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HomeMy WebLinkAbout01-2247 FX IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NATIONAL CITY MORTGAGE CO., assignee of FIRST UNITED MORTGAGE SERVICES, INC., Plaintiff, vs. CHRISTOPHER M. BUCHER and HILDA F. BAKER, Defendants. r" "__ '"'" <'J':-'7A',_,,'f-,~,". -'-]-,~-?',~O,_,,;,,__€",, ~""~'I'_. _ _.'_O,'>.7__M__.,,_ ~_H_'<_ _.___~._I_-" CIVIL DMSION NO. 01- ~)""7 Go~l 't~ COMPLAINT IN MORTGAGE FORECLOSURE Code MORTGAGE FORECLOSURE Filed on behalf of Plaintiff Counsel of record for this party : Louis P. Vitti, Esquire PA I.D. #3810 Supreme Court #01072 Louis P. Vitti & Assoc., P.C. 916 Fifth Avenue Pittsburgh, PA 15219 (412) 281-1725 , ~ . ~. ,~~ - -- IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYL VANIA CIVIL DIVISION NATIONAL CITY MORTGAGE CO., assignee ) of FIRST UNITED MORTGAGE SERVICES, ) INC., ) Plaintiff, ) ) vs. ) ) CHRISTOPHER M. BUCHER and IDLDA F. ) BAKER, ) Defendants. ) No. 0/- ,,22.'1"7 ~ ~ NOTICE PURSUANT TO THE FAIR DEBT COLLECTION PRACTICES ACT Louis P. Vitti and Associates, P.C. is a law fIrm attempting to collect a debt for our client, National City Mortgage Co., and any information obtained will be used for that purpose. Attached is a Complaint in Mortgage Foreclosure which sets forth the amount of a debt we are advised that you owe to National City Mortgage Co. We are attempting to collect this debt. Unless you dispute the validity of this debt or any portion of this debt, within thirty (30) days after receipt of this Notice, Louis P. Vitti and Associates, P.c. will assume this debt to be valid. If you notify Louis P. Vitti and Associates, P.C. in writing within the thirty (30) day period that this debt or any portion of this debt is disputed, then Louis P. Vitti and Associates, P.C. will obtain verifIcation of the debt and we will mail a copy of this verifIcation to you. Please be sure to provide us with your correct mailing address. If the creditor named in the attached Complaint is not the original creditor we will, upon your written request, provide you with the name and address of the original creditor. If you dispute this debt (or any part of this debt) in writing or request the name of the original creditor in writing within thirty (30) days after you receive this Notice, Louis P. Vitti and Associates, P.C. will cease collection of the debt or any disputed portion of the debt until we have obtained the verifIcation and/or name of the original creditor and have mailed that information to you. '~l,_J " "'~ "_,V~(_~,,____. ,__",_],_,_"._,_ .,-'_--- _ _,__..I~}" ___" _, _,,_ COMPLAINT IN MORTGAGE FORECLOSURE NOTICE YOU HAVE BEEN SUED IN COURT. IF YOU WISH TO DEFEND AGAINST THE CLAIMS SET FORTH IN THE FOLLOWING PAGES, YOU MUST TAKE ACTION WITHIN TWENTY (20) DAYS AFTER THIS COMPLAINT AND NOTICE ARE SERVED, BY ENTERING A WRITTEN APPEARANCE PERSONALLY OR BY THE ATTORNEY AND FILING IN WRITING WITH THE COURT YOUR DEFENSES AND OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU. YOU ARE WARNED THAT IF YOU FAIL TO DO SO THE CASE MAY PROCEED WITHOUT YOU AND A JUDGMENT MAY BE ENTERED AGAINST YOU BY THE COURT WITHOUT FURTHER NOTICE FOR ANY MONEY CLAIMED IN THE COMPLAINT OR FOR 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 SHOULD NOT HAVE A LAWYER, OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP. CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE CARLISLE, PA 17013 (717) 249-3166 'JfW'~j'~'f:)>_,_____~ __'_~"".'_'_"'-~"'-"" "_~ ~,_.___,_~<_ __,_I~__ _~_" COMPLAINT IN MORTGAGE FORECLOSURE AND NOW, comes the Plaintiff by its attorneys, Louis P. Vitti and Associates, P.C. and Louis P. Vitti, Esquire, and pursuant to the Pennsylvania Rules of Civil Procedure Numbers 1141 through 1150, for its Complaint in Mortgage Foreclosure, sets forth the following: 1. The Plaintiff is a corporation duly authorized to conduct business within the laws of the Commonwealth of Pennsylvania, having a principal place of business located at 3232 Newmark Drive, Miamisburg, OH 45342. 2. The Defendant(s) is/are individuals with a last known mailing address of 517 South Pitt Street, Carlisle, PA 17013. The property address is 517 South Pitt Street, Carlisle, PA 17013 and is the subj ect of this action. 3. On the 28th day ofJanuary, 2000, in consideration ofa loan of Fifty-Eight Thousand, Four Hundred and Noll 00 ($58,400.00) Dollars made by First United Mortgage Services, Inc., a P A corporation, to Defendant(s), the said Defendant(s) executed and delivered to First United Mortgage Services, Inc., a PA corporation, a "Note" secured by a Mortgage with the Defendant(s) as mortgagor(s) and First United Mortgage Services, Inc., as mortgagee, which mortgage was recorded on the 31st day of January, 2000, in the Office of the Recorder of Deeds of Cumberland County, in Mortgage Book Volume 1593, page 922. The said mortgage is incorporated herein by reference thereto as though the same were set forth fully at length. 4. The premises secured by the mortgage are: (See Exhibit "A" attached hereto.) hi: ~, ~-, ,,-~,. o,"'~.~"O;"_'"''''__'",_ '.' -', , ~- ~ ~I 5. On or before the 31st day of January, 2000, First United Mortgage Services, Inc., a PA corporation, assigned to the Plaintiff, National City Mortgage Co., the said mortgage, that assignment being recorded in the Office of the Recorder of Deeds of Cumberland County on the 31st day ofJanuary, 2000, in Mortgage Book Volume 636, page 843. The said assignment is incorporated herein by reference. 6. Said mortgage provides, inter alia: "that when as soon as the principal debt secured shall become due and payable, or in case default shall be made in the payment of any installment of principal and interest, or any monthly payment, keeping and performance by the mortgagor of any of the terms, conditions or covenants of the mortgage or note, it shall be lawful for mortgagee to bring an Action of Mortgage Foreclosure, or other proceedings upon the mortgage, of principal debt, interest and all other recoverable sums, together with attorney's fees." 7. Since June I, 2000, the mortgage has been in default by reason, inter alia, of the failure of the mortgagor(s) to make payments provided for in the said mortgage (including principal and interest) and, under the terms of the mortgage, the entire principal sum is due and payable. 8. In accordance with the appropriate Pennsylvania Acts of Assembly and the Pennsylvania Rules of Civil Procedure, the mortgagor(s) has been advised in writing of the mortgagees intention to foreclose. The appropriate time period has elapsed since the Notice of Intention to Foreclose has been served upon the mortgagor(s). 9. The amount due on said mortgage is itemized on the attached schedule. 10. Plaintiff does hereby release the personal representative, heir and/or devisee of the mortgagor(s) from liability for the debt secured by the mortgage. '5';""., 4>,,"~'-_"'-,=,,^_, . "-,~" ~-~" " -~- WHEREFORE, pursuantto Pennsylvania Rule of Civil Procedure Nwnber 1147(6), Plaintiff demands judgment for the amount due of Sixty-Nine Thousand, Nine Hundred Twelve and 22/1 00 Dollars ($69,912.22) with interest and costs. Respectfully submitted, LOUIS P. VITTI & ASSOC., P.C. By(~L : P V"'E . ows . lttl, sqwre Attorney for Plaintiff ~;~~ ,"-~ " "--;__',' ,~-,~" '<0 =_ ''Y,-'' ,~__ +.' _ _~,. -, ',,_, _ ".' ~ ..__ d' ,_ . Bucher, Christopher M. SCHEDULE OF AMOUNTS DUE UNDER MORTGAGE Unpaid Principal Balance 58,281.65 Interest 8.0000% from 05/01100 through 04/30/2001 (plus $12.7741 per day after 04/30/2001 ) 4,649.76 Late charges through 04/12/2001 o months @ 20.49 Accumulated beforehand (plus $20.49 on the 17th day of each month after 0.00 10245 102.45 04/12/2001 ) Attorney's fee 2,914.08 Escrow deficit 3 964.28 (This figure includes projected additional charges that may be incurred by the Plaintiff and transmitted to the sheriff as charges on the writ prior to the date of the sheriff's sale) BALANCE DUE 69,912.22 -,,,.,,~,',-,'"""""'=~- "~-'-'- ~ - """,,'_'_"",~ ", 1,_".""" ~~ e ALL thll$c two certain tracts of land and the improvements thereon situate in the Thlrd Ward of tbe Borough of Carlisle, Cumberlanu County, Pennsylvania, bounued anu uescribed as follows, TRACT I: llEOINNlNG at a point on the north buiiding line of South Pitt Street, a distance of 132.20 feet south of the building line of Willow Street at tlte corner of property nOw or formerly of Harold L. Wcigel, the said poinl of beginning being in the center of the partition between the property herein conveyed and the property now or formerly of Charles R. Todd, et 31.: thence along the latter, South 83 degrees 47 minutes E.lst, a distance of 110 feet to the western line of a 10-foot public aile; thence along the latter, South 6 degrees 13 minutes West, a distance of 16 feet to a point in the partition line of the lot hereby conveyed and the lot now or fonnerly of Joseph L. and Katherine O. Loury, it being the property known as No. 519 SaudI Pilt Street; thence On a line 1'Unning \llroughlhe center ofa partition wall uividing properties known as Nos. 517 and 519 South Pitt Street. a distance of 110 feet to the eastern building line South Pitt Street; thence along the laller, Nortn6 degrees 13 minutes East, a distance of 16 feet to the Place 01' BEGINNING. HA VINO thereon erected a frame dwelling house known and numbered as 517 South Pitt Slreet, Carlisle, Pennsylvania. e TRACT 2: BEGINNING at a point on the eastern ,ide of the 10-t'oot alley above. menlioned, at a point 143.83 feet south oUhe soulh building line of Willow Street, at the eorner of lot now or formerly of Charles R. 'fodu, et al.; thence South 83 degrees 47 minutes East, a distance of 70 feet 10 the line now or t'ormerly of Meals Estate; lhence along the same, South 6 uegrets 13 minutes West, a dist.lnce of 15 feet to a point in saiullne; Ulence in a line pm'allel with the first mentioned line 70 feet 10 a point on the east side of saiu IO.foot alley; (the distance set forth herein of 70feet was imidvertently omiaed from the prior Oeeu recorded in Deed Book N, Volume 36, Page 105. but for (he correct distance see Deed !look Y, Volume 19, Page 683;); thence along lhe same, North 6 degrees 13 minutes Easl, a uistance of t5 feet to tile Place of BEGINNING. The same being a rectangular Jot 70 feet in depth and an even width of 15 feet, tbe lot herein described being located across said alley rrom the nr$l described properlY and almost rear uf the same. BEING the same premises which Colleen L. Haws, single person, by her Deed uated January , 2000, and recorded in the Office of the Recorder of Deeds in and (or Cumberland County immedIately prior to the recon:ling of tIlis Mortgage, grooteu and conveyed unto Cllristopher lluchcr and Hilda F, Baker, Joint tenants with the right of scrvlvorshp, Mortgagol's herein. e Still'.": of pennsylvania} C(l!lU\'t' 1:11 Cumberland R,lCOl ~d IlIlho oilloc la, the re""rding of De.ds <<' , 'lid f~bOr~ COUlllY.~~"':l in UoKlJ;:l~VOI _P.'ge _""I wit: .n mv ha, I Of 0 c ... ex; Corllsle PKth, dev . "- ~ EXHIBIT" " ~-~> .~. . - ....... ~~ . ,- "' VERIFICATION AND NOW Louis P. Vitti verifies that the statements made in this Complaint are true and correct to the best of his knowledge, information and belief. I understand that false statements herein are made subject to the penalties of 18 Pa.C.S. 4904, relating to unsworn falsification to authorities. By virtue of the fact that the Plaintiff is outside the jurisdiction of the court and the , verification cannot be obtained wHhin the time allowed for the filing of this pleading, the pleading is submitted by counsel having sufficient knowledge, information and belief based upon the information provided him by the Plaintiff. ~ ~ Dated: April 12, 2001 , ~^__,1U . _ ~__,."",,__',, ,,,,.,,,.,~"__", _." ~ ,__", _" ,,>_,,~-,,_... ,. ,~ 2; " . ~. - __, __'~'_ ,." "'n~_",_ ~ ,"""', .-< ,." " - ,_n 0'"., ,--^<, 0." S"" . :o-~, ;""'~'"""':c"li!~f'Tkr~r ( tjJ')\tU' J lEI jj f1.: lJlW''''::'' ~rr r- ;e"''''" "~Iff } 0 ~ ~ ~ ~ ~ C) c:-:-~' ~ ~ (.~.- -..." 0) CJ , ....... () 8 "'- Iv I 0 ~ is I "'_.' ;r: ~ l-; .~, 1 () ~ " ," ~,-' " ~ ~<- \,:;J ~ =~__, ~""",,~,~~~!IW~i!I!f~ffflPl1:'i\--W'>1'fl'ii'\lil~~1!ll\~_'~"M,~lM;J!iIJt"'~;:~i SHERIFF'S RETURN - REGULAR T. ......... " CASE NO: 2001-02247 P , COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND NATIONAL CITY MORTGAGE CO ETAL VB BUCHER CHRISTOPHER M ET AL RICHARD E. SMITH , Sheriff or Deputy Sheriff of Cumberland County, Pennsylvania, who being duly sworn according to law, says, the within COMPLAINT - MORT FORE was served upon BAKER HILDA F the DEFENDANT , at 1952:00 HOURS, on the 1st day of May 2001 at 20 SOUTH HIGH STREET NEWVILLE, PA 17241 by handing to HILDA BAKER a true and attested copy of COMPLAINT - MORT FORE together with and at the same time directing Her attention to the contents thereof. Sheriff's Costs: Docketing Service Affidavit Surcharge 6.00 7.44 .00 10.00 .00 23.44 So Answers: :;""f)d:~-</2:.~ R. Thomas Kline 05/02/2001 LOUIS P. VITTI Sworn and Subscribed to before By: me this .2.2"""- day of ~ .:uv/ A.D. (l a~~ 7~~honotary v ,I'o~ ""'~: ,""., ,'- ~I- ,-' :- ~ -' ., 1 , SHERIFF'S RETURN - REGULAR ., -... J CASE NO: 2001-02247 P , COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND NATIONAL CITY MORTGAGE CO ETAL VS BUCHER CHRISTOPHER M ET AL JASON VIROAL , Sheriff or Deputy Sheriff of Cumberland County,Pennsylvania, who being duly sworn according to law, says, the within COMPLAINT - MORT FORE was served upon BUCHER CHRISTOPHER M the DEFENDANT , at 1930:00 HOURS, on the 18th day of April 2001 at 519 SOUTH PITT STREET CARLISLE, PA 17013 by handing to CHRISTOPHER BUCHER a true and attested copy of COMPLAINT - MORT FORE together with and at the same time directing His attention to the contents thereof. Sheriff's Costs: Docketing Service Affidavit Surcharge So Answers: 18.00 3.10 .00 10.00 .00 31.10 ,0 o . R. Thomas Kline 05/02/2001 LOUIS P. VITTI Sworn and Subscribed to before By: me this ) :2-Z day of ~ ;J.ov/ A.D. ~;'oten~l ~ , ~,-" J"' . - < ~I' " '-1 - 1 ',~ 11 _ ~, J,Lj , ... IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NATIONAL CITY MORTGAGE CO., assignee of FIRST UNITED MORTGAGE SERVICES, INC., Plaintiff, vs. CHRISTOPHER M. BUCHER and illLDA F. BAKER, Defendants. "~,~,o,'_" -_,_"_",'_,~__o' ._,.,_~~, ."".",.,....,.,._ _ "~_" ~~.