HomeMy WebLinkAbout07-0827IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK
Plaintiff
VS.
MAZHAR A MALIK
Defendant
No: OP
COMPLAINT IN CIVIL ACTION
FILED ON BEHALF OF
Plaintiff
COUNSEL OF RECORD OF
THIS PARTY:
James C. Warmbrodt,42524
WELTMAN, WEINBERG & REIS CO., L.P.A.
436 Seventh Avenue, Suite 2718
Pittsburgh, PA 15219
(412) 434-7955
FAX: 412-338-7130
05573157 C N Pit VOC
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK
Plaintiff
VS. Civil Action No
MAZHAR A MALIK
Defendant
COMPLAINT AND NOTICE TO DEFEND
You have been sued in court. If you wish to defend against the
claims set forth in the following pages, you must take action within
twenty (20) days after this complaint and notice are served, by entering
a written appearance personally or by an attorney and filing in writing
with the court your defenses or objections to the claims set forth
against you. You are warned that if you fail to do so the case may
proceed without you and a judgment may be entered against you by the
court without further notice for any money claimed in the complaint or
for any other claim or relief requested by the plaintiff. You may lose
money or property or other rights important to you.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT
HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET
FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE
TO PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL
SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE.
LAWYER REFERRAL SERVICE
CUMBERLAND COUNTY BAR ASSOCIATION
32 SOUTH BEDFORD STREET
CARLISLE, PA 17013
(717) 249-3166
COMPLAINT
1. Plaintiff, CAPITAL ONE BANK is a corporation with offices at 140
EAST SHORE DR GLEN ALLEN , VA 23059 .
2. Defendant is adult individual(s) residing at the address listed
below:
MAZHAR A MALIK
820 PENNSYLVANIA AVE
LEMOYNE, PA 17043
3. Defendant applied for and received a credit card bearing the
account number 5291152118624770 .
4. Defendant made use of said credit card and has a current balance
due of $1340.33 , as of November 27, 2006
5. Defendant is in default by failing to make monthly payments when
due. As such, the entire balance is immediately due and payable to
Plaintiff.
6. Plaintiff is entitled to the addition of interest at the rate of
26.990% per annum on the unpaid balance from November 27, 2006 . A
copy of Plaintiff's STATEMENT is attached hereto, marked as Exhibit
111" and made a part hereof.
7. Although repeatedly requested to do so by Plaintiff, Defendant has
willfully failed and/or refused to pay the balance due to Plaintiff.
Wherefore, the Plaintiff prays for judgment in its favor and
against Defendant , MAZHAR A MALIK , INDIVIDUALLY , in the amount of
$1340.33 with continuing interest thereon at the rate of 26.9905k per
annum from November 27, 2006 plus costs.
James Warmbrodt,42524
WELT WEINBERG & REIS CO., L.P.A.
436 eve th Avenue, Suite 2718
Pitt bur h, PA 15219
(41 ) 4 4-7955
FAX: 4 -338-7130
05 73 7 C N Pit VOC
This law firm is a debt collector atV ting to collect this debt for
our client and any information obtai ed will be used for that purpose.
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Capitalowl
Account Su
Previous Balance $925.47
Payments, Credits and Adjustments $.00
Transactions $35.00
Finance Charges $20.76
New Balance $981.23
Minimum Amount Due $981.23
Payment Due Date August 19, 2005
Total Credit Line $500
Total Available Credit $.00
Credit Line for Cash $500
Available Credit for Cash $.00
At your service
To all Customer Relation or to report a lost or stolen card:
1-800-903-3637
For free online account service and ape" customer of=, log on to:
wu+v.rapitalone.mm
Send pay-u to: Send inquiriea to.
