HomeMy WebLinkAbout01-06812
vs.
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
71.0. 6/, (. !( /.z.. CIVIL ACTION - LAW
ACTION OF MORTGAGE FORECLOSURE
FEDERAL NATIONAL MORTGAGE ASSOCIATION
Plaintiff
CARL A, BOYD AND
JOAN A. GUSH
Defendants
TIllS FIRM IS A DEBT COLLECTOR AND WE ARE ATTEMPTINGTO COLLECT
A DEBT OWED TO OUR CLIENT. ANY INFORMATION OBTAINED FROM YOU
WILL BE USED FOR THE PURPOSE OF COLLECTING THE DEBT.
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 the 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
claim in the Complaint of for any other claim or relief requested by the Plaintiff. You may lose money or property or other rights
important to you,
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER 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
CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE
CARLISLE, PA 17013
717-249-3166
A VISO
LE HAN DEMANDADO A USTED EN LA CORTE. SI DESEA DEFENDERSE CONTRA LAS QUEJAS
PERESENTADAS, ES ABSOLUTAMENTE NECESSARIO QUE USTED RESPONDA DENTRO DE 20 DIAS DESPUES DE
SER SERVIDO CON ESTA DEMANDA Y A VISO, PARA DEFENDERSE ES NECESSARIO QUE USTED, 0 SU ABOGADO,
REGISTRE CON LA CORTE EN FORMA ESCRITA, EL PUNTO DE VISTA DE USTED Y CUALQUIER OBJECCION
CONTRA LAS QUEJAS EN ESTA DEMANDA,
RECUERDE: SI USTED NO REPONDE A ESTA DEMANDA, SE PUEDE PROSEGUIR CON EL PROCESO SIN SU
P ARTICIP ACION. ENTONCES, LA COUTE PUEDE, SIN NOTIFICARIO, DECIDIR A FAVOR DEL DEMANDANTE Y
REQUERIRA QUE USTED CUMPLA CON TODAS LAS PROVISIONES DE ESTA DEMANDA. POR RAZON DE ESA
DECISION, ES POSSIBLE QUE USTED PUEDA PERDER DINERO, PROPIEDAD U OTROS DERECHOS IMPORTANTES.
LLEVE ESTA DEMANDA A UN ABOGADO IMMEDIATEAMENTE.
SI NO CONOCE A UN ABOGADO, LLAME AL "LAWYER REFERENCE SERVICE" (SERVICIO DE REFERENCIA
DE ABOGADOS), (215) 238,6300,
CUMBERLAND COUNTY LAWYER REFERRAL SERVICE
CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE
CARLISLE, PA 17013
717-249-3166
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FEDERAL NATIONAL MORTGAGE
ASSOCIATION,
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
vs.
CIVIL ACTION LAW
ACTION OF MORTGAGE FORECLOSURE
CARL A. BOYD AND
JOAN A. GUSH,
Defendants
THE FOLLOWING NOTICE IS BEING PROVIDED PURSUANT TO THE FAIR DEBT
COLLECTION PRACTICES ACT, 15 U.S.C. 1601
The undersigned attorney is attempting to collect a debt owed to the Plaintiff, and any
information obtained will be used for that purpose. The amount of the debt is stated in this
Complaint. Plaintiff is the creditor to whom the debt is owed. Unless the Debtor, within thirty
(30) days after your receipt of this notice disputes the validity of the aforesaid debt or any
portion thereof owing to the Plaintiff, the undersigned attorney will assume that said debt is
valid. If the Debtor notifies the undersigned attorney in writing with the said thirty (30) day
period that the aforesaid debt, or any portion thereof, is disputed, the undersigned attorney shall
obtain written verification of the said debt from the Plaintiff and mail same to Debtor. Upon
written request by Debtor to the undersigned attorney within said thirty (30) day period, the
undersigned attorney will provide debtor with the name and address of the original creditor if
different from the current creditor.
PURCELL, KRUG & HALLER
1719 North Front Street
Harrisburg, P A 17102
(717) 234-4178
Attorney LD.# 15700
Attorney for Plaintiff
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FEDERAL NATIONAL MORTGAGE
ASSOCIATION,
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
: CIVIL ACTION - LAW
vs.
