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Try CasePortal for FreeJ. Egan finds that the lower court properly allowed a borrower to file a late answer to mortgage foreclosure claims because the borrower had been involved in unsuccessful pro se negotiations with the lender, which could not argue prejudice. The original 2011 foreclosure action had been dismissed in 2015 for neglect to prosecute, and no grace period applied the 2020 filing. Affirmed.
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