HomeMy WebLinkAbout01-0157 FX
,
Barbara Sumple-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717) 774-1445
Counsel for Plaintiff
SEBASTIAN G.Z, TRISCARI,
Plaintiff
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
v,
: No. 1)1- /57 ~
JOSEPH 0, KALWAYTIS and
RENEE E, KALWA YTIS,
Defendants
: Civil Action
CONFESSION OF ,JUDGMENT
Pursuant to the authority contained in the warrant of attorney, the original of which is
attached to the Complaint filed in this action, I appear for the Defendants and confess judgment
in favor of the Plaintiff and against Defendants as follows:
a.
b,
Principal Balance Due on Note
Interest of 10% per annum (or $12.33 per diem)
Due on Note as of 1/09/01
Late charge penalty provided by Note of 5% of Principal
Attorney's Fee provided by Note (10% of Debt)
$45,000,00
Total
246,60
2,250,00
4,500,00
$51,996,60
c,
d,
Dated: January 9, 2001
Barbara Sumple-Sullivan, Esquire
Attorney for Plaintiff
549 Bridge Street
New Cumberland, PA 17070-1931
(717) 774-1445
Supreme Court I.D, No, 32317
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Barbara Sump Ie-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, PA 17070
(717) 774-1445
Counsel for Plaintiff
SEBASTIAN Q, Z, TRISCARI,
Plaintiff
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
v,
: No,
JOSEPH O. KALWA YTIS and
RENEE E. KALWA YTIS, ,
Defendants
: Civil Action
COMPLAINT FOR CONFESSION OF JUDGMENT
I) Plaintiff is Sebastian Q, Z, Triscari, an individual residing at 9 Southwatch Lane,
Mechanicsburg, Cumberland County, Pennsylvania 17055.
2) Defendants are Joseph 0, Kalwaytis and Renee E. Kalwaytis, husband and wife, residing
at 2473 Stutzmantown Road, Somerset, Somerset County, Pennsylvania 15501.
3) On December 15,2000, Defendants executed a Judgment Note in the principal amount of
FORTY-FIVE THOUSAND DOLLARS ($45,000,00) to satisfy a debt due and owing to
Plaintiff, Pursuant to the Note, payment was due in full on December 20, 2000. The
original Note is marked as Exhibit "A" and attached hereto.
4) Pursuant to this Note,
Ifwe fail to pay said sum within five (5) days after its due date, we
shall pay an additional five (5%) percent of the payment as a late
charge penalty,
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5) No payment was received on or before the due date of December 20, 2000. No payment
has been received as of the filing of this Complaint. Defendants have defaulted on the
Note,
6) The Note authorizes the following:
TO FURTHER SECURE THE PAYMENT, the undersigned
hereby irrevocably authorizes and hereby empower Sebastian G. Z.
Triscari, through his counsel, to appear for us before any
Prothonotary, Clerk of Attorney of any Court of record within the
United States or elsewhere and, with or without defalcation,
confess judgment against us at any time or times,....
7) Judgment is not being entered by confession against a natural person in counection with a
consumer credit transaction,
8) Judgment has not been entered against Defendants on the Note in any jurisdiction, and
the Note has not been assigned,
9) The amount due by Defendants to Plaintiff under the Note is FIFTY-ONE THOUSAND
NINE HUNDRED NINETY-SIX DOLLARS and 60/00($51,996.60), calculated as
follows:
c,
d,
Principal Balance Due on Note
Interest of 10% per annum due on Note as of 1/09/01
plus interest thereafter at the rate of$12.33 per diem
Late charge penalty provided by Note of 5% of Principal
Attorney's Fee provided by Note (10% of Debt)
$45,000.00
a.
b.
Total
246,60
2,250.00
4,500.00
$51,996,60
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10) An Averment of Default is attached hereto,
11) Judgment is demanded as authorized by the Warrant of Attorney contained in the
attached Judgment Note marked as Exhibit "A,"
12) The Warrant of Attorney appearing in the aforementioned document is less than twenty
years old,
WHEREFORE, Plaintiff demands judgment be entered in his favor and against
Defendants in the amount of FIFTY-ONE THOUSAND NINE HUNDRED NINETY-SIX
THOUSAND DOLLARS and 60/00 ($51,996.60), as authorized by the Warrant appearing in the
attached Note, together with interest from the date of judgment at the rate of $12.33 per diem,
costs and such further relief as may be just.
