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HomeMy WebLinkAbout07-1613ANGINO & ROVNER, P.C. David L. Lutz, Esquire Attorney ID# : 35956 4503 North Front Street Harrisburg, PA 17110-1708 (717) 238-6791 FAX (717) 238-5610 Attorneys for Plaintiff(s) E-mail: dlutz@angino-rovner.com TRUDY GETZ, IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PA cam. V. NO. O'7 - l 413 ?c v C, l ?i2-?j LINDA TRAYER, CIVIL ACTION - LAW Defendant JURY TRIAL DEMANDED NOTICE TO DEFEND You have been sued in court. If you wish to defend against the claims set forth in the following pages, you must take action within twenty (20) days after this Complaint and Notice are served, by entering a written appearance personally or by attorney and filing in writing with the Court your defenses or objections to the claims set forth against you. You are warned that if you fail to do so the case may proceed without you and 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 DO NOT HAVE A LAWYER, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER. ORIGINAL 350204 IF YOU CANNOT AFFORD TO HIREA LAYER, TIES AGENCIES THAT OFFICE MAY?OFFER B LEGAL PROVIDE YOU WITH INFORMATION ABOUT SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE. Cumberland County Bar Association 32 S. Bedford St., Carlisle, PA 17013 TELEPHONE 717-249-3166 AVISO USTED HA SIDO DEMANDADO/A EN CORTE. Si usted desea defenderse de las demandas que se persentan mss adelante en las siguientes paginas, debe tomar acci6n dentro de los pr6ximos veinte (20) dias despues de la notificaci6n de esta Demanda y Aviso radicando personalmente o por medio de un abogado una comparecencia escrita y radicando en la Corte por escrito sus defensas de, y objecciones a , las demandas presentadas aqui en contra suya. Se le advierte de que si usted falls de tomaz accion dinero reclamada en la demands o ualquier proceder sin usted y un fallo por cualquier suma de otra reclamaci6n o remedio solicitado por el demandante puede ser dictado en contra suya por la Corte sin mss aviso adicional. Used puede perder dinero o propiedad u otros derechos importantes para used. USTED DEBE LLEVAR ESTE DOCUMENTO A SU ABOGADO INMEDIATAMENTE. SI USED NO T PUEDE PROVEERLE INFORMACION A CERCA SIGUIENTE OFICINA. ESTA OFICINA DE COMO CONSEGUIR UN ABOGADO. SI USED NO PUEDE PAGAR POR LOS SERVICIOS DE UN ABOGADO, ES POSIBLE QUE ESTA OFICINA LE PUEDA LEGALESO IN CARGO O AJO CO OO A AGENCIAS QUE OFREZCAN SERVICIOS PERSONAS QUE CUALIFICAN. Cumberland County Bar Association 32 S. Bedford St., Carlisle, PA 17013 TELEFONO 717-249-3166 350204 ANGINO & ROVNER, P.C. David L. Lutz, Esquire Attorney ID# : 35956 4503 North Front Street Harrisburg, PA 17110-1708 (717) 238-6791 FAX (717) 238-5610 Attorneys for Plaintiff(s) E-mail: dlutz@angino-rovner.com TRUDY GETZ, Plaintiff V. LINDA TRAYER, Defendant IN THE COURT OF COMMON FLLA;J CUMBERLAND COUNTY, PA NO. D 14/3 ? Tc?. CIVIL ACTION - LAW JURY TRIAL DEMANDED COMPLAINT 1. Plaintiff Trudy Getz is an adult individual and citizen of the Commonwealth of Pennsylvania who resides in Mechanicsburg, Cumberland County, Pennsylvania. 2. Defendant Linda Trayer is an adult individual and citizen of the Commonwealth of Pennsylvania who resides at 3902 Trayer Lane, Mechanicsburg, Cumberland County, Pennsylvania, 17050. 3. The facts and occurrences hereinafter related took place on or about April 29, 2005, at the intersection of Lambs Gap Road and the Carlisle Pike, Cumberland County, Pennsylvania. 4. At that time and place, Ms. Getz was operating her motor vehicle, a 1992 Pontiac Sunbird. She had been traveling south on Lambs Gap Road and had come to a stop at the intersection of Lambs Gap Road and the Carlisle Pike. 5. At the same time, Defendant Trayer was operating a Ford van, also traveling south on Lambs Gap Road, approaching the intersection of Lambs Gap Road and the Carlisle Pike. 350204 6. While Ms. Getz was waiting to turn right onto the Carlisle Pike, the front of the Defendant's vehicle collided into the rear of Ms. Getz's stationary vehicle. 7. The foregoing accident and all of the injuries and damages set forth herein sustained by Plaintiff Trudy Getz are the direct and proximate result of the negligent, careless, wanton, and reckless manner in which Defendant Linda Trayer operated her motor vehicle as follows: a. failure to have her vehicle under such control as to be able to stop within the assured clear distance; b. failure to keep alert and maintain a proper watch for the presence of other motor vehicles stopped; C. failure to apply her brakes in sufficient time to avoid striking the rear of the Plaintiff's vehicle; d. failure to travel at a safe speed; e. failure to keep proper watch for traffic on the highway; f. driving her vehicle upon the highway in a manner endangering persons and property and in a reckless manner with careless disregard to the rights and safety of others and in violation of the Motor Vehicle Code of the Commonwealth of Pennsylvania. g. Plaintiff Trudy Getz sustained painful and severe injuries which include but are not limited to, chronic neck pain and an injury to her left anterior and medial knee necessitating surgery. 