___, CIVIL DIVISION NO. 01-2247 CIVIL TERM PRAECIPE FOR DEFAULT JUDGMENT, CERTIFICATION OF MAILING AND AFFIDAVIT OF NON- MILITARY SERVICE Code MORTGAGE FORECLOSURE Filed on behalf of Plaintiff Counsel of record for this party: Louis P. Vitti, Esquire PALD.#38l0 Supreme Court #01072 Louis P. Vitti & Assoc., P.C. 916 Fifth Avenue Pittsburgh, PA 15219 (412) 281-1725 ., "- ,-,-~ ~ ::!: " I Iii i' I I:' iii II I' I II I I, , , ;; I , I I I I. Ii ,I 'I I , ~ I I Iii III " .~ , : ~ IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION 'I, III III III 'I I, ... NATIONAL CITY MORTGAGE CO., assignee FIRST UNITED MORTGAGE SERVICES, INC., Plaintiff, No. 01-2247 CIVIL TERM vs. CHRISTOPHER M. BUCHER and HILDA F. BAKER, Defendants. PRAECIPE FOR DEFAULT JUDGMENT AND ASSESSMENT OF DAMAGES TO: PROTHONOTARY OF CUMBERLAND COUNTY Enter judgment in Default of an Answer in the amount of $70,359.31, in favor of the National City Mortgage et al, Plaintiff in the above-captioned action, against the Defendants, Christopher M. Bucher and Hilda F. Baker and assess Plaintiffs damages as follows and/or as calculated in the Complaint: III Iii Ii , Unpaid Principal Balance Interest from 05/01/00-06/04/01 (Plus $12.7741 per day after 06/04/01) $58,281.65 5,096.85 Late charges (Plus $20.49 per month from 04/12101-09/05/01$102.45) 102.45 Attorney's fee 2,914.08 Escrow Deficit (Plus any additional charges that may be incurred by the Plaintiff and transmitted to the sheriff as charges on the writ prior to the date of the sheriffs sale) 3.964.28 Total Amount Due $70.359.31 The real estate, which is the subject matter of the Complaint, is situate in 3rd Ward Boro of Carlisle, Cty ofCmnberland, Cmwlth ofPA. Het a dwg !c/a 517 S. Pitt Street, Carlisle, PA l70B.Parcel # 04-22-0483-074 dfXi0f]iJiUt Louis P. Vitti, Esquire Attorney for the Plaintiff ~; ;;1; ", '"-_'~" ",,,.~ ',_<_'~'"," ."'."'_ _",< ';. ,~ , "j~.._." - """~ !IT , IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION I:: ! I ':1 NATIONAL CITY MORTGAGE CO., assignee FIRST UNITED MORTGAGE SERVICES, INC., Plaintiff, No. 01-2247 CIVIL TERM vs. CHRISTOPHER M. BUCHER and HILDA F. B !\KER, II 'II i' I, I Defendants. CERTIFICATION OF MAILING I, Louis P. Vitti, do hereby certify that a Notice ofIntention to Take Judgment was mailed to the Defendant(s), in the above-captioned case on May 22, 2001, giving ten (10) day notice that judgment would be entered should no action be taken. LOUIS P. VITTI & ASSOCIATES, P.C. BY: ~,' ~. ~ Louis P. Vitti, Esquire Attorney for Plaintiff SWORN to and subscribed before me this 4th day II !, i' ! Notarial Seal of hme, 2001. Cheryl B. Edler, Notary PUhlic PlllshurQh, AWeQheny County My Commission Expires June 10, 2002 ~/ _ ~~ytva",aAS$OClstlOnOfNotaries ~ ,"' ". ".,e., ~_"~~.,^ " .,. ''''''_~ --,.y..",...T, .,_ ,. ". ,_ , "",,__ , I .~ ~ - ~ ,-~, ,,, I. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION NATIONAL CITY MORTGAGE CO., assignee of FIRST UNITED MORTGAGE SERVICES, INC., NO. 01-2247 CIVIL TERM Plaintiff, vs. CHRISTOPHER M. BUCHER and HILDA F. BAKER, Defendants. IMPORTANT NOTICE TO: Christopher M. Bucher Hilda F. Baker 517 South Pitt Street Carlisle, PA 17013 Date of Notice: May 22, 2001 YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN APPEARANCE PERSONALLY OR BY ATTORNEY AND FILE IN WRITING WITH THE COURT YOUR DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU. UNLESS YOU ACT WITHIN TEN (10) DAYS FROM THE DATE OF THIS NOTICE, A JUDGMENT MAYBE ENTERED AGAINST YOU WITHOUT A HEARING AND YOU MAY LOSE YOUR PROPERTY OR OTHER IMPORTANT RIGHTS. YOU SHOULD TAKE THIS NOTICE TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE FOLLOWING OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP: CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE CARLISLE, PA 17013 (717) 249-3166 K/ES" oP.e. V Litt. BY: IJ u' itti, Esquire Attorney for Plaintiff 916 Fifth Avenue Pittsburgh, PA 15219 ** THE DEBT COLLECTOR IS ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.** "'''W' _",_n ~I~"!F"" ----11! I , I : i IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION COMMONWEALTH OF PENNSYL VANIA, SS: d " 'I Ii '[ COUNTY OF ALLEGHENY BEFORE me, the undersigned authority, personally appeared Louis P. Vitti, Esquire, who, being duly sworn according to law, deposes and says that he is advised and believes that DEFENDANT(S) is/are not presently in the active military service of the United States of America and not members of the Army of the United States, United States Navy, the Marine Corps, or the Coast Guard, and not officers of the Public Health Service detailed by proper authority for duty with the Army or Navy; nor engaged in any active military service or duty with any military or naval units covered by the Soldiers and Sailors Civil Relief Act of 1940 and designated therein as military service, and to the best of this affiant's knowledge is/are not enlisted in military service covered by said act, and that the averments herein set forth, insofar as they are within his knowledge, are correct, and true; and insofar as they are based on information received from others, are true and correct as he verily believes. This Affidavit is made under the provisions of the Soldiers and Sailors Civil Relief Act of I I , II ". !, 'I L Ii II H j; II 'I I' II 1940. Louis P. Vitti, Esquire SWORN to and subscribed before me this 4th day Notarial Seal 200 I Cheryl B. Edler, Notary Public oT .J une, . Plttsbur~h, Alle~heny County My Commission Expires June 10, 2002 ~~_.,~. Notary P lic -,;t"__.~.,,,_ _, _ '" ,- '-,~,',,'?"'_'_~_ -.~_'''''_.__.'-, ,- ,."^",,-,,,,~,,~, .- "-" "I =. - ..,-,,,,,, ' '1" -.-.,p- --1 '-,- ~ -",.,-_. ._', .".-<."," ,."", II I I, Iii II Iq ,I; I!: f~1 ".'~',"' w .n: Iii 'i' i\1 I' , I i'! " I' L'; THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION , ' I' " , ' II I, I , i I I NATIONAL CITY MORTGAGE CO., assignee FIRST UNITED MORTGAGE SERVICES, INC., Plaintiff, No. 01-2247 CIVIL TERM vs. I II I CHRISTOPHER M. BUCHER and HILDA F. BAKER, Defendants. NOTICE OF ORDER. DECREE OR JUDGMENT Judgment is as follows: $70,359.31. , II, 'I' 'II 1'1 IIi 1'1 II , I I TO: DEFENDANT(S) You are hereby notified that a judgment was entered in the above-captioned proceeding on the {., +\..day of .....J, ,w 200 ( ~.D~ ,P. 7??(>>/J/r,~ Deputy ~'" ,,.., . ,.,,' .".,-~.-- ,,,.,,,,."" ,1"-.' .< -, , ' -'." - ". ~__ .,- .,- . -e,,, "'- ~ ..-. , , ' ""!-' 1[1 II II, Pi 'I, Iii , ! I J.Y ** THE DEBT COLLECTOR IS ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.** ~ I I I i 1":"0'~ d ~ "" ,,~C <, ..'<.-, . .". ..-"''';., ']ll(j -I -lIliirl:""r~[Jjliir'ti'~ :1"" 'irvsl'-' "'1#1';" e 0 0 t ~ ..tq" ....., ~ ~ L. :=,:2 --0 '"'O-DJ c:: ,<, -::oJ t!,)rn - -- c- O ~:D l ~"", r"'\ ZI;: ~"-, I.::J Q:~ 0-' ~J{~ 0 IAJ (;; r:::o -0 =1;: .,.1-1 r - '< - - :zO :3'': 't~~A AJ 0 ~ -0 Cd ~ f'" .J::: J>c: ~.r;;! ~ ':..:n ~-=..~ 0 JJ ....J -< ~. '<:; r ~ 1- J.lln~_",.....,~~, ~_~~_.~4J. 'E~ _' _"_J;"":""",,,."_,,>\NI;~!1't$t#$-il~'~~19'ft,t;;l'"";\~~'*'f~>f~'iM">\';:1lili"i~ttl~~lI1Mj!ll'1I;!'''~:<i!IMt'j'~'!'f~i.!Ilimli~~' ii"'" ~ p... IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NATIONAL CITY MORTGAGE CO., assignee of FIRST UNITED MORTGAGE SERVICES,INC., CIVIL DIVISION NO. 01-2247 CIVIL TERM Plaintiff, PRAECIPE FOR WRIT OF EXECUTION AND AFFIDAVIT OF LAST KNOWN ADDRESS vs. CHRISTOPHER M. BUCHER and HILDA F. BAKER, Code MORTGAGE FORECLOSURE II 'I 'I " ;, II il ','i,.'[ !' I , Defendants. Filed on behalf of Plaintiff Counsel of record for this party: Louis P. Vitti, Esquire PALD. #3810 Supreme Court #01072 (412) 281-1725 II I i Ii I! I Louis P. Vitti & Assoc., P.C. 916 Fifth Avenue Pittsburgh, PA 15219 ;-~,_~ ,e.., ,~_. . .N ,~~ .~ _ _ _ ~_ , . '"0' '" ~.>~- n _ . ~,~_. q _. ". ,_ ,__ _ ." .. _ . ~. - ~-- "- '- .- li..1 II ,i Iii ",IJ .I !H! 'i' ... . j:1 H ;1 I ., I , Iii I' I IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION ,[ NATIONAL CITY MORTGAGE CO., assignee FIRST UNITED MORTGAGE SERVICES, INC., Plaintiff, No. 01-2247 CIVIL TERM "','8. CHRlSTOPHER ]\1. BUCHER and HILDA F. BAKER, Defendants. ill PRAECIPE FOR WRIT OF EXECUTION IN MORTGAGE FORECLOSURE 10: PROTHONOTARY OF CUMBERLAND COUNTY Issue a Writ of Execution in favor of the Plaintiff and against the Defendant(s) in the above-captioned matter as follows: Amount Due $70,359.31 Interest 06/05/01-09/05/01 1,187.99 Total $71.547.30 I ; I III i The real estate, which is the subject matter of the Praecipe for Writ of Execution is situate m: 3rt! WardBoro of Carlisle, Cty of Cumberland, Cmwlth ofPA. Het adwg k/a 517 S. Pitt Street, Carlisle, P'>. 170l3.Parcel # 04-22-0483-074 c:1~6PJuLi Louis P. Vitti, Esquire Attorney for Plaintiff , II .1 I! , i , I I , i " ,- 'n,," "Y~~ _~_,_ < _ --'''1'''',1;''';,_-- _>,,' '."_ _', d',",' ',',''-,,,-, "'_", _ il !iI_ ~ o ~ ~ o -1::. f:l ~ :--- ~ 8 '- ..... p.J S ...J::. ~9 ."'-- ~ In_ ~ '- ~ f' ~ ...z:: " " "' '-', ," ,', ~,;; .- ,,' ..'~-,' ,,-~" .~, .",~, -.' ~,-~' -~~- ~r-filtf'fl';"~"-lin lfit'C)']~1fJ ,\J ..{) ~ \l) f...J ~ . , "l !N ..... CI'j ~8~icg I ( ~[pP 'vf o c: s: lJ{T," !:P[:l ,",_-::c. zr"" 0')2> -<"-;0- kG ~n >~ =< "- "' ::: , ~ "' ~ "' "' ~ "' .. .'. c::> o "',1 L.. ~ ~ :z :'::.~~;' ~~0~ ();g :-~(.n c" ~ '" ~ I 0'\ '"';J :x s-? :.n -l " -~'"'<':'!ll!M!I!m[ "r;-1~~~fl1~~~~~~~~~!!PlI'Q";"~I!1W?~!I!%~_i ~" - ll! . , ,I ill ! ~ I II dl ,,, ,I I IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION I III II III I NATIONAL CITY MORTGAGE CO., assignee FIRST UNITED MORTGAGE SERVICES, INC., Plaintiff, No. 01-2247 CIVIL TERM , I , vs. CHRISTOPHER M. BUCHER and HILDA F. BAKER, Defendants. AFFIDAVIT I, Louis P. Vitti, do hereby swear that, to the best of my knowledge, information and belief, I I II II " 'I II the Defendant( s), is/are tl1e owners of the real property on which the Plaintiff seeks to execute. That the Defendants' last known address is 517 South Park Street, Carlisle, P A 17013. ( If(r~~-4' Louis P. Vitti, Esquire S WORN TO and subscribed before me this 4th day of Notarial Seal Cheryl B. Edler, Notary Puhlic Pittsburgh, A"egheny County My Commission Expires June 10, 2002 Membel, Pennsyiv?nra ,A,s'::.oclatron 01 Notaries Jlme, 2001. ~ "';J"y,,~. '. ".~''!'''~,,~ c ',""-;-~' <--"'-,',' "",_-_"}I. _"" ' c"_',", - ",,>,. .. ""c' p..,' _,. --~. ~, ~ -~-= ,I " :1 il ,i Ii I l~ ~ " ',' ,,~ " "^ .-, . ~~'!!!f ,~,. ,~ - -~ . " ,C 'L. "'.'.-," ~'.-~'; ~,,-+- dr'~'rIT11r'iIil-~mr'Jt~1~:---~f'~ft-":(1 {F~ (") 0 ,~ c -~l "Us:: <- OJ c:: ;:::.! !JP n1 :;z ~li.;P Z::D I ~:'~~ 2.i wS;: ~? cr. G j'-, t ;.::: "'U ~~~ ~o :J!:: 0 :E>~ '!l ('SfTl ~ -~ Ul ~> -..J :5] -' , ,~~~_:~l~I!OI!lm,$~~~~~1'~~~fl'lI:;If.lM'!_~_,! $'~}~!!~f~!Wi Iii .!: IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYL VANIA CIVIL DIVISION NATIONAL CITY MORTGAGE CO., assignee FIRST UNITED MORTGAGE SERVICES, INC., Plaintiff, No. 01-2247 CIVIL TERM vs. CHRISTOPHER M. BUCHER and HILDA F. BAKER, Defendants. I I 'I LEGAL DESCRIPTION ALL those two certain tracts of land and the improvements thereon situate in the Third Ward of the Borough of Carlisle, Cumberland County, Pennsylvania, bounded and described as follows: TRACT 1: BEGI:>lNING at a point on the north building line of South Pitt Street, a distance of 132.20 feet south of the building line of Willow Street at the comer of property now or formerly of Harold L. Weigel, the said point of beginning being in the center of the partition between the property herein conveyed and the property now or formerly of Charles R. Todd, et at.: thence along the latter, South 83 degrees 47 minutes East, a distance of 110 feet to the western line of a I O-foot public alley; thence along the latter, South 6 degrees 13 minutes West, a distance of 16 feet to a point in the partition line of the lot hereby conveyed and the lot formerly of Joseph L. and Katherine D. Loury, it being the property Imown as No. 519 South Pitt Street; thence on a line running through the center of a partition wall dividing properties known as Nos. 517 and 519 South Pitt Street, a distance of 110 feet to the eastern building line South Pitt Street; thence along the latter, North 6 degrees 13 minutes East, a distance of 16 feet to the Place of BEGINNING. I it Ii 'f , !l' III HAVING thereon erected a frame dwelling house Imown and numbered as 517 south Pitt Street, Carlisle, Pennsylvania. TRACT 2: BEGINNING at a point on the eastern side ofthe IO-foot alley above-mentioned, at a point 143.83 feet south of the south building line of Willow Street, at the corner of lot now or formerly of Charles R. Todd, et al.; thence South 83 degrees 47 minutes East, a distance of70 feet to the in now or formerly of Meals Estate; thence along the same, South 6 degrees 13 minutes West, a distance of 15 feet to a point in said line; thence in a line parallel with the first mentioned line 70 feet to a point on the East side of said 10-foot alley; (the distance set forth herein of 70 feet was inadvertantly omitted from the prior Deed recorded in Deed Book N. Volume 36, Page 105, but for the correct distance see Deed Book Y, VOhlllle 19, Page 683); thence along the same, North 6 degrees 13 minutes East, a distance of 15 feet to the Place of Beginning. The same being a rectangular lot 70 feet in depth and an even width of 15 feet, tb ~ lot herein described being located across said alley from the first described property and almost rear of the same. HAVING erected thereon a dwelling lmown as 517 S. Pitt Street, Carlisle, PA 17013. Parcel No. 04-22-0483-074. BEING the same premises which Colleen L. Haws, single woman, by her Deed dated 1/28/2000 and recorded on 1/31/2000 in the Cmnberland County, Pennsylvania, in the Recorder of Deeds Office in Deed Book Volume 215, page 603, granted and conveyed unto Christopher M. Bucher and Hilda F. Baker, single persons. -'"I". ,? ~\'Y",-^-"- -'-"", - ~~< I"" "..T - f"','-' - ~," " -"<"-'- ~ , I I !I " I!!l! ,,,,,~ - -, - . "II' " , '1,: Plaintiff, No. 01-2247 CIVIL TERM :.1: I II il III Iii i I i I i I! i I I IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYL VANIA CIVIL DIVISION NATIONAL CITY MORTGAGE CO., assignee FIRST UNITED MORTGAGE SERVICES, INC., vs. CHRISTOPHER M. BUCHER and HILDA F. BAKER, , I i Defendants. " , i II ili HI 'II I, ., " " 'I II', " Ii I! I, ,I 11 AFFIDAVIT I. Louis P. Vitti, hereby certify that as representative of National City Mortgage et ai, am familiar with the above-captioned case and various servicing activities related thereto and that the provisions of the iaws of the Commonwealth of Pennsylvania and specifically, Act 91 of 1983, have been complied with ir, the above-captioned case. ?Y;f~@~~ Louis P. Vitti, Esquire Attorney for Plaintiff SWORN to and subscribed beiore me this 4th day Notarial Seal Cheryl B. Edler, Notary Public Plttshurgh, AUegheny County My Commission Expires June 10, 2002 MembGr, Pennsylvania AssoC'lation ot Notaries :'1 , , of "me, 2001. ~ .. .'