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HomeMy WebLinkAbout01-06821 ~') , IN THE COURT OF COMMON PLEAS . . OF CUMBERLAND COUNTY . PENNA. STATE OF TJIMARA J. SLlKE, Plamtltt No. 2001-6821 . . VE:RSUS ANDREW E. SLUE, llif€mdant . . . DECREE IN DIVORCE ANDNDW'~ L . it if :5'1 fM. : ~, IT IS ORDERED AND DECREED THAT Tamara J. Slike , PLAINTIFF, AND Andrew E. Slike , DEFENDANT, . . . ARE DIVORCED FROM THE BONDS OF MATRIMONY. The attached Marital Settlement Agreement is incorporated but not merged, and made a part of this llicree in Divorce. THE COURT RETAINS JURISDICTION OF THE FOLLOWING CLAIMS WHICH HAVE BEEN RAISED OF RECORD IN THIS ACTION FOR WHICH A FINAL ORDER HAS NOT YET BEEN ENTERED; . . . . PROTHONOTARY . , J. . . . . -""""'1~, y,.-- ""_",,_,,_2_ --1-", _" 1'_ , ,1-' ,_, '. '" I -- :,",,' " - ,'~ .. 'T-- "'" . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . }~~~~Mi~'.~"'"'>'"""- '---,-'-,' - ' _ _JllLl~ i IDIiiJlU;1~""_!'lfi.'!IIi"Jl{W;,j4f,li;!ir-;?!i-,,~jL~lio:~_~" J .1. ..".""'''h,""_."",,._ '" u", . I I 1"7 /1. l/ ,,<,", _. ~", ," ,o~_, ~~_ "~ =~'_"I'_=_ _'_~~ .tN" . tJ I(' .", -"'MIlI~ ,<-- -....,. --d. 'L . - O.~ijii .~,,-' , [ ,~ ~..; ""........ -" " ,7;T? 5-3 '".'j:...,,; '. ~ ~' .. , w~~~df~ ~ f/M,t4d ~ 4~ '~~~"~'__ ~V_M~' _~, ", .. v. : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA : NO. 2001-6821 : CIVIL ACTION - LAW : DIVORCE TAMARA J. SLIKE, Plaintiff ANDREW E. SLIKE, Defendant PRAECIPE TO TRANSMIT RECORD To tile Prothonotary: Transmit the record, together with the following information, to the court for entry of a divorce decree: 1. Ground for divorce: irretrievable breakdown under Section 3301(c) of the Divorce Code. 2. Date and manner of service of the complaint: Service upon attorney for Defendant on December 2,2001 as per Acceptance of Service. 3. Date of execution of the Affidavit of Consent required by Section 3301(c) of the Divorce Code: by Plaintiff, October 28,2004; by Defendant, May 25,2004. 4. Related claims pending: There are no related claims pending. 5. Date Plaintiff's Waiver of Notice was filed with the Prothonotary: October 29,2004. Date Defendant's Waiver of Notice was file "'.-'-")';"':.''"-''?'''~'' ~-'''' "ry.i:'\"",>~"':,,"';:" -,".~, --'--.'-,,--~.-,.;: ."-'~'-';/ ,r--,," ^ ---'---,~" '<<o".f'-'c' :---.' ~ ~- ,~- " ,-"~'" ~ ,-.;., ,,'-,.-...,... .-., ~""'- ,,,",,.,,,.,,,,,,.,.,,,,,-. .. ,..,""".. .. 2 ,r--..., = 0 c;::) 'n :::... ..- c.BEU 0 ::::l ("") _L :f]' ":2(" -l rnr_ "', -rJrn en,};? :D? -<,,,: W r;:::c S:1 CJ ~r;; "'U :::r::n ::1; ~4(") c}rn :::.2: );! -~ "'" ::.~ -< w Ef ~/C ~~T'_'""_"_ ',__ . ,~_ ,- -' "-, ,0 "_':_,"G~_~~. "W-!"'i""_,,~,,~,~,,~/?,,~,!p!lJ,,J!,:~?~~~~ ;1:~,,_"!~,~_'~_~~" ,-~,~" ,--[~_ ,f_I8"';Br;'~~~~~'ffl ,:, MARITAL SETTLEMENT AGREEMENT This Agreement, made and entered into this ELl ,.,;t'daY of ~~er ,2004, between TAMARA J. SLIKE of Cumberland County, Pennsylvania, hereinafter referred to as "Wife"; and ANDREW E. SLIKE of Cumberland County, Pennsylvania, hereinafterreferred to as "Husband". WHEREAS, the parties hereto are now Husband and Wife, having been lawfully married to each other on February 13, 1982, in Cumberland County, Pennsylvania; WHEREAS, the parties hereto are now living separate and apart and desire to enter into an Agreement respecting their property rights, regardless of the actual separation or other character thereof and their other rights, including the right to support and maintenance; WHEREAS, both and each of the parties hereto have been advised of their legal rights and the implications of this Agreement and the legal consequences that may and will ensue from the execution hereof, and each has had the opportunity to consult with his or her own competent legal counsel independent of each other; WHEREAS, each party warrants, as part of the consideration of this Agreement, that each has fully and completely disclosed all information of a financial nature requested by the other, and that no information of such nature has been subject to distortion or in any manner being misrepresented; and WHEREAS, other than as set forth herein, Wife desires finally and forever to relinquish all of her rights to be supported by the Husband and all of her right of dower, rights as -1- ..~ ,'-", heir or surviving spouse or otherwise, actual, currently existing, or inchoate, in and to the real and personal property of the Husband, now owned by him or which in the future may be owned by him, and all rights to alimony, alimony pendente lite, counsel fees, or expenses other than set forth herein; and Husband likewise wishes to relinquish all his rights of curtsy, rights as heir or surviving spouse or otherwise, actual and currently existing or inchoate in and to the real and personal estate of the Wife, currently owned by her or which she may own in the future, and all rights to alimony, alimony pendente lite, counsel fees, or expenses other than set forth herein. NOW, THEREFORE, the parties hereto, intending to be legally bound, do hereby mutually agree as follows: 1. Separation. Husband and Wife do hereby mutually agree and consent to live separate and apart, and do further agree that it shall be lawful for the Husband and Wife at all times hereafter to live separate and apart from each other, and to reside, from time to time, at such place or places as they respectfully shall deem fit, free from any control or restraint or interference, direct or indirect, by each other. 2. No Molestation, Harassment or Interference. Neither party shall molest, harass or interfere with each other or compel or endeavor to compel the other to cohabit or dwell with him or her by any means whatsoever. 3. Mutual Property and Estate Waiver. Except as otherwise expressly set forth herein, in which event such express provision shall take precedence over this paragraph, the parties hereto intend that from and after the date of this Agreement, neither shall have any spouse's rights in the property or estate of the other, and to that end both parties waive, -2- """.~ - -,""" .,~, ''''~',",,'<',''''" _'~J"_' , I"' , x relinquish, and forbear the rights of dower or curtsy, rights to inherit, rights to claim or take Husband or Wife's or family exemption or allowance, to be vested with letters of administration or letters testamentary, or to take against any will of the other, and each agrees with the other if either should die intestate, his or her share shall descend to vest in his or her heirs at law, personal representatives, and next ofkin, excluding the other as though he or she had died a widow or widower. And each further agrees that should the other die testate, his or her property shall descend to and vest in those persons set forth in the other's Last Will and Testament as though the spouse so designated as beneficiary had predeceased the testator. The parties further agree that they may and can hereafter, as though umnarried, without any joinder by him or her, sell, convey, transfer or encumber any and all real estate and personal property which either of them now or hereafter own or possess, and further agree that the recording of this Agreement shall be conclusive evidence to all of his or her right to do so. The said Husband and Wife do hereby irrevocably grant, each to the other, should the exercise of this power hereby given be necessary, the right and power to appoint one or more times any person or persons whom the Husband or Wife shall designate to be the attorney-in-fact for the other, in their name and in their stead, to execute and acknowledge any deed or deeds, releases, quit claims, or satisfactions, under seal or otherwise, to enable either party hereto to alienate his or her real or personal property, but without any power to impose personal liability for breach of warranty or otherwise. Each of the parties hereto further waives any right of election contained in Chapter 22 of the Pennsylvania Probate Estates and Fiduciaries Code, and any right to seek or have an equitable distribution of married property ordered by the court subsequent to Section 3502 of the Divorce -3- ;;~a,~...,. F;,' _~" < "., ,-,,-,,'- .~-~ Code. Each of the parties hereto further agrees neither shall hereafter be under any legal obligation to support the other, pay any expenses for maintenance, funeral, burial, or otherwise for the other, and to that end each of the parties hereto does hereby waive any right to receive support, alimony, alimony pendente lite, counsel fees, expenses, or any type of financial assistance whatsoever from the other, except as otherwise expressly provided for herein. 4. Real Property. Wife and Husband hold title as tenants by the entireties to the premises identified as 11 0 Wildflower Drive, Carlisle, Cumberland County, Pennsylvania 17013 (hereinafter referred to as "Real Property"). The parties agree as follows with respect to the Real Property: A. Transfer of Real Property. Within fourteen (14) days of the date of execution of this Agreement, Husband shall deliver to Wife a deed in the same format as the deed initially transferring the property to Husband and Wife, conveying to Husband all of Husband and Wife's right, title, claim and interest in and to the Real Property. Wife shall execute said deed, which shall be delivered to Debra A. Denison Cantor, Esquire, legal counsel for Husband, who shall hold said deed in escrow until such time as all other terms and conditions required herein have been satisfied. Upon satisfaction of all terms and conditions contained herein, Husband shall be permitted to record the deed and take any other action with respect to the Real Property that Husband in his sole discretion deems appropriate. B. Liens. The Real Property is currently subject to both a primary mortgage and a home equity loan. Husb.and shall within thirty (30) days of the date of the execution of this Agreement and receipt of the deed, refinance the Real Property in such a -4- "'-"~-,,,,,,,. ,-,,^" '"",:'_'''''X?"~,;-,, ',' '!"~-,'--'l~" '~:"~""'" ,_.,1.. -,' " ," ~ . fashion as to allow for the satisfaction of the primary mortgage and home equity loan, and further shall satisfy said debt within said thirty (30) day period. 5. Division of Personal Property. The parties hereby agree that all items of personal property not otherwise described herein have been divided between them. Henceforth, each of the parties shall own, have, and enjoy, independently of any claim of right of the other party, all items of personal property of every kind, nature, and description and wheresoever situated which are now owned or held by or which may hereinafter belong to that particular party, with the full power of the party to dispose of the same as fully and effectually in all respects and for all purposes ifhe or she were unmarried. The parties acknowledge that they have divided the marital bank accounts to their satisfaction. The bank accounts held solely in individual names shall become the sole and separate property of the party in whose name it is registered. Each party does hereby specifically waive and release his/her right, title and interest in the other party's respective accounts, as well as all accounts held jointly by either party and a child of the parties. Wife is in possession of pictures and videos of the children. Within 30 days of the execution of this agreement, Wife shall provide Husband's legal counsel, Debra A. Denison Cantor, Esquire, with all said pictures, or negatives if available, and videos to duplicate at his own expense. The original pictures, negatives, and videos will be returned to Wife by way of legal counsel within 30 days of delivery to Husband's legal counsel. 6. Lump Sum Payment. As part of the equitable distribution of the parties' marital property pursuant to Section 3S02(a) of the Divorce Code, Husband shall pay to Wife a -5- ~,!~'-j-. . .'" - ',~__, . ~__, -- '?' -, "", ,. 'f ., ,",7' l"i .- .' ~_ , ~ - lump sum of Ninety-one Thousand Five Hundred ($91,500) Dollars, which payment shall be made no later than thirty (30) days from the date of the delivery of the executed deed to Debra A. Denison Cantor, Esquire, legal counsel for Husband. Said payment shall be made to counsel. Pursuant to I.R.C. Section 71 (b)(1)(B), the principal payment provided for in this paragraph shall not constitute alimony includible in Wife's gross income or deductible by Husband, it being the intention of the parties that the principal payment shall be tax free to Wife. 7. Future Debts. The parties further agree that neither will incur any more further debts for which the other may be held liable, and if either party incurs a debt for which the other will be liable, that party incurring such debt will hold the other harmless from any and all liability thereof. 8. Waiver of Alimony. In consideration of the mutual agreement of the parties voluntarily to live separate and apart and the provisions contained herein for the respective benefit of the parties and other good and valuable consideration, the parties agree to waive any and all claims for any alimony, spousal support, or APL. 9. Pension. Neither party has any form of retirement benefit earned during the marriage. 10. Divorce. The parties acknowledge that an action in divorce between them has been filed by Wife and is presently pending in the Court of Common Pleas of Cumberland County, Pennsylvania, under the caption: Tamara J. Slike v. Andrew E. Slike, No. 2001-6821. The parties acknowledge their intention and agreement to proceed in said action to obtain a final Decree in Divorce by mutual consent on the grounds that their marriage is irretrievably broken, -6- - L~l,__~__~. ll""""" ~__"F0 "., .TI and to settle amicably and fully hereby all claims raised by either party in the divorce action. The Affidavits of Consent and Waivers of Notice have been filed by the parties. WIFE's counsel shall provide the Divorce Master with a copy of the signed agreement and will Praecipe to Transmit the divorce inunediately upon receipt of the Master's revocation. 11. Breach. Any party breaching this agreement is liable to the other party for all costs and counsel fees reasonably incurred by the non-breaching party to enforce his or her rights under the Separation Agreement subsequent to the date of the signing of this Agreement. Should either party fail in the due performance of the terms under this Agreement, the other party shall be able at his or her discretion to sue for performance or for damages for a breach of the Agreement. The party who is deemed to have failed in the due performance of the terms hereunder shall be liable for all reasonable costs and expenses incurred by the other in suing for performance or for damages for breach of the Agreement. The terms contained shall be construed to restrict or limit each party's right to exercise this election. 12. Enforcement. The parties agree that this Marital Settlement Agreement, or any part or parts hereof, may be enforced in any court of competent jurisdiction. 13. Applicable Law and Execution. The parties hereto agree that this Marital Settlement Agreement shall be construed under the laws of the Commonwealth of Pennsylvania and shall bind the parties hereto and their respective heirs, executors and assigns. This document shall be executed as original and multiple copies. 14. The Entire Agreement. Attached hereto as Exhibit "A" and incorporated herein is a copy of the Stipulation entered by the parties. The parties acknowledge and agree that -7- --:",''''~'rMll Y_' ,-, ''''''..,.-'n. - >"Fo:_ -"c'l ,. this Marital Settlement Agreement and the attached stipulation contain the entire understanding of the parties and supersedes any prior agreement between them. There are no other representations, warranties, promises,covenants or understandings between the parties other than those expressly set forth herein. 15. Incorporation and Decree of Divorce. In the event that either Husband or Wife at any time hereafter obtain a divorce in the action for divorce presently pending between them, or otherwise, this Agreement and all of its provisions shall be incorporated but not merged into any such decree of divorce, either directly or by reference. The Court, on entry of decree of divorce, shall retain the right to enforce the provisions and terms of this Marital Settlement Agreement. 16. Additional Instruments. Each of the parties shall on demand or within a reasonable period thereafter, execute and deliver any and all other documents, and do or cause to be done any other act or thing, that may be necessary or desirable to effectuate the provisions and purposes of this Agreement. If either party fails on demand to comply with this provision, that party who fails to comply shall pay to the other all attorney's fees, costs, and other expenses reasonably incurred as a result of such failure. -8- '~, ',,~ ,. '." 'Y-'-~-',;!,,":'" -,.,',l! .,. ~',,,,,,,_~ ~~ . I ' "'1f'llWf~"'~ (, ,~ ',;- ~, , e.~ IN WITNESS WHEREOF, the parties have set their hands and seals the day and year first written above. k/p:agr\tslike.agr , " ~ ~, I' - ~ ,~~ ,_.0 . -j;"dM. r;. /:... TamlITa J. Slike a.~--- ~~ Andrew E. Slike -9- , " COMMONWEALTH OF PENNSYLVANIA : SS: COUNTY OF Cumber IGlld On this, the,91 day of Sep~..be'- ,2004, before me a Notary Public, the undersigned officer, personally appeared Andrew E. Slike, known to me (or satisfactorily proven) to be the person whose name is subscribed to the within instrument, and acknowledged that he executed the same for the purposes therein contained. IN WITNESS WHEREOF, I hereunto set my hand and official seal. iW'lIVfIlIl,.,Ol\\!',_ NOTAR/II\l. SlSI\i . "J e........ .PAM. 8.., RU.OV, .~.. .. . ~ PuIlIi. ~ ....\11. '~ -' Att(:.amIlllllon~""'4.~ COMMONWEALTH OF PENNSYLVANIA : SS: COUNTY OF DAUPHIN On this, thed76&y Of~ 2004, before ~e a Notary Public, the undersigned officer, personally appeared Tamara J. Slike, known to me (or satisfactorily proven) to be the person whose name is subscribed to the within instrument, and acknowledged that she executed the same for the purposes therein contained. IN WITNESS WHEREOF, I hereunto set my hand and official seal. -6uk~t!-f~l2t COMMONWEAl; Oft NOTARIAL SEAl 1lARBf.'IA e. PALMER. Notary PIlbIIc cay 01 Han1IIJJIg, Daup/1ln CountY My CClmmIllslon El!pII8lI May 23. 2CIlI5 !!;'-'')\~iFi -'~-"-"""e"_'_""'" ,,,,,,,,~~__._ _ __~,~.___ .".,~,. \1, 'i:"l13'P~7l '. "'~', '''>_''..."~_~ _re" TAMARA J. SLIKE, Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COGNTY, PENNSYLVANIA VS. NO. 01 - 6821 CIVIL ANDREW E. SLIKE, Defendant IN DIVORCE THE MASTER: Today is ruesday, May 11, 2004. This is the date set for a hearing to take testimony from realtors regarding the suggested value for property at 110 Wildflower Drive, Carlisle, Pennsylvania. Previously we had discussions with the parties and counsel, and the Master went to the property to view the premises and site. We then sched'J.led this hearing after the parties got additional appraisals. 7he Master has been advised after considerable discussion that the parties have agreed to stipulate to a value to avoid the necessity of having all the realtors testify a~d the Master make a finding with the potential for disagreement ultimately on the Master's finding after picking one of the four suggested values. Consequently, today since we have a stipulation on the value of the real estate, counsel are going to put a statement on the record which ultimately will be incorporated jnto a final marital settlement agreement. Essentially the statement today will set forth the parties' stipulated value as to the real estate and the liens against I ,- ,~1' ,_0_, ,~~_ ,c "-5~;:jI" __~''',_<_ ,',.,. "~,",,,<,_v __, _~._...", the property which are to be subseguently verified as to the numbers put on the record with respect to the mortgage and the home equity loan. Counsel are also going to state on the record what they intend to do with regard to any outstanding issues that need to be resolved; namely, the personalty value. Counsel will set forth a plan in order to try to resolve that issue. In any event, by May 28, 2004, the Master will either have in his possession a final marital settlement agreement signed by the parties or will be advised that there is an issue with respect to the value and disposition of personalty which we will then have to be addressed at another conference or hearing. The stip~lation that is going to be placed on the record today will be binding on the parties and counsel and will be used as the basis for the final comprehensive agreement. Present in the hearing room are the plaintiff, Tamara J. Slike, and her counsel John F. King, and the Defendant, Andrew E. Slike, and his counsel Debra A. Denison Cantor. The parties were married on February 13, 1982, and separated November of 2001. They are the natural parents of three children. The Master assumes that the parties are going 2 ~t = ~ to conclude the divorce under the no-fault provisions of the Domestic Relations Code and, therefore, directs that the parties file affidavits and waivers on or before May 2B, 2004, so the divorce can go forward to conclusion under Section 330l(c). Mr. King. MR. KING: After extensive discussions between counsel and after extensive dis9ussions of each of the parties here today, Tamara J. Slike and Andrew E. Slike with their respective counsel, there has been some agreements which we are going tc place on the record and indicate as a stipulation of each party to those terms for the eventual preparation of a marital settlement agreement which will incorporate these terms. 1. There is an agreenent that the value of the marital residence will be placed at $375,000.00. 2. There is an agreement that the distribution of the marital estate will be a 55% distribution to wife and a 45% distribution to husband. 