HomeMy WebLinkAbout01-04702?'a''~ " `
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ROSANNA E. TURNER, IN THE COURT OF COMMON PLEAS
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
vs . N0. UI - ~~(~~ ~~~
HMCC INC., and CIVIL ACTION - LAW
GARRETT W. HULL,
Defendants PERSONAL INJURY
JURY TRIAL DEMANDED
PRAECIPE FOR WRIT OF SUMMONS
TO THE PROTHONOTARY:
Please issue a Writ of Summons on the above named Defendants.
Defendants, HMCC Inc. and Garrett W. Hull have the following
address:
HMCC Inc.
9 Brennan Circle
Mechanicsburg, PA 17055
Garret W. Hull
563 P Street
Carlisle, PA 17013
Respectfully submitted,
Date; ~'l ~ / 2, (DUI
Patrick F. Lauer, Jr., Esquire
2108 Market Street, Aztec Building
Camp Hill, Pennsylvania 17011-4706
ID# 46430 Tel. (717) 763-1800
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Commonwealth of Pennsylvania
County of Cumberland
Rosanna E. Turner
vs.
HMCC Inc.
9 Brennan circle
Mechanicsburg PA 17055
Garret W. Hull
563 "F" Street
Carlisle PA 17013
HMCC Inc. and Garret W. Hull:
To --------------------------------------------
You are hereby notified that
Court of Conunon Pleas
01-4702 Civil
No. -------------------------------
civil Action - Law
In --------------------------------
Rosanna E. Turner
--------------------------------------------------------------------------------------------------
the Plaintiff has commenced an action in _ Summons- - Civil ACtiOn - Law
------------------------------------------
against you which you are required to defend or a default judgment may be entered against you.
(SEAL)
_--- -CURTIS R. LONG
Prothonotary
Date August 8, 2001
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SHERIFF'S RETURN - REGULAR
CASE =:xIO: 2001-04702 P
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
TURNER ROSANNA E
VS
HMCC INC ET AL
SHANNON SUNDAY Sheriff or Deputy Sheriff of
Cumberland County,Pennsylvania, who being duly sworn according to law,
says, the within WRIT OF SUMMONS was served upon
HMCC INC
the
DEFENDANT at 1645:00 HOURS, on the 10th day of August 2001
at 9 BRENNAN CIRCLE
MECHANICSBURG, PA 17055
DON HEARN (PRESIDENT
by handing to
a true and attested copy of WRIT OF SUMMONS
together with
and at the same time directing His attention to the contents thereof.
Sheriff's Costs:
Docketing 18.00
Service 5.20
Affidavit .00
Surcharge 10.00
.00
33.20
Sworn and Subscribed to before
me this 3G ~ day of
~.vp A . D .
rothonotary
So Answers:
~~6~~
R. Thomas Kline i
08/16/2001
PATRICK F LAUER JR.
By:
Deputy Sheriff
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DEVLIN &DEVINE
ATTORNEYS AT LAW
By: William J. Devlin, Jr., Esquire
Identification # 42717
Suite 200,100 West Elm Street
Conshohocken, PA 19428
(610)397-4600
Attorney for Defendants
HMCC, Inc. and Garrett W. Hull
ROSANNA E. TURNER COURT OF COMMON PLEAS
CUMBERLAND COUNTY
v.
HMCC, INC. and GARRETT W. HULL NO.O1-4702 CIVIL
ENTI2I' OP ePPEAItAN%E
TO THE PROTHONOTARY:
Kindly enter my appeazance in the above-captioned matter on behalf of the Defendants,
HMCC, Inc. and Garrett W. Hull.
DEVLIN &DEVINE
a--L
William evlin, Jr., Esgi e
Attorney r Defendants
HMCC, Inc. and Garrett W. Hull
CERTIFICATE OF SERVICE
I, William J. Devlin, Jr, Esquire, counsel for Defendants, HMCC, Inc. and Garrett W.
Hull, hereby state that a true and correct copy of the foregoing Entry of Appeazance was served on
the counsel below on August 27, 2001, by placing a copy of same in the United States regular first-
class mail, first-class postage prepaid.
Mazlin L. Markley, Esquire
Law Offices of Patrick F. Lauer, Jr.
