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HomeMy WebLinkAbout97-00662 \ ~ It I:too.. It -t q: (j ~ '" .~ ... :) ~ "'" ~ q - '-1 I H ~ 0-1: ~ ~ -.{rQ " , '-.., ". . .~ - u r-J i~~ t- o- COMPLAINT IN MORTGAGE FORECLOSURE NOTICE 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 THE ATTORNEY AND FILING IN WRITING WITH THE COURT YOUR DEFENSES AND 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 SHOULD 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. CUMBERLAND LAWYER REFERRAL SERVICE COURT ADMINISTRATOR 3RD FLOOR CUMBERLAND COUNTY COURTHOUSE CARLISLE, PA 17013 (717) 697-0317 . Defendants as mortgagors and First Advanlage Morlgage Corp., as mortgagee, which mortgage was recorded on the 2nd day of February, 1994, in the Office of the Recorder of DEeds of Cumberland County, in Morlgage Book Volume 1191, page 962. The said mortgage is incorporated herein by reference therelo as though Ihe same were set forth fully at length. 4. The premises secured by the mortgage are: ALL THAT CERTAIN tract of land ~ith improvements thereon erected, situate in the Township of Upper Allen, Cumberland county, Pennsylvanla, bounded and described as follows: BEGINNING at a point on the southern line of Lavina Drive said point being at the dividing line between Lots Nos. 19 and 20 an the hereinafter mentioned Plan of Lots; thence along said dividing line South 14 degrees 50 .inutes 2Z seconds East three hundred seventeen and seventy hundredths (317.70) feet to a point; thence South 74 degrees ZZ .inutes 09 seconds West, eighty-five (B5) feet to a point at the dividing line between Lots Nos. 19 and 18 on said Plan; thence along said dividing line North 14 degreeS 50 .inutes 22 seconds West, three hundred eighteen and eighty-eight hundredths (;518.8B) feet to a pOlnt on the southern line of Lavina Drive; thunce continuing along the southern line of Lavina Drive North 75 degrees 09 .inutes 3B seconds East eighty-five (B5) feet to a point, the place of BEGINNING. BE!NG Lot No. 1~ on the Plan of Lots of Sleepy Hollow Farms said Plan being recorded in the Cumberland County Recorder's Office in Plan Book 26, page 146. BE!NG lmproved with a ranch type dwelling with alu.inum siding and attached carport and belng known and numbered as 602 Lavina Drive, 5. SlIh'I'Cllll'1l111ll'retll, First Advalltag.'!' ,'lorl",l"!' Corl) 111011'10 C ' <> 0 '. , orpor,ltlon. 2 t . \" assigned to the Plaintiff, The Long Island Savings Bank, FSB, the said rnortgage, that assignrnent being recorded in the Office of the Recorder of Deeds of Cumberland County and the said assignment is incorporated herein by reference. 6. Said mortgage provides, inter alia: "that when as soon as the principal debt secured shall becorne due and payable, or in case default shall be made in the payment of any installment of principal and interest, or any monthly payment, keeping and perforrnance by the rnortgagor of any of the terms, conditions or covenants of the mortgage or note, it shall be lawful for mortgagee to bring an Action of Mortgage Foreclosure, or other proceedings upon the mortgage, of principal debt, interest and all other recoverable sums, together with attorney's fees." 7. Since September 1, 1996, the mortgage has been in default by reason, inter alia, of the failure of the mortgagor to make payments provided for in the said mortgage (including principal and interest) and, under the terms of the mortgage, the entire principal sum is due and payable. 8. In accordance wilh the appropriate Pennsylvania Acts of Assembly and the Pennsylvania Rules of Civil Procedure, the morlgagor has been advised in writing of the mortgagees intention to foreclose. The appropriate time period has elapsed since the Notice of Intention to Foreclose has been served upon the mortgagor. 9. The amount due on said mortgage is itemized on the attached schedule. 10. Plaintiff does hereby release the personal representative, heir and/or devisee of the mortgagor from liabilily for the debt secured by the mortgage. WHEREFORE, pursuant to Pennsylvania Rule of Civil Procedure Nurnber 1147(6), Plaintiff demands judgment for Ihe amount due of Ninety Eight Thousand Six 3 t . r I >- ~I ;( -t:::- ':-- "- "'-"", ., '- i.-\" \...V '-'" I.\.., -!::::-' f:"-- \.'" ~ . . . . : : n' : : 0: ~"~~'.~' ".: .~~ )\~, .. . . : ~-' . ~,Z.'l., "'0: -I., ;0 '" 0).7): -i :' \rn . J:: =-: O~~: Z~~: ~ i~ -i....... );. rn-D -'J 0;':;. :.: : \' - v "A.. .... c:- ~ ~i ~ L-..I C"''':"''- -;;,! ~ . '. (---....... , 0) COM~L~INT IN MORTCACE FORECLOSURE NOTICE 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 THE ATTORNEY AND FILING IN WRITING WITH THE COURT YOUR DEFENSES AND 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 SHOULD 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. CUMBERLAND LAWYER REFERRAL SERVICE COURT ADMINISTRATOR 3RD FLOOR CUMBERLAND COUNTY COURTHOUSE CARLISLE, PA 17013 (717) 697-0317 j f , ; ; I ti"! r Defendants as mortgagors and First Advantage Mortgage Corp., as mortgagee, which mortgage was recorded on the 2nd day of February. 1994, in the Office of Ihe Recorder of Deeds of Cumberland County, in Mortgage Book Volume 1191, page 962. The said mortgage is incorporated herein by reference thereto as though the same were set forth fully at length. 4. The premises secured by the mortgage are: ALL THAT CERTAIN tract of land ~ith improve~ents thereon erected, situatE in the TOMnship of Upper Allen, cumberland County, Pennsylvanla, bounded and described as follows: BEGINNING at a point on the southern line of Lavina Drive said point being at the dividing line between Lots Nos. 19 and 20 an the hereinafter mentioned Plan of Lots; thence along said dividing line South 14 degrees 50 .inutes 22 seconds East three hundred seventeen and seventy hundredths (317.70) feet to a point; thence South 74 degrees 22 .inutes 09 seconds West, eighty-five (B5) feet to a point at the dividing line between Lots ~s. 19 and 18 on said Plan; thence along said dividing line North 14 degrees 50 .inutes Z2 seconds West, three hundred eighteen and eighty-eight hundredths (;llB.88) feet to a pOlnt on the southern line of ~avina Drive; thence continuing along the southern line of Lavina Drive North 75 degrees 09 .inutes ~8 seconds East eighty-five (85) feet to a point, the place of BEGINNING. BErl~ Lot No. 15 on the Plan of Lots of Sleepy Hollow Farms said Plan being recorded in the cumberlana County Recorder's Offlce in Plan Book :6, page 146. aEr:,G llllproveo .i th " ranch type dwet:!,ina lei th alullinull siding and .t~ache~ ~arport ana belng kno~n ~nd numbereo as OOZ Lavlna DrlVC. 