Attn: Remittanm Prooming
Capital One Bank Capital One
P.O. B. 790216 P.O. Box 30285
St Louis, MO 63179-0216 SLC, UT 84130-0285
GOLD MASTERCARD ACCOUNT JUN 20 - JUL 19, 2005
5291-1521-1862-4770 Page 1 of 1
Payments, Credits and Adjustments
Transactions
1 19 JUL CAPITAL ONE MONTHLY MEMBER FEE $6.00
2 19 JUL PAST DUE FEE 29.00
"Notice of Change In Account Terms" If your account is five or more days past due within six
billing periods after being two or more days past due, or if we do not receive your minimum
monthly payment for two consecutive billing periods, all rates may increase to the Default APR
previously disclosed to you. All other terms and conditions on your account remain in effect.
You were assessed a past due fee of $29.00 on 07/19/2005 because your minimum payment was not
received by the due date of 07/19/2005. To avoid this fee in the future, we recommend that you
allow at least 7 business days for your payment to reach Capital One.
Frnance Charges Please ice rvaerie ride for important informatim
Bd .rare Perron c dmg WE
o 'T&d m
at,
PR E
m PURCHASES 9935.66 .07395%P 26.99% 520.76
o CASH S.00 .07395%P 26.99% S.00
ANNUAL PERCENTAGE RATE applied this period 26.99%
PLEASE RETURN PORTION BELOW WITH PAYMENT
Cap?t?71Owl 0000000 0 5291152118624770 19 0981230020000981238
New Balance $981.23
Minimum Amount Due $981.23
Payment Due Date August 19, 2005
Total enclosed $
Account Number. 5291-1521-1862-4770
Capital One Bank
P.O. Box 790216 11111111111111111111 II
St. Louis, MO 63179-0216
III' 111111111 a 111111 II 11111111111111111111111111111111 11 111 111
P/ ram print mailing addrss _d1_ r-nsailcAmsgrr br! suing blae or black ink
S- Apc 0
Ciry Sute ZIP
Home Phone Al.,... Phone
Add-
#9020122955619373# MAIL ID NUMBER
MAZHAR A MALIK
820 PENNSYLVANIA AVE
m LEMOYNE PA 17043-1530
en
o ?
o ?
r
Please tmiteyour wanait number onyour rhak or money order madepayable to Capital One Bank and mail in the encloredenvelope.
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0 2006 Capital One Services, Inc. Capital One is a federally registered service mark. Ali rights reserved.
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periodic rate. To obtain the average daily balance for the
=oil cowed by this statement, we take the
beghWrg balance of each segment each day, add any new
vansaaione to each sepnem, and sib , any Payments
or credits. lit the code N appears on the trout of this
saemem new to 'Balance Rate Applied To,' we also
subtract env unpaid finance dirge included in the balance
of each segment.) TN. give us tha daily balance of each
segment. Then, we add up all the dapyy balances for each
segment for the billing period and divide by the final
number of days in the billing period. This gives us the
average daily balance of each segment.
3. Annual percentage Rates IAPRI.
a. The term 'Annum Pemenrage Rate' may appear as
'APR' m the front of this sMamem.
b. If the code P (Prime), L (3-mo. LIBOR), C (Certificate of
Deposit), or S (Bankcard Prime) appears on the from of
this instrument new to the periodic finals), the periodic
rates and corresponding ANNUAL PERCENTAGE RATES
may very qua bedy and may increase or decrease based
m the stated I Ices, as found in The Well Street
Journal, plus the margin previously disclosed to you.
These changes will be effectiw on the first day of your
billing ==y r Periodic staters m ending
iha April, July and October.
c. If the code D (Prime), F (1-mo. LIBOR) or G (3mo.
LIBOR Repriced Monthly) appppears on the from of your
satement next to the pedadc remfs>, the periodic rates
and corresponding ANNUAL PERCENTAGE RATES may
vary monthly and may increase or decrease based on the
stated indices, as toad in The Wall Street Journal, plus
the margin prevousy discosed to you. These changes
will be eNecdw m the fire, day of your billing period
each month.