3. In addition to the distribution which will eventually be calculated on the marital residence there will be an additional $550.00 credited to Mrs. Slike which constitutes some certain sums that carne from a home equity loan which were not utilized for ~he marriage. 4. The parties have determined and agreed that the only assets that are at issue in this marital estate are the marital residence as well as personalty. They have agreed and so stipulate that there are no other is.sues relating to retirement plans, 401(k)s, bank accounts or alimony, spousal support or anything of the like. There is a specific waiver by both parties for any claim for alimony, alimony pendente lite, or any future maintenance from each other. 5. Both parties have agreed that they will be responsible 3 '-"'%!.'r~~_" 'c, '-".01,,,,_ >',"_,~_" h"',' "Ld _,,, "_"I"~ ',,- - ~H --=-.- -""iW"~Jj!~"!_ ''''''''.>.''''1..,,'"''''0'-'''-< _ _"__ for their own attorney fees. 6.Tne only remaining issue then is that of personalty. The parties agree that at the time of separation Mrs. Slike removed certain items of personalty from the home and also agree that certain items of personalty were left a~ the home. The'parties haVe agreed "hey will retain the services of an appraiser and the appraisal company is Ibis Appraisals from Carlisle and that they will each arrange to have all of the personalty in each of their respective homes appraised by that individual no later than Friday, May 21, 2004. Upon review of the report from that appraiser. the parties, through their counsel, will either reach a final agreement as to the distribution of the personalty or if they are unable to do that by May 2B, 2004, they will so inform the Master and have that issue resolved by way of a subsequent conference or hearing. MS. DENISON CANTOR: The only other comment I would make with regard to the appraisals are that the parties are waiving their right to object to the values assessed by Ibis Appraisals, any objections may be of the nature of whether such property is marital or premarital, and each party will retain the assets in their possession at this time. With regard to the house, it is the husband's intent to retain the marital residence and wife will waive her right, title and interest to said residence. At the time of the execution of the marital settlement agreement, wife will execute a special warranty deed prepared by husband's counsel transferring her interest to husband. Within thirty (30) days of the execution of the marital settlement agreement, husband shall make arrangements to either refinance or assume all obligatio~s associated to the 4 -',-V ,,,,., ,-~ ,~ -..1 marital home. Said refinance or assumption shall remove wife from any and all obligations for repayments of those debts. Upon proof of removal from said obligations, husband shall be permitted to file the deed and transfer the interest in the home to his sole ownership. In the interim, husband shall be solely responsible for all .costs and expenses associated witt the residence including but not limited to the payment of the mortgage, home equity loan, taxes and insurance. MR. KING: The parties further agree that in order to determine the amount of monies'that will be paid over to wife for her 55% share of the real property there will be deducted from the $375,000.00 valuation the amounts of $192,414.00 which represents the alleged current balance of the primary mortgage and $12,133.00 which represents the alleged balance of the home equity loan. Those two balances of the primary and secondary debt on the real property will be verified by way of a request for payoff sheets from the respective loan organizations, The terms as explained by Ms. Cantor, once the marital settlement agreement is either amicably entered into between the parties or if needed, once a decision is made on the personalty by the Master, within thirty (30) days of that date steps will have been taken and payment will have been made to Mrs. Sli~e for the amounts owed under 5 "~,_,"f.'. this stipulation. THE MASTER: Mrs. Slike, have you heard the stipulation that is stated on the record today? . MRS. SLlKE: Yes. THE MASTER: Do you understand it? MRS. SLIKE: Yes. THE MASTER: And are you in agreement with the terms of the stipulation? MRS. SLlKE: Yes, THE MASTER: And you are willing to sign it and have it entered on the record? MRS. SLIKE: Yes. THE MASTER: Mr. Slike, the same questions to you. Have you heard the stipulation? MR. SLIKE: Yes, - have. - THE MASTER: Do you understand it? MR. SLIKE: Yes, I do. THE MASTER: Are you willing to sign it and 6 -""",~ -'!ffJ. _ ~_"',C"' ,+ ,_ '_"7_"__ _,.", ;~'l",,>- _" r"_,, ,_(_.-( 'c_ __'_0 , make it part of the record in order to resolve the issues with respect to the equitable distribution claim? MR. SLIKE: Yes. "[- p", ".,,,/'/ ~ Att "<~7,jr: -' ~'" ~ -'~'.,". ,,-;:~,~ ,~"". ,', -""-"',-" ",' ,I~j- ~ -" '_'0-7"'--- _,h,' _w.___",_ .., __ '_, ," _,_____ DATE: /;tJ//.p~r "/~'1L a " Tamara J. Slike / 0/1 '7/0 'i ~ ?:./ZLL. Andrew E. Slike 7 - ~< ~~ -'. '" nJT.lT"~~~ ~ _'r. ,-/ ~- , ''''.1."_~_'.'',__,, '"'- ~^-, '" "'-,' ",'''''<<''-''<.'''''''<<''-' ~-- '...,,,-,,,..'v.''''''''''-'''',, _~'''~',~''-'''~l''-..~""", ~" ~~--~, 0 ,...., c- """ 0 t:::;;) ,":,7>' ....- '1", ('..;:, :J1'T1 i (''') i --; nIp i r",) -r;rn I u:> :ut? ("\ .::~C) _wo ~~:~ ::1: esrtr :t:! \ r~j ~ .A_ I W -< /~' 1::-. . tlV II!l !~~!II\:,~ii" ,_~ _ >,-,' !,~..',:"",~J'W""y-"_"~"-e~"?'I~'R~';<II~":_!'!%'0;c4'B:i!f'i'l"'~~~''"~_'''"'')t~~!h1~"~t'F<i~ii<'''~r''';!~!'!!~~~~1~ "'1'1. ~ ,~-.~ .~ - 0_' "<" ~ -, , TAMARA J. SLIKE, Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA vs. NO. 01 - 6821 CIVIL ANDREW E. SLIKE, Defendant IN DIVORCE ORDER OF COURT AND NOW, this ~S 'fl-. day of ~ 2004, the parties and counsel having entered into an agreement and stipulation resolving the economic issues on May 11, 2004, the date set for a Master's hearing, leaving issues regarding the tangible personal property unresolved. The agreement and stipulation were transcribed and subsequently signed by the parties and counsel. On September 21, 2004, the parties entered into another agreement incorporating the agreement entered on the record May 11, 2004, resolving all economic issues. The appointment of the Master is vacated and counsel can conclude the proceedings by the filing of a praecipe to transmit the record with the affidavits of consent of the parties so that a final decree in divorce can be entered. BY THE COURT, cc: ~n F. King, ~~O" ^~./}. \()~r Georg'e,/' ./ J. Attorney for Plaintiff Cantor, Attorney for Defendant '--"'''f; .' -;"~'_-_<';;7',~c;",_~,,_-"'~1,,'0". oJ;,,-"" ,,_-,_~~;; .- .,. :'\-- rF .~ ,,~-- ' " - ,- -. , ~- .,. f:~!'Ii~~\JiJij[,*,JI,;~~$W:IMM'W@oL4WJi.;:;&t,~,{;";'~;;Yi,*,>--;';';;i-~.\,I4'hl:1l~~ ",-,'. , i i , I i ; "'hi,,,,,,,. 'Jiit' ZGntl i}..: ')~ f(O'1 3~ eo c." "~:;~~~! i:-r\,~,_;f;;t*5H;'if\f:;;;;-~.,~_o J, '~'TI~-b~tHl!\,~~~ :-l~!r'~':;'1!~;"J:,~};~g,~~~~)~l,~;:;:;_,Hl:{\,,; '~c~:.,:_:!GJ_;",_,_", ;~-_.,~~:~,~_- ,. ,~, L~:;cr) - -'c-"-:" Jl ,,",-'_' ~,~ ," ".."""""'l'u "."., "". '-""-,",~~ -'-,~,- r':>;',,-'_~'-''''_ .~_~ ~"8^, "~" TAMARA J. SLIKE, Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COCNTY. PENNSYLVANIA vs. NO. 01 - 6821 CIVIL ANDREW E. SLIKE, Defendant IN DIVORCE THE MASTER: Today is Tuesday, May 11, 2004. This is the date set for a hearing to take testimony from realtors regarding the suggested value for property at 110 Wildflower Drive, Carlisle, Pennsylvania. Previously we had discussions with the parties and counsel, and the Master went to the property to view the premises and site. We then sched"..lled this hearing after the parties got additional appraisals. ':.'he Master has been advised after considerable discussion that the parties have agreed to stipulate to a value to avoid the necessity of having all the realtors testify and the Master make a finding with the potential for disagreement ultimately on the Master's finding after picking one of the four suggested values. Consequently, today since we have a stipulation on the value of the real estate. counsel are going to put a statement on the record which ultimately will be incorporated -into a final marital settlement agreement. Essentially the statement today will set forth the parties' stipulated value as to the real estate and the liens against 1 the property which are to be subsequently verified as to the numbers put on the record with respect to the mortgage and the home equity loan. Counsel are also going to state on the record what they intend to do with regard to any outstanding issues that need to be resolved; namely, the personalty value. Counsel will set forth a plan in order to try to resolve that issue. In any event, by May 28, 2004, the Master will either have in his possession a final marital settlement agreement signed by the parties or will be advised that there is an issue with respect to the value and disposition of personalty which we will then have to be addressed at another conference or hearing. The stipulation that is going to be placed on the record today will be binding on the parties and counsel and will be used as the basis for the final comprehensive agreement. Present in the hearing room are the Plaintiff, Tamara J. Slike, and her counsel John F. King, and the Defendant, Andrew E. Slike, and his counsel Debra A. Denison Cantor. The parties were married on February 13, 1982, and separated November of 2001. They are the natural parents of three children. The Master assumes that the parties are going 2 '..-,-. h. to conclude the divorce under the no-fau~t provisions of the Domestic Relations Code and, therefore, directs that the parties file affidavits and waivers on or before May 28, 2004, 50 the divorce can go forward to conclusion under Section 3301(c). Mr. King. MR. KING: After extensive discussions between counsel and after extensive discussions of each of the parties here today, Tamara J. Slike and Andrew E. Slike with their respective counsel, there has been some agreements which we are going tc place on the record and indicate as a stipulation of each party to those terms for the eventual preparation of a marital settlement agreement which will incorporate these terms. 1. There is an agreenent that the value of the marital residence will be placed at $375,000.00. 2. There is an agreement that the distribution of the marital estate will be a 55% distribution to wife and a 45% distribution to husband. 3. In addition to the distribution which will eventually be calculated on the marital residence there will be an additional $550.00 credited to Mrs. Slike which constitutes some certain sums that carne from a home equity loan which were not utilized for ~he marriage. 4. The parties have determined and agreed that the only assets that are at issue in this marital estate are the marital residence as well as personalty. They have agreed and 50 stipulate that there are no other is.5ues relating to retirement plans, 401(k)s, bank accounts or alimony, spousal support or anything of the like. There is a specific waiver by both parties for any claim for alimony, alimony pendente lite, or any future maintenance from each other. 5. Both parties have agreed that they will be responsible 3 """,:LJ -- , ""'-,,' '-~:-C'!" '~"","': 'N""":' ,,-,,,--, fo',. ",:>,-.- .- '~, '.-"r.,t<:.-,~E' r>- ~"~"",_,, "--'; "iC, .,. ,c'-_,~, O'_~c; ~~" ",' . --"" , JB'_~_'__""'"'_'~m'" _,_,_ ' .>'~ ^ ~, _ c." _ _ -,_, . "dO_~"C_< S.-.,_'-" ,~"'''.,..- - for their own attorney fees. 6. The only remaining issue then is that of personalty. The parties agree that at the time of separation Mrs. Slike removed certain items of personalty from the home and also agree that certain items of personalty were left at the home. The'parties have agreed "hey will retain the services of an appraiser and the appraisal company is Ibis Appraisals from Carlisle and that they will each arrange to have all of the personalty in each of their respective homes appraised by that individual no later than Friday, May 21, 2004. Upon review or the report from that appraiser, the parties, through their counsel, will either reach a final agreement as to the distribution of the personalty or if they are unable to do that by May 2B, 2004, they will so inform the Master and have that issue resolved by way of a subsequent conference or hearing. MS. DENISON CANTOR: The only other comment I would make with regard to the appraisals are that the parties are waiving their right to object to the values assessed by Ibis Appraisals, any objections may be of the nature of whether such property is marital or premarital, and each party will retain the assets in their possession at this time. With regard to the house, it is the husband's intent to retain the marital residence and wife will waive her right, title and interest to said residence. At the time of the execution of the marital settlement agreement, wife will execute a special warranty deed prepared by husband's counsel transferring her interest to husband. Within thirty (30) days of the execution of the marital settlement agreement, husband shall make arrangements to either refinance or assume all obligatio~s associated to the 4 --"."-",',,;,,-. marital home. Said refinance or assumption shall remove wife from any and all obligations for repayments of those debts. Upon proof of removal from said obligations, husband shall be permitted to file the deed and transfer the interest in the home to his sole ownership. In the interim, husband shall be solely responsible for all .costs and expenses associated witt the residence including but not limited to the payment of the mortgage, home equity loan, taxes and insurance. MR. KING: The parties further agree that in order to determine the amount of monies that will be paid over to wife for her 55% share of the real property there will be deducted from the $375,000.00 valuation the amounts of $192,414.00 which represents the alleged current balance of the primary mortgage and $12,133.00 which represents the alleged balance of the home equity loan. Those two balances of the primary and secondary debt on the real property will be verified by way of a request for payoff sheets from the respective loan organizations, The terms as explained by Ms. Cantor, once the marital settlement agreement is either amicably entered into between the parties or if needed, once a decision is made on the personalty by the Master, within thirty (30) days of that date steps will have been taken and payment will have been made to Mrs. Sli~e for the amounts owed under 5 ~;o..>, "-'-""'.,' -"X, '" ":'."'- '~~or,~ -J" '1,__' ,,",'0.' _~I-,~_,' ": -- "',-" _ _' h~O'~'____ ,~"'" ,. ".,. ",,~"_ ___ "_ d:_ \.oc c_'"^ _ - <-,-,' "''"'''-' r ~_ 0" this stipulation. THE MASTER: Mrs. Slike, have you heard the stipulation that is stated on the record today? . MRS. SLIKE: Yes. THE MASTER: Do you understand it? MRS. SLIKE: Yes. THE MASTER: And are you in agreement with the terms of the stipulation? MRS. SLlKE: Yes. THE MASTER: And you are willing to sign it and have it entered on the record? MRS. SLIKE: Yes. THE MASTER: Mr. Slike, the same questions ~o you. Have you heard the stipulation? MR. SLIKE: Yes, - have. - THE MASTER: Do you understand it? MR. SLlKE: Yes, I do. THE MASTER: Are you willing to sign it and 6 "0111) ,_:~~ ---~- :~'!"\T::"S"--'," ,.:,;""CC"_,-'_' <~- -'\':':"~"?' .--.t3" :<'_'~'\'_":"~::'-:'~ I,> ",-0'.. ~<":-,-c;-_ --': _, -,,,<,'Ii',~",'r?;-, ,,_, ~:' '": --,-,.,-'j-,-,----,-,,--..~ ,*.-- 'i H_,_.'_,' ,. ___~' d'''~ _~"",o___~___~ . :""""'0 ,~ ,- -, . ""co _,_ - ,~ make it part of the record in order to resolve the issues with respect to the equitable distribution claim? MR. SLIKE: Yes. DATE: /ts/z-r/.. 7 ~ . :J-' Tam~ J. Slike ------ loft 'I!o 'I c:;7.1Z Andrew ..:.~ E. Slike D is..fln .Qantor f~r Defendant 7 'r- ~~_W'" -'~ -;"'c"""~_ ~_~._~~ __ __, ,_~__ _,.,,,~,,I. ",_",,-,' ,-,",-' ,~"-.". ., '-', - -~ , -- - , ~ ."j'"-~~~ '" MARITAL SETTLEMENT AGREEMENT 'J!..;::;r- This Agreement, made and entered into this 0< day of <;~ ~ \:, E' v , 2004, between TAMARA J. SLIKE of Cumberland County, Pennsylvania, hereinafter referred to as "Wife"; and ANDREW E. SLIKE of Cumberland County, Pennsylvania, hereinafter referred to as "Husband". WHEREAS, the parties hereto are now Husband and Wife, having been lawfully married to each other on February 13, 1982, in Cumberland County, Pennsylvania; WHEREAS, the parties hereto are now living separate and apart and desire to enter into an Agreement respecting their property rights, regardless of the actual separation or other character thereof and their other rights, including the right to support and maintenance; WHEREAS, both and each of the parties hereto have been advised of their legal rights and the implications of this Agreement and the legal consequences that may and will ensue from the execution hereof, and each has had the opportunity to consult with his or her own competent legal counsel independent of each other; WHEREAS, each party warrants, as part of the consideration of this Agreement, that each has fully and completely disclosed all information of a financial nature requested by the other, and that no information of such nature has been subject to distortion or in any manner being misrepresented; and WHEREAS, other than as set forth herein, Wife desires finally and forever to relinquish all of her rights to be supported by the Husband and all of her right of dower, rights as -1- ;:,"'JiOi_ - -, <>-e -:'>~""Jo' _".> . ~"'-, '-".,', r" , ,'l.-'" " ~ !fri' heir or surviving spouse or otherwise, actual, currently existing, or inchoate, in and to the real and personal property of the Husband, now owned by him or which in the future may be owned by him, and all rights to alimony, alimony pendente lite, counsel fees, or expenses other than set forth herein; and Husband likewise wishes to relinquish all his rights of curtsy, rights as heir or surviving spouse or otherwise, actual and currently existing or inchoate in and to the real and personal estate of the Wife, currently owned by her or which she may own in the future, and all rights to alimony, alimony pendente lite, counsel fees, or expenses other than set forth herein. NOW, THEREFORE, the parties hereto, intending to be legally bound, do hereby mutually agree as follows: 1. Separation. Husband and Wife do hereby mutually agree and consent to live separate and apart, and do further agree that it shall be lawful for the Husband and Wife at all times hereafter to live separate and apart from each other, and to reside, from time to time, at such place or places as they respectfully shall deem fit, free from any control or restraint or interference, direct or indirect, by each other. 2. No Molestation, Harassment or Interference, Neither party shall molest, harass or interfere with each other or compel or endeavor to compel the other to cohabit or dwell with him or her by any means whatsoever. 3. Mutual Property and Estate Waiver. Except as otherwise expressly set forth herein, in which event such express provision shall take precedence over this paragraph, the parties hereto intend that from and after the date of this Agreement, neither shall have any spouse's rights in the property or estate of the other, and to that end both parties waive, -2- -'i';F;l1W(f,r~ "", -r."',- ,___,",0'_'_ _~ I ~ ,~ ,.,..0<>' ,_ - , - ~~ ,',:J~-" ,~-,~,- ~ - relinquish, and forbear the rights of dower or curtsy, rights to inherit, rights to claim or take Husband or Wife's or family exemption or allowance, to be vested with letters of administration or letters testamentary, or to take against any will of the other, and each agrees with the other if either should die intestate, his or her share shall descend to vest in his or her heirs at law, personal representatives, and next of kin, excluding the other as though he or she had died a widow or widower. And each further agrees that should the other die testate, his or her property shall descend to and vest in those persons set forth in the other's Last Will and Testament as though the spouse so designated as beneficiary had predeceased the testator. The parties further agree that they may and can hereafter, as though unmarried, without any joinder by him or her, sell, convey, transfer or encumber any and all real estate and personal property which either of them now or hereafter own or possess, and further agree that the recording of this Agreement shall be conclusive evidence to all of his or her right to do so. The said Husband and Wife do hereby irrevocably grant, each to the other, should the exercise of this power hereby given be necessary, the right and power to appoint one or more times any person or persons whom the Husband or Wife shall designate to be the attorney-in-fact for the other, in their name and in their stead, to execute and acknowledge any deed or deeds, releases, quit claims, or satisfactions, under seal or otherwise, to enable either party hereto to alienate his or her real or personal property, but without any power to impose personal liability for breach of warranty or otherwise. Each of the parties hereto further waives any right of election contained in Chapter 22 of the Pennsylvania Probate Estates and Fiduciaries Code, and any right to seek or have an equitable distribution of married property ordered by the court subsequent to Section 3502 of the Divorce -3- -;"i,~~".___,~._,,_~_~ _ .~ II, - _J _' ~,_ . Code. Each of the parties hereto further agrees neither shall hereafter be under any legal obligation to support the other, pay any expenses for maintenance, funeral, burial, or otherwise for the other, and to that end each of the parties hereto does hereby waive any right to receive support, alimony, alimony pendente lite, counsel fees, expenses, or any type of financial assistance whatsoever from the other, except as otherwise expressly provided for herein. 