Form Udl E 7 PDF Details

The Udl E 7 form serves a critical role in the legal process concerning real estate, specifically in situations involving unlawful tenancy or disputes between landlords and tenants in Sacramento, California. This document, formally recognized as the Declaration in Support of Application for Default Judgment (Unlawful Detainer), is a vital tool used within the Superior Court of California, County of Sacramento, to formally argue a landlord's case against a tenant who has not complied with eviction notices. The form comprehensively gathers evidence and statements from the plaintiff, which can include landlords or property managers, to support their claim for eviction. It requires detailed information about the property, the plaintiff's relationship to it, descriptions of the lease or rental agreement, and a chronological account of the tenant's failure to comply with the agreed terms - particularly regarding rent payments. Additionally, it outlines any attempts made by the landlord to rectify the situation, such as serving notice to the tenant, and specifies the amounts claimed by the landlord for unpaid rent, damages, court costs, and potentially attorney’s fees. The preparation of this form, accompanied by the necessary documentation and adherence to legal requirements, is crucial for landlords seeking relief through the court. By providing a structured framework to present one's case, the Udl E 7 form facilitates the legal process aimed at resolving disputes efficiently and fairly within the realm of real estate law.

QuestionAnswer
Form NameForm Udl E 7
Form Length2 pages
Fillable?No
Fillable fields0
Avg. time to fill out30 sec
Other namesud 7 ud7 form online

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ATTORNEY OR PARTY WITHOUT ATTORNEY (Name, State Bar Number, and Address)

FOR COURT USE ONLY

TELEPHONE NO:

 

 

 

E-MAIL ADDRESS (Optional):

 

 

 

ATTORNEY FOR (Name):

 

 

 

 

NAME OF COURT: SUPERIOR COURT OF CALIFORNIA, COUNTY OF SACRAMENTO

 

 

STREET ADDRESS:

301 BICENTENNIAL CIRCLE

 

 

 

MAILING ADDRESS: UNLAWFUL DETAINER UNIT

 

 

 

CITY AND ZIP CODE:

SACRAMENTO, CA 95826

 

 

 

BRANCH NAME:

CAROL MILLER JUSTICE CENTER

PHONE: (916) 875-7746

 

 

PLAINTIFF/PETITIONER:

 

 

 

DEFENDANT/RESPONDENT:

 

 

 

 

 

DECLARATION IN SUPPORT OF APPLICATION FOR DEFAULT JUDGMENT

CASE NUMBER:

 

 

(UNLAWFUL DETAINER)

 

 

 

 

 

 

 

 

(Check applicable boxes and complete lines where appropriate.)

 

 

1.

I, ____________________________________________

, declare that:

 

 

I am the owner of the subject property.

 

 

 

I am the property manager of the subject property and a true copy of the written management agreement is attached

 

as Exhibit ____________________.

 

 

2.

Plaintiff’s interest in the premises is as owner as an assignee of the owner’s interest in the premises under a written

 

assignment.

 

 

 

3.The property is described in the complaint and located at ______________________________________________________

_________________________________________________, County of Sacramento, California.

4.Defendant(s) is/are tenant(s) of the premises and agreed to rent the subject premises pursuant to a

 

written oral agreement. The written agreement was signed by _____________________________________________

 

_________________________________________ and a true and correct copy is attached hereto and marked as

 

Exhibit ___________________________________________

 

5.

Rent under the agreement was established at $ ______________ payable

monthly other (specify)

____________________________________________________________________________________________________

The agreement was later changed as follows:

_____________________________________________________________________________________________

Other terms and conditions of the tenancy relevant to this application are:

_____________________________________________________________________________________________

UDL/E-7 (Rev 1/2007) DECLARATION IN SUPPORT OF APPLICATION FOR DEFAULT JUDGMENT (UNLAWFUL DETAINER)

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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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