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HomeMy WebLinkAbout03-1331GEORGE E. HOMERICH, and GAYLE D. HOMERICH, Husband and Wife, Plaintiffs OLD FASHION HEAT, INC., ~ Defendant · CIVIL ACTION-LAW · No. C: 3 - 1331 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA PRAECIPE TO THE PROTHONOTARY: Emer judgment in favor of the Plaintiffs and against the Defendant by confession on the attached judgment note, with provisions for costs of suit, release of errors, and without stay of execution and with waiver and release of and from any and all appraisements, stay or exemption laws· Assess Plaintiffs' damages as follows: Amount of Note $126,720.00 Costs 19.50 Total $126,739.50 Of Counsel Beckley & Madden 212 North Third Street P.O. Box 11998 Harrisburg, PA 17108 (717) 233-7691 Respectfully submitted, /~an G. Milakovic Attorney for Plaintiffs AND NOW, this ¢,~,~ay of March, 2003, judgment is hereby entered in favor of the Plaintiffs and against the Defendant, and damages are assessed as above, in the amount of $126,739.50. Prothonotary JUDGMENT NOTE $126,720.00 ~,~' f ,~" ,2003 OLD FASHION HEAT, INC. (hereinafter referred to as "Promisor") promises to pay to GEORGE E. HOMERICH and GAYLE D. HOMERICH, Husband and Wife, the principal amount of One Hundred Twenty-Six Thousand Seven Hundred Twenty Dollars ($126,720.00) without defalcation, with interest at 6% per annum from the above date, due immediately. And further, Promisor does hereby authorize and empower any Attorney of any Court of Record of Pennsylvania or elsewhere immediately to appear for and enter judgment against it for the above sum, with or without deqlaration, with costs of suit, release of errors, and without stay of execution, and it hereby waives and releases all relief from any and all appraisements, stay or exemption laws of any State now in force or hereafter to be passed. IN WITNESS WHEREOF, and intending to be legally bound, Promisor does hereby set its hand and seal on the day and year first above written. OLD FASHION HEAT, INC. /~~/~~al) Attest: /~t~~ ~eal) .~ecr~ary~ f '~ I olq lighT, INC., oLD F p~SltI Defendant sv~orn according to lave, do depose and say: itomerich, being dulY plaintiffs in the above-captioned matter. I, George E. a natural person 1. I am an adult individual and I am one of the 2. The ~udgrnent in this actiOn is not being entered by confessiOn against · actiOn. . __.~amer creditt~ans /.? .... ~,~ or in connecUOu d svcear that it is I have read the foregoing an / ~me~iCh Dated: .ubscribed before $~om ana.s,u/~,, st ~ 2003. Me this ,,~,~ r~u,~j ~- -- ~ commission Expires Nov. 20, GEORGE E. HOMERICH, and GAYLE D. HOMERICH, Husband and Wife, Plaintiffs Vo OLD FASHION HEAT, INC., Defendant · CIVIL ACTION-LAW · No. 1 31 : : : : : IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CERTIFICATE OF RESIDENCE I certify that Plaintiffs, George E. Homerich and Gayle D. Homerich, reside at 312 Sunset Drive, New Cumberland, Pennsylvania 17070, and that Defendant, Old Fashion Heat, Inc., has its sole office at 214 Bridge Street, New Cumberland, Pennsylvania 17070. I understand that false statements made in this certificate are subject to the penalties of 18 Pa.C.S. §4904, relating to unswom falsification to authorities. Dated: g/23~/~J Of Counsel Beckley & Madden 212 North Third Street P.O. Box 11998 Harrisburg, PA 17108 (717) 233-7691 G. Milakovic Attorney for Plaintiffs G~O~GE E. HflHERICH and GAYLE D. HflMERICH, Husband and Wife, Plaintiffs vs. OLD FAWHION HEAT, INC., Defendant : IN THE COURT OF COMMON PLEAS : COUNTY, PENNSYLVANIA : : CIVIL ACTION - ~ : To Old Fashion Heat, Inc. , Defendant~ You are hereby notified that on ~ , 2003, x~ judgment by confession was entered against you in the sum of $126,739.50 in the above-captioned case. ~_/~ 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. I hereby certify that the following is the address of the defendant(s) stated in the certi- ficate of residence: Old Fashion Heat 214 Bridge Street New ~land, PA 17070 A~orney for Plaintiff(s)