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HomeMy WebLinkAbout01-0448 FX - ~~~ .ifi William Porter Plaintiff Civil Action - Law No. 01 448 v Michael Weishaupt Defendant PRAECIPE TO SATISFY JUDGMENT To the Prothonotary: Satisfy the judgment in the above-captioned matter. cou(td! Attorney for Plaintiff FILED-OffiCE OF THE PROmONOTARY 2005 i'liW II PI; 2: 42 CiJ^\11F,['::i'-": .~'~ >,: ': r -',()U!>- rrv , I..~',-, l~. " -d" ...-''"'" ,"ll I PEt\il\18~'L\j;i\NIi\ ~ ~c::O lii ,;~" ,-~__, I ^, .. -,_ " '., .___" . ~ .~-"-~,-"~",,,~~,. ~" ""~~, ~.'''~. k, ,-. .,,';;'" - ,C William Porter Plaintiff Civil Action - Law No. 01- ri./J-/j> CZ()~l y~ v Michael Weishaupt Defendant CONFESSION OF JUDGMENT (RULE 2962) Pursuant to the authority contained in the warrant of attorney, a true copy of which is attached to the complaint filed in this action, I appear for the defendant and confess judgment in favor of the plaintiff and against the defendant as follows: Principal Interest through 8/31/00 Attorney fees 20% Interest at 10% $3,756.00 182.85 TOTAL $3,938.85 *" I/n~( (!~tfy/rL Courtney J. Graham Attorney for Defendant llii - ~' ,~....... ,', - 'ili!iII- ~- ,0 ~ ,"- ", _. >---,'_ ~_~". '",0, '-'=_'<",_ _ -J,._, ~ , - "' 0 c:> 0 c: - " s: '- i'-~~if9 "Q~ :~ ~- Z >> rv ;;19 :zc Q;:;: w -~::"t() !<C! "" 9~ ~o :Jt -0 9 0'" :>>c: ";:l ~ t="" :0 -I '< William Porter Plnintiff Civil Action - Law No. 0 {- IJ~ C~'o~c'7'~ v Michael Weishaupt Defendant COMPLAINT FOR CONFESSION OF JUDGMENT FOR MONEY PURSUANT TO P A. R.C.P. 2952 1. Plaintiff is William Porter, a sui juris adult who resides at 3840 Lisbon Drive, Chambersburg, P A 17201 and has a mailing address of 429 Phoenix Drive, Chambersburg, P A 17201. 2. Defendant is Michael Weishaupt, a sui juris adult who resides at and has a mailing address of 221 West Martin Avenue, Shippensburg, P A 17257, in Cumberland County. 3. Judgment is not being entered by confession against a natural person in connection with a consumer loan transaction with respect to any of the following instruments. 4. Judgment has not been entered on the following instruments in any jurisdiction. /<H ,;,__,."~,, 5. None of the following instruments have been assigned. 6. M&M Contractor's, Inc. (hereinafter "M&M")executed a promissory note (the "Note ") in favor of plaintiff, a true and correct copy of which is attached hereto as Exhibit 1 and made a part hereof by reference thereto. 7. Defendant executed a guaranty and suretyship agreement under which he guaranteed payment of the Note and which contained a confession of judgment clause in Paragraph 16. A copy of such agreement is attached hereto as Exhibit 2 and made a part hereof by reference thereto. 8. M&M is in default under the Note. 9. M&M owes the following sums under Note 1: Principal Interest through 8/30/00 Interest at 15% per annum together with an attorney's collection fee of twenty (20%) per cent. $3,756.00 182.85 WHEREFORE, the plaintiff demands judgment against the defendant in the amount of $3,938.85, together with twenty (20%) per cent attorneys fees, interest at 15% per annum until collected, and costs of suit. &:r:,hL Courmey J. Graham Attorney for Plaintiff I verify that the statements made in this pleading are true and correct. I understand that false statements herein are made subject to the penalties of perjury contained in 18 Pa. c.s. 94904 relating to unsworn falsification to authorities. Dated: /f(p~1 &0= ~1-. Court y J. Graham #23685 223 Lincoln Way East Chambersburg, Pa. 17201 Attorney for Defendant -'"', " ,,,,-""- 'm!ilujjiilli!lU'1,~ PROMISSORY NOTE -;)(:;11/U,/,.Y I~ ~OOQ Dated: De'=.L':1 . 