CARL A. BOYD AND
JOAN A. GUSH,
: ACTION OF MORTGAGE FORECLOSURE
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Defendants
COMPLAINT IN MORTGAGE FORECLOSURE
l. Plaintiff, FEDERAL NATIONAL MORTGAGE ASSOCIATION, is a Corporation originated under an
Act of Congress and existing pursuant to the Federal National Mortgage Association Charter Act, acting
through its servicing agent, HOMESIDE LENDING, INC., with an address of 8120 Nations Way,
Building 100, Jacksonville, Florida 32256.
2. Defendant, CARL A. BOYD, is an adult individual, whose last known address is 156 CREEKSIDE
DRIVE, ENOLA, PENNSYLVANIA 17025. Defendant, JOAN A. GUSH, is an adult individual,
whose last known address is 156 CREEKSIDE DRIVE, ENOLA, PENNSYLVANIA 17025.
3. On or about, July 08,1993, the said Defendants executed and delivered a Mortgage Note in the sum of
$60,700.00 payable to BANK UNITED OF TEXAS, FSB. The Said Note is not accessible to Plaintiff
and is believed to have been lost. In further answer thereto, a copy is believed to be in the possession of
Defendants,
Plaintiff also avers that the within Mortgage foreclosure complaint is based upon the Mortgage and that
the attachment of a copy of the Note is unnecessary pursuant to Rules 1019(h) and 1141(a) of the
Pennsylvania Rules of Civil Procedure.
4. Contemporaneously with and at the time of the execution of the aforesaid Mortgage Note, in order to
secure payment of the same, Defendants made, executed, and delivered to original Mortgagee, a certain
real estate Mortgage which is recorded in the Recorder of Deeds Office of the within County and
Commonwealth in Mortgage Book 1149, Page 104 conveying to original Mortgagee the subject
premises. The Mortgage was subsequently assigned to BANCBOSTON MORTGAGE
CORPORATION and was recorded in th~ aforesaid County in Book 489, Page 690. The Mortgage was
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subsequently assigned to FEDERAL NATIONAL MORTGAGE ASSOCIATION and will be sent for
recording. The Said Mortgage and Assignment are incorporated herein by reference.
5. The land subject to the Mortgage is: 156 CREEKSIDE DRIVE, ENOLA, PENNSYLVANIA 17025 and
is more particularly described in Exhibit "A" attached hereto.
6, The said Defendants are the real owners of the property.
7, The Mortgage is in default due to the fact that Mortgagors have failed to pay the installment due on
August 01,2001 and all subsequent installments thereon, and the following amounts are due on the
Mortgage:
UNPAID PRINCIPAL BALANCE
$54,926.26
$2,110.48
Interest at $11.47 per day
From 07/01/2001 To 12/0112001
(based on contract rate of7.625%)
Accumulated Late Charges
$64 .44
Late Charges $21.48
From 08/0112001 to 12/0112001
$128.88
Escrow Deficit
$247.10
Attorney's Fee at 5% of Principal Balance
TOTAL
$2,746.31
$60,233.47
* * Together with interest at the per diem rate noted above after December 01, 2001 and other charges
and costs to date of Sheriff s Sale.
The attorney's fees set forth above are in conformity with the Mortgage documents and
Pennsylvania law, and will be collected in the event of a third party purchaser at Sheriff's Sale. If the
Mortgage is reinstated prior to the sale, reasonable attorney's fees will be charged that are actually
incurred by Plaintiff.
8. No judgment has been entered upon said Mortgage in any jurisdiction.
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9. Notice of intention to foreclose and accelerate the loan balance pursuant to Pennsylvania Act No.6 of
1974 is not required in that the original principal balance exceeds $50,000.00.
10. Defendants are not members of the Armed Forces of the United States of America, nor engaged in any
way which would bring them within the Soldiers and Sailors Relief Act of 1940, as amended.