., q- _ ,",' ~_ _"',"" ,~_~."_ " ..'c- _' - ~__" ,. - ., '," .-C''', ." _,___ll.." ___~,'" ; ."".",. '. ,_ "', ,_ . ,.'_ ""' _,_ _ -, I , ,~ ," _, d,_ '- -~ -"-<. " ., -~- I I I I I ! 1 II! ~ Notary P lie :m ':~~. ,'- .". -,.,~c.?- ,"~ .' ". ".,~ , '" -ill:' "~i" '-''-f- ::; iid:\' ' "~:1 JfJll:: 1rt" "::".11 iii' -~ril~a~'fi:' -.;; - ~ "1 - '::-"' -"' 4'1( (} C' C) C -r't ~ S:::: '"'0 OJ '- ::J mll"i z: r- 23:1 I ~,rn Z,- -hr.?, en. "r::- CT. '".-'( ~z GO -v :~~::r4 '<: ~O ::J;: ~6 ;;:;g "C:? (;;en ~ U'l ~ (Xl "< ~. )" j.~~~m~~\'l(t'if'mM\'1l~>!\l~l!'Ilii~~!~~I~~~; ll! . IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION NATIONAL CITY MORTGAGE CO., assignee FIRST UNITED MORTGAGE SERVICES, INC., Plaintiff, No. 01-2247 CIVIL TERM vs. CHRISTOPHER M. BUCHER and HILDA F. BAKER, Defendants. AFFIDAVIT PURSUANT TO RULE 3129.1 National City Mongage Co., et aI, Plaintiff in the above action, sets forth as of the date the Praecipe for the Writ of Execution was filed the following information concerning the real property located at 517 S. Pitt Street, Carlisle, Pa 17013. \. Name and address ofOwner(s) or Reputed Owner(s): Christopher M. Bucher Hilda F. Balcer 51 7 S. Pitt Street Carlisle, PA 17013 I , . , I 'I I, III 1,1 "~I I' Name: Address (Please indicate if this cannot be reasonably ascertained) 2. Name and address ofDefendant(s) in the judgment: Name: Address (Please indicate if this cannot be reasonably ascertained) Same as No. I above. 3. Name and last known address of every judgment creditor whose judgment is a record lien on the ,eal property to be sold: Name: Address (please indicate if this cannot be reasonably ascertained) ,I , NONE , I";'" C,,,-,,,__ ,_~ ' _ ,~,S _ , . _~ " , _ 1 ti '.~'- Ii << , 4. Name and address of the last recorded holder of every mortgage of record: Name Address (Please indicate if this cannot be reasonably ascertained) NONE 5. Name and address of every other person who has any record lien on the property: Nanie Address (Please indicate if this cannot be reasonably ascertained) , ],1 ," "I j" I I il. 0', , , I' I None 6. Name and address of every other person who has any record interest in or record lien on the property and whose interest may be affected by the sale: Name Address (Please indicate if this cannot be reasonably ascertained) None i. Name and address of every other person of whom the Plaintiff has knowledge who has any interest in the property which may be affected by the sale: Narne Address (Please indicate if this cmlliot be reasonably ascertained) Tax Collector of Carlisle P.O. Box 128 Carlisle, Pa 17013-0128 Atln: Darlene Moyer I' I Water & Sewage 240 Clearwater Drive Carlisle, P A 17013 II II Commonwealth ofPA -DPW P.O. Box 8016 Harrisburg,PA 17105 Clerk of Courts Criminal/Civil Division One Courthouse Square Carlisle, PAl 70 13 CO:"lt of Common Pleas of Cumberland County Domestic Relations Division P.O. Box 320 Carlisle, P A 17013 ,".'er,' . ",",~ _,"~ _ , " d '~..., -. Ii! 4 . Bureau of Compliance Clearance Support Section Dept. #281230 Harrisburg, PA 17128-1230 Attn: Susan Blough " ill; ij II q I, ii Ii " I' [' Tenant/Occupant 517 S. Pitt Street Carlisle, PA 17013 I verify that the statements made in this affidavit are true and correct to the best of my personal knowledge or information and belief. 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. Iii " ! ( June 4. 2001 Date (7(~~ LOllS P. Vitti, Esquire Attorney for Plaintiff SWORN TO and subscribed before me this 4th day Notarial Seal Cheryl B. Edler, Notary Public Pittshurgh, A"e~heny County My Commission Expires June 10, 2002 MembGf, Pennsvlv~mla Association of Notaries 01 June, 2000. ~~ II '--"'0"'. ,~'"". ~, .~ -~"~ ',,-"-~-'- ~-^--,~,-'I.~"_'" _,,,~ ',' -~ ____~~ -- ... - <---,~- ,. --~,. -,- " 'P'- ~ ~ ~~ <.'~ '.~ ,,~ - ,_"'_~_ 7 , - IYIlR ~_,_ '-, '''', "fH - ';" -~{''->lr':'<; '-'"'-;C.O -.-: '~'>:~'1""..'t''f''';: '~_--_JlrC-Th""Jt":~rjt ~_~:~:~ . L 0 Cd c:: C) '?: '"T; ~f1_! ,- ~rh c:: -Z' ,-~.:; t5E:: I ' l-~-: ;:s ~; 0'. :'~~;Ej ~l7 ,J ~~0 ~~ ~o ::it c):D 5>0 ~:~~ c:: ~ ~ O. ~ -I J>. (Xl ::cr --<: ~~~~.~1~~~~~~~~~~~!fM"~1 Hi C' ' -- NOTICE OF SHERIFF'S SALE OF REAL ESTATE PURSUANT TO PENNSYLVANIA RULE OF CIVIL PROCEDURE 3129.1 TO: Christopher M. Bucher Hilda F. Balcer 517 S. Pitt Street Carlisle, P A 17013 AND: ALL LIEN HOLDERS TAKE NOTICE that by virtue of the above Writ of Execution issued out of the Court of Common Pleas of Cumberland County, Pennsylvania and to the Sheriff of Cumberland County, directed, there will be exposed to Public Sale in Cumberland County Courthouse on September 5,2001 at 10:00 A.M., the following described real estate, of which Christopher M. Bucher and Hilda F. Baker are owners or reputed owners: 3rd Ward Boro of Carlisle, Cty of Cumberland, Cmwlth ofPA. Het a dwg k/a 517 S. Pitt Street, Carlisle, PA 17013. Parcel # 04-22-0483-074. The said Writ of Execution has issued on a judgment in the mortgage foreclosure action of National City Mortgage Co., et al vs. Christopher M. Bucher and Hilda R. Balcer at 517 S. Pitt Street, C1rlisle, P A 17013 in the amount of $70,359.31. Claims against property must be filed at the Office ofthe Sheriff before above sale date. 'I II 'I i il Ii Ii I, !, Claims to proceeds must be made with the Office of the Sheriff before the sale date. Schedule of Distribution will be filed with the Office of the Sheriff no later than thirty (30) days from sale date. Exceptions to Distribution or a Petition to Set Aside the Sale must be filed with the Office of the Sheriff no later than ten (10) days from the date when Schedule of Distribution is filed in the Office of the Sheriff. Attached hereto is a copy of the Writ of Execution. It has been issued because there is a judgment against you. It may cause your property to be held or taken to pay the judgment. You may have legal rights to prevent your property from being taken. A lawyer can advise you more specifically of these ri ghts. If you wish to exercise your rights you must act promptly. .;.~ ..,", -. . < ~~~c ~', < !l! <( ,/ .-.... YOU SHOULD TAKE TillS NOTICE AND THE WRIT OF EXECUTION 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 ADVICE. Ii! ,Ii i' II I Ii I I CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE CARLISLE, P A 17013 (717) 249-3166 You may have legal rights to prevent the Sheriffs Sale and the loss of your property. In order to e';ercise those rights, prompt action on your part is necessary. A lawyer may be able to help you. You may have the right to prevent or delay the Sheriff's Sale by filing, before the sale occurs, a petition to open or strike the judgment or a petition to stay the execution. If the judgment was entered because you did not file with the Court any defense or objection you might have within twenty (20) days after service of the Complaint for Mortgage Foreclosure and Notice to Defend, you may have the right to have the judgment opened in you promptly file a petition with the Court alleging a vaiid defense and a reasonable excuse for failing to file the defense on time. If the judgment is opened, the Sheriff's Sale would ordinarily be delayed pending a trial of the issue of whether the Plaintiff has a valid claim to foreclose the Mortgage. You may also have the right to have the judgment stricken if the Sheriff has not made a valid return of service of the Complaint and Notice to Defend or if the judgment was entered before twenty (20) days after service or in certain other events. To exercise this right, you would have to file a petition to strike the Judgment. I I' 'I' 1,1 I' You may also have the right to petition the Court to stay or delay the execution and the Sheriffs Sale if you can show a defect in the Writ of Execution or service or demonstrate any other legal or equitable right. You may also have the right to have the Sheriffs Sale set aside if the property is sold for a grossly i'.1adequate price or if there are defects in the Sheriffs Sale. To exercise this right, you should file a petition with the Comt after the sale and before the Sheriff has delivered his Deed to the property. The Sheriff will deliver the Deed if no petition to set aside the sale is filed within ten (10) days from the date when the Schedule of Distribution is filed in the Office of the Sheriff. r7f~LL7 Louis P. Vitti, Esquire Attorney for Plaintiff 916 Fifth Avenue Pittsburgh, PA 15219 (412) 281-1725 **THE DEBT COLLECTOR IS ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.** ", ~ i ,~=.< ~ , ,~ , !JtlII'JIl~ ,"" ,-- .-~ ~- ~." ,,',-.,' 'Z'."',"",., '"",~,-,\.- 'rf';[i~'."o'l' lun rr'~_1"l'-ii~lo.;1.1r--'~''hl/' (") C> 0 C -1"'1 s::: r_ '"UO. c: T m.l ZfT! :if;: :"1 :TJ 'c~~~ 6jc; I ~2~ 0', ~D .'1:") ~o ::1:;: ~~B >2 w (srI! Z ---1 r.:n -~~ =< ~n 0:> .< - ~ ~ ."J!!11f!;1!1I~!E~~~"~~>rnlli~~!!'ID_f)N~lflll"l:~mlljill!o~ll'~~~J~~~lOOrm1l1!.!J1~,~ f!1~:"'"" ,,,:!;,t!, t.J;,il!l . National City Mortgage Co Assignee First United Mortgage Services, Inc. -vs- Christopher M.Bucher In the Court of Common Pleas of Cumberland County, Pennsylvania No. 2001-2247 Civil R. Thomas Kline, Sheriff, who being duly sworn according to law says this writ, is returned Stayed. Sheriffs Costs: Docketing Poundage Law Library County Mileage Levy Surcharge Postpone Sale Sworn and subscribed to before me This .l.-...J.- day of q,li . 200l,A.D. ~Q. 1/It,jlh)/~ Pr thonotary L; , .,. 1"1 30.00 1.99 .50 1.00 3.10 15.00 40.00 20.00 $ 111.59 --r , Pd by arty 06/12/0 I SO~s)y9".Y /~. r~~-'f'~~ R. Thomas Kline, Sheriff BY gL",ut~ Deputy Sheriff \.~ ~ 3 ;I'7Ii'f ~ //3J1t ~"'e-, ~'~'~T'''< - ,- ,~""''''. _, _ '" .. , ... " II :q ,Ii ,', ,iq li."1 " i: il I! " , IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION NATIONAL CITY MORTGAGE CO., assignee FIRST UNITED MORTGAGE SERVICES, INC., Plaintiff, No. 01-2247 CIVIL TERM vs. I II 'I , CHRISTOPHER M. BUCHER and IDLDA F. BAKER, Defendants. AFFIDAVIT PURSUANT TO RULE 3129.1 National City Mortgage Co., et ai, Plaintiff in the above action, sets forth as of the date the Praecipe for the Writ of Execution was filed the following information concerning the real property located at 517 S. Pitt Street, Carlisle, Pa 17013. 1. Name and address of Owner(s) or Reputed Owner(s): 'I Name: Address (Please indicate if this cannot be reasonably ascertained) Christopher M. Bucher Hilda F. Baker 517 S. Pitt Street Carlisle, P A 17013 I I Ii I! " I! Ii " II ! 2. Name and address of Defendant(s) in the judgment: Name: Address (Please indicate if this cannot be reasonably ascertained) Same as No.1 above. 3. Name and last Imown address of every judgment creditor whose judgment is a record lien on the real prclperty to be sold: Name: Address (Please indicate if this cannot be reasonably ascertained) NONE 't',llI '.-- . ,. " ~ OT-. , t I " iO''!i! ~. 'I' ". I 1 I I 4. Name and address of the last recorded holder of every mortgage of record: Name Address (Please indicate if this cannot be reasonably ascertained) NONE 5. Name and address of every other person who has any record lien on the property: Na.nie Address (Please indicate if this cannot be reasonably ascertained) None 6. "Name and address of every other person who has any record interest in or record lien on the property and whose interest may be affected by the sale: II I, I! Ii I Name Address (Please indicate if this cannot be reasonably ascertained) None 7. Name and address of every other person of whom the Plaintiff has knowledge who has any interest in the property which may be affected by the sale: Name Address (Please indicate if this cannot be reasonably ascertained) Tax Collector of Carlisle P.O. Box 128 Carlisle, Pa 17013-0128 Attn: Darlene Moyer Water & Sewage 240 Clearwater Drive Carlisle, PA 17013 Commonwealth ofPA -DPW P.O. Box 8016 Harrisburg,PA 17105 Clerk of Courts Criminal/Civil Division One Courthouse Square Carlisle, P A 17013 CoLLt1 of Common Pleas of Cumberland County Domestic Relations Division P.O. Box 320 Carlisle, P A 17013 ;O;f ~ 'I ~ --P '" -'"J' Bureau of Compliance Clearance Support Section Dept. #281230 Harrisburg, PA 17128-1230 Attn: Susan Blough T enantlOccupant 517 S. Pitt Street Carlisle, P A 17013 I verify that the statements made in this affidavit are tme and correct to the best of my personal knowledge or information and belief. I understand that false statements herein are made subject to the penalties of 18 Pa. C.S. Section 4904 relating to unsworn falsification to authorities. I Ii I' I ( June 4. 2001 Date 4~;JLU Loms P. Vitti, Esquire Attorney for Plaintiff SWORN TO and subscribed before me this 4th day onune, 2000. Not5riaJ Seal Charyl B. Edler, Notary Public _ Pittsburgh, Allegheny County , My CQmmission Expires .June 10, 2002 Memua;", P-~rlr:>V!V?il!i; ,:\ssociation of Notaries ~J;k. I II II I I I j, !! " , " i 'I I I '-;;~P^" , ." - ~I' , . -,--, , ,I II 'Ii ~~~-' ~~ ~~ ~" '_L. . _l ~ . ,_,"u ,-.1 '-.'