1999 Chambersburg, Pennsylvania FOR VALUE RECEIVED, the undersigned promises to pay to the order of William Porter, c.P.A., of 429 Phoenix Drive, Chambersburg, P A 17201, the sum of FOUR lHOUSAND ONE HUNDRED AND SIX ($4,106.00) DOLLARS, without interest, as follows: the sum of $75.00 on January 1, February 1 and March 1, 2000; the sum of $200.00 on April 1, May 1, June 1 and July 1, 2000; and the entire remaining principal balance on or before August 1, 2000. In the event of default, the undersigned shall pay interest on the unpaid principal balance at the rate of fifteen (15%) percent per annum from and after the date of default until paid. $4,106.00 The undersigned hereby authorizes any attorney or Prothonotary of any Court of record in Pennsylvania, or elsewhere, to confess judgment at any time after the execution of this note against the undersigned for the above amount with costs of suit, release or errors, and with ten (10%) percent additional for collection fees; and the undersigned hereby waives rights of inquisition, condemnation and appeal, and stay of execution, and further waives the benefit of any exemption laws. To induce any person or persons to take a transfer of this note the undersigned certifies that it has no defense to said note and debt thereby secured and waives all right to make defense thereto. The undersigned hereby certifies the following: 1. That the loan for which this note is given is not a consumer loan; 2. That it was orally explained and fully understood by the undersigned that the execution of this promissory note containing a confession of judgment clause waives the right to have prejudgment notice and hearing, the right to have the burden of proving default on the creditor, and the right to avoid the expenses attendant upon opening or striking a confessed judgment and that the undersigned voluntarily executed this promissory note with a confession of judgment clause knowing that the aforesaid rights are hereby waived and that an execution may be issued on a judgment entered on said confession against the property of the undersigned. The undersigned further certifies that it was advised and understood that it could have an attorney examine this promissory note and any other documents in connection with it prior to signing. Attest: M &: M Contractor's, Inc. Byr(\~~QJW~~ Presiden (corporate seal) (see reverse side for acknowledgment) Exhibit 1 COJ\olMONWEALTH OF PENNSYLVANIA COUNTY OF FrtaJ'fn.JJ...~berlO"C/ ss: On this /4 day of Jan. ~" .1 "'"~ ~' ~'~-<;':, Weishaupt, who ackuowledged himself to be lhe Presideut of M&M Coutractor's, Inc., a corporation, and tbat he as such President. being authorized to do so, executed the foregoing instrument for the purposes therein contained by signing the name of the corporation by himself as such President. In Witness Whereof, I hereunto set my hand and official seal. ~oro . ffltl, before me a notary puhlic personally appeared Michael ~ah UJnU\M_ Notary Public NOTARIAL SEAL DEBORAH WARREN, Notary public \ Shippensburg, CumberlaNnO~ C:u2~ My Commlsston EXpires " , .~ ." . .I~= ~~" " "'\ GUARANTY AND SURETYSHIP AGREEMENT 1. To induce William Porter, c.P.A. ("Obligee") to transact business and to make credit accommodations with M&M Contractor's, Inc. ("Debtor"), Undersigned, as defined below, does hereby guarantee, absolutely and unconditionally, and does hereby become surety for the full and timely payment of the principal of, and interest on, all obligations, debts, dues, instruments, liabilities, advances, judgments, damages, losses, claims, contracts, and chooses in action, of whatever nature and however arising, past, present, or future, and any and all extensions and renewals thereof in whole or in part, whether direct or indirect, absolute or contingent, voluntary or involuntary, now due or to become due and whether owed to Obligee from Debtor as drawer, maker, endorser, assignor, guarantor, surety, or otherwise whatsoever ("Obligations"). Undersigned will reimburse Obligee or any subsequent holder for all expenses incurred, and not reimbursed by Debtor, in collection of any Obligations. If this Guaranty and Suretyship Agreement is referred for collection to an attorney, Undersigned will pay an , attorney's fee equal to the lesser of (a) 20% of the amount due or $500, whichever is greater, or (b) the maximum amount permitted by law, and costs of legal proceedings. The Undersigned's Obligations hereunder shall be payable to the Obligee at 429 Phoenix Drive, Chambersburg, P A 17201. 