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COMMONWEALTH OF PENNSYLVANIA. .... iwJ.' NOTICE OF JUDGME. N. TITRANSCRIPT
COUNTY OF: CUMBERLAND ()() - ;:ltN7 CIVIL CASE' . .
Mag. Dlsl. No.: " PLAINTIFF: NAME and-ADDRESS
09-2-01 IsTENEHJEM, MICHAELE . ""l
59 WINCHESTER GDNS
CARLISLE, PA 17013
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DJ Name: Hon.
.....PAULA. P. CORREAL
Add"'....EAST WING - COURTHOUSE
1 COURTHOUSE SQUARE
CARLISLE, PA
r"'phoo" (717) 240-6564
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VS.
17013-0000
DEFENDANT:
IwAGNER, JOYCE
421 PACTORY ST.
CARLISLE, PA 17013
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NAME and ADDRESS
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MIC~L E. STENEHJEM
59 WINCHESTER GDNS
. CARLISLE, PA 17013
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Docket No.: cv- 0000081- 00
Date Filed: 3/01/00
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THIS IS TO NOTIFY YOU THAT:
Judgment:' -FOR .-PTIA-INTIFF
[i] Judgment was entered for: (Name) !l'l'RNRJ.J.TRM MT~J.JiI\RT. R
[i] Judgment was entered against: (Name) WJl.~NRR, .TOyeR
in the amount of $
",11"1 lR on:
(Date of Judgment)
4/10/00
o Defendants are jointly and severally liable.;
. 0 Damages will be assessed on:
(Date & Time)
O Amount of Judgment SUbject to
Attachment/Act50f1996 $
Amount of Judgment $ 5.000.00
Judgment Costs $ 113.38
Interest on Judgment $ .00
Attorney Fees $ .00
Total $ 5.113.38
Post Judgment Credits $
Post Judgment Costs $
------------
------------
Certified Judgment Total $
o This case dismissed without prejudice.
o Levy is stayed for
days or 0 generally stayed.
o Objection to levy has been filed and hearing will be held:
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4-10~O()'.
, District Justice
4-10-0Q
, District Justice
My commission expires first Monday of January,
AOPC 315.99
2006
SEAL
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
PRAECIPE FOR WRIT OF EXECUTION
Caption:
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vs.
( ) Confessed Judgment
( . ) Other
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'""5"o'd c<.. W"'gn~iL
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Amount Due
Interest
Sl \ 3.38
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Atty's Comm
Costs
TO THE PROTHONOTARY OF THE SAID COURT:
The undersigned hereby certifies that the below does not arise out of a retail installment sale, contract, or
account based on a confession of judgment, but if it does, it is based on the appropriate original proceeding filed
pursuant to Act 7 of 1966 as amended; and for real property pursuant to Act 6 of 1974 as amended.
Issue writ of execution in the above matter to the Sheriff of Cv",," b..- \..~J
for debt, interest and costs, upon the following described property of the defendant(s)
ALL I-tou."iq/.( TJ.,..( j" ,"cl-&. ''''''>O".J1?OS'e5'~'-'\) ~v.-~:'\-"",--,cl".l-r,"J';-
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PRAECIPE FOR ATTACHMENT EXECUTION
Issue writ of attachment to the Sheriff of County, for debt, interest and
costs, as above, directing attachment against the above-named garnishee(s) for the following property (if real
estate, supply six copies of the description; supply four copies of lengthy personalty list)
and all other property of the defendant(s) in the possession, custody or control of the said garnishee(s).
o (Indicate) Index this writ against the garnishee(s) as a lis pendens against real estate of the
defendant(s) described in the attached exhibit
Date
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Signature:
Print Name:
Address:
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Attorney for:
Telephone: ~ ~'1 11- P <-/ <{
Supreme Court ID No.:
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Notes: If real property, supply six copies of description including improvements and an original and copy of
affidavit of ownership (PaRe.P. No. 3129).
If lengthy personalty list, supply four copies of list
To index writ, file separate praecipe with writ
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WRIT OF EXECUTION and/or ATTACHMENT
COMMONWEALTH OF PENNSYLVANIA)
COUNTY OF CUMBERLAND)
NO. 00-2947 CIVILlI5 TERM
CIVIL ACTION - LAW
TO THE SHERIFF OF Cumberland
COUNTY:
To satisfy thedePt, interest and costs dUEMichael Stenehlem 130 Meals Drive, Carlisle, Pa.