4. Real Property. Wife and Husband hold title as tenants by the entireties to the premises identified as 110 Wildflower Drive, Carlisle, Cumberland County, Pennsylvania 17013 (hereinafter referred to as "Real Property"). The parties agree as follows with respect to the Real Property: A. Transfer of Real Property. Within fourteen (14) days of the date of execution of this Agreement, Husband shall deliver to Wife a deed in the same format as the deed initially transferring the property to Husband and Wife, conveying to Husband all of Husband and Wife's right, title, claim and interest in and to the Real Property. Wife shall execute said deed, which shall be delivered to Debra A. Denison Cantor, Esquire, legal counsel for Husband, who shall hold said deed in escrow until such time as all other terms and conditions required herein have been satisfied. Upon satisfaction of all terms and conditions contained herein, Husband shall be permitted to record the deed and take any other action with respect to the Real Property that Husband in his sole discretion deems appropriate. B. Liens. The Real Property is currently subject to both a primary mortgage and a home equity loan. Hushand shall within thirty (30) days of the date of the execution of this Agreement and receipt of the deed, refinance the Real Property in such a -4- ',)'~~'~""""l"'!"-1:!lI_. _-.'~___t_,,"~!d"",n_ _~." ",' _,i"'; ""__,_ , I' '. ." , ,l,I:".,-,",! ~'f ,> fashion as to allow for the satisfaction of the primary mortgage and home equity loan, and further shall satisfy said debt within said thirty (30) day period. S. Division of Personal Property. The parties hereby agree that all items of personal property not otherwise described herein have been divided between them. Henceforth, each of the parties shall own, have, and enjoy, independently of any claim of right of the other party, all items of personal property of every kind, nature, and description and wheresoever situated which are now owned or held by or which may hereinafter belong to that particular party, with the full power of the party to dispose of the same as fully and effectually in all respects and for all purposes ifhe or she were unmarried. The parties acknowledge that they have divided the marital bank accounts to their satisfaction. The bank accounts held solely in individual names shall become the sole and separate property of the party in whose name it is registered. Each party does hereby specifically waive and release his/her right, title and interest in the other party's respective accounts, as well as all accounts held jointly by either party and a child of the parties. Wife is in possession of pictures and videos of the children. Within 30 days of the execution of this agreement, Wife shall provide Husband's legal counsel, Debra A. Denison Cantor, Esquire, with all said pictures, or negatives if available, and videos to duplicate at his own expense. The original pictures, negatives, and videos will be returned to Wife by way of legal counsel within 30 days of delivery to Husband's legal counsel. 6. Lump Sum Payment. As part of the equitable distribution of the parties' marital property pursuant to Section 3S02(a) of the Divorce Code, Husband shall pay to Wife a -5- 'U1J1ffl'4I!1n. _ ',;' -,,'" , I' - << - - ~ ~, ,.~- lump sum of Ninety-one Thousand Five Hundred ($91,500) Dollars, which payment shall be made no later than thirty (30) days from the date of the delivery of the executed deed to Debra A. Denison Cantor, Esquire, legal counsel for Husband. Said payment shall be made to counsel. Pursuant to LR.C. Section 71(b )(1)(B), the principal payment provided for in this paragraph shall not constitute alimony includible in Wife's gross income or deductible by Husband, it being the intention of the parties that the principal payment shall be tax free to Wife. 7. Future Debts. The parties further agree that neither will incur any more further debts for which the other may be held liable, and if either party incurs a debt for which the other will be liable, that party incurring such debt will hold the other harmless from any and all liability thereof. 8. Waiver of Alimony. In consideration of the mutual agreement of the parties voluntarily to live separate and apart and the provisions contained herein for the respective benefit of the parties and other good and valuable consideration, the parties agree to waive any and all claims for any alimony, spousal support, or APL. 9. Pension. Neither party has any form of retirement benefit earned during the marriage. 10. Divorce. The parties acknowledge that an action in divorce between them has been filed by Wife and is presently pending in the Court of Common Pleas of Cumberland County, Pennsylvania, under the caption: Tamara J. Slike v. Andrew E. Slike, No. 2001-6821. The parties acknowledge their intention and agreement to proceed in said action to obtain a final Decree in Divorce by mutual consent on the grounds that their marriage is irretrievably broken,o -6- '-'~~~Jl~!!fl' , '~ ~,'" __ ',".' -~" ',' .. ,. - '-f"!"""!'- . ~" - ,,-0 ",- and to settle amicably and fully hereby all claims raised by either party in the divorce action. The Affidavits of Consent and Waivers of Notice have been filed by the parties. WIFE's counsel shall provide the Divorce Master with a copy of the signed agreement and will Praecipe to Transmit the divorce inunediately upon receipt of the Master's revocation. 11. Breach. Any party breaching this agreement is liable to the other party for all costs and counsel fees reasonably incurred by the non-breaching party to enforce his or her rights under the Separation Agreement subsequent to the date of the signing of this Agreement. Should either party fail in the due performance of the terms under this Agreement, the other party shall be able athis or her discretion to sue for performance or for damages for a breach of the Agreement. The party who is deemed to have failed in the due performance of the terms hereunder shall be liable for all reasonable costs and expenses incurred by the other in suing for performance or for damages for breach of the Agreement. The terms contained shall be construed to restrict or limit each party's right to exercise this election. 12. Enforcement. The parties agree that this Marital Settlement Agreement, or any part or parts hereof, may be enforced in any court of competent jurisdiction. 13. Applicable Law and Execution. The parties hereto agree that this Marital Settlement Agreement shall be construed under the laws of the Commonwealth of Pennsylvania and shall bind the parties hereto and their respective heirs, executors and assigns. This document shall be executed as original and multiple copies. 14. The Entire Agreement. Attached hereto as Exhibit "A" and incorporated herein is a copy of the Stipulation entered by the parties. The parties acknowledge and agree that -7- '.:J;;:~ > '. _.,~~1.~,,"'- , ~. ,0 .r ., '.0 ~,,~~" this Marital Settlement Agreement and the attached stipulation contain the entire understanding of the parties and supersedes any prior agreement between them. There are no other representations, warranties, promises, covenants or understandings between the parties other than those expressly set forth herein. 15. Incorporation and Decree of Divorce. In the event that either Husband or Wife at any time hereafter obtain a divorce in the action for divorce presently pending between them, or otherwise, this Agreement and all of its provisions shall be incorporated but not merged into any such decree of divorce, either directly or by reference. The Court, on entry of decree of divorce, shall retain the right to enforce the provisions and terms of this Marital Settlement Agreement. 16. Additional Instruments. Each of the parties shall on demand or within a reasonable period thereafter, execute and deliver any and all other documents, and do or cause to be done any other act or thing, that may be necessary or desirable to effectuate the provisions and purposes of this Agreement. If either party fails on demand to comply with this provision, that party who fails to comply shall pay to the other all attorney's fees, costs, and other expenses reasonably incurred as a result of such failure. -8- -'1"~~; . ,-~, '^ "_,",,,f-"1"".,' "-27' ~..1-_'?-'~"1~,":' "r" . , ,~ ,~ --~ ,~='''!'~~ IN WITNESS WHEREOF, the parties have set their hands and seals the day and year first written above. '- ~~ .L:". Tamara J. Slike .~L~ Andrew E. Slike klp:agr\tslike.agr -9- ,c~.;~ .-" ,__-~,__~,_., - 'h ,._,__e;.~_< _,"" "p'~''':l':''W ' \,-.-- "."..-- " ., - !~Trllil . ... ~. COMMONWEALTH OF PENNSYLVANIA : SS: COUNTY OF CU/h ber /and On this, thedJ day of 5ep Ie", her, 2004, before me a Notary Public, the undersigned officer, personally appeared Andrew E. Slike, known to me (or satisfactorily proven) to be the person whose name is subscribed to the within instrument, and acknowledged that he executed the same for the purposes therein contained. IN WITNESS WHEREOF, I hereunto set my hand and official seal. s. ,$'''''' ~8EAI." ,.,:.us. RUDY, ~ PItbIIc ' 'r u..ea.;......~I..I!Ind~-. ...'" m,.mIwiod A._ l' i'lI; . "",,'''\l,~.. COMMONWEALTH OF PENNSYLVANIA : SS: COUNTY OF DAUPHIN On this, th~~ay of ~2004, before me a Notary Public, the undersigned officer, personally appeared Tamara J. Slike, known to me (or satisfactorily proven) to be the person whose name is subscribed to the within instrument, and acknowledged that she executed the same for the purposes therein contained. IN WITNESS WHEREOF, I hereunto set my hand and official seal. ~'e.-I~ IA NOTARIAl. 81!A1. 1WlBot.."IA E. PALM&A NalaIy PubIo CIIv of HIn1eburu. ~ Counly My CommI8eIon ExpIree MlIj/23, 2llOS \'iffl._ -L!,b"_,,_~" _ .=." . ^ . ~- , -,"' . , ". .,-.,.~. ,. <x " j ~ .. ,. ..".,.."", ..,,,,.,,,,,,,,, ~".'l'llInl".. r"Rlnrll"'lf .':'''~~ . . , . ~s ..~iJ !!!II"lt ~ll'~~!!II~th~,_,i,. _ 1tr,,!!!&iil'!~~:l'~"'~~!'d~1\lili~lj;1!'l'II!,($I~fW~'l',Jlf~irwi''F'IF''''*~''n1!~"",,:,":fti~~'>~V+"~' ""J:'""~!,,,.\;~'l'tA~1B'~!l1!fi~'r,,',,",,",'~'%~''bVI'.jjr~''''!H'il~~fjj\ ,)L~jg Vs. : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY PENNSYLVANIA No. 0 J- (p~.2. f ~ '\.2.<- TAMARA J. SLlKE PLAINTIFF ANDREW E. SLlKE DEFENDANT : CIVIL ACTION - LAW : IN DIVORCE 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 prompt action. You are warned that if you fail to do so, the case may proceed without you and a decree of divorce or annulment may be entered against you by the court. A judgment may also be entered against you for any other claim or relief requested in these papers by the Plaintiff. You may lose money or property or other rights important to you, including custody or visitation of your children. When the ground for divorce is indignities or irretrievable breakdown of the marriage, you may request marriage counseling. A list of marriage counselors is available in the Office of the Prothonotary at: Office of the Prothonotary Cumberland County Court House One Courthouse Square Carlisle, Pennsylvania 17013-3387 IF YOU DO NOT FILE A CLAIM FOR ALIMONY, DIVISION OF PROPERTY, LA WYERS FEES OR EXPENSES BEFORE A DIVORCE OR ANNULMENT IS GRANTED, YOU MAY LOSE THE RIGHT TO CLAIM ANY OF THEM. 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 Bar Association 2 Carlisle, PA 17013-3387 Liberty Avenue 717-249-3166 (,t:,~oL.o.~ _ ---~ ' ,.y. ~~ - '"")'''''''f''''' ~, 1- , .. ,- ~~.........~"",.l ?'n"'-t~'-'^^--"'-,"'ct . - -~,--..- Vs. : IN Tim COURT OF COMMON PLEAS : CUMBERLAND COUNTY PENNSYLVANIA No. lJl- f.., ~ :l I ~ C.L- TAMARAJ. SLlKE PLAINTIFF ANDREW E. SLlKE DEFENDANT : CIVIL ACTION - LAW : IN DIVORCE COMPLAINT IN DIVORCE AND NOW, comes the Plaintiff, by Attorney JAMES M, BACH, and avers as follows: 1. Plaintiff is TAMARA J. SLIKE, who currently resides at 6171 HAYMARKET WAY, MECHANICSBURG, P A 17050. 2. Defendant is ANDREW E. SLIKE, who currently resides at 110 WILDFLOWER DRIVE, CARLISLE, PA 17013. 3. Plaintiff and Defendant are sui iuris and have been bona fide residents in the Commonwealth for at least six months immediately previous to the filing of this Complaint. 4. The Plaintiff and Defendant were married on February 13, 1982. S. The marriage is irretrievably broken. 6. Neither Plaintiff nor Defendant are in the military or naval service of the United States or its allies within the provisions of the Soldiers' & Sailors' Civil Relief Act of the Congress of 1940 and its amendments. 7. There has been no prior action for divorce of annulment instituted by either of the parties in this or any other jurisdiction. 8. Plaintiff has been advised of the availability of counseling and also the Plaintiff may have the right to request that the Court require the parties to participate in counseling, and after being so advised, Plaintiff does not desire counseling. r L,~_,~~ 'I' ""-'-c" t" _~~ " ~ . ~ .,,,,,,,,,,! ~ '"~'r:ifUT COUNT I Request for Divorce Due to Irretrievable Breakdown Under 3301(d) ofthe Divorce Code 9. The marriage between the parties hereto is irretrievably broken. 10. Upon ninety (90) days elapsing from the date of service of the Complaint, Plaintiff intends to file an Affidavit consenting to a divorce. Plaintiff believes that the Defendant may also join in and file the same, or similar Affidavit of consent to a divorce. 11. Upon separation of two (2) years, Plaintiff intends to file with the Court an Affidavit indicating that he/she has lived separate and apart in excess of two (2) years. WHEREFORE, if two (2) years have elapsed from the date of separation and/or Plaintiff has filed his/her Affidavit, Plaintiff respectfully requests the Court to enter a [)ccree of Divorce, pursuant to 330l(d) ofthe Divorce Code. COUNT II Request for Equitable Distribution of Marital Property Under 3104 and 3502(a) of the Divorce Code 12. The prior paragraphs of this Complaint are incorporated herein by reference thereto. ] 3. Plaintiff and Defendant have acquired property, both real and personal during their marriage from the date of said marriage until the date of their separation. 14. Plaintiff and Defendant have been unable to agree as to an equitable distribution of sllid property. Wherefore, Plaintiff respectfully requests the Court to equitably distribute the marital property of the parties, pursuant to 3104 and 3S02(a) of the Divorce Code. "'~-:l'l\~j~., (fJ.,~ ,.,r ,,^ I~' ,,,. - ~~ " ~. ,~ '~ ,,,,",~ ,'i';;I'TiJ'r ,->< COUNT III Request for Counsel Fees, Costs, Expenses and Alimony, APL, Under 3104,3323, 3502(e) and 3702 ofthe Divorce Code 15. The prior paragraphs of this Complaint are incorporated herein by reference thereto. 16. Plaintiff is unable to pay the necessary counsel fees, costs and expenses and Defendant is more than able to pay them. WHEREFORE, reserving the right to apply to the Court for temporary counsel fees, costs and expenses, prior to final hearing, Plaintiff requests that, after final hearing, the Court order Defendant to pay Plaintiffs reasonable counsel fees, costs and expenses. DATE //-,,; ?~t'1 , Respectfully submitted, . / By ~ ~MES M. BACH 'Attorney At Law Attorney I.D.# 18727 352 S. Sporting Hill Rd. Mechanicsburg, P A 17050 (717) 737-2033 VERIFICATION I verify that the statements made in this Complaint are true and correct. I understand that false statements herein made are subject to penalties of 18 PA. C.S. ~4904, relating to unsworn . falsification to authorities. DATE: /I~ ;;}- (If '~Nduit ~il, TA ARXJ. SLIKE (PLAINTIFF) """c_~Wl~. ,.. _, " ~ ,_.~. ..'"0 ~ ~ ~ _k r , , ~-~~. ~ ~ ,~ ~ ~ n""'~, ~ ~!'I~."""'" ' .".. ,. ~~"'.',M.",'~,M,.". """""11I' rillI nl T 'l"'jjiil~(,""" f ~ .J:> .0 J:)-O C> 0 ",,-c. '" t I,l\ "" o ./- ~ ,~ ;! '8 tAl l r C'( ~ (') c <~ '1::J .,- !T~ CG ~~2 -c :~ I,_C: :>C' ~s' =:; -< ~ c; ~, --;:Ti - .0 W C> --.t.. j :::;': :=:::' " c::;: ~ ~qj (,,) CJ ~_J ~t; fy :::> C::J ~cl ~'S OfT1 -" "r-:-: 5J -< ,.., .U,Jf,!,... :"c"'7:, " _,", ,_"J" _,,~,.,.f~ L~", .1_'Ql;J.~1!-~~$I~~~ ~1!n'J!~li~:riJ!;~Ii?~Mlw.+,'m'o~'F'-'c_'~""""1C:""~t"-':''''f'!;''-~~'7le';'W1~~\-'>'I:'''I';'~~;prf;'<gc..''''''~'''''~f'1!i;i1--''J!#.i;!liI1f!~iib~[ :1""_~,,!fi~ ill 00 . TAMARAJ. SLIKE, Plaintiff : IN THE COURT OF COMMON PLEAS .: CUMBERLAND COUNTY, PENNSYLV ANlA v. : NO. 2001-6821 ANDREW E. SLIKE, Defendant : CNIL ACTION - LAW : DNORCE AFFIDAVIT OF CONSENT 1. A Complaint in Divorce under Section 3301(c) ofthe Divorce Code was filed on November 30, 2001. 2. The marriage of Plaintiff and Defendant is irretrievably broken, and ninety (90) days have elapsed from the date of the filing and service of the Complaint. 3. I consent to the entry of a final decree of divorce after service of notice of intention to request entry of the decree. I verify that the statements made in this affidavit are true and correct. I understand that false statements herein are made subject to the penalties of 18 Pa.C.S. Section 4904 relating to unsworn falsification to authorities. Date: 6/2S/Df ~-..r [~ Andrew E. Slike -'"*'~.> -,,^,-- --11"" ,),:-,;;:,,;_,,:~"':-:,,':_,<-~~D'V ,.,,, -'. '"' v .' 1_ ">-- '''' \ ,1-e~",,___~_:_v_~>__,'~ c-~'"' ,,-, .' ""; "_ ,'_ ",~. ',F .- -",!""",,~- --" :-~~, c',_ Pi ",'" ';"',' ,~- ,~ ~ ~., <,~ '.'- v,"_~;__ '.-' ,."_-.'.T';"'_"'_'~"'__~' " '.' ""'.' ,','y.,', "".." .~, .'w',' ,"","Oc' &5 Hi ~l.",'''''>.- "'.'A'.'<"o''-''N;,;'''_.__ )'''j'1i'il'll'.,r:JlIr i 'J'fYllif"'"\," ~ ~ Q, ':f- -' '.S.. ::It '441 ~~J\5;; :p-P- "e t\~t~.'. ...<: -oQ? \ \~\ 1" CJJ 0" go ,,-?;\ -0 0- C' E:. c~ :$. %rn 2:=~ ~ - g Y"--- .. ~~ -;7 "'" ::2. r-' ::Z cP >:,,~~~~!J\WI'~WE. '~,' ,.,,,'_",,v,,'""'~..".. " --.-[ ~.'~~"<,r'. ..-~!" ., ,7'",/","" "I ji:, - --' . .',.' :".-:;' '.,,~~; TAMARA J. SLIKE Plaintiff : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA v. : NO. 2001-6821 ANDREW E. SLIKE Defendant CIVIL ACTION - LAW DIVORCE W AlVER OF NOTICE OF INTENTION TO REQUEST ENTRY OF DIVORCE DECREE UNDER ll3301(c) OF THE DIVORCE CODE 1. I consent to the entry of a final Decree of Divorce without notice. 2. I understand that I may lose rights concerning alimony, division of property, lawyer's fees or expenses ifI do not claim them before a divorce is granted. 3. I understand that I will not be divorced until a Divorce Decree is entered by the Court and that a copy of the Decree will be sent to me immediately after it is filed with the Prothonotary. I verify that the statements made in this affidavit are true and correct. I understand that false statements herein are made subject to the penalties of 18 Pa.C.S. S 4904 relating to unsworn falsification to authorities. DATE: 5/25' IDcf v_t?.___ C~ Andrew E. Slike "'~Ii'"'1:!f,,~ ~"'>,:r"7';,_,c<<,,,,,"-,,-~,--,,:'r,-_,,-\'~_ '. ,-,' "_"1'-' n'" ".","~ . , '- - ~ - -o,'('-:J"'J"f__''r.c,?'" -,,-.,,--. ",- _~__ < 1 !! ~, ~> "'''''''''',.,'if"..."",.L"",,,,,,",,,.,,.,"! ' [5' ~ -", """ " o ~ ~, ._,~: ~,te C5f,:;- ~?:r: :t~~! ~, ::;.f -, W. lIU~IIIIiIi1Tn )l.lr:"," ,,~ <= <= -"'" ::Jt p. -.: l'~ 0'1 o 'TT ~:n r- ];9 06 :;2-n (J.:t"l zO ("1m ::=1 55 -< .~j ::s: f';,..)- co ".-, '" ,,' ~ _ ,,-~::_";~,\?,:::,_,t_~~~A,i1~f-~~P~~~Ji'~~-,- ~~~~,l,TJ~~~~,,(i:t~;mJliJl~~:"~~~,~PL ~-; r"-~ -" ~,~ v. : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA : NO. 2001-6821 : CIVIL ACTION - LAW : DIVORCE TAMARA J. SLlKE, Plaintiff ANDREW E. SLlKE, Defendant AFFIDAVIT OF CONSENT --1 1. A Complaint in Divorce under Section 3301(c) of the Divorce Code was filed on November 30, 2001. 2. The marriage of Plaintiff and Defendant is irretrievably broken and ninety (90) days have elapsed from the date of filing the Complaint. 3. I consent to the entry of a final decree of divorce after service of Notice of Intention to Request Entry of the Decree. I verify that the statements made in this Affidavit 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. DATED:~~,~Y --z'A-1~ 12-. Tamara J. sr ./ -- ','~"'-'" -- ~n;)",,,_ : "p"-"'_~~0-,-""";"'~::i' '-'-- ,'<, -:'l'~-.' - "_:"("'j',_",:"" <..".,r" / .' .">-:n_- ,-".. i _ ~ ~__ ~'t - c, __ -r-_j __. ,__ ,~, c. '<",~ ~,' ~ ..., (f4 0" '07....'. ))L"l.",.,o,," -. ..v~"." -'~~ ^ ~._",~ , .. U', _x, ~"_"",,,,-n,._ 11I11 'r.~.. I'"' ......, 0 = ~ "" "'- 0 -J ~",(J T.." \ ,n ,-, nip 2: -4 'T)'FT~ ..,:.'::'~ 1') :XJ.c;... (Ii \.D 0<", .< ~E:' -~-l-=l " ;r: -H :x ~~(3 Om 2~ >! --, (....) ~:q -< y,) ~"'..... E5~ ,e~i- -,~ . ~" In }Ji~tJl[~{!I~tl.!L:J~i~::m;?~i i'.,i', .'.,' .,' ~,__U.lq.1f)IWJ~~~~~~,~t15,,,,,.;~~~~,0'_;.)!~~' ,',--, .,'.......","0'",.0,10";0...... v. : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA : NO. 2001-6821 : CIVIL ACTION - LAW : DIVORCE TAMARA J. SLIKE, Plaintiff ANDREW E. SLIKE, Defendant WAIVER OF NOTICE OF INTENTION TO REQUEST ENTRY OF A DIVORCE DECREE UNDER 3301(C) AND 3301(0) OF THE DIVORCE CODE 1. I consent to the entry of a final Decree of Divorce without notice. 2. I understand that I may lose rights concerning alimony, division of property, lawyer's fees or expenses if I do not claim them before a Divorce is granted. 3. I understand that I will not be divorced until a Divorce Decree is entered by the Court, and that a copy of the Decree will be sent to me inunediately after it is filed with the Prothonotary . 4. I verify that the statements made in this Affidavit 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. i J i Date:~ :f6J?&'}f "",;;7~O ~' Tamara J. S1ike, Plaintiff '<T1)l~ p',n ^ ,"'" "~_''',~;fi'1r-;''1-=i-~~': -::",":'_:" -:7}::~~ ",~-,' _,_"',~o_, - '1"" .' .'> < t _~,_ _',,?, ' ";_j~ ,,,": _ ,,'__, _,_ _ _ ,-" _" - ,-~ ," - . ,,' ffi -- ',=6'~"~""_~ "~~' ,,-""'" c '''~ ,', _'C_~'_C~~t~;, -c~ . ,_"'_~i~<";,);:,,'\y""!,: 'i">'" ',' 'J'- ' -"",. ... .... "r ..4.., ~JilllIirIlmrlf'ln" 1'1"' (') ...., = (') C' c;;:.;:.. 'TI .<:~ J:"' \ ~fF C) --"1 C"'> 'r -l nl ;2~ -7r-' -C1f'f'1 t~~)-: 1'.' ;:09 1.0 ~Ci ~ )=11:(_., -0 :1 -"-' Le'" ...,. ;-) :.D -~.. '::'7(') $f~~ (Sin "" ~~-l :3 ')..... eN :b -. c"., ..< ~s ~? -",,-\:,~,',,:/!:r":.,"F',"'_"''''';'''-''''''''~''vr'~_~'''_~~~~~f~I!l!MR;~~~^_ ,-.