HomeMy WebLinkAbout00-07420
~i~'
"'
.
..
VALERIE ROSENBLUTH PARK, ESQUIRE
Attorney I.D. #72094
PARK LAW ASSOCIATES, P.C.
25 East State Street
P.O. Box 1779
Doylestown, PA 18901
(215) 348-5200
ATTORNEY FOR PLAINTIFF
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
FIRST SELECT CORPORATION
Plaintiff
VS.
HOWARD WYLAND
Defendant
NO. C>O ~ ?'i~
COl(T~
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 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 other claims
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.
CUMBERLAND COUNTY BAR ASSOCIATION
2 LIBERTY AVENUE
Carlisle, PA 17013
(717) 249-3166
(800)990-9108
THIS IS AN ATTEMPT TO COLLECT A DEBT. ANY INFORMATION OBTAINED
WILL BE USED FOR THAT PURPOSE.
~."' '-
<
I
" l'
" ,,--.', ';"'" "' ~~:
..
,
VALERIE ROSENBLUTH PARK
ATTORNEY I.D. # 72094
PARK LAW ASSOCIATES, P.C.
25 EAST STATE STREET, P.O. BOX 1779
DOYLESTOWN, PA 18901
(215) 348-5200
ATTORNEY FOR PLAINTIFF
ACT#:4168100008421099
CUMBERLAND COUNTY COURT OF COMMON PLEAS
FIRST SELECT, INC.
4460 ROSEWOOD DRIVE
PLEASANTON, CA 94588
PLAINTIFF
DEFENDANT
i
I
I
I
I
I NO.
I
CIVIL ACTION
(}.f)- '7 V;lo Cu;;:J. r ~
VS
HOWARD WYLAND
33 WEST MAIN STREET
NEW KINGSTOWN, PA 17072-0308
1. The Plaintiff ,First Select, Inc. is a Delaware corporation
organized and existing under the laws of the State of Delaware
with its principal place of business at 4460 Rosewood Drive,
Pleasanton, CA 94588. Plaintiff is the owner of this account,
which is the subject matter of this action.
2. The Defendant, HOWARD WYLAND, is an individual who resides at
33 WEST MAIN STREET, NEW KINGSTOWN, PA 17072-0308.
3. The Defendant is indebted to Plaintiff on the credit account
by virtue of charges or cash advances incurred by the Defendant or
authorized by the Defendant on a credit card or line of credit,
bearing account number 4168100008421099.
"I
!
" 1_
~. -- " ~
~-",
4. The terms of said account are stated in the documentation
attached hereto as Exhibit "A".
5. The Defendant has failed to pay the amount owed in accordance
with the Account Agreement and has failed to pay the outstanding
debt as agreed.
6. The Defendant is indebted to the Plaintiff in the amount of
$7,671.57 as of 07/11/2000, plus pre-judgment contractual interest
at the rate of 19.80% per annum, less payments made.
7. In accordance with the documentation attached as Exhibit "A,"
Plaintiff is entitled to reasonable attorney's fees, and Plaintiff
will incur attorney's fees in the amount of $1,304.00.
WHEREFORE, Plaintiff demands that judgment be rendered in
favor of the Plaintiff, FIRST SELECT, INC. and against the
Defendant in the amount of $7,671.57, plus pre-judgment interest
at the contractual rate of 19.80% per annum from 07/11/2000 until
the date of the judgment herein, plus reasonable attorney's fees
in the amount of $1,304.00, less payments made, plus costs and any
other such relief as this Court deems reasonable and just.
COUNT I - ALTERNATIVE
8. Plaintiff hereby incorporates paragraphs 1 through 7 above as
though set forth in full.
9. The Defendant received a monetary benefit, which was in fact
appreciated by the Defendant.
10. The Defendant accepted the benefits.
11. By virtue of the circumstances surrounding the request for
funds made, the Defendant knowingly requested the funds at issue
and/or knowingly and voluntarily accepted the benefits bestowed.
~_ , i.
, L _ ., '''''~
12. It would be inequitable for this Court to allow the Defendant
to retain the benefits of the funds or to be unjustly enriched at
the expense of the Plaintiff or allow the Defendant to retain the
value of the funds at issue without repaying the Plaintiff the
value of same.