17013 PLAINTIFF(S)
from Joyce Waqner 421 Facto:ry Street, Carlisle, Pa. 17013
DEFENDANT(S)
(1) You are directed to levy upon the property of the defendant(s) and to sell
All household items to include personal possessions, furniture, clothing & appliances
(2) You are also directed to attach the property of the defendant(s) not levied upon in the possession of
GARNISHEE(S) as follows:
and to notify the garnishee(s) that: (a) an attachment has been issued; (b) the garnishee(s) is/are enjoined from paying any
debt to or for the account of the defendant(s) and from delivering any property of the defendant(s) or otherwise disposing
thereof;
(3) If property ofthe defendant(s) notlevied upon an subjectto attachment is found inthe possession of anyone other
than a named garnishee, you are directed to notify him/her that he/she has been added as a garnishee and is enjoined as above
stated.
%
LL
Due Prothy
Other Costs
$1.00
29.25
Date:
October 2, 2000
Curtis R. Long
Prothonotary, Civil Division
by: q 'f'-><- 0 ?n,PtJ,~/
Deputy
REQUESTING PARTY:
Name Michael Stenchlem
Address: 110 M~~' Q nri'Ut:>
Carljsle. Pa. 17013
Attorney for:
Telephone: (717) 249-1744
Supreme Court 10 No.
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R. Thomas Kline, Sheriff, who being duly sworn according to
law, states this writ is returned STAYED per instructions from the
Plaintiff.
Sheriff's Costs:
Docketing
Prothonotary
Surcharge
Poundage
$18.00
1.00
10.00
.58
$29.58
Advance Costs:
Sheriff's Costs:
$150.00
29.58
$120.42
Refund to p1tff on 10-16-00
S.o Ar;.S)Ii,e~ ~.
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R. Thomas Kline, Sheriff
Sworn and subscribed to before me
This 17 ~ day of {PU;;:t.""
2000, A.D. ~ (}'~/(ip" Jf"?fJ
r thonotary ,
BY QtJ-fI.!;4 ~
eputy Sheriff
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
PRAECIPE FOR WRIT OF EXECUTION
Caption:
vs.
( ) Confessed Judgment
( . ) Other
FileNo. ,;100"-- o.J."i,-/'7
Amount Due ~U 3. a~
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Interest
Atty's Comm
Costs
TO THE PROTHONOTARY OF THE SAID COURT:
The undersigned hereby certifies that the below does not arise out of a retail installment sale, contract, or
account based on a confession of judgment, but if it does, it is based on the appropriate original proceeding filed
pursuant to Act 7 of 1966 as amended; and for real property pursuant to Act 6 of 1974 as amended.
Issue writ of execution in the above matter to the Sheriff of ~~ "'" ~,<, I" ~ .Q County,
for debt, interest and costs, upon 'the following described property of the defendant(s)
C~.\.\~<, kov.",kliT-k....s -+., ';t~,,(-.,k "v'n:-1-.~,~, A\\'fl.~".'<5, :J"-o<->~I<,,, ,,(wit.:..) I
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PRAECIPE FOR ATTACMMENT EXECUTION
Issue writ of attachment to the Sheriff of County, for debt, interest and
costs, as above, directing attachmenTaga[nst:the,above-named garnishee(s) for the following property (if real
estate, supply six copies of the description; supply four copies of lengthy personalty list)
and all other property of the defendant(s) in the possession, custody or control of the said garnishee(s).
o (Indicate) Index this writ against the garnishee(s) as a lis pendens against real estate of the
defendant(s) described in the attached exhibit
Date ~- \ ~.o I
Signature:
Print Name:
Address:
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G.. ~ l. s I .L q A. pc 13
Attorney for:
Telephone:
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Supreme Court ID No.:
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Notes: If real property, supply six copies of description including improvements and an original and copy of
affidavit of ownership (PaR.C.P. No. 3129).
If lengthy personalty list, supply four copies of list
To index writ, file separate praecipe with writ
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WRIT OF EXECUTION and/or ATTACHMENT
COMMONWEALTH OF PENNSYLVANIA)
COUNTY OF CUMBERLAND)
NO. 00-2947 CIVIL -TERM
CIVIL ACTION -LAW
TO THE SHERIFF OF
Cumberland
COUNTY:
Michael Stenehjem
To satisfy the debt, interest and costs due
PLAINTlFF(S)
from Joyce Wagner, 42l Factory Street, Carlisle, FA 17013
DEFENDANT(S)
(1) You are directed to levy upon the property of the defendant(s) and to sell Entire household items
to' include furnitUre. appliances. "iewelrv. clothinq. shoes. dishes, pots, pans,
books
(2) You are also directed to attach the property of the defendant(s) not levied upon in the possession of
GARNISHEE(S) as follows:
and to notify the garnishee(s) that: (a) an attachment has been issued; (b) the garnishee(s) is/are enjoined from paying any
debt to or tor the account of the defendant(s) and from delivering any property of the defendant(s) or otherwise disposing
thereof;
(3) If property oflhe defendant(s) nollevied upon an subject to attachment is found in the possession of anyone other
than a named garnishee, you are directed to notify him/herthat he/she has been added as a garnishee and is enjoined as above
stated.- '
Amount Due' ,$5113.38
Interest
Atty's Comm . %
Atty Paid
Plaintiff Paid $74.83
LL
Due Prothy
Other Costs
$1 00
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Deputy
Date: Februarv 13, 2001
by.:.