2. This is a guaranty of payment and not merely of collection. In the event of any default by Debtor in payment or otherwise on any Obligation, Undersigned will pay all or any portion of Obligations due or thereafter becoming due, whether by acceleration or otherwise, without defalcation or offset of any kind, without Obligee first being required to make demand upon Debtor or pursue any of its rights against Debtor, or against any other person, including other guarantors; and without being required to liquidate or realize on any collateral security. In any right of action accruing to Obligee, Obligee may elect to proceed against (a) Undersigned together with Debtor; (b) Undersigned and Debtor individually; or (c) Undersigned only without having first commenced any action against Debtor. 3. Undersigned hereby grants to Obligee a security interest in, lien upon, and right of setoff against, all deposit accounts, credits, securities, moneys or other personal property of Undersigned which may at any time be in the possession of, delivered to or owned by Obligee, including any proceeds or returned or unearned premiums of insurance, and the proceeds of all the foregoing property. 4. Obligee, without notice to Undersigned, may deal with Obligations and any collateral security therefor in such manner as Obligee may deem advisable and may renew or extend Obligations or any part thereof; may accept partial payment, or settle, release, or compromise the same; may demand additional collateral security for Obligations, and substitute or release Exhibit 2 - ~'<~=- - ".~'~'M-,-, the same; and may compromise or settle with or release and discharge from liability any of Undersigned or any other guarantor of Obligations, or any other person liable to Bank for all or part of the Obligations, all without impairing the liability of Undersigned hereunder. 5. Undersigned hereby unconditionally waives: (a) notice of acceptance of the Guaranty and Suretyship Agreement by Obligee and any notice of the incurring by Debtor of Obligations; (b) presentment for payment, notice of nonpayment, demand, protest, notice of protest and notice of dishonor or defi!ult to any party including Undersigned; (c) all other notices to which Undersigned may be entitled but which may legally waived; (d) demand for payment as a condition of liability under'this Guaranty and Suretyship Agreement; (e) any disability of Debtor or defense available to Debtor, including absence or cessation of Debtor's liability for any reason whatsoever; (f) any defense or circumstance which might otherwise constitute a legal or equitable discharge of a guarantor or surety; (g) all rights under any state or federal statute dealing with or affecting the rights of creditors; and (h) until Obligations are paid in full, any right to subrogation or realization on any of Debtor's property, including participation in the marshaling of Debtor's assets. 6. Undersigned hereby unconditionally waives all rights of subrogation, contribution and indemnification, whether direct or contingent, which the Undersigned might have by contract or by operation of law against Debtor, including but not limited to the right of subrogation for any payments made by Debtor to Obligee. Undersigned specifically waives any claim which the Undersigned might have with respect to payments made by Debtor to Obligee which are determined to be preferences with the meaning of the bankruptcy laws of the United States. 7. Until Obligations are paid in full, Undersigned hereby unconditionally subordinates to Obligations all present and future debts, liabilities, or obligations of Debtor to Undersigned, and all amounts due under such debts, liabilities, or obligations shall be collected and paid over to Obligee on account of Obligations. Undersigned, at Obligee's request, shall execute a subordination agreement in favor of Obligee to further evidence and support the purpose of this Paragraph. 