11, Plaintiff has complied with the procedures required by Pennsylvania Act 91 of 1983 (Homeowners'
Emergency Mortgage Assistance Payments Program) and Defendants have either failed to meet the time
limitations as set forth therein or have been determined by the Housing Finance Agency not to qualify
for assistance
WHEREFORE, Plaintiff demands judgment in mortgage foreclosure "IN REM" for the aforementioned
total amount due together with interest at the rate of 7.625% ($11.47 per diem), together with other charges and
costs including escrow advances incidental thereto to the date 0 s Sale and for foreclosure and sale of
the property within described.
By:
PURCELL, KRUG & HALLER
Leon P. Haller, Esquire
Attorney for Plaintiff
!.D. # 15700
1719 N. Front Street
Harrisburg, PA 171q2
(717-234-4178) .
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ALL '!'HAT Cl!R'l'AIN tract of land situate in ~st pennsboro township,
CUmIlerland county, PenllSylvania, bounded and described as folloWS'
BllG1HIlIlIG at a point in the center line of 33.00 feet wide Creekside
Drive, on t:ha ftm:t:hwut.ern-- C10rner of Lot No.. 4 on the hereinafter
mentioned plan of Lots, thence along' the lat'ter, South 67 deqrees 19
minutes 00 seconds East, a distance of 292.00 feet to a point on the
western a:l.ete of the cono4cquinet Craek: thenca ~lc'~'; the latter,
Narth 22 degrees 41 minutes 00 seconds Bast, a dis~ancQ of 100.00 feet
to a point. aD the line of Lot No.. 2 CiH\ said Plan; thence alonq the
latter, North 61 degrees 19 minutes 00 seconds West, a distance of
292.00 feet to a point in the center 11ne of aaieS road; thence aleng
tbe latter, South 22 degrees 41 minutes 00 aeconcis West, a distance of
100.00 feet to a point, the place of BEGINNING.
BBlKG designated as Lot Ko. 3.
8EtNG TIll SAME PRDIISB:S which Neil M. Kreit.zer and Barbara A.
Kreitzer, his wife, conveyed unto stephen R. Sheely and celn'a K.
Sheely, his wife, by deed elated January 26, 1990 and reClCrd~d January
29, 1990 1n 'the :Recorder'. Office in and for Cumberland COUt:::.y, Pd.. in
:Record Book J, Volume 34. Page 608.
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VERIFICATION
I, Leon P. Haller, Esquire, hereby swear and affirm that the
facts contained in the foregoing COMPLAINT for Mortgage
Foreclosure are true and correct to the best of my knowledge,
information, and belief based upon information provided by
Plaintiff FEDERAL NATIONAL MORTGAGE ASSOCIATION. Said facts
contained herein are made subject to the penalties of 18 Pa.C.S.
Section 4904 relating to unsworn falsification to authorities.
Date: November 29, 2001
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Leon P. Haller, Esquire
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SHERIFF'S RETURN - REGULAR
.
CASE NO: 2001-06812 P
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
FEDERAL NATIONAL MORTGAGE A
VS
BOYD CARL A ET AL
DAVID MCKINNEY
, Sheriff or Deputy Sheriff of
Cumberland County,Pennsylvania, who being duly sworn according to law,
says, the within COMPLAINT - MORT FORE
was served upon
BOYD CARL A
the
DEFENDANT
, at 1518:00 HOURS, on the 3rd day of December, 2001
at 156 CREEKSIDE DRIVE
ENOLA, PA 17025
by handing to
CARL A BOYD
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
9.75
.00
10.00
.00
37.75
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R. Thomas Kline
12/06/2001
PURCELL KRUG HALLER
Sworn and Subscribed to before
me this I:J'C day of
~MA~ ;lovf A.D.
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Prothonotar~
By: d ~~
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Deputy Sheriff
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SHERIFF'S RETURN - REGULAR
, .
CASE NO: 2001-06812 P
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
FEDERAL NATIONAL MORTGAGE A
VS
BOYD CARL A ET AL
DAVID MCKINNEY
, Sheriff or Deputy Sheriff of
cumberland County,Pennsylvania, who being duly sworn according to law,
says, the within COMPLAINT - MORT FORE
was served upon
GUSH JOAN A
the
DEFENDANT
, at 1518:00 HOURS, on the 3rd day of December, 2001
at 156 CREEKSIDE DRIVE
ENOLA, PA 17025
by handing to
CARL A BOYD
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:
6.00
.00
.00
10.00
.00
16.00
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R. Thomas Kline
12/06/2001
PURCELL KRUG HALLER
Sworn and Subscribed to before
By:
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me t lS _~- day of
la,n,~JJ-t~ d.1!>O( A.D.
