HomeMy WebLinkAbout01-04940
MARY A. LEWIS IN THE COURT OF COMMON PLEAS OF
199 Grafton Street CUMBERLAND COUNTY, PENNSYLVANIA
Rochester, NY 14615
Plaintiff NO.: Q~~' y9yo
v. .
CIVIL ACTION - LAW
STEPHANIE M. KRANCHICK
579 Crossroad School Road: JURY TRIAL DEMANDED
Carlisle, PA 17013
Defendant .
PRAECIPE
TO THE PROTHONOTARY:
Please issue a Writ of Summons in the above-captioned
action and forward it to the Sheriff for service.
Date: ~_~~_b~ Respectfully submitted,
SAIDIS, SHUFF, FLOWER & LINDSAY
By' .C .
J ph L. Hitchings, quire
upreme Court Id. # 65551
26 West High Street
Carlisle, PA 17013
(717) 243-6222
Counsel for Plaintiff
WRIT OF SUMMONS
SAIDIS
SHUFF, FLOWER
& LINDSAY
ATTORNBYS•AT•LAW
26 W. High Street
Carlisle, PA
TO THE ABOVE NAMED DEFENDANT:
You are hereby notified that the above-named Plaintiff has
commenced an action against you.
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Date:
Prothonot ry
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SHERIFF'S RETURN - REGULAR
CASE NO: 2001-04940 P
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
LEWIS MARY A
VS
KRANCHICK STEPHANIE M
JASON VIORAL
Sheriff or Deputy Sheriff of
Cumberland County,Pennsylvania, who being duly sworn according to law,
says, the within WRIT OF SUMMONS
was served upon
KRANCHICK STEPHANIE M the
DEFENDANT at 0940:00 HOURS, on the 27th day of August , 2001
at 579 CROSSROAD SCHOOL RD
CARLISLE, PA 17013 by handing to
JACK KRANCHICK FATHER
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
Service
Affidavit
Surcharge
So Answers:
18.0 0
3.25 ~~
~4 ~
.00 '~~
10.00 R. Thomas Kline
.00
31.25 08/28/2001
SAIDIS SHUFF FLOWER & LINDSAY
Sworn and Subscribed to before By:
me this /~'`~ day of
~ ~.~u ~ 7h~ 2Q. ~~
rothonotary
F \FILES\DATAFILE\Prgdoc.car\141-pra.l/tde
Created: O8/W/0211:52:53 AM
Rmtised 08/09/02 ll:5]:53 AM
]83~-141
MARY A. LEWIS,
Plaintiff
v.
STEPHANIE M. KRANCHICK,
Defendant
TO THE PROTHONOTARY:
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
NO.Oi-4940 CIVIL ACTION -LAW
JURY TRIAL DEMANDED
PRAECII'E
Enter the appearance of MARTSON DEARDORFF WILLIAMS & OTTO on behalf of the
Defendant in the above matter. Issue a rule upon the Plaintiffto file a Complaint within twenty (20)
days from service thereof or suffer judgment of non pros.
MARTSON DEARDORFF WILLIAMS & OTTO
By ~8iv U~ ~ r.~ :.-
Thomas J. Willi Esquire
Ten East High Street
Carlisle, PA 17013
(717) 243-3341
Attorneys for Defendant
Dated: August 9, 2002
RULE
AND NOW, this day of August, 2002, a Rule is issued upon the Plaintiff to file a
Complaint within twenty (20) days from service hereof.
%~
Prothonotary
CERTIFICATE OF SERVICE
I, Tricia D. Eckenroad, an authorized agent for Martson Deardorff Williams & Otto, hereby
certify that a copy of the foregoing Praecipe was served this date by depositing same in the Post
Office at Carlisle, PA, first class mail, postage prepaid, addressed as follows:
Joseph L. Hitchings, Esquire
SAIDIS, SHUFF, FLOWER & LINDSAY
26 West High Street
Carlisle, PA 17013
MARTSON DEARDORFF WILLIAMS & OTTO
By
icia D. Eckenr ad
Ten East High Street
Carlisle, PA 17013
(717)243-3341
Dated: August 9, 2002
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MARY A. LEWIS, IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY,
Plaintiff, PENNSYVLANIA
vs. '
NO.OI-4940
STEPHANIE M. KRANCHICK, CIVIL ACTION-LAW
Defendant
JURY TRIAL DEMANDED
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
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 maybe 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 OR CANNOT AFFORD ONE, GO TO OR
TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU
CAN GET LEGAL HELP.