'I, :-;lllhl'<1t1t'I1IIIH'II'lll,1 il~1 t\d\'.1I11,\~1' I\hllt".l~l' COil) Illl)ll" . , ~,..., 10 UlrPlll,llllll1, I t " IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY. PENNSYLVANIA THE LONG ISLAND SAVINGS BANK. FSB.. Assignee of FIRST ADV ANT AGE MORTGAGE CORPORATION. CIVIL DIVISION NO.: 97-662-CIVIL Plaintiff. PRAECIPE FOR DEFAULT JUDGMENT. CERTIFICATION OF MAn.ING AND AFFIDAVIT OF NON-MILITARY SERVICE vs. ROSS E. GAHAGAN and THE UNITED STATES OF AMERICA. Code 140 MORTGAGE FORECLOSURE Defendants. Filed on behalf of plaintiff Counsel of record for this pany: Louis P. Vitti. Esquire PA I.D. #3810 Supreme Coun #01072 Louis P. Vitti & Assoc.. P.C. 916 Fifth Avenue pittsburgh. PA 15219 (412) 281-1725 ,- IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY. PENNSYLVANIA CIVIL DIVISION THE LONG ISLAND SAVINGS BANK. FSB. Assignee of FIRST ADV ANT AGE MORTGAGE CORPORATION. Plaimiff. vs. : No.: 97-662 CIVIL ROSS E. GAHAGAN and THE UNITED STATES OF AMERICA, Defendants. IMPORT ANT NOTICE TO: ROSS E. GAHAGAN 602 LAVINA DRIVE MECHANICSBURG. PA 17055 Date of Notice: June 24. 1998 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 (10) 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 NOTICE TO YOUR LAWYER AT ONCE. IF YOU DO NOT HA VB A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE FOLLOWING OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP: CUMBERLAND COUNTY BAR ASSOCIATION 2 LmERTY AVENUE CARLISLE, PA 17013 TELEPHONE: (717) 249-3166 BY: (jdt Louis P. Vitti. Esquire Attorney for Plaimiff 916 Fifth Avenue Pittsburgh. PA 15219 .. TIm DEBT COLLECTOR IS ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE." ; : I , r-', ..., '-, (~ -tl , --,: , " : " : p; , , , , " i. c: " ; " , - , , ~:J " , ..' "j ,:- -. " n , , , f. ,~ :. " ,i ,- .Ol ~~~; (I;f.. /' .' CJ' , , , / , ~: " r- , .,.. :;~ " /' ).. r. (!) I ,- :""J 1-.) " . '. (') ...~, ( " C llJ I . ( ~.; L , ., : T'" " ~;.. '.', " , . " , , il.' ..~; , -, " I t<'. 0 -;, '" oJ 01 ; (n c ;. r- ,- :) ,.,) NOTICE OF SHERIFF'S SALE OF REAL ESTATE PURSUANT TO PENNSYLVANIA RULE OF CIVIL PROCEDURE 3129.1 TO: ROSS E. GAHAGAN 601 LAVINA DRIVE MECHANICSBURG, PA 17055 THE UNITED STATES OF AMERICA 228 WALNUT STREET P.O. BOX 11 754 HARRISBURG, PA 17108 AND: ALL LIEN HOLDERS TAKE NOTICE that by virtue of the above Writ of Execution issued out of the Court of Common Pleas of Cumberland County, Pennsylvania and to the Sheriff of Cumberland County, directed, there will be exposed to Public Sale in Cumberland County Courthouse, Carlisle, PA on December 9, 1998 at 10:00 A. M., the following described real estate, of which Ross E. Gahagan are owners or reputed owners: Upper Allen Twp., Cumberland Cty., PA. Being Lot 1/19 on Plan of Lots of Sleepy Hollow Farms. PB 26, pg. 146. HET a ranch type dwg. wlaluminum siding & attached carport kla 602 Lavina Dr., Mechanicsburg, PA 17055. Parcel 1/42-27-1886-142. The said Writ of Execution has issued on a jUdgment in the mortgage foreclosure action of The Long Island Savings Bank, FSB, et al. vs. Ross E. Gahagan and The United States of America at No.: 97- 662-Civil in the amount of $107,471.17. Claims against property must be filed at the Office of the Sheriff before above sale date. Claims to proceeds must be made with the Office of the Sheriff before the sale date. Schedule of Distribution will be filed with the Office of the Sheriff no later than thirty (30) days from sale date. Excepticns to Distribution or a Petition to Set Aside the Sale must be filed with the Office of the Sheriff no later than ten (10) days from the date when Schedule of Distribution is filed in the Office of the Sheriff. Attached hereto is a copy of the Writ of Execution. It has been issued because there is a jUdgment against you. It may cause your property to be held or taken to pay the jUdgment. You may have legal rights to prevent your property from being taken. A lawyer can advise you more specifically of these rights. If you wish to exercise your rights you must act promptly. YOU SHOULD TAKE THIS NOTICE AND THE WRIT OF EXECUTION 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 ADVICE. CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE CARLISLE, PA 17013 TELEPHONE: (717) 249-3166 You may have legal rights to prevent the Sheriff's Sale and the loss of your property. In order to exercise those rights, prompt action on your part is necessary. A lawyer may be able to help you. You may have the right to prevent or delay the Sheriff's Sale by filing, before the sale occurs, a petition to open or strike the judgment or a petition to stay the execution. If the judgment Was entered because you did not file with the Court any defense or objection you might have within twenty 1201 days after service of the Complaint for Mortgage Foreclosure and Notice to Defend, you may have the right to have the jUdgment opened in you promptly file a petition with the Court alleging a valid defense and a reasonable excuse for failing to file the defense on time. If the judgment is opened, the Sheriff's Sale would ordinarily be delayed pending a trial of the issue of whether the Plaintiff has a valid claim to foreclose the Mortgage. You may also have the right to have the judgment stricken if the Sheriff has not made a valid return of service of the Complaint and Notice to Defend or if the judgment was entered before twenty (20) days after service or in certain other events. To exercise this right, you would have to file a petition to strike the judgment. You may also have the right to petition the Court to stay or delay the execution and the Sheriff's Sale if you can show a defect in the Writ of Execution or service or demonstrate any other legal or equitable right. You may also have the right to have the Sheriff's Sale set aside if the property is sold for a grossly inadequate price or if there are defects in the Sheriff's Sale. To exercise this right, you should file a petition with the Court after the sale and before the Sheriff has delivered his Deed to the property. The Sheriff will deliver the Deed if no petition to set aside the sale is filed within ten lID) days from the date when the Schedule of Distribution is filed in the Office of the Sheriff. -r'1 ~, , 1 9/..} I ' (~,(<l - \../V Lou.is' vi t' squire Attorney for Plaintiff 916 Fifth Avenue Pittsburgh, PA 15219 (412) 281-1725 "THE DEBT COLLECTOR IS ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE." iii. h: i t , , ,'. t\:.." ~: Ii: .i.i' !IlH;I_i!.;'n'::,;: W:'Y I!. ,. l';I!, liJ'ji.Eid ,d;: " ',',.\'., !::.~NC1.~~~lJ:}i~_~ t\ ~/ 1 ~1(, P/dil: '__h__'."_"__,,,,_,, ~. ,"' " GI~JjJ\_\Jt\rl h :~I ~:~_~.:-_L',,____._ _K~.~ 'X.i,-,,~:i_12~ _ !i.Ll.1i~::"".,_.__..._. ~,h.:: r :: 1. . Wtl\.1 bC'lnc,l duly ~~ ,; Ur!l <1cc~or dlng ~.':' 1,t"", :>')7',." 