8. Undersigned warrants to Obligee: (a) no other agreement, representation or special condition exists between Undersigned and Obligee regarding the liability of Undersigned hereunder; nor does any understanding exist between Undersigned an Obligee that the Obligations of Undersigned hereunder are or will be other than as set out herein; and (b) as of the date hereof Undersigned has no defense whatsoever to any action or proceeding that may be brought to enforce this Guaranty and Suretyship Agreement. 9. Undersigned will provide financial information to Obligee upon request, including balance sheets and income statements, in form and context satisfactory to Obligee. .., ,-~' -'rt;-t: 10. No failure or delay on the part of the Obligee in exercising any right, power or privilege hereunder shall operate .as a waiver thereof; nor shall any single or partial exercise of any right, power or privilege hereunder preclude any other or further exercise thereof, or the exercise of any other right, power or privilege. Failure by Obligee to insist upon strict performance hereof shall not constitute a relinquishment of its right to demand strict performance at another time. Receipt by Obligee of any payment by any person on Obligations, with knowledge of default on any Obligations or a breach of the Guaranty and Suretyship Agreement, or both shall not be construed as a waiver of the default or breach. 11. THIS GUARANTY AND SURETYSHIP AGREEMENT IS A CONTINUING GUARANTY ANI) SHALL CONTINUE IN FORCE UNTIL RECEIPT BY BANK OF WRITTEN NOTICE OF REVOCATION BY UNDERSIGNED OR RECEIPT OF NOTICE OF UNDERSIGNED'S DEATH; AND IN EITHER OF SUCH EVENTS THIS GUARANTY AND SURETYSHIP AGREEMENT SHALL CONTINUE IN EFFECT NEVERTHELESS UNTIL ALL EXISTING OBLIGATIONS OF DEBTOR TO OBLIGEE IS PAID: IT BEING CONTEMPLATED THAT DEBTOR MAY CREATE OR INCUR INDEBTEDNESS REPAY AND SUBSEQUENTLY CREATE OR INCUR INDEBTEDNESS WITHOUT NOTICE TO UNDERSIGNED; AND UNDERSIGNED, BY PERMITIING THIS GUARANTY AND SURETYSHIP AGREEMENT TO REMAIN IN EFFECT, SHALL BE BOUND. 12. This Guaranty and Suretyship Agreement is freely assignable and transferable by Obligee; however, the duties and obligations of Undersigned may not be delegated or transferred by Undersigned without the written consent of Obligee. The rights and privileges of Bank shall inure to the benefit of its successors and assigns and the duties and obligations of Undersigned shall bind Undersigned's heirs, personal representative, successors and assigns. 13. If any provision hereof shall for any reason beheld invalid or unenforceable, no other provision shall be affected thereby, and this Guaranty and Suretyship Agreement shall be construed as if the invalid or unenforceable provision had never been a part of it. 14. As used herein, "Undersigned" refers individually and collectively to all signers of this Guaranty and Suretyship Agreement, including in the case of any partnership all general partners of such partnership individually and collectively, whether or not such partners sign below. Undersigned shall each be jointly and severally bound by the terms hereof, and each general partner of any partnership executing this Guaranty and Suretyship Agreement shall be bound hereby both in such general partner's individual and partnership capacities. 15. This Guaranty and Suretyship Agreement shall in all respects be governed by the laws of the state of Pennsylvania. 