2108 Mazket Street, Aztec Building
Camp Hill, PA 17011-4706
DEVLIN & DEVINE
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illiam evlin, Jr., Esqu'
Attorney • Defendants
HMCC, Inc. and Garrett W. Hull
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D~+ VLIN & DEVINE
ATTORNEYS AT I,AW
By: Christine E. Munion, Esquire
Identification # 72724
Suite 200,100 West Elm Street
Conshohocken,PA 19428
(610)397-4600
Attorney for Defendants
HMCC, Inc. and Garrett W. Hull
ROSANNA E. TURNER
v.
HMCC, INC. and GARRETT W. HULL
COURT OF COMMON PLEAS
CUMBERLAND COUNTY
NO.O1-4702 CIVIL
CERTIFICATE OF SERVICE
I, Christine E. Munion, Esquire, counsel for Defendants, HMCC, Inc. and Garrett W. Hull,
hereby state that a true and correct copy of the foregoing WithdrawaUEntry of Appearance and
Praecipe for Rule to File Complaint was served on the counsel below on , ` GvwQ , 2002 by
placing a copy of same in the United States regular first-class mail, first-class postage prepaid.
Marlin L. Markley, Esquire
Law Offices of Patrick F. Lauer, Jr.
2108 Market Street, Aztec Building
Camp Hill, PA 17011-4706
DEVLIN & DEVINE
~~
Christine E. Munion, Esquire
Attorney for Defendants
HMCC, Inc. and Garrett W. Hull
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DEVLIN & DEVINE
ATTORNEYS AT LAW
By: Christine E. Munion, Esquire
Identification # 72724
.Suite 200,100 West Elm Street
Conshohocken, PA 19428
(610)397-4600
Attorney for Defendants
HMCC, Inc. and Garrett W. Hull
ROSANNA E. TURNER
v.
HMCC, INC. and GARRETT W. HULL
COURT OF COMMON.PLEAS
CUMBERLAND COUNTY
NO.O1-4702 CIVIL
PRAECIPE FOR RULE TO FILE COMPLAINT
TO THE PROTHONOTARY:
Please enter a Rule on plaintiff in the above-entitled matter to file a Complaint
within twenty (20) days or suffer judgment of non pros.
DEVLIN EVINE
B
ST . MUNION, ESQUIRE
Attorney for Defendants
DATED: ~(~®~-~aa.
RULE
And Now This 12th day of June, 2002 Rule issued in accordance with
the above Fraecipe.
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DEVLIN & DEVINE
ATTORNEYS AT LAW
By: William J. Devlin, Jr., Esquire
Identification # 42717
Suite 200,100 West Elm Street
Conshohocken, PA 19428
(610) 397-4600
Attorney for Defendants
HMCC, Inc. and Garrett W. Hull
ROSANNA E. TURNER COURT OF COMMON PLEAS
CUMBERLAND COUNTY
v.
HMCC, INC. and GARRETT W. HULL NO.O1-4702 CIVIL
WITHDRAWAL OF APPEARANCE
TO THE PROTHONOTARY:
Kindly withdrawal my appearance in the above-captioned matter on behalf of the
Defendants, HMCC, Inc. and Garrett W. Hull.
DEVLIN & DEVIN
~~
Willi Devhn, Jr., Esgt '
Attorne for Defendants
HMCC, Inc. and Garrett W. Hull
ENTRY OF APPEARANCE
TO THE PROTHONOTARY:
Kindly enter my appearance in the above-captioned matter on behalf of the Defendants,
HMCC, Inc. and Garrett W. Hull.
