HomeMy WebLinkAbout01-1226 FX
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J. FRANK CHAMBERS, JR.
Plaintiff,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY PENNSYLVANIA
v.
NO. 01- /J:J..b
CiUll y~
LYNN K. CHAMBERS and
MICHAEL E. CHAMBERS,
Defendant.
CIVIL LA W- ACTION IN LAW
NOTICE TO DEFEND
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 days after this complaint and notice are
served, by entering a written appearance personally or by attorney and filing in writing with the
court your defenses or objections to the claims set forth against you. Your 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 of for any other claim 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 OF CANNOT AFFORD ONE, GO TO OR TELEPHONE
THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL
HELP.
Cumberland County Lawyer Referral Service
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, P A 17013
1-800-990-9108
(717) 249-3166
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J. FRANK CHAMBERS, JR.
Plaintiff,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY PENNSYLVANIA
v.
NO. 0/- /;;J. 2/., CU:J -r b4-
LYNN K. CHAMBERS and
MICHAEL E. CHAMBERS,
Defendant.
CNIL LA W- ACTION IN LAW
COMPLAINT
1. Plaintiff, 1. Frank Chambers, Jr., is an adult individual residing at 14 Shady Road,
Camp Hill, Cumberland County, Pennsylvania.
2. Defendant, Lyrm K. Chambers, is an adult individual residing at 124 West
Portland, Apartment 23, Mechanicsburg, Cumberland County, Pennsylvania.
3. Defendant, Michael E. Chambers, is an adult individual residing at 223 South
York Street, Mechanicsburg, Cumberland County, Pennsylvania.
4. The Oral Agreement provided that Plaintiff would lend Twenty Thousand Dollars
($20,000.00) (herein "Loan") to the Defendants as a down payment on the property referred to in
the Written Agreement. Plaintiff and Defendants entered into an oral agreement whereby
Defendants agreed to repay said loan at the rate of One Thousand Dollars ($1,000.00) per year
until the loan was paid in full.
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5. On June 16, 194, Defendants made and delivered to Plaintiff articles of agreement
(hereinafter "Written Agreement"). A true and correct copy of the Written Agreement is
attached hereto as Exhibit A.
6. Plaintiff recorded the Written Agreement in the office of Recorder of Deeds of
Cumberland County on September 9, 1994.
7. The Written Agreement incorporated and acknowledged a pre-existing oral
agreement (hereinafter "Oral Agreement") between James Prank Chambers, Plaintiff, and
Michael Edward Chambers, Defendant.
8. Defendants have paid only One Hundred Dollars ($100.00) on the loan.
9. Despite demand, Defendants have refused to pay back the loan as promised.
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WHEREFORE, Plaintiff demands judgment against Defendants in the sum of Twenty
Thousand Dollars ($20,000.00), and costs. In the alternative, Plaintiff demands a declaratory
judgment on the validity and existence of the Oral Agreement in favor of Plaintiff.
Respectively submitted,
ROBINSON & GERALDO
BY:,~~
Gerald S. Robinson, Esquire
Attorney LD. No. 27423
4407 North Front Street
P.O. Box 5320
Harrisburg, PA 17110-5320
(717) 232-8525
Attorney for Plaintiff
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RECOHDER OF OEE-~S
CUI.fOERli\llD COUIITY-PA ARTICLES OF AGREEMENT.
'9'1 Sf!', 9 "nf]s2A~EMENT, made the 16th day of June, 1994,
between JAMES FRANK CHAMBERS, JR. and MARY I. CHAMBERS
husband and wife, hereafter referred to as sellers, and
MICHAEL EDWARD CHAMBERS and LYNN KATHARINE CHAMBERS, husband
and wife, ,hereafter referred to as buyers,
WITNESS, that the sellers, in consideration of the
conv~nant~ and ,agreements contained in this Agreement, on
the part of the buyers to be kept and performed, have agreed
and do hereby. agree to sell and convey unto the buyers, or
their heirs, all. the land and premises known as 223 South
York Street, Mechanicsburg, Cumberland County, Pennsylvania,
for .the principal sum of $91,200.00, to be paid as follows:
$20,000.00 to be paid per the pre-existing agreement
between JAMES FRANK CHAMBERS, JR., one of the sellers
herein, and MICHAEL EDWARD CHAMBERS, one of the buyers
herein,.theexistence and validity of said agreement being
acknowledged by the parties to this Agreement. .
...
The parties further acknowledge payments by the buyers,
since octol:ler 1, ". 1993, amounts equal to .the'monthly .
installment payments required by the sellers '.mortgagee
pursuant to the thirty year adjustable rate note and
mortgage'datedAugust 2, 1993, the latter being recorded in
Cumberland County Mortgage Book 1155 page 270, hereafter
referred to as the "Mortgage" (said payments being, as 'of
the date of this Agreement, $425.00). The remaining balance
due under the "Mortgage", together with interest thereon at
the rate equal to the mortgage interest rate set by the
"Mortgage" and' escrow payments required by the "Mortgage" is
to be paid in consecutive monthly installments by the buyers
to the selters or to the sellers' mortgagee under the
"Mortgage". The' monthly installment payments are and will
continue to be equal to the monthly installment payments
required. by the "Mortgage". The installment payments shall
continue as of July 1, 1994, and shall be paid on the first
of each, consecutive month thereafter until June 30, 2004,
when the. entire balance on the "Mortgage", as determined by
the payoff figure, shall be paid in full by buyers.