4. Asses a sell of Late, Ovediep and Restarted Paymarit Fast.
Your account will be assessed ne more than two of the fees
lined here that occur doing any billing period. Under the
terra of your cuatwner agreemdn, we reserve the right to
waive or not to sasses any feel without prior notlficetion to
you without waiving our right to assess the same or similar
fees at is later time.
5.tRahawig Yrrrs Aces
urt. It a membership fair
appears m the from of this statramert, you haw 30
ar from the due this matemem was mailed to you to
avid paying tha fee or to haw arnh fee credited to yon
if you cancel your account. Dunkg this period, you may
continue to use your accent "bout having to pay the
memberahip fse. To carted your acewat yin must
notify is by calling our Customer Relative,s Department
and pay your 'New Balance' in full (excluding the
membership fee) Prior no the end of the shirty-day period.
e. If You close Your Aaaaust. You can request to close
your acceet by calling our Customer Relation
Departmrmt. you must destroy your credit card(s) and
account access cracks, cancel all pieauthorized billing,
and cease wirn9 your account. If you do rot cancel
preauthorized Wling arargarnents, we will consider
receipt of a charge your a ruration to reopen your
accom. Additionally, your accam will rot be closed
mill you pay all amounu you owe us baiudi_ any
trarhseotiare you haw euharixed, trance char
!r fees, pest
clue fees, ow tees, returned Payment fees, cash
advance fees and any other teen asseaeed to your
accoun. you am responsible for these amounts whether
they appear on yaw account at the time you request to
close the account or they are inuxred subsequent to
you r request to close the account. This may result in
charges epceedno m vour accwm after you haw
your account if it has already been dosed. For eumple,
if you autlodzed a purchase from a merchant and we
mcaiw the tr=a%, from the merchant after your
account has been closed, your account will be recpened,
the amour of the charge will be added to your account,
and you will be responsible for payment. If there is a
embersldp fee for your account, the fee will continue
to be charged, to the swam Pemritted by law, mill the
account balance has been paid in full as defined show.
7. Using You Aeeourt.Ywr card or account cannot be
used in crsoection with any internal gambling
tom wlonr.
BILLING RIGHTS SUMMARY
tin Case Of Ermm Or Que itiore About Your Bill)
If you think your bill is wrong, or if you need more
information on a transaction or bill, write to us on, a
separate sheet as soon as possible at the address for
inquiries shown on the from of this statement. We must
hear from you nor later than eo =it er we arm yon tha
first bill on which the error or pappeared. you can
call our Custwner Relations number, but doing so will not
preserve your rights. In your letter, giw us the following
Information: your name and account number, the dollar
rear of the suspected error, a description of the error
and an etplanation, if possible, of why you believe there is
an error; or if you reed info mr lion mom , a description f
the item you are unsure about. You do net haw to pay o any
amount in question while we are investigating it, bill you
are still obligated to pay tha pans of your bill that are not
in question. While we investigate your question, we cannot
report you as delinquent or lake any action to collect the
cunt you question.
$,t Special Rule For Credit Card Purchases
If you haw a problem with the
quality of property or
services that you purchased with a credit cam and you
haw tried in good faith to conect the problem with the
merchant, you may haw the right not to pay the remaining
amount due m the property or services. you haw this
protection oniy when the purchase price was more than
$50.00 and the purchase was made in your home Mate or
within 100 miles of your mailing atldmss. (If we own or
operate the merCharr or if we mailed you the
adwrimement for the property or services, all purchases
are covered reger:se of emman or location of purchase.)
Please remember to sign all correspondence.
t Does riot apply to corsame, rroa-credit card accounts
t Does trot apply to bus haw noncredit card assorts
Capital One supports Information privacy protection: see our
website at www.capitalone.com.