WHEREFORE, Plaintiff demands that Judgment be rendered in
favor of the Plaintiff, First Select, Inc. and against the
Defendant in the amount of $7,671.57, plus pre-judgment interest
at the contractual rate of 19.80% per annum from 07/11/2000 until
the date of the judgment herein, plus reasonable attorney's fees
in the amount of $1,304.00, less payments made, plus costs and any
other such relief as this Court deems reasonable and just.
:~h/
VALERIE ROSENBLUTH PARK, ESQUIRE
PURSUANT TO THE FAIR DEBT COLLECTION PRACTICES ACT, IT IS REQUIRED
THAT WE STATE THE FOLLOWING TO YOU: THIS IS AN ATTEMPT TO COLLECT
A DEBT. ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.
"..,;
,',C-
':,./;
..
i:
I
VERIFICATION
I,
SUE CORA lEA
, declare that as of
May 9, 2000: I am a designated agent of FIRST SELECT
CORPORATION, the Plaintiff in this action, and I am duly
authorized to make this verification on its behalf. I have read
the foregoing complaint and know the contents thereof; that the
same is true of my own knowledge, except as to those matters
stated on information and belief and, as to those matters, I
believe them to be true. 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.
I declare under penalty of perjury that the foregoing are
true and correct.
Executed at Alameda County, in the State of California.
iJwj ~
l d
Des~gnate Agent
..~. .,"
t,~ ~
'~,,:'''''f 1
.
.~
O~'''_l
~
5040 JOHNSON DRIVE
P.O. BOX 9104
PLEASANTON, CA 94566
888-964-4000
EXHIBIT
.
F1RST SELECT
CORPORAT10N
.~
"rrnUNT AGREEMENT
You~ DiSCOVER accou~t has been transferred to Fi~ Select Corporation. Your DISCOVER account was closed at the time of this transfer, and will therefore
contmue to be closed. ~~ Account Agreement contams the terms that govern your First Select account (the" Account"). In this Agreement, "you" and "your"
mean each person who IS \table for paymen~ on the Account. "We," "cur," "ours," and "us" mean First Select Corporation or its assignees. Because your Account
has .been tr~ferred to .u~, you are now obhgated to repay the Account to us instead of DISCOVER. If the Account was opened as ajoint account, we may act on
the mstructlons of any JOint accounthoider.
Payments I Finance Charges. As long as you have a balance outstanding on your Account, fmance charges are calculated as follows:
To fig~Jre the fmance charges for each billing cycle, we multiply the average daily balance on your Account by a daily periodic rate. The daily periodic rate we
apply IS your Account's Annual Percentage Rate divided by 365. The Annual Percentage Rate will be calculated as disclosed in your most recent DISCOVER
account ~erms (the "Original Terms"). If your Original Terms provided for different Annual Percentage Rates to be applied to different components of your
outstandmg balance, we will apply the lowest such Annual Percentage Rate to your entire outstanding balance.
We may. accept late or partial payments, or payments marked "paid in full" or marked with other restrictions, without losing our right to collect aU amounts owing
under this Agreement. .
Fees. We will charge your Account a fee for each billing cycle within which your Account is delinquent (late charge). The amount of the late charge will be as
disclosed in your Original Teons or the maximum late charge permitted by the law of your state of residence, whichever is lower.
We will charge your Account a fee for each returned payment check (returned check charge). The amount of the returned check charge will be as disclosed in
your Original Terms, or the maximum returned check charge p'ermitted by the law of your state of residence, whichever is lower. .
To the extent provided in your Original Tenns, and to the extent pennitted by applicable law, in addition to your obligation to pay the outstanding balance on your
Account, plus interest and fees as disclosed herein, we may also charge you for any collection costs we incur, including but not limited to reasonable attorneys'
.fees and court costs. If your Original Tenns provided for an award of attorneys' fees and court costs, such provision as incorporated herein shall apply
reciprocally to the prevailing party in any lawsuit arising out oftrus Agreement .
N on-Waiver of Certain Rights. We may delay or waive enforcement of any provision of this Agreement without losing our right to enforce it or any other
provision later.