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othonotary =,=1
Deputy Sheriff
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FEDERAL NATIONAL MORTGAGE ASSOCIATION
Plaintiff
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
vs.
Ol-f-> 'r 12.- CIVIL ACTION - LAW
ACTION OF MORTGAGE FORECLOSURE
CARL A. BOYD AND
JOAN A, GUSH
Defendants
TillS FIRM IS A DEBT COLLECTOR AND WE ARE ATTEMPTINGTO COLLECT
A DEBT OWED TO OUR CLIENT. ANY INFORMATION OBTAINED FROM YOU
WILL BE USED FOR THE PURPOSE OF COLLECTING THE DEBT.
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 the 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
claim in the Complaint of for any other claim or relief requested by the Plaintiff. You may lose money or property or other rights
important to you,
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER 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
CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE
CARLISLE, PA 17013
717-249-3166
A VI SO
LE HAN DEMANDADO A USTED EN LA CORTE. SI DESEA DEFENDERSE CONTRA LAS QUEJAS
PERESENT ADAS, ES ABSOLUT AMENTE NECESSARIO QUE USTED RESPONDA DENTRO DE 20 DIAS DESPUES DE
SER SERVIDO CON ESTA DEMANDA Y A VISO. PARA DEFENDERSE ES NECESSARIO QUE USTED, 0 SU ABOGADO,
REGISTRE CON LA CORTE EN FORMA ESCRITA, EL PUNTO DE VISTA DE USTED Y CUALQUIER OBJECCION
CONTRA LAS QUEJAS EN ESTA DEMANDA,
RECUERDE: SI USTED NO REPONDE A ESTA DEMANDA, SE PUEDE PROSEGUIR CON EL PROCESO SIN SU .
P ARTICIP ACION. ENTONCES, LA COUTE PUEDE, SIN NOTIFICARIO, DECIDIR A FAVOR DEL DEMANDANTE Y
REQUERIRA QUE USTED CUMPLA CON TODAS LAS PROVISIONES DE ESTA DEMANDA. POR RAZON DE ESA
DECISION, ES POSSIBLE QUE USTED PUEDA PERDER DINERO, PROPIEDAD U OTROS DERECHOS IMPORTANTES.
LLEVE ESTA DEMANDA A UN ABOGADO IMMEDIATEAMENTE.
SI NO CONOCE A UN ABOGADO, LLAME AL "LAWYER REFERENCE SERVICE" (SERVICIO DE REFERENCIA
DE ABOGADOS), (215) 238-6300. .
CUMBERLAND COUNTY LAWYER REFERRAL SERVICE
CUMBERLAND COUNTY BAR ASSOCIA nON 2 LIBERTY AVENUE
CARLISLE, PA 17013
717-249-3166
TRUE COPY FROM RECORD
In T e~t;mollY whereof, I here unto Silt my haM
ilrld the seal 01 said Ollrt ill Carlisle. Pa.
fhi ~9!3: day 01 ' c2~f)1
ProthonotarY'
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FEDERAL NATIONAL MORTGAGE
ASSOCIATION,
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
vs.
CIVIL ACTION LAW
ACTION OF MORTGAGE FORECLOSURE
CARL A. BOYD AND
JOAN A. GUSH,
Defendants
THE FOLLOWING NOTICE IS BEING PROVIDED PURSUANT TO THE FAIR DEBT
COLLECTION PRACTICES ACT, 15 U.S.C. 1601
The undersigned attorney is attempting to collect a debt owed to the Plaintiff, and any
information obtained will be used for that purpose. The amount of the debt is stated in this
Complaint Plaintiff is the creditor to whom the debt is owed. Unless the Debtor, within thirty
(30) days after your receipt of this notice disputes the validity of the aforesaid debt or any
portion thereof owing to the Plaintiff, the undersigned attorney will assume that said debt is
valid. If the Debtor notifies the undersigned attorney in writing with the said thirty (30) day
period that the aforesaid debt, or any portion thereof, is disputed, the undersigned attorney shall
obtain written verification of the said debt from the Plaintiff and mail same to Debtor. Upon
written request by Debtor to the undersigned attorney within said thirty (30) day period, the
undersigned attorney will provide debtor with the name and address of the original creditor if
different from the current creditor.