Capital One is a federally registered service mark of Capital
One Financial Corporation. All rights reserved. a 2003
Capital One
OILOLBAK
1- a. Bases Par". You will have a minimun grace period of
25 days without finance firerga on new, pure ases, new
balance transfers, new specie) purchases and maw ocher
charges it you pay you total "New Balance', in
accordance with the Important Notice for Payments below,
and in time for it to be credited by your next statemlem
closing date. There is no grace period on cash advances
and special trenslers. In addition, there is rot grace period
on any !Maracrim if you do not pay the Iota) "New
bale x
b. Amman Fihatee charge. Transarriorn which am not
sub) t to a grace period are assessed finance charge 1)
hem the date of the u-mctim or 2) from the data the
[raneawim is processed to your Account or 31 from the
firer calendar day of the currant billing period. Additionally,
if you did rot pay the "New Balance" from the preA-
billing period in full, fins . charges continue no accrue to
your unpaid balance until the peid balance is paid in full.
This means that yon may stilluowe finnnce charges, even it
you pay the entire New Balance indicated m the from of
your statement by the new statement closing but did
not do so for the previous month. Uryaid finance charges
a.:- dtled to tha applicable segment of your Account.
ter. $akrkraua Fnartea Chaps. For each billing period that
your accent is abject to a firnerce charge, a minimum
total FINANCE CHANGE of 80.50 will be imposed. If the
total finance charge resulting from the application of yea
periodic rate (s) is less than $0.50, we will subtract that
amount from the $0.50 minimum and the difference will be
billed to the purchase aepn?art of your account.
t d. Tanporary Radustion n Fauaruee triage. We reserve the
ght to rot sasess any or all finance charges for any given
Arg period. 2. Avian Daily Bahntae Ilnrixdng New Psdmssl.
a. RranKe Burge Is calculated by multiplying the dally
balance of each segrrlenf of your accwan (e.g., cash
advance, Purchase, special transfer, and special purchase)
by the corresponding daily periodic most.) that has been
previwaly disclosed to you. At the end of each day uring
the billing period, we apply the daily periodic rate fordeadn
segment of your account to the daily balance of each
t am. Than at tha end of the billing pedod, we add up
the .=oft hese daily cslrxiation to ardor st your
Pon ance charge for each segment. We add the
results from each segment to ardor at the total periodups
finance charge for your account. To ger the daily balance
for each segment of your accw, we take the beginning
balance for each segment and add any new tm isactiwn
and any periodic finance large calculated m the previous
day's balance for that segment. We than subtract any
payments or credits posted as of that day that am allocii led
to thin segment. This giwa us the separate daily balance
I11 eadn sePnarn of your account. However, it yon paid da
New aslanca dawn m your previous statement in fail (or
if your new balance was zero or a credit amount), new
transewims ==n to your purtlis or special
ulonlste thah,ara dell t 69a Iarce bthe?ily balathe dell
We
halancea together amid dw6ng tha s by by the number of
y
the days in the cured billing cycle. To calculate your total
WA=X ultiplyy your versge days by the
and by the rsanfzer of days in the billing
period. Due to rending on a daily basis, there may be a
slight voidance between this calcnastim and the amount of
finance charge actually assessed.
b. if the cede 2 or N appeam m the front of this statement
next to 'Balance Rate Applied To,' we multiply the
10. notice: Payments you mile to us will be credited to your eccwaa as of da buainesa tley we rereiw it, provided (1) you sow the bo[tam pmd_ of this natemenl cirri ywr check
in the enclosed remittance envelope and (2) your payment is received In our processing center by 3 p.m. ET (12 noon Fn. Please allow at least fl- (5) : b= days for posral deliwrv.
Peymems received by ue at any what location or in any other torn may not be credited as of the day we recsive them. Our business days am Monday through Saturday, excluding holidays.
Please do rat use ateplea, paper dips etc. ut n nation rg your payment. When yin send us a deck(s), you authorize us to make a me-time elect ronic trarafar debit from your bank
cemra for the amwmt of the deck. Ac aunoriatim apples to sip raacka receuved during the billing cycle even if arm by somewe elm. If we cannot process the transfer, You aurzadze
us to make a charge against your bank account using the check, a paper draft or what item.