Applicable Law; Severability; Assignment No matter where you live, this Agreement and your Account are governed by federal law and by the law of the state
designated as the applicable law in your Original Terms. If your Original termS did not contain an applicable law provision. then this Agreement and your
Account are governed by federal law and the law of your state'of residence. This Agreement is a flnal expression of the agreement between you and us and may
not be contradicted by evidence of any alleged oral agreement. If any provision of this Agreement is held to be invalid or unenforceable, you and we will consider
that.provision modified to confonn to applicable law, and the rest of the pr9visions in the Agreement will still be enforceable. We may transfer or assign our right
to aU or some of your payments. Ifstate law requires that you receive notice of such an event to protect the purchaser or assignee, we may give you such notice
by filing a financing statement with the state's Secretary of State.
Credit Reporting. If you fail to fulfill the terms of your credit obligation. a negative credit report reflecting on your credit record may be submitted to a credit
reporting agency. In order to dispute any information we are reporting about your Account, you must write to us at the following address; First Select .
Corporation,'P.O. Box 9104, Pleasanton, California, 94566.
YOUR BILLING RIGHTS - KEEP THIS NOTICE FOR FUTURE USE
This notice contains important information about your rights and our responsibilities under the Fair Credit Billing Act.
Notify Us in Case of Errors or Questions About Your Bill
lfyou think your bill is wrong, or if you need more information about an entry on your bill, write us, on a s<:parate sheet, at the following address: First Select
Corporation, P.O. Box 9104, Pleasanton. CA 94566. Write to us as soon as possible. We must hear from you no later than 60 days after we sent you the first bill
on which the error or problem appeared. You can telephone us, but doing so will not preserve your rights.
In you.r letter, give us the following:
Your name and Account number.
The dollar amount of the suspected error.
Describe the error and explain, if you can, why you believe there is an error. If you need more information, describe the item you are not sure about.
Your Rights and Our Responsibilities After We Receive Your Written Notice
We must acknowledge your letter within 30 days, unless we have corrected the error by then. With.U: 90 days, we must either correct th~ err~r or e::'P1ain why we
believe the bill was correct. After we receive your letter, we cannot try to collect or report you as delmquent as to any amount you question, Includmg finance
charges. We can apply any unpaid amount against your credit line. You do not have to pay any questioned amount while we are investigating, but you are still
obligated to pay the parts of the bill that are not in question.
Ifwe find that we made a mistake on your bill, you will not have to pay any finance charge relate~ to any questioned.amount. Ifwe ~id not make a mistake, you
may have to pay finance charges, and you will have to make up the missed payments on the questtoned amount In etther.case, we will send ~ou a statemen~ of
the amount you owe and the date that it is due. lfyou fail to pay the amount we think you owe, we may report you as delmquent However, ifo~r ex:plana~lOn
does not satisfy you and you write to us within 10 days telling us that you still refuse to pay, we must tell anyone we report you to that you questIOn y~ur bill. .
And we must tell you the name of anyone we reported you to. We must te.1l anyone we report. you to tf.1at the matter has been se~l~d between us when It finally IS.
Ifwe do not follow these rules, we cannot collect the first $50 ofthe questioned amount even if your btll was correct ..
.
Special Rule for Credit Card Purchases
If you have a problem with the quality of goods and services ~a~ you purchased with your DISCO~R credit card and y~u ~a,,:e tried in.go?d f~ith to correct the
problem with the merchant, you may not have to pay the remammg amount due on the goods or servIces. There:l!': two lllrutatlons to thiS nght. (a) y~u must
have made the purchase in your home state or, ifnot within your home state, within 100 miles of your current mailmg ~ddress; and (b) the purc~ase pnce must
have been more than $50. These limitations do not apply if either we or DISCOVER own or operate the merchant, or If we or DISCOVER mailed you the
advertisement for the property or services.
Z586
ZS86
'i'<'
',,-~~;;~)~i"
"~',,j(;7':.?;"ij"l@M!w,ilt"'1J&l$,"~""J,,",,,~-,;"'~Llil!!i,,,;;.j,lN',\,,,,,~,,,,,,
~e.,""J';*4if';i-i',__
{;;,i~
.';" . 'J
",'~~,
'- ,'-. ..~'''''-,
~ ~
~~ ~~
0 . ,
o (/)/
~ 0 ~ 0
C\ '1 I \
~ (,) r t/}
"'v. e t
1->
r 1
:"" ~ -.:~ ,~,,"~'T, M"
--,,,
J< ~',_",a_ ~ ,
_ "~'_"~ >,.-,'" " n' 0. ,__"IU,,"_ "'._".','''' ... __ ,~~ ~'H' O. ",
uilr('- '.