The' final payment under this Asreement is to be a
balloon payment of the entire amount required to satisfy the
"Mortgage". It is understood that buyers will refinance
this final or balloon payment on or before, at buyers'
election, June 30, 2004, or. shall assume the "Mortgage"
currently encumbering the property. In the event financing
is not available as of June 1, 2004, and the "Mortgage"
cannot be assumed, buyers will reapply for financing every
12 months thereafter until financing is obtained, unless
they are relieved by sellers of the requirement to reapply.
BOOK 481 PAGE .l029
Exhibit
A
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Articles of Agreement dated June 16th, 1994
page 2
On or before June 30, 2004, there'shall be a settlement
called "Final settlement", at which time the deed shall be
exchanged for the satisfaction of the terms of payment set
forth in this Agreement. Realty transfer taxes shall be
divided equally between the parties at this Final
Settlement.
The parties further agree that, during the term of this
Agreement, the following shall apply:
Buyers will not assign this Agreement or sell the
property without the written consent of the Sellers.
Sellers will retain the right to inspect the property
at any reasonable time. Buyers will maintain the property
in good and substantial repair until Final settlement and
will comply with the Housing Code standards, fire safety or
other government requirements. Sellers have received no
notice of any violation of any governmental requirements.
Should the buyers be unable to make the required
payments equal to the amount required by the "Mortgage",
sellers may make such payments. Buyers will remain
obligated to sellers for any such payments made on their
behalf until the same are paid in full or at Final
Settlement, whichever shall come first.
have
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(seal)
BOOK 481 PAGE1030
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Articles of Agreement dated June 16th, 1994
page 3
To the Recorded of Deeds:
1 certify that the correct address and place of residence of the buyers
herein is as follows: 223 South York Street, Hechanicsburg, Pennsylvania
Commonwealth of Pennsylvania
ss
Cumberland County
On this ~day of June, 1994, before me, the subscriber,
personally came JAME~ FRANK CHAMBERS, JR. and MARY 1. CHAMBERS, husband
and wife, who in due form of law acknowledged the foregoing Agreement to
be their act and desired that the same might be reco~ded as such.
Witness my
Commonwealth of Pennsylvania
ss
cumberland County
On this 1~L1day of June, 1994, before me, the Bubecriber,
personally carn~h~L EDWARD CHAMBERS and LYNN KATHARlNE CHAMBERS,
husband and wife, who in due form of law acknowledged the foregoing
Agreement to be their act and desired that the same might be recorded as
such.
Witness my hand and notarial seal the day and
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My Comission Expires
TARIAL1IEAl
DAVID E. WAHL J~., Nolary Public
-Mod1im1t:sbu~,land Counly
My Commission Exprres Feb. 17, 1996
Commonwealth of pen~sYlvania
Cumberland County
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RECORDED in the Officer fOr Recording Deeds, Mortgages, etc. in and for
the County of Cumberland, Commonwealth of Pennsylvanlar in Misc. Book
page
~OOK 481 p~G(1()31
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ADDENDUM - LEGAL DESCRIPTION OF PROPERTY
ALL THAT CERTAIN lot or peice of ground situated in
Mechanicsburg Borough, Cumberland County, Commonwealth of
Pennsylvania, bounded and described according to a survey
dated December 18, 1972, by Gerrit J. Betz, Registered
Surveyor! as follows1 to wit:
BEGINNING at a point on the Easterly right-of-way line
of South York Street (60 feet wide) as a p.k. being the
Northwest cornere of Lot No. 20 and being measured
Northwardly. along the Easterly right-of-way line of said
South York Street, 90.00 feet from the center line of West
Keller Street; thence extending from said BEGINNING point
along said South York Street, North 20 degrees 40 minutes
West 31.0 feet to a drill hole, a corner of lands now or
late of Rae N. Kost; thence extending along lands of Kost,
North 69 degrees no (0) minutes East, 165.0 feet to a hub on
the Westerly side of a 20 foot wide alley; thence along said
alley South 20 degrees 40 minutes East, 32.0 feet to a hub;
thence extending along lands now or late of Albert Brubaker
and Carl L. Rynard South 69 degrees 20 minutes West 165.0
feet to the aforementioned point and place of BEGINNING.
BEING known and designated as House No. 223 South York
Street.
BEING THE SAME PREMISES which Barry L. Heckard and
Debbie K. Heckard, husband and wife, by Deed dated August
2nd, 1993, and recorded in the Office of the Recorder of
Deeds in and for Cumberland County in Deed Book L, Volume
36, page 317, granted and conveyed unto James Frank
Chambers, Jr. and Mary I. Chambers, husband and wife,
sellers in this Agreement.
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'..u ,-,1 cultlberland . f Oeol!s
:' " ,::,,::d in th8 office tor the recordmg 0
._". i;~.~tI'ld for,Cl!,{nberI8I1d countY, fja....tJ
,,;~0tloOk ~J. Vol. -=- Page J!2:. (
\:""-'r- ':,,'~' my hand and seal of offic of - (t 4-
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BOOK 481 mGElO:32
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VERJlFICATION
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I verify that the statements made in this Complaint are true and correct. 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.
elf FRANK CH
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CERTIFICATE OF SERVICE
I, Gerald S. Robinson, Esquire, do hereby certifY that on the 12th day of February, 2001, I
caused a true and correct copy of the Complaint to be served upon the following individual by
certified mail, return receipt requested, restricted delivery by depositing same in the United States
mail, postage prepaid, in Harrisburg, Pennsylvania.