~t\-~:,,,,>,,,;~~::,;~,~~~-,.,_l,;jJf!7' ,,(.,~:.:..;)?) ",~~.;-_..-.<-" .,- "~o' _, " ,- - ~~ -- - , TAMARA J. SLIKE, Plaintiff : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA : NO. 2001-6821 : CIVIL ACTION - LAW : DIVORCE v. ANDREW E. SLIKE, Defendant AFFIDAVIT OF SERVICE COMMONWEALTH OF PENNSYLVANIA : SS: COUNTY OF DAUPHIN Personally appeared before me, a Notary Public, in and for said Commonwealth and County, John F. King, Esquire, Attorney for the Plaintiff, who, being duly sworn according to law, deposes and says that a Certified copy of the Complaint in Divorce in the above-captioned matter was served upon Defendant's attorn ebra Denison Cor, Esquire, on December 2,2001, as evidenced by the a d ct. Ser 'ce. Sworn and subscribed to before me this ~ day of O~ , 2004. ~~'?~~ Notary Public IA . . r<<7rMlA\. HAL WIllIAM" PALM!R, NaIa!Y NII\l ~ .' .....~ DIUPhIn ColIlIIY $jlilltlm~ MIW 28, 2IlO5 '':'!;1;1!l''':'_<~'_'___~';__''i''__~'_ ~_;'~ _ . .' :',J:--- _ ""'-'J""",",,,::,- '_k__'_ ' , - - '-..+;- ;-7,',~-'-_,--.- "-. ~ "; ': J Iv.~.... ..."." '.'.'. ~5 ~L- . ~ _ ^'8 ~~..~" ,,;;,J,.\;_,p' ,<" 'LC', <~" 'IIi n]~'i"~"'" -- . , __"'_'i:\'!,'-, ":<~"'_"~0'->'oc"5:',> ~,J";:-," '0. ", ..,,, ,~,.I'II!I!.!\l,!!l'~""'~-~~,lI.,,,~,J,,'A,I,II!II!L,,,,p.,l!!i~~~.",' 'SO" '10 1 -LT~' -, - ,~">','- '~'-,"r.! ~'. " ...,. " TAMARA J. SLIKE, Plaintiff : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA v. : NO. 2001-6821 ANDREW E. SLUill, Defendant : CIVIL ACTION - LAW : DIVORCE ACCEPTANCE OF SERVICE I accepted service of the Divorce Complaint on behalf of Defendant, Andrew E. Slike, on /YCl. 2, lP1J7 , being authorized to do so. . :i ': "":"1", ',-- - _, ,_, <-"_~._~"""_""_,,,,,,\~,i',~_,,,-,',\. ' _ :'V~" -- M_, - " -, - ,," "-,"'!~_""i"'_O :~;'" ~"" '_o~"'''' ~ = _, ~,', ,,- ~'.' 0 ~"p fll1fi'Jruir nl n rmil!i1'"^"' JI. ~- ....~ () = (::;J " .c- "'T.:'! 0 ~-n IT; C)- f11p -~ -i :;:< f" -rJrr~ 59 :139 ,0 C) (1-. ~ --"'1 ~.J, -r, 2~ ~~:_:~: =:.;: 'C)fn 1;;;, "" ::3 L,) ~; ."~ -< 0~ .~ CS' *? ... ..1 - -";-~f!M",/~"-_C~,,:,:.,~-,, . "<,?lI!t~."",,.. ." ',.ry>" +,_r>_. _~-,,,. ':"'c' ~'''';- ~.'" '?!"_f,~.,_",r>.<~F~~' 1- ,-~.-~"~'" -~.' ":".r~~IffloM",,~.,:,AV14~_Il.l~~~~,,:,. q~~ "'-'"".~~"?~'-("!f,~~~:" -..;;......=.1[[..(. ~. ,-, ~- .~--~ FRIEDMAN & KING-, P. C. ATTORNEYS KJ: LAw 600 N. SECOND ST. FIFTH FLOOR P.O. Box 984 HARRISBURG. PENNSYLVANIA 17108 (717) 238-8000 TELECOPIEB. No. (717) 236~8080 frtedmanandking@hotmail.com RICJ:r.ARD S. FHmDMAN JOllN F. KING October 22, 2004 E. Robert Elicker, II, Divorce Master Office ofthe Divorce Master 9 North Hanover Street Carlisle, P A 17013 In re: Slike v. Slike No. 2001-6821 Dear Mr. Elicker: Please find enclosed an executed copy of the Agreement that was entered on the record and transcribed in your office at the last hearing in the above-referenced case. r'- I have also enclosed an executed copy ofthe Marital Settlement Agreement which references the transcript as Exhibit "A". I would be most appreciative if you would petition the court to have your appointment revoked, so that we can finalize this divorce. Thank you very much for your kind attention and assistance in this matter. Enclosures JFKlbp: corresaf\e1icker .ltr cc: TamaraSlike Debra Denison Cantor, Esquire "". '";--"~"" -,-, _ - r "0","'" "r~'>,,->Z' ~""!?",;',: _ "'1',:,<,<-1"'.')" ^' "'^,'<'-;,; _0<':",,1_ _'_0,._ ,'_;"'Yc_ '-;to, ,_ "'.~,-:'~-' '--C'''l''''- ',-' . - . ~<' _;,;':=1" ,. . ""'-"";,." TAMARAJ. SLIKE Plaintiff - : IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW : 01-6821 VB. ANDREW E. SLlKE NO. CIVIL - 19 IN DIVORCE Defendant STATUS SHEET DATE: --, /0/\ ,Or 'L(o::J, iL .'..1 ~i~l~~ - . --- " t'/').--'YrO 5';' ,It> Y '7- /Q.{ccf-q:oV lAti\07> f\r) 'Jf/').0oya.rIc' , - <>-...~ ~-"'-~ " .:....' A .. /"lJA./fiU> ~ .~~~~. ,......,.... ~~ c;,(-:l-t (a"f. d~ I~ I'l-r:'/p '-/ \ , c--.... -- ~ ..~ _ ._ ~_ -,."_ _, _;..- : _ , "> ,_ i', ".-..-_~""-"..-;,,,,,,,.-.;r,:;o-o:-.,,........."< -'-_.._ ,-" ~,.::,-,,-, .'"'t.'.< - ,. c., , " ,-- - F..-.113..j~-...~..---~-~.~ ,~" ~~ ~- """ ,--, REAGER & ADLER, PC ATTORNEYS AND COUNSELORS AT LAW 2331 MARKET STREET CAMP Hill. PENNSYLVANIA 170114642 717,763,1383 TElEFAX 717,730-7366 WEBSITE: ReagerAdlerPC.com THEODORE A. ADLER + DAVID W. REAGER CHARLES E. ZALESKI LINUS E. FENIClE DEBRA DENISON CANTOR THOMAS O. WilLIAMS SUSAN J. SMITH SUSAN H. CONFAIR JOANNE HARRISON CLOUGH THOMAS J. ROZMAN TIFFANY M. CARTWRIGHT PETER R. WilSON +Certlfied Civil Trial Specialist Writer's E,Mail Address; DCantor@ReagerAdlerPC.com August 16, 2004 Robert Elicker, Divorce Master Office of the Divorce Master 9 North Hanover Street Carlisle, PA 17013 RE: Slike v. Slike Docket No.: 2001-6821 Our File No.: 01-1076 Dear Mr. Elicker, Thisletter is provided in response to Mr. King's letter dated August 9, 2004. I have no objection to you listing this matter for a hearing or an additional settlement conference. However, I object to Mr. King's assessment that any delay has been due to my client's delay. Initially, there was some confusion in regard to the items to be valued, and that matter was resolved immediately. It was then discovered that Mrs. Slike failed to have a number of items appraised, and an additional appraisal was required. The parties have fundamental issues regarding the appraisals of the personal property (which I feared when we agreed to this process). My client has claims that items are pre-marital, non-marital or should not be included. Mrs. Slike objects to these characterizations. In addition, there are some items that Mrs. Slike has sold andlortransferred prior to this evaluation, which makes it impossible to get a full accounting. Nonetheless, it is these fundamental factual issues that will require testimony for a determination by your office. I am in the process of preparing another proposal to settle this matter and will have provided it to Mr. King by the end of the week. Therefore, I believe the delay and inability to resolve this matter has nothing to do with my client's failure to abide by the agreement, but instead a failure to agree on fundamental factual issues which would remove items from valuation. "-""'''-'''''''',,,,.1'",, ,_. ,_; -;',B'F: '_'" e, -, - ,- ~- '7'_',5"" ~ -'I' "' c___~, ,"_", ~ ,_ _,., "" ,e, C'. __ ,r "'~ -- - ,--,. '-"'~t"~'"--'''r~''''' ,--.. '-0 E. Robert Elicker, Divorce Master Page 2 August 16, 2004 Your attention is appreciated. DDC/drb Cc: John King, Esq. Andrew Slike ,:(~~."r"! ...."-' ,.".,-: ,~".~. ,-~ -" "I~- . oj, . . FRIEDMAN & KING, P. C. ATTORNEYS KJ: LAw 600 N. SECOND ST. FIFTH FLOOR P.O. Box 984 HARRISBURG. PENNSYLVANIA 17108 (717) 236-8000 TELECOPIER No. {717J B3e-a060 friedmanandking@hormail.com RICHARD S. FRIEDMAN JOHN F. KINO August 9, 2004 E. Robert Elicker, n, Divorce Master Office of the Divorce Master 9 North Hanover Street Carlisle, P A 17013 In re: Slike v. Slike No. 2001-6821 Dear Mr. Elicker: This is to follow up on the Master's hearing which was held on May 11, 2004. As your records will indicate, the parties entered into an agreement which was placed on the record. The only issue which remained for the parties to resolve was the valuation and distribution of the personalty. The parties agreed to have the personalty appraised by Ibis Appraisals. Those appraisals have been completed, and the results have been in the possession of each of the parties for quite some time. Unfortunately, Mr. Slike has failed to respond to our repeated efforts to resolve the distribution of the personalty now that we have the valuations. It, therefore, appears necessary for us to appear before you once again. ,I, .. I would be most appreciative if you would schedule another hearing at your earliest convenience, and I would also like to note at this time that I will be seeking, on behalf of my client, attorney's fees resulting from Mr. Slike's failure to abide by the agreement which was placed on the record necessitating this second hearing. " " " iJ';l:~;rr!>,_~_ -~"-,'~,,...-,~- "."y,-<'- ~-,\-'_'.;r~",__",__~, :"':_\~J -,,,,..:_,_.,, '-",",'""'-'-, ~ ~ ,-- " t:er'j':( """0- ,,' _,~ ~s_ E. Robert Elicker, II, Divorce Master August 9, 2004 Page 2 Thank you very much for your kind attention to this matter. JFK/bp :corresaf\elicker.ltr cc: Tamara Slike Debra Denison Cantor, Esquire :;i . '-', "< ,," .';;'- _7'_,'- '-, -, -~ ','I" ,_. : t;';~, .. "~-> '_-,,7',,',_r,. L._ "f<,-M1f"(T'jr-_-O-'" ~, ." ~ _. " _ ,~ H'""o' OFFICE OF I)IVORCE MASTER CUMBERLAND COUNTY COURT OF COMMON PLEAS 9 North Hanover Street Carlisle, PA 17013 (717) 240,6535 E. Robert Elicker, II Divorce Master Traci Jo Colyer Office Manager/Reporter West Shore 697,0371 Ext. 6535 May 12, 2004 John F. King Attorney at Law FRIEDMAN & KING, P.C. 600 North Second Street Penthouse Suite, P.O. Box 984 Harrisburg, PA 17108 Debra A. Denison Cantor Attorney at Law REAGER & ADLER, P.C. 2331 Market Street Camp Hill, PA 17011 RE: Tamara J. Slike vs. Andrew E. Slike No. 01 - 6821 Civil In Divorce Dear Mr. King and Ms. Denison Cantor: Enclosed is a draft of the stipulation/agreement which you put on the record on May 11, 2004. Please review the draft for any corrections. After you have reviewed the draft, give us a call so we can make appropriate corrections. We will send the corrected original to the Plaintiff's attorney for signature who then can transmit the original to the Defendant's attorney for signature. The signed stipulation should be attached to the marital settlement agreement. Thank you for your continuing cooperation in bringing this matter to settlement. Very truly yours, E. Robert Elicker, II Divorce Master ,0:,:, l_"_",~ '-_ ~ __ "_~,_,;i~',",,_l,,~'""~_~"~O; ",,,-J,,,,,,-}'-><,UJ'';'- '~,f' '~_~I!!",' ;'~'-',,;' - -'~ --, ,- ";',,'--7',,'.~~.~- . "I ~ ~ -- ,- - '-~" "..-:,:-,. - "-,,,-, r'~--'-- . ^",- ~.- t, ,,', _"~~ _, ,'."" UJ_~' TAMARAJ. SLIKE : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA : CIVIL ACTION - LAW v. ANDREW E. SLIKE : NO. 01-6821 : IN DIVORCE RESCHEDULED HEARING ORDER AND NOTICE SETTING HEARING TO: Tamara J. Slike John F. King , Plaintiff , Counsel for Plaintiff Andrew E. Slike , Defendant , Counsel for Defendant Debra A. Denison Cantor * You are directed to appear for a hearing to take testimony on the outstanding issues in the above captioned divorce proceedings at the Office of the Divorce Master, 9 North Hanover Street, Carlisle, Pennsylvania, on the 11 th day of May 2004 at 9:00 a.m., at which place and time you will be given the opportunity to present witnesses and exhibits in support of your case. George E. Hoffer, President Judge Date of Order and Notice: 3/77/04 By: Divorce Master 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 BAR ASSOCIATION 32 SOUTH BEDFORD STREET, CARLISLE, P A 17013 TELEPHONE (717) 249-3166 * TESTIMONY WILL BE LIMITED TO THE REAL ESTATE APPRAISERS. "..~"I _'_"_,'~\ - ~"', ._O'T,. "t',-"" ~~-~". - fJr,"_n ~ -,,-~ , ,-'-.~ - ~ TAMARA J. SLIKE : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA : CNIL ACTION - LAW v. ANDREW E. SLIKE : NO. 01 - 6821 : IN DNORCE ORDER AND NOTICE SETTING HEARING TO: Tamara J. Slike John F. King , Plaintiff , Counsel for Plaintiff Debra A. Denison Cantor , Defendant , Counsel for Defendant Andrew E. Slike * You are directed to appear for a hearing to take testimony on the outstanding issues in the above captioned divorce proceedings at the Office of the Divorce Master, 9 North Hanover Street, Carlisle, Pennsylvania, on the 23rd day of March 2004 at 9:00 a.m., at which place and time you will be given the opportunity to present witnesses and exhibits in support of your case. By the Court, George E. Hoffer, President Judge Date of Order and Notice: 1/7 /04 By: Divorce Master 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 BAR ASSOCIATION 32 SOUTH BEDFORD STREET, CARLISLE, P A 17013 TELEPHONE (717) 249-3166 * TESTIMONY WILL BE LIMITED TO THE REAL ESTATE APPRAISERS. .,~~~ ~~"'.,. -~~ , - ~.~ ~""~~: f11.<.-... - r. FRIEDMAN & KING, P. C. ATTORNEYS KJ: LAW 600 N. SECOND ST. FIFTH FLOOR P.O. Box 984 HARRISBURG. PENNSYLVANIA 17108 {717} 236-8000 TELECOPIER No. (717) 236-8080 friedmanandking@hotmail.com RICHARD S. FRIEDMAN JOHN F. KING December 18, 2003 E. Robert Elicker, Divorce Master Office of the Divorce Master 9 North Hanover Street Carlisle, P A 17013 In re: Slike Dear Mr. Elicker: I would be most appreciative if you would reschedule the hearing for the provision of testimony by the experts which will be presented by both parties relating to the valuation of the marital home. If it is agreeable to you, I would be most appreciative if you would have your secretary contact my office, as well as Ms. Cantor's office, to coordinate the day and time of the hearing. JFK/bp :corresaf\elicker .ltr cc: Tamara Slike Debra Denison Cantor, Esquire ;-! -'oK L."...., . -,^ -~''';~;''~';:?"n::''",1~- ",-'y_ " .' ''C'" ,,__';~;" :,_"""'''''~:I''''>'~' .>:-~. " ,,--~ 'c---'''''''"," ",.,"-' -, . ".-,"- t'"Jtd'J.l"t'1)r-"->)jc~-"" ,-.~." '_~'W'" ~ -I" TAMARAJ. SLIKE : IN THE COURT OF COMMON PLEAS OF : CuMBERLAND COUNTY, PENNSYLVANIA : CNIL ACTION - LAW v. ANDREW E. SLIKE : NO. 01 ,6821 : IN DNORCE ORDER AND NOTICE SETTING HEARING TO: Tamara J. Slike John F. King ,Plaintiff , Counsel for Plaintiff Andrew E. Slike Debra A. Denison Cantor , Defendant , Counsel for Defendant * You are directed to appear for a hearing to take testimony on the outstanding issues in the above captioned divorce proceedings at the Office of the Divorce Master, 9 North Hanover Street, Carlisle, Pennsylvania, on the 2nd day of a.m., at which place December , 2003 at 9:00 and time you will be given the opportunity to present witnesses and exhibits in support of your case. George E. Hoffer, President Judge Date of Order and Notice: 10/1 (;/0, By: Divorce Master 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 BAR ASSOCIATION 32 SOUTH BEDFORD STREET, CARLISLE, P A 17013 TELEPHONE (717) 249-3166 * TESTIMONY WILL BE LIMITED TO THE REAL ESTATE APPRAISERS. :.~"i",. ",' \ _ ".7,,~, ',. ,.,_., _ '-~I - ... ~ -- -'. TAMARAJ. SLIIill, Plaintiff v. ANDREW E. SLIKE, Defendant : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYL VANIA : NO. 2001,6821 : CIVIL ACTION - LAW : DIVORCE INCOME AND EXPENSE STATEMENT OF ANDREW E. SLIKE INCOME Employer: Snack Foods Dist. Inc. Address: P.O. Box 292. Camp Hill. P A 17001-292 Type of Work: Manager Pay Period (weekly, biweekly, etc.): Weekly Gross Pay per Period: Itemized Payroll Deductions Federal Withholding Social Security Local Wage Tax State Income Tax Retirement Savings Bonds Credit Union Life Insurance Health Insurance Other (specify) Child Support Net Pay per Period: '-,,~-, -' '-, ", "''''';_>"_',_;>,,,":_'_ '<0 _ "" ,r., $ 1,000.00 $ $ $ $ 126.84 76.50 10.00 28.00 $ $, 258.66 500 00 "-,"",- - ~ ,:"4-.':_"_0-"'"',,--,,,,_,, <,' .' Other Income: WEEK MONTH YEAR Interest Dividends Pension Annuity Social Security Rents Royalties Expense Account Gifts Unemployment Compo W orkey's Compo Child Support Total 1 1 1 TOTAL INCOME 1 2.166 67 1 Q.OO EXPENSES WEEK MONTH YEAR Home Mortgage/rent $ 1,427.00 Maintenance $ 100.00 Utilities Electric $ 180.00 Gas $ 25.00 Oil 2 :?>.In,_~ -, 'r ,',7..,"" o:---,_:i)~_-".? :;",~_:-:.t,'<"": " """':1" ", . -",' -' ..,--"' '-" .-',- -'-v-',','''' ' rAl,,-,,:&t., 1', ~." ',_' ~--- ~,- EXPENSES WEEK Telephone Water Sewer Employment Public Transportation Lunch Taxes Real Estate Personal Property Income Insurance Homeowners Automobile Life Accident Health Other Automobile Payments Fuel Repairs Medical Doctor Dentist Orthodontist ":.~'" ,-->-, < '__",'C'''',,_n -,.,,", . ..1 . . _,C 3 '-J;,':;,:,''';--'''' MONTH $ 73.00 $ 10.00 $240.00 $ 208.00 $ 28.00 $ 83.00 $ 33.00 $ 100.00 $ 240.00 $ 33.00 YEAR -"," ;C"i<,'"J"']"'C'- EXPENSES WEEK MONTH YEAR Hospital Medicine Special Needs (glasses, braces, orthopedic devices) Education Private School Parochial School College Religious $ 73.00 Personal Clothing $ 200.00 Food $ 350.00 Barber Ihairdresser $ 40.00 Credit Payments $ 200.00 Credit card $ 100.00 Charge Account Memberships Loans Credit Union Miscellaneous $ 4.00 Household help Child care Papers/books $ 4.00 / magazines 4 ""'T".,"""''__''""'".-.- . - ,.,: _-~~','_.'",'Lsf",--~': " C",,,, - :'__ :1:': <~~-, -- ., . --~'." , '-'J!f~~"""~-~'''- ,., ,'~~ ,-'~ -- EXPENSES WEEK MONTH YEAR Entertainment $ 100.00 Pay TV $ 86.00 Vacation $ 83.00 Gifts Legal fees $ 1,000.00 Charitable contributions Other child support $259.00 Alimony payments Other Total Expenses 1 Q.,QQ 1 5.279 00 1 0.00 PROPERTY OWNED DESCRIPTION VALUE OWNERSHIP H W J 5 '-"'1"0 ~_ '. ~_,"r-:~,,~~,o., ,~.""'!'!~ _~"'V;O:""-, " , :-;:-,,-: ;:~I~ , " ' ~ ~ .. '-' , ,~:" -,~ - '---.iif<j('-- "-'_ --""'- __r. '0'_ ...,- COMPANY DATED: q'cJS'~D3 :;f'r~.f}", "-- \J',_",!}"f.'~'!'-'t_,",\'"",-P,:,-,-.,-' ',-",- ~- -~ '",'--<1-':-'--' ,.--- INSURANCE POLICY NO. H COVERAGE W - - -, ;< ,;-',:-). BY: REAGER & ADLER, PC De ra Denison Cantor, Esquire I.D. No. 66378 2331 Market Street Camp Hill, P A 17011 (717) 763-1383 Attorney for Defendant 6 - '~"""'- ' C '~-'~' "" ,. , --", , i""frJ',{M~'JiJ:'c.,~ -' -,,,," --" >C__" .c- u_ ~ Verification I verify that the statements made in this Income and Expense Statement are true and correct to the best of my knowledge, information and belief. I understand that false statements herein are made subject to the penalties of 18 Pa.C.S. ~4904 relating to unsworn falsification to authorities. Date: 0//8-/0 :J c?L c;:~ Andrew E. Slike " 0J,r...< -- "---<-, '-'!-I'- -~~- .r,__'" " __" ,_Il" ",--- -',1"" .-,_"1'-", ,- ,~-- ti p~,:;, .'(.".., ""'.,,,,, ,,~w +'"",' ,e,<w.'''''''.''"'.' ,.. ..,,1, .',y' "'-'- _,lim,,_,. co" ~~ -" ,",-- .",. ,~ "".., ",.'.."" ".' Jilifl'il.n l,n"[lll,f~lr~lr" T ..'( "'"]' "r".n ", ~ s:. ""O~p Of,ro z;o "fuc _,' 1-~.' ~ ..-~ -<- ,^---' ~'c,; ~C) he) ~c ~ CO <-J ~ -0 N t.r ;P' :J:: Si t='" (T'. o ~'f1 ..... ::':':1:2 -r"t1J ';,Qt? ':::.:~t.J ~!~r~ (S.f11 .'-\ E ~ ,," ,,~~_li\#.;~~~/~'1:~~-~Tyg~~~~-,_-_ ;,.,-<__,--_-__',~~i..._~~~,,~~'. ., ::~~i\1 ,'.."-,' ,--~' ~ ~,,~",~ - '" TAMARAJ. SLIKE, Plaintiff : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA v. : NO. 2001,6821 ANDREW E. SLIKE, Defendant : CIVIL ACTION - LAW : DIVORCE INVENTORY OF ANDREW E. SLIKE Defendant files the following inventory of all property owned or possessed by either party at the time this action was commenced and all property transferred within the preceding three years. Defendant verifies that the statements in this inventory are true and correct. Defendant understands that false statements herein are made subject to the penalties of 18 Pa.C.S. ~4904 relating to unsworn falsification to authorities. u..4 Andrew E. Slike - .f:: ~ I .i i ~'-,.'IPn. _~ '- ',,",-, _"'::-"y',~7';~"~",-~:~~,>"",,, '-',--~ - ,~,"~~ :I" -.,.- ,,-. ,~, , "_,.",,,,,,-,,1'-' "'.", . , ASSETS OF PARTmS Defendant marks on the list below those items applicable to the case at bar and itemize the assets on the following pages. 181 1. Real property o 2. Motor vehicles o 3. Stocks, bonds, securities and options o 4. Certificates of deposit o 5. Checking accounts, cash o 6. Savings accounts, money market and savings certificates o 7. Contents of safe deposit box o 8. Trusts o 9. Life insurance policies (indicate face value, cash surrender value and current beneficiaries o 10. Annuities o 11. Gifts o 12. Inheritances o 13. Patents, copyrights, inventions, royalties 181 14. Personal property outside the home o 15. Business (list all owners, including percentage of ownership, and officer/director positions held by a party with company) o 16. Employment termination benefits - severance pay, workers' compensation claim/ award o 17. Profit sharing o 18. Pension plans (indicate employee contribution and date plan vests) o 19. Retirement plans, Individual Retirement Accounts o 20. Disability payments o 21. Litigation claims (matured and unmatures) o 22. Military/VA benefits o 23. Education benefits 181 24. Debts due, including loans, mortgages held 181 25. Household furnishings and personalty (include a total category and attach itemization list if distribution of such assets is in dispute) o 26. Other "'!L, f/.,. _'-~:"1',.,.,?,," ,w-,~t'.''''~~~' ',;:.,:,., ,~_g_"~ _ ' - - :--1'-. , ~ , , ---~,- " "~-;'_ Otr' ' ~o~ '," " -, ~-.~' ~ " MARITAL PROPERTY Defendant lists all marital property in which either both spouses have a legal or equitable interest individually or with any other person as of the date this action was commenced: Item No. Description of Property Names of all Owners I Marital Residence Tamara J. Slike & 110 Wildflower Drive Andrew E. Slike Carlisle, P A 17013 2 Household furnishings and personalty in Tamara J. Slike & possession of Tamara J. Slike outside of Andrew E. Slike marital residence 3 Household furnishings and personalty in Tamara J. Slike & possession of Andrew E. Slike in marital Andrew E. Slike residence NON-MARITAL PROPERTY Defendant lists all property in which a spouse has a legal or equitable interest which is claimed to be excluded from marital property: Item No. Description of Property Reason for Exclusion NONE !,'<,'i!i'i~-:: ,. _. ~d_ "__L+'~,,. ,,' '~,"~-''''1 ' ,-, " -- '-''',:",--,,,. , '.-7C~_' '__ ._~ ,0 :''ji-':Ii'"Y--'-'j''' - "~IlI-'t - ~ ,"I. PROPERTY TRANSFERRED Item No. Description of Property Date of Person to Consideration Transfer Whom Transferred NONE LIABILITffiS Item No, Description of Names of Names of Debtors Property Creditors I First mortgage on Columbia National Tamara J. & Andrew E. marital residence Bank Slike 2 Home equity loan on M&T Bank Tamara J. & Andrew E. marital residence Slike 3 Revolving credit card Sears Gold Tamara J. & Andrew E. Mastercard Slike Respectfully submitted, q~JS..{).3 By: , I ])e,r , ].D "233 Camp A 17011 (717)763-1383 Attorneys for Defendant "'i'I')!\iIi1-~:"~_--:_",,,<___-c_~_;,Y':<:'_~ ,,_~_,: ,_,__~ . , ,-c; -;_ :':i :-",__ -:~F:'_ . --;.,;,r.