Loading...
HomeMy WebLinkAbout98-04338 ~ '.. :- c:J .~ .. ct -:J ...! \!.u ~ .Q .. -;+- ~ ~ " Q 2 <a.. . " ... ~c;j / j I I I .; ! ~i . I ~ I ~I .. I ~ i ~I , I ::1 ~I I I \111 lI.l I , I - .l \. " '., '\ '\ \ \ " \ \ I I , ! "t " .' / .J .-t' (" " . J . i ,:\ I .. I <::.JI I ~j ~I '--""-- -- -- ~'"'--_.~" ~ ..". !{} ('j I C~ l,_,I"" ~-,,,! 1,.."'...- i.< ~ : .,.. '. ,:1.. \0 i't C;.:'" , C,,' (':1 I J : I, ~ ('-,' .--' li_,:::. , ~ , !: r.'. _. J \, \ ~ t'. '" ~ 0 ,",-' .,J G\ l-.J ~ ~ ~~ ~~ .~ ~ ~\) ~ ~ \ ~ . .,'. , I I '-4it' . . , ..tIll. "-'-'~" .~. OLIN, NElL & IIALTRECHT BY: Burton Ncil, Esquirc' Idcntification No. 11348 26 South Church Strcct Wcst Chestcr. PA 19382 610-696-3030 A1TORNEY FOR: Plaimirr GENERAL ELECTRIC CAPITAL CORPORATION IN TilE COURT OF COMMON PLEAS 260 Long Ridgc Road Stmnford. CT 06902 Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA : NO. 91'- '-/33 r C~~e -r:u....... vs. HALL BUILDERS, INC. 425 W. Winding Hill Road Mechanicsburg, PA 17055 Defendant : CIVIL ACTION - LAW COMPLAINT I. The plaintiff is General Electric Capital Corporation, a duly organized and existing business corporation with place of business located at 260 Long Ridge Road, Stamford, CT 06902. 2. The defendant is Hall Builders, Inc. is a business Corporation with place of business located at 425 W. Winding HilI Road, Mechanicsburg, Cumberland County, Pennsylvania. 3. Pursuant to the application and request for credit by defendant to Lowe's, plaintiff agreed to extend to defendant the use of its credit facilities so defendant could purchase goods and merchandise on credit and issued to defendant a credit card for said purpose. 4. The defendant by accepting said credit card and using the same for the purchase of goods and merchandise, agreed to pay Lowe's for said purchases upon rendition of a statement by Lowe's to defendant in accordance with said statement. 5. The defendant utilized said credit card by making purchases of goods and merchandise, the balance due plaintiff for the same including accrued services charges being $9,029.37. 6. Lowe's set over unto plaintiff all of its right, title and interest in and to its account with defendant so plaintiff is now the owner of said account. 7. Despite repeated demands by plaintiff upon defendant to pay plaintiff the aforesaid sum,the defendant has failed and refused to pay all or any part thereof with further accruing service charges. WHEREFORE plaintiff demands judgment against defendant in the sum of $9,029.37, together with accrued service charges to the date or judgment and the costs of this action. OLIN, NEIC'&''9LTRECHT .. / ( BY: . ""~""'-Buf 011 eil, Esquire Attorney for Plaintiff ". I .1 .? CASE NO: 1998-04338 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND SHERIFF'S RETURN - NOT FOUND GENERAL ELECTRIC CAPITAL CORP \ .[ VS. HALL BUILDERS INC R. Thomas Kline . Sheriff, who heing duly sworn according to law, says, that he made a diligent search and inquiry for the within named defendant, to wit: HALL BUILDERS INC but was unable to locate Them in his bailiwick. He therefore returns the NOTICE AND COMPLAINT NOT FOUND . as to the within named defendant HALL BUILDERS INC DEFT. IS NO LONGER LOCATED AT THIS ADDRESS. SEVER AL REQUESTS FOR GOOD ADDRESS UNANSWERED, EXPIRED. Sheriff's Costs: Docketing Service Affidavit Surcharge 18.00 9.30 .00 6.00 So answers: . ~ /~ ~_~d/~ ~.' I'homas Kl:l:lI~: er~ f Sworn ~nd sUbscribed~ befOt; thql( .if day of r JV1~ 19 A. D. $~~.30 OLIN, NEIL & HALTRECHT 08/25/1998 me . . OUN, NEIL & IIALTRECIIT BY: Burton Neil, E~quire Identification No, 11348 26 South Church Street West Chester, PA 19382 610-696-3030 A TIORNEY FOR: Plaintiff I hereby CGnlfy..2 I,.,.rut '!.1~ cOPV of \he Of,iX'.i lIled In lhlaI C;I/IL By: A.