Susan Candiello, Esquire
5021 East Trindle Road
Suite 100
Mechanicsburg, P A 17050
Michael Chambers
P.O. Box 562
Mechanicsburg, P A 17055
Respectfully submitted,
Ro.m~~o.
By:, ~
Gerald S. Robinson, Esquire
Attorney LD. No. 27423
4407 North Front Street
P.O. Box 5320
Harrisburg, P A 17110
(717) 232-8525
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J. FRANK CHAMBERS, JR.
Plaintiff,
IIN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY PENNSYLVANIA
v.
NO. 01-1226 Civil Term
LYNN K. CHAMBERS and
MICHAEL E. CHAMBERS,
Defendants.
CIVIL LA W- ACTION IIN LAW
PROOF OF SERVICE
The undersigned makes the following return of service: the Civil Complaint was served
upon SUSAN K. CANDIELLO, Esquire, Counsel for Defendant, on March 2,2001 at 5021 East
Trindle Road, Suite 100, Mechanicsburg, Cumberland County, Pennsylvania. The signed
acceptance of service is attached hereto as Exhibit I.
SIGNATURE AND AFFIDAVIT
I, Gerald S. Robinson, Esquire, certify that I am a competent adult not a party to this
action.
I verify that the statements made in this affidavit and return of service are true and
correct. I understand that false statements herein are made subject to the penalties of
18 Pa.C.S. ~4904 relating to unsworn falsfication to authorities.
Respectfully submitted,
ROBINSON & GERALDO
Dated:
-1
By: V\
G aId S. Robinson, Esquire
Attorney I.D. No. 27423
4407 North Front Street
P.O. Box 5320
Harrisburg, Pennsylvania 17110-5320
(717) 232-8525
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J. FRANK CHAMBERS, JR.
Plaintiff,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY PENNSYLVANIA
v.
NO.
LYNN K. CHAMBERS and
MICHAEL E. CHAMBERS,
Defendants.
CNIL LAW- ACTION IN LAW
ACCEPTANCE OF SERVICE
1, SUSAN K. CANDlELLO, Esquire, certitY that I accepted service of the Civil
Complaint filed on or about March 1,2001 on behalf of the Defendant, Lynn K. Chambers and
certitY that I am authorized to do so.
Date 'tJ!Q! 0\
Susan Candiello,. sqe
5021 East Trindl 0 d
Suite 100
Mechanicsburg, P A 17050
Attorney for Defendant I ~ K .C~~
ExhibIt
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IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY OF PENNSYLVANIA
J. Frank Chambers, Jr.
Plaintiff
VS.
Lynn K. Chambers
Defendant
No.
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Michael E. Chambers
Defendant
Civil Law-Action in Law
ANSWER TO COMPLAINT
By: LY~N K. CHAMBERS
Pro se files the following answer to Plaintiff's Civil Complaint
L Admitted.
2.
Admitted, in part.
Defendant's address is 124 W. Portland St., Apt. 28,
Not Apt. 23.
3. Admitted.
4. Denied by way of fnrther explanation. Plaintiff offered to provide
Defendants twenty thousand doI1ars ($20,000.00) to purchase a house. Because of
Defendant Michael Chambers' bailkruptcy, procuring a mortgage with his own
name was not feasible. Therefore, Plaintiff used that $20,000.00 as down payment
on York Street property, and secmed the mortgage in Plaintiff's name.
5. Admitted.
6. Admitted.
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Chambers vs. Chambers No.
7. Admitted, by way of further explanation. The sole basis of the Written
Agreement (EXIITBIT A) was fur Defundants Lynn and Michael Chambers
to successfully take possession (get a new Mortgage in our names) ofthe
marital home before a fixed date. This did occur in 1998, when Michael's
credit had healed enough to procure a mortgage. Hence property was
deeded over (EXIITBIT B) as part of Written agreement
allocates.
8. Defendant has insufficient information in order to admit or deny this
allegation.
9. Denied. bv way of further explanation. Plaintiff bad never asked for
the money, from 1994 through 2000. It was only after Defendant Lynn
Chambers filed for divorce against co-Defendant Michael Chambers
that this suddenly became an issue with Michael Chambers. Even as late
as the end of summer, 2000, in a conversation regarding their mutual
grandchildren, the length and cost ofthe divorce, etc., the Plaintiff made
the following statement to Defendant Lynn Chambers' mother:
"This is going on too long and it's so foolish. with the bills they're
each running up with these lawyers, I'm afraid that they will end up
losing even that money I llave them and come out of this with
nothing!"
In approximately November, 2000, it was decided that the marital home be
sold, and the proceeds be split. It was then that Plaintiff claimed debt was
owed.
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NEW MATTER
10. Paragraphs 1 through 9 of this complaint are incorporated herein by
reference thento.
1 L Plaintilfinherited a sum of money in 1992-93. Plaintiff gave each of his
stepchildren and his son, Defendant Michael Chambers, a share of this
money.
12. Due to Defendant Michael Chambers' bankruptcy, Plaintiff offered to
purchase a home using $20,000 down payment. The mortgage was in
Plaintiff's and Plaintiff's wife's name but the Defendants made the
mortgage payments.