DEVLIN & DEVINE
stine . Munion, Esquire
Attorney for Defendants
HMCC, Inc. and Garrett W. Hull
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ROSANNA E. TURNER, IN THE COURT OF COMMON PLEAS
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
vs. N0. 01-4702 Civil Term
HMCC, INC. and CIVIL ACTION - LAW
GARRETT W. HULL,
Defendants PERSONAL INJURY
JURY TRIM, DEMANDED
NOTICE TO DEFEND AND CLAIM RIGHTS
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 a judgment may be
entered against you by the court without further notice for any
money claimed in the Complaint or for any claim or relief requested
by the plaintiff. You may lose money or property or other rights
important you.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO
NOT HAVE A LAWYER OR CANNOT AFE'ORD ONE, GO THE OR TELEPHONE THE
OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
Cumberland County Bar Association
Two Liberty Avenue
Carlisle, PA 17013
(717) 249-3166
ROSANNA E. TURNER, IN THE COURT OF COMMON PLEAS
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
vs. N0. 01-4702 Civil Term
HMCC, INC. and CIVIL ACTION - LAW
GARRETT W. HULL,
Defendants PERSONAL INJURY
JURY TRIAL DEMANDED
COMPLAINT IN CIVIL ACTION
AND NOW, comes the Plaintiff, Rosanna E. Turner, through her
attorneys, The Law Offices of Patrick F. Lauer, Jr., and files this
Complaint in Civil Action and, in support thereof, avers as
follows:
1. Plaintiff, Rosanna E. Turner, is an adult individual who
currently resides at 343 West Penn Street, Carlisle, Cumberland
County, Pennsylvania 17013.
2. Defendant, HMCC, Inc., is a corporation organized and
existing under the laws of the Commonwealth of Pennsylvania, with a
business address of 9 Brennan Circle, Mechanicsburg, Cumberland
County, Pennsylvania 17055.
3. Defendant, Garrett W. Hull, is an adult individual who
currently resides at 563 F Street, Carlisle, Cumberland County,
Pennsylvania 17013.
4. On or about August 20, 1999, at approximately 9:20 a.m.,
the plaintiff, Rosanna E. Turner, was operating a 1987 Ford Taurus.
5. On or about August 20, 1999, at approximately 9:20 a.m.,
the defendant, Garrett W. Hull, was operating a 1988 Ford F350.
6. Defendant, Garrett W. Hull, was operating the 1988 Ford
F350 pursuant to his employment for HMCC, Inc. and was acting
within the scope of his employment on the aforesaid date and time.
7. On the aforesaid date and time, plaintiff was traveling
Eastbound in her vehicle on Trindle Road, South Middleton Township,
Cumberland County, Pennsylvania.
8. On the aforesaid date and time, defendant was traveling
Northbound on Fairfield Street, South Middleton Township,
Cumberland County, Pennsylvania.
9. On the aforesaid date and time, defendant failed to stop
his vehicle prior to entering the intersection, despite a properly
posted stop sign, and despite plaintiff's vehicle having the right
of way and being present within the intersection.
10. On the date, time and place aforesaid, the defendant,
Garrett W. Hull, so negligently, carelessly, recklessly and
wantonly operated his motor vehicle so as to cause it to strike and
come in contact with the rear passenger side of the vehicle which
plaintiff was operating, resulting in the serious and severe
injuries to plaintiff which are more fully set forth.
11. The collision, and the resulting injuries and damages to
plaintiff, Rosanna E. Turner, were caused directly and proximately,
by the negligent, careless, reckless and wanton behavior of
defendant, Garrett W. Hull, as follows:
a. In failing to keep and maintain vehicle under proper and
adequate control;
b. In failing to promptly and properly apply the brakes and
other stopping devices of said vehicle;
c. In failing to slow, .stop, turn aside, reduce speed or
take any other action to avoid colliding with the
vehicle which plaintiff was operating;
d. In failing to be properly attentive while operating said
motor vehicle;
e. In failing to observe the vehicle which plaintiff was
operating, which was traveling in compliance with the
law;
f. In failing to. yield the right-of-way to plaintiff's
vehicle;
q. In failing to have proper traction devices and/or
braking systems to permit defendants to stop said motor
vhicle and avoid striking the vehicle which plaintiff
was lawfully operating, resulting in the serious
injuries more fully set forth;
h. In failing to drive her vehicle with due regard for the
roadway and traffic conditions which were existing and
of which she was or should have been aware; and
i. In driving his vehicle upon the roadway 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.
12. The accident was caused by the negligent, careless,
reckless and wanton behavior of the defendant, Garrett W. Hull, as
set forth in paragraph 11 above, and in no way was caused by the
plaintiff, who was operating a vehicle in compliance with traffic
conditions and laws on Trindle Road when it was struck by
defendant.