Respectfully submitted,
Dated: January 9, 2001
Barbara Sumple-Sullivan, Esquire
Attorney for Plaintiff
549 Bridge Street
New Cumberland, PA 17070-1931
(717) 774-1445
Supreme Court I.D. No, 32317
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$45.000.00
December 15,2000
Pennsylvania
JUDGMENT NOTE
FOR VALUE RECEIVED AND INTENDING TO BE LEGALLY BOUND, We,
Joseph 0, Kalwaytis and Renee E. Kalwaytis, his wife, promise to pay Sebastian G. Z, Triscari
(and his heirs, personal representatives, and permitted assigns) the principal amount of FORTY-
FIVE THOUSAND DOLLARS ($45,000,00). The Payment is due in full on the 20th day of
December, 2000,
Ifwe fail to pay said sum within five (5) days after its due date, we shall pay an
additional five (5%) percent of the payment as a late charge penalty,
TO FURTHER SECURE THE PAYMENT, the undersigned hereby irrevocably
authorizes and hereby empower Sebastian G, Z, Triscari, through his counsel, to appear for us
before any Prothonotary, Clerk of Attorney of any Court of Record within the United States or
elsewhere and, with or without defalcation, confess judgment against us at any time or times,
and in his favor or the holder of this Note for the above sum, plus costs of suit, interest at the rate
often (10%) percent per annum from date payment is due and continuing after confession, and
with ten percent (10%) as reasonable attorneys' fees for violation of any of the provisions of this
Note, For so doing, this Note or a copy hereof verified by affidavit shall be a sufficient to
warrant. We hereby release all errors and expressly waive all rights and relief from all
appraisement of any property upon which is levied; right of exemption or stay of execution of
any laws of any State now in force or hereafter to be passed; right of any inquisition of appeal
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and release of errors; and any right of further protest of this Note, This Note and the
effectiveness of its terms shall be governed by the laws of the Commonwealth of Pennsylvania,
The nndersigned and all endorsers severally waive demand, presentment, notice of
dishonor, diligence in collection, and notice of protest and agree to all extensions and partial
payments before or after maturity without prejudice to the holder. No single exercise of the
foregoing warrant and power to confess judgment shall be deemed to exhaust the power, whether
or not any such exercise shall be held by any court to be invalid, voidable, or void, but the power
shall continue undiminished and may be exercised from time to time as often as the holder
thereof shall elect until all sums payable or that may become payable hereunder by the
undersigned have been paid in full. Waiver of any default shall not constitute waiver of any
subsequent default.
This obligation shall bind the undersigned and any guarantors, sureties, and endorsers
and their heirs, executors, administrators, successors, and assigns.
We hereby consent to venue in the Court of Common Pleas in Cumberland County,
Pennsylvania, Protest Waived.
We, Joseph O. Kalwaytis and Renee E, Kalwaytis, do acknowledge that we are
individually, severally and jointly liable for all sums due under this Note,
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IN WITNESS WHEREOF, and inteodiog to be legally bound hOl'llby, we execute Ibis
Note effective as of the day, month, and year first above written.
WITNESs:
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J b O. Kalwaytil '>
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Sworn and subscribed before me lIIis
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Notarial Seal
Vickie L Friedline, Notary PubliC
Somerset Boro Somerset County
My Commission expires Dec. 18, 2001
Member, Pennsyivanla Association of Notaries
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EXPLANATION OF RIGHTS FOR JUDGMENT NOTE DATED DECEMBER 15, 2000
A. I, Joseph O. Kalwaytis (hereinafter "Obligor") clearly and specifically understand
that by signing a Note dated December 15,2000, in the amount of FORTY-FIVE THOUSAND
DOLLARS ($45,000.00) payable to Sebastian G. Z. Triscari (hereinafter "Obligee") which
contains a Confession of Judgment Clause:
I. Obligor authorizes Obligee (Plaintiff, Creditor) to enter a Judgment
against Obligor in favor of Obligee which will give Obligee a lien upon any real estate which
Obligor may own, including Obligator's home;
2, Obligor gives up the right to any notice or opportunity to be heard prior to
the entry of judgment on the records of the Court;
3, Obligor agrees that Obligee (Plaintiff, Creditor) can enter this Judgment
without any proof of non-payment or other default on Obligor's part;
4, Obligor will subject all of Obligor's property, both personal property and
real estate, to execution (and Sheriffs sale); pursuant to this Judgment, prior to proof of non-
payment or other default on Obligor's part;
5, Obligor will be unable to challenge this Judgment, should the Plaintiff
enter it, except by a proceeding to open or to strike the Judgment; and such proceeding will
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result in attorneys' fees and costs which Obligor will have to pay.
B. Obligor knows and understands that it is the Confession of Judgment clause in the
above-described Note which gives Obligee (Plaintiff, Creditor) the rights enumerated in sub-
paragraph 1 through 5 of paragraph "A" above,
IF OBLIGOR DOES NOT SIGN A NOTE WHICH CONTAINS A CONFESSION OF
JUDGMENT CLAUSE, OBLIGOR UNDERSTANDS THAT OBLIGATOR WOULD HA VE
THE FOLLOWING
1. The right to have notice and an opportunity to be heard prior to
Judgment;
2. The right to have the burden of proving default rest upon Obligee
before Obligor's property can be exposed to execution; and
3, The right to avoid the additional expense of attorneys' fees and
costs incident to opening or striking off a Confession Judgment.
C, Fully and completely understanding these rights which I have prior to signing the
above-described Note, and clearly aware that these rights will be given up, waived, relinquished
and abandoned ifI sign the Note, I nevertheless freely and voluntarily choose to sign the Note,
my intention being to give up, waive, relinquish and abandon my known rights and subject
myself to the circumstance described in Paragraph" A" above,
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D. The undersigned Obligor hereby certifies that he. signatory to a 1Il'ofe dated
December 15. 2000, in favor of Obligee, which has a Confession of Judgment clause, have
earnings of$lO,OOO.OO or more per year.
