-6100 between the hours of 8:30 am - 4:30 pm or sending an email to SCCO.Mailbox@judiciary.state.nj.us. /s/ MICHELLE M. SMITH MICHELLE M. SMITH, ESQ. CLERK OF THE SUPERIOR COURT OF NEW JERSEY

SWC F 003812-15 06/15/2018 Pg 1 of 3 Trans ID: CHC2018350500 680733 PHELAN HALLINAN DIAMOND & JONES, PC 400 Fellowship Road Suite 100 Mt. Laurel, NJ 08054 856-813-5500 Attorney for Plaintiff CARISBROOK ASSET HOLDING TRUST PLAINTIFF JAMES BRANDEBERRY, ET AL. DEFENDANT (S) SUPERIOR COURT OF NEW JERSEY CHANCERY DIVISION HUNTERDON COUNTY DOCKET NO: F-003812-15 CIVIL ACTION FINAL JUDGMENT This matter having been opened to the Court by Phelan Hallinan Diamond & Jones, PC attorney s for plaintiff, and it appearing that service of the Summons and Complaint has/have been made upon the defendants, in accordance with the Rules of this Court and default having been entered against all non-answering defendants; and it appearing from the plaintiff's certification filed in the within matter that the plaintiff has made an investigation but is unable to determine whether the defaulting defendant(s) MRS. BRANDEBERRY, WIFE OF JAMES BRANDEBERRY, MRS. NASH, WIFE OF RICHARD NASH, is/are in the military service and good reason appearing that the judgment applied for should be granted at this time and that the judgment should be entered without the filing of a Servicemembers Civil Relief Act bond; and plaintiff s obligation, Mortgage and assignment of Mortgage having been presented and marked as exhibits by the Court, and proof having been submitted of the amount due on the plaintiff s Mortgage and sufficient cause appearing: It is on this 15th day of June 2018, ORDERED and ADJUDGED that the plaintiff is entitled to have the sum of $814,851.10 together with interest at the Contract rate of 6.5% on $664,979.36 being the principal sum in default including advances

SWC F 003812-15 06/15/2018 Pg 2 of 3 Trans ID: CHC2018350500 from April 4, 2018 to June 15, 2018. and lawful interest thereafter on the total sum due to plaintiff together with costs of this suit to be taxed including counsel fee of $ 7,500 raised and paid in the first place out of the mortgaged premises and it is further ordered that the plaintiff, its assignee or purchaser at sale recover against the following defendants: JAMES BRANDEBERRY, MRS. BRANDEBERRY, WIFE OF JAMES BRANDEBERRY, RICHARD NASH and MRS. NASH, WIFE OF RICHARD NASH and all parties holding under said defendants the possession of the premises so mentioned and described in the said Complaint with the appurtenances; and it is further ORDERED and ADJUDGED that the mortgaged premises be sold to raise and satisfy the several sums of money due, in the first place to the plaintiff, CARISBROOK ASSET HOLDING TRUST, in the sum of $814,851.10 together with contract and lawful interest thereon to be computed as aforesaid, the plaintiff s costs to be taxed, with interest thereon, and that an execution for the purpose be duly issued out of this Court directed to the Sheriff of HUNTERDON County, commanding said Sheriff to make sale according to law of the mortgaged premises, as described in the Complaint, and out of the money arising from said sale, that said Sheriff pay in the first place, to the plaintiff, said plaintiff s debt, with interest thereon as aforesaid and said plaintiff s costs with interest thereon as aforesaid, and in case more money shall be realized by the said sale than shall be sufficient to satisfy such several payments as aforesaid, that such surplus be brought into this Court to abide the further Order of this Court and that the Sheriff aforesaid make a report of the aforesaid sale without delay as required by the rules of this Court, and it is further ORDERED and ADJUDGED that the defendants in this cause, and each of them stand absolutely debarred and foreclosed of and from all equity of redemption of, in and to said mortgaged premises described in the Complaint, when sold as aforesaid by virtue of this judgment.

SWC F 003812-15 06/15/2018 Pg 3 of 3 Trans ID: CHC2018350500 This judgment shall not affect the right of any person protected by the provisions of the New Jersey Tenant Anti-Eviction Statute (NJSA 2A: 18-61.1 et seq.) or rights afforded by the Servicemembers Civil Relief Act, 50 U.S.C. App. 501 et seq. or N.J.S.A. 38:23C-4. /s/ Margaret Goodzeit, P.J.Ch Respectfully Recommended R. 1:34-6 OFFICE OF FORECLOSURE

SWC-F-003812-15 06/19/2018 7:40:56 AM Pg 1 of 2 Trans ID: CHC2018354648

SWC-F-003812-15 06/19/2018 7:40:56 AM Pg 2 of 2 Trans ID: CHC2018354648

SWC-F-003812-15 07/18/2018 10:55:51 PM Pg 1 of 1 Trans ID: CHC2018412884