2 350204 9. By reason of the aforesaid injuries sustained by Plaintiff Trudy Getz, she was forced to incur liability for medical treatment and surgery in an effort to restore herself to health, and claim is made therefor. 10. Because of the nature of her injuries, plaintiff Trudy Getz has been advised and, therefore, avers that she may be forced to incur similar expenses in the future, and claim is made therefor. 11. As a result of the aforementioned injuries, Plaintiff Trudy Getz has undergone and in the future may undergo physical and mental suffering, inconvenience in carrying out her daily activities, loss of life's pleasures and enjoyment, and claim is made therefor. 12. As a result of the aforementioned injuries, Plaintiff Trudy Getz has been and in the future may be subject to humiliation and embarrassment, and claim is made therefor. 13. Plaintiff Trudy Getz continues to be plagued by persistent pain and limitation and, therefore, avers that her injuries may be of a permanent nature, causing residual problems for the remainder of her lifetime, and claim is made therefore. WHEREFORE, Plaintiff Trudy Getz demands judgment against Defendant Linda Trayer in an amount in excess of Fifty Thousand Dollars ($50,000.00), exclusive of interest and costs and in excess of any jurisdictional amount requiring compulsory arbitration. ANGINO & ROVNER, P.C. Date: ? -? / 0 350204 David L. Lutz I.D. No. 35956 4503 N. Front Street Harrisburg, PA 17110 (717) 238-6791- phone (717) 238-5610 - fax dlutz@angino-rovner.com Attorney for Plaintiff 3 VERIFICATION I, Trudy Getz Plaintiff, have read the foregoing COMPLAINT and do hereby swear or affirm that the facts set forth in the foregoing are true and correct to the best of my knowledge, information and belief. I understand that this Verification is made subject to the penalties of 18 Pa. Cons. Stat. Ann. §4904, relating to unworn falsification to authorities. WITNESS: Trudy Getz Dated: d?2 0 D 350204 ? c W ?-G CL) Pi 5?23 ril -?rT L IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA TRUDY GETZ, Plaintiff V. LINDA TRAYER, Defendant NO. 07-1613 CIVIL ACTION - LAW JURY TRIAL DEMANDED PRAECIPE FOR ENTRY OF APPEARANCE PURSUANT TO PA.R.C.P. 1012 TO THE PROTHONOTARY: Kindly enter the appearance of Michael B. Scheib, Esquire, of Griffith, Strickler, Lerman, Solymos & Calkins, as attorney for the Defendant, Linda Trayer, in the above-captioned matter and mark the docket accordingly. Date: April 16, 2007 GRIFFITH, STRICKLER, LERMAN, SOLYMOS & CALKINS By: ?f l MICHA L B. SCHEIB, ESQUIRE Supreme Court I.D. No. 63868 110 South Northern Way York, PA 17402-3737 (717) 757-7602 Attorney for Defendant, Linda Trayer IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA TRUDY GETZ, Plaintiff V. LINDA TRAYER, Defendant NO. 07-1613 CIVIL ACTION - LAW JURY TRIAL DEMANDED CERTIFICATE OF SERVICE AND NOW, this 1 Cam' day of April, 2007, I, Michael B. Scheib, Esquire, a member of the firm of Griffith, Strickler, Lerman, Solymos & Calkins, hereby certify that I have this date served a copy of the Interrogatories/Request for Production of Documents of Defendant to Plaintiff by United States Mail, postage prepaid, addressed to the party or attorney of record as follows: David L. Lutz, Esquire Angino & Rovner, P.C. 4503 North Front Street Harrisburg, PA 17110 (Counsel for Plaintiff) GRIFFITH, STRICKLER, LERMAN, SOLYMOS & CALKINS By: MICHAEL B. SCHEIB, ESQUIRE Supreme Court I.D. No. 63868 110 South Northern Way York, PA 17402-3737 (717) 757-7602 Attorney for Defendant, Linda Trayer ?"`? ?"' ?- c?? -n _. _??, .-T- ? ??? - ?? . -Y`, Tl (Yi _ j ?'? -. [`•., ,? IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA TRUDY GETZ, Plaintiff V. LINDA TRAYER, Defendant TO: Trudy Getz c/o David L. Lutz, Esquire Angino & Rovner, P.C. 4503 North Front Street Harrisburg, PA 17110 You are hereby notified to file a written response to the enclosed New Matter within NOTICE TO PLEAD NO. 07-1613 CIVIL ACTION - LAW JURY TRIAL DEMANDED twenty (20) days from service hereof or a judgment may be entered against you. Date: May 4, 2007 By: GRIFFITH, STRICKLER, LERMAN, SOLYMOS & CALKINS . MICHAEL B. SCHEIB, ESOL Supreme Court I.D. No. 63868 110 South Northern Way York, PA 17402-3737 (717) 757-7602 Attorney for Defendant, Linda Trayer IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA TRUDY GETZ, Plaintiff V. LINDA TRAYER, Defendant NO. 07-1613 CIVIL ACTION - LAW JURY TRIAL DEMANDED ANSWER WITH NEW MATTER AND COME NOW, Defendant, Linda Trayer by and through her attorneys, Griffith, Strickler, Lerman, Solymos & Calkins and responds to the allegations in Plaintiffs Complaint as follows: 1. Denied. After reasonable investigation Defendant is without knowledge or information sufficient to form a belief as to the truth of the allegations set forth in Paragraph 1 of Plaintiff's Complaint, and the same are denied and strict proof thereof demanded. 