DEMANDING DOCUMENTS BE PRODUCED Re: loan #______

Your Name

Your Address

Your Servicer Name

Your Servicers Address

REGISTERED MAIL

FDIC CONSUMER RESPONSE CENTER

2345 GRAND Blvd, Suite 100

Kansas City, Missouri 64108

REGISTERED MAIL

Re: loan # ______

ATTN: LEGAL DEPARTMENT

FIRST NOTICE, VIA REGISTERED MAIL #

DEMAND FOR PRODUCTION OF DOCUMENTS and DISPUTING OF AN ALLEGED DEBT

Attn: Legal Department;

I, ___(Your Name)______, hereby request that FDIC CONSUMER RESPONSE CENTER, 2345 GRAND BLVD., SUITE 100, KANSAS CITY, MISSOURI, 64108 produce for inspection and copying the documents described herein, within 30 days after service, at the offices of or such other location as mutually agreed by the parties. I, ___(Your Name) ______, further demand that FDIC CONSUMER RESPONSE CENTER who took into receivership Countrywide Home Loans, the original beneficiary of the loan numbered ______respond separately, in writing, under oath, and penalty of perjury to this document demand within thirty (30) days of the date of service.

If any Document is withheld under claim of privilege, furnish a list identifying each Document for which the privilege is claimed together with the following information date, sender, recipient, subject matter of DOCUMENT, and the basis on which privilege is claimed. If any Document described in this demand was, but no longer is in your Possession, subject to your custody or control, or in existence, State whether

(a) It is missing or lost

(b) It has been destroyed

(c) It has been transferred voluntarily or

(d) It has been disposed of otherwise.

As used herein the term “Document” shall mean (in addition to any item specifically requested herein) all manner of written, reproduced or recorded matter whether in writing mechanically, photographically, or electronically including, but not limited to, all photographs, letters, notes emails, correspondence. Files, books, records, memoranda, Contracts, agreements, orders, invoices, billings, statements, of indebtedness, agenda, transcriptions, telegrams, Telex and TWX messages summaries diaries calendars, notebooks, charts, plans, drawings, computer printouts, minutes or records of meetings or conferences, lists, drafts and notations, financial records, and any and all copies thereof. To the extent that a document differs from other copies or originals of the same document by reason of notations, comments, deletions, markings or other differences, said document shall be deemed a separate document.

DEMAND FOR PRODUCTION NO. 1

All DOCUMENTS which refer or relate in any way to the 2046 balance sheet as it relates to the original loan, pursuant to Title 12 USC 248 and 249.

DEMAND FOR PRODUCTION NO. 2

All DOCUMENTS which refer or relate in any way to the 1099 OID.

DEMAND FOR PRODUCTION NO. 3

All DOCUMENTS which refer or relate in any way to S-3 Registration Statement (SEC 1379).

DEMAND FOR PRODUCTION NO. 4

All DOCUMENTS reflecting 424 (b)(5) prospectus.

DEMAND FOR PRODUCTION NO. 5

All DOCUMENTS which comprise YOUR verification policies relating to RC-S and RC-B call schedules.

DEMAND FOR PRODUCTION NO. 6

All DOCUMENTS relating or referring to FASAB/ FSA-Statement numbers 125, 133, 140, 5, and 95.

DEMAND FOR PRODUCTION NO. 7

All DOCUMENTS relating to (Example you will need to put your specific information here..(..Bank of America as successor of Countrywide Home Loans, AND The Bank of New York Mellon, FKA The Bank of New York as Trustee for the Certificate Holders of CWMBS, Inc., CHL Mortgage Pass Through Trust 2004-6, Mortgage Pass Through Certificate Series 2004) bank trial balance or balance sheet for this loan.

DEMAND FOR PRODUCTION NO. 8

All DOCUMENTS which refer to ownership of the original promissory note. I am hereby demanding the original only.

DEMAND FOR PRODUCTION NO. 9

All DOCUMENTS which refer to the true and correct status of the Promissory Note and/or Trust Deed.