CUMBERLAND COUNTY LAWYER REFERRAL SERVICE
Court Administrator
4`h Floor
Cumberland County Courthouse
One Courthouse Square
Carlisle, Pennsylvania 17013
MARY A. LEWIS, IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY,
Plaintiff, PENNSYVLANIA
vs. '
NO.OI-4940
STEPHANIE M. KRANCHICK, CIVIL ACTION-LAW
Defendant
JURY TRIAL DEMANDED
COMPLAINT
AND NOW, comes Plaintiff, Mary A. Lewis, by and through her attorney, Joseph L.
Hitchings, Esquire, and avers in support of her Complaint against the Defendant, Stephanie M.
Kranchick, as follows:
Plalntiff,'Mary A. Lewis, is an adult individual residing at 169 Bock Street,
Rochester, New York, 14609-4132.
2. Defendant, Stephanie M. Kranchick, is an adult individual with a last known
address of 579 Crossroad School Road, Carlisle, Cumberland County,
Pennsylvania, 17013.
On Tuesday, August 31, 1999, at approximately 7:00 a.m., Plaintiff was the front
seat, belted passenger in a 1996 Pontiac Transport van traveling northbound on State
Route 81 in Silver Spring Township, Cumberland County, Pennsylvania.
4. State Route 81 is a four lane state road with two lanes of travel in each direction.
5. At said time and place, the vehicle in which Plaintiff was a passenger was traveling
in the left hand lane of State Route 81.
6. At said time and place, Defendant, Stephanie M. Kranchick, was operating a 1993
Pontiac Grand Am vehicle in the left hand lane of State Route 81.
7. Seeing that traffic was slowing up ahead, the driver of the vehicle in which the
plaintiff was a passenger, started applying the brakes and turned on the vehicle's
four way flashers to indicate to vehicles behind them that traffic was slowing.
8. As the vehicle in which the Plaintiffwas a passenger was coming to a stop with its
four way flashers on, the vehicle driven by the Defendant collided with the rear of
the vehicle in which the Plaintiff was a passenger, causing that vehicle to be pushed
into the right hand lane and in turn strike a third vehicle which was stopped in the
right hand lane.
9. The collision of the Defendant's vehicle with the vehicle in which the Plaintiff was a
passenger was a direct and approximate result of the careless and negligent conduct
of the Defendant, including but not limited to:
a) Operating a vehicle in a reckless manner;
b) Failing to maintain a proper look out;
c) Failing to have her vehicle under proper control;
d) Failing to stop her vehicle before colliding with the vehicle in
which the Plaintiffwas a passenger;
e) Driving the vehicle at an unsafe speed for the conditions
including the fact that the vehicles up ahead of her were slowing;
f) Failing to maintain a safe distance between her vehicle and that
in which the Plaintiff was a passenger;
g) Driving the Vehicle while distracted;
h) Failing to comply with the provision of the Pennsylvania Motor
Vehicle Code relating to the operation of motor vehicles,
specifically as they relate to the aforesaid acts of negligence.
10. As a direct and proximate result of the careless and negligent conduct of the
Defendant, Plaintiff sustained the following injuries and/or aggravations of pre-
existing conditions, some or all of which may be permanent:
a) Fractured left ankle;
b) Second degree sprain of left foot;
c) Chest contusion and resultant scarring;
d) Various cuts, contusions, and bruising to her torso, legs and face;
e) Back, leg and foot pain;
f) General pain and suffering.
11. Plaintiff suffered contusions to her chest which has resulted in permanent visible
scars on her chest below her collarbone.
12. As a direct and proximate result of the careless and negligent conduct of the
Defendant, Plaintiff has also suffered psychiatric injuries, some or all of which may
be permanent including but not limited to emotional trauma, anxiety and depression.
13. As a result of the accident and injuries suffered therein, Plaintiff was unable to work
resulting in a loss of wages.
14. As a result of the accident and injuries sustained therein, Plaintiffhas suffered
serious and permanent injuries which required treatment for which she has incurred
medical bills and expenses and will require further medical treatment in the future.
15. As a result of the accident and injuries sustained therein, Plaintiff has suffered an
interruption of her daily habits and pursuits to her detriment and loss.
16. All injuries and damages as set forth herein, suffered by Plaintiff, Mary A. Lewis,
were proximately caused by the negligence of Defendant, Stephanie M. Kranchick.