-, ". . " , ~ ;",,":'-<--"- . '. ~, """""""f,I,!!~'f ~J "';:*-'" ;,"t:i?~'Y~~"1;->h,-;-"~"_,.:~'~~;";<:?:--~';',~,,,~,:: ;:';:;~, rs;oF:~','e:Ij-~",'~ ,,~~ ,f '(-:'~ -; " "",'~'_'-'1'_ Tff"lt',":""l"'( 'f~'h:_\~ff;'jl~r:t~\--: '. <}--," -","~~-'-'i;2-jt'>lt]1l '~:"I(~'1~tn- -""'1':,"1 'J' :'fJ ~ -UQ:i nom L::J:1 211 w...:,. ~6 :< ~Q >Q c z ~ A. -., ,-, (~, Cf) 1"11 " r...Jt {J-. () -n U',-f ~r~ :Ii ~J~M :,,(9 -'-~~~ -633 -:;?-o om ...; :fj -< ~ so t:" Ct. Il_T~ .'.~."."'_.--:-'.',_ H'_~:'-c"T"" ,...,@!,.,.'...n..,.g,!llI. ,...-.l:,~.,,~.,.l!l.<,:-,,~.,:>. >- ~j 1Y: 1. -~,~_,:~,~_, !:i Jr:~~~;:T_"~:~~_,:,~:<: .. ~ IN THE COURT OF CO~10N PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA TA!vlARA J. SLlKE, Plaintiff vs. ANDREW E. SLIKE, NO. 2001 -6821 XXIl9CX Tamara J. Slike a master with respect to the Qcx) Divorce ( ) Annulment ( ) Alimony ( ) Alimony Pendente Lite MOTION FOR APPO INTMENT OF MASTER (Plaintiff) ~ following claims: moves the court to appoint oc,,< ) ( ) ( ) ( ) Distribution of Property Support Counsel Fees Costs and Expenses and in support of the motion states: (1) Discovery is complete as to the claims(s) for which the appointment of a master is requested. (2) The defendant (has) ~ appeared in (by his attorney, Debra Denison Cantor (3) The staturory ground(s) for divorce (is) irretnevable breakdown (4) Delete the inapplicable paragraph(s): QI. the action ~ ,Esquire). ~ ~ ~XJ\XXYlOOOOOO{XXXXJ(X1!1()(Y](1ml{YJSXXX"X~:XXXXXXXXXXXXX:XXXXXXXXX (c) The action is contested with respect to the following claims: Valuation and distribution of marital estate. (5) The action ~ (does not involve) complex issues of law or fact. (6) The hearing is expected to take ~ (hours) ~. (7) Additional information, if any. relevant to the motion: See Attached. Date: q.,-/Ll -tY~ John F. King, Esq. ,Atto ORDER APPOINTING MASTER ~. ANJ? NOW /~ f ,J:9~, [J:? d(//1/-ad~ Esquire, is appoJ.Ilted ma. ter with respect to the following claims: a/ .A-- ,4)J " ~'-~"---~-""~"'- .,~ _.1 "-. ,,"-'"'-.~ ~- r-~ --;- -'"1'1' -, . "'-'''E;-' ~'"'- "=(" .- . '''.-r." ''-' '_'--'" j'...""" - - ~ ',,'~' "-" 'i'" ''-'T'illiti ''';''''-':'- ';L':.:cra"""'-"m:'rl1J~ilr~-i' l'f"Y:;'?'?' --"i!!\i ~ > ~' - i' , ;)--:F~CE ":~:!',:-:'Jr,t\[~Y ',-' " , ,--~. ~F? .f), ~ ,,- I r' r:' j,ht1 HJ: ,)14 CUlvEkiiu'",U ijjUNTY PENNSYLYANI!\ !J'_~"'''. " t,!)IJJ-J.rIf-_~, 7'"~)~'~_ r ~_,.~~J~_!ll!jn~! ",,'._'.. "'_.'>..'"" _" ,;;.""1"'_'c'_, ~1l1i-~~-ll.f!&W,-'i'f.t!<~,-,[+'?!-~!'Ir~;f'W"-~!!;Jl!.t!~~Il!li~~~I~~~r::!' (j"" .~ '.~~' "p." . ,- . 7. There are no retirement plans, vehicles or other marital assets of great value, other than the marital residence. The valuations obtained by both parties through appraisal of the marital residence are widely disparate. It is hoped that if a determination by the Master can be made regarding the value of the marital estate by way of a preliminary hearing, the valuation and distribution of the marital estate will then be able to be resolved between the parties. , ., ",~ 111_ _~.., __ _~ ~ . ~ ~ ~ ..!.\ ~ - .mr ,~-a~ u~1.ij!}~~I,L~""", . , ~" r.~~j~~_ .~ ---'".",.",,-, "'-, ,-" __",,',~"'__""''''l'''''-'''"~"~ '~'. 'TiEr r-" rrr[i T] "' - -l~T_- ~ -iT'f'" o c::: "" ~~ '""Orn rnrT: z-r. zC ~;; !;2C '"3;> .~'-, z.(--':" );."c z ::2 . :.-0 ';'1 -':J (:"~' .-.,. ,..- '::;: ..~ c:, -" ...".-,: C< 1'0'~:;''''1',~_ ,_, _ ,_~",-",_",~,,,,,, .",_!1:~i~.i%\i>;f-n"-,,,"'<:ii"'" -';"j"'~":;';'-'!-;~i'{-:'."'---Wf'4>!~~ji-f9!'f!ii"7'~*r:f'!:<iii';~~l't'i,;WAil"~i~ij~l~,!~'fi!~"lU~f,r~!Jj~ I ff;_~- =, TAMARA J. SLIKE, Plaintiff IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA v. NO. 2001-6821 ANDREW E. SLIKE, Defendant CIVIL ACTION - LAW DIVORCE WITHDRAWAL OF APPEARANCE Please withdraw my appearance on behalf of the Plaintiff, Tamara J. Slike, in the above-captioned matter. Date: ..., - ..J IJ. ,,--z.- ~ 4.---A-- mes M. Bach, Esquire 2 S. Sporting Hill Rd. echanicsburg, PA 17050 (717) 737-2033 ENTRY OF APPEARANCE Please enter my appearance on behalf of the Plaintiff, Date:C}J ~ ~p~ Tamara J. Slike, in the above-capti hn F. King, Esq ire IEDMAN & KIN o N. Second S1:: Penthouse Suite P. O. Box 984 Harrisburg, PA 17108 (717) 236-8000 k/p:divorce\slike.app " " , i ';;';;,'l_.-,:'o~,_~~_ , ~'-_;~-":_'l> ':-,-~7:'-;:~ _,_,- ,. ',> ,~~ , " r-"~' - ' '''' , , .-.' . ""," ",.'" ,Jilt"...". '.', ",."".,,,', 0,'''' ' , ,~- <>: ~~ ~~ ~. "." ,,"' 'v --,-"",,'-".' -"-,~- - - - 'u_ -"'" -"",,'t>-,c,.' r, -'b'" ,"-,j; ,'~-"3jY""';'''li",''cIIIT_i[l'-IYi:'1{'i-{~h'iJWJ;! (") c: :?' -um rtlnt z:o Zr;: ~(i "7 ( .. t~C) Pr"^ '7 :? c:> 1'.0 :po :::: G? 6' '(7/J o -n ~) ~~ .:.tI:; _,_, ~T"' :~~,-~) ," -r, c~!_~~ f5 ~>.~ rn -.....J ......l 'r;-.: :;0 -< (1', '.'-",', "." ..~,~ '" 1/ ,j:I&;,,~.~~~~Wi.J: ""-7~ !jj:~.L,:,:}'?:,,_~,-:,;"'-')':r'~~~~i; {1"'''"" TAMARA J. SLIKE, Plaintiff IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA v. NO. 2001-6821 ANDREW E. SLIKE, Defendant CIVIL ACTION - LAW DIVORCE INVENTORY OF TAMARA J. SLIKE Plaintiff, Tamara J. Slike, files the following inventory of all property owned or possessed by either party at the time this action was commenced and all property transferred within the preceding three years. Plaintiff, Tamara J. Slike, verifies that the statements made in this inventory are true and correct. Plaintiff understands that false statements herein are made subject to the penalties of 18 Pa.C.S. ~ 4904 relating to unsworn falsification to authorities. ~~.-;9 ,4'~ amara J Slike, Plaintiff "'~;~ "--'''''":''_'''>'1"_ 'Ho","'C, ~ :~'-;"""f""'",_,-;:",,,::"r:~ -'~-"'_ ."')"_"_.'?_"""'-_~_'"__"_'_'"''_''_,,._''' ",", ",-,. -_ _~"':",F-__. ""_"__F,;",_~_",,, ,1-,- <l .--~' - " ~--:;;;: "L_ - ~ . -" ASSETS OF THE PARTIES Plaintiff marks on the list below those items applicable to the case at bar and itemizes the assets on the following pages. (X) 1. () 2. () 3. () 4. () 5. () 6. (X) 7. () 8. () 9. , - "" .~, ~ - - -? "-" ~"-'; ,- Real Property Motor vehicles Stocks, bonds, securities and options Certificates of deposit Checking accounts, cash Savings accounts, money market and savings certificates Contents of safe deposit boxes Trusts Life insurance policies (indicate face value, cash surrender value and current beneficiaries) Annuities Gifts Inheritances Patents, copyrights, inventions, royalties Personal property outside the home Business (list all owners, including percentage of ownership, and officer/director positions held by a party with company) Employment termination benefits-severance pay, worker's compensation claim/award Profit sharing plans Pension plans (indicate employee contribution and date) Retirement plans, Individual Retirement Accounts Disability payments Litigation claims (matured and unmatured) Military/V.A. benefits Education benefits Debts due, including loans, mortgages held Household furnishings and personalty (include as a total category and attach itemized list if distribution of assets is in dispute) Other I -~ . "-~ ",< . MARITAL PROPERTY Plaintiff lists all marital property in which either or both spouses have a legal or equitable interest individually or with any other person as of the date this action was commenced: Item Number Description of Property Names of All Owners 1. Marital Residence - 110 Wildflower Drive Carlisle, PA 17013 Tamara J. Slike & Andrew E. Slike 2. Safe Deposit Box No. 194 M & T Bank " 3. Household furnishings and personalty in possession of Tamara J. Slike outside of marital residence " 4. Household furnishings and personalty in possession of Andrew E. Slike in marital residence (see attached itemized list of such assets in dispute) " ':'.'t~;>iiJ!lL... '~__'''~,-'~-,;,__ '" "".",_ C'" ,,'~'_f '.' 'i..'1 , .,< ," ~ . "l'l'.;;idt'" t-l1mit!Jrr" : ie:uhor club reCently reupholst.red with two wooden-legged hassocks 1 roullifTlluLIUlSVlll" e.'1d table with A !,ll"'" insen: tabJclop =d ~ morbi. insert ubi.",? "pine ~ room set with a 128 inch table wim inserts. a hutch, a dry ,ink, 6 side chairs, and:2 aIm chairs i country pine table wirh natural fInish anc. painted le~and. 4 pine chair:l with painted legs a.n Er.b.~ Arten biOdroom Sl,.."t in heavy, dark pine with. qUl:en:-'li~ bed, h~db()aid. matr:re:ss. and bvxsprUi~ a triple dresser with mirror, an armoire, a matching ni!;ht table, and an oval end table 2 teai-c:olon:d enamel ging'" jar lamps 1 wicl:er L--<haped couch with uphol.tered cushion:; om:! a wicker hassock with uphol.stered Cu&llllll 1 ....ic\;e coffee table I o.""vy white woed!:n. white-painted cabinet I heavy" ooden white-painred vanity I wooden uphoIster-.d vanity chair 1 fulHize mattress and boxsprmll and mew frame 2 tXlr;!-long twll:.wSl:nt mnmesses and baxspnng$ liIla.th1ri1~ I pint: bu.n>: bed 2oalche.<agon end tnbles with storage space b<hinJ:I. deor.< I oak coff"" table w,th storage !pace behind doors -0RA/< SAW. Srocc..:s - 4.rriFe ..ifU" c -?..o=.v .00<"" ,,</c,-,?S& k2.:.~""; .., ~ Li= .-5~cyv~? -.c:t--/T oc/rJ ff~~ ~T r .6;Ti:>N'.E "",,':=3;.;1"?'V4& . U/ooo ...::P7"1;<1.:7;z:=4/C_ ~ALrq;S. ~s,cE ~A/~""- 7Z? .&'<i4-?"4oA.. c=k>; 2nd b..ds;>r=ds fordte=rbedroomandblilh -t::1:7r p.?/T ,S~""'Y 4/00<;7 ..::i7?"h</<7~<"- 6~A:;" qu.ilrs h;i.odr:ude by Andrew'. grandmother. ..:...- ../ . queen-,iu sheet s~ts, full-size :illeet sets.md twin-size sheet s.'" zr ~~ .JZ/& =-' .....~ ~oa77Y"""" tnwds. hand toweL.. and washcloths J7ZWfi -6A-s'E '2 qiJI::::o.-sfze do....n corp,forters , - ~ pmo"'=es-i'~ed and h;lnd",mbroidered by his gr:mdmother bd. pillows a!ld thrOw pilloW'5 lb-t:n roma:::J. s.b.r.!.es in e~ch ~cond floor window noe iIlcfud.1ng tb.t: ma.:m:r lxdJb~[.h l.re/;l, b:>ri1boo shaCes in rwe of the dow1l5"..atro bedrooms It. ppll",rn-.r.:\ a SIde by side refri!:~or/fre.."2Cr ~cntly service with new lIlotor installed 2- -cl'U::l.t :freeuN-one may not have bedl warkinij b~ause while my fridlrls were mo"in~ us out the _coils. were jaxred loose from the btoek ofth.li:e= .~ aA2 inch (?) Sony TV with pictm'e in pictUre capabilities "-" "".rique It~vox stereo with phonograph.p~yer, 8-t:nu:k player, and amllin stereo a 5 CD player/<:hanger a =set".e "'>''' player a 35 = =cra and atta<:hme:llo . videa camera with tripod -"-'-~_. ~~ - - -o-~ !S';i--'!S-'?:-:-L t!.. eZ:2! &82ZIEZIE8 Kitchcm OOCld~ a. 4 p~rson place setting of Corelle ware a J 2 person place setting of stoneware a set of CilSt iron paUl and fry pans willi WoOOen !Iandles a set of silverware for 12 and side pieces a barbecue utensil set, grilling trays, and cleaning tools for grill cftSliorole dililles with lids SlltVing utensils glassware and plastic cups ~ popcorn popper an eiectric wok cuttinS boards a Hinlde's 1<nife set with woodtlJl block a pressure cooker 2 canners a cooking kettle with strainer and lids boxes of canning jars, &eIIling lids, and rings hot pads, kitchen towels, and wash clothes M;sceI1Hnl"l0lIS 2 insulated coolers "S !;lilt"" insulatod. wo>ter cooler severa1l-gallon insulated coolers lll1d smaller coolers a portable metal picnic lable with sears beach umbrellas lawn cl1airs wicker blwketS luggage lIlllS sleeping bags extension cords and three-ways Androw's college textbooks office supplies several fumily Catbolic Bibles Ollt!4ide fi'nmitute a gas grill with propane tank two 4x8 foot tables 2 plastic loUDS" chairs 6 mClilI chairs with upholstered cushions 6 single plastic chairs 4 reclining plastic chair.; numerous teJTa-ootta pols nwnerousrumgingpols numerous plastic pots 4 tiki torches and fuel 813/913 3911d lN3W3911NIIW 35110 "'j",'H'",~_" t>' ~__ ",~Jl ,~ "'r~ ~-, E:181>- !69-L 1L 13~:B! EBB~/8~/EB Hunr1n9 (Year a 30 011: ritle a 22 rifle a shOlgWl 2 piSlOIs-gauges?--a 38 and a 22? a 9mm """,..mom.tio pi'lol 2 compound bows-one metal and one wooden handled both with quivers and arrows with broadheads and blunt tips finger tip gloves lIIId wrist p~LOrs Insulated huntin~ !;Iear a long bow 2 tree ~tands 2 BB guns ~~A~Qnal Things 1 artificial 7 toot ChristmllS tree mullJplc ~trlnSO of mlnlntLU'O white Chrioln>as ligblo 4 artificial Cbristmll$ wreathes hundreds offoet of artificial gocland 4 smaller artificial ChrislmaS trees pine cones CbristmllS ol1llUllents both purchased and handmade by his family several antique sleds that my grandmother gave me sledding saucers Il>.cls. jumper cables; a reversible leafblower with bag attachment; a simplicity lawn tractor with hydraulic lift and snow plow; 11 wag"" to """,,h (0 the trllCtOr; a band'pushod snow btower; an adjustabl~ metal ladder/scaffold; numerous water hoses, nozzles, sprinklers, lIIId a hose reel; reed and metal push brooms; a row boat; a metal o"tension ladder; steol tool boxes; heavy duty extension cOlds and reels; philip screwdrivers; standard screwdrivers; c1awhead hammers; axes; mallets; rubber hammers; sockelll8lS: adjuslabbo wrench..; vise grips;,netal sqUlll'l!:S; nail punches; m~ta1 files; hex key sets; wire strippers; hacksaws; tree saws; extended tree saws; offset and flat style ratCb.et sets: drive tool ~lS; needlenose pliers; slip joint pliers; lonll nOse pliers: linesman piers; wide jaw pliers; diagonal pliers; arc joint plim; wedge and pry bars; alignment reols; cll1lers and cable shears; circuit detecrer SIllS; SlUd finders; pipe wreoches; acetylene retches; \lOldering selS; caulkillg guns; come..a,longs; numerous chains; tape IDellSUles; pictur~ frame wrenches; assorted lengths of levels; plwns; bobbs; tin snips; aviation snips; staple gllQ; llttIalJ proj<'C1 or table vise; wood carving selS; hand saws; rniterbox; c-clllmps; parallel bar c1lllllPs, butfllt; disc SlllId.".; drill press; band saw; table saw; circular saws; circular saw gull1e; scroll saw; reclpra<;ating saw; jisoaw; belt tiander; palm sanders; band planers; jolntr:ts; rotary grinder and grinding points; wood and metal lr~iles; cordless drill; bits; snake ligl1ts; work lights; Sllwzall; crow bars; diging koWl; cool shovel<; din shovels; leaf rakes; garden rakes; lawn spreader; hand held vac; wood lathe; router; wllll papering tools; paint brushes; rollers extended bandlcs for rollers; paint Itay'; nippers; 10n&-luu>dIed nippers; .pmyel'; extension ladder; step ladder; 2 hand carts; 80./LO 3C)\1d '"!,l?'tTf , "to. -'~~'_". "_" lN3W39\1N\1W 35\1::J E 18!7-r59-L H oG:or EOOG/8G/EO ~~~-~ ~ " ,~ . . NON-MARITAL PROPERTY plaintiff lists all property in which a spouse has a legal or equitable interest which is claimed to be excluded from marital property: Item Number Description of Property Reason for Exclusion NONE .:-t.,} , d. , 'N.,y",:,""::.,\'" "~~~" "/",,,~n,-~: '.~' ~ ,.,. -, 1",::-. ~" .~' ,~-,-- T"r[~'~ ..~...". Item Number 1. , i Description of Propertv PROPERTY TRANSFERRED Date of Transfer 1989 Sun Star 4/03 Garden Tractor with attachments ":---(f~,__-,. ;" '0 '" -_._" _0.',' '",,,,-".7' ,,",~",_-__~_.. -. "', __ ::',;', ~[,:,-_ Consider- ation $1,200.00 "~ Person to Whom Transferred Walter's Tractor Serv . (transferred by Andrew E. Slike) ." )F'--"'~-~~- '^ ~ , ,::'1 ,;: " 'i ':j :,.! !<,'j i;-'! i:':'Me", Item Number 1. 2 . 3. LIABILITIES Description of Property First mortgage on marital residence Home equity loan on marital residence Revolving credit card k/p:divorce\slike.inv '--',:~.;,'~'::'''',''>O'~_'f',-" - -- '.' "~_.;~ "". :':1 ;.', - "-".~ '.,', Names of All Creditors Columbia National Bank M & T Bank Sears Gold MasterCard .. ~c --",'"',.,."';,, Names of All Debtors Tamara J. & Andrew E. Slike " " ~ u, """",---'<",~,--.~ ~'..-",,""''''-''';- ~;.2fu~">~t;;.~rr'"' lf1ilr"jf>>J~-"f"i-[~~'9;yr (') f~ c~ -r, '7..1. C. ~- - <, ~'} , -.:<. ~-,., .. I". , . , :.:; -".--': 2.0 -< ",," "',~,.." ~_. '. , _..... .....,_.-..-..,.............11I........,1...1........!.....I....lt...,..~'.-- .-~ '._.'........'.-..--~.....'.'......!f-......r.__:.-.----...----;.-......-:~.---,- :..-~- ,-- '-'."':- ."-'-~'..'......' ~.~.....'.'..."......"- --",_).-!!_.!.-~.-~:"-. ..."--~..-}i.)...,.:~ ,.",p..-... .'r..... ."co-....~y,.r."...'".7'_.r.."_....r......_.... .'. <,.,-........._ ..... ....cP;, . .,[ . REAGER & ADLER, PC ATTORNEYS AND COUNSELORS AT LAW 2331 MARKET STREET CAMP Hill, PENNSYLVANIA 170114642 717,763-1383 . TElEFAX 717,730-7366 WEBSITE: ReagerAdlerPC.com THEODORE A. ADLER + DAVID W. REAGER CHARLES E. ZALESKI LINUS E. FENIClE DEBRA DENISON CANTOR THOMAS O. WilLIAMS SUSAN H. CONFAIR JOANNE HARRISON CLOUGH SUSAN J. SMITH + Certified Civil Trial Specialist Writer's E-Mail Address:ddenison@epix.net November 4, 2003 Robert Elicker, Divorce Master Office ofthe Divorce Master 9 North Hanover Street Carlisle, P A 17013 RE: Slike v, Slike Our File No,: 01-1076 Dear Mr. Elicker, This letter confirms that the Master's hearing previously scheduled for December 2,2003, at 9:00 a.m. has been moved to December 2, 2003, at 1:00 p.m. Your attention is appreciated. D n Cantor DDC/drb cc: John King, Esq. John Troup Andrew Slike ;~:, "")-: '"'-~-c",}:,~~-~r0; -rtf=\~t/_,_ ,-.,-=--; ~_'I_ ._O"'''__'''_~,__~._~-~_ '""",' . ,. ~-," ~,--- "--,, - ---i-f1-. .;4..:.<<../.:......-._. ":',1" l' r" ~ . - ~ . - - FRIEDMAN & KING, P. C. ATTORNEYS AT LAW 600 N. SECOND ST. FIFTH FLOOR P.o. Box 984 HARRISBURG. PENNSYLVANIA 17108 (717) 236-8000 TELECOPIER No. (717) 238-BOBO friedmanandking@hotmail.com RICHARD S. FRIEDMAN JOHN F. KINO November 5, 2003 E. Robert Elicker, Divorce Master Office of the Divorce Master 9 North Hanover Street Carlisle, P A 17013 In re: Slike Dear Mr. Elicker: This will confirm that you have been kind enough to reschedule the Master's hearing which is scheduled for December 2, 2003 at 9:00 a.m. to the new time of December 2, 2003 at 1 :00 p.m. I have spoken to Attorney Cantor, who represents Mr. Slike, and she has also graciously agreed to this change. JFK/bp :corresaf\elicker.ltr cc: Tamara Slike Debra Denison Cantor, Esquire Victor Piro :~'~1l"~ ~ ~.. " "'__,,""''''','7',,;< ).". ,..,_,<,,>':",., '_~_""'''" '.' '--'_;,~-::'I<:J ,', '.f: '" ,"- . 0 .- REAGER & ADLER, PC ATTORNEYS AND COUNSELORS AT LAW 2331 MARKET STREET CAMP Hill, PENNSYLVANIA 17011,4642 717,763,1383 TElEFAX 717,730,7366 WEBSITE: ReagerAdlerPC.com THEODORE A. ADLER + DAVID W. REAGER CHARLES E. ZALESKI LINUS E. FENIClE DEBRA DENISON CANTOR THOMAS O. WilLIAMS SUSAN H. CONFAIR JOANNE HARRISON CLOUGH SUSAN J. SMITH + Certified Civil Trial Specialist Writer's E-Mail Address:ddenison@epix.net March 18, 2004 VIA FACSIMILE Robert Elicker, Divorce Master Office of the Divorce Master 9 North Hanover Street Carlisle, P A 17013 RE: Slike v. Slike Docket No,: 2001-6821 OUf File No.: 01-1076 Dear Mr. Elicker, As you know, I represent Andy Slike in the above-captioned matter, which is scheduled for a hearing on real estate appraisals only on March 23, 2004. Since our last meeting, Attorney King had the home reappraised by Greg Rothman. Unfortunately, time constraints permitted Mr. King to deliver the appraisals to my office on March 16, 2004. However, due to my schedule, I did not receive it until March 17, 2004 when I returned to the office. 1 immediately placed a call to Mr. King as well as Ms. Grady regarding an opportunity for Ms. Grady to update her appraisals as well as review the contents ofMr. Rothman's appraisal. I have yet to hear from her. Because of the short time line and the fact that I will be out of the office for the majority of today and tomorrow, I am not in a position to be prepared for our hearing next week. It is my understanding that this matter may be rescheduled as early as May. I would ask that this matter be continued.to give me an opportunity to respond to the appraisal. Your attention is appreciated. Very truly ours, Deb DDC/drb Cc: John King Andrew Slike :-] )~"-"',J""~<_ "m _ _ -~~7:>:'~,;,_."_-.;c,._,,,~':(':':':h_-"~~~,c ;"'j~'C,~_:,C3 \" <'I1'i"":'_'_1-~_,~._ . e-, "f",- ".1"-' ,Tf' "r'.""-- ',",;-,"7 ,',,"_O'"~~.~~'_ ,_ ~...'_ "'_~,.' ~ 03/18/2004 11:14 FAX~730 7366 ... REAGER & ADLER ~002 ./ REAGER & ADLER, PC ATTORNEYS AND COUNSELORS AT LAW 2331 MARKET STREET CAMP HilL. PENNSYLVANIA 17011<1642 717-763-1383 TeLEFAX 717-730-7366 WEBSITE: ReagerAdlerPC.com THeODORE A. ADLER + DAVID W. REAGER CHARLES E. ZALESKI LINUS E. FENIClE DEBRA DENISON CANTOR THOMAS O. WilLIAMS SUSAN H. CONFAIR JOANNE HARRISON CLOUGH SUSAN J. SMITH + Certified Civil r,ial Sllecieli6l Wliter'J;@-MallAddre5&: dclenleon@apix.nel March 18, 2004 VIA FACSIMILE Robert Elicker, Divorce Master Office of the Divorce Master 9 North Hanover Street Carlisle, PA 17013 RE; SlIke v. Slike Docltet No,; 2001-6821 Our File No,: 01-1076 Dear Mr. Elicker, As you mow, I represent Andy Stike in the above,captioned matter, which is scheduled fOT a hearing on real estate appraisals only on March 23, 2004. Since our last meeting, Attorney King had the home reappraised by Greg Rothman. Unfortunately, time constraints permitted Mr. King to deliver the appraisals to my office on March 16, 2004. However, due to my schedule, I did not receive it until March 17, 2004 when I returned to the offiCe. I immediately placed a call to Mr. King as well as Ms. Grady regarding an opportunity for Ms. Grady to update her appraisals as well as review the contents of Mr. Rothman's appraisal. 1 have yet to hear from her. Because of the short time line and the fact that I will be out ofthe office for the majority of today and tomorrow, I am not in a position to be prepared for our hearing next week. It is my understanding that this matter may be rescheduled as early as May. I would ask that this matter be continued to give me an opportunity to respond to the appraisal. Your attention is appreciated. Very truly ours, DDC/drb Cc: John King Andrew Stike , -"FF~,11,", '+~" ',' , -" ,,"=. .~"". ~.~~ .~'1lWil , ,,p~.~" .. .. HP LaserJ et 3330 HP LASERJET 3330 Mar,]8,2004 ]0:00 r Fax Call Report Job Date Time Type 286 3/l8/2004 ]0:00:]8 Receive ..@ ., " ':-' " .\:.,.; '"._:'e. , " n v e n t "#;~.j;Trf".. -~ .,.,". Identification Duration Pages 717 730 7366 0:29 2 _ QJ/I~4..!!.il.'