REQUESTING PARTY:
Name Michael Stenehjem
Address: 130 Meals Drive
Carlisle, PA 17013
~ Plaintiff
Telephone: 717-249-1744
Supreme Court ID No.
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R. Thomas Kline, Sheriff. who being duly sworn according to law,
states this writ is returned STAVED.
Sheriff's Costs:-
Dor.keting
Poundage
Prothonotary
Service
Surcharge
Levy
$ 18.00
76.00
1. 00
3.10
20.00
20.00
138.10
Advance Costs:
Sheriff's Costs
Total Refund:
$ 150.00
138.10
11.90
Refund to Plaintiff 3/23/01
t h i. s J. -:l..<A- day 0 f /'YI.<w-J,J
2001 A.D. (\, () fv,,/';,~j A~n.r;
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R. Thomas Kli~eriff
By CA CWr!iQ) &t.u,l~b~
Sworn and Subscribed to before me
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MAR 15 20011:1.7
Michael Stenehjem / Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
VS
Joyce Wagner / Defendant
: CIVIL ACTION - TERM
: NO. 00-2947
ORDER OF COURT
AND NOW, this
(.s: ft. day of M u c.. {,
2001, tB0 lsJsggi"'"'g pP.tiV.......... is'.
iilldc~Gdfiled=~d-aFl. -1;.-hearing." -,isfixedfor ~.A.-J ,;?;;? ,2001,
at ~~3o a'm.
in Courtroom No.
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ofthe
Courthouse in Carlisle, Pennsylvania.
BY THE COURT,
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Judge
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Michael Stenehjem I Plaintiff
VS
Joyce Wagner I Defendant
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
: CML ACTION. TERM
: NO. 00-2947
Petition For Stay Of Execution
I, Joyce L Wagner, am requesting the opportunity to be heard before a judge to present
circumstances in which I believe would explain my plea for Stay Of Execution I to stop Sheriff
Sale of my property.
Michael Stenehjem (Plaintiff), approximately 6 years ago, asked my daughter (Shandi) and
myself to move in with him when my lease had run out on April 30, 1995. On June 1 s" 1995
traumatic circumstances caused my daughter and myselfto be homeless, and to lose everything,
including my car and my career.
Approximately one and one half years later Michael returned home from incarceration and began
calling asking my forgiveness for what had happened, Please refer to exhibit #1 & 2 to determine
history.
It was not until Michael began a somewhat steady relationship that he began to pursue repayment
ofthe credit cards. Michael then sued me at the District Justice level, and a judgment was found
against me in the amount of $5,113.38. Shortly following the judgment, Michael pursued a
Sheriff Sale of my property. Prior to Sheriffs arriving to access my property Michael and I came
to a mutual agreement of payment (please refer to exhibit # 3). Michael then agreed to stop the
Sheriff Sale.
I have attached carbon copies of checks, and bank statement, that are record of payments made to
Michael following the mutual agreement.
I, Joyce L Wagner, do swear all facts to be true to the best of my knowledge.
M
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Cc: Michael Stenenjem
File
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Exhibit 1
Page 1
· Michael had put me through several situations in the past when I dated / lived
with him for a very brief period
· Michael was "gone" for a while, when he came back, he started to call me on a
regular basis while I was living with my friend of 14 years, Brad Wiser
· I had been offered a management position with a National Company that required
me to have a credit card for flight arrangements / travel / ect. . . . . . Michael called
one day when I had just gotten off of the phone with the Vice President of the
company discussing the fact that 1) they need to rec'v approval of the President
for me to come to work for them with a felony 2) that I needed to have a credit
card to fly to Atlanta for training
When he called, I was crying because of all of the stress in" re-living" all of these things
that he had caused me, and having to discuss them in every interview that I went to. I
told him that he had destroyed my car / lied about me several times in court / caused me
to end up in the hospital with a nervous breakdown / which caused me to lose my car and
everything that I had. Michael was trying to convince me to go back with him! forgive
him for what he had done, and told me that he would call his credit card company and
have them send me a credit card. It came by UPS the next day to my house with no prior
discussion other than the fact that he knew the things that he had done were wrong ,and
that he wanted me to forgive him, and try not to hate him.