WHEREFORE, Plaintiff, Mary A. Lewis, demands judgment against the Defendant,
Stephanie M. Kranchick, in an amount in excess of $25,000.00 plus costs and interest.
Respectfully Submitted,
Date: ~ .l Y t7~
203 West Caracas Avenue
Suite 201
Hershey, Pennsylvania 17033
~'
Jo ph L. Hitchings, squ
S preme Court ID# 65551 "~
Se,p 17 02 03:03p
SEP ]3 2002 ~2: 42P11
LRW OFFICE
VERIFICATION
717-534-1344 p.7
i verify that the statements made m this Complaint are flue and correct. 1 understand that
false statements herein are made subject to the penalties of 18 PaC.S. § 4904 relatitlg to unswoln
falsification to authorities.
Date Mary A. Lewis
t
p.7
MARY A. LEWIS,
Plaintiff,
vs.
STEPHANIE M. KRANCHICK,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY,
PENNSYVLANIA
NO.OI-4940
CIVIL ACTION-LAW
JURY TRIAL DEMANDED
CERTIFICATE OF SERVICE
AND NOW, on this day of , 2002, I, Joseph L. Hitchings,
Esquire, hereby certify that I served a true and correct copy of the foregoing documents
upon all parties of record via United States Mail, postage prepaid, addressed as follows:
Thomas J. Williams, Esquire
Martson, Deardorff, Williams and Otto
10 East High Street
Cazlisle, PA 17013
Respectfully submitted,
Joseph L. Hitchings, Esquire
Supreme Court ID# 65551
203 West Caracas Avenue
Suite 201
Hershey, Pennsylvania 17033
(717) 534-2600
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F:FILES\DATAPILE\Prgtloc.cur\I4Lans. Vcny
Created IY03/0203:0]:29 PDI ~
Revised: 12/09/02 08:43:03 AM
]837.141
MARY A. LEWIS,
Plaintiff
v.
STEPHANIE M. KRANCHICK,
Defendant
a
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 01-4940
CIVIL ACTION-LAW
JURY TRIAL DEMANDED
DEFENDANT'S ANSWER WITH NEW MATTER TO PLAINTIFF'S COMPLAINT
TO: MARY A. LEWIS, Plaintiff, and her attorney, JOSEPH L. HITCHINGS, ESQUIRE
YOU ARE HERESY NOTIFIED TO FILE A WRITTEN RESPONSE TO THE
ENCLOSED NEW MATTER WITHIN TWENTY (20) DAYS FROM SERVICE HEREOF OR A
JUDGMENT MAYBE ENTERED AGAINST YOU.
1-16. AND NOW, comes Defendant by her attorneys, MARTSON DEARDORFF
WILLIAMS & OTTO and generally denies the averments made in Plaintiff's Complaint pursuant
to Pa. R.C.P. 1029(e).
WHEREFORE, Defendant demands judgment in her favor and dismissal of Plaintiff s
Complaint with prejudice.
NEW MATTER
17. The Plaintiff s recovery is barred or reduced by the Pennsylvania Motor Vehicle
Financial Responsibility Law as amended.
18. Plaintifforherrepresentativechosethelimitedtortoptionbysigningavalidselection
form.
19. Plaintiff s injuries do not involve death, serious impairment of bodily function or
permanent disfigurement.
WHEREFORE, Defendant demands judgment in her favor and dismissal of Plaintiff's
Complaint with prejudice.
Date: /a-~4/off
MARTSON DEARDORFF WILLIAMS & OTTO
By ~ ~ ~ ~a-ww~-~
Thomas J. Will s, Esquire
I. D. Number 17512
Ten East High Street
Carlisle, PA 17013
(717)243-3341
Attorneys for Defendant
VERIFICATION
The foregoing Answer is based upon information which has been gathered by my counsel
in the preparation of the lawsuit. The language of the document is that of counsel and not my own.
I have read the document and to the extent that it is based upon information which I have given to
my counsel, it is true and correct to the best of my knowledge, information and belief. To the extent
that the content of the document is that of counsel, I have relied upon counsel in making this
verification.
This statement and verification are made subject to the penalties of 18 Pa. C.S. Section 4904
relating to unsworn falsification to authorities, which provides that if I make knowingly false
averments, I may be subject to criminal penalties.
/'L ~^~ .
