Paredes v. Credit Consulting Services, Inc.
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Paredes obtained dental services from Mai Dental in 2015-2016, with the understanding that payments made by Delta Dental would satisfy in full any debt that Paredes owed. In 2018, Paredes received a check from Delta for $2,195. Mai's employee refused to accept the check as full payment. Paredes retained the uncashed check but did not make any payment to Mai. Mai assigned Paredes’s debt to Credit Consulting, which filed suit, seeking $9,613 in allegedly unpaid dental bills, plus interest and attorney fees. More than one year later, Paredes filed a cross-complaint asserting violations of the Fair Debt Collection Practices Act (15 U.S.C. 1692) (FDCPA) and California’s Rosenthal Fair Debt Collection Practices Act. Credit Consulting responded with an anti-SLAPP (strategic lawsuit against public participation) motion to strike the cross-complaint, Code of Civil Procedure section 425.16.
The trial court denied the anti-SLAPP motion. The court of appeal affirmed, rejecting arguments that the trial court erred in finding Paredes had demonstrated a probability of success on the merits because her claims are time-barred; that the trial court erred in determining this matter arose out of a “consumer credit transaction,” as defined by the Rosenthal Act, and that Paredes failed to demonstrate that its collection action violated the FDCPA because Credit Consulting filed suit in reasonable reliance upon the information provided by Mai.
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