(""11
-;:]c-
1'1"\
-:-?
:7
~
~~3
2:
-1
-<.
-" '..
-,.,,,,-
.~'~I
I
I
v I
I
Ci
c:
--.J
''")
:-,
:",.J
c:'
r\__'
-.'..".. (i'Y(j'
,--> ;::--
';:''; C/)
S'} ~:~
'-'" ~-
...J
"~""'~-~
~~"
. j
~o<
SHERIFF'S RETURN - REGULAR
CASE NO: 2000-07420 P
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
FIRST SELECT CORPORATION
VS
WYLAND HOWARD
SHAWN HARRISON
, Sheriff or Deputy Sheriff of
Cumberland County,pennsylvania, who being duly sworn according to law,
says, the within COMPLAINT & NOTICE
was served upon
WYLAND HOWARD
the
DEFENDANT
, at 0017:57 HOURS, on the 25th day of October ,2000
at 33 WEST MAIN STREET
NEW KINGSTOWN, PA 17072-0308
by handing to
SANDRA WYLAND (WIFE)
a true and attested copy of COMPLAINT & NOTICE
together with
and at the same time directing Her attention to the contents thereof,
Sheriff's Costs:
Docketing
Service
Affidavit
Surcharge
18.00
4.34
.00
10.00
.00
32.34
S~i2:~4<~(
R, Thomas Kline
10/26/2000
PARK LAW ASS
Sworn and Subscribed to before By:
me this J I.-J- day of
@~ ~ A.D.
q~ ~ 1M,'''..; Aorr
rothonotary t r-'
",," ,
-
.L....;,.~
.iH
!;~"",
.
.VALERIE ROSENBLUTH PARK
ATTORNEY I.D. # 72094
PARK LAW ASSOCIATES, P.C.
25 EAST STATE STREET
DOYLESTOWN, PA 18901
(215) 348-5200
ATTORNEY FOR PLAINTIFF
I HEREBY CERTIFY THAT THE
TRUE AND CORRECT ADDRESS IS:
PLAINTIFF: 4460 ROSEWOOD DRIVE
PLEASANTON, CA 94588
DEF: 33 WEST MAIN STREET
NEW KINGSTOWN, PA 17072-0308
4168100008421099
CUMBERLAND COUNTY COURT OF COMMON PLEAS
FIRST SELECT CORPORATION
Plaintiff
VS
HOWARD WYLAND
Defendant
NO.007420CV
PRAECIPl: FOR JUDGMENT
TO THE PROTHONOTARY:
Please enter Judgment in favor of the Plaintiff and against
the said Defendant for failure to plead or otherwise respond to
the Complaint and assess the damages as follows:
TOTAL
$7,671.57
$1,304.00
$578.46
($0.00)
($0.00)
$9,554.03
PLUS ADDITIONAL COSTS
AMOUNT OF CLAIM
ATTORNEY FEES
PLUS ACCRUED INTEREST
LESS PRINCIPAL PAID
LESS OTHER PAYMENTS
I CERTIFY THAT THE FOREGOING ASSESSMENT OF DAMAGES IS FOR
SPECIFIED AMOUNTS ALLEGED TO BE DUE IN THE COMPLAINT AND IS
CALCULABLE AS A SUM CERTAIN FROM THE COMPLAINT.
I certify that written notice of the intention to file
this Praecipe was mailed or delivered to the party against whom
judgment is to be entered and to the attorney of record, if any,
after the default occurred and at least ten (10) days prior to
the date of the filing of this Praecipe. A true and correct copy
of the notice pursuant to Pennsylvania Rule of Civil Procedure
No. 237.1 is attached hereto and marked Exhibit" "
VALERIE ROSENBLUTH PARK,ESQUIRE
Attorney for the Plaintiff
,~
~
~. .~ "'" ~1~
AND Now,~Df1(" L ,:JAt0 ' Judgment is entered
in favor of the P aintiff and against the Defendant by Default
for want of an Answer and damages assessed in the sum set forth
in the above certification.
(Li;;)fL.~
PROTHONOTARY .
PURSUANT TO THE FAIR DEBT COLLECTION PRACTICES ACT, IT IS
REQUIRED THAT WE STATE THE FOLLOWING TO YOU. THIS IS AN ATTEMPT
TO COLLECT A DEBT. ANY INFORMATION OBTAINED WILL BE USED FOR THAT
PURPOSE.