DEMAND FOR PRODUCTION NO. 10

All DOCUMENTS which refer to The FDIC-mandated independent study regarding Example you will need to put your specific information here..(..Bank of America as successor of Countrywide Home Loans, AND The Bank of New York Mellon, FKA The Bank of New York as Trustee for the Certificate Holders of CWMBS, Inc., CHL Mortgage Pass Through Trust 2004-6, Mortgage Pass Through Certificate Series 2004) bank policy.

DEMAND FOR PRODUCTION NO. 11

All DOCUMENTS relating to Example you will need to put your specific information here..(..Bank of America as successor of Countrywide Home Loans, AND The Bank of New York Mellon, FKA The Bank of New York as Trustee for the Certificate Holders of CWMBS, Inc., CHL Mortgage Pass Through Trust 2004-6, Mortgage Pass Through Certificate Series 2004) auditor(s) determining whether your bank, Bank of America as successor of Countrywide Home Loans, AND The Bank of New York Mellon, FKA The Bank of New York as Trustee for the Certificate Holders of CWMBS, Inc., CHL Mortgage Pass Through Trust 2004-6, Mortgage Pass Through Certificate Series 2004) , legally own the promissory notes for the herein referenced loan.

DEMAND FOR PRODUCTION NO. 12

All DOCUMENTS relating or referring to Bank of America as successor of Countrywide Home Loans, AND The Bank of New York Mellon, FKA The Bank of New York as Trustee for the Certificate Holders of CWMBS, Inc., CHL Mortgage Pass Through Trust 2004-6, Mortgage Pass Through Certificate Series 2004) , and/or anything you have with regard to the above referenced loan number, stating your Policy with respect to the lending of consumer home loans being done with legal tender or non-legal tender.

DEMAND FOR PRODUCTION NO. 13

All DOCUMENTS relating or referring to Bank of America as successor of Countrywide Home Loans, AND The Bank of New York Mellon, FKA The Bank of New York as Trustee for the Certificate Holders of CWMBS, Inc., CHL Mortgage Pass Through Trust 2004-6, Mortgage Pass Through Certificate Series 2004) Policy regarding borrower discharging a loan in the same type of funds used to issue the loan check.

DEMAND FOR PRODUCTION NO. 14

All DOCUMENTS relating or referring to Bank of America as successor of Countrywide Home Loans, AND The Bank of New York Mellon, FKA The Bank of New York as Trustee for the Certificate Holders of CWMBS, Inc., CHL Mortgage Pass Through Trust 2004-6, Mortgage Pass Through Certificate Series 2004) Policy on issuing a bank loan not redeemable in cash.

DEMAND FOR PRODUCTION NO. 15

All DOCUMENTS relating or referring to Bank of America as successor of Countrywide Home Loans, AND The Bank of New York Mellon, FKA The Bank of New York as Trustee for the Certificate Holders of CWMBS, Inc., CHL Mortgage Pass Through Trust 2004-6, Mortgage Pass Through Certificate Series 2004) ,policy/procedure showing that the bank first deposits cash or cash equivalent before issuing a check.

DEMAND FOR PRODUCTION NO. 16

All DOCUMENTS relating or referring to (Bank of America as successor of Countrywide Home Loans, AND The Bank of New York Mellon, FKA The Bank of New York as Trustee for the Certificate Holders of CWMBS, Inc., CHL Mortgage Pass Through Trust 2004-6, Mortgage Pass Through Certificate Series 2004) ,. Policy on the borrower‘s promissory note being equivalent to cash or having actual cash value.

DEMAND FOR PRODUCTION NO 17

All DOCUMENTS relating or referring to (Bank of America as successor of Countrywide Home Loans, AND The Bank of New York Mellon, FKA The Bank of New York as Trustee for the Certificate Holders of CWMBS, Inc., CHL Mortgage Pass Through Trust 2004-6, Mortgage Pass Through Certificate Series 2004)Policy regarding the originator of the herein referenced loan account receiving any compensation, fee, commission, payment, rebate or other financial consideration from your company or any affiliate of your company for handling, processing, originating or administering this loan. Further, please describe and itemize each and every form of compensation, fee, commission, payment, rebate or other financial consideration paid to the originator of this account by your company or any affiliate

DEMAND FOR PRODUCTION NO 18

Please provide for me all documentation explaining any bank policy regarding obtaining legal ownership of a promissory note.