16. The Undersigned hereby empowers the prothonotary or any attorney of court of record to appear for the Undersigned and to confess judgment as often as necessary against the W~ ~"~.. , '" > ' - "~""1l1I~' . . Undersigned in favor of the holder hereof, as of any term, for the above described Obligations plus interest due, together with the costs of suit and attorney's commission equal to the lesser of (a) 20% of all such Obligations or $500 whichever is greater, or (b) the maximum amount permitted by law, with release of all errors. The Undersigned waives all laws exempting real or personal property from execution. 17. The Undersigned hereby certifies the following: a. That this is not a consumer transaction; b. That it was orally explained and fully understood by the Undersigned that the execution of this Guaranty containing a confession of judgment clause waives the right to have prejudgment notice and hearing, the right to have the burden of proving default on the creditor, and the right to avoid the expenses attendant upon opening or striking a confessed judgment and that the Undersigned voluntarily executed this Guaranty with a confession of judgment clause knowing that the aforesaid rights are hereby waived and that an execution may be issued on a judgment entered on said confession against the property of the undersigned. c.. That he was advised and understood that he could have an attorney examine this Guaranty and any other documents in connection with it prior to signing. :JtX\\)<U"'1 difDO Witness the due execution hereof this ft day of DUlJ.ilxl, :1:999. Witness: ~h(;~fA-l lX)fl 1\ 1'\0 ^ .J STATE OF PENNSYLVANIA: COUNTY OF FRMIlG.IN: Qunb€.rl<IlVi On this 1'-\ day of ~':tCGt ~~efore me. a notary public. personally appeared Micbael Weisbaupt, known to me or satisfactorily proven to be tbe person wbose name is subscribed to the witbin instrument. and acknowledged that he executed the same for the purposes therein contained. \., (' In Witness Whereof, I hereunto set my band and official seal. .J.)Qbdl f.l ~ _ ~ hJ\ J\ OJ\ , Notary Public 55: NOTARIAL SEAL DEBORAH WARREN, Notary Public ShippenSburo, Cumbe~and County My Commission ExpIres Nov. a, 2001 '" ".",-,---, -"_-~_I~.o"'_"'__<i.'~_~_' -"'.' "-"'-"""-"~~""Jt,' c - '~"'-' ~,- -,-~,-,>--,~ '_hun' ,..",_,-, '-',"__;"'<:<;'_' . William Porter Plaintiff Civil Action - Law 01 - .trAIl' Go~l ~ v Michael Weishaupt Defendant AFFIDAVIT PURSUANT TO RULE 2951 (2) (i) William Porter, plaintiff in the above action, says that the judgment entered hereon is not being entered by confession against a natural person in connection with a consumer credit transaction. I verify that the statements made in this pleading are true and correct. I understand that false statements herein are made subject to the penalties of perjury contained in 18 Pa. e.S. Section 4904 relating to unsworn falsification to authorities. Dated: / /lit (PI # , ~~i. ?//. ~ William Porter . HLED-(HiCE O~ -" ,~ ,'~,""; 'O'J01ARv t' ; r:c :-"i<'J i r:-., I' 'J 01 JMJ23 AI'IIO:1.7 CUM8ERLAI\lD COUNTY PENNSYLVANIA I J1 . -.- ~- - ~,I William Porter Plaintiff Civil Action - Law v Michael Weishaupt Defendant No. 61- "'I^tl C;Ot'C~~ CERTIFICATE OF RESIDENCE - RULE 2951 (2) (Hi) William Porter, plaintiff in the above action, sets forth as of the date the judgment was entered in the instant action: Name and address of the plaintiff: William Porter 3840 Lisbon Drive Chambersburg, P A 17201 Name and address of defendant(s): Michael Weishaupt 221 West Martin Avenue Shippensburg, P A 17257 I verify that the statements made in this pleading are true and correct. I understand that false statements herein are made subject to the penalties of perjury contained in 18 Pa. e.S. Section 4904 relating to unsworn falsification to authorities. Dated: Ijlr;ftJ( - V~,'~ William Porter ~;;:: () C) (") C .1 $: '- -o(.[J >>- ~m ~ :n N 2t;: C (f) ..-_-~ e,.o, , .. ~6 :r..,.. -~l ~.