1.h;Jt h+.' T"j.j.", d 'Jll ~'':'lo:'rlt~ ::('dfCtl ':ifld ).n'~u_1J"Y iUI t,he 'Wlthlfl li.jr:h.:'.j d...J[~'!I;j H:t.. ti:. .....:..: _!.~li)__'~~t'u"-:!.TI,:T.E::;_~/F t'lt!::f~l(^ ~ 'l! ...._1. ; r I ~l 1:0 1 .~ ~;',,: -'1 ',1 :0 ~13 bdIIIW1Ck. 11..-' thl'-'r~for(' ''': '_' ;,1 J ~ ,.J ~o t. l:- ~ J '. ! fl "i.- +..____I;~ll_lLUi.__~____ C.~jUri t. y, F'f?nn3ylvanla. to' .>,' '.'., t. t:(. ....:,.. h j n ._.BJ~_LU_..__i..L_~!-:ET _.l:.:_:~hL ----"---_._---_.,-_._.~---_._-_.. . -----.....---------.- ..':1 _~_.i~______ _._~'_t.JI_Lu_) ':"~"'." t~l~ oit-lee W~l~ in l"eCelpt of .. ,j" ,J t. t .'],::.-ht:,,:; ! '.:.. 'J rrl .. i.'rr ___i.:At:-:X:.LLL1...~__~___._ I~ '.: '1;1 t y. F't::onnsylvCltlia. .: ~;': ' r l' , I,..." ""t: 'J ' ! ~ I r 1 " .' '):- I.:~ h'_l j" ;:j'.,' [.Ef'. ~'/d_;;Hjr1 1,,'-" " ,I ':'(i 'I~ '. :"',,1 "A!.iJ':~/ ~>' W--~~ -' -:- -.... . " ., l -- ",,~""" I.,:n.,' C' erl1i .'t'" >u: f '1'1 -..1, ':'if'",,"F ,1~JbL~40 ~{J PROPERTY DESCRIPTION No. 97-662 Civil ALL THAT CERTAIN tract of land with improvements thereon erected, situate in the Township of Upper Allen, Cumberland county, Pennsylvania, bounded and described as follows: BEGINNING at a point on the southern line of Lavina DrL'e c6id Fcin~ being at the dividing line between Lots Nos. 19 and 20 on the hereinafter mentioned Plan of Lots; thence along said dividing line South 14 degrees 50 minutes 22 seconds East three hundred seventeen and seventy hundredths (317.70) feet to a point; thence South 74 degrees 22 minutes 09 seconds West, eighty-five (85) feet to a point at the dividing line between Lots Nos. 19 and 18 on said Plan; thence along said dividing line North 14 degrees 50 minutes 22 seconds West, three hundred eighteen and eighty-eight hundredths (318.88) feet to a point on the southerly line of Lavina Drive; thence continuing along the southern line of Lavina Drive North 75 degrees 09 minutes 38 seconds East eighty-five (85) feet to a point, the place of BEGINNING. BEING Lot No. 19 on the Plan of Lots of Sleepy Hollow Farms said Plan being recorded in the Cumberland County Recorder's Office in Plan Book 26, page 146. BEING improved with a ranch type dwelling with aluminum siding and attached carport and being known and numbered as 602 Lavina Drive, Mechancisburg, PA 17055. PARCEL NO.: 42-27-1886-142. BEING the same premises which Ann E. Sim and Ross E. Gahagan, by their Deed dated January 25, 1994 and recorded in the Recorder's jffice of Cumberland County, Pennsylvania on January 25, 1994 in Deed Book Volume 101, Page 72, granted and conveyed unto Ross E. Gahagan. 4. Name and address of the last recorded holder of every mortgage of record: Name Address (Please indicate if this cannot be reasonably ascertained) Defense Activities Federal Credit Union 5275 East Trindle Road Mechanicsburg, PA 17055 5. Name and address of every other person who has any record lien on the property: Name Address (Please indicate if this cannot be reasonably ascertained) None 6. interest affected Name and address of every other person who has any record in or record lien on the property and whose interest may be by the sale: Name Address (Please indicate if this cannot be reasonably ascertained) None 7. Name and address of every other person of whom the Plaintiff has knowledge who has any interest in the property which may be affected by the sale: Name Address (Please indicate if this cannot be reasonably ascertained) Tax Collector of Upper Allen Township Upper Allen Township Office 100 Gettysburg Pike Mechanicsburg, PA 17055 Board of Commissioners (Sewage) Upper Allen Township Office 100 Gettysburg pike Mechanicsburg, PA 17055 Commonwealth of PA -DPW P.O. Box 8016 Harrisburg, PA 17105 Court of Common Pleas of Cumberland County Domestic Relations Division One Courthouse Square Carlisle, PA 17013-3387 Bureau of Compliance Clearance Support Section Dept. 281230 Harrisburg, PA 17128-1230 Attn.: Susan Blough Tenant/occupant 602 Lavina Drive Mechanicsburg, PA 17055 IN THE COURT OF COM~ION PLEAS OF CUMUEHLAND COUNTY, PENNSYLVANIA CIVIL DIVISION THE LONG ISLAND SAVINGS BANK, FSB., Assignee of FIRST ADVANTAGE MORTGAGE CORPORATION, Plaintiff, vs. No.: 97-662-CIVIL ROSS E. GAHAGAN and THE UNITED STATES OF AMERICA, Defendants. AFFIDAVIT PURSUANT TO RULE 3129.1 The Long Island Savings Bank, FSB, et al., Plaintiff in the above action, sets forth as of the date the Praecipe for the Writ of Execution was filed the following information concerning the real property located at 602 Lavina Drive, Mechanicsburg, PA 17055. 1. Name and address of Owner or Reputed Owner: Name: Address (Please indicate if this cannot be reasonably ascertained) Ross E. Gahagan 602 Lavina Drive Mechanicsburg, PA 17055 2. Name and address of Defendant{s) in the judgment: Name: Address (Please indicate if this cannot be reasonably ascertained) Ross E. Gahagan 602 Lavina Drive Mechanicsburg, PA 17055 The United States of America 228 Walnut Street P.O. Box 11754 Harrisburg, PA 17108 3. Name and last known address of every judgment creditor whose judgment is a record lien on the real property to be sold: Name: Address (Please indicate if this cannot be reasonably ascertained) Bureau of Compliance Dept. 280946 Harrisburg, PA 17128 U.S. Treasury Dept. P.O. Box 12051 Philadelphia, PA 19105 -"""'~-Y~ NOTICE OF SHERIFF'S SALE OF REAL ESTATE PURSUANT TO PENNSYLVANIA RULE OF CIVIL PROCEDURE 3129.1 TO: ROSS E. GAHAGAN 601 LAVINA DRIVE MECHANICSBURG, PA 17055 THE UNITED STATES OF AMERICA 228 WALNUT STREET P.O. BOX 11754 HARRISBURG, PA 17108 AND: ALL LIEN HOLDERS TAKE NOTICE that by virtue of the above Writ of Execution issued out of the Court of Common Pleas of Cumberland County, Pennsylvania and to the Sheriff of Cumberland County, directed, there will be exposed to Public Sale in Cumberland County Courthouse, Carlisle, PA on June 7, 2000, at 10:00 A.M., the following described real estate, of which Ross E. Gahagan are owners or reputed owners: upper Allen Twp., Cumberland Cty., PA. Being Lot #19 on Plan of Lots of Sleepy Hollow Farms. PB 26, pg. 146. HET a ranch type dwg. wlaluminum siding & attached carport kla 602 Lavina Dr., Mechanicsburg, PA 17055. Parcel #42-27-1886-142. The said Writ of Execution has issued on a judgment in the mortgage foreclosure action of The Long Island Savings Bank, FSB, et al. vs. Ross E, Gahagan and The United States of America at No.: 97- 662-Civil in the amount of 5107,471,17. Claims against property must be filed at the Office of the Sheriff before above sale date. Claims to proceeds must be made with the Office of the Sheriff before the sale date. Schedule of Distribution will be filed with the Office of the Sheriff no later than thirty (30) days from sale date. Exceptions to Distribution