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1Il'otary Public
My commission expires:
[SEAL]
Notarial Seal
Vickie L, Friedline, Notary Public
Somers~t !'lara. Somerset County
My CommIssIon Expires Dec, 18, 2001
Memb8r, ~A8lIociaUoilOl ~
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EXPLANATION OF RIGHTS FOR JUDGMENT NOTE DATED DECEMBER 15, 2000
A. I, Renee E. Kalwaytis (hereinafter "Obligor") clearly and specifically understand
that by signing a Note dated December 15,2000, in the amount of FORTY-FIVE THOUSAND
DOLLARS ($45,000.00) payable to Sebastian G. Z. Triscari (hereinafter "Obligee") which
contains a Confession of Judgment Clause:
1. Obligor authorizes Obligee (Plaintiff, Creditor) to enter a Judgment
against Obligor in favor of Obligee which will give Obligee a lien upon any real estate which
Obligor may own, including Obligator's home;
2, Obligor gives up the right to any notice or opportunity to be heard prior to
the entry of judgment on the records of the Court;
3, Obligor agrees that Obligee (Plaintiff, Creditor) can enter this Judgment
without any proof of non-payment or other default on Obligor's part;
4. Obligor will subject all of Obligor's property, both personal property and
real estate, to execution (and Sheriffs sale); pursuant to this Judgment, prior to proof of non-
payment or other default on Obligor's part;
5, Obligor will be unable to challenge this Judgment, should the Plaintiff
enter it, except by a proceeding to open or to strike the Judgment; and such proceeding will
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result in attorneys' fees and costs which Obligor will have to pay,
B. Obligor knows and understands that it is the Confession of Judgment clause in the
above-described Note which gives Obligee (Plaintiff, Creditor) the rights enumerated in sub-
paragraph I through 5 of paragraph "A" above.
IF OBLIGOR DOES NOT SIGN A NOTE WHICH CONTAINS A CONFESSION OF
JUDGMENT CLAUSE, OBLIGOR UNDERSTANDS THAT OBLIGATOR WOULD HA VE
THE FOLLOWING
1. The right to have notice and an opportunity to be heard prior to
Judgment;
2, The right to have the burden of proving default rest upon Obligee
before Obligor's property can be exposed to execution; and
3, The right to avoid the additional expense of attorneys' fees and
costs incident to opening or striking off a Confession Judgment.
C. Fully and completely understanding these rights which I have prior to signing the
above-described Note, and clearly aware that these rights will be given up, waived, relinquished
and abandoned ifI sign the Note, I nevertheless freely and voluntarily choose to sign the Note,
my intention being to give up, waive, relinquish and abandon my known rights and subject
myselfto the circumstance described in Paragraph "A" above.
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D. The U11dersigned Obligor hereby certifieIl that she, signatory to a Note dated
December IS, 2000, in fuvor of Obligee, which has a Confession ofJudgment clause, have
earninss of $10,000.00 or more per YClll.'.
WITNESS:
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My comm1wlon expirt$:
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SomerSet Boro, Somerset County
My CommISSIon Expires Dee, 18, 2001
Member, Pannsytv;lillii A6So<lIatIon 01
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Barbara Sumple-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717)774-1445
Counsel for Plaiutiff
SEBASTIAN Q, Z, TRISCARI,
Plaintiff
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
v,
: No,
JOSEPH O. KALWA YTIS and
RENEE E, KALWA YTIS,
Defendants
: Civil Action
AVERMENT OF DEFAULT
I, Barbara Sumple-Sullivan, Esquire, being duly sworn according to law, deposes and
states that she is authorized to make this Affidavit on behalf of Plaintiff; and that Defendants
entered into the Judgment Note dated December 15, 2000, a true and correct copy of said Note is
attached to the Complaint for Confession of Judgment filed in this action and marked as Exhibit
"A", Deponent also avers that Fifty-One Thousand Nine Hundred Ninety-Six Dollars and
60/100 ($51,996,60) plus interest at the rate of Twelve Dollars and 33/100 ($12.33) per diem is
due and owing.
I hereby certify that the facts set forth above are true and correct to the best of my
knowledge, information and belief. I understand that any false statements made herein are
subject to penalties of 18 Pa. C.S,A. ~4904 relating to unsworn falsification to authorities.
Date: January 9, 2001
B a Sumple-Sullivan, EsqUIre
Attorney for Plaintiff
549 Bridge Street
New Cumberland, P A 17070-1931
(717) 774-1445
Supreme Court J.D. No. 32317
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Barbara Sumple-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717) 774-1445
Counsel for Plaintiff
SEBASTIAN G, Z, TRISCARl,
Plaintiff
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
v,
: No,
JOSEPH 0, KALWA YTIS and
RENEE E. KALWA YTIS,
Defendants
: Civil Action
VERIFICATION
I, SEBASTIAN G. Z. TRISCARI, hereby certify that the facts set forth in the
foregoing COMPLAINT FOR CONFESSION OF JUDGMENT are true and correct to the
best of my knowledge, information and belief. I understand that any false statements made
herein are subject to penalties of 18 Pa. C.S,A, Section 4904 relating to unsworn falsification
to authorities,
Dated: January 9, 2001
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Barbara Sumple-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717)774-1445
Counsel for Plaintiff
SEBASTIAN OZ, TRISCARI,
Plaintiff
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
: No.