2. Admitted. 3. Admitted. 4. Admitted in part and denied in part. It is admitted that Plaintiff was traveling on Lamb's Gap Road. The remaining allegations are denied. After reasonable investigation, Defendant is without knowledge or information sufficient to form a belief as to the truth of the allegations set forth in paragraph 4 of Plaintiff's Complaint, and the same are denied and strict proof thereof is demanded. 5. Admitted. 6. Admitted in part and denied in part. It is admitted the vehicles came into contact with one another. The remaining allegations are denied. After reasonable investigation, Defendant is without knowledge or information sufficient to form a belief as to the truth of the allegations set forth in Paragraph 6 of Plaintiff's Complaint, and the same are denied and strict proof thereof demanded. 7. Denied. This paragraph states a legal conclusion to which no response is required. On the contrary, and at all times relevant, Defendant acted in a lawful, careful, safe and prudent manner and with due care as required by the circumstances. 8. Denied. This paragraph states a legal conclusion to which no response is required. To the extent a response is required, the allegations are denied. After reasonable investigation, Defendant is without knowledge or information sufficient to form a belief as to the truth of the allegations set forth in Paragraph 8 of Plaintiffs Complaint, and the same are denied and strict proof thereof demanded. 9. Denied. This paragraph states a legal conclusion to which no response is required. To the extent a response is required, the allegations are denied. After reasonable investigation, Defendant is without knowledge or information sufficient to form a belief as to the truth of the allegations set forth in Paragraph 9 of Plaintiff's Complaint, and the same are denied and strict proof thereof demanded. 10. Denied. This paragraph states a legal conclusion to which no response is required. To the extent a response is required, the allegations are denied. After reasonable investigation, Defendant is without knowledge or information sufficient to form a belief as to the truth of the allegations set forth in Paragraph 10 of Plaintiffs Complaint, and the same are denied and strict proof thereof demanded. 2 11. Denied. This paragraph states a legal conclusion to which no response is required. To the extent a response is required, the allegations are denied. After reasonable investigation, Defendant is without knowledge or information sufficient to form a belief as to the truth of the allegations set forth in Paragraph 11 of Plaintiff's Complaint, and the same are denied and strict proof thereof demanded. 12. Denied. This paragraph states a legal conclusion to which no response is required. To the extent a response is required, the allegations are denied. After reasonable investigation, Defendant is without knowledge or information sufficient to form a belief as to the truth of the allegations set forth in Paragraph 12 of Plaintiff's Complaint, and the same are denied and strict proof thereof demanded. 13. Denied. This paragraph states a legal conclusion to which no response is required. To the extent a response is required, the allegations are denied. After reasonable investigation, Defendant is without knowledge or information sufficient to form a belief as to the truth of the allegations set forth in Paragraph 13 of Plaintiff's Complaint, and the same are denied and strict proof thereof demanded. WHEREFORE, Answering Defendant, Linda Trayer, respectfully requests this Honorable Court to enter judgment in her favor, together with costs of this lawsuit. By way of further defense: NEW MATTER 14. Paragraphs 1 through 13 of Defendant's Answer with New Matter are incorporated herein as though fully set forth at length. 15. Plaintiff's injuries, if any, may be barred or limited by the Motor Vehicle Financial Responsibility Law. 3 16. Plaintiff's injuries, if any, may be barred or limited by a limited tort selection. 17. Plaintiff's injuries, if any, were caused by the acts or omissions of a third party over whom, Defendant had no control. 18. Plaintiff's injuries, if any, were caused by events which either predated or postdated the motor vehicle accident which is the subject of this lawsuit. 