VERIFICATION
CAPITAL ONE BANK
vs
MALIK, MAZHAR A
The undersigned does hereby verify subject to the penalties of 18 Pa.C.S. Section 4904 relating to unworn
falsification to authorities, that he/she is, MAISHA DAVIS, Authorized Agent, of CAPITAL ONE BANK,
Plaintiff Herein, that he/she is duly authorized to make this Declaration, and that the facts set forth in the
foregoing Complaint in Civil Action are true and correct to the best of his/her knowledge, information and
belief.
MAISHA DAVIS
iV1Y°i?9 s-r111y? _.
Notary Public,
Gwinnett County Georgia
My Comrnission Expires July 31st 20C9
5291152118624770
A049
WELTMAN, WEINBERG & REIS CO., L.P.A.
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK,
Plaintiff
vs.
MAZHAR A MALIK
Defendant
No.: 07-827 CIVIL TERM
PRAECIPE FOR DEFAULT JUDGMENT
FILED ON BEHALF OF
Plaintiff
COUNSEL OF RECORD OF
THIS PARTY:
WILLIAM T. MOLCZAN, ESQUIRE
PA I.D.447437
Weltman, Weinberg & Reis Co., L.P.A.
2718 Koppers Bldg.
436 Seventh Avenue
Pittsburgh, PA 15219
(412) 434-7955
WWR#05573157
Judgment Amount $ 1,436.60
THIS LAW FIRM IS ATTEMPTING TO COLLECT THIS DEBT FOR ITS CLIENT AND ANY
INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.
IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK,
Plaintiff
vs. Civil Action No.: 07-827 CIVIL TERM
MAZHAR A MALIK
Defendant
TO THE PROTHONOTARY:
PRAECIPE FOR DEFAULT JUDGMENT
Kindly enter Judgment against the Defendant, MAZHAR A MALIK above named, in the default of an
Answer, in the amount of $1,436.60 computed as follows:
Amount claimed in Complaint
$1,340.33
Interest from November 27, 2007 to April 17, 2007
at the legal interest rate of 26.990% per annum $96.27
TOTAL
$1,436.60
I hereby certify that appropriate Notices of Default, as attached have been mailed in accordance with PA
R.C.P. 237.1 on the dates indicated on the Notices.
WELTMAN, WEINBERG & REIS CO., L.P.A.
By: Wl/?
WILLIAM T. MOL ZA ESQUIRE
PA I.D.#47437
Weltman, Weinberg & Reis Co., L.P.A.
2718 Koppers Bldg.
436 Seventh Avenue
Pittsburgh, PA 15219
(412) 434-7955
WWR#05573157
Plaintiff's address is:
c/o Weltman, Weinberg & Reis Co., L.P.A., 2718 Koppers Building, 436 7t' Avenue, Pittsburgh, PA 15219
And that the last known address of the Defendant is: 820 PENNSYLVANIA AVE, LEMOYNE,PA 17043
IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK
Plaintiff
MAZHAR A MALIK
Defendant(s)
IMPORTANT NOTICE
TO: MAZHAR A MALIK
820 PENNSYLVANIA AVE
LEMOYNE,PA 17043
Date of Notice: pal
WWR#: 05573157
Case # ?l ! ??? l ???1 1 (ertn
YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN
APPEARANCE PERSONALLY OR BY ATTORNEY AND FILE IN WRITING WITH THE
COURT YOUR DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU.
UNLESS YOU ACT WITHIN TEN DAYS FROM THE DATE OF THIS NOTICE, A
JUDGMENT MAY BE ENTERED AGAINST YOU WITHOUT A HEARING AND YOU MAY
LOSE YOUR PROPERTY OR OTHER IMPORTANT RIGHTS. YOU SHOULD TAKE THIS
PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER, GO TO OR
TELEPHONE THE FOLLOWING OFFICE SET FORTH BELOW. THIS OFFICE CAN
PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER.
IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO
PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL
SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE.
LAWYER REFERRAL SERVICE
CUMBERLAND COUNTY BAR ASSOCIATION
32 SOUTH BEDFORD STREET
CARLISLE, PA 17013
(717) 249-3166
BY.
4 ?d W?Rf7-
PATRICK THOMAS WOODMAN
PA I.D. #34507
WELTMAN, WEINBERG & REIS CO., L.P.A.
2718 KOPPERS BLDG, 436 7TH AVE.
PITTSBURGH, PA 15219
IN THE COMMON PLEAS COURT OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK,
Plaintiff
vs.
MAZHAR A MALIK
Defendant
Case no:: 07-827 CIVIL TERM
NON-MILITARY AFFIDAVIT
The undersigned, who first being duly sworn, according to law, deposes and states as follows:
That he/she is the duly authorized agent of the Plaintiff in the within matter.
Affiant further states that the within Affidavit is made pursuant to and in accordance with the
Servicemembers' Civil Relief Act (SCRA), 50 U.S.C. App. § 521.
Affiant further states that based upon investigation it is the affiant's belief that the Defendant, MAZHAR A
MALIK is not in the military service.
Affiant further states that this belief is supported by the attached certificate from the Defense Manpower Data
Center (DMDC), which states that the Defendant, MAZHAR A MALIK is not in the military service.
Further Affiant sayeth naught.
r r'
? l
AFFIANT
SWORN TO AND SUBSCRIBED in my presence this day
of 1?.
COMMONWEALTH OF PENNSYLVANIA
NOY PUBLI Notarial Seal
Wayne A. Jones, Notary Public
City Of Pittsburgh, Alleghen q County
My Gomraission Expires Jurza 29, 2010
Member, Pennsylvania Association of 14otaries
This law firm is a debt collector attempting to collect this debt for our client and any information obtained will be
used for that purpose.
Request for Military Status
Department of Defense Manpower Data Center
Military Status Report
Pursuant to the Servicemembers Civil Relief Act
Page 1 of 2
APR-18-2007 04:53:25
'. Last Name First/Middle Begin Date Active Duty Status Service/Agency
MALIK MAZHAR Based on the information you have furnished, the DMDC does not
possess any information indicating that the individual is currently on
active duty.
Upon searching the information data banks of the Department of Defense Manpower Data Center, based
on the information that you provided, the above is the current status of the individual as to all branches
of the Military.
0 )A -
44711.-
Mary M. Snavely-Dixon, Director
Department of Defense - Manpower Data Center
1600 Wilson Blvd., Suite 400
Arlington, VA 22209-2593
The Defense Manpower Data Center (DMDC) is an organization of the Department of Defense that
maintains the Defense Enrollment and Eligibility Reporting System (DEERS) database which is the
official source of data on eligibility for military medical care and other eligibility systems.
The Department of Defense strongly supports the enforcement of the Servicemembers Civil Relief Act
[50 USCS Appx. #167;#167; 501 et seq] (SCRA) (formerly the Soldiers' and Sailors' Civil Relief Act of
1940). DMDC has issued hundreds of thousands of "does not possess any information indicating that the
individual is currently on active duty" responses, and has experienced a small error rate. In the event the
individual referenced above, or any family member, friend, or representative asserts in any manner that
the individual is on active duty, or is otherwise entitled to the protections of the SCRA, you are strongly
encouraged to obtain further verification of the person's active duty status by contacting that person's
Military Service via the "defenselink.mil" URL provided below. If you have evidence the person is on
active-duty and you fail to obtain this additional Military Service verification, provisions of the SCRA
may be invoked against you.
If you obtain further information about the person ( e.g., an SSN, improved accuracy of DOB, a middle
name), you can submit your request again at this Web site and we will provide a new certificate for that
query.
This response reflects current active duty status only. For historical information, please contact the
Military Service SCRA points-of-contact.
See: http//www defenselin.... mil..../..faq/pis/PC09S. LDR...htm_ 1.