( Y Olin( ell 11& Hallrecht\ AlIotn.va 'Of PI.inti" \ . GENERAL ELECTRIC CAPITAL CORPORATION IN TilE COURT OF COMMON PLEAS 260 Long Ridge Road Stamford, CT 06902 Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA vs. HALL BUILDERS, INC. 425 W. Winding Hill Road Mechanicsburg, PA 17055 Defendant : NO. % - 4 3~ Cll-~f, : CIVIL ACTION - LAW COMPLAINT 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 (20) days after this complaint and notice are served, by entering a written appearance personally or by attorney and filing in writing with the court your defenses or objections to the claim 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 TillS 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. .. CStlrt AaffiiBigtr~t()r ClImberland COHnt}t-CaurthaUSe.-A.th...EloOL-... C.ulbk, PA-l-10-1J- -TcJ...l'hullC NO. "II 1-:.!.4u-6200 [uV\\berlav0! ~o, Bar Ass-oc.... ;) L; ber~y AUe. eel/' II'slc- PA 00/3 117- dY9-3/0~ :J{ ',,' ': ~'" _.-!:;..;::-,;Z":.~::,,:,:~:"':;. . . OLIN, NEIL & HALTRECHT BY: Burton Neil. Esquire. Identification No. 11348 26 South Church Street West Chester, PA 19382 610.696.3030 ATTORNEY FOR: Plaintiff GENERAL ELECTRIC CAPITAL CORPORATION IN THE COURT OF COMMON PLEAS 260 Long Ridge Road Stamford, CT 06902 Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA vs. HALL BUILDERS, INC. 425 W, Winding Hill Road Mechanicsburg, PA 17055 Defendant : NO. : CIVIL ACTION - LAW COMPLAINT I. The plaintiff is General Electric Capital Corporation, a duly organized and existing business corporation with place of business located at 260 Long Ridge Road, Stamford, CT 06902. 2. The defendant is Hall Builders, Inc. is a business corporation with place of business located at 425 W. Winding Hill Road, Mechanicsburg, Cumberland County, Pennsylvania. 3. Pursuant to the application and request for credit by defendant to Lowe's, plaintiff agreed to extend to defendant the use of its credit facilities so defendant could purchase goods and merchandise on credit and issued to defendant a credit card for said purpose. 4. The defendant by accepting said credit card and using the same for the purchase of goods and merchandise, agreed to pay Lowe's for said purchases upon rendition of a statement by Lowe's to defendant in accordance with said statement. 5. The defendant utilized said credit card by making purchases of goods and merchandise, the balance due plaintiff for the same including accrued services charges being $9,029.37. 6. Lowe's set over unto plaintiff all of its right, title and interest in and to its account with defendant so plaintiff is now the owner of said account. 7. Despite repeated demands by plaintiff upon defendant to pay plaintiff the aforesaid sum, the defendant has failed and refused to pay all or any part thereof with further accruing service charges. WHEREFORE plaintiff demands judgment against defendant in the sum of $9,029.37, together with accrued service charges to the date of judgment and the costs of this action. OL~'-N~ZT ECHT TRUE C0PY FROM RECORD / 0 In Testimony vllw60f, I h6re unto set my hand fB;: ( / .../'---- and the seal of said Court at Carlisle, Pa. \. ~rtor1Neil, Esquire :5 .....r.2'1...... day OfZJ' ........., 19.9.i -----. Attorney for Plaintiff ...........~. -", ~ov. O;~ . .k'h... ...... ";" Prothonotary ....