19. Plaintiff's damages were caused by her own conduct. WHEREFORE, Answering Defendant, Linda Trayer, respectfully requests this Honorable Court to enter judgment in her favor, together with costs of this lawsuit. GRIFFITH, STRICKLER, LERMAN, SOLYMOS & CALKINS _ /I . Date: May 4, 2007 By: V . -vV ` v L/ , . MICHAEL B. SC IB, ESQUIRE Supreme Court I.D. No. 63868 110 South Northern Way York, PA 17402-3737 (717) 757-7602 Attorney for Defendant, Linda Trayer 4 VERIFICATION I, Linda Trayer, hereby verify that the statements made in the foregoing Answer with New Matter are true and correct to the best of my personal knowledge or information and belief, as well as reports, records, conferences and other investigatory material made available to me. To the extent that the foregoing contains averments which are inconsistent in fact, I verify that my knowledge or information is sufficient to form a belief that one or more of them is true, although I am currently unable, after reasonable investigation, to ascertain which of the inconsistent averments are true. To the extent that the foregoing contains legal conclusions or opinions, I hereby state that my Verification is made upon the advice of counsel, upon whom I have relied in the filing this document. This Verification is made subject to the penalties of 18 Pa.C.S. § 4904 related to unsworn falsifications to authorities. Date: Aai'4? Linda Trayer IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA TRUDY GETZ, Plaintiff V. LINDA TRAYER, Defendant NO. 07-1613 CIVIL ACTION - LAW JURY TRIAL DEMANDED CERTIFICATE OF SERVICE AND NOW, this 4th day of May, 2007, I, Michael B. Scheib, Esquire, a member of the firm of Griffith, Strickler, Lerman, Solymos & Calkins, hereby certify that I have this date served a copy of the Answer with New Matter, by United States Mail, postage prepaid, addressed to the party or attorney of record as follows: David L. Lutz, Esquire Angino & Rovner, P.C. 4503 North Front Street Harrisburg, PA 17110 (Counsel for Plaintiff) GRIFFITH, STRICKLER, RMA , SOLYMOS 8 CAL INS By: MICHAElL B. SCHEIB, ESQL Supreme Court I.D. No. 63868 110 South Northern Way York, PA 17402-3737 (717) 757-7602 Attorney for Defendant, Linda Trayer {- ' 77 : '! ANGINO & ROVNER, P.C. David L. Lutz, Esquire Attorney M# : 35956 4503 North Front Street Harrisburg, PA 17110-1708 (717) 238-6791 FAX (717) 238-5610 Attorneys for Plaintiff(s) E-mail: dlutz@angino-rovner.com TRUDY GETZ, Plaintiff V. LINDA TRAYER, Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PA NO. 07-1613 Civil Term CIVIL ACTION - LAW JURY TRIAL DEMANDED PLAINTIFF'S REPLY TO THE DEFENDANT'S NEW MATTER 15. through 19. Paragraphs 15 through 19 of the Defendant's New Matter fails to set forth factual allegations that require the Plaintiff to admit and/or deny said allegations. The factual allegations contained in the Plaintiff's Complaint are incorporated herein by reference. The allegations contained in the Defendant's New Matter are all conclusions of law. 354931351686 WHEREFORE, Plaintiff respectfully requests that the Defendant's New Matter be dismissed. Date: ? X`Q "0 ANGINO & ROVNER, P.C. a ' . Lutz I.D. No. 35956 4503 N. Front Street Harrisburg, PA 17110 (717) 238-6791 -phone (717)238-5610 fax dlutz@angino-rovner.com Attorney for Plaintiff 354931351686 il? CERTIFICATE OF SERVICE I, Mary T. Geraets, an employee of the law firm of Angino & Rovner, P.C., do hereby certify that I am this day serving a true and correct copy of the PLAINTIFF'S REPLY TO THE DEFENDANT'S NEW MATTER upon all counsel of record via postage prepaid first class United States mail addressed as follows: Michael Scheib, Esquire Griffith, Strickler, et al. 110 S. Northern Way York, PA 17402-3737 Attorney for Defendant Dated: 354931 351686 ? - M? ? ? {-, -c1 c? ,-._ . ?.? ?, .-r; _t ?? j ? ?, - ..-- v (, :? '; ?, ?a r : SHERIFF'S RETURN - REGULAR CASE NO: 2007-01613 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND GETZ TRUDY VS TRAYER LINDA TIMOTHY REITZ , Sheriff or Deputy Sheriff of Cumberland County,Pennsylvania, who being duly sworn according to law, says, the within COMPLAINT & NOTICE was served upon TRAYER LINDA the DEFENDANT , at 2016:00 HOURS, on the 27th day of March 2007 at 3902 TRAYER LANE MECHANICSBURG, PA 17050 by handing to LINDA TRAYER a true and attested copy of COMPLAINT & NOTICE together with and at the same time directing Her attention to the contents thereof. Sheriff's Costs: Docketing 18.00 Service 12.48 Postage . .39 Surcharge 10.00 .00 ?-lIbIt 101 40.87 Sworn and Subscibed to before me this day of , So Answers: R. Thomas Kline 03/28/2007 ANGINO & ROVNER By. f ?- ?