!FM..l.lI,TJa,366 l2iaal REAGE"R'A.ULeR REAGER & ADLER, PC ATTORNEYS AND COUNSELORS AT LAW 2331IAARKETS'fRIiET CAW'HILL,PEi'/NSYLVAIlIA17011_Z 717.7~.13e3 TEI.EFAlC711-13D-7:JBS WEBSITE:lksge,AdIarl'C.com THEODOREA.AOLER+ OAVIDW.F\~AGER CI"ARI.ESE.ZALUI<l lINUSE.~ENIClE OeBRAOENISONCANTOR THOMI\S O. WILLIAMS 5USANH.C<lNF',\IR JOANNeHAARISONCLOlI'~H 5USANJ.SWIH FACSIMILE COVER SHEET FlOm: ..- To: E. Robert Elicker, Esqvire Debra Denison Cantor Date: ..- FflxNo.: (717j 240-7890 Mareb18,201l4 Same to Follow by Mall: ye.r Pagsrs) to Fo/low: 1 '- Message: RE: SlIke v. Slike DockcINo.:2001-6821 Please call Daria at (717) 76J-138J ifth==is iIl1ypTOblcin in transmission. Th.;nf."".,i.no..u.illOllinthl'l.lorlO.imile~UIl"minodby""nomt}'< Itl.p<i_Ue,edOlldoonfiden'lol,int""d<:<lonlyf.r'h.II...,f'!u: iodMduol.r.nlitynomod.oo.... lfih....d"of1hi.mo&5I&.i.nollh.i.'...d<d'.oipiml,)<III....h...byllMincdt....""Ydi...ltli..~on, dlstrlbution.r ..pyins .rthi. ,ommuni<auon i. SlriOlly ",.hlbl1cd. !flh., c....nIIllIicotion buS been recoi_cd m error, pl..'. lmll"di.~'ly Mlify .. byl.1""ha.....n.OIifn,c...IIJ)'...d,.lumlho0ri8.inalme'..l't..'..lh..bovoaMrossvl.lh.U.S,POII.1S....k.(wowiU'.iml"'f$Opostog.) n.nkyOlI ~I ~" - ~, Result OK ~,'~ . -,. . ~~ "'~ " -~ _ ~8/2004 11: 14 FAX 717.730 7366 " REA GER & AD LER @001 , REAGER & ADLER, PC ATTORNEYS AND COUNSELORS AT LAW 2331 MARKET STREET CAMP Hill, PENNSYLVANIA 170114642 717-763,1383 TElEFAX 717-730-7366 WEBSITE: ReagerAdlerPC.com THEODORE A. ADLER + DAVID W. REAGER CHARLES E. ZA~ESKI LINUS E. ~EN1ClE DeBRA DENISON CANTOR THOMAS O. WILLIP,MS SUSAN H, CONFI\IR JOANNE HARRISON CLOl1,,:H SUSANJ. SMITH FACSIMILE COVER SHEET . To: E. Robert Elicker, Esquire From: Debra Denison Cantor . FaJ( No.: Date: (717) 240-7890 March 18, 2004 Same to Follow by Mail; yes Pagers) to Follow; 1 - . Message: RE: Slike v, Slike Docket No.: 2001-6821 Please call Daria at (717) 763-13 83 ifthere is 1lI1Y problem in transmission. The lnformation contained in this telcfacsimile Is transmitted by an anomey. It is ptivileged and confidential, intended only for the use ;lfthc individual or entity named above. If the reader of this message is not the inlr;nded I'ecipicnt, you ate hereby Dotified that any dissel.l1inatl on, dis'Q'ibution or copying of this communication is strictly prohibited. Ifth16 communication hilS been received in error, please inuncdiab:ly notify us by telephone, collect ifneccss/:lry, and return the original message to us llt the above add,ess via die U,S. Postal Service (we win reimtllll'se postilge), Thank you. ;:f,:1Ul".. <~. .,' -~ -~-, r ., . - ., "'" '" . ,..-.~ . ~ . '-<, ".~." ~ J IFile No. 23022111 Paqe #11 RE/MAX Realty Professionals, Inc Linda S. Grady 4775 Linglestown Road Harrisburg, PA 17112 Friedman & King, P.C. 600 N. Second Street, 5th Floor Harrisburg, PA 17108 Borrower: FileNo.: 110 Wildflower Drive Carlisle, PA 17013-9040 Client: Slike 2302211 Re: Property: In accordance with your request, I have appraised the above referenced property. The report of that appraisal is attached. The purpose of this appraisal is to estimate the market value of the property described in this appraisal report. as improved, in unencumbered fee simple tille of ownership. This report is based on a physical analysis of the site and improvements. a locational analysis of the neighborhood and city, and an economic analysis of the market for properties such as the subject. The appraisal was developed and the report was prepared in accordance with the Uniform Standards of Professional Appraisal Practice. The value conclusions reported are as of the effective date stated in the body of the report and contingent upon the certiflcation and limiting conditions attached. It has been a pleasure to assist you. Please do not hesitate to contact me if I can be of additional service to you. Sincerely, df~ c;/~ Linda S. Grady Rl 001837L (717) 939-7534 I\PR () 7 7.GU3 ~ ~...---_.-_...--- .......... ."'1 :'rW'*W;;i~'li!'4-H';;i6I1'\ " _. _ v" 1114-,,=7 - t !File No. 23022111 Paoe #21 FROM: INVOICE REIMAX Realty Professionals, Inc Linda S. Grady 4775 Linglestown Road Harrisburg. PA 17112 TelephoneNumber: (717) 939-7534 Fax Number: (717) 939-7535 TO: DebraDenison Cantor, Esquire Reager & Adler, P.C. 2331 Market Street Camp Hill, PA 17011 Internal Order 0: lender Case #: Client File 0: Main FileOon form: 2302211 2302211 Telephone Number: Alternate Number: Fax Number. E-Mail: Other File 0 on form: Slike Federal Tax 10: Employer 10: Lender: Reager & Adler. P.C. PurchaserlBorrower: Client: Silke Property Address: 110 Wildflower Drive City: Carlisle County: Cumberland Legal Description: Record Book 34Q i Page 354 Client Reager & Adler, P.C. Stale: PA Zip: 17013,9040 SUBTOTAL 150.00 SUBTOTAL TOTAL DUE $ ,0.00 150.00 Form NW5 - "TOTAL lor Windows" appraisal software by a la mode, Inc, -l,800-ALAMODE Linda S. Grady (717)939,7534 . ".~ APPRAISAL OF REAL PROPERTY LOCATED AT: 110 Wildflower Drive Record Book 34Q / Page 354 Carlisle, PA 17013-9040 FOR: Friedman & King, P.C. 600 N. Second Street, 5th Floor, Harrisburg, PA 17108 AS OF: . 03/13/03 BY: Linda S. Grady Linda S. Grady (717)939-7534 Fonn GA2 - 'TOTAL for Windows" appraisal software by a la mode, inc. -1-800-ALAMODE Irlle 1\10. ,!,jU.!L I 11 ,ClUI: 'ft'.:Jl ~-~ -"~","'W!'$i""n~,~,!1' ~>~.<, SUMMARY OF SALIENT FEATURES Subject Address 110 Wildflower Drive Legal Description Record Book 34Q 1 Page 354 City Carlisle County Cumberland State PA Zip Code 17013-9040 Census Tract 0118.03 Map Reference 21-04-0371-061 Sale Pnce Date of Sale $ NIA NIA Borrower I Client Lender Client Slike Friedman & King, P.C. Size (Square Feet) 3,202 Pnce per Square Foot $ 102.44 Location Rural/ Avg Age 13 Years Condition Good Total Rooms 6 Bedrooms Baths 1.5 Appraiser Date of Appraised Value Linda S. Grady 03/13103 Rnal Estimate Of Vaiue $ 326,000 Form SSD - "TOTAL tor Windows" appraisal software by a la mode, inc. -1-800-ALAMODE -"" ~""'~''''rF - W~ ~" - - IFile No. 23022111 Paoe #41 Linda S. Grady (717)939-7534 IFile No. 23022111 Paoe #51 Slike t s..m~~rtretr!raiSa' Hepor UNIFORM RESIDENTIAL APPRAISAL REPORT FileNo. 2302211 p;.rl ton e PrOlll\l\V Address 110 Wildflower Drive Citv Carlisle State PA Zio Code 17013-9040 LeQaI Descrlntion Record Book 34Q I Paoe 354 Countv Cumberland Assessor's Parcel No. See Tax Identification Number Tax Vear 2003 R.E. Taxes $ 2 855.24 Soecl~ Assessments $ 0.00 ':Borrower Client Slike Current Owner Slike Occuoant I5<J Owner n Tenant I" \ Vacant ';Pronertv rinhts annralsed I~ Fee SimDle I I LeasehDld ProiectTvne I I PUD I I Condominium IHUDNA onlv) HOA $ N/A IMo. ,Neinhborhood or Proiect Name Middlesex Townshio Man Reference 21-04-0371-061 Census Tract 0118.03 Sale Pnce it. N/A Date of Sale NIA Oes.nntlon and ~ amount of loan charnes/concesslons to be oaid bv seller N/A Lender/Client Friedman & Kina. P.C. Address 600 N. Second Street 5th Floor Harrisburo. PA 17108 raiser Linda S. Gradv Address 4775 Lin(lestown Road Harrisburo. PA 17112 . Location W Urban IJ Suburban 1:8:1 Rural Predominant Slni!lle family hOUSIW' Present land use % Land use change DOver 75% 1:8:1 25-75% o Under 25% occupancy PRI AG One family 60 1:8:1 Notlikeiy o Likely Built up $(000) (yrs) Growth rate o Rapid 1:8:1 Stable o Slow 1:8:1 Owner 120 Low 5 2-4 family o In process 'Property values 0 Increasing 1:8:1 Stable 0 Declining o Tenant 200 Hinh 75 Multi-family To: Demand/supply .~ ~hortage . ~ In balance R Over supply 1:8:1 Vacant (O-5%~ ~redominan~ ~ommercial 'Marketinn time. Under 3 mos. I 3-6 mos. Over 6 mos. n Vac.lover 5%) 120-200 5-75 Vacant 40 'Note: RaCB and the racial composition of the neighborhood are not appraisal factors. Neighborhood boundaries and characteristics: To the North is Route 850 to the South is Route 944 to the East is Deans Gap Road to the West is Route 34. Factors that affect the marketability of the properties In the neighborhood (pro~mlty to employment and amenities, employment stability, appeal to market, etc.): The subiect is located in Middlesex TownshiD. Cumberland Countv. Tvoical nelDhborhood makeuD is detached sMe homes similar in desion aDDearance and appeal. Emplovment for the area is rated as oood. All Dublic amenities are within a short commutino distance from the . subiect. No adverse effects were noted durinQ the subiect and neiohborhood insneotion. Market conditions in the subject neighborhood (including support for the above conclusions related to the trend of property values, demand/supply, and marketing time .. such as data on competitive properties for sale In the neighborhood, descnption of the prevalence of sales and financing concessions, etc.): ,General market conditions at the time of this report are considered averaoe for this time of vear. There are various types of conventional and !.oDvernmentalloan oroorams available from transactions. Marketino time for reasonable oriced properties is Qenerallv 0 - 3 months. Demand andsuoolv aDDear in balance for existino and new build oroDerties. Project Information for PUOs (If applicabie) - - Is the developer/bulider in control of the Home Owners' Association (HOA)? UVes ONo Approximate totai number of units in the subject project Appro~mate total number of units for sale in the subject project Descnbe common elements and recreational facilities: Dimensions See Attached Leoal Desoription Topography Mountain Silearea 12.21 Acres Comer Lot 0 Ves tzl No Size Adeauate for Area Specific zoning classitication and descnption Residential Shape Mostlv RectanQular Zoning compliance 1:8:1 Legal 0 Legel nonconforming (Grandfathered use) 0 Illegal o No zoning Drainage Appears Adeouate . best & best use as inmroved: ~ Present use n Other use remiain\ View TVDical for Area . Utilities Public Other Off-site Improvements Type Public Pnvate Landscaping TVDicalfor Area Electricity 1:8:1 Street Asphalt 1:8:1 0 Dnveway Surtace ASDhalt Gas 0 Curb/gutter None 0 0 Apparent easements Tvpical Utilitv Water DWell Sidewalk None 0 0 FEMA Special Flood Hazard Area OVes 1:8:1 No , Sanilar)' sewer R SeDtic Streetlights None 0 R FEMA Zone C Map Date 06/15/81 Stonn sewer None AIIev No il FEMA Man No. 4203630010B Comments (apparent adverse easements, encroachments, speciaiassessments, slide areas, illegal or legal nonconforming zoning use, etc.): See Attached .General Addendum. There were no aDoarent adverse easements soecial assessments or encroachments noted durino the insoection of the :subiect propertv. . GENERAL OESCRIPTION EXTERIOR DESCRIPTION FOUNOATION BASEMENT INSULATION No. of Unils 1 Foundation Conc. Block Siab 0% Area Sq, Ft. 3202 Roof 0 No. ot Stories 1 Exterior Walls Stone Vinvl Crawi Space 0% % Finished 100% Ceiling Unk 1:8:1 Type (DetJAtt.) Detached Roof Surtace FiberQlass Basement 100% Ceiling Drvwall Walis Unk 1:8:1 Design (Style) Ranch Gutiers& Dwnspts. Aluminum Sump Pump No Walls Drvwall Floor Unk 1:8:1 Existing/Proposed Existina Window Type WdWindOut Dampness None Noted Floor Carpet None 0 Age (Yrs.) 13 Years Storm/Screens Therrnooanes Settlement None Noted Outside Entry Yes UnkOOW" 0 Effective Aoe Nrs.) 4 - 6 Manufactured House No Infestation None Noted , ROOMs Fover Livino Dinino Kitchen Den Familv Rm. Rec.Rm. Bedrooms # Baths Laundrv Other Area So. Ft. 'Basement 1 4 1 Storaoe 3202 "LeveI1 x 1 1 1 1 1 1 1.5 Room DininoAre 3202 Level 2 Finished area above orade contains: 6 Rooms' 1 Bedroom!s): 1.5 Bath's)' 3 202 Souare Feet of Gross Livino Area 'INTERIOR Materials/Condition HEATING KITCHEN EQUIP. ATTIC AMENITIES CAR STORAGE: Floors Cmt Vvl Wd I Good Type Hvdro Refngerator 1:8:1 None 0 Flreplace(s) # 1:8:1 None 0 Walls Drvwalll Good Fuel Kinetix RangejOven 1:8:1 Stairs 0 Patio 0 Garage # of cars Trim/Finish 3" Woad I Goad Condilion Adea. Disposal 1:8:1 Drop Stair 0 Deck 1:8:1 Attached 3 Car . Bath Floor Vinvll Good COOliNG Dishwasher 1:8:1 Scuttle 1:8:1 Porch 0 Detached . Bath Wainscot Fiberolass I Good Central Yes Fan/Hood 0 Floor 0 Fence 0 Built-in Doors Hollowcore f Good Other NIA Microwave 0 Heated R Pool R Carport Condilion Adeo. Washer/Drver Fl Finished Drivewav Asphalt Additional features (special energy efficient items, etG.): Jacuzzi Built in Cabinets Chair Rail and Crown Moldino In Dinino Room Recessed Liahtlno Condition of the Improvements, depreciation (physical, functional, and extemal), rapalrs needed, quality of construction, remodeling/additions, etc.: There was no functional obsolesence noted durlnothe insoection. The roof is In averaoe condition and no sions ofleakinQ in the interior. The ohvsical deterioration is tvpical of the effective aoe of the subiect. . Mverse environmental conditions (such as, but not limited to, hazardous wastes, to~c substances, etc.) present in the improvements, on the site or In the immediate ~cinity of the subject property.: There were no adverse environmental conditions noted durino the subieot Dr~oertv and neiohborhood InSDection. PAGE10F2 Fannie Mae Form 1004 6/93 Freddie Mac Form 70 6/93 Form UA2 - "TOTAL tor Windows" .appraisal softwere by a la mode, inc. - 1-800-ALAMODE .1"""11.,",""'1!"*"~<S;r!""~~~~1I"~~"""" " IFile No. 23022111 paae #61 Slike UNIFORM RESIDENTIAL APPRAISAL REPORT FileNo. 2302211 ~ ~ ~ _ $ 80 000 Comments on Cost Approach (such as, source of cast estimate, sile value, square foot calculation and for HUD, VA and FmHA, the estimated remaining economic life of the property): See attached buildin area addendum for measurements. The Marshall & Swift Valuation Service was used in determination of the Cast A roachTo Value. The a e of the sub'eel creates deficiencies in the indicated value shown in the Cost A roach To Value. = 126.415 74,959 40,240 17 ,298 258.912 = 19.48 - ..............= $ Functional External =$ .. =$ .. -$ COMPARABLE NO. 1 1115 Jerusalem Road Mechanicsbur 7.29 miles Rural/ Av Fee Sim Ie 12.21 Acres T icalfor Area Ranch / Av Stone Vin 1/ Av 13 Years Good Totai : Bdnns: 6 : 1 : Data Bank Listin ent DESCRIPTION Cash. No Help 14DOM U=9/02 S=11/02 Rural/ Sim Fee Sim Ie 6.25 Acres T icalfor Area Ranch / Sim Vin I/Sim 5 Years Good Total: Bdrrns: Baths : 6 : 3 : 1.5 ' 1792 S .Ft.: Unfinished 100%/0% Avera e Heat Pum Therm anes 1 Car A1tached Porch None None Ran e & Oven + - $ Ad'usl. o o o o o +11900 o o o o o o o +38100 +50,000 o o +5 000 o +3 000 o +3 000 o o 111000 17269 241 643 8500 330,143 COMPARABLE NO.2 454 Warm Springs Road Landisbu 11.52 miles COMPARABLE NO. 3 327 Timber Ridge Road Ma sville 4.66 miles 215 000 134.3.8 rj:J Data Bank Listin A ent DESCRIPTION Other. No Heip 16 DOM U=9/02 S-11/02 Rurall Sim Fee Sim Ie 10.03 Acres T icalfor Area 2Sto /Sim Cedar / Sim 25 Years Good Total: d S' 6 : 3 : + -$Ad'ust. o o o o o +4 000 o o o o o o -1,000 +43 300 +10,000 +50 000 o +5 000 +5 000 +3 000 o +2 000 o o 121300 82.69 rj:J Data Bank Listin A ent OESCRIPTION Conv. No Help 44 DOM U=4/02 S=6/02 Rural/ Sim Fee Sim Ie 7.29 Acres T icalfor Area Ranch / Sim Stone Vin IISim 14 Years Good Total: Bdrms: Baths 7 : 3 : 2.5 : 2600S.t.: Unfinished 100%/0% Avera e OFWA / None Storm Units 2 Car Attached Patio Fire lace None R&O DW + +-$Adust, o o o o o +9 800 o o o o o o -1,500 +16300 +50,000 o o +10000 +5 000 +1500 o +2 000 o o 93100 336 300 308 100 The Sub'ect is 'ualit built with materials and ualit of materials and workmanshi as the GLA. ITEM SUBJECT COMPARABLE NO.1 COMPARABLE NO.2 COMPARABLE NO.3 'Date, Pnce and Data No transfer No transfer No transfer No transfer ,SllUlce, for prior sales . in the last in the last in the last in the last ~. . in ear of raisal 36 months. 12 months. 12 months. 12 months. !Analysisof any current agreement of sale, option. or listing of SUbject property and analysis of any prior sales of subject and comparables within one year of the date of appraisal: There were no known a reements of sales or 0 tions attached to the sub'ect ro e other than rovided for in this a raisal r or!. ,INDICATED VALUE BY SALES COMPARISON APPROACH ....~~...___.. ............~.. 328000 INDICATED VALUE BV INCOME A PROACH. II A Iicable Estimated Market Rent NI o. x Gross Rent , Is appraisal Is made "as Is' subject to the repairs, alterations, inspections or condfiions listed below subject to completion per plans & specllications. ,CondffiOl1s of Appraisal: No re airs re uired See General Addendum with items noted. This a raisal is not valid without all of the attached ~,addenda. Final Reconciliation: The Sales Com arison A roach to Value enerall indicates the best value for the sub' ect ro r!. The Cast A roach to ,value hel s to su or! the Market Value in this situation. The Income A roach was considered but is not a ro riate for this a raisal. The purpose of this appraisal is to estimate the market value of the real property that is the subject of this report, based on the above conditions and the certification, contingent and limiting conditions, and market value definfiion that are stated in the atiached Freddie Mac Form 439/FNMA form 1004B (Revised 6/93 ). I (WE)ESTIMATE THE MARKET VALUE, AS DEFINED, OF THE REAL PROPERTY THATlS THE SUBJECT OFTHIS REPORT, AS OF 03/13/03 !(WHICH IS HE DATE PECTlON AND THE EFFECTIVE DATE OFTHIS REPORT)TO BE $ 328,000 'ApPRA r SUPERVISORV APPRAISER (ONL V IF REQUIRED): ,. alUre Sianature ~ ~ ~ ; Re ort I ed 04/03/03 Date e rt S net! S@leCertiflcation# RL 001837 L State PA State Certllication # iDr State Lice se # State Or State License # Frerlme Mac Form 70 6/93 PAGE 2 OF 2 Form UA2 - "TOTAL for Windows" appraisal software by a la mode, inc. -1-600-ALAMODE ''\\~V~,"l/IYi'.1W,',\\~~~~).;Il\I!l!r;Jlll ~ ~~f'! , ~, ,~, ?"~. o Did 0 Did Not inspect Property State State Fannie Mae Fonn 1004 6.93 UNIFORM RESIDENTIAL APPRAISAL REPORT MARKET DATA ANALYSIS Fee Si Ie RurallAv Fee Sim Ie 12.21 Acres T Icalfor Area Ranoh I Av Stone Vin II Av 13 Years Good Totel: Bdnns: 6 : 1 : 108.83 tP Data Bank listin A ent DESCRIPTION Other. No Help 106DOM U=5102 S=7/02 Rural I Sim Fee Sim e 11.55 Aores T leal for Area Slit level I Sim Brick Vin II Sim 33 Years Good Tatel:B s: Baths 6 : 3 : 2 : 2343S .ft.: None 75%/0% Avera e ERAO I WallUnit Storm Units 2 Car Attached Patio, Porch Fire lace None R&O Micro DW + - $ Ad'ust. o o o o o o o o o o o o -1,000 +23200 +50,000 o o +15 000 +5 000 +1500 o +2 000 o o 95 700 350 700 95.24 Data Bank listln A ent OESCRIPTlON Other. No Help 138 DOM U=5/02 S=7/02 Rural I Sim Fee Sim Ie 12.40 Acres T ieal for Area 2Sto ISim Brick I Sim 10 Years Good Tot : Bdrms: Baths : 8 : 4 : 2.5 : 2730S.ft.: Rec Room 100%/50% Avera e Heat Pum Thermo anes 2 Car Attached Patio Fire lace Fenced Yard Ran e& Oven + -$Ad st. o o o o o o o o o o o o -1,500 +12700 +50,000 o o +5 000 o +1500 o +2 000 o o 69 700 329 700 No transfer in the iast IFile No. 23022111 Pace #71 COMPARABLE NO. 6 2401 Little Buffalo Road Ne or! 12.53 miles 89.00' Data Bank Listin A ent DESCRIPTION Conv. No Help 14DOM U=12102 S=2/03 Rural I Sim Fee Sim Ie 8.48 Acres T iealfor Area 2 Sto I Sim Vin II Sim 2 Years Good Total. :Bdrms: Baths 7 : 4 : 3.5 : 3000 .ft.: Unfinished 100%/0% Avera e Heat Pum Thermo anes 3+ Car Attached Deok,Patio,Poroh :, Fire lace Fenced Yard R&O DW 334 600 No transfer in the last 12 months, , WAil of the Sales used were to best'ustif value. Some Sales were most similar to Sub'eel b . There is a recorded easement for e ress and a ress and a road maintenance a reement which allows an ossible arms len th sale. Market Date Analysis 6-93 Form. UA2.(AC) - "TOTAL for Windows' appraisal software by a ie mode, inc. -1-BOO-ALAMODE '--'*,1""W[""l!''l<~'1W:" ~'l,= ~~~~.,"~. .~ - IFile No. 23022111 PaQe #81 UNIFORM RESIDENTIAL APPRAISAL REPORT MARKET DATA ANALYSIS Rural! Av Fee Sim Ie 12.21 Acres Tical for Area Ranch I Av Stone Vin II Av 13 Years Good Total : Bdrms: B s 6 ; 1 ~ 1.5 3202S .Ft. RecRm4BRBath 100%/50% Avera e H droklnetix Thermo anes 3 Car Attached Deck 3 Fire lace None R 0 WDis 64.35 <P Data Bank Listin A ent DESCRIPTION Conv. No Help 19DOM U=11/02 S=1/03 Rural I Slm Fee Sim Ie 35.30Acres T icalfor Area 2Sto ISim Stone Vin II Slm 11 Years Good Total : Bdrms: Baths : 8 \ 3 " 2.5 ~ 4180 S .Ft.: Unfinished 100%/0% Avera e OHTWTR I Cent Thermo anes 2 Car Detached Patio Fire lace None R&O DW Micro Market Data Analysis 6-93 + -$Ad'ust. o o o o o -46 200 o o o o o o -1,500 -26 400 +50,000 o o +5 000 o +1500 o +2 000 o o 15600 253 400 COMPARABLE NO. 9 RD 1, Box 314 B New Bloomfield 9,28 mile.s 116.00 Data Bank Listin ent DESCRIPTION Conv. No Help 12DOM U=10/02 S=12102 : Rural I Slm Fee Sim Ie 15 Acres Tical for Area 2 Stor I Slm Lo ISim 7 Years Good Total : Bdrms: Baths: 6 : 3 : 2.5 : 2500S.t.: Unfinished 100%/0% Avera e OFWA I Cent Air Thermo anes 3+ Car Detached Deck Fire lace one R&O DW Micro + 91.18 Data Bank Listin A ent " + - $ Ad us!. DESCRIPTION o Conv. No Help o 83 DOM o U=1/02 S-3/02 o Rural I Slm o Fee Sim Ie -5 600 42 Acres o T Icalfor Area o 2.5 Sto I Sim o Vin I/sim o 6 Years o Goad o Total :Bdrms: Baths: -1,500 B' 4 " 3.5 : +19000 3400S .Ft.: +50,000 Unfinished o 100%/0% o Avera e +5 000 Heat Pum o Thermo anes o 2 Car Detached o Porch, Patio +2000 Fire lace o In Grnd Pool o R&O DW 66 900 358 900 300 600 No transfer in the last No transfer in the last 12 months. Fonn UA2.(AC) - "TOTAL for Windows" appraisal software by a la mode, inc. -1-800-ALAMODE ,-".~~_~_""'.~"_":3"""~"'''''''''''''''~-''1!'f~",,;;-_~" - [File No. 23022111 Paae #91 UNIFORM RESIDENTIAL APPRAISAL REPORT MARKET DATA ANALYSIS 62.45cP Data Bank Listin A ent DESCRIPTION Other. No Help 1DOM U-6/02 S=8/02 Rural'Sim Fee Sim Ie 6.28 Acres T icalfor Area 2Sto ISlm TR111Frme/Sim 20 Years Goad TotellBdrms: Baths " 9 : 5 : 3 ' 5300S.ft.1 Unfinished 100% I 0% Avera e OFWA I Cent Air Storm Units 3+ Car Attached Deck Fire lace In Ground Pool R&O DW Dis + MarketData Analysis 6-93 + -$AdJust. o o o o o +11900 o o o o o o -2,500 -56 600 +50,000 o o +5 000 +5 000 o o +2 000 o o 14800 345 800 98.57 Data Bank Listin ent DESCRIPT10N Conv. No Help 109 DOM U-11/02 S=1/03 Rural I Sim Fee Sim Ie 30.98 Acres T icalfor Area 2.5 Sto 'Slm Frame Stone/SI 45 Yrs Est Good TotallBdrmsl 8aths 9 : 5 : 2.5 : 3500 S .Ft. I Unfinished 100%/0% Avera e Heat Pum storm Units 1 Car Attached Deck, Porch 2 Fire lace None R&O DW Micro + DESCRIPTION + -$A' st. + -$A st. o o o o o -37 500 o o o o o o -1,500 -8000 +50,000 o o +5 000 +5 000 +3000 o +1000 o o 17 000 Total : Bdnnsl Baths I S . Ft. I o 362 000 No transfer In the last Fonn UA2.