-r.'::"~~ ""H' , i ,~ NOTICE OF SHERIFF'S SALE OF REAL ESTATE PURSUANT TO PENNSYL VANIA RULE OF CIVIL PROCEDURE 3129.1 TO: Christopher M.Bucher Hilda F. Baker 517 S. Pitt Street Carlisle,PA 17013 AND: ALL LIEN HOLDERS TAKE NOTICE that by virtue of the above Writ of Execution issued out of the Court of Common Pleas of Cumberland County, Pennsylvania and to the Sheriff of Cumberland County, directed, there will be exposed to Public Sale in Cumberland County Courthouse on September 5,2001 at 10:00 A.M., the following described real estate, of which Christopher M. Bucher and Hilda F. Baker are owners or reputed owners: 3rd Ward Boro of Carlisle, Cty of Cumberland, Cmwlth ofPA. Het a dwg k/a 517 S. Pitt Street, Carlisle, PA 17013. Parcel # 04-22-0483-074. The said Writ of Execution has issued on a judgment in the mortgage foreclosure action of National City Mortgage Co., et al vs. Christopher M. Bucher and Hilda R. Balcer at 517 S. Pitt Street, Carlisle, P A 17013 in the amount of$70,359.31. Claims against property must be filed at the Office of the Sheriff before above sale date. Claims to proceeds must be made with the Office of the Sheriff before the sale date. Schedule of Distribution will be filed with the Office of the Sheriff no later than thirty (30) days from sale date. Exceptions to Distribution or a Petition to Set Aside the Sale must be filed with the Office of the Shenffno later than ten (10) days ftornthe date when Schedule of Distribution is filed in the Office of the Sheriff. Attached hereto is a copy of the Writ of Execution. It has been issued because there is a judgment against you. It may cause your property to be held or taken to pay the judgment. You may have legal rights to prevent your property from being taken. A lawyer can advise you more specifically of these rights. If you wish to exercise your rights you must act promptly. .,.,. '-a!t,,~:. I I I I ! , II I' Ii ,i , I I I " I I II Ii I' I I i , iil I " . . YOU SHOULD TAKE THIS NOTICE AND THE WRIT OF EXECUTION TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE ALA WYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL ADVICE. I CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE CARLISLE, P A 17013 (717) 249-3166 ii " " :i Ii n \: ; You may have legal rights to prevent the Sheriffs Sale and the loss of your property. In order to e:;ercise those rights, prompt action on your part is necessary. A lawyer may be able to help you. You may have the right to prevent or delay the Sheriff's Sale by filing, before the sale occurs, a petition to open or strike the judgment or a petition to stay the execution. If the judgment was entered because you did not file with the Court any defense or objection you might have within twenly (20) days after service of the Complaint for Mortgage Foreclosure and Notice tJ Defend, you may have the right to have the judgment opened in you promptly file a petition with the Court alleging a vlliid defense and a reasonable excuse for failing to file the defense on time. If the judgment is opened, the Sheriff's Sale would ordinarily be delayed pending a trial of the issue of whether the Plaintiff has a valid claim to foreclose the Mortgage. You may also have the right to have the judgment stricken if the Sheriffhas not made a valid return of "en'ice of the Complaint and Notice to Defend or if the judgment was entered before twenty (20) days after service or in certain other events. To exercise this right, you would have to file a petition to strike the judgment. I I I ,[ II You may also have the right to petition the Court to stay or delay the execution and the Sheriffs Sale if you can show a defect in the Writ of Execution or service or demonstrate any other legal or equitable right. You may also have the right to have the Sheriff's Sale set aside if the property is sold for a grossly i!.ladequate price or if there are defects in the Sheriffs Sale. To exercise this right, you should file a petition with the COUlt after the sale and before the Sheriff has delivered his Deed to the property. The Sheriff will deliver the Deed if no petition to set aside the sale is filed within ten (10) days from the date when the Schedule of Distribution is filed in the Office of the Sheriff C7f~~ Louis P. Vitti, Esquire Attorney for Plaintiff 916 Fifth Avenue Pittsburgh, PA 15219 (412) 281-1725 I I !: Ii i I II ,I Ii " " ! ; **THE DEBT COLLECTOR IS ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.** '- .00 ""',,^-",_.t._ TI\J THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION I '1,1 'I :, i' NATIONAL CITY MORTGAGE CO., assignee FIRST UNITED MORTGAGE SERVICES, INC., Plaintiff, No. 01-2247 CIVIL TERM vs. Defendants. !!I ',II ! ! Ii : CHRISTOPHER M. BUCHER and HILDA F. BAKER, LEGAL DESCRIPTION ALL those two certain tracts of land and the improvements thereon situate in the Third Ward of the Borough of Carlisle, Cumberland CQlmty, Pennsylvania, bounded and described as follows: TRACT I: BEGINNING at a point on the north building line of South Pitt Street, a distance of 132.20 feet south of the building line of Willow Street at the comer of property now or formerly of Harold 1. Weigel, the said point of beginning being in the center of the partition between the property herein conveyed and the property now or formerly of Charles R. Todd, et al.: thence along the latter, South 83 degrees 47 minutes East, a distance of 110 feet to the western line of a 10- foot public alley; thence along the latter, South 6 degrees 13 minutes West, a distance of 16 feet to a point in the partition line of the lot hereby conveyed and the lot formerly of Joseph 1. and Katherine D. Loury, it being the property known as No. 519 South Pitt Street; thence on a line running through the center of a partition wall dividing properties known as Nos. 517 and 519 South Pitt Street, a distance of 110 feet to the eastern building line South Pitt Street; thence along the latter, North 6 degrees 13 minutes East, a distance of 16 feet to the Place of BEGINNING. '! ' HA VIN G thereon erected a frame dwelling house Imown and numbered as 517 south Pitt Street, Carlisle, Pennsylvania. II TRACT 2: BEGINNING at a point on the eastern side of the 10-foot alley above-mentioned, at a point 143.83 feet south of the south building'line of Willow Street, at the corner of lot now or formerly of Charles R. Todd, et al.; 'thence South 83 degrees 47 minutes East, a distance of70 feet to the in now or formerly of Meals Estate; thence along the same, South 6 degrees 13 minutes West, a distance of 15 feet to a point in said line; thence in a line parallel with the first mentioned line 70 feet to a point on the East side of said 10-foot alley; (the distance set forth herein of70 feet was inadvertantly omitted from the prior Deed recorded in Deed Book N. Volume 36, Page 105, but for the correct distance see Deed Book Y, Vohune 19, Page 683); thence along the same, North 6 degrees 13 minutes East, a distance of 15 feet to the Place of Beginning. The same being a rectangular lot 70 feet in depth and an even width of 15 feet, the lot herein described being located across said alley from the first described property and almost rear of the same. I II I, Ii HAVING erected thereon a dwelling known as 517 S. Pitt Street, Carlisle, PA 17013. Parcel No. 04-22-0483-074. , ''.l~!'It'.iW~!Ilmn _,_" .U__l'FT1, _~~_ .1-, F'- ~ -, - I, Ii Ii Ii I' II p !rJ~ BEING the same premises which Colleen 1. Haws, single woman, by her Deed dated 1/28/2000 and recorded on 1/31/2000 in the Cumberland County, Pennsylvania, in the Recorder of Deeds Office in Deed , Book Volume 215, page 603, granted and conveyed unto Christopher M. Bucher and Hilda F. Bal,er, single persons. ~~"""_N."', ~. , _ ~.~,~ " . '_ ~,"",J'- - ,~ WRITOFj~),(ECUTION and/or ATTACHMENT GOMMONWEALTH OF PENNSYLVANIA) COUNTY OF CUMBERLAND) NO. 01-2247 CIVIL lJPC TERM CIVIL ACTION - LAW TO THE SHERIFF OF a.nnberland COUNTY: To satisfy the debt, interest and costs due National City Mortgage Co., assignee First United Mortgage Services, Inc. PLAINTIFF(S) from Christopher M. Bucher and Hilda F. Baker. 517 South l'itt Street. Carlisle. PA 17013 DEFENDANT(S) (1) You are directed to levy upon the property of the defendant(s) and to sell See Legal Description ,of ,r,',,: (2) You are also directed to attach the property of the defendant(s) not levied upon in the possession of . ' .': ,; ";1,'-:.1 ' ',L.:U', GARNISHEE(S) as follows: and to notny the garnishee(s) that: (a) an attachment has been issued; (b) the garnishee(s) is/are ,E!pjoifled from paying any debt to or for the account of the defendant(s) and from delivering any property of the defElndant(sf or otherwise disposing thereof; (3) If property of the defendant(s) not levied upon an subject to attachment isfound inthe possession of anyone other than a named garnishee, you are directed to notify him/herthat he/she has been added as a garnishee and is enjoined as above stated. Amount Due $70,359.31 Interest 6/5/01 - 9/5/01 - $1,187.99 L.L. $.50 $1.00 Atty's Comm Atty Paid Plaintiff Paid % Due Prothy Other Costs $1?h '14 Date: ,111nP h, ?nn1 -..by : Cllrti" R. long Prothonotary, Civil Division L2D~o p ~~,/ Deputy REQUESTING PARTY: Name Address: Louis P. Vitti, Esq. 916 Fifth Avenue Pittsburqh, PA 15219 Attorney for: Plaintiff Telephone: 412-281-1725 Supreme Court ID No. 01072 NATIONAL CITY MORTGAGE CO., assignee of FIRST UNITED MORTGAGE SERVICES, INC., CIVIL DMSION NO. 01-2247 CIVIL TERM Plaintiff, PRAECIPE TO REISSUE WRIT OF EXECUTION AND AFFIDAVIT OF LAST KNOWN ADDRESS vs. Code MORTGAGE FORECLOSURE CHRISTOPHER M. BUCHER and ffiLDA F.BAKER, Filed on behalf of Plaintiff Defendants. Counsel of record for this party: Louis P. Vitti, Esquire PA J.D. #3810 Supreme Court #01072 Louis P. Vitti & Assoc., P.C. 916 Fifth Avenue Pittsburgh, PA 15219 (412) 281-1725 ",-;j(l - ~",,__,,-'C ., ,_=~,' '. ~. = . REAL ESTATE SALE ,.Ja. J/ . ~ ~ G=E' Iiii1J On J LU1..Q '7, ;} DO /the sheriff levied upon tile defenClant.. iftlBist In the real property situated in (' ~ B07.Dv1h... - bumbei1ahd County, Pa., known and numbered as: 5/7 -<fo~e..;l::ldl:-. C ~ ~ ~. aOO mote fully described on Exhwft "A." filed ... this writ and I)y t1'Iis re~rence inc.arporated hei\Jn, iJom:--J ~-'1, .;1m IsvJi:::J 5::!;;; I' , I i ~ m j, I, j\ I I I!, ~ ,!.t, \]If "" .:' ~ ,",J., JJ ,""",'''',~'''''c~~"_,,,__ ~_, ""11~~",,, "" '" ^ _._;Jr.,_ -1~J 1'''' ,,~~ '-'-', , ""- IN THE COURT OF COMl'DN PLEAS OFCU!1BER.LAND COUNIT, PENNSYLVANIA CIVIL i:lIV1SION - PRAECIPE FOR WRIT OF EXECUTION Caption: National City Mortgage Go., et al, Confessed Judgment Other File No. 01-2247 Civil Term vs. Christopher M. Bucher and Hilda F. Baker, Interest $70,359.31 2,350.43 Arroun t Due Atty's Cc:mn Costs ro THE ProIHONJrARY OF THE SAID COURT: The undersigned hel:eby certifies that the below does not arise out of a retail instalJ.nent sale, contract, or account based on a confession of judgrrent, but if it does, it is based on the appropriate or5.ginal proceeding filed pursuant to Act 7 of 1966 as arrended; and for real property pursuant to Act 6 of 1974 as arrended. Issue writ of execution in the above IT'dtter to the Sheriff of Cumberland County, for debt, interest and costs upon the following described property of the defendant(s) Christopher M. Bucher and Hilda F. Baker PRAECIPE FOR A'I'l'KH1ENr EXE01rIctl Issue writ of attachrrent to the Sheriff of Cumberland County, for debt, interest and costs, as above, directing attachrrent against the above-narred garnishee(s) for the following property (if real estate, supply six copies of the description; supply fow:' copies of lengthy personalty list) See attached legal description and all other property of the defendant ( s) in the possession, custody or control of the said garnishee( s). September 6, 2001 ( Indicate) Index this writ agains t the garnishee( s) as a lis pendens against of the defendant(s) described in the attached exhibit. Signature:iT~(?;#t Louis P. Vitti P::-int Name: real estate DATE: 916 Fifth Avenue Pittsburgh, PA 15219 A" tOr:1ey Ear: Plaintiff .~dress : TeLe~~or.e: (412) 281-1725 '-'''ii_, ~ ~ ="~ "_ l I,' -1- , , ~ ~- ~ - ~. - "",",o>~, _"^'';_';''':._ --, '",'. ,"'. --.,<,' rifT"'. 'f'r"1 .c',_,.,,' t"; '1,it"ntJ!HlUT,-::,y~t'i(?' '::'1~{ -h~1-lrt "'l~'I(i:ii' .>. "~YP-i't~\;~'11(', '::l :l1m,CrilL 'r-I: -"','-,':jlilr1J(iP ~t .~"''''- ~~~'Wn.. ~ ._e. ~ _~,..",,!S!~'I\Il>'~"N{'m~''f1''''''''~'~''\''''''''''''' :"","f:n:"'J!t1"~.j~"":il~jFJ'1iiF~"I"-H',-'!I;,~"g'9;;;r,:,;jf~Ii:!~~; IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION NATIONAL CITY MORTGAGE CO., assignee of : FIRST UNITED MORTGAGE SERVICES, INC., NO. 01-2247 CIVIL TERM Plaintiff, vs. CHRISTOPHER M. BUCHER and HILDA F. BAKER, Defendants. LEGAL DESCRIPTION ALL those two certain tracts of land and the improvements thereon situate in the Third Ward of the Borough of Carlisle, Cumberland County, Pennsylvania, bounded and described as follows: TRACT 1: BEGINNING at a point on the North building line of South Pitt Street, a distance of 132.20 feet South of the building line of Willow Street at the comer of property now or formerly of Harold L. Weigle, the said point of beginning being in the center of the partition between the property herein conveyed and the property now or formerly of Charles R. Todd, et al; thence along the latter, South 83 degrees 47 minutes East, a distance of 110 feet to the Western line of a 10 foot public alley; thence along the latter, South 6 degrees 13 minutes West, a distance of 16 feet to a point in the partition line of the lot hereby conveyed and the lot now or formerly of Joseph L. aud Katherine D. Loury, it being the property known as No. 519 South Pitt Street; thence on a line running through the center of a partition wall dividing properties known as Nos. 517 and 519 South Pitt Street, a distance of 110 feet to the Eastern building line South Pitt Street; thence along the latter, North 6 degrees 13 minutes East, a distance of 16 feet to the Place of BEGINNING. HAVING thereon erected a frame dwelling house known and numbered as 517 South Pitt Street, Carlisle, PA 17013. TRACT 2: BEGINNING at a point on the Eastern side of the 10 foot alley above mentioned, at a point 143.83 feet South ofthe South building line of Willow Street, at the corner oflot now or formerly of Charles R. Todd, et al; thence South 83 degrees 47 minutes East, a distance of70 feet to the line now or formerly of Meals Estate; thence along the same, South 6 degrees 13 minutes West, a distance of 15 feet to a point in said line; thence in a line parallel with the first mentioned line 70 feet to a point on the East side of said 10 foot alley; (the distance set forth herein of 70 feet was inadvertently omitted from the prior Deed recorded in Deed Book N, Volume 36, Page 105, but for the correct distance see Deed Book Y, Volume 19, Page 683); thence along the same, North 6 degrees 13 minutes East, a distance of 15 feet to the Place of BEGINNING. The same being a rectangular Lot 70 feet in depth and an even width of 15 feet, the Lot herein described being located across said alley from the first described property and almost rear of the same. PARCEL NO. 04-22-0483-074 BEING the same premises which Colleen L. Haws, single woman, by deed dated 01128/00 and recorded on 01131100 in the Cumberland County, Pennsylvania, Recorder of Deeds Office in Deed Book Volume 215, page 603, granted and conveyed unto Christopher M. Bucher and Hilda F. Baker, single person. ~',~ '-'-.