13. A written sales agreement was drawn up(Exhibit A). This stated
that Plaintiff and his Wife would acquire the mortgage for the
property until the Defendants could acquire their own mortgage.
14. Defendants acquired their own mortgage in 1998.
15. Written agreement stated that "On or before June 30. 2004. there shall be
a settlement called 'Final Settlement'. at which time the Deed shall be
exch"n~ed for the satisfaction of the terms of payment set forth in this
agreement." (Exhibit A, page 2, paragraph 1). Please note at the time
of this "Final Settlement" the Plaintiff and his Wile signed over the house
to Defendants and, again, there was no mention of any money owed.
16. On September 25, 1998, Deed to property was legally transferred from
Plaintiff and his Wile to the Defendants as provided in the Written
Agreement.
17. Furthermore, Deed (dated and signed by Plaintiff on September 25, 1998-
Exln1>it B, page 1, paragraph 3,) specifies:
"WITNESSETH, that the Gmntors for and ;n consideration of
EIGHTY-EIGHT THOUSAND and 00/100 DOLLARS ($88,000.00),
lawful money of the United States of America, to the Grantors in hand
well and truly paid by the Grantees, at or before the sealing and delivery
of these presents, the receipt whereof is hereby acknowledged and the
Grantors ~ipll therewith (ullv satisfle~ do by these presents grant,
bargain, sell and convey until the Grantees forever. "
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Chambers vs. Chambers, #_
18. Due to irreconcilable differences Defendant Lynn Chambers filed for
divorce in November, 1999 (#99-6904 Cumberland County).
19. Defendant Lynn Chambers moved from marital home with children
February 2000.
20. Marital residence is presently up for sale and listed with Howard Hanna
Realtor for sum of$119,900.
21. Attorney Gerald Robinson represents Defendant Michael Chambers in
divorce and custody proceedings.
22. Attorney Gerald Robinson is representing Defendant Michael Chambers in
this Civil action.
23. Attorney Gerald Robinson is also representing the Plaintiff, J. Frank
Chambers, Jr., Michael's father, in this matter.
24. Plaintiff and defendant, Michael Chambers, have a warm and binding
relationship as father and son.
25. Defendant Lynn Chambers requests that the Court find the Plaintiff and
Defendant Michael Chambers are in collusion to collect money from
Derendant Lynn Chambers.
26. Defendant Lynn Chambers requests that the Court finds that it is
unethical and a blatant conflict of interest fur both Defendant and Plaintiff
to be employing the same attorney.
27. Defendant Lynn Chambers requests that the Count find that this is a
case of pure malice towards the Defendant - pay hack per se for Divorce/
CustodylDomestic Relations proceedings filed against Defendant Michael
Chambers.
28. Above all, Defendant Lynn Chambers requests that the Court finds the
provisions listed in the Written Agreement (Exhibit A) and the Deed
(Exlnbit B) supersede any implied agreements.
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Chambers vs. Chambers, #
WHEREFORE, Defendant Lynn K. Chambers respectfully requests that the Court find
this Complaint invalid due to the :fuctors listed above.
Date:)/<<clj~ Mol
Pro Se
LYNN 1(. CHAMBERS
124 West Portland Street, Apt. 28
Mechanicsburg, PA 17055
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EXHIBIT A
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ARTICLES OF AGREEMENT
THIS AGREEMENT, made the 16th day of June, 1994,
between JAMES FRANK CHAMBERS, JR. and MARY I. CHAMBERS,
husband and wife, hereafter referred to as sellers, and
MICHAEL EDWARD CHAMBERS and LYNN KATHARINE CHAMBERS, husband
and wife, hereafter referred to as buyers,
WITNESS, that the sellers, in consideration of the
convenants and agreements contained in this Agreement, on
the part of the buyers to be kept and performed, have agreed
and do hereby agree to sell and convey unto the buyers, or..
their heirs, all the land and premises known as 223 South
York Street, Mechanicsburg, Cumberland County, Pennsylvania,
for the principal sum of $91,200.00, to be paid as follows:
$20,000.00 to be paid per the pre-existing agreement
between JAMES FRANK CHAMBERS, JR., one of the sellers
herein, and MICHAEL EDWARD CHAMBERS, one of the buyers
herein, the existence and validity of said agreement being
acknowledged by the parties to this Agreement.
The parties further acknowledge payments by the buyers,
since October 1, 1993, amounts equal to the monthly
installment payments required by the sellers' mortgagee
pursuant to the thirty year adjustable rate note and
mortgage dated August 2, 1993, the latter being recorded in
Cumberland County Mortgage Book 1155 page 270, hereafter
referred to as the "Mortgage" (said payments being, as of
the date of this Agreement, $425.00). The remaining balance
due under the "Mortgage", together with interest thereon at
the rate equal to the mortgage interest rate set. by the
"Mortgage" and escrow payments required by the "Mortgage" is
to be,paid in consecutive monthly installments by the buyers
to the sellers or to the sellers' mortgagee under the
"Mortgage". The monthly installment payments are and will
continue to be equal to the monthly installment payments
required by the "Mortgage". The installment payments shall
continue as of July 1, 1994, and shall be paid on the first
of each consecutive month thereafter until June 30, 2004,
when the entire balance on the "Mortgage", as determined by
the payoff figure, shall be paid in full by buyers.