OJ- /57
JOSEPH O. KALWAYTIS and
RENEE E, KALWA YTIS,
Defendants
: Civil Action
PRAECIPE FOR ASSESSMENT OF DAMAGES
TO THE PROTHONOTARY:
Please assess damages now due on the judgment in this action against Defendant Joseph
0, Kalwaytis and Defendant Renee E, Kalwaytis, as follows:
a. Principal Balance Due on Note
b. Interest of 10% per annum (or $12,33 per diem)
Due on Note as of 1/09/01
c, Late charge penalty provided by Note of 5% of Principal
d, Attorney's Fee provided by Note (10% of Debt)
Total Amount
$45,000,00
Dated: January 9, 2001
246.60
2,250.00
4,500,00
$51,996,60
Barbara Sump Ie-Sullivan, Esquire
Attorney for Plaintiff
549 Bridge Street
New Cumberland, PA 17070-1931
(717) 774-1445
Supreme Court I.D. No. 32317
JlIDGMENT AND ASSESSMENT OF DAMAGES
I assess damages as above and judgment is entered for Plaintiff and against Defendants in
the amount of $ 51,996.60, plus interest after judgement at the rate of $12.33 per diem.
Prothonotary of Cumberland County
BY: /5f 1!u4~' R~
Clerk or Deputy /,l;2 L-
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Barbara Sumple-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, PA 17070
(717) 774-1445
Counsel for Plaintiff
SEBASTIAN G. Z, TRISCARI,
Plaintiff
v,
JOSEPH O. KALWAYTIS and
RENEE E. KALWA YTIS,
Defendants
: IN THE COURT OF COMMON PLEAS
: CUMBE. RLAND CO~T.r, PENNSYL VANIA
: No. tJf - /57 twJ1
: Civil Action
NOTICE UNDER RULE 2958.1 OF JUDGMENT
AND EXECUTION THEREON
NOTICE OF DEFENDANT'S RIGHTS
TO: Renee E. Kalwaytis
2473 Stutzmantown Road
Somerset, P A 15501
A judgment in the amount of $51,996.60 has been entered against you and in favor of the
Plaintiff without any prior notice or hearing based on a confession of judgment contained in a
written agreement or other paper allegedly signed by you. The sheriff may take your money or
property to pay the judgment at any time after thirty (30) days after the date on which this notice is
served on you,
You may have legal rights to defeat the judgment or to prevent your money or property from
being taken. YOU MUST FILE A PETITION SEEKING RELIEF FROM THE JUDGMENT AND
PRESENT IT TO A JUDGE WITHIN TIllRTY (30) DAYS AFTER THE DATE ON WHICH TIllS
NOTICE IS SERVED ON YOU OR YOU MAY LOSE YOUR RIGHTS,
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT
HA VB 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, Pennsylvania 17013
(717) 249-3166
Baroara Sumple-Sullivan, Esquire
Attorney for Plaintiff
549 Bridge Street
New Cumberland, PA 17070-1931
(717) 774-1445
Supreme Court I.D, No. 32317
Date: January 9, 2001
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Barbara Sumple-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717) 774-1445
Counsel for Plaiutiff
SEBASTIAN G, Z, TRISCARl,
Plaintiff
v.
JOSEPH O. KALWA YTIS and
RENEE E. KALWA YTIS,
Defendants
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
: No. ()/- /\:)7
: Civil Action
NOTICE UNDER RULE 2958.1 OF JUDGMENT
AND EXECUTION THEREON
NOTICE OF DEFENDANT'S RIGHTS
TO: Joseph O. Kalwaytis
2473 Stutzmantown Road
Somerset, P A 15501
A judgment in the amount of $51,996.60 has been entered against you and in favor of the
Plaintiff without any prior notice or hearing based on a confession of judgment contained in a
written agreement or other paper allegedly signed by you. The sheriff may take your money or
property to pay the judgment at any time after thirty (30) days after the date on which this notice
is served on you,
You may have legal rights to defeat the judgment or to prevent your money or property
from being taken, YOU MUST FILE A PETITION SEEKING RELIEF FROM THE
JUDGMENT AND PRESENT IT TO A JUDGE WITHIN THIRTY (30) DAYS AFTER THE
DATE ON WHICH THIS NOTICE IS SERVED ON YOU OR YOU MAY LOSE YOUR
RIGHTS,
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, Pennsylvania 1701
(717) 249-3166
Barbara Sumple-Sullivan, Esquire
Attorney for Plaintiff
549 Bridge Street
New Cumberland, PA 17070-1931
(717) 774-1445
Supreme Court J.D. No, 32317
Date: January 9, 2001
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Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717) 774-1445
Counsel for Plaintiff
v,
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
: No, ()/- /S 7
SEBASTIAN Q, Z. TRlSCARl,
Plaintiff
JOSEPH 0, KALWA YTIS and
RENEE E, KALWA YTIS,
Defendants
: Civil Action
AFFIDAVIT PURSUANT TO PA. R.C.P. 2951(a)(2)(ii)
I, Barbara Sumple-Sullivan, Esquire, being duly sworn according to law, deposes and
states that she is authorized to make this Affidavit on behalf of Plaintiff; and that judgment is not
being entered by confession of judgment against a natural person in connection with a consumer
credit transaction,
I hereby certify that the facts set forth above are true and correct to the best of my
knowledge, information and belief, I understand that any false statements made herein are
subject to penalties of 18 Pa, C,S,A, ~4904 relating to unsworn falsification to authorities.