PURCELL, KRUG & HALLER
1719 North Front Street
Harrisburg, PA 17102
(717) 234-4178
Attorney LD.# 15700
Attorney for Plaintiff
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FEDERAL NATIONAL MORTGAGE
ASSOCIATION,
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
: CIVIL ACTION - LAW
vs.
CARL A. BOYD AND
JOAN A. GUSH,
: ACTION OF MORTGAGE FORECLOSURE
J'L.,OI- ~r;I:L ~ I~
Defendants
COMPLAINT IN MORTGAGE FORECLOSURE
I. Plaintiff, FEDERAL NATIONAL MORTGAGE ASSOCIATION, is a Corporation originated under an
Act of Congress and existing pursuant to the Federal National Mortgage Association Charter Act, acting
through its servicing agent, HOMESIDE LENDING, INC., with an address of8120 Nations Way,
Building 100, Jacksonville, Florida 32256.
2. Defendant, CARL A. BOYD, is an adult individual, whose last known address is 156 CREEKSIDE
DRIVE, ENOLA, PENNSYLVANIA 17025. Defendant, JOAN A. GUSH, is an adult individual,
whose last known address is 156 CREEKSIDE DRIVE, ENOLA, PENNSYLVANIA 17025.
3. On or about, July 08,1993, the said Defendants executed and delivered a Mortgage Note in the sum of
$60,700.00 payable to BANK UNITED OF TEXAS, FSB. The Said Note is not accessible to Plaintiff
and is believed to have been lost. In further answer thereto, a copy is believed to be in the possession of
Defendants.
Plaintiff also avers that the within Mortgage foreclosure complaint is based upon the Mortgage and that
the attachment ofa copy of the Note is unnecessary pursuantto Rules 1019(h) and 1141(a) of the
Pennsylvania Rules of Civil Procedure.
4. Contemporaneously with and at the time 6fthe execution of the aforesaid Mortgage Note, in order to
secure payment of the same, Defendants made, executed, and delivered to original Mortgagee, a certain
real estate Mortgage which is recorded in the Recorder of Deeds Office of the within County and
Commonwealth in Mortgage Book 1149, Page 104 conveying to original Mortgagee the subject
premises. The Mortgage was subsequently assigned to BANCBOSTON MORTGAGE
CORPORATION and was recorded in the aforesaid County in Book 489, Page 690. The Mortgage was
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subsequently assigned to FEDERAL NATIONAL MORTGAGE ASSOCIATION and will be sent for
recording. The Said Mortgage and Assignment are incorporated herein by reference.
5. The land subject to the Mortgage is: 156 CREEKSIDE DRIVE, ENOLA, PENNSYLVANIA 17025 and
is more particularly described in Exhibit "A" attached hereto.
6. The said Defendants are the real owners of the property.
7. The Mortgage is in default due to the fact that Mortgagors have failed to pay the installment due on
August 01, 2001 and all subsequent installments thereon, and the following amounts are due on the
Mortgage:
Interest at $11.47 per day
From 07/01/2001 To 12/01/2001
( based on contract rate of 7.625%)
$54,926.26
$2,11 0.48
UNPAID PRINC!P AL BALANCE
Accumulated Late Charges
$64.44
Late Charges $21.48
From 08/01/2001 to 12/01/2001
$128.88
Escrow Deficit
$247.10
Attorney's Fee at 5% of Principal Balance
TOTAL
$2,746.31
$60,233.47
**Together with interest at the per diem rate noted above after December 01, 2001 and other charges
and costs to date of Sheriff s Sale.
The attorney's fees set forth above are in conformity with the Mortgage documents and
Pennsylvania law, and will be collected in the event ofa third party purchaser at Sheriff's Sale. If the
Mortgage is reinstated prior to the sale, reasonable attorney's fees will be charged that are actually
incurred by Plaintiff.