~, "'C--.. ,".-0.__,1 -,. '1','-"-'--- " " '-l~'-'-" ~ ~ I ~1 ~~ "" """-.--- H r t'{'jltJi"'';'' ';~'~JM _ Ii p 1-~ ...... ...... ~ ~ \ -l::. ~ \J I-""i-",-'rn:.:":-'-"[';' ";.,> "d{"-'-:'jf'_~n :1"-_] -~ - , ~ :---. o () 6\ ....... ::::sJ --- CJ.J '--,"'"t"J%';',y;"",:,r' '-""jr' - rtlf'-",--.alhl'_"'-j'-",~'~" '-"'''};-l.1ft-t('' __ _ .. - .::::- ...... ~~~ ~ - ~ ~ D 8 I I ;:u ~ ~r ,~ '0 .(\ I ~ ~ '"" ,-e'=,,_-..",," _-',_:IJl'~'~_"o_ , .' v 'I' "'if'fflrurT"'rl~f1'WI' (') c: :;?~ t~ ~r:",", -,.~) Z,.., ,=C, )>c: -,. ~ C:l U, '''1 ~'''o- {~...:- : ~:') 'u ... '~~~ ~), ~h" 5J -< ~~;. ~.~" r-':,l :;:) C) Q,""~~ ".., ___,~4~i ,"~~~,_~,_v_-, _ _,__ r__,?Jr,i'fL-_:-/;-,"'l':;~1,I.~'-,--"-,,, ~ /-.- UNITED STATES BANKRUPTCY COURl FOR THE DISTRICT OF PENNSYLVANIA In re: Hilda F. Baker \ J Chapter #7 Debtor, ) - - - - - - - - - - - - - - - - --) National City Mortgage, ) ) ) ) Respondent, ) ) ) Case # 01-03259 Movant, vs. Hilda F. Baker, Markian R. Slobodian Trustee. ORDER OF COURT AND NOW, to-wit, this ~ day of . 1J,)f1JC;1 , 2001, based upon the Motion submitted and attached hereto, it is hereby Ordered, Adjudged and Decreed and determined that the Motion is granted. Movant, shall be and is hereby permitted to proceed and continue with an action in mortgage foreclosure and is hereby permitted to levy and Sheriff Sale the property located at 517 South Pitt Street, Carlisle,PA 17213 and to pursue its remedies under state law in connection with the subject note and deed of trust/mortgage. BY THE COURT Is! Robert J. Wt'bdiMe Bankruptcy Judge FILED HARRISBURG PA .AUG 2 1 2001 o Clerk, U.S. Bankruptcy Court '~'~"W~'%'~,_, I" __,,_~_o .'_ '1-' 1 .' . .. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYL VANIA CIVIL DIVISION NATIONAL CITY MORTGAGE CO., assignee of : FIRST UNITED MORTGAGE SERVICES, INC., NO. 01-2247 CIVIL TERM Plaintiff, vs. CHRISTOPHER M. BUCHER and HILDA F. BAKER, Defendants. AFFIDAVIT PURSUANT TO RULE 3129.1 National City Mortgage Co., et aI, Plaintiff in the above action, sets forth as of the date the Praecipe for the Writ of Execution was filed the following information concerning the real property located at 517 South Pitt Street, Carlisle, PA 17013. 1. Name and address ofOwner(s) or Reputed Owner(s): Name: Address (Please indicate if this cannot be reasonably ascertained) Christopher M. Bucher 517 South Pitt Street Carlisle, PA 17013 Hilda F. Baker 20 South High Street Newville, PA 17241 2. Name and address of Defendant(s) in the judgment: Name: Address (Please indicate if this cannot be reasonably ascertained) Same as No. I above. 3. Name and last known address of every judgment creditor whose judgment is a record lien on the real property to be sold: Name: Address (Please indicate if this cannot be reasonably ascertained) None :~ff"~ . .., 1 I'--fe': "- ,. ,,' ... 4. Name and address of the last recorded holder of every mortgage of record: Name Address (Please indicate if this cannot be reasonably ascertained) None 5. Name and address of every other person who has any record lien on the property: Name Address (Please indicate if this cannot be reasonably ascertained) None 6. Name and address of every other person who has any record interest in or record lien on the property and whose interest may be affected by the sale: Name Address (Please indicate if this cannot be reasonably ascertained) None 7. Name and address of every other person of whom the Plaintiff has knowledge who has any interest in the property which may be affected by the sale: Name Address (Please indicate if this cannot be reasonably ascertained) Tax Collector of Carlisle Borough c/o Darlene Moyer P.O. Box 128 Carlisle, PA 17013-0128 Water & Sewage 240 Clearwater Drive Carlisle, PA 17013 Commonwealth ofPA -DPW P.O. Box 8016 Harrisburg, PA 17105 Clerk of Courts Criminal/Civil Division One Courthouse Square Carlisle, PA 17013 Court of Common Pleas of Cumberland County Domestic Relations Division P.O. Box 320 Carlisle, PAl 70 13 ;'rc~!'IIW"__ ,. <" I ~ I-,-,r " .- Bureau of Compliance Clearance Support Section Dept. #281230 Harrisburg, PA 17128-1230 Attn: Susan Blough T enantJOccupant 517 South Pitt Street Carlisle, P A 17013 I verifY that the statements made in this affidavit are true and correct to the best of my personal knowledge or information and belief. 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. September 6. 2001 Date C5f~6f);j// , Louis P. Vitti, Esquire Attorney for Plaintiff SWORN TO and subscribed before me this 6th day f NC'f![:iJial Saal ~'8rYI 8. ,,:18r, Notary Public Pitt~~dt.qn: M~dI1~ny County My Ccrr~Y;i'?sb!\ _~~q_1Tf"9g ,June 10,2002 ___~_., ~,_.,... '_'_'.._.."_ .c. _,:,"-",,,,,",~,,~,,, 1.18m;;~'. Pn:l" ,S\;:'V", ,~-. .'\. ";-'>':;?...;1,_);'; -;;)1 ,lI.b:~~(IGS ~g. Notary Pu ic of September, 2000. ------- 'li1!~,r. w' . , .~~ .,- .- ! ,~.. "0-'- ",0;':"',"""- .-"""A ~' __~ "~--"' ~~~'~'."~, ___ _ "~-^I'- ~ '_-0>.__'_' '--'''-~__L~o&'~'' "O'"~_~ ~_~~~~ _jffi:~~J'l\~\l_. ,~,,~ or El~,,, ~~_1lII -~~=-",',.-:._ -"""o.!'"'."'-"~ '~',,---"""'_I '"- ".."- () ,c::~' C) c " :;;:: on "TJti:.J 1"'1 nlfh ~'Cl Z-:l::"1 ;2:C- ~,," 1';:;' / '''''' !<c" ,,1 ~,CI ::\1: ;;;;0 r;t C ~ 0 --. (:::> "".... ll_~:J 11, ,~, :-~?l"'W_<j'" '>_".'>;l-_',i'''<',';''''))'__'_('Y''-'' i--f'''' .l':i_\f-''''1",''if,-j"!!,''':';>"',~o!n<1,;;mfi''1l~",.,'1W'>ni'l''i\,W~!ljr~:l!fI!~li~'i'l\'f:!?-tI~Fil'; < ...... NOTICE OF SHERIFF'S SALE OF REAL ESTATE PURSUANT TO PENNSYL VANIA RULE OF CIVIL PROCEDURE 3129.1 TO: Christopher M. Bucher 517 South Pitt Street Carlisle, PA 17013 Hilda F. Baker 20 South High Street Newville, PA 17241 AND: ALL LIEN HOLDERS TAKE NOTICE that by virtue of the above Writ of Execution issued out of the Court of Common Pleas of Cumberland County, Pennsylvania and to the Sheriff of Cumberland County, directed, there will be exposed to Public Sale in Cumberland County Courthouse on December 5, 2001 at 10:00 A.M., the following described real estate, of which Christopher M. Bucher and Hilda F. Baker are owners or reputed owners: 3rd Ward, Boro of Carlisle, Cumberland Cty & Cmwlth ofPA. HET a dwg k/a 517 South Pitt Street, Carlisle, PA 17013. Parcel No. 04-22-0483-074. The said Writ of Execution has issued on a judgment in the mortgage foreclosure action of National City Mortgage Co., et al vs. Christopher M. Bucher and Hilda F. Baker at No. 01-2247 CIVIL TERM in the amount of $70,359.31. Claims against property must be filed at the Office of the Sheriff before above sale date. Claims to proceeds must be made with the Office of the Sheriff before the sale date. Schedule of Distribution will be filed with the Office of the Sheriff no later than thirty (30) days from sale date. Exceptions to Distribution or a Petition to Set Aside the Sale must be filed with the Office of the Sheriff no later than ten (10) days from the date when Schedule of Distribution is filed in the Office of the Sheriff. Attached hereto is a copy of the Writ of Execution. It has been issued because there is a judgment against you. It may cause your property to be held or taken to pay the judgment. You may have legal rights to prevent your property from being taken. A lawyer can advise you more specifically of these rights. If you wish to exercise your rights you must act promptly. f,~, -,_'__t~J"""',_ "_.." __'_"'_~_~M~_"'___O" _~~""". ___=_~",~_.__~I,~_ ~,.".. _. ,~_ .., -- YOU SHOULD TAKE TIllS NOTICE AND THE WRIT OF EXECUTION TO YOUR LA WYERAT 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 ADVICE. CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE CARLISLE, P A 17013 (717) 249-3166 You may have legal rights to prevent the Sheriff's Sale and the loss of your property. In order to exercise those rights, prompt action on your part is necessary. A lawyer may be able to help you. You may have the right to prevent or delay the Sheriff's Sale by filing, before the sale occurs, a petition to open or strike the judgment or a petition to stay the execution. If the judgment was entered because you did not file with the Court any defense or objection you might have within twenty (20) days after service of the Complaint for Mortgage Foreclosure and Notice to Defend, you may have the right to have the judgment opened in you promptly fIle a petition with the Court alleging a valid defense and a reasonable excuse for failing to file the defense on time. If the judgment is opened, the Sheriff's Sale would ordinarily be delayed pending a trial of the issue of whether the Plaintiff has a valid claim to foreclose the Mortgage. You may also have the right to have the judgment stricken if the Sheriff has not made a valid return of service of the Complaint and Notice to Defend or if the judgment was entered before twenty (20) days after service or in certain other events. To exercise this right, you would have to file a petition to strike the judgment. You may also have the right to petition the Court to stay or delay the execution and the Sheriff's Sale if you can show a defect in the Writ of Execution or service or demonstrate any other legal or equitable right. You may also have the right to have the Sheriffs Sale set aside if the property is sold for a grossly inadequate price or if there are defects in the Sheriff's Sale. To exercise this right, you should file a petition with the Court after the sale and before the Sheriff has delivered his Deed to the property. The Sheriff will deliver the Deed if no petition to set aside the sale is filed within ten (10) days from the date when the Schedule of Distribution is filed in the Office of the Sheriff. ;:.t~~i/it Attorney for Plaintiff 916 Fifth Avenue Pittsburgh, PA 15219 (412) 281-1725 **THE DEBT COLLECTOR IS ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.** ",,;q:-~, ~ - > .~,',"". <,""',"',',.,~~, ,_"',," -''''''',_"",,''-''''~,','' ,I_.__,"~, ,",,,,,,,'_"'~_,_]."_. .''C.",,"",". , " "_ 't'- '~j"' ~" <-:.~ : ')r~ rr~'~- .1~:rr1i j' t' Ji '1 t~'- Hfffi it - ~""-'''' '---~'--!iir"--o ';"""{J' ,..--;;. -',-k- ,I';; ,"-- "~,,;. :" r , II I' II " " I' II 'i Ii I , Ii , ! , I I II Ii Ii '! 1 , I ,I I 11!1 '-"".V-'~k-,_' ,..- .<' MH~'_~,_ . __, " _I,-"-'"I"~J g C;) ~.... u> .--- ~Jf':; r'\'1 rrlt1lr! --0 Z:J:! z~- t''''~1 ::Q ~{' c;:c:' '"T,} 'i?c, :Ji: ~(><< ,J;>(:: N -'" ~ '::::'I C~ -- , '" ~~ ~ ~~J!jijJi!W'!l~lmgf!'~M~~~-i1l.\'_~j~~I!eOO~I_~~~,~,li;;iIll~~~~f: ,~"t~~~'f':. ". :<Mr'illl!~U - 'rLc. b /. ;U.. '/1 C,;,;J 'I ~ NOTICE OF SHERIFF'S SALE OF REAL ESTATE PURSUANT TO PENNSYLVANIA RULE OF CIVIL PROCEDURE 3129.1 TO: Christopher M. Bucher 517 South Pitt Street Carlisle, P A 17013 Hilda F. Baker 20 South High Street Newville, PA 17241 AND: ALL LIEN HOLDERS TAKE NOTICE that by virtue of the above Writ of Execution issued out of the Court of Common Pleas of Cumberland County, Pennsylvania and to the Sheriff of Cumberland County, directed, there will be exposed to Public Sale in Cumberland County Courthouse on December 5, 2001 at 10:00 A.M., the following described real estate, of which Christopher M. Bucher and Hilda F. Bnker are owners or reputed owners: 3rd Ward, Boro of Carlisle, Cumberland Cty & Cmwlth of P A. HET a dwg kla 517 South Pitt Street, Carlisle, P A 17013. Parcel No. 04-22-0483-074. The said Writ of Execution has issued on a judgment in the mortgage foreclosure action of National City Mortgage Co., et al vs. Christopher M. Bucher and Hilda F. Baker at No. 01-2247 CIVIL TERM in the amount of$70,359.31. Claims against property must be filed at the Office of the Sheriff before above sale date. Claims to proceeds must be made with the Office of the Sheriff before the sale date. Schedule of Distribution will be filed with the Office ofthe Sheriff no later than thirty (30) days from sale date. Exceptions to Distribution or a Petition to Set Aside the Sale must be filed with the Office of the Sheriff no later than ten (10) days from the date when Schedule of Distribution is filed in the Office of the Sheriff. Attached hereto is a copy of the Writ of Execution. It has been issued because there is a judgment against you. It may cause your property to be held or taken to pay the judgment. You may have legal rights to prevent your property from being taken. A lawyer can advise you more specifically of these rights. If you wish to exercise your rights you must act promptly. ~,," 1-, " - YOU SHOULD TAKE TIllS NOTICE AND THE WRIT OF EXECUTION 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 ADVICE. CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY A VENUE CARLISLE, PA 17013 (717) 249-3166 You may have legal rights to prevent the Sheriffs Sale and the loss of your property. In order to exercise those rights, prompt action on your part is necessary. A lawyer may be able to help you. You may have the right to prevent or delay the Sheriffs Sale by filing, before the sale occurs, a petition to open or strike the judgment or a petition to stay the execution. If the judgment was entered because you did not file with the Court any defense or objection you might have within twenty (20) days after service of the Complaint for Mortgage Foreclosure and Notice to Defend, you may have the right to have the judgment opened in you promptly file a petition with the Court alleging a valid defense and a reasonable excuse for failing to file the defense on time. If the judgment is opened, the Sheriffs Sale would ordinarily be delayed pending a trial of the issue of whether the Plaintiff has a valid claim to foreclose the Mortgage. You may also have the right to have the judgment stricken if the Sheriff has not made a valid return of service of the Complaint and Notice to Defend or if the judgment was entered before twenty (20) days after service or in certain other events. To exercise this right, you would have to file a petition to strike the judgment. You may also have the right to petition the Court to stay or delay the execution and the Sheriffs Sale if you can show a defect in the Writ of Execution or service or demonstrate any other legal or equitable right. You may also have the right to have the Sheriffs Sale set aside if the property is sold for a grossly inadequate price or if there are defects in the Sheriffs Sale. To exercise this right, you should file a petition with the Court after the sale and before the Sheriff has delivered his Deed to the property. The Sheriff will deliver the Deed if no petition to set aside the sale is filed within ten (10) days from the date when the Schedule of Distribution is filed in the Office of the Sheriff. ~~(jJdff Attorney for Plaintiff 916 Fifth Avenue Pittsburgh, PA 15219 (412) 281-1725 **THE DEBT COLLECTOR IS ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.