(AC) - "TOTAL for Windows" appraisal software by a la mode, inc. -1-BOO.ALAMODE ~J,'.'!\i!"~tg'.~l'-"'! "f"!"('i')f~~~~"":'~""""""W,l!l,_~_l'JiIIJ;!.r"""'c, ~ .........,. ~. ~ - IFile No. 23022111 Paoe #101 Borrower Client: Slike File No. 2302211 pronertv Address 110 Wildflower Drive 7in Code 17013-9040 C\1v Carlisle Counlv Cumberland State PA ender Friedman & Kina. P.C. APPRAISAL AND REPORT IDENTIFICATION This appraisal conforms to lIDll of the following definitions: o Complete Appraisal (The act or process 01 estimating value, or an apinian 01 value, performed without invaking the Departure Rule,) 1:8:1 Limited Appraisal (The act or process of estimating value, or an opinion of value, performed under and resulting from invoking the Departure Rule.) This report is one. of the following types: o Self Contained (A wrltten repart prepared under Standards Rule 2-2(a) af a Camplete ar Limtted Appraisal perfarmed under STANDARD 1.) o Summary (A written report prepared under Standards Rule 2-2(b) of a Complete or Limtted Appraisal performed under STANDARD 1.) IZI Restricted' (A written report prepared under S1andards flule 2-2(c) of a Complete or llmtted Appraisal perfarmed under STANDARD 1 for client use only.) Comments on Standards Rule 2-3 I celllfy 1tlat, to the best 01 my knowledge and beliet: . The statements 01 fact contained in this re\lOrl are true and correct. . The reported analyses, opinions, and conclusions are Iimtted only by 1tle reported assumptions and limiting conditions, and are my personal, Impartial, and unbiased professional anaiyses, opinions and conclusions. . I haYS no (or the specified) present or prospsctive interest in the property that is the subject of this report, and. no (or the specliied) personal interest with respect to the parties invoWed. . I have no bias with respect to the property that is the subJect of this report or 1tle parties Involved with 1tlis assignment . My engagement in this assignment was not contingent upon developing or reporting predetermined resutts. . My compensation lor completirig this assignmeDt is not contingent upon the development or reporting ot a predetennined value or direction in value that favors the cause of 1tle client, the amount of the value opinion, the atialnment of a stipUlated resutt, or the occurrence of a subsequent event dlrect~ related to the intended use of this appraisal. . My analyses, opinions aDd conclusions were developed and 1tlls report has been prepared, in conformity with 1tle Unfform Standards of Professional Appraisal Practice. . I have (or have not) made a personal inspection of the property that is the SUbject of this report, . No one provided significant real property appr~sal assistance to the person Signing this certification. (If there are exceptions, tlie name of each Individual providing slgntticant real property appraisal assistance must be stated.) Comments on Appraisal and Report Identification Note any departures from Standards Rules 1-2,1-3,1-4, plus any USPAP-related issues requiring disclosure: The Cost Aooroach to Value and Income Aooroach were considered but are not annrooriate for this annralsal. In the Cost Annt'oach to Value the aoe of a structure and the estimated adiustments create deficienties in teh indicated value. The lack of aood verifiable income data for the subiect residential market area makes the Inoome Annroach to Vaiue unreliable. APPRAISER: ~.JCf~ 06/30/03 SUPERVISORY APPRAISER (only if required): Signature, Name: Date Signed: State Certilication #: or State License #: State: Expiration Date of Certification or License: o Did. 0 Did Not Inspect Property Linda S, Grady (717)939-7534 Form 103 - "TOTAL for Windows' appraisal software by a la mode, inc. -1-800-AlAMODE ,- '-'''4",'1'''"''''~ffl;.~J,~.~ .~"""",,~__~.,..~l;;lf~_, , , IFile No. 23022111 Paoe #111 DEFINITION OF MARKET VALUE: The most probable price which a property should bring in a competitive and open market under all condttions requisite to a fair sale, the buyer and seller, each acting prudently, kn.owledgeably and assuming the price is not affected by undue stimulus. Implicit in this definition is the consummation of a sale as of a specified date and the passing of title tram seller to buyer under conditions whereby: (1) buyer and seller are typicallY motivated; (2) both parties are well informed or well advised, and each actin9 in what he considers his own best interest; (3) a reasonable time is allowed for exposure in the open market; (4) payment is made in terms of cash in U.s.. dollars or in terms of financial arrangements c.omparable thereto; and (5) the price represents the normal consideration for the property sold unaffected by special or creative financing or saies concessions' granted by anyone associated with the sale. 'Adjustments to the comparables must be made for special or creative finanoing or sales concessions. No adjustments are necessary for those casts whioh are normally paid by sellers as a result of tradition or law in a market area; these costs are readily identifiable since the seller pays these costs in virtually all sales transactions. Special or creative financing adjustments can be made to the comparable property by comparisons to financing terms offered by a third party institutional lender that is not already involved in the property or transaction. Any adjustment should not be calculated on a mechanical dollar for dollar cost of the financing or concession but the dollar amount of any adjustment should approximate the market's reaction 10 the financin9 or ooncessions based on the appraise(s judgement. STATEMENT OF LIMITING CONDITIONS AND APPRAISER'S CERTIFICATION CONTINGENT AND LIMITING CONDITIONS: The appraise(s certification that appears in the appraisal report is subject to the following conditions: 1. The appraiser will not be responsible for matters of a le9al nature that affect either the property being appraised or the title to it. The appraiser assumes that the title is good and marketable and, therefore, will not render any opinions about the title. The property is appraiSed on the basis of it being under responsible. ownerShip. 2. The appraiser has provided a sketch in the appraisal report to show approximate dimensions of the improvements and the sketch is included only to assist the reader of the report in visualizing the property and understanding the appraiser's determination of Its size. 3. The appraiser has examined the available flood maps that are provided by the. Federal Emergency Management Agency (or ather <;lata sources) and has noted in the appraisal report whether the subject site is located in an identified Special Flood Hazard Area. Because the appraiser is not a surveyor, he or she makes no 9uarantees, express or implied, regarding this determinati.on. 4. The appraiser will not give testimony or appear in court because he or she made an appraisal of the property in questi.on, unless specific arrangements to do sa have been made beforehand. 5. The appraiser has estimated the value of the land in the cost approach at its highest and best use and the improvements at their contributory value. These separate valuations of the land and improvements must not be used in conjuncti.on with any other appraisal and are invalid if they are so used. 6. The appraiser has noted in the appraisal report any adverse conditions (such as, needed repairs, depreciation, the presence of hazardous wastes, toxic substances, etc.) observed durin9 the inspection of the subject property .or that he or she became aware of during the normal research involved In performing the appraisal Unless .otherwise stated in the appraisal report, the appraiser has no knowledge of any hidden or unapparent conditions of the property or adverse environmental conditions (including the presence of hazardous wastes, toxic substances, etc.) that would make the property more or less valuable, and has assumed that there are no such conditions and makes no guarantees or warranties, express or implied, regarding the condition of the property. The appraiser will not be responsible for any such conditions that d.o exist or for any engineering or testing that might be required to disoover whether such cpnditions exist. Because the appraiser is not an expert in the field of environmental hazards, the appraisal report must not be considered as an environmental assessment of the property. 7. The appraiser obtained the information, estimates, and opinions that were expressed in the appraisal report from sources that he or she considers to be reliable and believes them to be true and correct. The appraiser does not assume responsibility for the accuracy of such items that were furnished by o1her parties. 8. The appraiser will not disclose the contents of the appraisal report except as provided for in the Uniform Standards of Professional Appraisai Practice. 9, The appraiser has based his or her appraisal report and valuation conclusion for an appraisal that is subject to satisfactory completion, repairs, or alterations an the assumpti.on that completion of the improvements will be performed in a workmanlike manner. 10. The appraiser must provide his or her prior written consent before the lender/client specified in the appraisal report can distribute the appraisal report (including conclusions about the' property value, the appraise(s identity and professional desi9nations, and references to any professional appraisal .organizations or the firm with which the appraiser is associated) to anyone ather than the borrower; the mortgagee or its successors and assigns; the mortgage insurer; consultants; professional appraisal organizations; any state .or federally approved financial institution; or any department, agency, or instrumentality of the United States or any state or the District of Columbia; except that the lender/client may distribute the property description section of the report only to data coliection or reporting service(s) without having to obtain the appraise(s prior written consent. The appraiser's written consent and approval must also be obtained before the appraisal can be conveyed by anyone to the public through advertising, pUblic relations, news, sales, or other media. Freddie Mac Form 439 6-93 Page 1 of 2 Fannie Mae Form 10048 6-93 Linda S. Grady (717)939-7534 Form ACR DEFD - "TOTAL for Windows" appraisal software by a la mode, inc. -1-800-ALAMODE ;."'1~-l"";l">~1!lll " ,,~_ ,"_^r_~iQ!!iI!IFIl~,,,,,," ~ . ~-- IFile No. 23022111 Paoe #121 APPltAISER'S CERTIFICATION: The appraiser certifies and agrees that 1. I have researched the subject market area and have selected a minimum of three recent sales of properties most similar and proximate to the subject properly for conslderalion in the sales comparison analysis and have made a dollar adjustment when appropriate to reflect the market reaction to those items of significant variation. If a significant item in a comparable property is superior to, or more favorable than, the SUbject property, I have made a negative adjustment to reduce the adjusted sales price of the comparable and, if a significant item in a comparable properly is inferior to, or less favorable than the subject properly, I have made a positive adjustment to increase the adjusted sales price of the comparable. 2. I have taken into consideration the factors that have an impact an value in my development of the estimate of market value in the appraisal report. I have not knowingly withheld any significant information !rom the appraisal report and I believe, to the best of my knowledge, that all statements and information in the appraisal report are true and correct. 3. I stated in the appraisal report only my own personal, unbiased, and professional analysis, opinions, and conclusions, which are subject only to the contingent and limiting conditions specified in this form. 4. I have no present or prospective interest in the property that is the subject to this report, and I have no present or prospeotive personal Interest or bias with respect to the participants in the transaction. I did not base, either partially or completely, my analysis and/or the estimate of market value in the appraisal report on the race, color, religion, sex, handicap, familial status, or national origin of either the prospeotive owners or occupants of the subject property or of the present owners or occupants of the properties in the vicinity of the subject property. 5. I have no present or contemplated future interest in the SUbject property, and neither my current or future empioyment nor my compensation far performing this appraisal is contingent on the appraised value of the property. 6. I was not required to report a predetermined value or direction in value that favors the cause of the client or any related party, the amount of the value estimate, the attainment of a specifiC result, or the oocurrence of a subsequent event in order to receive my compensation and/or employment for performing the appraisal. I did not base the appraisal report an a requested minimum valuation, a speCific valuation, or the need to approve a specific mortgage loan. 7. I performed this appraisal in conformity with the Uniform Standards of Professional Appraisal Practice that were adopted and promUlgated by the Appraisal Standards Board of The Appraisal Foundation and that were in place as of the effeotive date of this appraisal, with the exception of the departure proviSion of those Standards, which does not apply. I acknowledge that an estimate of a . reasonable time for exposure in the open market is a condition in the definition of market value and the estimate I developed is consistent with the marketing time noted in the neighborhood section of this report, unless I have otherwise stated in the reconciliation section, 8. I have personally inspected the interior and exterior areas of the SUbject property and the exterior of all properties listed as comparables in the appraisal report. I further certify that I have noted any apparent or known adverse conditions in the SUbject improvements, on the subject site, or an any site within the immediate vicinity of the subject property of which I am aware and have made adjustments for these adverse conditions in my analysis of the properly value to the extent that I had market evidence to support them. I have also commented about the effect of the adverse conditions on the marketability of the SUbject properly. 9. I personally prepared all conclusions and opinions about the real estate that were set forth in the appraisal report. If I relied on significant professional assistance from any individual or individuals in the performance of the appraisal or the preparation of the appraisal report, I have named suoh indivldual(s) and disclosed the specific tasks performed by them in the reconoiliation seotion of this appraisal report. I certify that any individual so named is qualified to perform the tasks. I have not authorized anyone to make a change \0 any item in the report; therefore, if an unauthorized change is made to the appraisal report, I will take no responsibility for it. SUPERVISORY APPRAISER'S CERTIFICATION: If a supervisory appraiser signed the appraisal report, he or she certifies and agrees that I directly supervise the appraiser who prepared the appraisal report, have reviewed the appraisal report, agree with the statements and conclusions of the appraiser, agree to be bound by the appraiser's certifications numbered 4 through 7 above, and am taking full responsibility for the appraisal and the appraisal report. ADDRESS OF PROPERTY APPRAISED: A~PRAI ER: / Si re: J..JX1~ N , ind S. Gredy / Date Signed, 04/03103 Slate Certilication #: RL 001837 L or Stalii License #: Slate:PA Expiration Date 01 Certillcation or License, 06130/03 110 Wildflower Drive. Carlisle, PA 17013-9040 SUPERVISORY APPRAISER (only If required): Signature: Name: Date Signed: State Certification #, or State License #, State: Expiration Date of Certification or License: OOid o Did Not Inspect Property Freddie Mac Form 439 6.93 Page 2 of 2 Fannie Mae Form 1004B 6-93 Form ACR DEFD - "TOTAL for Windows' appraisal software by a la mode, inc. -1-800-ALAMODE .,,~-*",e,,"",))%fRkjV~_J_~1j:l ,"~o"".fl ~",_""_ "~ ~~Ii!II$r"""'""'~ - . IFile No. 23022111 Paoe #131 MULTI-PURPOSE SUPPLEMENTAL ADDENDUM FOR FEDERALLY RELATED TRANSACTIONS Borrower/Client Client Slike Property Address 110 Wildflower Drive Citv Carlisle County Cumberland Stete PA Zip Code 17013-9040 Lender Friedman & Kino. P.C. Linda S. Grady (717)939-7534 this Multi-Purpose Supplementel Addendum for Federally Reiated Transactions was designed to provide the appraiser wilh a convenient way to comply with the current appraisal stendards and requirements of the Federal Deposit Insurance Corporation (FDIC), the Office of the Comptroller of Currency (OCC), The Office of Thrift Supervision (OTS), the Resolution Trust Corporation (RTC), and the Federal Reserve. This Multi-Purpose Supplemental Addendum is for use with any appraisal. Only those statements which have been checked by the appraiser apply to the property being appraised. 1:8:1 PURPOSE & FUNCTIO" OF APPRAISAL The purpose of the appraisal is to estimate the market value of the SUbject property as detined herein. The tunction 01 the appraisal is to assist the above-named Lender in evaluating the subject property for lending purposes. This is a Federally related transaction. !;g] EXTENT OF APPRAISAL PROCESS 1:8:1 The appraisai is based on the infonnation gathered by the appraiser from public records, other identified sources, inspection of the subject property and neighborhood, and selection of comparable sales within the subject market area. The original source of the com parables is shown In the Data Source section 01 the market grid along with the sourca of contkma~on, il avallabie. Tile otiginal sourca is presented lirst. The saurces and data are considered reliable. When connicting information was proVided, the source deemed most reliable has been used. Date believed to be unreliable was not Included in the report nor used as a basis far the value conclusion. !;g] The Reproduction Cost Is based on Marshall & Swift supplemented by the appraiser's knowledge of the lacal marl<et. 1:8:1 Physical depreciation Is based on the estimated effective age of the subject property. Functional and/or external depreciation, II present, is specifically addressed in the appraisai report or other addenda. in es~mating the site value, the appraiser has relied on personal knowledge 01 the iocal market. This knowledge is based on prior and/or current analysis of site sales and/or abstraction of site values from sales of improved properties. 1:8:1 The subject property is located in an area of prtmarily owner -occupied single family residences and the Income Approach is not considered to be meaning1ul. For this reason, the Income Approach was not used. o The Estimated Market Rent and Gross Rent Multiplier utilized in the Income Approach are based on the appraiser's knowledge of the subject market area. The renfal knowledge Is based on prior and/or current rental rate surveys of rasidential properties. The Gross Rent Multiplier is based on prtor and/or current analysis of pnces and market rates tor resldentiai properties. 0 For income producing properties, actual rents, vacancies and expenses have been reported and analyzed. They have been used to project future rents, vacancies and expenses. 1:8:1 SUBJECT PROPERTY OFFERING INFORMATION According to owner the subject property: 1:8:1 . has not Qeen otiered for sale in the past 1:8:1 30 days o tyear o 3 years. o Is currently offered for sale for $ o was otiered for sale within the past: o 30 days Otyear o 3years for $ o Oflenng information was considered in the final reconciliation of value. [8J . Offenng infonnation was not considered In the final reconciliation of value. o Oflertng information was not available. The reasons for unavailability and the steps taken by the appraiser are expiained later in fhis addendum. 1SI.' SALES HISTORY OF SUBJECT PROPERTY ., According to public record the subject property: 1:8:1, has not transferred In the past twelve months. o has not transferred In the past thirty-six months. o )has transferred in the past twelve months. o has transferred in the past thirty-six months. o ,All pnor sales which have occurred In the past twelve months are listed below and reconciled to the appraised value, either in the body of the report or ,in the addenda. : Qate Sales Price DoCqmBnt # Seller Buyer 1:8:1 FEMA FLOOD HAZARD DATA 1:8:1 Subject property is not located in a FEMA Special Fiood Hazard Area. 0 Subject property ~ In a FEMA Special Rood Hazard Area. Zone FEMA Map/Panel # Map Dale Hame of Community C 4203630010B 06/15/61 Middlesex Township o The community does not participate in the National Rood Insurance Program. 1:8:1 The community does participate in the National Flood Insurance Program. 1:8:1 tt is covered by a reQllIar program. o It is covered by an emergency program. Page 1 of 2 Fonn MPA2 - "TOTAL for Windows" appraisal software by a Ia mode, inc. -t-800-ALAMODE ; 7O-^",,,,,-"_""';;;"-',R'~"'l\""~~~.,,,..,h.~~~.. V!l!1I1l ~J'! "', _ ,. &l~I"i"l'l!ilmL,~~,_. IFile No. 23022111 Paoe #141 \Zl CURRENT SALES CONTRACT 1:8:1 The subject property is currently not under contract. o The contract and/or esCrow instructions were not available for review. The unavailability of the contract is explained later in the addenda section. 