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" " '-' l:"~ 1.- ...n LO '", c:..: co (.J" (Rule of Civil Procedure No, 236) - Revised CUMBERLAND COUNTY COURT OF COMMON PLEAS DRIVEKORE, INC, v, CHARLES MADER and KEYSTONE FINANCIAL BANK, N.A., f/kla FARMERS TRUST, Garnishee NO, 98-7087 Pursuant to requirements of Federal Rule of Civil Procedure #69(a) and Pennsylvania Civil Procedural Rule #236, you are hereby notified that there was entered in this office today, in the above-captioned case: o Judgment of $ for Plaintiff/s and against Defendantls o Judgment for Defendanl/s and against Plaintiff/s o Judgment by Court Order o Judgment of Non.Pros o Judgment by Default X Other - Rule to File Interrogatories in Attachment , Clerk By: _' Deputy If you have any questions concerning the above, please contact: Steven L. Sugarman, Esquire Elliot H, Berton, Esquire Attorneys for Garnishee S1('ven L Sugarman &. Associates 1273 Lanc;lst(,f Av(-nue 8t-!\'I)'n, Pl:'nnsytvam3 19312 tG10) 88(<0700 FAX (G10) 883,0488 ," :" "':"" -"':"-""',:"':'-":'~'"C'''C:,),:'':,'''~~'''''_:'''':,',:'''<':"",C''': "'-:':"',':', .,'":,,,:"..':7:,': ,.,' ",.''''',':'' :':,.",", " , , >-- \,,n ~ ;~.~ .;::. I , \'_1' I , ,,- , ('01', c , c:: C'.' " , , l__ ., I (.. , Lt. (0"' , 0 c C) >- ... ~ M ~ 1- UJrt. .. z - ::)q- ~C:' - (")0.- -.,. :r.:: ()/.; ~~: "" "L . C) r.");''' ~:,,~ ~i. C> --:-SCf) _:I"" N ;-":":~ O:lL' t- ..1~Z ;:f: U ~.LJ:.U u, 0 ~1U. O"t ~' (;) ::i en U - ti aM ~ ~ -- lIl",o~ D:: t: r- '" LI. ~~~~ Olf)WZ" 1Il :> <... U 1Il z::;t:: _ .. w >-..... 1L0:>U1)( u.o<zil: o~g~' ~ 1Il 0":0 < 0: :;::l iii .Jlf)ZJ:- l1J ffi a. ~ .Ju.:>:F: 0:"<- <2UC ::J:- U , 2. At the time you were served or at any subsequent time was there in your possession, custody or control or in the joint possession, custody or control of yourself or one or more other persons any property of any nature owned solely or in part by the defendant(s)? Keystone Financial Bank, N.A., f/k/a Farmers Trust (the "Bank") incorporates its resonse to Interrogatory No.1 as if set forth fully herein. 3. At any time you were served or at any subsequent time, did you hold legal title to any property of any nature solely or in part by the defendant(s) or in which defendant(s) held or claimed any interest? The Bank incorporates its resonse to Interrogatory No.1 as if set forth fully herein. 4. At any time you were served or at any subsequent time, did you hold as a fiduciary any property in which the defendant(s) had an interest? No. 5. At any time before or after you were served did the defendant(s) transfer or deliver any property to you or to any person or place pursuant to your direction or consent and what was the consideration therefor? No. 6. At any time atter you were served or at any subsequent time, did you pay, transfer or deliver any money or property to the defendant(s) or to any person or place pursuant to the direction of defendant(s) against you? No. 7. At the time you were served or at any subsequent time, did you have or share any safe-deposit boxes, pledges, documents of title, securities, notes, coupons, receivables, or collateral in which there was an interest claimed by defendant(s)? No. 8. Identify every account (not previously noted), titled in the name of defendant(s) or in which you believe defendant(s) have an interest in whole or in part whethr or not styled as a payroll account, individual retirement account, partnership account. joint or tenants by entirety account, insurance account. trust or escrow account. attorney's account or otherwise. Keystone Financial Bank objects to Interrogatory No.8 to the extent it is not substantially in the form required by Pa. R.C.P. No. 3253. Subject to and without waiving the foregoing objection, the Bank incorporates its response to Interrogatory No.1 as if set forth fully herein. STEVEN L SUGARIJiA.N A A~~(\CUTf~ . '27:. Lt.tJC::'Sl[P L\.'H~UE .. 2~fN'.'Y~~. PA 1~::~;'.~';~~: ~.~.~"_.._- 2. At the time you were served or at any subsequent time was there in your possession, custody or control or in the joint possession, custody or control of yourself or one or more other persons any property of any nature owned solely or in part by the defendant(s)? Keystone Financial Bank, N.A., f/k/a Farmers Trust (the "Bank") incorporates its resonse to Interrogatory No.1 as if set forth fully herein. 3. At any time you were served or at any subsequent time, did you hold legal title to any properly of any nature solely or in part by the defendant(s) or in which defendant(s) held or claimed any interest? The Bank incorporates its resonso to Interrogatory No.1 as if set forth fully herein. 4. At any time you were served or at any subsequent time, did you hold as a fiduciary any property in which the defendant(s) had an interest? No. 5. At any time before or after you were served did the defendant(s) transfer or deliver any properly to you or to any person or place pursuant to your direction or consent and what was the consideration therefor? No. 6. At any time after you were served or at any subsequent time, did you pay, transfer or deliver any money or property to the defendant(s) or to any person or place pursuant to the direction of defendant(s) against you? No. 7. At the time you were served or at any subsequent time, did you have or share any safe-deposit boxes, pledges, documents of title, securities,' notes,-coupons, receivables, or collateral in which there was an interest claimed by defendant(s)? No. 8. Identify every account (not previously noted), titled in the name of defendant(s) or in which you believe defendant(s) have an interest in whole or in part whethr or not styled as a payroll account, individual retirement account, partnership account, joint or tenants by entirety account, insurance account, trust or escrow account, attorney's account or otherwise. Keystone Financial Bank objects to Interrogatory No.8 to the extent it is not substantially in the form required by Pa. R.C.P. No. 3253. Subject to and without waiving the foregoing objection, the Bank Incorporates its response to Interrogatory No.1 as if set forth fully herein. 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