Date: January 9, 2001
Barbara Sumple-Sullivan, Esquire
Attorney for Plaintiff
549 Bridge Street
New Cumberland, P A 17070-1931
(717) 774-1445
Supreme Court J.D. No. 32317
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Barbara Sumple-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717) 774-1445
Counsel for Plaintiff
SEBASTIAN Q, Z. TRlSCARl,
Plaintiff
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYL VANIA
v,
: No, 6/-/57
: Civil Action
JOSEPH 0, KALWA YTIS and
RENEE E, KALWA YTIS,
Defendants
AFFIDAVIT THAT ACTION DOES NOT ARISE
OUT OF RETAIL INSTALLMENT CONTRACT
I, Barbara Sumple-Sullivan, Esquire, being duly sworn according to law, deposes and
states that she is authorized to make this Affidavit on behalf of Plaintiff; and that this is not an
action by a seller, holder or assignee arising out of a retail installment sale contract or account.
I hereby certify that the facts set forth above are true and correct to the best of my
knowledge, information and belief. I understand that any false statements made herein are
subject to penalties of 18 Pa, C,S.A. ~4904 relating to unsworn falsification to authorities,
Date: January 9, 2001
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Barbara Sumple-Sullivan, s
Attorney for Plaintiff
549 Bridge Street
New Cumberland, PA 17070-1931
(717) 774-1445
Supreme Court LD, No. 32317
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Barbara Swnple-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717) 774-1445
Counsel for Plaintiff
v,
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
: No. 01- /S7
SEBASTIAN G. Z. TRISCARI,
Plaintiff
JOSEPH O. KALWA YTIS and
RENEE E. KALWA YTIS,
Defendants
: Civil Action
AFFIDAVIT OF BUSINESS TRANSACTION
I, Barbara Sumple-Sullivan, Esquire, being duly sworn according to law, deposes and
states that she is authorized to make this Affidavit on behalf of Plaintiff; and that the transaction
upon which Judgment is being entered by Confession was a business and commercial
transaction,
I hereby certify that the facts set forth above are true and correct to the best of my
knowledge, information and belief, I understand that any false statements made herein are
subject to penalties of 18 Pa. C,S,A. ~4904 relating to unsworn falsification to authorities,
Date: January 9, 2001
Barbara Sumple-Sullivan, Esq ire
Attorney for Plaintiff
549 Bridge Street
New Cumberland, PA 17070-1931
(717) 774-1445
Supreme Court J.D. No. 32317
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Barbara Sump Ie-Sullivan, Esqnire
Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717) 774-1445
Counsel for Plaintiff
SEBASTIAN G. Z, TRISCARI,
Plaintiff
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
: No,
{j / - /S/
JOSEPH 0, KALWAYTIS and
RENEE E, KALWA YTIS,
Defendants
: Civil Action
AFFIDAVIT OF NON-MILITARY SERVICE
I, Barbara Sumple-Sullivan, Esquire, being duly sworn according to law, deposes and
states that she is an officer of Plaintiff, that she is authorized to make this Affidavit on behalf of
PlaintifI; and that none of the aforementioned Defendants are in the Military Services of the
United States, nor any State or Territory thereof or its allies, as defined in the Soldiers' and
Sailors' Civil Relief Act of 1940 and the amendments thereto.
I hereby certify that the facts set forth above are true and correct to the best of my
knowledge, information and belief. I understand that any false statements made herein are
subject to penalties of 18 Pa, C,S.A. ~4904 relating to unsworn falsification to authorities.
Barbara Sumple-Sullivan, Esquire
Attorney for Plaintiff
549 Bridge Street
New Cumberland, P A 17070-1931
(717) 774-1445
Supreme Court LD, No. 32317
Date: January 9, 2001
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Barbara Sump1e-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717) 774.1445
Counsel for Plaintiff
SEBASTIAN Q, Z, TRISCARI,
Plaintiff
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
v,
: No. 0/ - /.::>7
JOSEPH O. KALWAYTIS and
RENEE E, KALWA YTIS,
Defendants
: Civil Action
CERTIFICATION OF ADDRESSES
Barbara Sumple-Sullivan, Esquire, attorney for Sebastian Q, Z, Triscari, Plaintiff,
certifies that the present address of Plaintiff is:
Mr, Sebastian Q, Z. Triscari
9 Southwatch Lane
Mechanicsburg, PA 17055
and the last known address of the Defendants as follows:
Mr. Joseph 0, Kalwaytis
2473 Stutzmantown Road
Somerset, PA 15501
Mrs. Renee E, Kalwaytis
2473 Stutzmantown Road
Somerset, PA 15501
Dated: January 9, 2001
" B ara umple-Sullivan, Esquire
Attorney for Plaintiff
549 Bridge Street
New Cumberland, PA 17070-1931
(717) 774-1445
Supreme Court I.D. No, 32317
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Barbara Sumple-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumbetland, P A 17070
(717) 774-1445
Counsel for Plaintiff
DANA R. GLEASON,
Plaintiff
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYL V ANlA
v,
CIVIL ACTION - CUSTODY
LEE A. GLEASON,
Defendant
NO. 0/- IS(...