** Ie;;; ".f~ r~, ~, '"" _, . " .-~-~ 1-'- .-" -,~ . <, ~". ~. ~"' " ".'k" j" -,""'-',," ~-"'"- ~- ~~~~--.-"' '" - "'"'" . (") c- C ~ S"l l) (L' "1 CPf.p " ~~ ~ I.! ~.-~ ts Zl~- 0?~' 'D ~- , ~C~ -~a -;~,~) ..,- ;ECJ ;~jj:~ ,-, )>c ~> ~...:::m -' :z: ~"'l :::> :s> =< ::0 -< "'~ "_M~~~~~ill'lI<!li,!IffilIIl~~~~~~~~_.~_, _~i:1r~~"'1P"'~":'"'_f;_:v'_~:;r"_'" -'".<i--,.:",-";'o.iC'"",'-F',N'0~;_;;:,,,,!,,Fp'~<. ;~'r;;f~;;:;''';''I''''''"]l-,,';'('''~~;!'P'.-'':~'''''''?r<w,''l~~: , IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NATIONAL CITY MORTGAGE CO., assignee of FIRST UNITED MORTGAGE SERVICES, INC., CIVIL DIVISION NO. 01-2247 CIVIL TERM AFFIDAVIT OF SERVICE Plaintiff, Code MORTGAGE FORECLOSURE vs. Filed on behalf of Plaintiff CHRISTOPHER M. BUCHER and HILDA F. BAKER, Counsel of record for this party: Defendants. Louis P. Vitti, Esquire PA LD. #3810 Supreme Court #01072 Louis P. Vitti & Assoc., P.C. 916 Fifth Avenue Pittsburgh, PA 15219 (412) 281-1725 :,.x ,. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION NATIONAL CITY MORTGAGE CO., assignee of FIRST UNITED MORTGAGE SERVICES, INC., NO. 01-2247 CIVIL TERM Plaintiff, vs. CHRISTOPHER M. BUCHER and LINDA F. BAKER, Defendants. AFFIDAVIT OF SERVICE I, Audra J. Hunger, do hereby certify that a Notice of Sale was mailed and served upon all lien holders by Certificate of Mailing for service in the above-captioned case on September 13, 2001, advising them of the Sheriff's sale of the property at 517 South Pitt Street, Carlisle, PA 17013, on December 5, 2001. LOUIS P. VITTI & ASSOCIATES, P.C. Bya;A$AIY!Jrt/~ Audra J. H ger SWORN to and subscribed Notarial Seal Cheryl B. Edler. Notary Puhlic PillSbur(lh, Atl"llOOWj County My CommiSSIon Expires June 1 0, 2002 Member, Pennsy~vanja AssocI@tfon ot Notanes before me this 31st day of October, 2001. ~M 'I,"'" .",',' < "_"S"_~" /""",,_,_ >O~M__ ,~.."-,,,~,",,~__ . "_,_,__,~" _"-I",~,--,,, .'"S'- ,"_,-_~~,"_~_,_o" . < I.' -" U,S, POSTAL SERVICE CERTIFICATE OF MAILING MAY BE USED FOR DOMESTIC AND INTERNATIONAL MAil, DOES NOT PROVIDE FOR INSURANCE-POSTMASTER ~SPO~ ~ "" Received From: One piece of ordinary mail addressed to: Tenant/Occupant 517 South Pitt Street Carlisle, PA 17013 PS Form 3817. Mar. 1989 A.J./Bucher/12-05-01 U.S. POSTAL SERVICE CERnFltATI! OF MA MAY BE USED FOR DOMESTIC AND INTERNATIONAL MAil, DOES NOT PROVIDE FOR INSURANCE-POSTMASTER ~SP Received From; *tr'l9~~ LOUI~ ~ .vIT .11'886 ~ I1H Ii f4I ~fif ~~SBUPlGt{u . J? (412) 281-1720 One piece of ordinary mail addressed to: Bureau of Compliance Attn: ~usan !:Slough Clearance Support S~ction Dept. #281230 Harrisburg, PA PS Form 3817, Mar. 1989 17128-1230 A.J./Bucher/12-05-01 U.S. POSTAL SERVICE CERTIFICATE OF MAlLIN MAY BE useD FOR DOMESTIC AND INTERNATIONAL MAIL, DOES NOT PROVIDE FOR INSURANC T ~ Po ~ Received From: One piece of ordinary mail addressed to: Court of Corrmon Pleas Cumberland Cty Domestic Relations Division P.O. Box 320 Carlisle PA 17013 PS Form 3817, Mar. 1989 A.J./Bucher/12-05-01 ">,, ,--, ,- ''',' '.:'_'P""'0~:tJ~~!;,_-,,!';--'_'''>'"-::-~''i~'::<- :'-~ ,'-'~_-'" >;""'7""r" Affix fee here in stamps or meter postage and post mark. Inquire of postmaster for current fee. Affix fee here in stamps or meter postage and post mark. Inquire of Postmaster for current fee. 4135 3 01 5 2 1 9 Affix fee here in stamps or meter postage and post mark. Inquire of Postmaster for current -- ""?"~ . , Affix fee here in stamps U.S. POSTAL SERVICE CERTIFICATE OF MAILING 0' mete, postage and MAY BE USED FOR DOMESTIC AND INTERNATIONAL MAil, DOES NOT post mark. Inquire of PROVIDE FOR INSURANCE POSTMASTER ~ Po.s;~ Postmaster for current " ." LO;'I~: I:.J~ =:1(l);;~q 4 1 35 ~ 'I"D' ~~I:t::i. 13C.O 1 6 2 2 S16 l>iIfr3dtlf>M16NUE 5 2 1 9 PIII~BURGH, PA 15219 'l\\ Sf S> \:,~" '/1 ~('~P ~.... ;:g' 0,c~ l' ~ "'tJ -,: ~ 2001 ~ Received From: Criminal/Civil Division One Courthouse Square One piece of ordinary mail addressed to: Clerk of Courts Carlisle, PA 17013 PS Form 3817. Mar. 1989 A.J./Bucher/12-05-01 U '" , POSTAL SERVICE CERtiFICATE OF . 'IL " MAY BE USED FOR DOMESTIC AND INTERNATIONAL MAil, DOES NOT PROVIDE FOR INSURANCE-POSTMASTER p Received From: .; . LOUIS p.;vJ~~ !b1~ S E P PIl(f~liIl1Rr,Io.lJ;TIll4'~9 (412) 281-1725 Affix fee here in stamps or meter postage and post mark. Inquire of Postmaster for current fee. One piece of ordinary mail addressed to: Water & Sewage 240 Clearwater Drive Carlisle, PA 17013 PS Form 3817, Mar. 1989 A.J./Bucher/12-05-01 " >,~,- ""';~\'"-'7": ~."- '~--~.,- ;>,-,"- ,i''''H.' "., ,,",,,.,. '"c j~,,- ., ~. ..~'-' I" --""--,~ --- Affix fee here in stamps Of meter postage and post mark. Inquire of Postmaster fOf current Received From: One piece of ordinary mail addressed to: Tax Collector of Carlisle Borough c/o Darlene Moyer P.O. Box 128 Carlisle PA 17013-0128 PS Form 3817. Mar. 1989 A.J./Bucher/12-05-01 Affix fee here in stamps or meter postage and post mark. Inquire of Postmaster for current f U.S. POSTAl. SERVICE . - , MAY BE USED FOR DOMESTIC AND INTERNATIONAL MAIL, DOES NOT PROVIDE FOR INSURANCE POSTMASTER SPr.: Received From: One piet:e of mdinary mail addressed to: Commonwealth of PA - DPW P.O. Box 8016 Harrisburg. PA 17105 PS Form 3817, Mar. 1989 A.J./Bucher/12-05-01 " -=~.......""" ~-_._~ -- .....- D c- o .' ;1\;J p ~.. ~ f- c: "'Uc 0 mi-, < <. ~ Z'.' +- Zt-_ ., ~ - . )Iv ~: "" ~ r.;2C ""'0 ~(~ 3 '=> ,y )>f" r-:> "3 n ~.;:~ ,. r- .' ~ lb 9- -- II.> 4:;. , I , I II 11 L y~ >;~. .,,'-"""'."'--~,- n~'i!l'JIi~~~"~~>wi''''i'!-I~~~~~,,~m~~Af~!~~~! -- STATE OF PENNSYLVANIA, COUNTY OF CUMBERLAND } 55. Robert P Ziegler I, _________________________________~-------------------~________________________Flecorderof Deeds in and for said Counly and Slale do 'hereby certify that the Sheriffs Deed in which ________________ National City Mtg Co ___________________________.________________________________________________________ u the grantee the same having been sold to said grantee on the ____5t.h.__________n__________________n_______ day of ___________p_e_c;._________________________ A. D., ; __Q!_, under and by virtue of a writ______________ Execution . 12th ____________________________________________ ____ ISSued on the ______ _____ _____ __ __ ____ _____________ day of ____~=l'.!'_".._~=!____________ A. D., 01 . -----, out of the Court of Cornman Pleas of said Counly as of 01 Civil -----------.------------------". ------- -------- -- -- ------- - ------ --____ ____ __ _____ Tenn, : 2247: National City Mtg Co assignee of First United Mtg Serv Inc Number ______________, at the suit of _______________________________________________________________ Christopher M Bucher & Hilda F Baker ----------------___________________against____________________________________________________ ~ duly recorded in Sheriffs Deed Book No. _____~~9____, Page ____________. 2119 IN TESTIMONY WHER.EOF, I havetEunlo sel my hand and seal of said office thu __l?______ day :yc::.~~u."'"~=~~~ ~ National City Mortgage Co., assignee Of First United Mortgage Services, Inc. VS Christopher M. Bucher and Hilda F. Baker .. . In The Court of Common Pleas of Cumberland County, Pennsylvania Writ No. 2001-2247 Civil T= Shannon Sunday, Deputy Sheriff, who being duly sworn according to law, states that on October 17, 2001 at 9:00 o'clock A.M., E.D.S.T., she served a true copy ofthe within Real Estate Writ, Notice, Poster and Description, in the above entitled action, upon the within named defendant, to wit: Christopher Bucher, by making known unto Walter Chronister, adult in charge, at 1401 Creek Road, Boiling Springs, Pennsylvania, its contents and at the same time handing to him personally the said true attested copy of the same. Kenneth Gossert, Deputy Sheriff, who being duly sworn according to law, states that on October 16, 2001 at 8:20 o'clock P.M., E.D.S.T., he served a true copy of the within Real Estate Writ, Notice, Poster and Description, in the above entitled action, upon the within named defendant, to wit: Hilda Baker, by making known unto Hilda Baker personally, at 20 South High St, Newville, Pennsylvania, its contents and at the same time handing to her personally the said true attested copy of the same. Jason Vioral, Deputy Sheriff, who being duly sworn according to law, states that on October 01, 2001 at 8:15 A.M., E.D.S.T., he posted a true copy of the within Real Estate Writ, Notice, Poster and Description, in the above entitled action, upon the property of Christopher M. Bucher and Hilda F. Baker located at 517 South Pitt St., Carlisle, Pennsylvania, according to law. R. Thomas Kline, Sheriff, who being duly sworn according to law says he served the above Real Estate Writ, Notice, Poster and Description in the following manner: The Sheriff mailed a notice of the pendency of the action to one of the within named defendants to wit: Christopher M. Bucher by regular mail to his last known address of 517 South Pitt Street, Carlisle, P A 17013. This letter was mailed under the date of October 30, 2001 and never returned to the Sheriffs Office. R. Thomas Kline, Sheriff, who being duly sworn according to law says he served the above Real Estate Writ, Notice, Poster and Description in the following manner: The Sheriff mailed a notice of the pendency of the action to one of the within named defendants to wit: Hilda F. Baker, by regular mail to her last known address of 20 South High Street, Newville, PA 17241. This letter was mailed under the date of October 30, 2001 and never returned to the Sheriff s Office. R. Thomas Kline, Sheriff, who being duly sworn according to law, states that after due and legal notice had been given according to law, exposed the within described premises at public venue or outcry at the Court House, Cumberland County, Pennsylvania, on December 5, 2001 at 10:00 o'clock A.M., E.S.T. He sold the same for the sum of$20,000.00 to Attorney Kathy Hirsch (for Attorney Louis P. Vitti) for National City Mortgage Company. It being the highest bid and best price received for the sante, National City Mortgage Co. of 3232 Newmark Drive, Miamisburg, Ohio 45342, being the buyer in this exeuction paid SheriffR. Thomas Kline the sum of$1953.53, it being costs. I.",,,,,.,..~.-... " ~'~~f'~~~_ . - Sheriff's Costs: Docketing Poundage Posting Bills Advertising Acknowledging Deed Auctioneer Prothonotary Mileage Certified Mail Levy Surcharge Law Journal Patriot News Share of Bills Distribution of Proceeds Sheriffs Deed Legal Search . . $ 30.00 400.00 30.00 30.00 30.00 10.00 1.00 14.95 1.47 30.00 40.00 483.95 375.00 25.66 25.00 26.50 400.00 $1953.53 paid by attorney Sworn and subscribed to before me ~~ Tills l)~d~of~~ ~~ ~. ~ _ . R. Thomas Kline, Sheriff 2001., A.D. ~'- () fvuJ'k.v,~ o onotary BY Cf) ri ;/-Smkfl Rea Estate Deputy ;',~""""",-,~~ I' , I ~ . evJ&V 3b ,00 ~ \,1Ji> UL 36,33 .;u ~ /:?.Jt.SO . ~~~~H, ~, ~ _lMI -.1 c~ "r _. SCHEDULE OF DISTRIBUTION SALE #50 Writ No. 2001-2247 Civil Term National City Mortgage co., assignee of First United Mortgage Services, Inc. VS Christopher M. Bucher and Hilda F. Baker 517 South Pitt Street Carlisle, P A 17013 Sale Date: Buyer: Bid Price: December 5, 2001 National City Mortgage Co. $20,000.00 Real Debt: Interest: Writ Costs: $70,359.31 2,350.43 181.13 Total: $72,890.87 DISTRIBUTION Amount Collected: Legal Search Sheriff s Costs $1,953.53 400.00 1,553.53 So Answers: r~~~t:~~ R. Thomas Kline, Sheriff ":~~;;r_ ,~_ _r_ " , I! " - - '" ~~ , 4 . TITLE REPORT THE PREMISES ENDORSED HEREON ARE SUBJECT TO THE FOLLOWING ITEMS, WHICH WILL BE EXCEPTED IN THE POLICY UNLESS SATISFACTORY EVIDENCE PERMITTING THEIR REMOVAL IS PRODUCED. SHERIFF SALE NO. 50 Held Wednesday, December 5, 2001 Date: December 5, 2001 TAXES: Receipts for all taxes for the years 1998 to 2000 inclusive. Taxes for the current year 2001. WATER RENT: SEWER RENT Company assumes no liability for private supply of water or sewer. Receipts to be produced if services are lienable. MECHANICS' AND Possible unfiled Mechanics Liens and Municipal Claims. MUNICIPAL CLAIMS MORTGAGES: Listed Under Other Exceptions Below. JUDGMENTS: Listed Under Other Exceptions Below. INSTRUMENTS TO BE PRODUCED: Deed from Cumberland County Sheriff to dated , 2001, and recorded ,2001, in Cumberland County Deed Book , Page RECITAL: BEING the same premises wmch Colleen L. Haws, single woman, by deed January 28, 2000 and recorded January 31, 2000 in the Office of the Recorder of Deeds in and for Cumberland County in Carlisle, Pennsylvania in Deed Book 215 Page 603, granted and conveyed to Christopher M. Bucher and Hilda F. Baker. OTHER EXCEPTIONS: 1. The identity and legal competency of parties at the closing of tms title should be established to the satisfaction of the closing attorney acting for tms Company. 