- De y Sh riff A.D. I w ANGINO & ROVNER, P.C. David L. Lutz, Esquire Attorney ID# : 35956 4503 North Front Street Harrisburg, PA 17110-1708 (717) 238-6791 FAX (717) 238-5610 Attorneys for Plaintiff(s) E-mail: dlutz@angino-rovner.com TRUDY GETZ, Plaintiff V. LINDA TRAYER, Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PA NO. 07-1613 Civil Term CIVIL ACTION - LAW JURY TRIAL DEMANDED PLAINTIFF'S REQUEST FOR ADMISSIONS TO DEFENDANT - SET NO. 1 To: Defendant Linda Trayer, by and through counsel Michael Scheib, Esquire Please take notice that you are hereby required, pursuant to Rule 4014 of the Pennsylvania Rules of Civil Procedure (Federal Rules of Civil Procedure 36), to serve upon the undersigned within thirty (30) days from service, your response to the admission(s) requested herein: 1. Do you admit that you were involved in a motor vehicle collision on April 29, 2005, at the intersection of Lambs Gap Road and the Carlisle Pike? Admit Deny 357170 351686 llh? 2. Do you admit before the subject motor vehicle collision, you were operating a Ford van, traveling south on Lambs Gap Road, approaching the intersection of Lambs Gap Road and the Carlisle Pike? Admit Deny Do you admit that the front of your vehicle collided into the rear of a vehicle that was stationary in front of you? Admit Deny ANGINO & ROVNER, P.C. David L. Lutz I.D. No. 35956 4503 N. Front Street Harrisburg, PA 17110 (717) 238-6791 -phone (717) 238-5610 - fax dlutz@angino-rovner.com Attorney for Plaintiff Date: 357170 351686 CERTIFICATE OF SERVICE I, Mary T. Geraets, an employee of the law firm of Angino & Rovner, P.C., do hereby certify that I am this day serving a true and correct copy of the PLAINTIFF'S REQUEST FOR ADMISSIONS TO DEFENDANT - SET NO. 1 upon all counsel of record via postage prepaid first class United States mail addressed as follows: Michael Scheib, Esquire Griffith, Strickler, et al. 110 S. Northern Way York, PA 17402-3737 Attorney for Defendant Dated: ? ? - U I Mary. eraets 357170 351686 (`) C o 0 " ' t i .. .? . .( 71 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA TRUDY GETZ, Plaintiff V. LINDA TRAYER, Defendant NO. 07-1613 CIVIL ACTION - LAW JURY TRIAL DEMANDED CERTIFICATE OF SERVICE AND NOW, this V l day of y2007, I, Michael B. Scheib, Esquire, a member of the firm of Griffith, Strickler, Lerman, Solymos & Calkins, hereby certify that I have this date served a copy of the Defendant's Response to Plaintiffs Request for Admissions - Set No. 1, by United States First-Class Mail, postage prepaid, addressed as follows: David L. Lutz, Esquire Angino & Rovner, P.C. 4503 North Front street Harrisburg, PA 16110-1799 (Attorney for Plaintiff) GRIFFITH, STRICKLER, LERMAN, SOLYMOS & CALKINS e, MICHAEL B. SCHEIB, ESQUIRE Supreme Court I.D. No. 63868 110 South Northern Way York, PA 17402-3737 (717) 757-7602 Attorney for Defendant, Linda Trayer CJ C: a -Ti ' r . cz -rz 7 C co CERTIFICATE OREr W' Y PREREQUISITE TO SERVICE OF A SUBPOENA PURSUANT TO RULE 4009.22 IN THE MATTER OF: TRUDY GETZ -VS- LINDA TRAYER COURT OF COMMON PLEAS TERM, CUMBERLAND CASE NO: 07-1613 As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of MICHAEL SCHEIB, E certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 07/09/2007 1 /;ICH) -o be pf .S ELSCHEIB, ESQ. Attorney for DEFENDANT R1.35 133-H DE11-0697983 93 952 -LO 1 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND IN THE MATTER OF: TRUDY GETZ -VS- LINDA TRAYER COURT OF COMMON PLEAS TERM, CASE NO: 07-1613 NOTICE OF INTENT TO SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 GOOD HOPE FAMILY PRACTICE CTR. MEDICAL RECORDS HOLY SPIRIT HOSPITAL MEDICAL RECORDS ORTHOPEDIC INSTITUTE OF PA. MEDICAL RECORDS CUMBERLAND ORTHOPEDIC MEDICAL RECORDS TO: DAVID L. LUTZ, ESQ., PLAINTIFF COUNSEL MCS on behalf of MICHAEL SCHEIB, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena may be served. Complete copies of any reproduced records may be ordered at your expense by completing the attached counsel card and returning same to MCS or by contacting our local MCS office. DATE: 06/19/2007 CC: MICHAEL SCHEIB, ESQ. - 110183-4 PATRICIA HOFFMAN - Any questions regarding this matter, contact MCS on behalf of MICHAEL SCHEIB, ESQ. Attorney for DEFENDANT THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 1.35S 133-H DE02-0366549 93952-C02 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND TRUDY GETZ VS. LINDA TRAYER File No. 07-1613 SUBPOENA TO PRODUCE DOCUMENTS OR THINGS FOR DISCOVERY PURSUANT TO RULE 4009.22 TO: Custodian of Records for GOOD HOPE FAMILY PRACTICE CIR (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: **** SEE ATTACBED RIDER **** at The MCS Qr - Inc 1601 Market Street Suite 800 Philadelphia PA 19193 - You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: MICHAEL SCHEIB. ESQ. ADDRESS: 110 S NORTHERN WAY YORK_ P. TELEPHONE: _(215) 246 SUPREME COURT ID #: ATTORNEY FOR: Defendant BY THE URT: Kroonotary/Clerk, Civil Divisio JUL k,$ 2007 ' 11101-p- j) Deputy Date: ?..JLtc-)--- 1.3T.2 o07 Seal of the Court 93952-01 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR: GOOD HOPE FAMILY PRACTICE CTR. 1830 GOOD HOPE ROAD ENOLA, PA 17025 RE: 93952 TRUDY L. GETZ Prior approval is required for fees in excess of $150.00 for hospitals, $100.00 for all other providers. Entire medical file, including but not limited to any and all records, correspondence to and from the consulting and treating physicians, files, memoranda, handwritten notes, history and physical