13. The plaintiff, Rosanna E. Turner, sustained various
severe injuries and suffered damages as will hereinafter be set
forth. Said injuries and damages were caused by the negligence of
defendant, Garrett W. Hull, in some or all of the following
particulars:
a. Severe pain in the lumbar, thoracic and cervical regions of
her back;
b. Severe pain down the entire right side of her body
including neck, back, buttocks and leg;
c. Injury and damage to the bones, muscles, nerves, nerve
roots, ligaments, tendons, cartilage, blood vessels, soft
tissues and underlying organs in the following areas:
i. Cervical spine;
ii. Lumbar spine;
iii. Thoracic spine;
iv. Left and right Shoulder;
v. Both knees; and
vi. Right Ankle.
d. Some and/or all of these serious injuries have or may
result in a serious impairment of a bodily function; and
e. Severe headaches.
14. As the direct and proximate result of the negligent,
careless, reckless and wanton behavior of the defendant, Garrett W.
Hull, the plaintiff has sustained the following damages:
a. Great pain, inconvenience, humiliation, embarrassment
and mental anguish, past and future;
b. Loss of well being and loss of many of the enjoyments
of life and life's pleasures, past and future;
c. Permanent impairment of her general health, strength
and vitality;
d. She has been and will be obliged to expend money for
doctors, medicines, hospitals, medical treatment,
nursing and other medical expenses;
e. She has incurred or may incur medical expenses which
exceed the-sums recoverable under 75 Pa.C.S. Section
1711 et seq.;
f. Her earning power or capacity has been reduced and/or
permanently impaired.
15. Plaintiff 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.
16. Prior to the accident, plaintiff, Rosanna E. Turner,
pursuant to Section 1705 of the Pennsylvania Motor Vehicle
Financial Responsibility Law, had made an election and/or is deemed
to have made an election to retain the right to maintain and/or
pursue an action for non-economic damages resulting from injuries
sustained in a motor vehicle collision, as a result of the nature
of the injuries sustained by her, as listed above.
WHEREFORE, the Plaintiff, Rosanna E. Turner, respectfully
demands judgment against defendant in an amount in excess of the
jurisdiction of the compulsory board of arbitrators of this county.
Respectfully s 'tted,
arli arkley, Esquire
Law Offices of Patrick F. Lauer, Jr.
2108 Market Street, Aztec Building
Date: ~` Z UUL- I #p84745~ PTelsy(717)a763~1800706
ROSANNA E. TURNER, IN THE COURT OE COMMON PLEAS
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
vs. N0. 01-4702 Civil Term
HMCC, INC. and CIVIL ACTION - LAW
GARRETT W. HULL,
Defendants PERSONAL INJURY
' JURY TRIM, DEMANDED
I verify that the statements made in this Complaint are true
and correct. I understand that false statements herein are made
subject to the penalties of 18 Pa. C.S. ~ 4904, relating to unsworn
falsification to authorities.
Date: ~~~ ~"Z~OZ- Signature: ~~
Rosanna E. Turner
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TO: _
You aze hereby noti e t lead
to the enclosed
within twenty (20) days from the
service hereof or a default judgment
maybe entered against you.
omey-for Defendant(s)
DEVLIN & DEVINE
By: Christine E. Munion, Esquire
Identification # 72724
Suite 200,100 West Elm Street
Conshohocken, PA 19428
(610)397-4600
Attorney for Defendants
HMCC, Inc. and Garrett W. Hull
ROSANNA E. TiJRNER
COURT OF COMMON PLEAS
CUMBERLAND COUNTY
v.
HMCC, INC. and GARRETT W. HULL
NO.Ol-4702 CIVIL
DEFENDANTS' ANSWER and NEW MATTER
AND NOW, come the Defendants, HMCC, Inc. and Garrett W. Hull, through their
attorneys, Devlin and Devine, and file this Answer and New Matter to Plaintiff s Complaint and,
in support thereof, avers as follows:
Denied. Defendants are without sufficient information and lrnowledge with
which to form a belief as to the truth of the averments of this paragraph and therefore the same
aze denied.
2. Admitted in part; Denied in part. It is admitted that HMCC, Inc. is a corporation
organized and existing under the laws of the Commonwealth of Pennsylvania. It is denied that
its address is 9 Bt~enneman Circle, Mechanicsburg, Cumberland County, Pennsylvania, 17050.
To the contrary Defendant's address is 9 Brenneman Circle, Mechanicsburg, Cumberland
County, Pennsylvania, 17050.