WARNING: This certificate was provided based on a name and Social Security number (SSN) provided
https://www.dmdc.osd.mil/scra/owa/scra.prc_Select 4/18/2007
Request for Military Status
Page 2 of 2
by the requester. Providing an erroneous name or SSN will cause an erroneous certificate to be provided.
Report ID: CIRDZYOKDNQ
https://www.dmdc.osd.mil/scra/owa/scra.prc_Select 4/18/2007
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40
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IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK,
Plaintiff
vs. Civil Action No.: 07-827 CIVIL TERM
MAZHAR A MALIK
Defendant
NOTICE OF JUDGMENT OR ORDER
TO: ( ) Plaintiff
(xx) Defendant
( ) Garnishee
You are hereby notified that the following
Order r Judgment was entered against you
on ;3g 'L ;..2
, ?od7
(xx) Assumpsit Judgment in the amount
of $1,436.60 plus costs.
( ) Trespass Judgment in the amount
of $ plus costs.
( ) If not satisfied within sixty (60)
days, your motor vehicle operator's license and/or registration
will be suspended by the Department of Transportation, Bureau
of Traffic Safety, Harrisburg, PA.
(xx) Entry of Judgment of
( ) Court Order
( ) Non-Pros
( ) Confession
(xx) Default
( ) Verdict
( ) Arbitration
Award
Prothonotary
By:
PR HONOTA (}
MAZHAR A MALIK
820 PENNSYLVANIA AVE
LEMOYNE, PA 17043
Plaintiffs address is:
c/o Weltman, Weinberg & Reis Co., L.P.A., 2718 Koppers Building, 436 7`h Avenue, Pittsburgh, PA 15219
1-888-434-0085
SHERIFF'S RETURN - REGULAR
CASE NO: 2007-00827 P
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
CAPITAL ONE BANK
VS
MALIK MAZHAR A
JASON VIORAL , Sheriff or Deputy Sheriff of
Cumberland County,Pennsylvania, who being duly sworn according to law,
says, the within COMPLAINT & NOTICE was served upon
MALIK MAZHAR A the
DEFENDANT , at 1914:00 HOURS, on the 27th day of February-, 2007
at 820 PENNSYLVANIA AVENUE
LEMOYNE, PA 17043
by handing to
a true and attested copy of COMPLAINT & NOTICE together with
and at the same time directing His attention to the contents thereof.
Sheriff's Costs:
Docketing 18.00
Service 14.08
Affidavit .00
Surcharge 10.00
.00
316 V 42.08
Sworn and Subscibed to
before me this day
of ,
So Answers:
R. Thomas Kline
00/00/0000
By: De t' eri
A. D.
fir.
LED-OF ICE
Jl THE PROTF# TAR 1!?
WELTMAN, WEINBERG & REIS CO., L.P.A.
BY: Sarah E. Ehasz, Esquire Attorney for Plaintiff(s) 1012 JUL 13 P 2': 22
I.D. No.86469
436 Seventh Avenue, Suite 1400 CUMBERLAND COUNTY
Pittsburgh, PA 15219 PUNSYLVA 1A
Phone: 412.434.7955
Fax: 412.434.7959
File # 5573157
CAPITAL ONE BANK
Plaintiff
Cumberland County
Court of Common Pleas
Vs.
MAZHAR A MALIK
Defendant(s)
NO. 07-827 CIVIL TERM
PRAECIPE FOR SATISFACTION OF JUDGMENT
TO THE PROTHONOTARY: I
Please kindly Satisfy the Judgment of the above-captioned matter upon the records of the
Court and mark the cost paid.
WELTMAN, WEINBERG & REIS CO., L.P
By.
Sarah E. Ehasz,',Esquire
Attorney for Plaintiff
a? ?q. 56 1A a?
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k91 -? 9? 1
MAZHAR A MALIK
820 PENNSYLVANIA AVE
LEMOYNE, PA 17043