or a Petition to Set Aside the Sale must be filed with the Office of the Sheriff no later than ten (10) days from the date when Schedule of Distribution is filed in the Office of the Sheriff. Attached hereto is a copy of the Writ of Execution. It has been issued because there is a judgment against you, It may cause your property to be held or taken to pay the judgment. You may have legal rights to prevent your property from being taken. A lawyer can advise you more specifically of these rights. If you wish to exercise your rights you must act promptly. YOU SHOULD TAKE THIS NOTICE AND THE WRIT OF EXECUTION 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 ADVICE. - CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE CARLISLE, PA 17013 TELEPHONE: (717) 249-3166 You may have legal rights to prevent the Sheriff's Sale and the loss of your property. In order to exercise those rights, prompt action on your part is necessary. A lawyer may be able to help you. You may have the right to prevent or delay the Sheriff's Sale by filing, before the sale occurs, a petition to open or strike the judgment or a petition to stay the execution. If the judgment was entered because you did net file with the Court any defense or objection you might have within twenty (20) days after service of the Complaint for Mortgage Foreclosure and Notice to Defend, you may have the right to have the judgment opened in you promptly file a petition with the Court alleging a valid defense and a reasonable excuse for failing to file the defense on time. If the judgment is opened, the Sheriff's Sale would ordinarily be delayed pending a trial of the issue of whether the Plaintiff has a valid claim to foreclose the Mortgage. You may also have the right to have the judgment stricken if the Sheriff has not made a valid return of service of the Complaint and Notice to Defend or if the judgment was entered before twenty (20) days after service or in certain other events. To exercise this right, you would have to file a petition to strike the judgment. You may also have the right to petition the Court to stay or delay the execution and the Sheriff's Sale if you can show a defect in the Writ of Execution or service or demonstrate any other legal or equitable right. You may also have the right to have the Sheriff's Sale set aside if the property is sold for a grossly inadequate price or if there are defects in the Sheriff's Sale. To exercise this right. you should file a petition with the Court after the sale and before the Sheriff has delivered his Deed to the property. The Sheriff will deliver the Deed if no petition to set aside the sale is filed within ten (10) days from the date when the Schedule of Distribution is filed in the Office of the Sheriff. P. Vitti. Esquire Attorney for Plaintiff 916 Fifth Avenue Pittsburgh, PA 15219 (412) 281-1725 .'THE DEBT COLLECTOR IS ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE... .. , ' .-,' r ~J - . l~ , " -' j t.... \ \ - t~ . " . . :~ !' ,,: I verify that the statements made in this affidavit are true and correct to the best of my personal knowledge or information and belief. I understand that false statements herein are made subject to the penalties of 18 Pa. C.S. Section 4904 relating to unsworn falsification to authorities. Januar.yJ~_2jlOO Date Vitti, Esquire for Plaintiff SWORN TO and subscribed before me this 7th day of January, 2000. ~~,4 ?C!:;f.~ Notary pUbliy . .. NOlana! Seal Ann M, Gonzales, ~ '.'" d'~=:lug, 17.2000 ...,. ~..lttnoel. NOTICE OF SHERIFF'S SALE OF REAL ESTATE PURSUANT TO PENNSYLVANIA RULE OF CIVIL PROCEDURE 3129.1 TO: ROSS E. GAHAGAN 601 LAVINA DRIVE MECHANICSBURG, PA 17055 THE UNITED STATES OF AMERICA 228 WALNUT STREET P.O. BOX 11754 HARRISBURG, PA 17108 AND: ALL LIEN HOLDERS TAKE NOTICE that by virtue of the above Writ of Execution issued out of the Court of Common Pleas of Cumberland County, Pennsylvania and to the Sheriff of Cumberland County. directed, there will be exposed to Public Sale in Cumberland County Courthouse, Carlisle, PA on June 7, 2000, at 10:00 A.M., the following described real estate, of which Ross E. Gahagan are owners or reputed owners: Upper Allen Twp., Cumberland Cty., PA. Being Lot U19 on Plan of Lots of Sleepy Hollow Farms. PB 26, pg. 146. HET a ranch type dwg. wi aluminum siding & attached carport kla 602 Lavina Dr., Mechanicsburg, PA 17055. Parcel U42-27-1886-142. The said Writ of Execution has issued on a judgment in the mortgage foreclosure action of The Long Island Savings Bank, FSB, et ai, vs. Ross E. Gahagan and The United States of America at No.: 97- 662-Civil in the amount of $107,471.17. Claims against property must be filed at the Office of the Sheriff before above sale date. Claims to proceeds must be made with the Office of the Sheriff before the sale date. Schedule of Distribution will be filed with the Office of the Sheriff no later than thirty (30) days from sale date. Exceptions to Distribution or a petition to Set Aside the Sale must be filed with the Office of the Sheriff no later than ten (10) days from the date when Schedule of Distribution is filed in the Office of the Sheriff. Attached hereto is a copy of the Writ of Execution. It has been issued because there is a judgment against you. It may cause your property to be held or taken to pay the judgment. You may have legal rights to prevent your property from being taken. A lawyer can advise you more specifically of these rights, If you wish to exercise your rights you must act promptly, YOU SHOULD TAKE THIS NOTICE AND THE WRIT OF EXECUTION 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 ADVICE. CUMBERLAND COUNTy BAR ASSOCIATION 2 LIBERTY AVENUE CARLISLE, PA 17013 TELEPHONE: (717) 249-3166 You may have legal rights to prevent the Sheriff's Sale and the loss of your property. In order to exercise those rights, prompt action on YOur part is necessary. A lawyer may be able to help you. You may have the right to prevent or delay the Sheriff's Sale by filing, before the sale occurs, a petition to open or strike the jUdgment or a petition to stay the execution. If the jUdgment was entered because you did not file wi~h the Court any defense or objection you might have within twenty (20) days after service of the Complaint for Mortgage Foreclosure and Notice to Defend, you may have the right to have the jUdgment opened in you promptly file a petition with the Court alleging a valid defense and a reasonable excuse for failing to file the defense on time. If the jUdgment is opened, the Sheriff's Sale would ordinarily be delayed pending a trial of the issue of whether the Plaintiff has a valid claim to foreclose the Mortgage. You may also have the right to have the jUdgment stricken if the Sheriff has not made a valid return of service of the Complaint and Notice to Defend or if the jUdgment was entered before twenty (20) days after service or in certain other events. To exercise this right, you would have to file a petition to strike the jUdgment. You may also have the right to petition the COurt to stay or delay the execution and the Sheriff's Sale if you can show a defect in the Writ of Execution or service or demonstrate any other legal or equitable right. You may also have the right to have the Sheriff's Sale set aside if the property is sold for a grossly inadequate price or if there are defects in the Sheriff's Sale. To exercise this right, you should file a petition with the Court after the sale and before the Sheriff has delivered his Deed to the property. The Sheriff will deliver the Deed if no petition to set aside the sale is filed within ten (10) days from the date when the Schedule of Distribution is filed in the Offi,. of <h. 