8. No judgment has been entered upon said Mortgage in any jurisdiction.
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9; Notice of intention to foreclose and accelerate the loan balance pursuant to Pennsylvania Act No.6 of
1974 is not required in that the original principal balance exceeds $50,000.00.
10. Defendants are not members of the Armed Forces of the United States of America, nor engaged in any
way which would bring them within the Soldiers and Sailors Relief Act of 1940, as amended.
11. Plaintiff has complied with the procedures required by Pennsylvania Act 91 of 1983 (Homeowners'
Emergency Mortgage Assistance Payments Program) and Defendants have either failed to meet the time
limitations as set forth therein or have been determined by the Housing Finance Agency not to qualifY
for assistance
WHEREFORE, Plaintiff demands judgment in mortgage foreclosure "IN REM" for the aforementioned
total amount due together with interest at the rate of 7.625% ($11.47 per diem), together with other charges and
costs including escrow advances incidental thereto to the date 0 s Sale and for foreclosure and sale of
the property within described.
By:
PURCELL, KRUG & HALLER
Leon P. Haller, Esquire
Attorney for Plaintiff
l.D. # 15700
1719 N. Front Street
Harrisburg, PA 17102
(717-234-4178)
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Hs135662 (1.696xi200x2 tiff) [6]
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ALL 'rIIAT CllRTADf tract of land situate in taet pennsboro Township,
CUlIIberland county, Pelll\llYlvanie, boundscl and described as follows.
BEG1IIII1NG at a point in the center line of 33.00 feet wide creekside "]
Drive, on the nm:thwes1:ern corner of Lot No.4 on the hereinafter
lIIBntioned Plan of LoI:8; thence dong the latter, South 67 da9"eee 19
lllinutee 00 seconds taet, e distance of 292.00 feet to a poim on the
western stde of 1:be conOdocJuinet creek; thence ~1C':-; the latter,
1Im:th 22 dll\l1"eee 41 minutes 00 ssconda But, a distance of 100.00 feet
to a point on the line of Lot No.2'''' said Plan; thence alo"9 the
latter, Nm:th 67 degrees 19 minutes 00 saconds west, a distance of
292.00 feet. to a point: in the center line of sa14 road; thence a.long
the latter, South 22 d.egrees 41 minutes 00 seconds West, a distance: at
100.00 feet to a point, the place of BEGINNING.
BEING designatscl as Lot: 110. 3.
BEING TIDl S1lMB _aBB whicb Neil M. Kreitzer and Barbara A.
Kreitzer, his wife, conveye<< unto stephen R. Sheely and Debra R.
Sheely, his wife, by else<< date<< January 26, 1990 and reccrd<!d January
29, 1990 in 'the Recorder'. Office in and for Cumberland COUt:::Y, P4. in
Record Book J, Vol""", 34, Page 808.
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VERIFICATION
I, Leon P. Haller, Esquire, hereby swear and affirm that the
facts contained in the foregoing COMPLAINT for Mortgage
Foreclosure are true and correct to the best of my knowledge,
information, and belief based upon information provided by
Plaintiff FEDERAL NATIONAL MORTGAGE ASSOCIATION. Said facts
contained herein are made subject to the penalties of 18 Pa.C.S.
Section 4904 relating to unsworn falsification to authorities.
Date: November 29, 2001
4~
Leon P. Haller, Esquire
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PENNSYLYANIA
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FEDERAL NATIONAL MORTGAGE
ASSOCIATION,
PLAINTIFF
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
VS,
NO. 01 - 6812
CARL A. BOYD AND
JOAN A. GUSH,
DEFENDANTS
CIVIL ACTION - LAW
IN MORTGAGE FORECLOSURE
P RAE C I P E
TO THE PROTHONOTARY:
Kindly Settle and Discontinue the above matter without
prejudice.
PURCELL, KRUG & HALLER
By:
Leon P. Haller ID #15700
Attorney for plaintiff
Purcell, Krug & Haller
1719 North Front Street
Harrisburg, PA 17102
(717) 234-4178
DATE: March 12. 2002
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