Date______

By (your name) ______

I am only and specifically requesting items 1 through 18. If this demand is not rebutted point for point, anytime after thirty days from your receipt of this notice, I hereby reserve the right to file a claim for up to triple any damages.

You have 30 days to rebut point for point or send me the herein requested items. Bank of U.S. v Planters Bank [ Wheaton (22 US) 904);6L.Ed 24 DEMAND FOR PRODUCTION OF DOCUMENTS and DISPUTING OF AN ALLEGED DEBT

Your Name

Your Address

Date______

I am hereby reserving my right to OPPORTUNITY TO CURE if the herein made requests are ignored or refused without warrant, or countered with frivolous presentments.

Re: loan #______

To all parties involved:

You are hereby notified of the following information concerning a claim and an opportunity to cure based on our agreement and failure to, point for point, rebut this demand to produce documents under RESPA will potentially result in penalties and fines respecting banking crimes. And leaves cause for presenter of this demand, to request triple any damages plus interest, under U.S.C Title 5 Section 556(d)-Burden of Proof, UCC 3-305-Defense and Claims in Recoupment, and UCC 3-306- Claims to an Instrument.

See also Gregorakos v. Wells Fargo Nat’l Ass’n, 647 S.E.2d 289(Ga.Ct.App. 2007) US Supreme Court Case George W.HEINTZ, et al., Pettitioners, v. Darlene Jenkins Cite as 115 S.Ct 1489 (1995)., U.S. Bank Nat. Ass’n v. Ibanez (2011) 941 N.E.2d 40. An Alabama circuit recognized the legal ramifications regarding the failure of banks and their trustees to properly transfer NOTES and DEEDS OF TRUST. In Phyllis Horace v. La Salle Bank National Association, Et Al, 57-cv-2008-00362.00.

Further, failure to rebut this affidavit point for point within 30 days by the party to whom it is addressed, indicates said party’s agreement to terms and conditions, and points and authorities herein stated.

As a matter of fact, an un-rebutted demand stands as truth in commerce. According to the Supreme Court, “Silence can only be equated with fraud where there is a legal or moral duty to speak or where an inquiry left unanswered would be intentionally misleading.” U.S. vs. Tweel, 550 F. 2d 297, 299-300 (1997).In this matter, there is a legal duty to speak.

Submitted this _____ day of ______

______

(Your Name here)

Your Name

Your address

MORTGAGE ELECTRONIC REGISTRATION SYSTEMS MERS

P.O. Box 2026

Flint MI. 48501

Attn: Legal Department

REGISTERED MAIL

Re: 1st Loan 48226259

FIRST NOTICE, VIA REGISTERED MAIL#

DEMAND FOR PRODUCTION OF DOCUMENTS and DISPUTING OF AN ALLEGED DEBT

Dear Attn: Legal Department:

I, ______, hereby request that MORTGAGE ELECTRONIC REGISTRATION SYSTEMS INC. produce for inspection and copying the documents described herein, within 30 days after service, at the offices of or such other location as mutually agreed by the parties. I, _____(your name)______further demand that MORTGAGE ELECTRONIC REGISTRATION SYSTEMS INC. respond separately, in writing, under oath, and penalty of perjury to this document demand within thirty (30) days of the date of service.

If any Document is withheld under claim of privilege, furnish a list identifying each Document for which the privilege is claimed together with the following information date, sender, recipient, subject matter of DOCUMENT, and the basis on which privilege is claimed.

If any Document described in this demand was, but no longer is in your Possession, subject to your custody or control, or in existence, State whether

(a) It is missing or lost

(b) It has been destroyed

(c) It has been transferred voluntarily or

(d) It has been disposed of otherwise.