'h"iff. ~ C _~ ~ L is p, Vitti, Esquire Attorney for Plaintiff 916 Fifth Avenue Pittsburgh, PA 15219 (412) 281-1725 "THE DEBT COLLECTOR IS ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE OSED FOR THAT PURPOSE... WRIT OF EXECUTION and/or ATTACHMENT COMMONWEALTH OF PENNSYLVANIA) COUNTY OF CUMBERLAND) NO, 97-662 CIVIL to< TERM CIVIL ACTION. LAW TO THE SHERIFF OF Cumberla[ld COUNTY: To satisly the debt, interest and costs due 'rhe Lonq Island Savinqs I3anq, FSB., Assignee of First Advantage Mor!9!!ge Corporation PLAINTIFF(S) 110m Ross E. Gahagan and 'rhe United States of America, 602 Lavina Dr., Mechanicsburg, PA 17055 DEFENDANT(S) (1) You are dilecled 10 levy upon the property 01 the delendant(s) and 10 sell See Leqa1 Description (2) You are also directed to allach the property 01 Ihe delendant(s) not levied upon in the possession 01 GARNISHEE(S) as follows: and to notny the gamishee(s) that: (a) an allachment has been issued; (b) the garnishee(s) is/are enjoined from paying any debt to or for the accounl of the defendanl(S) and Irom delivering any ploperty of the defendant(s) or otherwise disposing theleol; (3) If ploperty ofthedefendant(s) not levied upon an subject 10 allachmenl is found in Ihe possession of anyone olher than a named garnishee. you are directed 10 nOlify him/her that he/she has been added as a garnishee and is enjoined as above slaled, Amount Due _$107.471.1] ---------" LL Interest from 7 $f~~~~B ~1~/7 /00 Due Prothy $1.00 AUy's Comm % Othel Costs Ally Paid $295.73 Plaintiff Paid ---- Dale: February B, 2000 Curtis R. Long REQUESTING PARTY: P,Olhonolary, Civil Division --bv: Ma.,..c.. p. ~~..".("r-- Deputy Name Louis P. Vitti. ESQ. Address: ~6 Fifth Avenue Pi tt!1bllrgh r PII 1 S2IlJ Allorney lor: PI,,; nti He: Telephone: .ill::2.Bl-l72S Supreme Court ID No ___J810__,..u ,,_____ ~r ~ ........... ~~ P ~' .......... ~ 6' ...... -:l: Cv ~ ~ ~ c., !'l -:0 Crt f" w f' ":' o 'I ~ ~~t\()~~~~-t' . . 0 C- O tv (' 0 c- C' -n .,0 () -t 0 0 ~ , , , I I ..... 0; , I , kJ f} ~~ ~ , , .. , ,.., .. ... . .. .. , , ~ , ~ .. .. ... , . .. - Z;- " I .. ,.... '1 .. , , .. .. , lv~ '\ ... " ... ... 7 , "" , f-.J:t. t ~. ; , IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION THE LONG ISLAND SA VINGS BANK, FSB. assigncc of FIRST ADVANTAGE MORTGAGE CORPORATION. NO. 1)7-6112 CIVIL Plainlill', VS. ROSS E. GAHAGAN and TilE UNITED STATES OF AMERICA, Dclcndullls. AFFII)A VIT I, Louis P. Vitti, hcrcby ccrtify that as rcprcscntativc ofThc Long Islund Suvings Bunk, cl al am fumiliar with thc abovc-captioncd casc and various scrvicing activitics rclatcd thcrclo und Ihal thc provisions ofthc laws ofthc Commouwcalth ofPcnnsylvania uml spccilicully. Act'" of II)KJ. havc bccn complicd with inthc abovc-captioncd casc, ~AL' Louis p, Vitti, ESlJuirc Anomcy li)r Pluintiff SWORN to lInd subscribcd bcforc mc this 5th day of July. 2002. NOlAHlAI tiCAL LOlti A EVANOI:lISlA tlO1AIIY PUIlUC ~ ~ C---.. 0"'" ,,,,,,,",,,,,,,,,,,,,,,,,,,,,, . ' -. MY COMMlS'iIIlN I xr!1II " rK: 11l1II1\ 17 ~1~ t1--L -~e41.L. ) - i'\OIl1ry Public .- YOU SHOULD TAKE THIS NOTICE AND THE WRIT OF EXECUTION TO YOUR LA 'VYER 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 ADVICE. CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE CARLISLE, PA 17013 (717) 249-3166 You may havc Icgal rights to prcvcnt thc Sherifrs Salc and thc loss of your property. In order to excrcisc those rights, prompt action on your part is ncccssary. A lawycr may bc ablc to hclp you. You may havc thc right to prcvcnt or delay the Sherifrs Sale by filing, bcforc thc salc occurs, a petition to open or strikc thc judgmcnt or a pctition to stay thc cxccution. If the judgment was cntered becausc you did not filc with thc Court any dcfcnsc or objection you might havc within twenty (20) days after scrvice of the Complaint for Mortgagc Forcclosurc and Noticc to Dcfend, you may havc the right to havc thc judgment opencd in you promptly filc a petition with the Court allcging a valid dcfensc and a reasonablc cxcusc for failing to filc the defcnsc on time. If the judgment is opcncd,thc Shcrifrs Sale would ordinarily be dclayed pcnding a trial of the issue of whether thc Plaintiff has a valid claim to foreclosc thc Mortgage. You may also havc the right to havc thc judgment strickcn ifthc SherifThas not made a valid rctum of service of thc Complaint and Noticc to Defcnd or if thc judgmcnt was entercd before twenty (20) days after service or in ccrtain other cvcnts. To cxcrcisc this right, you would havc to file a pctition to strike the judgment. You may also havc thc right to petition thc Court to stay or dclay thc cxccution and the Sherifrs Sale if you can show a defcct in thc Writ ofExccution or servicc or demonstrate any other legal or cquitable right. You may also havc the right to havc thc Sherifrs Sale set aside if the property is sold for a grossly inadequatc pricc or if therc are defccts in the Sherifrs Sale. To exercise this right, you should file a petition with thc Coun after the salc and before thc SherifThas delivered his Deed to thc property. The Sheri fT will dclivcr thc Deed ifno petition to set aside the salc is filed within ten (10) days from the date when thc Schcdule of Distribution is filed in the Office of the Sheriff. ~~@' Louis P. Villi, EsqUIre Attorney for Plaintiff 916 Fifth Avenuc Pittsburgh, PA 15219 (412) 281-1725 **THE DEBT COLLECTOR IS A TTEl\II'TING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.