2. Rights or claims of parties in possession, if any, other than the owner. 3. Unrecorded easements, discrepancies or conflicts in boundary lines, shortage in area and encroachments wmch an accurate and complete survey would disclose. 4. Payment of State and local Real Estate Transfer Taxes, if required. 5. Public and private rights in the roadbed of 60 feet wide South Pitt Street and in the roadbed of a 10 foot wide unnamed public alley. 6. Rights in party wall forming a portion of the dividing line between the subject premises and the real estate known as 519 South Pitt Street. 7. Mortgage in the amount of $58,400.00 given by Christopher M. Bucher and Hilda F. Baker to First United Mortgage Services, Inc. dated January 28, 2000 and recorded January 31, 2000 in Mortgage Book 1593, Page 922. Assigned to National City "~:giFW, ."1- 1,-, " .1 l. " -I, ~ . . Mortgage Company by instrument recorded January 31, 2000 in Miscellaneous Record Book 636, Page 843. Complaint file by National City Mortgage Company as Plaintiff against Christopher M. Bucher and Hilda F. Baker as Defendants in the Office of the Prothonotary of Cumberland County on April 17, 2001 to file No. 01-2247. Default judgment in the amount of $70,359.31 entered June 6, 2001. 8. Delinquent real estate taxes turned over to the Cumberland County Tax Claim Bureau in the amount of $742.38 at the time of the subject Sheriff Sale. 9. Satisfactory evidence to be produced that the release from the stay of bankruptcy was obtained from the appropriate bankruptcy Court. 10. Satisfactory evidence to be produced that proper notice was given to the holders of all liens and encumbrances intended to be divested by subject Sheriff Sale. 11. Real estate taxes accruing on and after January 1, 2002 not yet due and payable. It is to be noted that no .search of Domestic Relations Records has been made to determine support arrearages regarding House Bi1l1412, Act 58 of 1997, nor has any search been made for environmental liens in Federal District Court. A Robert G. Frey, Agent Note: This Title Report shall not be id or 'nding until countersigned by an authorized sig :;;w "._ "' r ~ .., I..w.....----- . . . of 16 feet to a point in the partition !lne of the lot hereby conveyed and the lot now or fonnerly of Joseph L. and Katherine D. Loury. It being the property known as No. 519' South Pitt Street: thence on a line running through the center of a par- tition wall diViding properties known as Nos. 517 and 519 South Pitt Street. a distance of 11 0 feet to the Eastern building line South Pitt Street: thence along the latter, North 6 degrees 13 minutes East. a dis.. tance of 16 feet to the Place of BE- GINNING. HAVING thereon erected a frame dwelling house known and num- bered as 517 South Pitt Street. Carlisle. PA 17013. TRAcr 2: BEGINNING at a point on the Eastern side of the 10 foot alley above mentioned. at a point 143.83 feet South of the South building !lne of Willow Street, at the corner of lot now or formerly of Charles R. Todd. et aI; thence South 83 degrees 47 minutes East. a dis- tance of 70 feet to the line now or formerly of Meals Estate; thence along the same. South 6 degrees 13 mlnutes West, a distance of IS feet to a point in sald line; thence in a !lne parallel With the flrst mentioned line 70 feet to a point on the East side of sald 10 foot alley: (the dis- tance set forth herein of 70 feet was inadvertently omitted from the prior Deed recorded in Deed Book N. Volume 36. Page 105. but for the correct distance see Deed Book Y. Volume 19. Page 6831: thence along the same. North 6 degrees 13 min- utes East. a distance of 15 feet to the Place of BEGINNING. The same being a rectangular Lot 70 feet In depth and an even width of IS feet. the Lot herein deScribed being lo- cated across said alley from the first described properf;y and almost rei of the same. PARCEL NO. 04-22-0483-074 BEING the same premises whi< Colleen L. Haws. single vroman. I deed dated 01/28/00 and record. on 01/31/00 In the Cumberlar County, Pennsylvania. Recorder Deeds Office in Deed Book Volun ' 215, page 603. granted and COJ '. veyed unto Christopher M. Such and Hilda F. Baker. single persor REAL ESTATE SALE NO. 50 Writ No. 2001-2247 Civil National City Mortgage Co., asSignee of First United Mortgage Services. Inc. vs. Christopher 'M. Bucher and Hilda F. Baker Atty.: Louis P. Vitti . LEGAL DESCRlPl'ION . . ALL those two certain tracts of land and the improvements thereon . situate In the Third Ward of the . Borough of CarHsle. Cumberland County. Pennsylvanla. bounded and described as follows: TRACT 1: BEG!NNlNG at a point on the North building line of South Pitt Street. a distance of 132.20 feet : South of the building line of Willow . Street at the corner of property : now or fonnerly of Harold L. Weigle. . the said point of beginning being in . the center of the partition between the : property herein conveyed and the . property now or fonnerly of Charles . R Todd, et aI: thence along the lat- ter. South 83 degrees 47 mlnutes \ East. a distance of 11 0 feet to the : Western line of a 10 foot public al- ley; thence along the latter. South 6 degrees 13 mlnutes West, a distance '.~: .....- . IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION NATIONAL CITY MORTGAGE CO., assignee of : FIRST UNITED MORTGAGE SERVICES, INC., NO. 01-2247 CIVIL TERM Plaintiff, vs. CHRISTOPHER M. BUCHER and IDLDA F. BAKER, Defendants. AFFIDA vrT PURSUANT TO RULE 3129.1 National City Mortgage Co., et al, Plaintiff in the above action, sets forth as of the date the Praecipe for the Writ of Execution was filed the following information concerning the real property located at 517 South Pitt Street, Carlisle, P A 17013. 1. Name and address ofOwner(s) or Reputed Owner(s): Name: Address (Please indicate if this cannot be reasonably ascertained) Christopher M. Bucher 517 South Pitt Street Carlisle, PA 17013 HildaF. Baker 20 South High Street Newville,PA 17241 2. Name and address of Defendant(s) in the judgment: Name: Address (Please indicate iftms cannot be reasonably ascertained) Same as No.1 above. 3. Name and last known address of every judgment creditor whose judgment is a record lien on the real property to be sold: Name: Address (Please indicate if this cannot be reasonably ascertained) I I I' , i;~>"". None ., ' '-,' '-"'." _,_""_~,,,1__"._~, ,,, c'''.,"'. ~,."_,~_,__,'~"' _' "',Ir'o,' .. ~~_..". .. 4. Name and address of the last recorded holder of every mortgage of record: Name Address (Please indicate if this cannot be reasonably ascertained) None 5. Name and address of every other person who has any record lien on the property: Name Address (Please indicate if this cannot be reasonably ascertained) None 6. Name ilIld address of every other person who has any record interest in or record lien on the property and whose interest may be affected by the sale: Name Address (please indicate if this cannot be reasonably ascertained) None 7. Name and address of every other person of whom the Plaintiff has knowledge who has any interest in the property which may be affected by the sale: Name Address (Please indicate if this cannot be reasonably ascertained) Tax Collector of Carlisle Borough c/o Darlene Moyer P.O. Box 128 Carlisle, PA 17013-0128 Water & Sewage 240 Clearwater Drive Carlisle, P A 17013 Commonwealth ofPA -DPW P.O. Box 8016 Harrisburg, P A 17105 Clerk of Courts Criminal/Civil Division One Courthouse Square Carlisle, PA 17013 Court of Common Pleas of Cumberland County Domestic Relations Division P.O. Box 320 Carlisle, PA 17013 E!;}:-" n_ ~>_, 'c''',~-, _', >'i nO, ->,,0, ~_ ~____~', " '_I,,,_~"_;_,,'~'~~,'!L_,_- _ "'_0.' en" ,_ __" "1-'- ,. . . " . Bureau of Compliance Clearance Support Section Dept. #281230 Harrisburg, PA 17128-1230 Attn: Susan Blough TenantJOccupant 517 South Pitt Street Carlisle, P A 17013 I verify that the statements made in tills affidavit are true and correct to the best of my personal knowledge Of information and belief. I understand that false statements hefein are made subject to the penalties of 18 Pa. C.S. Section 4904 felating to unsworn falsification to authorities. September 6. 2001 Date cf~6EJ;jit , Louis P. Vitti, Esquire Attorney fOf Plaintiff SWORN TO and subscribed before me tills 6th day eA~f.,1 fJ~t~~~~c:~ Public of September, 2000. My e~~~l~e~_~~\'l:n~~~nd; 2002 <t.~cY;"~~'-~ ~k, ,~ '''~_'_''''"' ~_ , 'w'~_~' '_ ,,_,. ,~_ I __ .~ . ~ ~ . NOTICE OF SHERIFF'S SALE OF REAL ESTATE PURSUANT TO PENNSYL VANIA RULE OF CIVIL PROCEDURE 3129.1 TO: Christopher M. Bucher 517 South Pitt Street Carlisle, PA 17013 Hilda F. Baker 20 South High Street Newville, P A 17241 AND: ALL LIEN HOLDERS TAKE NOTICE that by virtue of the above Writ of Execution issued out of the Court of Common Pleas of Cumberland County, Pennsylvania and to the Sheriff of Cumberland County, directed, there will be exposed to Public Sale in Cumberland County Courthouse on December 5, 2001 at 10:00 A.M., the following described real estate, of which Christopher M. Bucher and Hilda F. Baker are owners or reputed owners: 3rd Ward, Boro of Carlisle, Cumberland Cty & Cmwlth ofPA. HET a dwg k/a 517 South Pitt Street, Carlisle, PA 17013. Parcel No. 04-22-0483-074. The said Writ of Execution has issued on ajudgment in the mortgage foreclosure action of National City Mortgage Co., et al vs. Christopher M. Bucher and Hilda F. Baker at No. 01-2247 CIVIL TERM in the amount of $70,359.31. Claims against property must be filed at the Office of the Sheriff before above sale date. Claims to proceeds must be made with the Office of the Sheriff before the sale date. Schedule of Distribution will be filed with the Office ofthe Sheriff no later than tmrty (30) days from sale date. Exceptions to Distribution or a Petition to Set Aside the Sale must be filed with the Office of the Sheriff no later than ten (10) days from the date when Schedule of Distribution is filed in the Office of the Sheriff. Attached hereto is a copy of the Writ of Execution. It has been issued because there is a judgment against you. It may cause your property to be held or taken to pay the judgment. You may have legal rights to prevent your property from being taken. A lawyer can advise you more specifically of these rights. If you wish to exercise your rights you must act promptly. <-hijl$,i" O~" -- "to' ~, ., " , YOU SHOULD TAKE THIS NOTICE1\Nb 1m WRIT OF EXECUTION 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 ADVICE. CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY A VENUE CARLISLE, P A 17013 (717) 249-3166 You may have legal rights to pfevent the Sheriffs Sale and the loss of your property. In ofder to exercise those fights, prompt action on your part is necessary. A lawyef may be able to help you. You may have the right to prevent or delay the Sheriffs Sale by filing, before the sale occurs, a petition to open or strike the judgment or a petition to stay the execution. If the judgment was entered because you did not file with the Court any defense or objection you might have within twenty (20) days after service of the Complaint for Mortgage Foreclosure and Notice to Defend, you may have the right to have the judgment opened in you promptly file a petition with the Court alleging a valid defense and a reasonable excuse for failing to file the defense on time. If the judgment is opened, the Sheriffs Sale would ordinarily be delayed pending a trial of the issue of whether the Plaintiff has a valid claim to foreclose the Mortgage. You may also have the right to have the judgment stricken if the Sheriff has not made a valid return of service of the Complaint and Notice to Defend or if the judgment was entefed before twenty (20) days after service or in certain other events. To exercise this right, you would have to file a petition to strike the judgment. You may also have the right to petition the Court to stay or delay the execution and the Sheriffs Sale if you can show a defect in the Writ of Execution Of service or demonstrate any othef legal or equitable right. You may also have the right to have the Sheriffs Sale set aside if the property is sold fOf a grossly inadequate price or ifthere are defects in the Sheriffs Sale. To exercise this right, you should file a petition with the Court after the sale and before the Sheriff has delivered his Deed to the property. The Sheriff will deliver the Deed ifno petition to set aside the sale is filed witmn ten (10) days from the date when the Schedule of Distribution is filed in the Office of the Sheriff. fl!t.~tjJ/flr Attorney fOf Plaintiff 916 Fifth Avenue Pittsburgh, PA 15219 (412) 281-1725 **THE DEBT COLLECTOR IS ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.