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INDEMNIFICATION AGREEMENT

STATE OF _____________ )
COUNTY OF __________ )

1. That we are the owners of the premises known as 30 Mathew Heights, Glen Cove,
New York.

2. On July 19, 2007, we mortgaged the above premises to Gateway Bank FSB in the
amount of $180,300.00. As a condition for Gateway Banks FSB lending such
monies, outstanding accounts, as stated on the credit report dated April 17, 2007
were to be paid with the proceeds of such loans. The credit report revealed an
outstanding account with Bank of America totaling $3,249.00.

3. At the time of the closing of the above loan, Bank of America was unable to
ascertain any account belonging to Rosemary Sawyer (SS#416-66-0292) or
Donald Sawyer (SS#241-64-0269). As a result, The Law Office of Lucca and
Lucca was required to hold $3,249.00 in escrow in order to proceed.

4. We represent that since the time of the closing we have contacted Bank of
America in order to satisfy such account, however Bank of America does not
recognize that any account exists.

5. We are requesting that The Law Office of Lucca and Lucca release the escrow
funds totaling $3,249.00. We are aware that The Law Office of Lucca and Lucca
is subjecting itself to a risk by not satisfying the Bank of America account as
stated as open on the credit report, and the Law Office of Lucca and Lucca does
not desire to subject itself to possible litigation as a result of releasing such funds.

6. To induce The Law Office of Lucca and Lucca to release such funds, we agree to
indemnify and hold harmless The Law Office of Lucca and Lucca from and
against any and all losses, claims, damages and expenses (including but not
limited to attorneys' fees), in connection with the release of such funds.

__________________________
Rosemary Sawyer

__________________________
Donald Sawyer
Subscribed and Sworn before me
this _______ day of ________, 2007.

_______________________
Notary Public

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