** Commonwcalth ofPA -DPW P.O. Box HOl6 Harrisburg, I' A 17105 t r Clcrk of Courts Criminal/Civil Division Onc Courthousc Squarc Carlislc,l'A 17013 Court of Common Picas of Cumbcrland County Domcstic Rclations Division P.O. Box 320 Carlislc,PA 17013 Burcau ofCompliancc Clcarancc Suppon Scction Dcpt. 1/281230 Harrisburg, I' A 17128-1230 Alln: Susan Blough Tenant/Occupant 602 Lavina Drivc Mcchanicsburg, P A 17055 I verify that the statcmcnts madc in this affidavit arc truc and cOrrcctto thc bcst of my personal knowlcdgc or infornmtion and bclicf. I undcrstand that falsc statcmcnts hcrein arc madc subjcctto the pcnaltics of 18 Pa. C.S. Scction 4904 rclating to unsworn falsification to authoritics. July 5. 2002 Datc ~~~ Louis P. Villi, Esquirc Attorncy for Plaintiff SWORN TO and subscribcd bcforc me this 5th day of July, 2002. NOTARIAL SEAL ~ ' /' i ""6;:;'::~~'~~~::::= ~w ( ~ C~COMMISS10NEXPI,Hl.?_~~IOBER17,2005 Notary Public lI~; J'(j~,T"1 ~,r '~vwl CERTIFICATE OF MAILING I.'''', <11 II',. PI' U (" ,1.II'.l,1 "'.\ '.111",111, ",.,1 'l^ I (.<, "..! l'k ,': 1'1 111I1 ,~...jJl."",; I 1'< ".1'.':' ,111' F,."'tDUlS P. VITTI & ASSOClfJES, P.C. 016 FIRII AVCNUC PlnSBURGH, PA 15:l1Q (412) 261-1725 n""I",,,.,,j,,,.,..,,, ",.,.I.,'I,,,,,.,,"!I'> Tax Collector Upper Allen Twp. Upper Allen Township Office 100 Gettysburg Pike Mechanicsburg, PA 17055 PS Form 3817. January 200' iV/Gllhllgan/12-4-02 us POSTAL SEHVICE CERTIFICATE OF MAILING MA,'( BE: USEDro'~ DOMESTIC MW jPOTf-HNA'IOt-lAl '-4All DOES POOT \Df r OR INSURANCF -POS 'MAS If- R O~~t'OtJ1S P. VITTI & ASSOCIATES, P.C. 01 G rlrTlI AVer JUC PlnSBllRrlH PA l'i?lQ (412) 261-1725 One poeco of 0fd1naty m", .ddleued to Defense Activities, F.C.U. 5275 East Trindle Road Mechanicsburg. PA 17055 PS Form 3817, January 2001 iV/Gahagan/12-4-02 uS PQSTt\l SF>.l'JIC[ CERTIFICATE OF MAILING ~'( (11' IJ"f-(l rnlt [)()..1t....."I~ "',[1 "IIIII'.A' (11;At 1,IA'1 [)O[~; r.ot PRo',n... I (JI~ ,....lJl,A.,\1' 1',-,'; fI.l,\.1t I, 0'''''100lS P. VITTI & ASSOCIATES, P.C. 31 fj nrTlI AVCNUE PITT~RIIRrlH PA 1'i?1Q (412) 281-1725 ( 1"" I"'.." I ", I,' ." , ,.. ...1 ., I!"" "" ~ !" Cumberland Countv Adult Probation 1 Courthouse Square Carlisle, PA 17013-3387 PS rorm 3817 Jan,,,,,y ~1)1I' iV/Gahagan/12-4-02 A'I,.I"""'''''''''.I'''''' """"". ,'",,-,".J I""""'" "i""'" 1'..,'",."',.,I"'I...,.,,j ." ,I", , f"fiJ'lil 1. L", . ~ t' . r . * ..-:tg ~:J " ,,~ '! . r" fJ ,~' ':... \ ~l;~ <r. "~iI "f ." 'i' 'Ii /I . """'" I .,.1 / .' :.' '.' A'tnle1thetell'l'~ Ofmctefpu~t.alJeit'ld. po"lma,k InrJlMOol . Pln'm.nll/f 'Of Ull1ef11 ,~ ---- , , ") , , , : 'f/"I .: . 1~~h -' '(i."..,:,:<~I!J , .' '''~ 1! . ...., ~'\ t t 'r" ..,'~' /~~/ :':;;vP I~ I II ! '_~ . :. tlf' '" . ,'III A",I Il!'fI !'It'le.n '\amPI Of mcIef po.r.l.tqe Md ~!<)..,",.,,, 1000unaf PO\I1T'.l,ICI''J'tufTIIf't ,....,. -- , .'-.('2" ~'Ji ~j '..' ._'~71'\\-:~\ ~rl : l. ; .,~ I' .....'~ w \'. " r.... {'.. "'... .';',(.'~'~' ~ ' .... .. .:r..'\>...~~ , , "i~~~. ~~~~, .~\;;~~, 'f W/~ -'~~'l~' h.. c:> ~' :0 fl ~f~__ ~ .wI -'."...,-1 II ..". us POSTAL S[f~VIC[ CERTIFICATE OF MAILING ...11........,..."""'1,"'.1" '. " ,",,'f '....1,'.,'. ,,,~I V''', """~ ''''1'''''' IJI ,\,.lr>I"j,h"l..,nJfnlnl .... MAY lltc LJ~1 U I Ol~ 1)<' )I.n !,II~. AN[l "lllll'_A' '. J'lAI '.IA'I 1>"1', 'll' 1 PR \/IDf I (JH ".~,IJf.("~l(:"'''' !'l1.......'." Ii HOC'"tbOIS P. vml & ASSOCIATES, P.C. 9115 Flnrl AVtNUI: PlnSElLIRGH, 1'1\15219 (412) 261-1725 i 'f;~"'J' ~'~\'y:'! .' ( I~ ...., 1,' :... ~, ~'r II,. ,\ ~ t J , ~.;r'~~.'~~"~'I':~J - , :' I vI: "~' i, I./f ;q ~_..: ' One pl'CtI of OIrJlt\MY "'... addnlned 10 Upper Allen Township 98 East Enola Drive Enola, PA 17025 ! 'i ,.1. "I PS Fonm 3817. January 2001 tU/Gahaglln/12-4-02 " . " . . , , ~ u.s. POSTAL SERVICE CERTIFICATE OF MAILING A",. 100 tllllu II> ta~ 1''' OIm(!IIl'I..'I...JlIa...., ! po\II1'I4I" InQu".oI Poo.lIlIoMltlfln.turlen( I~ MA'( BE USEDrOR DOMESTIC AND l'lT[RNATIONAl MAIL. DOES NOT PHOVIOE fOR INSURANCE POSTMASTER Roc udJ,I^T.., ~16 Flnl-l AVU'IUr PIII~;HUFlGH, PA ,r,?," l~.l c) ....H: , I;J') .,' . " "'1' ': "f" ......' ',.,' "'"f ':'\.:.~,'" ~... " ",.i,,' . j;~1 :IJ "~ ::i ..'/' One ploctI 01 ordinal)' m.l~ ~tltlfe1o\fld to ',. ;-..: East Pennsboro Township 98 East Enola Drive Enola. PA 17025 ;.j.'i ":r ' PS Form 3817, J.lnuary 2001 AJ/Gahagan/12-4-02 US. POSTAL SERVICE CERTIFICATE OF MAILING Afh..1ee1leN1Il1ltMlpt ,it or metBr postagrl ..... post mall I~ d PosllNller 'Of (Urent lee MA'( BE USED rOR OOMEsnc AND INTERNATlONAl MAIL. OOESNOT PROVIDE fOR INSURANCE .POSTMASTER Rd,Ql.IIS P VITTI & ,iSSCJCIMlS PC. 91 fJ f-IFTH AVLiJUI PITTSBUHGH, PA 1:-,;:1~ f412)?B; 1l2S t., "'\~\Vf I '" .f'~' ."1'''.'''\' t.. , ...' ",tt :.. ~'---." '"1 .' t. .. ,) (I.. " .... ~ r ~ . . 1.1 I ~/.. - ,~'!' . - , U) I 1",1'; :'l /'V '..!/ I' " I , ..,' 1"1 j, (I ;'; " '..Ii \ . 't, ... ~ ~ . : One pece 01 0Id108f'y fnalI Itddfeued to Columbia National lnc. 7142 Columbia Gateway Drive P.O. Box 3050 Columbia, MD 21045-6050 PS F0fTT13b17. Janua;y 2001 AJ/Gahaglln/12-4-02 " . . J r . The Long Island Savings Bank, Isb Assignee of First Advantage Mortgage Corporation VS Ross E. Gahagan In The Court of Common Pleas of Cumberland County, Pennsylvania Writ No, 1997-662 Civil Teon Jason Vioral, Depuly SherilT. who being duly sworn according to law, states that on August 14,2002 at 7: 12 o'clock PM, he served a true copy of the within Real Estate Writ, Notice and Description, in the above entitled action, upon the within named defendant, to wit: Ross E, Gahagan, by making known unto Ross Gahagan, at 602 Lavina Drive, Mechanicsburg, Cumberland County, Pennsylvania, its contents and at the same time handing to him personally the said true and correct copy of the same, Robert Bitner, Deputy Shcriff, who being duly sworn according to law, states that on October 2, 2002 at 9:43 o'clock A,M" he posted a true copy of the within Real Estate Writ, Notice, Poster and Description, in the above entitled action, upon the property of Ross E. Gahagan located at 602 Lavina Drive, Mechanicsburg, Pennsylvania, according to law, R. Thomas Kline. SherilT, who being duly sworn according to law says he served the above Real Estate Writ, Noticc, Poster and Description in the following manner: The SherilTmailed a notice of the pendency of the action to one of the within named defendants to wit: Ross E. Gahagan, by regular mail to his last known address of 602 Lavina Drivc, Mechanicsburg. P A 17055, This Icller was mailed under the date of October 1,2002 and never returned to the Sheriffs Office, R. Thomas Kline, Sheriff, who being duly sworn according to law, states that afier due and legal notice had been given according to law, exposed the within described premises at public venue or outcry at the Court House, Carlisle, Cumberland County, Pcnnsylvania, on December 4, 2002 at 10:00 o'clock A,M. He sold the same for the sum of$1.00 to AlIorney Louis p, Villi for Astoria Federal Savings and Loan Association. It being the highest bid and best price received for the same, Astoria Federal Savings and Loan Association of2000 Marcus Avenue, Lake Success, NY 11042, being the buyer in this execution paid SherilT R, Thomas Kline the sum of$833,50, it being costs. Sheri fl's Costs: Docketing 30.00 Poundage 16,34 Posting Bills 15,00 Advertising 15.00 Acknowledging Deed 30,00 Auctioneer 10,00 Law Library Prothonotary Mileage Certified Mail Levy Surchargc 1.00 13,80 5.11 15,00 20.00 ~~ .