reports, medication/ prescription records, including any and all such items as may be stored in a computer database or otherwise in electronic form, relating to any examination, diagnosis or treatment pertaining to: Dates Requested: from: 01-01-2000 to the present. Subject : TRUDY L. GETZ 6225 SMITH DRIVE, MECHANICSBURG, PA 17050 Social Security #: XXX-XX-0111 Date of Birth: 05-21-1959 21.35S 133-H SU10-0691734 93952-LO1 IN THE MATTER OF: TRUDY GETZ LINDA TRAYER PA r CERTIFICATE v RI ?A PREREQUISITE TO SERVICE OF A SUBPOENA PURSUANT TO RULE 4009.22 COURT OF COMMON PLEAS TERM, CUMBERLAND -VS- CASE NO: 07-1613 As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of MICHAEL SCHEIB, ESQ. certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 07/09/2007 Sb 4f S` /S MICHAEL SCHEIB, ESQ. Attorney for DEFENDANTI- .1.35 133-H DE11-0697984 93952-L02 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND IN THE MATTER OF: TRUDY GETZ -VS- LINDA TRAYER COURT OF COMMON PLEAS TERM, CASE NO: 07-1613 NOTICE OF INTENT TO SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 GOOD HOPE FAMILY PRACTICE CTR. MEDICAL RECORDS HOLY SPIRIT HOSPITAL MEDICAL RECORDS ORTHOPEDIC INSTITUTE OF PA. MEDICAL RECORDS CUMBERLAND ORTHOPEDIC MEDICAL RECORDS TO: DAVID L. LUTZ, ESQ., PLAINTIFF COUNSEL MCS on behalf of MICHAEL SCHEIB, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena may be served. Complete copies of any reproduced records may be ordered at your expense by completing the attached counsel card and returning same to MCS or by contacting our local MCS office. DATE: 06/19/2007 CC: MICHAEL SCHEIB, ESQ. - 110183-4 PATRICIA HOFFMAN - Any questions regarding this matter, contact MCS on behalf of MICHAEL SCHEIB, ESQ. Attorney for DEFENDANT THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 ..35S 133-H DS02-0366549 93952-C02 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND TRUDY GETZ VS. LINDA TRAYER File No. 07-1613 SUBPOENA TO PRODUCE DOCUMENTS OR THINGS FOR DISCOVERY PURSUANT TO RULE 4009.22 TO: Custodian of Records for HOLY SPIRIT HOSPITAL (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: ****SEE ATTACHED RIDER**** at The MCS Group. Inc. 1601 Market Street Suite 800, Philadelphia- PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: MICHAEL SCHEIB. ESO. ADDRESS: 110 S. NORT_HFRN WAY _YORK. PA 17402 TELEPHONE: _(215) 246-0900 SUPREME COURT ID #: ATTORNEY FOR: Defendant JUL 0 9 z007 Date: !'A 39 l.S akDD7-- Seal of the Court BY THE OURT: ro honotary/Clerk, Civil Di Deputy 93952-02 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR: HOLY SPIRIT HOSPITAL MEDICAL RECORDS 503 N. 21ST STREET CAMP HILL, PA 17011 RE: 93952 TRUDY L. GETZ Prior approval is required for fees in excess of $150.00 for hospitals, $100.00 for all other providers. Entire hospital medical file, including but not limited to any and all records, correspondence to and from the consulting and/or treating physician, files, memoranda, handwritten notes, history and physical reports, medication/ prescription records, nurse's notes, doctor's comments, dietary restrictions, and all patient consent or refusal of treatment, procedures, test, and/or medication, lab and diagnostic test results, including any and all such items as may be stored in a computer database or otherwise in electronic form, relating to any examination, consultation, diagnosis, care, treatment, admission, discharge, or emergency care pertaining to: Dates Requested: from: 01-01-2000 to the present. Subject : TRUDY L. GETZ 6225 SMITH DRIVE, MECHANICSBURG, PA 17050 Social Security #: 489-70-0111 Date of Birth: 05-21-1959 R1.35S 133-H SU10-0691736 93952-LO2 IN THE MATTER OF: TRUDY GETZ LINDA TRAYER CERTIFICATE ORIGINAL PREREQUISITE TO SERVICE OF A SUBPOENA PURSUANT TO RULE 4009.22 COURT OF COMMON PLEAS TERM, CUMBERLAND -VS- CASE NO: 07-1613 As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of MICHAEL SCHEIB, ESQ. certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 07/09/2007 mr, S'o b alf of. ?S? hjMICHAEL SCHEIB, ESQ. Attorney for DEFENDANT R1.35 133-H DE11-0697985 93952-LO3 COMMONWEALTH OF PENNSYLVANIA COUN'T'Y OF CUMBERLAND IN THE MATTER OF: TRUDY GETZ -VS- LINDA TRAYER COURT OF COMMON PLEAS TERM, CASE NO: 07-1613 NOTICE OF INTENT TO.SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 GOOD HOPE 'FAMILY PRACTICE CTR. MEDICAL RECORDS HOLY SPIRIT HOSPITAL MEDICAL RECORDS ORTHOPEDIC INSTITUTE OF PA. MEDICAL RECORDS CUMBERLAND ORTHOPEDIC MEDICAL RECORDS TO: DAVID L. LUTZ, ESQ., PLAINTIFF COUNSEL MCS on behalf of MICHAEL SCHEIB, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena may be served. Complete copies of any reproduced records may be ordered at your expense by completing the attached counsel card and returning same to MCS or by contacting our local MCS office. DATE: 06/19/2007 CC: MICHAEL SCHEIB, ESQ. - 110183-4 PATRICIA HOFFMAN - MCS on behalf of MICHAEL