I used the card for quite a while and Michael never said one thing about me paying on it
I used the card until it had reached the credit limit, and told Mike. He said that he had
just gotten another card and would cancel the one I had, and send me a new card. I told
him that if he kept giving me cards with me as just the authorized user that I would never
be able to establish credit in my name, and that this would be a never-ending cycle. He
was the primary cardholder for the first card, and I was an "authorized user". He called
the second credit card company and told them to send an application for me to be a co-
cardholder ---- with both of us equally responsible for the payments.
I had the bills sent to me for this card, and made all of the payments until recently when I
tried to talk to Michael about how we were going to breakdown who owed what
amounts. Because of the fact that I recently told Mike that I did not want to occasionally
go on dates with him any longer and not to continue to contact me other than about these
bills, he became nasty and refused to discuss this in an adult manner,
I had even recently contacted through CONTACT. . ..a mediator service that I initially
wanted to help us get through this, but because of Mike's history of violence with me
when he is upset with me, I backed out
I had tried to call him on several occasions to discuss this matter with him, but his new
girlfriend put herself in the middle of out "situation" and made it impossible to talk to
Mike until he eventually refused to speak to me either
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Exhibit 1
Page 2
Michael has continued for the past year and a half to buy me gifts, take me to dinner, ect,
without ever discussing that lowed him money for the card.
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Exhibit 2
LEGAL SERVICES, INC.
September 27, 1996
8 Irvine Row
Carlisle, Pennsylvania 17013
(717) 243-9400
Fax (717) 243-8026
West Shore (717) 766-8475
Franklin Fann Lane
Chambersburg, Pennsylvania 17201
(717)264-5354
432S. Washington Street
Gettysburg, Pennsylvania 17325
(717)334-7623
Carlisle Police Department
53 West South Street
Carlisle, PA 17013
Re: WAGNER v. STENEHJEM
No. 96-5366 Civil Term
Protection From Abuse
To Whom It May Concern:
Enclosed please find a certified copy of the T empormy Protection Order and Petition for Protection
Order in the above referenced case. I have infonned Ms. Wagner that you have a copy of this Order
and that she should contact you for assistance if Mr. Stenehjem violates the Order, The Tempormy
Protection Order will remain in effect until modified or terminated by the court after notice or hearing.
PLEASE NOTE: This paperwork is being forwarded to your department because Ms. Wagner
resides at 412 North Pitt Street in Carlisle.
Please feel free to contact our office if you have any questions. Thank you for your cooperation in this
matter.
Sincerely,
:}:~INC_
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Paralegal
Enclosure
cc: Joyce Lynn Wagner
SERVING ADANIS, CUMBERLAND, FRANKLIN AND FULTON COUNTIES
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Exhibit 3
Official Mutual Agreement
The following bullets apply to a mutual agreed upon payment arrangements between
Michael Stenehjem and Joyce Wagner regarding reimbursement for credit card debts
incurred in both of our names:
. An initial payment of $200.00 to be followed by bi-weekly payments of a minimum
of $75.00.
. Payment of 50% of Federal Income Tax Return immediately upon receipt of refimd
check.
· I, Joyce Wagner, agree to pay any interest incurred by loan received by Michael
. Stenehjem that is applied to payoff mutual credit card debt.
Joyce L Wagner
Michael E. Stenehjem
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Record of Payments
October 9, 2000 -- $200.00 / ck # 564
October 24,2000 -- $75.00 ck # 549
November 14, 2000 -- $ 75.00/ cash
December 12, 2000 _. $75.00 / money order
December 22,2000 _. $75.00 / ck # 604
. January22,2001--$75.00/ck# 105
January 29, 2001 -- $75.00 / money order
February 22,2001 -- $75.00 / ck 135
March 12,2001 -75.00/ ck # 148
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MICHAEL STENEHJEM
Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
V
JOYCE WAGNER
CIVIL ACTION-TERM
00-2947
Defendant
IN RE: PETITION FOR STAY OF EXECUTION
ORDER OF COURT
AND NOW, this 22nd day of March, 2001, upon
consideration of Defendant's Petition for Stay of Execution, and
following a proceeding at which both parties appeared pro se, at
which it appeared to the Court that the judgment in question was a
valid judgment and at which the Defendant conceded that she has
missed at least one payment under the agreement of the parties for
deferment of execution, the Defendant's Petition for Stay of
Execution is denied.
Michael Stenehjem, Pro Se
59 Winchester Gardens
Carlisle, PA 17013
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By the Court,
Joyce Wagner, Pro Se
421 Factory Street
Carlisle, PA 17013
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Cumberland County Sheriff
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