~ 3 0 .,.v }. lk. 3q I~O ~ /j3.m Law Journal Patriot News Share of Bills Distribution of Proceeds Sherirrs Deed 321.20 251.35 25,20 25.00 39,50 833.50 so,~ . . r .;, J~~~ This.L..LDayof, 1;,'....~.1 - R. Thomas Kline, Sheriff 2003, A.D. \ L1t..<- Q.~.....~ L "J( ~bthonotary BV\..JOoLu.lJf"\.I\.Uy1 Real Estate-beputy Sworn and Subscribed to Before Me .. YOU SHOULD TAKE TIns NOTICE AND TIlE WRIT OF EXECUTION TO YOUR LA WYERAT 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 ADVICE. CUMBERLAND COUNTY BAR ASSOCIATION 2 LmERTY AVENUE '. CARLISLE,PA 17013 (717) 249-3166 You may have legal rights to prevent the Sherifl's Sale and the 1055 of your property. In order to exereise those rights, prompt action on your part is necessary. A lawyer may be able to help you. You may have the right to prevent or delay the Sherifl's Sale by filing, before the sale oecurs, a petition to open or strike the judgment or a petition to stay the execution. If the judgment was entered because you did not file with the Court any defense or objection you might have within twenty (20) days after service of the Complaint for Mortgage Foreclosure and Notice to Defend, you may have the right to have the judgment opened in you promptly file a petition with the Court alleging a valid defense and a reasonable excuse for failing to file the defense on time. If the judgment is opened, the Sherifl's Sale would ordinarily be delayed pending a trial of the issue of whether the Plaintiff has a valid claim to foreclose the Mortgage. You may also have the right to have the judgment stricken if the Sheriff has not made a valid return of service of the Complaint and Notice to Defend or if the judgment was entered before twenty (20) days after service or in certain other events. To exercise this right, you would have to file a petition to strike the judgment. You may also have the right to petition the Court to stay or delay the execution and the Sherifl's Sale if you ean show a defect in the Writ of Execution or service or demonstrate any other legal or equitable right. You may also have the right to have the Sheriffs Sale set aside if the property is sold for a grossly inadequate price or if there are defects in the Sheriffs Sale. To exercise this right, you should file a petition with the Court after the sale and before the Sheriff has delivered his Deed to the property. The Sheriff will deliver the Deed ifno petition to set aside the sale is filed within ten (10) days from the date when the Schedule of Distribution is filed in the Offiee ofthe Sheriff. ~~~. Louis P. Vitti, EsqUIre Attorney for Plaintiff 916 Fifth Avenue Pittsburgh, PA 15219 (412) 281-1725 **THE DEBT COLLECTOR IS ^ TTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE... ~ ." i Real Estate Sale # 06 , On August 8, 2002 the sherifflevied upon the defendant's interest in the real property situated in Upper Allen Township, Cumberland County, PA known and numbered as 602 Lavina Drive, Mechanicsburg more fully described on Exhibit "A" filed with this writ and by this reference incorporated herein. Date: August 8, 2002 By!j~. J.tL-U, Real E~ate Deputy ~ C\i\l C\i\l c:;:::::I G'V (t\i\J ','-i,1 . ." " Q\ lnr 11' dj I ;~ J.i(j PROOF OF PUBLICATION OF NOTICE IN CUMBERLAND LAW JOURNAL (Under Act No, 587, approved May 16, 1929), P. 1..1784 STATE OF PENNSYLVANIA : 55. COUNTY OF CUMBERLAND : Roger M, Morgenthal, ~:5qulre, Edilor of the Cumberland Law Journal, of the County and State aforesaid, being duly sworn, according to law, deposes and says that the Cumberland Law Journal, a legal periodical published in the Borough of Carlisle in the County and Stale aforesaid, was established January 2, 1952, and designated by the local courts as the official legal periodical for the publication of all legal notices, and has, since January 2, 1952, been regularly issued weekly in the said County. and that the printed notice or publication allachcd bereto is exactly the same as was printed in the regular editions and issues of the said Cumberland Law Journal on the following dates, viz: OCTOBER 25, NOVEMBER 1,8,2002 Affiant further deposes that he is authorized to verify this statement by the Cumberland Law Journal, a legal periodical of general circulation, and that he is not interested in the subject maller oflhe aforesaid notice or advertisement, and that all allegations in the foregoing statements as to time, place and cbaracter of publication arc true. REAL UTA'll!: BALE NO, 6 ~211./1 Rbger M. Morgenthal, Editor -- Wrll No. In!J7liH:l Ch'U 111t' 1..ollU Island Savlll/o(!i Balik. r/~/h A."isl~IIl't' of First Arlvalllal-tt' Murl/ota/ott' (~()rl)(mlllclll \'s. Huss g, (jahaf.tllll awl '111t' Unllt'Cl Slatt's of AII}('rlt'll Ally.: l.ollls p, Villi I.ImAI. ImSCIlIl'I'ION AI.I.llll1t ('f.'rlaln Iml'l oflmul \\'tlll IIII(HlJ\TIIK'nls 1lll'n'OII ('n'I'I('(I. sllll all' hi IIll' TuwlI!'Ihlp uf 1I1lPt'I' Alil'lI, Clllulx'r1arul Cuunty. Pt'llIls,r)vilJlIIl. hUlllllh'll llllll dc.'s('rlht'd as "follows: B1~(i1NNING III il pnlnl nil tilt" SUlIllU'rll 11m' of I..wlllil 1>1'1\'(' said polnl llC'llIJ,t at lht. clivldlllJ.t 1111(' Il(' IW('('II I..ots Nos. I!J alltl :W Oil lilt' Iwrl'lnaftn 1I11'1l1lollt,c1 I'lan Ill' !.ols: III('I){'(' nJnll~ saill (11\'lcllllg 11111' ~llltll 14 Ih'~rl'('s 50 IIIlulIh's 22 Sl'('C1luls I-:ast thn'(' 111I1I1IIl'd Sl'\1'1I1('t'lI allll sc.'\'c"IIIY hlllUhl'dlhs (:1I7.71l) [t'('1 In II poilll: tht'IH't' South 7-1 ch,J,trt.(.s 22 111111 II It's O!J SC'('uIIIls WI'St. t'iAhlyllw IM5) h'c'l In a pol"t al 111(' dlvldlllA Ihlt' ht'lWc't'U l.ols No, 1H alltl 1M Oil SHiel Plall: Iht'llet' alClIIJ,t said c1l\'1cllllJ.t Ihlt" Nurth H dc,J,tn'('s :10 mlnute.s 22 sC'('C1l1lls Wc'sl, Ilan,'c' 11IlIulrt"cl ('IAhkt'lI aile! dJ},hlY dAht tUIIICln'dllls 1~IIM,HHllt-t'1 In Jl pollll 0111111' SclllllHTlllillt' of I.avilla 1)1'1\'('; Illt'IIl't' c'olllllllllllJ}, "lollA lilt' Scnllh 1'1"11 1IIIt' oj" l';I\'llIiI Drl\'t' North 7:1 t1t'J,tl'l't'!'o II!! IIIllltllt'!'o :IH St'c'olltb Easl t'lAhIY Ih'(' (M:,) h't'l 10 ;j polll!' lilt' plan' uf bC'AllullllJ,t. BEINn Lnl No, HI ClIl lilt' Plan of I.nls III Slt-('py lIullow Fanlls s,lld SWORN TO AND SUBSCRIBED before me this 8 day of NOVEMBER. 2002 e..~--.