~ ;E:o :x --~ (" 20 Cl (~)i";' :i>C ;r! ~ C- :D (Xl -< \ . '~ , ~ L.'" - ~ < ,-_' l _ , -~f ~ IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA William Porter, Plaintiff v No. CIVIL 01- '1^i> Cto,( ~~ Michael Weishaupt, Defendant PRAECIPE FOR WRIT OF EXECUTION UPON A CONFESSED JUDGMENT To: Prothonotary, Cumberland County - ISSUE WRIT OF EXECUTION UPON A JUDGMENT ENTERED BY CONFESSION IN THE ABOVE MATTER, (1) directed to the Sheriff of Cumberland County, Pennsylvania; (2) against Michael Weishaupt, defendant, of 221 West Martin Avenue, Shippensburg, Pennsylvania, Cumberland County (3) n/a (4) and index this writ against: (a) Michael Weishaupt, defendant; The Sheriff is directed to levy upon all personal property of the defendant. and to sell his interest therein. CERTIFICATION I certify that: (a) This praecipe is based upon a judgment entered by confession, and (b) Notice will be served with the writ of execution pursuant to Rule 2958.3. (c) Defendant has waived all exemptions. Total amount due: $3,p:Ja.~ 1']1 9J?J>..s -I-- plus costs, attorney fee of 20% and post judgment interest at 15% per annum until paid Dated: Jahuary19,2001 C~6-~ Courtney j. G~ ID # 23685 Graham & Graham, Attorney for Plaintiff 223 LWE, Chambersburg, PA 17201 717-264-1100 ~~~ill,;1;i;l&~',JM",Mj"i/!i"~df.lll,l;w~jlll~.t.i;;'~~'~fr,;~"""a~...",,;;,;'",'",,',.;.-1i~I;j;(;,,:lj:i#"'~~ilOM~' ,,,-, ~ ~-~~'liii~Jllllllllilill""""'~ 1iIlIMll;f1Q1lIlME!i!J:l.ifi;IfM;t~'~~ -- NO, IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYL VANIA PRAECIPE WRIT OF EXECUTION (MONEY JUDGMENT) Amount due: $3,938.80 Interest from 9/1/00 at 15% per annum Attorney Fee: 20% Costs: $ a ff ~!/t;;lamtiff ~ ><- _" ... ,~w,. ~" _ "H , "" _ ~. , ,_<~,__< _ ~. _M.'. , - ~ - csc)-/ i C ~ """ - .,." &: c ~- -d ~B ..... ~ ~ ~- ~ I I i l I ~, .~ 'I" ~ ,.~~"',, ""~~ _,_,w_~,-_,.~ -, ,,"~~- ,-~,~,- ~ """;-."'<-0"""''''''<;'b.'~ - M . William Porter Plaintiff Civil Action - Law v Michael Weishaupt Defendant Notice Under Rule 2958.3 of Judgment and Execution Thereon To: Michael Weishaupt Notice of Defendant's Rights A judgment in the amount of $3,938.85, plus attorney fees and interest, 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 court has issued a writ of execution which directs the sheriff to take your money or other property owned by you to pay the judgment. If your money or property has been taken, you have the right to get the money or property back if you did not voluntarily, intelligently and knowingly give up your constitutional right to notice and hearing prior to the entry of the judgment or if you have defenses or other valid objections to the judgment. You have a right to prompt court hearing if you claim that you did not voluntarily, intelligently and knowingly give up your rights to notice and hearing prior to the entry of judgment. If you wish to exercise this right, you must immediatelyfill out and sign the petition to strike the judgment which accompanies the writ of execution and deliver it to the Sheriff of Franklin County at the Franklin County Courthouse, Memorial Square, Chambersburg, Pennsylvania. IT IS IMPORTANT THAT YOU ACT PROMPTLY. IT WILL BE TOO LATE TO REGAIN YOUR PROPERTY IF YOU W AIr UNTIL AFTER THE PROPERTY HAS BEEN SOLD BY THE SHERIFF OR TURNED OVER TO THE PLAINTIFF. YOU MUST FILE A PETITION SEEKING RELIEF FROM THE JUDGMENT AND RESENT IT TO A JUDGE WITHIN THIRTY (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 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. Pennsylvania Bar Association Legal Reference Service Telephone: 1-800-692-7375 (P A om Y) or 717-238-6715 5fJll"" - I--~ _~Lo~" , I'-_O_'M y-,;, ~ ~, - IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY William Porter, Plaintiff v No. Civil Michael Weishaupt, Defendant CERTIFICATE OF RESIDENCE I, Courtney J. Graham, hereby certify that the precise residence of Plaintiff is 3840 Lisbon Drive, Chambersburg, Pennsylvania 17201, and that the last known address of Defendant is 221 West Martin Avenue, Shippensburg, Pennsylvania. Date: January 19, 2001 ~r~L Courtney . Graham' ID # 23685 Attorney for Plaintiff ,"1 ~.....