Stephanie M. Kranchick
CERTIFICATE OF SERVICE
I, Christina N. Yost, an authorized agent for Martson Deardorff Williams & Otto, hereby
certify that a copy of the foregoing Defendant's Answer With New Matter to Plaintiff's Complaint
was served this date by depositing same in the Post Office at Carlisle, PA, first class mail, postage
prepaid, addressed as follows:
Joseph L. Hitchings, Esquire
203 West Caracas Avenue, Suite 201
Hershey, PA 17033
MARTSON DEARDORFF WILLIAMS & OTTO
By G~~~ ~~
Christina N. Yost
Ten East High Street
Carlisle, PA 17013
(717)243-3341
Dated: /~/9 ~~~'
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MARY A. LEWIS,
Plaintiff,
vs.
STEPHANIE M. KRANCHICK,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY,
PENNSYVLANIA
NO. 01-4940
CIVII, ACTION-LAW
JURY TRIAL DEMANDED
PLAINTIFF'S REPLY TO NEW MATTER
AND NOW, comes the Plaintiff, Mary A. Lewis, by and through her undersigned
attorney, Joseph L. Hitchings, Esquire, and replies to Defendant's New Matter as follows:
REPLY TO NEW MATTER
17. The Averments of Paragraph 17 are Conclusions of Law to which no
responsive pleading is required.
18. DENIED. Byway of further answer, Plaintiff was covered under a No-
fault Insurance Policy issued in accordance with the laws of the State of New York.
19. The averments of Paragraph 19 constitute Conclusions of Law to which no
responsive pleading is required. To the extent that the averments are deemed factual in
nature, it is specifically denied the Plaintiff did not suffer serious impairment of bodily
function or permanent disfigurement. In further answer, Plaintiff did suffer serious
impairment of bodily function as a result of the Defendant's negligence, including but not
limited to, inability to walk for a period of time, the inability to work for a period of time,
and the inability to care for herself. Plaintiff also received permanent disfigurement in
the form of a scar on her chest as a result of the Defendant's negligence.
WHEREFORE, Plaintiff, Mary A. Lewis, demands judgment against Defendant
Stephanie M. Kranchick, as set forth in her Complaint.
Respectfully Submitted,
THE LAW OFFICE OF
JOSEPH L. HITCHINGS
Date/ a -,po-o~
~eph L. HiYchings, E uire
ttorney for Plaintiff
203 West Caracas Averi
Suite 201
Hershey, Pennsylvania 17033
MARY A. LEWIS, IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY,
Plaintiff, : PENNSYVLANIA
vs.
N0.01-4940
STEPHANIE M. KRANCHICK, CIVIL ACTION-LAW
Defendant
JURY TRIAL DEMANDED
VERIFICATION
I verify that the statements made in this Plaintiff's Reply to New Matter are true and
correct. I understand that false statements herein are made subject to the penalties of 18
Pa.C.S. § 4904 relating to un-sworn falsification to authorities.
1~-~D- D~
Date
~• ~
Mary A. ewis
~.„,
- - _
MARY A. LEWIS,
Plaintiff,
vs.
STEPHANIE M. KRANCHICK,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY,
PENNSYVLANIA
NO. 01-4940
CIVII., ACTION-LAW
JURY TRIAL DEMANDED
CERTIFICATE OF SERVICE
AND NOW, on this ~t7h day of Qc~ 2002, I, Joseph L. Hitchings,
Esquire, hereby certify that I served a true and correct copy of the foregoing Reply to
New Matter upon all parties of record via United States Mail, postage prepaid, addressed
as follows:
Thomas J. Williams, Esquire
Martson, Deardorff, Williams and Otto
10 East High Street
Carlisle, PA 17013
Respectfully submitted,
~. 1
oseph L. Hitchings, Esquire
Supreme Court ID# 65551
203 West Caracas Avenue
Suite 201
Hershey, Pennsylvania 17033
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MARY A. LEWIS,
Plaintiff,
vs.
STEPHANIE M. KRANCHICK,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY,
PENNSYLVANIA
NO.OI-4940
CIVIL ACTION-LAW
JURY TRIAL DEMANDED
PRAECIPE TO DISCONTINUE
To: Cumberland County Prothonotary
Kindly mark the above case settled and discontinued.
Respectfully submitted,
THE LAW OFFICES OF
JOSEPH L. HITCHINGS
Date: 3 ~7~03
By:
J seph L. Hatchings
ttorney for Plaintiff
Supreme Court I.D 65551
203 West Caracas Avenue, Suite 201
Hershey, Pennsylvania 17033
Telephone: (717) 534-2600
Fax: (717)534-1344
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