-.r '.... Notary ,"-"'~~' ~I:I!~~C :_'"r~ : I ..;.",15, -----.......................,--........-...- \'.. Hm.~ Jo;. (;allag,1I1 ilJIlI 'nil' LIllllt'd :ilah'~ of AIIIl.'I'lca ^Ily,: I.uul!'i P. Villi 1.1;<1AI. ImSCHII'1'I0N N.I~ lhal l'c'rlalnlnu'l urlawl wllh IIIIJlmVt'llK'IlI~ thc'Il'ull c'I""t~h'cl. HIlII nit' Inllw TUWIIHhlp of lIppt'r Allc'll. CUlllht'rlnnd emlllty. 1\'IIII~yh"mlll1, IKlIlIUlt'd 11I111 (Ic'H<Tlhc'c1 liS ItJlluWH: B1~GINNING III n polllt UIl the Snulht'l'Il Ihll~ uf I.avllll) Drl\'(' Halel pulul hclll~ III till' tll\'ldlll~ Ihlt' IH" tWl"t'1I l.utH NUH, If) IInd :W ntl Oil' lIerdnafll'r lIIl'lItlCUll'd Plan uf l.ulH: Ihl'lln' allllll-l silIiIIU,,'JllhlJ,t Ihll' Stllllll 11 c1c'/otn'c'H !iO 1I11111lh'!i 22 kt'I'lllllb 1':uHI Ihn'l' 11I1I1l11l'c1 k(....I.Ilh'I.1I 1111I1 st'\'('lIly hlllllhl'lllhH I:lJ7,7t1lli't'1 III II pullll: Ihl'lIl'I' Suulh 7'1 c1c,J.tn't'H 22 IlIhlllh'H Uf) Hl'I'lllulH WI'sl. l'I/othly-ll\'l' INn) ft'I'1 III n IKIIIII nl lilt' dlvhllll~ IIIit' hC'I"'c'I'1I J~UIH Nu, JfJ lUlll IN un Mid Plall: Ihc'II1'C' nlllllg said lll...lcllll~ Hilt, NflI'll! J.I tlc'"n.t'H no 1II111111r,. 22 K('('CllUht Wl'Ht. Ihn'l' IUlluln'<<I rlAhlffll HIUI l'lMhlY c'l/othl tnllulrnllllK (:IIH.HH) fc'C'1 In II pollll UIIIIIt' SUlItllt'rJI Ihlt' ufl..ll\'hlll Url\'c': Ihc'll('C' C'flllllllllhlJ.t nlullJ.t IIIl' Suuth c'rll Ihlt' of 1':1\'11111 Url"'l' Nurt II 7ft e1t'"rt'C'H on IIIIUlltl'h ~IH ~I'l'UIICI", 1~1I!'l1 I"I/othlyn....' (Hn) f('c'l tu a pnllll. lilt' plnl'c' nr IK'J.tII1I1II1J.t. IJI~INO l.lll No. J!J nil 111(' Plan ur Luts ul" SIc'('py Hllllnw ("lIflU'" Mid I'lalllK'llI~ n'('urtlt'd III till' CIIIIIIK'r. Imul CUUllly l-b'l'unln'", Ollkt, III I'l;m I kKlk 2f1, I'a~(' 14 fI, U1~ING hllpruwtl with H rl1lll~h IYIK' tlwt'lllnu Mlh nhuullltlJlI shllll/ot 1I11e1 nllnrhrcf c'lIrporl lIlId hl'lll/ot kllUWII UllcllIlllIIlX'f('c1l1H 002 1..ll\'11I1I Drl\,', Mc'dulllkHhllr~. P^ J70nn, I'AllCI;I. NO, 1227.IHHfI 142, ImiNO 111(' salllc' 1lll'III1scs whh'h ^,lIIC' E. Slm 1111I1 Hoss 1-:, Cillhagall hy tlc'c't1 t1l1lc'c1 () I /2ri/ I fHH arul n' c:tlllh'Cl Oil OI/2ri/ JH!J.1 III Clllllht'r- bUill Cotllll.V. 1'c.'IIllsyl\'iUlla, HC'l'fll1l. l'r of Dl'l'ds ornc'c' III I)c'l'd (Juok Vnhllllt' 10 I. IJagt' 7'J., J.tnUIh'd nlld c'ollvl'yed 111110 ({os", J~, Gaha~U1, _ _~ _ _nay 1" NI1Xl".M!1.l'Ii. LfllIL r...'..w'''..,.,..; ,-~ot.nT)'r~~7j- ~ I' . / f--llbITe " 1; """" ,,) C0unfy_ 1 "'/'. ,. " , ','.:irn 5, 2005 ...................-,.- THE PATRIOT NEWS THE SUNDAY PATRIOT NEWS Proof of Publication Undor At;t No. 587, Approved May 16, 1929 Commonwoallh 01 Ponnsylvanla, County 01 Dauphin} ss Frank J. Epler being duly sworn according to law, deposes and says: That he Is Ihe Controller 01 The Patriot News Co., a corporation organized and exlsllng under the laws 01 the CommonweaUh 01 Pennsylvania, with its principal olllce and place 01 business at 812 to 818 Market Street, in the CUy 01 Harrisburg, County of Dauphin, State 01 Pennsylvania, owner and publisher 01 The Patrlot.News and.IJ1g Sundav Patriot-News newspapers 01 general clrculallon, printed and published at 812 to 818 Market Streel, In the CUy, County and Slate aloresald; that The Patriot. News and The Sunday Patriot-News were established March 4th, 1854, and September 18th, 1949, respecllvely, and all have been conllnuously published ever since; That the printed nollce or publlcallon which Is securely aUached hereto Is exaclly as printed and published In their regular dally and!or Sunday! Metro edlllons which appeared on the 22nd and 29th day(s) 01 October and the 5th day(s) of November 2002, That neither he nor said Company Is Inlerested In the subject maUer of said printed nollce or advertising, and that all of the allegallons of this statement as to the lime, place and character of publlcallon are true; and That he has personal knowledge of the facts aforesaid and Is duly authorized and empowered to verify this statement on behall of The Palrlot-News Co. aforesaid by virtue and pursuant to a resolution unanimously passed and adopted severally by the stockholders and board 01 directors of the said Company and subsequenlly duly recorded in the olllce for the Recording of Deeds In and for said County 01 Dauphin In Miscellaneous Book "M", Volume 14, Page 317. .~-J~'-'.- :-. -' . /' / "~~;Y /. ~h /' ~- __ ~"~J __ ~:"'~,/''''''~'''''''''''''.Y' ....6. .. ,....,.........,.,..,...,.................,..,....,.... v~ Cn e eo (Illl.,thls 14th d of e ber 2002 A,D. , / I TunyL l1usse1l.NoIaryPLllbC . / 1/., / 0Iy (Jt Hamsburg, DaUJhn County . '! (. ""I Conm5SKl<1 Expres JlI1e 6, 2006 Member. Pomsytva"" AsSlXliltJOn Of Naa..... PUBLICATION COPY S ALE #6 RIAL IITATI! BALE No.' Wrtl No.l8f7-t12 CIYll Term TIle Lont IMncIlIlIvlnll8 Ba~ == 01 F1ral ~U9 va ROil Eo Galligan and TIle United 1llI1n 01 Amerlca Ally: Loull P. VIlU LEGAL DESCRIPTION All thalCtrtlin ll'ldorlmt with Im~1 Ihmoo 'r<<1<d. .iI"", In !he 'lbwnship of Upper Allen. CUmberlllld Cow"y, ""'",yl"".. boondedllldde""i'cd.. folm: BEGINNING III paim on !he Soulhem line of L.a..iIllDrh~wdpointbcillJlllhcdividin.ljnc ...... 1m Noo. 1911ld :I).. "" hemaaJ\u IIIldlooedI'lao00Lob;_""1Iid diYldIot .. _ 14 .x.- 1O _ 21 .....1!aoI.... ____...., ~~I~::*:==-,= Publisher's ReceIpt for Advertising Cost ~),f~'N,fJJ . point II !he. dividin. ... ~o" publisher 01 The Patriot-News and The Sundav Patriot-News, newspapers of general --~ 0.191lld1IonllidPlan'_ . .1"'1 lIid di,jdin. line North 14 .xg;... 50 ,dge receipt of the aforesaid notice and publication costs and certifies that the same have r:linules 22 &ron1s Wm, IMt hundred eiJticcn Illd eij/lty-<ij/l' hundmltJu IJII.II) (<<I " . point ~!he SouIhem line 01 La~1lI Dri..; """" rotIftnllln' aIanj: the Southc:m line 01 Llvi.. Orhc .Nutth 75 dtirm 0;1 minutn JlINlCaIdI Ea~1 tl.lhl)'-lh-e (~~) fett 10 I point. the plact 0( bcS1Mlnl. IIE1SG tnl Nil. 19 un lhe Plan of Ltlh of Sleepy Hollow farm\ \.lId P!;ln bcm, rmlfded'in !he Cumb('rl~oo COUllly Re~:onkr', Offl('C in Plan b,d, ~6,pale 146. BEING impnntd with I rm:h type d\\cllin. ...ith aluminum lkhn. .00 lltached clIplI1 and brin. Mn tnd numbered u tm Lnil'll Dmt.. McdlInk<hlrg,PA 1700l. PARCFJ. NO. 42.27.1116-142. BEING the IJUtlC rmnilCs Vthich Anne E. Sim Illd Ron E. Gw"", by deed da1e.J OIIlllI991 Illd re<onled on OIIlllI991 in CUmberland My commission expires June 6, 2006 CUMBERlAND COUNTY SHERIFFS OFFICE CUMBERlAND COUNTY COURTHOUSE CARLISLE, PA. 17013 Statement of Advertising Costs To THE PATRIOT-NEWS CO., Dr. For publishing the notice or publication attached hereto on Ihe above stated dates Probating same Notary Fee(s) Total $ $ $ 249.60 1.75 251.35 By,.....""."",....."""".."."......""......""...".".". .~