AFFIDAVIT OF SERVICE
I, Barbara Sump Ie-Sullivan, Esquire, do hereby certify that I served a copy ofthe
Custody Complaint in the above-captioned matter by United States Mail, Restricted Delivery,
Certified No, 7099 3220 0007 0903 6757, Return Receipt Requested, on the above-named
Defendant, Lee A. Gleason, on January 12, 2001, at Defendant's last known address: 1619
Wyndham Road, Camp Hill, P A 17011. The original receipt and return receipt card are
attached hereto as Exhibit "A",
I hereby certify that the facts set forth above are true and correct to the best of my
knowledge, information and belief. I understand that any false statements made herein are
subject to penalties of 18 Pa, C,S,A. 94904 relating to unsworn falsification to authorities.
Dated: January 15,2001
Barbara Sumple-Sullivan, Esquire
549 Bridge Street
New Cumberland, PA 17070-1931
(717)-774-1445
Supreme Court ID #32317
Attorney for Plaintiff
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DANA R. GLEASON
PLAINTIFF
V.
LEE A, GLEASON
DEFENDANT
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
01-156
CIVIL ACTION LAW
IN CUSTODY
ORDER OF COURT
AND NOW, this 12th day of January, 2001, upon consideration of the attached Complaint,
it is hereby directed that the parties and their respective counsel appear before Melissa P. Greevy, Esq. , the conciliator,
at 214 Senate Avenue, Suite 105, Camp Hill, PA 17011 on the 21st day of February ,2001, at 11:00 a.m.
for a Pre-Hearing Custody Conference, At such conference, an effort will be made to resolve the issues in dispute; or
if this cannot be accomplished, to define and narrow the issues to be heard by the court, and to enter into a temporary
order. All children age five or older may also be present at the conference, Failure to appear at the conference may
provide grounds for entry of a temporary or permanent order.
FOR THE COURT,
By: Isl
Melissa P. Greevy. ~s~
Custody ConciliatoY
The Court of Common Pleas of Cumberland County is required by law to comply with the Americans
with Disabilites Act of 1990, For information about accessible facilities and reasonable accommodations
available to disabled individuals having business before the court, please contact our office, All arrangements
must be made at least 72 hours prior to any hearing or business before the court. You must attend the
scheduled conference or hearing,
YOU SHOULD TAKE TillS PAPER TO YOUR ATTORNEY AT ONCE, IF YOU DO NOT
HAVE AN ATTORNEY 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, Pennsylvania 17013
Telephone (717) 249-3166
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Barbara Sumple-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, PA 17070
(717) 774-1445
Counsel for Plaintiff
DANA R. GLEASON,
Plaintiff
: IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
v,
CIVIL ACTION - CUSTODY
LEE A. GLEASON,
Defendant
: NO. t)/- l.5h iWJ
ORDER OF COURT
AND NOW, this day of ,2001, upon consideration of the
attached Complaint, it is hereby directed that the parties and their respective counsel appear before
, the conciliator, at on the
day of ,2001, at ~.M., for a Pre-Hearing Custody Conference, At such
conference, an effort will be made to resolve the issues in dispute; or if this cannot be accomplished,
to define and narrow the issues to be heard by the court, and to enter into a temporary order. All
children age five or older may also be present at the conference. Failure to appear at the conference
may provide grounds for entry of a temporary or permanent order,
FOR THE COURT,
By:
Custody Conciliator
The Court of Common Pleas of Cumberland County is required by law to comply with the
American with Disabilities Act of 1990. For information about accessible facilities and reasonable
accommodations available to disabled individuals having business before the court, please contact
our office. All arrangements must be made at least 72 hours prior to any hearing or business before
the court. You must attend the scheduled conference or hearing,
YOU SHOULD TAKE THIS PAPER TO YOUR ATTORNEY AT ONCE. IF YOU
DO NOT HAVE AN ATTORNEY 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, P A 17013
(717) 249-3166
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Barbara Sump Ie-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717) 774-1445
Counsel for Plaintiff
DANA R. GLEASON,
Plaintiff
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYL VANIA
v.
CIVIL ACTION - CUSTODY
LEE A. GLEASON,
Defendant
~ NO. tJI_IO't. ~ 'l~
CUSTODY COMPLAINT
1. The Plaintiff is Dana R. Gleason (hereinafter referred to as "Father"), who currently
resides at 1811 Creekview Court, New Cumberland, Cumberland County, Pennsylvania.