~"_. ~
,~ ,~
I - _
.'.- j~~~L'
VALERIE ROSENBLUTH PARK
ATTORNEY LD. # 72094
PARK LAW ASSOCIATES,P,C,
DRIVE
25 EAST STATE STREET, P.O. BOX ]779
DOYLESTOWN, PA ]8901
(215) 348-5200
ATTORNEY FOR PLAINTIFF
i HEREBY CERTIFY TIIAT TIIE
TRUE AND CORRECT ADDRESS IS:
PLAINTIFF: 4460 ROSEWOOD
PLEASANTON, CA 94588
DEF: 33 WEST MAIN STREET
NEW KINGSTOWN, PA ] 7072-0308
FIRST SELECT CORPORATION
Plaintiff
VS
HOWARD WYLAND
Defendant
NO. 007420CV
NOTICE OF PRAECIPE FOR
ENTRY OF DEFAULT JUDGMENT
TO: HOWARD WYLAND
33 WEST MAIN STREET
NEW KINGSTOWN, P A 17072-0308
DATE OF NOTICE: 11/14/00
IMPORTANT NOTICE
YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO TAKE ACTION
REQUIRED OF YOU IN THIS CASE, UNLESS YOU ACT WTI1llN TEN (JO) DAYS FROM
THE DATE OF THIS NOTICE, A JUDGMENT MAY BE ENrERED AGAINST YOU
WTIHOUT A HEARING AND YOU MAY LOSE YOUR PROPERTY OR OTHER
IMPORTANT RIGHTS. YOU SHOULD TAKE THIS NOTICE TO A LAWYER AT ONCE, IF
YOU DO NOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE
THE FOLLOWING OFFICE TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
COURT ADMINISTRATOR
CUMBERLAND COUNTY COURTHOUSE, 4th FLOOR
CARLISLE,PA 17013
(717) 240-6200
PARK LAW ASSOCIATES,P,C,
BY:
VALERIE ROSENBLUTH PARK, ESQ,
cc:
THIS IS AN ATTEMPT TO COLLECT A DEBT. ANY INFORMATION OBTAINED
WILL BE USED FOR THAT PURPOSE,
EXHIBIT A
VALERIE ROSENBLUTH PARK
ATTORNEY I.D. # 72094
PARK LAW ASSOCIATES, P.C.
25 EAST STATE STREET
DOYLESTOWN, PA 18901
(215) 348-5200
ATTORNEY FOR PLAINTIFF
1_._
, ~ """"i~
~~l.-
I HEREBY CERTIFY THAT THE
TRUE AND CORRECT ADDRESS IS:
PLAINTIFF: 4460 ROSEWOOD DRIVE
PLEASANTON, CA 94588
DEF: 33 WEST MAIN STREET
NEW KINGSTOWN, PA 17072-0308
CUMBERLAND COUNTY COURT OF COMMON PLEAS
FIRST SELECT CORPORATION
Plaintiff
VS
HOWARD WYLAND
Defendant
VERIFICATION
NO. 007420CV
Of
NON-MILITARY SERVICE
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF BUCKS
VALERIE ROSENBLUTH PARK, Esquire, being duly sworn
according to law, deposes and says that she will make this
affidavit on behalf of the within Plaintiff, being authorized to
do so, and that she believes and therefore avers, that HOWARD
W~, Defendant is over 21 years of age; that his/her place of
residence/business is located at 33 WEST MAIN STREET NEW
KINGSTOWN, PA 17072-0308 and that he/She is employed and that he/she
is not in the Military or Naval Service of the United St~es or
its Allies or otherwise within the provisions of the diers and
Sailors Civil Relief Act of Congress of 1940 and i amendments.
PARK LAW AS OCIATES, .C.
E10
BY:
Valerie Rosenbluth Park
Attorney for Plaintiff
I. _ ,.
,-. ~MiH;j,
. .
VALERIE ROSENBLUTH PARK
ATTORNEY I.D. # 72094
PARK LAW ASSOCIATES, P.C.