Admitted in part; Denied in part. It is specifically denied that Garrett W. Hull
resides at 563 F Street, Carlisle, Cumberland County, Pennsylvania 17013. To the contrary, it is
believed and therefore averred that Garrett W. Hull resides at 240 E Street, Apartment #4,
Carlisle, PA 17013. All remaining averments of this paragraph aze admitted.
4. Denied. Defendants aze without sufficient information and knowledge with
which to form a belief as to the truth of the averments of this paragraph and therefore the same
are denied.
5. Denied. Defendants are without sufficient information and knowledge with
which to form a belief as to the truth of the averments of this pazagraph and therefore the same
are denied.
6. Denied. Defendants are advised by counsel that the corresponding averments
constitute conclusions of law to which no response is necessary and therefore the same are
denied. Furthermore, it is specifically denied that Garrett W. Hull was employed for HMCC,
Inc. on August 20, 1999 or that he was acting within the scope of his employment for HMCC on
August 20, 1999
Denied. Defendants are without sufficient information and knowledge with
which to form a belief as to the truth of the auennents of this pazagraph and therefore the same
are denied.
8. Denied. Defendants are advised by counsel that the corresponding averments
constitute conclusions of law to which no response is necessary and therefore the same are
denied.
9. Denied. Defendants are advised by counsel that the corresponding averments
consfitute conclusions of law to which no response is necessary and therefore the same are
denied.
10. Denied. Defendants are advised by counsel that the corresponding averments
constitute conclusions of law to which no response is necessary and therefore the same are
denied.
11. Denied. Answering Defendant denies each and every allegation of negligence
and carelessness contained in Paragraphs 11(a) through 11(i). Answering Defendant avers that
at all times it acted with reasonable and due care
12. Denied. Defendants are advised by counsel that the corresponding averments
constitute conclusions of law to which no response is necessary and therefore the same are
denied.
13. Denied. Defendants are advised by counsel that the corresponding averments
constitute conclusions of law to which no response is necessary and therefore each and every
subparagraph of this paragraph are denied.
14. Denied. Defendants are advised by counsel that the corresponding averments
constitute conclusions of law to which no response is necessary and therefore each and every
subparagraph of this paragraph are denied.
15. Denied. Defendants are advised by counsel that the corresponding averments
constitute conclusions of law to which no response is necessary and therefore the same are
denied.
16. Denied. Defendants are advised by counsel that the corresponding averments
constitute conclusions of law to which no response is necessary and therefore the same are
denied.
Wherefore, Defendants respectfully requests judgment against plaintiff plus interest and
costs.
DEFENDANTS NEW MATTER ADDRESSED TO PLAINTIFF
17. Answering Defendants incorporate by reference the avennents contained in the
foregoing paragraphs of the Answer as through fully set forth herein.
18. Plaintiffs' Complaint fails to state a cause of action upon which relief can be
granted.
19. Plaintiffs' claims may be barred by the applicable Statute of Limitations.
20. Answering Defendants were not negligent.
21. Answering Defendants did not cause any alleged, harm, injury or loss.
22. The negligent act or omissions of other individuals or entities constituted
superseding, intervening causes of the damages and/or injuries alleged to have been sustained by
Plaintiffs.
23. Answering Defendants are not responsible for persons, events, circumstances or
conditions beyond Answering Defendants control.
24. Plaintiffs' claims may be barred in whole or in part by assumpfion of the risk.
25. Plaintiffs' claims may be barred ni whole or in part, or reduced by Plaintiffs'
contributory and/or comparative negligence.
26. Plaintiff has not sustained any injuries cognizable under Pennsylvania law as a
consequent of Answering Defendant's alleged action.
27. Plaintiffs' claims aze barred because Plaintiff has sustained no injury in fact.
28. Pennsylvania Rule of Civil Procedure 238, pertaining to delay damages, is
inapplicable under the facts of the present case, and is unconstitutional and in violation of the
Constitution of the United States and the Constitution of the Commonwealth of Pennsylvania.
29. Without waiver of the above defense, to the extent that delay damages are alleged,
any such delay was not caused by Answering Defendants but was caused by Plaintiff, or by a
circumstance not the fault of the Plaintiff or the Answering Defendants, and delay damages
should not be assessed for same.
30. Plaintiff may have entered into a release which bazs and/or limited recovery in
this action.