~-. ~,~~ , ~ . '" , -" I =l " . IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYL VANIA William Porter, Plaintiff v No. CIVIL Michael Weishaupt, Defendant PETITION TO STRIKE JUDGMENT REQUEST FOR PRMPT HEARING I hereby certify that I did not voluntarily; intelligently and knowingly give up my right to notice and hearing prior to the entry of judgment. I petition the court to strike the judgment on this ground and request a prompt hearing on this issue. I verify that the statements made in tl)is Request for Hearing are true and correct. I understand that false statements herein are made subject to the penalties of perjury contained in 18 Pa. C.S. Section 4904 relating..to unsworn falsification to authorities. Notice of hearing should be given to me at Street Address City, State Telephone Number Dated: Defendant . . -~'" . i I I I I ~ I I I 1i m ili i . ~ 2 ~ . ,~ , . 'it ~ I ,I I " ~ ~ 11 , , r~J' ~"-[I -.... ~C' - rli..t~" ~1,)i-"j'jCE OF pnijTp(]I'IO' T^",( , j ,,",' 1 , ~ \... i' j I'\rl 01 JAN 23 AM 10: 1t8 CUM8~HLNjD COUN1Y PENNSYLVANIA !/ IS'. Db ~c.L ~ 1"1 .S'c> - Com 1& .}_ ~..rCi - I( I( ~ 4J -<y 6 c - ,. - , ( ~ /. ()O c?o ~. S'c>- 1..1.... c..t....../I- 9 ((p.J I:J...-.JI. IO(",(",~v -i4 f:>8L f'Lc-~LL Lv(</{ 4W.y ~~~ '$ cs!f?cL -$ - . L~ -'-j -'" -g...Iil.~" WRIT OF EXECUTION and/or ATTACHMENT ~ COMMONWEALTH OF PENNSYLVANIA) ~COUNTY OF CUMBERLAND) NO. 01-448 CIVIL TERM CIVIL ACTION - LAW TO THE SHERIFF OF Cumberland COUNTY: To satisfy the debt, interest and costs due William Porter PLAINTIFF(S) from Michael Weishaupt, 221 West Martin Avenue. Shipp"nf"hllrg. PA 177')7 DEFENDANT(S) (1) You are directed to levy upon the, property of the defendant(s) and to sell ,,11 p<>r5'<nn"l prnpprt-y (2) You are also directed to attach the property of the defendant(s) not levied upon in the possession of GARNISHEE(S) as follows: and to notify the giirnishee(s) that: (a) an attachment has been issued: (b) the garnishee(s) is/are enjoined from paying any debt to or for the account of the defendant(s) and from delivering any property of the defendant(s) or otherwise disposing thereof; (3) If property ofthe defendant(s) notlevied upon an subjectto attachment is found inthe possession of anyone other than a named garnishee, you are directed to notny him/herthat he/she has been added as a garnishee and is enjoined as above stated, Amount Due ~~3938.85 post judgment at 15% per annum Interest "I'ltil pilia Atty's Comm % Atty Paid $32.00 Plainmt Paid L.L. Due Prothy Other Costs $ <;(J $1.00 ~~~nrI'ley fee of ?O~ Date: January 23 , 2001 Prothonotary, Civil Division __by: -40~ p 2. 7?(cJ//)~-..I. J Deputy REQUESTING PARTY: Name Courtney J. Graham, Esq. Address: ??, T.lN"R Chambersburq, PA 17201 Attorney for: Plaintiff Telephone: 717-264-1100 Supreme Court 10 No. 23685 -r~h';7(~;@~~t{j'; iiIii"' '"""*"~~ lImi~~~~"~!!lM"lltJ..Ii:lIti!1lIiM ",,:...,-- '" ,~- -, Dj ~ R. Thomas Kline, Sheriff, who being dnly sworn according to law, states this Writ is returned ABANDONED, no action taken in six months. 4 . Sheriff s Costs: Docketing Poundage Advertising Law Library Prothonotary Mileage Misc. Surcharge Levy Post Pone Sale Garnishee Advance Costs: Sheriff s Costs: 150.00 73.97 Ib.03 18.00 1. 45 .50 1.00 13.02 Refunded to Atty on 7/15/02 20.00 20.00 73.97 ~ @ c:::::l l'::~ Sworn and Subscribed to before me ~ S <;) . .t:. ..c. So Answers; "Q ~~l~~ R. Thomas Kline, Sheriff ' B~J Qt'(;l~~4I this b~daYOf~ 2002 A.D. QJ"" () 7u,;d,. _ A ~< , - '-7' pr onotary iB\%tl~V,1.,:,&;_L",=, , " _ t- o <!l ,.,. 0:'"11 :z: c'"n rn ....... xC; ::z:: (") ..r.- <Dm '", ZT;.>- ~-:;o (I):'::: ,-""1'1 l'.) "'..... -<~"- :;:: .r I(i N -::,~m .oe:::" co 0", I ~ ~% );>0 f1' ::s:: -m ;;2:' z"" . -f- > = """'''''' ... ~ ,:s1> UL 3'1071- ~ I~SOfY - . ..' ~~ . ,. ~~~ "~~'~--'". "' .. , m William Porter Plaintiff Civil Action - Law No. 01 448 v Michael Weishaupt Defendant PRAECIPE TO SATISFY JUDGMENT To the Prothonotary: Satisfy the judgment in the above-captioned rnatter. <it/; /- Courtne J. Graham Attorney for Plaintiff 1--)- C:";' <.,.:,) ~-~;'1 \...~, -Yl .'.', .'J (,' ',-,< /..-------_... ...-...--