25 EAST STATE STREET
DOYLESTOWN, PA 18901
(215) 348-5200
ATTORNEY FOR PLAINTIFF
I HEREBY CERTIFY THAT THE
TRUE AND CORRECT ADDRESS IS:
PLAINTIFF: 4460' ROSEWOOD DRIVE
PLEASANTON, CA 94588
DEF: 33 WEST MAIN STREET
NEW KINGSTOWN, PA 17072-0308
CUMBERLAND COUNTY COURT OF COMMON PLEAS
FIRST SELECT CORPORATION
Plaintiff
VS
HOWARD WYLAND
NO. 007420CV
Defendant
NOTICE
Pursuant to Rule 236 of the Supreme Court of Pennsylvania, you
are hereby notified that a Judgment has been entered against you
in the above proceeding as indicated below:
[X] Judgment by Default
[ ] Money Judgment
[ ] Judgment in Replevin
[ ] Judgment in Possession
[ ] Judgment on Award of Arbitration
[ ] Judgment on Verdict
[ ] Judgment on Court Findings
[ ] Judgment on District Justice Transcripts
[ ] Judgment on Judgment Note
[ ] Judgment on Writ of Revival
[ ] Praecipe to Reassess Damages
IF YOU HAVE ANY QUESTIONS CONCERNING THIS NOTICE,
PLEASE CALL: Park Law Associates, P.C. at this telephone
number: (215) 348-5200.
I~/{'/CO
(r:xARYI2 ~
{/) L'J.). ':
FAIR DEBT COLLECTION P CTICES ACT, IT IS
THE FOLLOWING TO YOU. THIS IS AN ATTEMPT
INFORMATION OBTAINED WILL BE USED FOR THAT
PURSUANT TO THE
REQUIRED THAT WE STATE
TO COLLECT A DEBT. ANY
PURPOSE.
!ila'"'
~,-'
,.."'."'.... ,",
,~;J.litli~
'.~ill.""iiilll1ji!
"""\ll!>iit:@>;~!I1.,;b'",=,~";'~,o"~!i!liIl!f;j.i
'b...\1;_@~_
"'"-~ ",C<<T''''',."
,
~-'''. ",--
~ ,,,,",'_, ,~ .'o~
"-
- ..~~"
.lWI1
~-
.......e;t!
~
C 11 ~ -.l)
0
tL ~ D-
o g (J
p- ....... -0 ~ ,:Ob
-- ~
() 0 "-1
~ -oCu r>1 ;:;:i;dl
~ l'Tlm n
8 2::0 I -nm
~ ~ ~ ~c; (;n ;"~?
"'- '-....1:(:;,
'" -<:.L:
VJ' ~.o -,.~
~ .." G~
~ , ~q ::Ii:
~ ~ ~ ~ o_rn
-I
~.. ."\:J ~
UI
_."~ ..
" -
0'
!It
.~',~~J.
~" .
.~~
"'1
~M,'~~~' .
VALERIE ROSENBLUTH PARK, ESQUIRE
Attorney I.D. #72094
PARK LAW ASSOCIATES, P.C.
25 E. State Street
Doylestown, PA 18901
(215) 348-5200
ATTORNEY FOR PLAINTIFF
CUMBERLAND COUNTY COURT OF COMMON PLEAS
FIRST SELECT, INC
Plaintiff
VS
HOWARD WYLAND
Defendant
NO. 007420CV
PRAECIPE TO MARK JUDGMENT SATISFIED, SETTLED, DISCONTINUED AND
ENDED
TO THE PROTHONOTARY:
Kindly mark the above captioned matter,satisfied upon payment
of your costs.
PARK LAW ASSOCIATES, P.C.
BY:
VAL
~~~JlA,~~i!!M@h~'E~iU>;/l~Iit'~~~~'~""iiIli'H~&~(,''''''''~"",:Jjt!'''i;,.'~1'illi~~~'";''''-'>,iiL~ ", .0
('
-__L<;i;E!MM\ll~ill ' -,~ -~al
.-r'~ i,'?
~,r~ ~ :;~,!,
'~iS;.
~
~
~~t~,
z
::<
"~ '~~Il.lJiLL J
C!
r~;
taiils
.....,
=
=
.c-
o
-n
:::;:l
-'---n
n:1.p
-om
'~TJO
.0'
:..::1~
.~:... ~r;
o(~
fSrn
==-i
""
.,.
:<
~
~~c::J
:;0
I
to
-0
:.1r.
r:::
o