As used herein the term “Document” shall mean (in addition to any item specifically requested herein) all manner of written, reproduced or recorded matter ( in writing mechanically, photographically, or electronically including, but not limited to, all photographs, letters, notes emails, correspondence. Files, books, records, memoranda, Contracts, agreements, orders, invoices, billings, statements, of indebtedness, agenda, transcriptions, telegrams, Telex and TWX messages summaries diaries calendars, notebooks, charts, plans, drawings, computer printouts, minutes or records of meetings or conferences, lists, drafts and notations, financial records, and any and all copies thereof. To the extent that a document differs from other copies or originals of the same document by reason of notations, comments, deletions, markings or other differences, said document shall be deemed a separate document.

DEMAND FOR PRODUCTION NO. 1

All DOCUMENTS which refer or relate in any way to the 2046 balance sheet as it relates to the original loan, pursuant to Title 12 USC 248 and 249.

DEMAND FOR PRODUCTION NO. 2

All DOCUMENTS which refer or relate in any way to the 1099 OID.

DEMAND FOR PRODUCTION NO. 3

All DOCUMENTS which refer or relate in any way to S-3 Registration Statement (SEC 1379).

DEMAND FOR PRODUCTION NO. 4

All DOCUMENTS reflecting 424 (b)(5) prospectus.

DEMAND FOR PRODUCTION NO. 5

All DOCUMENTS which comprise YOUR verification policies relating to RC-S and RC-B call schedules.

DEMAND FOR PRODUCTION NO. 6

All DOCUMENTS relating or referring to FASAB/ FSA-Statement numbers 125, 133, 140, 5, and 95.

DEMAND FOR PRODUCTION NO. 7

All DOCUMENTS relating MORTGAGE ELECTRONIC REGISTRATION SYSTEMS, INC. bank trial balance or balance sheet for these two loans.

DEMAND FOR PRODUCTION NO. 8

All DOCUMENTS which refer to ownership of the original promissory note. I am hereby demanding the original only.

DEMAND FOR PRODUCTION NO. 9

All DOCUMENTS which refer to the true and correct status of the Promissory Note and/or Trust Deed.

DEMAND FOR PRODUCTION NO. 10

All DOCUMENTS which refer to The FDIC-mandated independent study regarding MORTGAGE ELECTRONIC REGISTRATION SYSTEMS, INC. bank policy.

DEMAND FOR PRODUCTION NO. 11

All DOCUMENTS relating MORTGAGE ELECTRONIC REGISTRATION SYSTEMS, INC. auditor(s) determining whether your bank, MORTGAGE ELECTRONIC REGISTRATION SYSTEMS, INC., legally owns the promissory note for the herein referenced loan.

DEMAND FOR PRODUCTION NO. 12

All DOCUMENTS relating or referring to MORTGAGE ELECTRONIC REGISTRATION SYSTEMS, INC. Policy with respect to the lending of consumer home loans being done with legal tender or non-legal tender.

DEMAND FOR PRODUCTION NO. 13

All DOCUMENTS relating or referring to MORTGAGE ELECTRONIC REGISTRATION SYSTEMS, INC. Policy regarding borrower discharging a loan in the same type of funds used to issue the loan check.

DEMAND FOR PRODUCTION NO. 14

All DOCUMENTS relating or referring to MORTGAGE ELECTRONIC REGISTRATION SYSTEMS, INC. Policy on issuing a bank loan not redeemable in cash.

DEMAND FOR PRODUCTION NO. 15

All DOCUMENTS relating or referring to MORTGAGE ELECTRONIC REGISTRATION SYSTEMS, INC. Policy/procedure showing that the bank first deposits cash or cash

DEMAND FOR PRODUCTION NO. 16

All DOCUMENTS relating or referring to MORTGAGE ELECTRONIC REGISTRATION SYSTEMS, INC. Policy on the borrower‘s promissory note being equivalent to cash or having actual cash value.

DEMAND FOR PRODUCTION NO 17

All DOCUMENTS relating or referring to MORTGAGE ELECTRONIC REGISTRATION SYSTEMS, INC. Policy regarding the originator of the herein referenced loans/accounts receiving any compensation, fee, commission, payment, rebate or other financial consideration from your company or any affiliate of your company for handling, processing, originating or administering this loan. Further, please describe and itemize each and every form of compensation, fee, commission, payment, rebate or other financial consideration paid to the originator of this account by your company or any affiliate.