31. Plaintiffs' claims may be barred in whole or in part by the doctrine of res judicata
and/or collateral estoppel.
32. Plaintiffs' claims, if any, may be reduced and/or limited by any collateral source
of compensation and/or benefit.
33. Plaintiff has failed to mitigate damages.
34. Plaintiff is limited and/or barred from any recovery of any alleged damages since
she chose or is deemed to have chosen the limited tort option of insurance.
WHEREFORE, Answering Defendants, respectfully requests that this Court grant
judgment in its favor and against Plaintiff plus costs and fees and provided by law.
DEVLIN & DEVINE
BY:
CHRISTINE ON, ESQUIRE
Attorney for Defendants
VERIFICATION
I, LFl U ~ 1 ~ WA ~nrE2 ,hereby state that I am the authorized representative for
the Defendants and that the facts set forth in the Answer and New Matter to Plaintiffs'
Complaint, are true and correct to the best of my lrnowledge, information and belief. I
understand that this Verification is provided subject to 18 Pa. C.S. § 4904 relating to unswom
falsification to authorities.
DEVLIN & DEVINE
ATTORNEYS AT LAW
By: Christine E. Munion, Esquire
Identification # 72724
Suite 200,100 West Elm Street
Conshohocken, PA 19428
(610) 397-4600
Attorney for Defendants
HMCC, Inc. and Garrett W. Hull
ROSANNA E. TURNER COURT OF COMMON PLEAS
CUMBERLAND COUNTY
v.
HMCC, INC. and GARRETT W. HULL NO.O1-4702 CIVIL
CERTIFICATE OF SERVICE
Christine E. Munion, attorney for Defendants, hereby certifies that she caused
Defendants' Answer and New Matter to Plaintiffs' Complaint to be served upon the party named
below by United States, first-class mail, postage prepaid on ~~ ~ 2002:
Marlin L. Markley, Esq.
Law Offices of Patrick F. Lauer, Jr.
2108 Market Street, Aztec Building
Camp Hill, PA 17011-4706
DEVLIN & DEVINE
B
C ST E. ON, ESQUIRE
Attorney for Defendants
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ROSANNA E. TURNER, IN THE COURT OF COMMON PLEAS OF
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
v. CIVIL ACTION -LAW
HMCC, INC., and
GARRET'1' W. HULL,
Defendants NO.O1-4702 CIVIL TERM
ORDER OF COURT
AND NOW, this 2"d day of April, 2003, upon consideration of Plaintiff's Praecipe
to Amend Complaint, "Tracy Young and Leslie Cherry, Co-Administratrices of the
Estate of Rosanna E. Turner, Deceased," are substituted as Plaintiffs in this case.
Marlin L. Markley, Esq.
2108 Market Street
Camp Hill, PA 17011
Attorney for Plaintiff
William J. Devlin, Jr., Esq.
Christine E. Munion, Esq.
100 West Elm Street
Suite 200
Conshohocken, PA 19428
Attorneys for Defendants
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BY THE COURT,
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~"N~/i1`IASi~'CJ3d
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MAR 3 1 2003
ROSANNA E. TURNER,
Plaintiff
PENNSYLVANIA
vs.
HMCC, INC. and
GARRETT W. HULL,
Defendants
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY,
NO. 01-4702 Civil Term
CIVIL ACTION - LAW
PERSONAL INJURY
JURY TRIAL DEMANDED
ORDER
AND NOW, this day of 2003, in consideration
of Plaintiff's Praecipe to Amend Complaint in Civil Action, it is
hereby ordered that the Caption to Plaintiff's complaint will be
amended to the following:
IN RE: THE ESTATE OF
RO5ANNA E. TURNER,
Plaintiff
vs.
HMCC, INC. and
GARRETT W. HULL,
Defendants
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 01-4702 Civil Term
CIVIL ACTION - LAW
PERSONAL INJURY
JURY TRIAL DEMANDED
J.
Distribution:
Christine E. Munion, Esquire, Devlin & Devine Attorneys At Law
100 West Elm Street, Suite 200, Conshohocken, PA 19428
Marlin L. Markley, Esquire, The Law Offices of Patrick Lauer, Jr
2108 Market Street, Camp Hill, PA 17109
,.
ROSANNA E. TURNER,
Plaintiff
vs.