The final payment under this Agreement is to be a
balloon payment of the entire amount required to satisfy the
"Mortgage". It is understood that buyers will refinance
this final or balloon payment on or before, at buyers'
election, June 30, 2004, or shall assume the "Mortgage"
currently encumbering the property. In the event financing
is not available as of June 1, 2004, and the "Mortgage"
cannot be assumed, buyers will reapply for financing every
12 months thereafter until financing is obtained, unless
they are relieved by sellers of the requirement to reapply.
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Articles of Agreement dated June 16th, 1994
page 2
On or before June 30, 2004, there 'shall be a settlement
called "Final settlement", at which time the deed shall be
exchanged for the satisfaction of the terms of payment set
forth in this Agreement. Realty transfer taxes shall be
divided equally between the parties at this Final
Settlement.
The parties further agree that, during the term of thip
Agreement, the following shall apply:
Buyers will not assign this Agreement or sell the
property without the written consent of the Sellers.
Sellers will retain the right to inspect the property
at any reasonable time. Buyers will maintain the property
in good and substantial repair until Final Settlement and
will comply with the Housing Code standards, fire safety or
other government requirements. Sellers have received no
notice of any violation of any governmental requirements.
Should the buyers be unable to make the required
payments equal to the amount required by the "Mortgage",
sellers may make such payments. Buyers will remain
obligated to sellers for any such payments made on their
behalf until the same are paid in full or at Final
Settlement, whichever shall come first.
IN WITNESS WHEREOF, ),h~arties to tQjp agreement have
executed the same this '6rt' day of ..::r viNe.... ,1994.
Signed, Sealed & Delivered Cjqf1f/,(~~-I(}jJQAlL.Ie~l)
in the Presence of: ES F CHAMBERS,
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MICHAEL EDWARD CHAMBERS
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. NN THARINE CHAMBERS
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Articles of Agreement dated June 16th, 1994
page 3
To the Recorded of Deeds:
I certify that the correct address and place of residence of the buyers
herein is as follows: 223 South York Street, Hechanicsburg, Pennsylvania
Commonwealth of Pennsylvania
ss
Cumberland County
On this /~t day of June, 1994, before me, the subscriber,
personally cam~s FRANK CHAMBERS, JR. and MARY I. CHAMBERS, husband
and wife, who in due. form of law acknowledged the fOregoing Agreement to
be their act and desired that the same might be recorded as such.
Witness my
a
My Comission Ex
NOTARiAL SEAL,
ir~~D F. WAHi. Iii,' 'Nni:U~;?!lhlic
Meehaniesburg, Cllmberiand County
My Commission Explres.Feb. 17, 1996
commonwealth of Pennsylvania
ss
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cumberland county
On this day of June, 1994, before me, the subscriber,
personally came MICHAEL EDWARD CHAMBERS and LYNN KATHARINE CHAMBERS,
husband and wife, who in due form of law acknowledged the foregoing
Agreement to be their act and desired that the same might be recorded as
such.
Witness my hand and notarial seal the
lie
My Comission E
. . NOTARIAL SEAL .'. .
HO~D [ \\'1;\ :,-In.. Ilc(ar, ('titHe
Meehaniesburg. C,mberland County
My Commission Exprres Feb. 17. 1996
commonwealth of Pennsylvariia
55
cumberland County
ReCORDED in the Officer for Recording Deeds, Mortgages, etc. in and for
the County of Cumberland, Commonwealth of Pennsylvania, in Misc. Book
page
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Articles of Agreement dated June 16th, 1994
page 4
ADDENDUM - LEGAL DESCRIPTION OF PROPERTY
ALL THAT CERTAIN lot or peice of ground situated in
Mechanicsburg Borough, Cumberland County, Commonwealth of
Pennsylvania, bounded and described according to a survey
dated December 18, 1972, by Gerrit J. Betz, Registered
Surveyor, as follows, to wit:
BEGINNING at a point on the Easterly right-of-way line
of South York Street (60 feet wide) as a p.k. being the
Northwest cornere of Lot No. 20 and being measured
Northwardly along the Easterly right-of-way line of said
South York Street, 90.00 feet from the center line of West
Keller street; thence extending from said BEGINNING point
along said South York Street, North 20 degrees 40 minutes
West 31.0 feet to a drill hole, a corner of lands now or
late of Rae N. Kost; thence extending along lands of Kost,
North 69 degrees no (0) minutes East, 165.0 feet to a hub on
the Westerly side of a 20 foot wide alley; thence along said
alley South 20 degrees 40 minutes East, 32.0 feet to a hub;
thence extending along lands now or late of Albert Brubaker
and Carl L. Rynard South 69 degrees 20 minutes West 165.0
feet to the aforementioned point and place of BEGINNING.
BEING known and designated as House No. 223 South York
/ Street.
BEING THE SAME PREMISES which Barry L. Heckard and
Debbie K. Heckard, husband and wife, by Deed dated August
2nd, 1993, and recorded in the Office of the Recorder of
Deeds in and for Cumberland County in Deed Book L, Volume
36, page 317, granted and conveyed unto James Frank
Chambers, Jr.. and Mary I. Chambers, husband and wife,
sellers in this Agreement.
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EXHIBIT B
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September 24, 1998
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THIS DEED,
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. Made theQ S day Of~~b0- ,1998,
Tax Parcel No. 20-23-0567-141
BETWEEN JAMES FRANK CHAMBERS, JR. and MARY I. CHAMBERS,
husband and wife, Parties of the First Part, hereinafter designated as the Grantors,
AND
MICHAEL E. CHAMBERS and LYNN K. CHAMBERS, husband and
wife, Parties of the Second Part, hereinafter designated as the Grantees.