SCHEIB, ESQ. Attorney for DEFENDANT Any questions regarding this matter, contact THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 21.35S 133-H DE02-0366549 93952-CO2 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND TRUDY GETZ VS. LINDA TRAYER File No. 07-1613 TO: Custodian of Records for ORTHOPEDIC INSTITLI'1'F OF PA. (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: **** SEE ATTACHED RIDER**** at The MCS Ca=- Inc._ 1601 Market Street Suite 800, Philadelphia- PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: MICHAEL SCHEIB. ESO. ADDRESS: 110 S. NORTHERN WAY YORK. PA 17402 TELEPHONE: (15) 246-0900 - SUPREME COURT ID #: ATTORNEY FOR: Defendant JUL 0 9 2007 Date: JUA?E- 2067 Seal of the Court BY THE :UR'n ro onotary/Clerk, Civil Divisio eputy 93952-03 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR: ORTHOPEDIC INSTITUTE OF PA. 3399 TRINDLE RD CAMP HILL, PA 17011 RE: 93952 TRUDY L. GETZ Prior approval is required for fees in excess of $150.00 for hospitals, $100.00 for all other providers. Entire medical file, including but not limited to any and all records, correspondence to and from the consulting and treating physicians, files, memoranda, handwritten notes, history and physical reports, medication/ prescription records, including any and all such items as may be stored in a computer database or otherwise in electronic form, relating to any examination, diagnosis or treatment pertaining to: Dates Requested: from: 01-01-2000 to the present. Subject : TRUDY L. GETZ 6225 SMITH DRIVE, MECHANICSBURG, PA 17050 Social Security #: XXX-XX-0111 Date of Birth: 05-21-1959 R1.35S 133-H SU10-0691738 93952-L03 CERTIFICATE PREREQUISITE TO SERVICE OF A SUBPOENA PURSUANT TO RULE 4009.22 IN THE MATTER OF: TRUDY GETZ -VS- LINDA TRAYER ORIGINAL COURT OF COMMON PLEAS TERM, CUMBERLAND CASE NO: 07-1613 As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of MICHAEL SCHEIB, ES certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 07/09/2007 1 ?I S o bet f/9 f / 1 MICHAEL SCHEIB, ESQ. Attorney for DEFENDANT R1.35 133-H DE11-0697986 93952-L04 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND IN THE MATTER OF: TRUDY GETZ -VS- LINDA TRAYER COURT OF COMMON PLEAS TERM, CASE NO: 07-1613 NOTICE OF INTENT TO SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 GOOD HOPE 'FAMILY PRACTICE CTR. MEDICAL RECORDS HOLY SPIRIT HOSPITAL MEDICAL RECORDS ORTHOPEDIC INSTITUTE OF PA. MEDICAL RECORDS CUMBERLAND ORTHOPEDIC MEDICAL RECORDS TO: DAVID L. LUTZ, ESQ., PLAINTIFF COUNSEL MCS on behalf of MICHAEL SCHEIB, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena may be served. Complete copies of any reproduced records may be ordered at your expense by completing the attached counsel card and returning same to MCS or by contacting our local MCS office. DATE: 06/19/2007 CC: MICHAEL SCHEIB, ESQ. - 110183-4 PATRICIA HOFFMAN - Any questions regarding this matter, contact MCS on behalf of MICHAEL SCHEIB, ESQ. Attorney for DEFENDANT THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 21.35S 133-H DS02-0366549 93952-C02 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND TRUDY GETZ File No. 07-1613 VS. LINDA TRAYER SUBPOENA TO PRODUCE DOCUMENTS OR THINGS FOR DISCOVERY PURSUANT TO RULE 4009.22 TO: Custodian of Records for CUMBERLAND ORTHOPEDIC (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: **** SEE ATTACHED RIDER **** at The MCS Cff=. Inc.. 1601 Market Street, Suite 800, P ilad ia, PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: MICHAEL SCHEIB. ESQ. ADDRESS: 110S. NORTHERN WAY YORK. PA 17402 TELEPHONE: (215) 246-0900 SUPREME COURT ID #: ATTORNEY FOR: Defendant JUL 0 9 2007 Date: ?L[_t Q, `3 TaQO'l Seal of the Court BY THE OURT: ro onotary/Clerk, Civil Divisi?? Deputy 93952-04 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR: CUMBERLAND ORTHOPEDIC 6375 MERCURY DRIVE SUITE 100 MECHANICSBURG. PA 17050 RE: 93952 TRUDY L. GETZ Prior approval is required for fees in excess of $150.00 for hospitals, $100.00 for all other providers. Entire medical file, including but not limited to any and all records, correspondence to and from the consulting and treating physicians, files, memoranda, handwritten notes, history and physical reports, medication/ prescription records, including any and all such items as may be stored in a computer database or otherwise in electronic form, relating to any examination, diagnosis or treatment pertaining to: Dates Requested: from: 01-01-2000 to the present. Subject : TRUDY L. GETZ 6225 SMITH DRIVE, MECHANICSBURG, PA 17050 Social Security #: XXX-XX-0111 Date of Birth: 05-21-1959 R1.35S 133-H SU10-0691740 93952-LO4 >> t j° it IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA TRUDY GETZ, CIVIL ACTION - LAW Plaintiff NO: 07-1613 Civil Term V. JURY TRIAL DEMANDED LINDA TRAYER, Defendant CERTIFICATE OF SERVICE AND NOW, this 2nd day of August, 2007, I, Michael B. Scheib, Esquire, a member of the firm of GRIFFITH, STRICKLER, LERMAN, SOLYMOS & CALKINS, hereby certify that I have this date served a copy of RESPONSE OF DEFENDANT, LINDA TRAYER TO PLAINTIFF'S REQUEST FOR PRODUCTION OF DOCUMENTS DIRECTED TO DEFENDANT, SET NO. 1, by hand delivery, addressed to the party or attorney of record as follows: David L. Lutz, Esquire Angino & Rovner, P.C. 4503 North Front Street Harrisburg, PA 17110-1708 Attorney for Plaintiff GRIFFITH, STRICKLER, LERMAN, SOLYMOS & CALKINS BY: i"i6f" MICHAEL B. SCHEIB, ESQUIRE Attorney for Defendant ID# 63868 110 South Northern Way York, Pennsylvania 17402 Telephone: (717) 757-7602 C rv c? C) t a i C ? t.