HMCC, INC. and
GARRETT W. HULL,
Defendants
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 01-4702 Civil Term
CIVIL ACTION - LAW
PERSONAL INJURY
JURY TRIAL DEMANDED
PETITION TO AMRND COMPLAINT IN CIVIL ACTION
The Estate of Rosanna E. Turner, by and through its
administrators, Tracy Young and Leslie Cherry, avers the following
in support of its Petition to Amend Complaint in Civil. Action:
1. The Plaintiff in the above captioned action is deceased
as of October 12, 2002
2. In a properly executed will, Plaintiff named Tracy
Young and Leslie Cherry as administrators of her estate.
3. On February 28, 2003 Letters testamentary were granted
by the Register of Cumberland County. (See copy of letters
attached hereto and marked as exhibit "A").
4. The administrators intend to continue the claim against
the Defendants in the above captioned action with proceeds payable
to the Estate of Rosanna E. Turner.
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WHEREFORE, it is respectfully requested that the caption of
the action against Defendants, HMCC, Inc., and Garrett W. Hull, be
amended as follows:
IN RE: THE ESTATE OF
ROSANNA E. TURNER,
Plaintiff
vs.
HMCC, INC. and
GARRETT W. HULL,
Defendants
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 01-4702 Civil Term
CIVIL ACTION - LAW
PERSONAL INJURY
JURY TRIAL DEMANDED
submitted,
Mar1~Xf Markley, Esquire
Law O fices of Patrick F. Lauer, Jr.
2108 Market Street, Aztec Building
3~Z r,z ~~1 Camp Hill, Pennsylvania 17011-4706
Date: l J ID# 84745 Tel. (717) 763-1800
,, .._
ROSANNA E. TURNER,
Plaintiff
PENNSYLVANIA
vs.
HMCC, INC. and
GARRETT W. HULL,
Defendants
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY,
NO. 01-4702 Civil Term
CIVIL ACTION - LAW
PERSONAL INJURY
JURY TRIAL DEMANDED
CERTIFICATE OF SERVICE
I hereby certify that I am this day serving a copy of the
foregoing Praecipe to Amend Complaint in Civil Action upon the
person and in the manner indicated below, which service satisfies
the requirements of the Pennsylvania Rules of Civil Procedure, by
depositing a copy of the same in the United States Mail, Camp
Hill, Pennsylvania, through certified mail, return receipt
requested, prepaid and addressed as follows:
Christine E. Munion, Esquire
Devlin & Devine
Attorneys At Law
100 West Elm Street, Suite 200
Conshohocken, PA 19428
Date : ~~ ~ ~^~~/
Respectfully submitted,
P~&rl' Markley, Esquire
Law O fices of Patrick F. Lauer, Jr.
2108 Market Street, Aztec Building
Camp Hill, Pennsylvania 17011-4706
ID# 84745 Tel. (717) 763-1800
IXH1617 A
J
STATE OF PENNSYLVANIA
COUNTY OF CUMBERLAND
SHORT CERTIFICATE
I, DONNA M. OTTO
Register for the Probate of Wills and Granting
Letters of Administration &c. in and for said
County of CUMBERLAND do hereby certify that on
the 28th day of February A.D.,
Two Thousand and Three,
Letters TESTAMENTARY
in common form were granted by the Register of
said County, on the
estate of TURNER ROSANNA E late of CARLISLE BOROUGH
in said county, deceased, to YOUNG TRACY L and
CHERRY LESLIE A
and that same has not since been revoked.
IN TESTIMONY WHEREOF, I have hereunto set my hand and affixed the seal
of said office at CARLISLE, PENNSYLVANIA, this 28th day of February
A.D., Two Thousand and Three.
File Ne
PA File No
Date of Death
S.S. #
2003:00180
21-03-0180
10/12/2002
169-38-5973
G
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NOT VALID WITHOUT ORIGINAL SIGNATURE AND
ROSANNA E. TURNER
COURT OF COMMON PLEAS
CUMBERLAND COUNTY
v.
HMCC, INC. and GARRETT W. HULL
NO. 01-4702 CIVIL
ORDER TO SETTLE, DISCONTINUE AND END
TO THE PROTHONOTARY:
Kindly mark the above-captioned matter, Settled, Discontinued and Ended, upon
payment of yoar costs only.
Date: t> - ~ "~ v~~
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