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WITNESSETH, that the Grantors for and in consideration of EIGHTY-EIGHT
THOUSAND and 00/100 DOLLARS ($88,000.00), lawful money of the United States of
America, to the Grantors in hand well and truly paid by the Grantees, at or before the sealing and
delivery of these presents, the receipt whereof is hereby acknowledged and the Grantors being
therewith fuily satisfied, do by tt'iese presents grant, bargai.l, sell and convey unto the Grantces
forever. .-:-:--==--'
ALL THAT CERTAIN lot or piece of ground situate in Mechanicsburg Borough,
Cumberland County, Pennsylvania, bounded and described according to a survey dated
December 18, 1972 by Gerrit J. Betz, Registered Surveyor, as follows, to wit:
BEGINNING at a point on the Easterly right-of-way line of South York Street (60 feet
wide) at a p.k. being the Northwest corner of Lot No, 20 and being measured Northwardly alo ng
the Easterly right-of-way line of said South York Street, 90,00 feet from the center line of West
Keller Street; thence extending from said BEGINNING point along said South York Street, North
20 degrees 40 minutes West 31.0 feet to a drill hole, a corner of lands now or late of Rae N.
Kost; thence extending along lands now or late of Kost, North 69 degrees no minutes East, 165.0
BOOK 186 PAGE 485
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September 24, 1998
feet tD a hub on the Westerly side of a 20 feet wide alley; thence along said alley South 20 degree s
40 minutes East, 32.0 feet to a hub; thence extending along lands now or late of Albert Brubaker
and Carl L. Rynard South 69 degrees 20 minutes West 165.0 feet to the aforementioned point and
palce of BEGINNING.
BEING known and designated as House No. 223 South York Street.
BEING the same premises granted and conveyed unto James Frank Chambers, JI. and
Mary I. Chambers, by Deed of Barry L. Heckard and Debbie K. Heckard, dated August 2, 1993
and recorded August 4, 1993 in the Cumberland County Recorder of Deeds Office in Deed
Book L, Volume 36, Page 317.
BEING a transfer from father and mother to son and daughter-in-law, it is therefore
exempt from Pennsylvania Realty Transfer Tax.
UNDER AND SUBJECT, nevertheless, to all other conditions and restrictions of record,
if any, as they may appear.
TOGETHER with all and singular the buildings, improvements, ways, woods, waters,
watercourses, rights, liberties, privileges, hereditaments and appurtenances to the same belonging
or in anywise appertaining; and the reversion and reversions, remainder and remainders, rents,
issues and profits thereof, and of every part and parcel thereof; AND ALSO all the estate, right,
title, interest, use, possession, property, claim and demand whatsoever of the Grantors both in
law and in equity, of, in and to the premises herein described and every part and parcel thereof
with the appurtenances. TO HAVE AND TO HOLD all and singular the premises herein
described together with the hereditaments and appurtenances unto the Grantees and to the
Grantees' proper use and benefit forever.
AND the Grantor covenants that, except as may be herein set forth, they do and will
forever specially warrant and defend the lands and premises, hereditaments and appurtenances
hereby conveyed, against the Grantors and all other persons lawfully claiming the same or to
claim the same or any part thereof, by, from or under it, them or any of them.
In all references herein to any parties, persons, entities or corporations, the use of any
particular gender or plural or singular number is intended to include the appropriate gender or
number as the text of the within instrument may require.
Wherever in this instrument any party shall be designated or referred to by name or
general reference, such designation is intended to and shall have the same effect as if the words
"heirs, executors administrators, personal or legal representatives, successors and assigns" had
been inserted after each and every such designation.
BOO,~ 186 PAGE 486
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September 24, 1998
IN WITNESS WHEREOF, the Grantors have hereunto set their hands and seals the day
and year first above written.
Signed, Sealed and Delivered
in the presence of
cfl~ ~
AMES FRANK CHAMBERS, JR.
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MARY I CHAMBERS
THE UNDERSIGNED CERTIFIES THAT THE RESIDENCE AND COMPLETE POST
OFFICE ADDRESS OF THE GRANTEE IS:
dd-3 S. ~c)A_ ~+. I VYlQ.r~~<7\~~' 011 17.05j
Street City State Zip Co
BOOK 186 PAGE 487
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September 24. 1998
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BE IT REMEMBERED, that on the ~ S' -\\ day OfS~~ , 1998, before me the
subscriber personally appeared James Frank Chambers, Jr. and Mary I. Chambers, known to me
(or satisfactorily proven) to be the person(s), whose name(s) are subscribed to the within
instrument and acknowledged that they executed the same for the purposes therein contained.
COMMONWEALTH OF PENNSYL VANIA
COUNTY OF G (V) bca- LaX\.&
IN WITNESS WHEREOF, I hereunto set my hand and official seal.
~_~V;;'i.;j!'!Iff: .
Notarial S9a4
Jenllil<a< S. Kuhns, NoIary PIidll
Camp Hm Borc. Cumberland ~
My Commission EXPlfe:~ept. 11, .
I. "'i"~ l\\otarres
Member. Pennsy va,,,
COMMONWEALTH OF PENNSYLVANIA )
: SS.