2, The Defendant is Lee A. Gleason (hereinafter referred to as "Mother"), who currently
resides at 1619 Wyndam Road, Camp Hill, Cumberland County, Pennsylvania.
3. Plaintiff seeks shared legal and primary physical custody of the parties' child,
Alexander Gleason (DOB 3/18/94),
4, The parties presently share custody of the child.
5, During the past five years the child has resided with the following persons at the
following addresses:
~""".".^ ,-,"' -., ",.,"~~~_~__"~ _,,_. __"e_," ,~_ ____._~,"I~I~_",__>"^ I ~. ___,"o~ A___
DATES
ADDRESSES
NAMFBOFPERSONS
IN HOUSEHOLD
Mother, Father, Child
1995 - 6/2000
1811 Creekview Court
New Cumberland, P A 17070
6/2000 - Present
1811 Creekview Court
New Cumberland, P A 17070
Father, Child
6, The Father ofthe child is Dana R. Gleason, currently residing at 1811 Creekview
Court, New Cumberland, Cumberland County, Pennsylvania. Father is presently married to Mother,
but they are separated. Mother filed a divorce action in the Court of Common Pleas of Cameron
County on September 15, 2000 to Docket No. 2000-5840,
7, The Mother of the child is Lee A. Gleason, currently residing at 1619 Wyndam Road,
Camp Hill, Cumberland County, Pennsylvania, Mother is married but separated from Father.
8, The relationship of the Plaintiff to that of the child is that of Father. The Plaintiff
currently resides with the following persons:
NAME
RELA TTONSIDP
Alexander Gleason
Son
9. The relationship of the Defendant to the child is Mother. The Defendant currently
resides with the following persons:
NAME
RELA TTONSHIP
Henry Grajalas
Boyfriend
Alexander Gleason
Son
2
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10. Plaintiff has not participated as a party or witness, or in another capacity, in other
litigation concerning the custody of the child in this or another court,
11. The Plaintiff has no information of a custody proceeding concerning the child
pending in any court of this Commonwealth.
12, Plaintiff does not know of a person not a party to the proceedings who has physical
custody of the children or claims to have custody or visitation rights with respect to the child.
13, The best interest and permanent welfare of the child will be served by granting the
relief requested because Plaintiff has been the primary source of support and care for the child while
they were married and he can provide a stable, loving environment. Plaintiff has been the child's
source of security, Plaintiffs schedule is flexible and provides him the opportunity to be available
for the child, Defendant is impulsive and often acts before weighing the consequences and the
impact on the parties' child. Defendant's home is not stable. Plaintiff has questions concerning the
Defendant's live in companion. The child has expressed a desire to reside with Father on a regular
basis, Father would foster appropriate contact with Mother, Her live in companion has impeded
appropriate contact between father and child, The situation is volatile.
14. Each parent whose parental rights to the child have not been terminated and the
person who has physical custody of the child have been named as parties to this action.
3
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WHEREFORE, the Plaintiff requests the Court to grant shared legal and primary physical
custody of the child to the Plaintiff.
DATE: January L 2001
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Barbara Sumple-Sullivan, Esquire
549 Bridge Street
New Cumberland, PA 17070-1931
(717) 774-1445
Supreme Court I.D. 32317
Attorney for Plaintiff
4
Barbara Sumple-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717) 774-1445
Counsel for Plaintiff
DANA R. GLEASON,
Plaintiff
: IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYL VANIA
v.
CNIL ACTION - CUSTODY
LEE A. GLEASON,
Defendant
: NO,
VERIFICATION
I, DANA R. GLEASON, hereby certify that the facts set forth in the foregoing CUSTODY
COMPLAINT are true and correct to the best of my knowledge, information and belief. I
understand that any false statements made herein are subject to penalties of 18 Pa, C.S.A. Section
4904 relating to unsworn falsification to authorities,
~GLErS~ 3
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Barbara Sumple-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717) 774-1445
Counsel for Plaintiff
SEBASTIAN G, Z, TRISCARI,
Plaintiff
v,
JOSEPH 0, KALWA YTIS and
RENEE E, KALWA YTIS,
Defendant
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYL VANIA
CIVIL ACTION
: NO, 01-157
AFFIDAVIT OF SERVICE
I, Laura J. Hughes-Doyle, being duly sworn according to law, deposes and states that I do
hereby certifY that I served a copy ofthe following documents:
I, Notice Under Rule 2958,1 of Judgment and Execution;
2, Complaint for Confession of Judgment;
3. Confession of Judgment;
4. Praecipe for Assessment of Damages;
5, Affidavit Pursuant to PA. R,C,P, 2951(a)(2)(ii);
6, Affidavit of Non-Retail Transaction;
7, Affidavit of Business Transaction;
8, Affidavit of Non-Military Service; and
9, Certification of Addresses,
in the above-captioned matter by United States Mail, Restricted Delivery, Certified No. 7099
322000070903 67 6740, Return Receipt Requested, on the above-named Defendant, Renee E.