DEMAND FOR PRODUCTION NO 18

Please provide for me all documentation explaining any bank policy regarding obtaining legal ownership of a promissory note.

Date______

By: Your Name______

I am only and specifically requesting items 1 through 18. If this demand is not rebutted point for point, anytime after thirty days from your receipt of this notice, I hereby reserve the right to file a claim for up to triple any damages.

You have 30 days to rebut point for point or send me the herein requested items. Bank of U.S. v Planters Bank [ Wheaton (22 US) 904);6L.Ed 24

Your Name

Your Address

I am hereby reserving my right to OPPORTUNITY TO CURE if the herein made requests are ignored or refused without warrant, or countered with frivolous presentments

Re: 1st Loan ______

To all parties involved:

You are hereby notified of the following information concerning a claim and an opportunity to cure based on our agreement and failure to, point for point, rebut this demand to produce documents under RESPA will potentially result in penalties and fines respecting banking crimes. And leaves cause for presenter of this demand, to request triple any damages plus interest, under U.S.C Title 5 Section 556(d)-Burden of Proof, UCC 3-305-Defense and Claims in Recoupment, and UCC 3-306- Claims to an Instrument.

See also Gregorakos v. Wells Fargo Nat’l Ass’n, 647 S.E.2d 289(Ga.Ct.App. 2007) US Supreme Court Case George W.HEINTZ, et al., Pettitioners, v. Darlene Jenkins Cite as 115 S.Ct 1489 (1995)., U.S. Bank Nat. Ass’n v. Ibanez (2011) 941 N.E.2d 40. An Alabama circuit recognized the legal ramifications regarding the failure of banks and their trustees to properly transfer NOTES and DEEDS OF TRUST. In Phyllis Horace v. La Salle Bank National Association, Et Al, 57-cv-2008-00362.00.

Further, failure to rebut this affidavit point for point within 30 days by the party to whom it is addressed, indicates said party’s agreement to terms and conditions, and points and authorities herein stated.

As a matter of fact, an un-rebutted demand stands as truth in commerce. According to the Supreme Court, “Silence can only be equated with fraud where there is a legal or moral duty to speak or where an inquiry left unanswered would be intentionally misleading.” U.S. vs. Tweel, 550 F. 2d 297, 299-300 (1997).In this matter, there is a legal duty to speak.

Submitted this ____ day of ______, 20__.

______

Your name (sign above)

Your Name

Your address

Date______

(Bank of America as successor of Countrywide Home Loans, AND The Bank of New York Mellon, FKA The Bank of New York as Trustee for the Certificate Holders of CWMBS, Inc., CHL Mortgage Pass Through Trust 2004-6, Mortgage Pass Through Certificate Series 2004)

Servicers Address

REGISTERED MAIL#

Re: loan 1st # ______

FIRST NOTICE, VIA REGISTERED MAIL#

Dear Attn: Legal Department:

I, ______, hereby request that (your situation Bank of America as successor of Countrywide Home Loans, AND The Bank of New York Mellon, FKA The Bank of New York as Trustee for the Certificate Holders of CWMBS, Inc., CHL Mortgage Pass Through Trust 2004-6, Mortgage Pass Through Certificate Series 2004)produce for inspection and copying the documents described herein, within 30 days after service, at the offices of or such other location as mutually agreed by the parties. I, ___(Your name)_____, further demand (your situation Bank of America as successor of Countrywide Home Loans, AND The Bank of New York Mellon, FKA The Bank of New York as Trustee for the Certificate Holders of CWMBS, Inc., CHL Mortgage Pass Through Trust 2004-6, Mortgage Pass Through Certificate Series 2004) respond separately, in writing, under oath, and penalty of perjury to this document demand within thirty (30) days of the date of service. If any Document is withheld under claim of privilege, furnish a list identifying each Document for which the privilege is claimed together with the following information date, sender, recipient, subject matter of DOCUMENT, and the basis on which privilege is claimed.