COUNTY OF CUMBERLAND )
Recorded in the Office:f the Recorder of Deeds, etc., in and for said County, in Book
~,Page~.
Witness my Hand and Official Seal this /5t day of C>~
, 1998.
~4~~7 r g -' t?___
Recorder ' /(..7
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BOOK 186 PAGE 488
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ine UI::iU Il,;llll WIIII,;II llltlldllU ll:l 'Ut,;4U::U.
(g) 'unmarf<etability of the title'~ an alleged or apparent
matter affeclingthe title to the land, not excluded or excepted
from coverage; which would entnlea purchaseroftheestateor
,nterest described in Schedule A to be released from the
,bligation to purchase by virtue of a contractual condition
reauirina the deliverv of marketable title.
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and Stipulations. the loss Dr damage shall be payable within
30 days thereafter, .
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TERMINATIO~ OP LIABILITY.
In case of aclaim under this policy, the Company shail have
the following additional options:
(a) To Payor Tender Payment of the Amount of 13. SUBROGATION UPON PAYMENT
Insurance . . -'-- OR SETTLEMENT.
... n __. ,Tn ~::IV or tenda!' oavmentof the amount of msurance _. ____, ,.,___
First American Title Insurance Company
OWNER'S FORM
Schedule A
Policy No.: 703578
Owner's Date of Policy:
Loan's Date of Policy:
October 1, 1998
October I, 1998
Amount: $88,000.00
Amount: $73,000.00
1. Name of Insured on the Owner's Policy:
MICHAEL E. CHAMBERS and LYNN K. CHAMBERS, his wife
2. The estate or interest referred to herein is at Date of Policy vested in:
MICHAEL E. CHAMBERS and LYNN K. CHAMBERS, his wife, by Deed from JAMES
FRANK CHAMBERS and MARY L CHAMBERS dated September 25,1998, and recorded
October I, 1998, in Deed Book 186, Page 485, in the CUMBERLAND County Recorder of
Deeds Office.
3. The estate or interest in the land described in this Schedule and which is encumbered by the
insured mortgage is Fee Simple.
4. The mortgage, herein referred to as the insured mortgage, and the assiguments thereof, if any,
are described as follows:
MICHAEL E.' CHAMBERS and LYNN K. CHAMBERS, his wife, to SOURCE ONE
MORTGAGE SERVICES CORPORATION, dated September 25, 1998, to secure 73,000.00
with interest, and recorded October 1, 1998, in Mortgage Book 1486, Page 931. in the
CUMBERLAND' County Recorder of Deeds Office.
5. The land referred to in this policy is situated in the Commonwealth of Pennsylvania, County
of CUMBERLAND, and is described as follows:
PROPERTY ADDRESS:
223 S. YORK STREET
MECHANICSBURG, PA 17055
This policy valid ouly if Schedule "B" is attached.
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OWNER'S FORM
Schedule B
Policy No.: 703578
This policy does not insure against loss or damage by reason of the following:
1. Any variation of lines or dimensions or other matters which an accurate survey would disclose.
.
2. Easements, or claims of easements, now shown by the public record.
3. Possible additional tax assessments for new construction and/or major improvements, not yet
due and payable.
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VER,IFICATION
I verifY that the statements made in this Complaint are true and correct. I
understand that false statements herein are made subject to the penalties ofl8 Pa. C.S.
Section 4904, relating to unsworn fu1sification 0 uthorities.
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IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY OF PENNSYLVANIA
J. Frank Chambers, Jr.
Plaintiff
VS.
Lynn K. Chambers
Defendant
No.
.And.
Michael E. Chambers
Defendant
Civil Law-Action in Law
NOTICE TO PLEAD
TO: Gerald Robinson, Atty.
You are hereby notified to file a written response to the enclosed RESPONSE
TO COMPLAINT within twenty (20) days from service hereof or a judgment
maybe entered against you.
Dated:
,2001
K. CHAMBERS
124 WEST PORTLAND ST., Apt. 28
MECHANICSBURG, PA 17055
Telephone (717-691-8507)
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CERTIFICATE OF SERVICE
I, Lynn Chambers, do hereby certifY that on the 22nd day of March, 2001, I
caused a true and correct copy ofthe Response to Complaint to be served upon the
following individuals by certified mail, return receipt requested, restricted delivery by
depositing same in the United States mail, postage prepaid, in Harrisburg, Pennsylvania.
1. Gerald Robinson, Atty.
4407 North Front St.
PO Box 5320
Harrisburg, P A 17110
2. Michael E. Chambers
PO Box 562
Mechanicsburg, P A 17055
3. J. Frank Chambers
14 Shady Road
Camp Hill, PA 17011
Pro e
LYNN K. CHAMBERS
124 WEST PORTLAND STREET., #28
MECHANICSBURG, P A 17055
(717-691-8507)
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J. FRANK CHAMBERS, JR.
Plaintiff,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY PENNSYLVANIA
v.
LYNN K. CHAMBERS and
MICHAEL E. CHAMBERS,
Defendants.
NO. 0\ ~/J@1.n CA\)~\Tam
CIVIL LAW- ACTION IN LAW
PROOF OF SERVICE
The undersigned makes the following return of service: the Civil Complaint was served
upon Michael E. Chambers, the Defendant, on March 15,2001 at P.O. Box 562, Mechanicsburg,
Cumber1andCounty, Pennsylvania. The signed receipt is attached as Exhibit 1.