Kalwaytis, on January 11, 2001, at Defendant's last known address: 2473 Stutzmantown
Road, Somerset, P A 15501. The original receipt and return receipt card is attached hereto as
Exhibit "A",
I hereby certify that the facts set forth above are true and correct to the best of my
knowledge, information and belief. I understand that any false statements made herein are
subject to penalties of 18 Pa, C,S,A, 94904 relating to unsworn falsification to authorities.
Dated: January 30, 2001
~J~
Laura J. H es-Do
Sworn to and subs ribed
before day
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D. Is d ivary address different from e 1?
If YES, enter delivery address be ow:
Mrs. Renee E. Kahmytis
2473 stutzrr,a,'"ltown Road
Somerset, PA 15501
3. Service Type
S Certified Mail 0 Express Mail
o Registered 0 Retum Receipt for Merchandise
o Insured Mail 0 C.O.D.
4. Restricted Delivery? (Extro Fee) ::r.. Yes
~,
2 Arhcle Number (Copy from service "b~O .::, IJq 0. ~~ .3.... ~ ~6{)o ']"60. o3-"Z, rn 0 ~
. .. . I. >/ aao . ~ / .!1!;
PS Form 381'1 ,-July 1999 - "rldmestlc Return Receip1 - . - <., 1025SS.00-M-OS52
1
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EXHIBIT
"l~ II
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Barbara Sump Ie-Sullivan, Esquire
Supreme Court #32317
549 Bridge Street
New Cumberland, P A 17070
(717) 774-1445
Counsel for Plaintiff
SEBASTIAN Q, Z, TRISCARI,
Plaintiff
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYL VANIA
CIVIL ACTION
v.
JOSEPH 0, KALWA YTIS and
RENEE E. KALWA YTIS,
Defendant
: NO, 01-157
AFFIDAVIT OF SERVICE
I, Laura J, Hughes-Doyle, being duly sworn according to law, deposes and states that I do
hereby certif'y that I served a copy ofthe following documents:
I, Notice Under Rule 2958,1 of Judgment and Execution;
2, Complaint for Confession of Judgment;
3, Confession of Judgment;
4, Praecipe for Assessment of Damages;
5, Affidavit Pursuant to PA. R.C,P, 295 I (a)(2)(ii);
6, Affidavit of Non-Retail Transaction;
7, Affidavit of Business Transaction;
8, Affidavit of Non-Military Service; and
9, Certification of Addresses.
in the above-captioned matter by United States Mail, Restricted Delivery, Certified No, 7099
3220 0007 0903 67 6733, Return Receipt Requested, on the above-named Defendant, Joseph O.
Kalwaytis and same was received by Renee E. Kalwaytis, his wife and agent, on January
11,2001, at Defendant's last known address: 2473 Stutzmantown Road, Somerset, PA 15501.
The original receipt and return receipt card is attached hereto as Exhibit "A",
I hereby certify that the facts set forth above are true and correct to the best of my
knowledge, information and belief. I understand that any false statements made herein are
subject to penalties of 18 Pa, C,S,A. 94904 relating to unsworn falsification to authorities.
Dated: January 30, 2001
d sub~rribed
t '. fYn day
, 2
.
NOTARY PUBLIC
My Commission Expire
(SEAL)
NaIIIllIII SlilII Pub\lC
Bmbam~e=~~
QcimmIe8lon ElI!JII8e Illl r... t6.
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IT1
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U.S. Postal Service
CERTIFIED MAIL RECEIPT
(Domestic Mail Only; No Insura;"ce C ven:jge Provided)
I I1r ~ fliSOKalwaytis I
Postage $ $1.39
..-..~v 0070
CertIfied Fee 05
Return Receipt Fee ..,.......,." """,,,mk
~d~mentReq~~ Here
Restr1cted Delivery Fee .~.w
(Endorsement Required) 01109/2001
T~I Postage & Fees $ ...IY
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CJ
CJ
CJ
CJ
ru
OJ Name (P ease Print Clearly) (To be completed by maIler.
rn M.li7.~~J?tgt.?tmnmYlIL.Eo.ad.___._________________.._._.___._.
[]"'" StI'88t, Apt. No.; or PO 80x No.
~ ..~_Q!l:\g!;:!?E?t.,_.l'A._J.55.QL_._..._.__.__._.__.._..__....
E"""- CIty, State, Z/P+ 4
PS Form 3800, Jury 1999 See
Complete items 1, 2, and 3. Also complete
item 4 if Restricted Delivery is desired.
. Print your name and address. on the reverse
so that we can return the card to you.
. Attach this card to the back of the mailpiece,
or on the front if space permits.
1. Article Addressed to:
s delivery address different fro tem 1?
If YES, enter delivery address below:
Mr. Joseph O. K~lwaytis
2473 stutzmantmm Road
So::nerset, PA 15501
r
3. Service Type
_Certified Mail
o Registered
D Insured Mail
D Express Mail
o Return Receipt for Merchandise
o 0,0.0.
4. Restricted Delivery? (Extra Fee)
q. Yes
,
2. Article Number (Copy from service label)
I!.PJ<1 3~aD 0007 (JCJo3i#733i
PS Form 3811. July 1999
Domestic Return Receipt
10.2S9S-00-M-0952
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EXHIBIT ".A"