+t1 Y' (Dm ANGINO & ROVNER, P.C. David L. Lutz, Esquire Attorney ID# : 35956 4503 North Front Street Harrisburg, PA 17110-1708 (717) 238-6791 FAX (717) 238-5610 Attorneys for Plaintiff(s) E-mail: dlutz@angino-rovner.com TRUDY GETZ, Plaintiff V. LINDA TRAYER, Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PA NO. 07-1613 Civil Term CIVIL ACTION - LAW JURY TRIAL DEMANDED PETITION FOR APPOINTMENT OF ARBITRATORS TO THE HONORABLE, THE JUDGES OF SAID COURT: David L. Lutz, Esquire, counsel for the Plaintiff in the above action, respectfully represents that: 1. The above-captioned action is at issue. 2. The claim of the Plaintiff in the action is $50,000. The counterclaim of the Defendant in the action is $0. The following attorneys are interested in the case(s) as counsel or otherwise disqualified to sit as arbitrators: David L. Lutz, Esquire, 4503 N. Front Street, Harrisburg, PA 17110; Michael Scheib, Esquire, 110 S. Northern Way, York, PA 17402-3737. 371246 WHEREFORE, your Petitioners pray Your Honorable Court to appoint three (3) arbitrators to whom the case shall be submitted. Date: A?.'vvO ANGINO & ROVNER, P.C. X David L. Lutz I.D. No. 35956 4503 N. Front Street Harrisburg, PA 17110 (717) 238-6791 -phone (717) 238-5610 - fax dlutz@angino-rovner.com Attorney for Plaintiff 371246 CERTIFICATE OF SERVICE I, Mary T. Geraets, an employee of the law firm of Angino & Rovner, P.C., do hereby certify that I am this day serving a true and correct copy of the PETITION FOR APPOINTMENT OF ARBITRATORS upon all counsel of record via postage prepaid first class United States mail addressed as follows: Michael Scheib, Esquire Griffith, Strickler, et al. 110 S. Northern Way York, PA 17402-3737 Attorney for Defendant Dated: l ? ' ` ' 0 371246 O ul * 8 J ?" d ANGINO & ROVNER, P.C. David L. Lutz, Esquire Attorney ID# : 35956 4503 North Front Street Harrisburg, PA 17110-1708 (717) 238-6791 FAX (717) 238-5610 Attorneys for Plaintiff(s) E-mail: dlutz@angino-rovner.com TRUDY GETZ, Plaintiff V. LINDA TRAYER, Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PA NO. 07-1613 Civil Term CIVIL ACTION - LAW JURY TRIAL DEMANDED ORDER OF COURT AND NOW, this Vkday of , 2007, in consideration of the foregoing petition, v». / . Esq. and (? . Esq V 01 captioned action as prayed for. P. , Esq. C/ U are appointed arbitrators in the above- BY CO .J. 371246 >-- cz: rrr CZ, p 1 Salo- Mil ?a? 1g, le, e File 11 08 1 Dice Trudy Getz In The Court of Common Pleas of Cumberland Plaintiff County, Pennsylvania No. 07 - 1613 Linda Trayer Defendant Civil Action - Law. Oath We do solemnly swear (or affirm) that we will support, obey and de end the Constitution of the United States and the Constitution of this Commonwealth and that we will discharge the duties of our office -3©kr r. ©S-auI VtvltL Name Y'. //A/, (",/- Si tore JO IN (L, MA10 5 , Name R Signature William P. Douglas Name SGt l-he '106S01V ,Doff/e' Douglas Law Office Law Firm Law Firm Law Firm O V Sf A, vroy'f V S? 3ol /' Arort 43 W. South St. Address Address Address 6 j- ll.L-& f)? 1 ?6 13 lAftmc t 1703 Carlisle, PA 17013 City, zip city, Zip city, zip # 1x050 411431 # 108x9 Award We, the undersigned arbitrators, having been duly appointed and sWorn (or affirmed), make the foll?o?wing?war: (N t: If ges for delay are ward d, shall be separately stated.) !a ` . Arbitrator dissents. (Insert name if applicable Date of Hearing: 02/15/2008 (Chairman) Date of Award: 02/15/2008 Notice of Ent ofAward v Now, the ia-A day of Mareh , 20ja_, at & Yom, ?.M., the above award was entered upon the docket and notice thereof given by mail to the parti0s or their attorneys. Arbitrators' compensation to be paid upon appeal: S 350, 99- By: othonotary Deputy r> vtd ?-? ?x he,b, Est M ?cha 3/i j"Al OK-,d Tod'exed - ©0 Pmt' 3?-44< s k 1 f _ t` }} ,J 7M IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA TRUDY GETZ, Plaintiff NO. 07-1613 V. LINDA TRAYER, Defendant CIVIL ACTION - LAW JURY TRIAL DEMANDED PRAECIPE TO DISCONTINUE TO: Prothonotary Pursuant to Rule 229, please mark this matter settled, discontinued and ended. ANGINO & ROVNER, P.C. Date: C)'.) 3 D , 2008 gB ID. LUTZ, ESQUIRE Supreme Court I.D. No. 63868 110 South Northern Way York, PA 17402-3737 (717) 757-7602 A#ermy ira "?