SIGNATURE AND AFFIDAVIT
I, Gerald S. Robinson, Esquire, certify that I am a competent adult not a party to this
action.
I verify that the statements made in this affidavit and return of service are true and
correct. I understand that false statements herein are made subject to the penalties of
18 Pa.C.S. ~4904 relating to unsworn falsfication to authorities.
Respectfully submitted,
Dated:
ON & GERALDO
By:
erald S. Robinson, Esquire
Attorney J.D. No. 27423
4407 North Front Street
P.O. Box 5320
Harrisburg, Permsylvania 17110-5320
(717) 232-8525
Attorney for Plaintiff
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J. FRANK CHAMBERS, JR.
Plaintiff,
v.
LYNN K. CHAMBERS and
MICHAEL E. CHAMBERS,
Defendants.
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IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY PENNSYLVANIA
NO.
CIVIL LA W- ACTION IN LAW
ACCEPTANCE OF SERVICE
I, Michael E. Chambers, certify that I accepted service of the Civil Complaint filed on or
about March 1, 2001.
Date 7:J//()/CJI
II
ich 1 E. Chambers, Defendant
P.O. Box 562
Mechanicsburg, P A 17055
ExhIbit
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J. FRANK CHAMBERS, JR.
Plaintiff,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY PENNSYLVANIA
v.
NO. 01-1226 Civil Term
LYNN K. CHAMBERS and
MICHAEL E. CHAMBERS,
Defendant.
CNIL LA W- ACTION IN LAW
ANSWER TO NEW MATTER
AND NOW, comes the Plaintiff, J. FRANK CHAMBERS, by and through his attorney,
GERALD S. ROBINSON, ESQUIRE, and files this ANSWER TO NEW MATTER, and in
support thereof states as follows:
1-9. Paragraphs I - 9 of Plaintiff's Complaint are hereby incorporated by reference.
10. Neither Admitted, Nor Denied. Plaintiff need not respond to this paragraph.
II. Admitted in Part, Denied in Part. It is admitted that Plaintiff inherited a sum of
money in 1992-1993, but it is specifically denied giving a share of this money to his son and his
stepchildren.
12. Admitted. It is admitted that Plaintiff offered to help Defendants purchase a home
using a down payment. By way of further explanation, the $20,000 down payment was a loan to
help the Defendant's secure their own affordable mortgage.
13. Admitted.
14. Admitted.
15. Admitted in Part, Denied in Part. It is admitted that there exists a written
agreement and that Plaintiff signed over the house to the Defendants, however, it is denied that
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there was no mention of money owed. By way of further explanation, it was understood by the
Defendants that the $20,000 was still owed to the Plaintiff.
16. Admitted.
17. Admitted in Part, Denied in Part. It is admitted that the Deed states as Defendant
Lyrm Chambers specifies. It is denied however, that the $88,000 stated within the deed was the
full amount owed. By way of further explanation, Defendants still owed the $20,000 to Plaintiff.
18. Admitted.
19. Admitted.
20. Admitted.
21. Admitted.
22. Denied. It is specifically denied that Gerald S. Robinson, Esquire is representing
Michael Chambers in the present civil action.
23. Admitted.
24. Admitted.
25. Denied. At no time have Plaintiff and Defendant Michael Chambers been in
collusion to collect money from Defendant Lyrm Chambers.
26. Denied. It is denied that a conflict of interest exists since Gerald S. Robinson is
not representing Defendant Michael Chambers in this civil action.
27. Denied. It is denied that this case was filed with malice toward Defendant Lyrm
Chambers as "pay back" for divorce/custody/domestic relations' proceedings against Defendant
Michael Chambers. To the contrary, this civil action was filed against both Defendant Michael
Chambers and Defendant Lyrm Chambers in an effort to obtain full payment on Plaintiff's
$20,000 loan.
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28. Denied. The provisions listed in the written agreement and the Deed should not
supercede any implied agreements.
WHEREFORE, Plaintiff respectfully requests Defendant Lyrm Chambers New Matter be
dismissed and demands judgment against Defendants in the sum of Twenty Thousand Dollars
($20,000,00), and costs. In the alternative, Plaintiff demands a declaratory judgment on the
validity and existence of the Oral Agreement in favor of Plaintiff.
Respectively submitted,
N & GERALDO
By:
aid S. Robinson, Esquire
Attorney J.D. No. 27423
4407 North Front Street
P.O. Box 5320
Harrisburg, PA 17110-5320
(717) 232-8525
Attorney for Plaintiff
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I verifY that the statements made in this ANSWER TO NEW MATTER are true and
correct. 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.
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CERTIFICATE OF SERVICE
I, Gerald S. Robinson, Esquire, do hereby certify that on the
lO-th
day of
.AprLQ
, 200 I, I caused a true and correct copy of the ANSWER TO NEW
MATTER to be served upon the following individual by first class mail by depositing same in
the United States, postage prepaid, in Harrisburg, Permsylvania.
Michael E. Chambers
P.O. Box 562
Mechanicsburg, P A 17055
Lynn K. Chambers, Pro Se
124 Portland Street
Apartment 28
Mechanicsburg; A 17055
By:
Ger d S. Robinson, Esquire
ROBINSON & GERALDO
ATTORNEY J.D. NO. 27423
4407 North Front Street
P.O. Box 5320
Harrisburg, P A 17110
(717) 232-8525