** '.'5W!Ml1 ~....., - ,< - ,~, " '1'l'1 . , ,~ , . , ~ . - .. . . IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYL V ANlA CIVIL DIVISION NATIONAL CITY MORTGAGE CO., assignee of : FIRST UNITED MORTGAGE SERVICES, INC., NO. 01-2247 CIVIL TERM Plaintiff, vs. CHRISTOPHER M. BUCHER and HILDA F. BAKER, Defendants. LEGAL DESCRIPTION ALL those two certain tracts ofland and the improvements thereon situate in the Third Ward of the Borough of Carlisle, Cumberland County, Pennsylvania, bounded and described as follows: TRACT 1: BEGINNING at a point on the North bnilding line of South Pitt Street, a distance of 132.20 feet South of the building line of Willow Street at the comer of property now or formerly of Harold L. Weigle, the said point of beginning being in the center of the partition between the property herein conveyed and the property now or formerly of Charles R. Todd, et al; thence along the latter, South 83 degrees 47 minutes East, a distance of 110 feet to the Western line of a 10 foot public alley; thence along the latter, South 6 degrees 13 minutes West, a distance of 16 feet to a point in the partition line of the lot hereby conveyed and the lot now or formerly of Joseph L. and Katherine D. Loury, it being the property known as No. 519 South Pitt S1:rCet; thence on a line running through the center of a partition wall dividing properties known as Nos. 517 and 519 South Pitt Street, a distance of 110 feet to the Eastern building line South Pitt Street; thence along the latter, North 6 degrees 13 minutes East, a distance of 16 feet to the Place of BEGINNING. HAVING thereon erected a frame dwelling house known and numbered as 517 South Pitt Street, Carlisle, PA 17013. TRACT 2: BEGINNING at a point on the Eastern side of the 10 foot alley above mentioned, at a point 143.83 feet South of the South building line of Willow Street, at the corner oflot now or formerly of Charles R. Todd, et al; thence South 83 degrees 47 minutes East, a distance of 70 feet to the line now or formerly of Meals Estate; thence along the same, South 6 degrees 13 minutes West, a distance of 15 feet to a point in said line; thence in a line pllfallel with the first mentioned line 70 feet to a point on the East side of said 10 foot alley; (the distance set forth herein of70 feet was inadvertently omitted from the prior Deed recorded in Deed Book N, Volume 36, Page 105, but for the correct distance see Deed Book Y, Volume 19, Page 683); thence along the same, North 6 degrees 13 minutes East, a distance of 15 feet to the Place of BEGINNING. The same being a rectangular Lot 70 feet in depth and an even width of 15 feet, the Lot herein described being located across said alley from the first described property and almost rear of the same. PARCEL NO. 04-22-0483-074 BEING the same premises which Colleen L. Haws, single woman, by deed dated 01/28/00 and recorded on 01/31/00 in the Cumberland County, Pennsylvania, Recorder of Deeds Office in Deed Book Volume 215, page 603, granted and conveyed unto Christopher M. Bucher and Hilda F. Baker, single person. /':;l}'1~) , ,( 'O"'!Y"'''''\, - -,-~,", '" _v~ __f. "_'.,~,,_~_I WRIT OF EXECUT.lON.and/or ATTACHMENT COMMONWEALTH OF PENNSYLVANIA) COUNTY OF CUMBERLAND) ... ... . NO. 01-2247 CIVIL ~ TERM CIVIL ACTION - LAW TO THE SHERIFF OF (] lffiber1flnd COUNTY: from To satisfy the debt, interesf and costs due National City Mortgage Co, assignee of First United Mortgage Services, Inc. PLAINTIFF{S) Christopher M. Bucher, 517 South Pitt St., Carlisle, PA 17013 and Hilda F. Baker, 20 South High Street, Newville, PA 17241 DEFENDANT(S) (1) You are directed to levy upon the property of the defendant{s) and to sell See Legal Description (2) You are also directed to attach the property of fhe defendant(s) not levied upon in the possession of GARNISHEE(S) as follows: and to notify the garnishee(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) not levied upon an subjectto attachment is found in the 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 Interest Atty's Comm Atty Paid Plaintiff Paid $70,359.31 $2,350.43 LL % Due Prothy Other Costs $1.00 $181.13 Date: September 12, 2001 Curtis R. Long -by: Prothonotary, Civil Division ,UO;p p 2 ~fl/UVJ . Deputy REQUESTING PARTY: r; I: Ii I: , I,; l';~ ,'^ ,;c' ~llf!i~,II, Louis P. Vitti, Esq. 916 Fifth Avenue Pittsburqh, PA 15219 Attorney for: Plaintiff Telephone: 412-281-1725 Supreme Court ID No. 3810 Address: Name 'I} 11 -- ~ _lUll REAL ESTATE SALE No. So' " ... .. On September 18, 2001, the sheriff levied upon the defendant's interest in the real property situated in Carlisle Borough, Cumberland County, PA, known and numbered as 517 South Pitt St., Carlisle, and more fully described on Exhibit "A" filed with this writ and by this reference incorporated herein. Date: September 18,2001 By: 9rlcf J~ Real Estate Deputy ~. c;:;;:J c:::;:;:;J Co': <St. (;iN d\"r~d '~\ ,\":1 ~\-~ ,_~" l:..~, ,,\" \(:':~ 'i,\ .\1) \'~' ~S ~:\ \~\i' \->'~ "\I,\\\'J . ::')\1~\l ;~~~{\'3 ~.\'~ >, " -,f1liiI!!!~il~_'(_ ~,_,~IIl1!I~"~I""""'!~P~:!""l~~~~~Wll;'1"W;j:~"~"-\,""j;':_'_"';;"4;;< "",q~!'F-_","!!'h,;;;;~c:';'f"'<;!_~"ji1r;'f'!l"(",,,,,~,,,I?f';,"_J.91O",,",,,,,'~;r"i'-";.'1i!I'~J>W'r;;"I\~~%"-l'>J!f/i,~'!t':' ... . . PROOF OF PUBLICATION OF NOTICE IN CUMBERLAND LAW JOURNAL (Under Act No. 587, approved May 16,1929), P. L.1784 STATE OF PENNSYLVANIA : ss. COUNTY OF CUMBERLAND : Roger M. Morgenthal, Esqnire, Editor of the Cumberland Law Journal, ofthe County and State aforesaid, being duly sworn, according to law; deposes and says that the Cumberland Law Journal, a legal periodical published in the Borough of Carlisle in the County and State aforesaid, was established January 2, 1952, and designated by the local courts as the official legal perioclical for the publication of all legal notices, and has, since J anuaty 2,' 1952, been regularly issued weekly in the said County, and that the printed notice or publication attached hereto is exactly the same as was printed in the regular editions and issues of the said Cumberland Law Journal on the following dates, viz: October 12, 19,26,2001 Affiant further deposes that he is authorized to verify this statement by the Cumberland Law Journal, a legal perioclical of general circulation, and that he is not interested in the subject matter ofthe aforesaid notice or advertisement, and that all allegations in the foregoing statements as to time, place and character of publication are true. SWORN TO AND SUBSCRIBED before me this 26 day of OCTOBER. 2001 . NOTARlAL'SEA\. LOIS E. SNYDER, NoIaIy~,!C Carlisle Bcm. eumbe!land """",tv My c...\lIIiIs8\o'1 ElqlireS Man:115. 2005 /;)\I!i ~lm ~, ~~ .,~ . I ~., I ~ I- ~-. I- 1" THE PKfRIOT NEWS THE SUNDAY PATRIOT NEWS Proof of Publication Under Act No. 587, Approved May 16, 1929 Commonwealth of Pennsylvania, County of Dauphin} ss James L. Clark being duly sworn according to iaw, deposes and says: That he is the Acounts Receivable Manager of The Patriot News Co., a corporation organized and existing under the laws of the Commonwealth of Pennsylvania, with its principal office and place of business at 812 to 818 Market Street, in the City of Harrisburg, County of Dauphin, State of Pennsylvania, owner and publisher of The Patriot-News and The Sunday Patriot-News newspapers of general circulation, printed and published at 812 to 818 Market Street, in the City, County and State aforesaid: that The Patriot-News and The Sunday Patriot-News were established March 4th, 1854, and September 18th, 1949, respectively, and all have been continuously published ever since; That the printed notice or publication which is securely attached hereto is exactly as printed and published in their regular daily andlor Sundayl Metro editions which appeared on the 23rd and 30th day(s) of October and the 6th day(s) of November 2001. That neither he nor said Company is interested in the subject matter of said printed notice or advertising, and that all of the allegations of this statement as to the time, place and character of publication are true; and That he has personal knowledge of the facts aforesaid and is duly authorized and empowered to verify this statement on behalf of The Patriot-News Co. aforesaid by virtue and pursuant to a resolution unanimously passed and adopted severally by the stockholders and board of directors of the said Company and subsequently duly recorded in the office for the Recording of Deeds in and for said County of Dau.Phii Miscellaneous Book "M", Volume 14, Page 317. ~ PUBLICATION .... ..................... ..l................................................................. COpy Swo n to and sub~.l!@fore me S ALE #50 Tony l. Ru....n, Notal}' Public Harrisburg. Dauphin Coon My Commission Expires June Memtler, Pennsylvania Association 01 Notaries NOT My commission expires June 6, 2002 CUMBERLAND COUNTY SHERIFFS OFFICE CUMBERLAND COUNTY COUmHOUSE CARLISLE, PA. 17013 , Statement of Advertising Costs To THE PATRIOT-NEWS CO., Dr. For publishing the notice or publication attached hereto on the above stated dates $ Probating same Notary Fee(s) $ Total $ 373.50 1.50 375.00 Publisher's Receipt for Advertising Cost The Patriot News Co., publisher of The Patriot-News and The Sundav Patriot-News, newspapers of general circulation, hereby acknowledge receipt of the aforesaid notice and publication costs and certifies that the same have been duly paid. By.................................................................... h~~ 1-'- ~-1 , t- ~F ;~--RE"ACE5TATcSALE-No.-50-- . Writ No. 2001-2247 . ,Civil Term -National CItY Mortgage Co., assignee of FIrst United Mortgage Servlces, Inc. ,.. Christopher M. .Bucher Hilda F. BE'~er , Ally: Louis" Vttll , DESCRIPTION '. , ALL !hose two certain _.::rocIS of J3ud and the r improvements thereon situate in the Third Ward r of tkBoroug1rof CarUsle, Cumtmrland County, 1 Pennsylvania, bounded and described a~ follows: : TRACl' 1: BEGINNING at a 'Porot Oil tne North building line of South Pilt street, a distance of, 132.20 feet South of the building line of Willow I Street at the comer of property now or formerly I of Harold L. Weigle, the said point of reginning - being jn the ci:i1ter of the pmition between the : property nereln l,.'().I1yeyed _and the property now . or fcnnerly of Charles R. l'bdd, et at; ~ence along the latter, South 83 degrees 47 mmutes 'East,adistnnceofll0feettothcWesternlineof :.a 10 foot pu,blic alley; ~ence lIlong \he latter. ~.south"6 degrees 13 min,u(Cs ,"est, a distilllce of 16 feet to a point in the partition line 01 the lnt r"llereby conveyed and the lo~, now or formerly of _,' ,I .losepbL. and ~lherine D. i.oury, i~ ~ing tbe projr.rty known as No. 519 South Pitt Street; thence on a Ene running through the center ()f a partition wall divtcling properties known as Nos. , ,H7 and 519 South Pit! Street. 11 distance of IlD " feet to the Eastern building line South Pitt Street; '-,thence along the latter, North 6 aegrees 13 ',roi'nutes East. a distance of 16Jeet to-the Place_{lf - BEGINNING. : HA'(iNG thereo,o'erected a frame dwelling house knowll and numbered as 517 South Pitt Street, ',.Carlisle,PA t70l3; TRACT" 2: BEGINNING at a point on the ".&stem swe: of the' 10 foot alley above ,.mentioned, at ,a point 143,82'feet S.outh of the "-South building line of Wi/row Street, at !be corner of lot now or formerly of Cbarles R. Todd, . et al; theru;e SQuib 83 d"grees 47minutes Ea~t, a , distance of 70 feet to the '!"ine now or funnerJy of , Meals Estate: ,t1Jence along tbe same, MU1h 6 :t1egrces13minutesWcs~adistanceofI5feetto , ,a point in saW line; thence in a line paraDel with the first meruioned line 70 feet to a point on the East 5ide of -said 10 foot alley; (the distance s~t forth herein'anO feet was inadvertently omitted ; from the prior Deed recorded in Deed Book N, Voluntt:36,Page 105, but for lhe CQrrect distance see Deed Book Y, Volume 19, Page 68J); thence along the same, North 6 degrees 13 minutes East, 'a distance of 15 feet to the Place of BEGINNING. The same being a rectangular Lot , 70 feet in depth and an ~vea width (If 15 feet, the , Lot herein described pi:jng located across said , alley from the Just descnt?ed property and almost , rear of the_same, , PARCEL N~ 04-22-04&J-lry4. -BEING the" same oremises whieh Colleen L. Haws, ~ing1e woman. by deed dated Otn8/00 and rci;orded on Oi/3l/DO in lhe CI.l11ltx.'I'land Countv, :. Pennsylvania, Recorder of Deeds Oft1cein need " Book Vnlumc 215, page .603, ,granted and i 'comcyed unto Christopher M. Bucber and Hilda Lf..J3~~E>1~[T~_~IS~~_.-__ REAL ESTATE SALE NO. 50 Writ No. 2001-2247 Civil National City Mortgage Co.. assignee of First United Mortgage Services, Inc. VS. Christopher M. Bucher and Hilda F. Baker Atty.: Louis P_ Vitti LEGAL DESCRIPI'ION ALL those two certain tracts of land and the improvements thereon situate in the Third Ward of the Borough of Carlisle. Cumberland County. Pennsylvania. bounded and described as follows: TRACT 1: BEGINNING at a point . on the North building !lne of South Pitt Street. a distance of 132.20 feet South of the building line of Willow Street at the corner of property now or formerly of Harold L. Weigle. the said point of beglnn1ng being in the center of the partition between the property herein conveyed and the property now or formerly of Charles R. Todd. et al; thence along the lat- ter. South 83 degrees 47 minutes East. a distance of 110 feet to the Western line of a 10 foot public al- ley; thence along the latter, South 6 degrees 13 minutes West, a distance of 16 feet to a. point in the partition line of the lot hereby conveyed and the lot now or formerly of Joseph L. and Katherine D. Lowy. it being the property known as No. 519 South Pitt Street; thence on a line running through the center ofa par- ~ tition wall dividing properties known : as Nos. 517 and 519 South Pitt Street. a distance of 110 feet to the Eastern building line South Pitt street: thence along the latter, North 6 degrees 13 minutes East. a dis- tance of 16 feet to the Place of BE- GINNING. HAVIN'G thereon erected a frame dwelling house known and num- bered as 517 South Pitt Street, ~lisle. PA 17Q13~.~___ TRACT 2: BEGINNING at a point on the Eastern side of the 10 foot alley above mentioned, at a point 143.83 feet South of the South building line of Willow Street. at the comer of lot now or formerly of Charles R. Todd, et a1; thence South 83 degrees 47 minutes East, a dis- tance of 70 feet to the line now or formerly of Meals Estate: t.hence along the same, South 6 degrees 13 minutes West. a distance of 15 feet to a point in said line; thence in a line parallel with the first mentioned l1ne 70 feet to a point on the East side of said 10 foot alley; (the dis- tance set forth herein of 70 feet was inadvertently omitted from the prtor Deed recorded in Deed Book N. Volume 36. Page 105. but for the correct distance see Deed Book y, Volume 19. Page 683); thence along the same. North 6 degrees 13 min- utes East, a distance of 15 feet to the Place of BEGINNING. The same being a rectangular Lot 70 feet in depth and an even width of 15 feet. the Lot herein described being lo- cated across said alley from the fIrst descrtbed property and almost rear of the same. PARCEL NO. 04-22-0483-074 BEING the same premises which Colleen L. Haws. single woman, by deed dated 01/28/00 and recorded on 01(31(00 in the Cumberland County. Pennsylvania. Recorder of Deeds Office in Deed Book Volume 215, page 603. granted and con- veyed unto Christopher M. Bucher and Hilda F. Baker. single person.