0 The contract and/or escrow instructions were reviewed. The following summarizes fhe contract Contract Date Amendment Date Contract Pric. Seller o The contract indicated that personal property was not Included in the saie. o The contract indicated that personal property was inclu~ed. iI consisted of Estimated contributory value Is $ o Personal property was not Included In the final value estimate. o Personal property was Included in the final value estimate. o The contract indicated .no financing concessions or other Incentives. o The contract indicated the following concessions or incentives: o If concessions or incentives e~st, the comparables were checked for similar concessions and appropnate adjustments wera made, If applicable, so that the final value conclusion is in compliance wilh the Market Value defined herein. 1:8:1 MARKET OVERVIEW Include en explsnatlon of current market condlllone and trends. 0-3 months is considered a reasonabie marketing penod for the subject property based on current market conditions 1:8:1 ADDITIONAL CERTIFICATION . The Appraiser certifies and agrees that (1) The analyses, opinions and conclusions were developed, and this report was prepared, in conformity with the Uniform Standards of Professional Appraisal Practice ("USPAP"), except that the Departure Provision of the USPAP does not apply. (2) Their campensation is net contingent upon the reparting at prerletermined value or direction In value that tavors the cause at the client. the amount of the value estimate, the atteinmenf at a stipulated result. or the occurrence of a subsequent event. (3) This appraisal assignment was not based on a requested minimum valuation, a specific valuation, or the approval of a loan. [8] ADDITIONAL (ENVII!:ONMENTAL) LIMITING CONDITIOMS . The value estimated Is based on the assumption that the property Is not negatively affected by the e~stence of hazardous substances or detrimental environmental condilions unless othelWise stated in this report. The appraiser is not an expert in the identification of hazardous substances or detrimental environmental condilions. The appraiser's routine Inspection of and inquines about the subject property did not develop any intonnation that indicated any apparent significant hazardous substances or detrimentai environmental condilions which would affect the property negatively unless othelWise stated in this report. It is possible that tests and inspections made by a qualilied hazardous substance and environmental expert would reveal the existence of ,hazardous substances or detrlmentel environmental conditions on or around the property that would negatively affect its value. 0 ADDITIONAL COMMENTS 1:8:1 APPRAISER'S SIGNATURE" LICENSE/CERTIFICATION ( ~ oIJ1a4 I\ppraiser's Sig r Effsctive Date 03/13103 Date Prepared 04/03103 Appraiser's N (print) Unda S. Gradv "7 Phone # 1717 ) 939-7534 State PA o License 1:8:1 Certificatio/?# RL 0018371 Tax iD # 0 CO-SIGNING APPRAISER'S CERTIFICATION 0 'fhe co-signing appraiser has personally inspected the subject property, both inside and out. and has made an extenor inspection of all comparable sales listed in the report. The report was prepared by the appraiser under direct supervision of the co-signing appraiser. The CO-Signing appraiser accepfs responsibility for the contents of the report inciuding the value conclusions and the limiling conditions, and confirms that the certifications apply fully to the co-signing appraiser. o The co-signing appraiser has not personally inspected the Interior of the SUbject property and, o has not inspected the extenor of the subject property and all comparable sales listed in the report. o has inspected theeJderior of the subject property and all. comparable sales listed in the report. o The report was prepared by the appraiser under direct superviSion of the co-signing appraiser. The co-signing appraiser accepts responsibility for the contents of the repart, inciuding the value conclusions and the limiting conditions, and confirms tha1 the certifications apply fully to the co-signing appraiser with the exception of the certification regarding physical inspections. The above describes the levei of Inspection pertorrned by the co-signing appraiser. 0 The co-signing appraiser's level of inspection, involvement in the appraisal process and certification are covered elsewhere In the addenda section of this appraisal. . 0 CO-SIGNING APPRAISER'S SIGNATURE" LICENSE/CERTIFICATION Co-Signing Appraiser's Signature Effective Date Date Prepared Co-Signing Appraiser's Name (print) Phone # ( ) State o License o Certification # Tax iD # Page 2 of 2 Form MPA2 - "TOTAL for Windows' appraisal software by a ia mode, inc. -1-aOO-ALAMODE -^."\":0'n""'i;f"."",""',,_~ '-"'~"'. ~ ". 111-.3.. ~''"'"W5!:i''"'I=__ ~, 'f" 21 _~_ IFile No. 23022111 Paae #151 ENVIRONMENTAL ADDENDUM APPARENT* HAZARDOUS SUBSTANCES AND/OR DETRIMENTAL ENVIRONMENTAL CONDITIONS Borrower/Client Client: Slike Address 110 Wildflower Drive CityCarUsle County Cumberland State PA Zip code 17013-904 Lender Friedman & Kin P.C. *App.amnlls deflned as that which Is visible, obvious, evident or manilestto the appraiser. This universal Environmental Addendum is for use with any real estate appraisal. Only the statements which have been checked by the appraiser apply to the ro e beln a raised. This addendum reports the results of the appraiser's routine inspection of and inquiries about the subject property and Its surrounding area. Ii also states what assumptions were made about the existence (or nonexistence) of any hazardous substances and/or detrimental en~ronmentel conditions, The appraiser Is not an axperlenvlronmenlal In.clor and therelore might be unaware of existing hazardous substances and/or detrbnental environmental conditions which may have a negative effect on \lie safety and value of the property. Ii Is possible that tests and inspections made by a qualified environmental inspector would reveal the existence of hazardous matenals and/or detrimental environmental conditions on or around the property that would negatively affect Its safety and value. _Dnn~ng Water Is supplied to the subject from a municipal water suppiy which is considered safe. However the oniy way to be absolutely certain that the water meets published standards Is to have it tested at ali discharge points. _Drln~ng Water is supplied by a well or other non-municipal source. It is recommended that tests be made to be certain that the property is supplied with adequate pure water. 1L-Lead can get Into drinking waterlrom Its source, the pipes, at a1i discharflll points, plumbing fixtures and/or appliances. The only way to be certain that water does not contain an unacceptable lead level is to have it tested at ali discharge points. 1L- The value estimated in this appralssl is based on the assumption thst there is an adequste supply of safe, lesd-free Drinking Weter. Comments _SanitalY Waste is removed from the property by a municipal sewer system, _Sanitary Waste is disposed of by a septic system or other sanliary on slie waste disposai system. The only way to determine that the disposal system is adequate and In good wor~ng condition is to have Ii inspected by a qualified inspector. 1L-The value estlmeted In this appraisal Is based on the assumption thstthe Sanitary Waste Is disposed of by e municipal sower or an adequate properly permitted alternate treatment system in good condition. Comments 1L-There are no appamnI signs of Soil Contaminants on or near the subject property (except as reported in Comments below). It is possible that research, inspection and testing by a qualified environmentel inspector would reveal existing and/or potential hazardous substances and/or detrimental environmental conditions on or around the property that would negativeiy affect its safety and value. 1L- The value estimated In this sppraisalls based on the assumption that the subject property Is free 01 Soil Contaminants. Comments _All or part of the improvements were constructed before 1979 when Asbestos was a common building material. The only way to be certain that the property is free of fnabie and non-friable Asbestos is to have it inspected and tested by a qualliled asbestos Inspector. _The improvements were constructed after 1979. No ~ fnable Asbestos was observed (except as reported In Comments below). 1L- The value estimated In this appraisslls based on the assumption that there Is no uncontslned ~iable Asbestos or other hazardous Asbestoa material on the property. Comments 2L-There were no appamnIlea~ng fluorescent light ballasts, capacitors or transfonners anywhere on or nearby the property (except as reported In Comments below). 2L-There was no appamnI visible or documented evidence known to the appraiser of soil or groundwater contamination from PCBs anywhere on the property (except as reported in Comments below). 2L- The value estimated In this sppralsells based on the assumption thst there are no uncontalned PCBs on or nesrby the property. Comments L-The appraiser is not aware of any Radon fests made on the subject property within the past 12 months (except as reported in Comments below). 2L-The appraiser is not aware of any indication that the local wafer supplies have been found to have elevated levels of Radon or Radium. 2L-The appraiser Is not aware of any nearby properties (except as reparted In Comments below) that Were or currently are used for urallium, thorium or radium extraction or phosphate processing. L- The value estimeted In this appralsslls based on the assumption that the Radon level Is at or below EPA recommended levels. Comments Linda S. Grady (717)939-7534 Fonn 69F - "TOTAL for Windows' appraisal software by a la mode, inc. - 1-800-ALAMODE --""",;1~-O';'e"''Il~~~_ "r "" ?- ~. -1"ll'J,- IFile No. 23022111 Paoe #161 L-There is no ~ visible or documented evidence known to the appraiser of any USTs on the property nor any known histoncal use of the property that would likeiy have had USTs. L-There are no ~ petroleum storage and/or delivery facilities (including gasoline stations or chemical manufacturing plants) located an adjacent properties (except as reported in Comments below). _There are ~ signs of USTs e~sting now or in the past on the subject property. It is recommended that an inspection by a qualified UST Inspector be obtained to determine the location of any USTs together with their condition and proper registration i1they are active; and i1they are inactive, to detennine whether they were deactivated in accordance with sound industry practices. L-The valueestlmsted in this l!Ppralsslls based on the assumption that any functioning USTs are not leaking and sre properly registered and thst any abandoned USTs are 1ree1rom contamInatIon and were properly drained, tilled and sealed, Comments L-There are no ~ Hazardous Wasle Sites an the subject property or nearby ti1e subject property (except as reported in Comments below). Hazardous Waste Site search by a trained enVironmental engineer may determine that there is one or more Hazardous Waste Sites on or in the area of the subject property. L-The value estimated In this appraisal is based on the assumption that there are no Hazardous Weste Sites on or nearby the subject propertythst negatively afteot the value or sately of the property. Comments _All or part of the improvements were constructed before 1982 when UREA foam insulation was a common building material. The only way to be certain thatlhe property is free of UREA formaldehyde is to have it Inspected by a qualified UREA formaldehyde inspector. _The improvements were constructed after 1982. No ~ UREA fonnaldehyde matenals were observed (except as reported in Comments below). L- The vslueesllmated In this l!Ppraisalls based on the assumption that there Is no signUicant UFFllnsulation or otller UReA formaldehyde material on tile property. Comments _Allar part of the Improvements were constructedbefora 1980 when Lead Paint was a common building matetial. There is no ~ visibie or known documented evidence of peeling or flaking Lead Paint on the floors, walls or ceilings (except as reported in Comments below). The only way to be certain that the property is free of surlace or subsurlace Lead Paint is to have it inspected by a qualiled inspector. _The improvements were constructed after 1980. No ~ Lead Paint was observed (except as reported in Comments below). L- The value estimated In tills appraisal Is based on the assumption that there Is no flaking or pesllng Load Paint on the property. Comments L-The,e are no ~ signs of Air Pollution at the time of the inspection nor were any reported (except as reported in Comments below). The only way to be certain that the air Is free of pollution Is to have it tesled. L- The value estimated In this l!Ppralsslls based on the assumption that the property Is frse of Air Pollution, Comments L- The site does not contain any ~ Wetiands/Aood Plains (except as reported in Comments beloW). The only way to be certain that the site is free of We\landsl Flood Plains is to have it inspected by a QUalified environmental professional. L- The value estimated In this appraisal Is based on tile assumption tIIatthere are no Wetlands/Flood Plains on the property (except as reported In Comments below), Comments L- There are no other ~ miscellaneous hazardous substances and/or detrimental environmental conditions on or in the area of the site except as indicated below, Excess Noise _ Radiation + Electromagnetic Radiation _ Light Pollution Waste Heat _ Acid Mine Drainage _ Agncullurai Pollution _ Geological Hazards _ Nearby Hazardous Property _ Infectious Medicai Wastes Pesticides _ Others (Chemical Storage + Storage Drums, Pipelines, etc.) L- The value estimsted In this appraisal Is bssed on the assumption thai there are no Mlscellsneous envlroomental Hazards (except those reported above)that would negatively sffectthe value o!the property, When any of tile environmental assumptions made in this addendum are not correct, the estimated value In this appraisal may not be valid. Form 69F - "TOTAL for Windows" appraisal software by a la mode, Inc. - 1-800.ALAMODE "'!r:rc,;?"!,,,~!,~,>, _~~ '"^~ "'" .<:..fll<\l~IJfR;:f Irut; IW, b:lULL I II r<1ut: 11" 1/1 Subject Photo Page Borrowerfj;lient Client;, Slike Pronertv Address 110 Wildflower Drive Citv Carlisle Countv Cumberland State PA Zin Code 17013-9040 Lender Friedman & Kino, P.C. Subject Front 110 Wildflower Drive Sales Pnce NIA Gross Living Area 3,202 Total Rooms 6 Total Bedrooms 1 Totel Bathrooms 1.5 Location Rural I Avg View Typical for Area Site 12.21 Acres Quality Stone, Vinyl I Avg Age 13 Years SUbject Rear Subject Street Fonn PICPIX.SR - "TOTAL tor Windows" appraisal software by a la mode, Inc. -1-800.ALAMODE lrUB I\lO.'!,jU.!.!1 II t"i1Ut:l YFIOI Subject Photo Page Borrower/Client Client: Slike Pronertv Address 110 Wildflower Drive Citv Carlisle Countv Cumberland State PA lln Code 17013-9040 Lender Friedman & Kina, P.C. 110 Wildflower Drive Sales Price NIA Gross Living Area 3,202 Total Rooms 6 Total Bedrooms 1 Total Bathrooms 1.5 Location Rural! Avg View Typical for Area Site 12.21 Acres Quality Stone,Vinyll Avg Age 13 Years Subject Interior form PICPDCSR - "TOTAL lor Windows" appraisal software by a la mode, inc. - 1-BOO-ALAMOOE Irlle I'\IU. ,!,jU.!? I II t'i:lue 7F I ~I Subject Photo Page Borrower/Client Client Slike Prone"" Address 110 Wildflower Drive c;;;,- Carlisle Countl! Cumberland State PA Zin Code 17013-9040 Lender FrIedman & Kinn, P.C. Subject Interior 110 Wildflower Drive Sales Poce NIA Gross Living Area 3,202 Total Rooms 6 Total Bedrooms 1 Total Bathrooms 1.5 Location Rural I Avg VIew Typical for Area Site 12.21 Acres Quality Slone,Vinyll Avg Age 13 Years Subject Private Road SUbject Road Fonn PICPIX.SR - "TOTAL for Windows" appraisal software by a la mode, inc. -1-800-ALAMODE Comparable Photo Page Irlle 11,10. j!"jU.!.!! n t'aae .;r;<'~UI ~Jlwer/Client Client: Slike I Prooertv Address 110 Wildflower Drive Countv Cumberiand Citv Carlisle State PA Zi" Code 17013-9040 Lender Friedman & Kina. P.C. Comparable 1 1115 Jerusalem Road Pro~ to SUbject 7.29 miles Sale Pnce 210,000 Gross Living Area 1,792 Total Rooms 6 Total Bedrooms 3 Total Bathrooms 1.5 Location Rural I Sim View Typical for Area SITe 6.25 Acres Quality Vinyl/ Sim Age 5 Years Address Prox. to Subject Saie Pnce Gross Living Area Total Rooms Total Bedrooms Total Bathrooms Location View SITe Quality Age Address Pro,. to Subject SalePnce Gross living Area Total Rooms Total Bedrooms Total Bathrooms Location View SITe Quality Age Fonn PICPIX.CR - "TOTAL lor Windows" appraisal software by a la mode, inc. -1-800-ALAMODE Comparable 2 454 Warm Springs Road 11.52 miles 215,000 1,600 5 3 2 Rural / Sirn Typical for Area 10.03 Acres Cedar I Sim 25 Years Comparable 3 327 Timber Ridge Road 4.66 miles 215,000 2,600 7 3 2.5 Rural! Sim Typical for Area 7.29 Acres Stone,VinyllSim 14 Years Comparable Photo Page Itlle ]'W, Z.:iUZ.! r I! t'flUe 'IF.! I J BorrowerlClient Client: Slike Prooertv Address 110 Wildflower Drive Gitv Carlisle Counlv Cumberland State PA Iin Code 17013-9040 Lender Friedman & Kina, P.C. Comparable 4 784 Moores Mountain Road Prox. to SUbject 15.50 miles S~e Price 255,000 Gross LMng Area 2.343 Total Rooms 6 Total Bedrooms 3 Totel Bathrooms 2 Location Rural! Sim View Typical for Area Sita 11.55 Acres Quality Brick, VinYl! Sim Age 33 Years Address Pmx. to Subject Sale Price Gross Living Area Total Rooms Total Bedrooms Total Bathrooms Location View Site Quality Age ..,'. Address Prox. to Subject Sale Price Gross LiVing Area Total Rooms Total Bedrooms Total Bathrooms Location View Site Quality Age ;,.,. Fonn PICPIX.CR - "TOTAL tor Windows" appraiSal software by a la mode, inc. -1-800-ALAMODE Comparable 5 47 Sleepy Hollow Road 9.28 miles 260,000 2,730 8 4 2.5 Rural I Sim Typical for Area 12.40 Acres Brick I Sim 10 Years Comparable 6 2401 Little Buffalo Road 12.53 miles 267,000 3,000 7 4 3.5 Rural! Sim Typical for Area 8.48 Acres Vinyl/ Sim 2 Years Comparable Photo Page Lt!!I1J:tO, ljUZZ11l t"{:l.ge_#zzl Borrower/Client Client: Slike l'=..rtyc Ad<lress i 1 0 Wildflower Drive Counlv Cumberland Zip Code GIN Carlisle State PA 17013-9040 Lender Friedman & Kino. P.C. Comparable 7 3680 Spring Road Prox. to Subject 1.06 miles Sale pnce 269,000 Gross living Area 4,180 Total Rooms 8 Total Bedrooms 3 Total Bathrooms 2.5 Location Rural! Sim View Typical for Area Stte 35.30 Acres Quality Stone,Vinyi I Sim Age 11 Years Address Prox. to Subject Sale Price Gross living Area. T atal Rooms Total Bedrooms Total Bathrooms Location View Site Quality Age Ad<lress Prox. to SUbject SalePnce Gross Uvlng Area __ Total Rooms Total Bedrooms TataiBathrooms Location View Site Quality Age Fonn PICPIX.CR - "TOTAL for Windows" appraisal software by . I. mode, inc. -1-800-ALAMOOE Comparable 8 12n Peach Ridge Road 9.14 miles 290,000 2,500 6 3 2.5 Rural/ Sim Typical for Area 15 Acres Log I Slm 7 Years Comparable 9 RD 1, Box 314 B 9.28 miles 310,000 3,400 8 4 3.5 Rural/ Slm Typical for Area 42 Acres Vinyl I sim 8 Years It-lie No. 2;jU2~111 paae #2~r Comparable Photo Page Borrowe[i(;lient Client: Slike Pro^e"U Add~ss 110 Wildflower Drive Cih.- Carlisie Countv Cumberland State PA Zin Code 17013-9040 Lender Friedman & Kinn, P.C. Comparable 10 65 Millers Gap Road Prox. to Subject 3.75 miles S~e Pnce 331,000 Gross Living Area 5,300 Total Rooms 9 Total Bedrooms 5 Total Bathrooms 3 Location Rural I Sim View Typical for Area Site 6.28 Acres Quality TR 111 FrmelSim Age 20 Years Address Prox. to Subject Sale Pnce Gross Living Area Total Rooms Total Bedrooms Tot~ Bathrooms Location View SITe Quality Age Comparable 11 843 Mountain Road 0.77 miles 345,000 3,500 9 5 2.5 Rural! Sim Typical for Area 30.98 Acres Comparable 12 Address Prox. to SUbject Sale Pnce Gross Living Area Total Rooms Total Bedrooms Tool Bathrooms Location View Site Quality Age Form PICPI)CCR - "TOTAL for Windows" apprais~ software by a I, mode, inc. -1-800-ALAMOOE IFile No. 23022111 Pane #181 Building Sketch (Page - 1) Borrower/Client Client: Slike pronertv Address 110 Wildflower Drive State PA Zin Code 17013-9040 Citv Carlisle Counlv Cumberland L'nder Friedman & Kino P.C. 15.0' 24.0' -srlt, 26.5' in '" '" ,,; 38.5' ,..: Bedroom '" Family Room Den .5 Bath ~ Garage '" '" Dining ,..: ,..: ;,. '" 00 '" Closet Laundry Kitchen '" 24.0' '" " Foyer 14.4' '" Dining Room 11.0'~ 20.0' '" in 28.5' 00 00 15.0' 15.0' '1,j> 26.5' '" '" 38,5' ,..: '" Basement '" ,..: ": "' '" 4 Bedrooms, Bath wJjacuzzi, Partial Finished FPL and Ree Room 14.4' ~ '" \::! " 11.0'p) 20.0' '" 00 in 00 28.5' 15.0' sketch by IVWlndo;wTM comments: Gt.A1 Fiz:st Floor 3201.85 3201,85 First Floor a_ Basement -3201,85 -3201.85 0.5 x 3.2 x 3.2 5.06 GAR Garage. -ee8.00 -988.00 4.9 x 7.0 34.65 0,5 x 4.9 x 4.9 12.25 0.5 x 4.9 x 4.9 12.25 16.9 x 29.7 501,61 12.0 x 29,'7 356.18 9.0 x 29.7 267.14 1.2 x 5.5 6,50 13,8 x 46.6 643.66 0.5 x 3,2 x 3.2 5.06 5.7 x 38.4 218,19 1.2 x 41.6 49.15 24.1 x 28.4 685,45 3.0 x 13.1 39.41 14.4 x 25,4 364.84 0.5 x 0.0 x 0.0 0.46 TOTAL LIVABLE (rounded) 3202 16 Calculations Total (rounded) 32D2 Form SKT.BldSkl- "TOTAL for Windows' appraisal software by a la mode, Inc. -1-800-ALAMODE -F'''W*''''''llI",,4! , '. -,~,- " - ~.= ,~-"' ~~ ,~ , ,~ - Z,jual~.ge 1F~ Line NO. Location Map . Client Slike . e Borrower Client Wildflower Dnv Address 110 Pro e C. Carlisle K' P C. . dman& In . Le de, Fne Cumbertand Coun State PA ,- 9040 Zi Code 17013- // / /' ~ /' / ..- / r /' J ./ x ~ ,,/~/// \ ( ,- r '~ ~" ~--/'/ ( /-'8 / ) / ~~7 ~ J ., (" / ~ ./' ~ ~ ~..., -"""'~..'., j~'- "i'r,~ ~~~ ~ .- \' \" j ,/ / (" / . / '." ,/ ~""'''., ;Y // "'~ L~----:~ . '\ _v :~""., " "B ~ -. .: . . ."" ,'. . 1-800-ALAMODE . are by a la mode, inC. - W' dows" appraisal softw MAP LOC - "TOTALfor In Form . ;--"'-h"iiPi'_'I\~ : ~, ~'_~_ ~~'",.., ~'" ;"~~~r""~-"~' -~.~ .~ '" e' -- '113-DEED-WARRANTY IND, OR CORP. D~ VP-l COPYRIQHT 1'7'.", ALL.STATE LEGAL SUPPLY CORP,- e mlJis ileeb, madetlaB :lc.-1'J....io.vqf June 19 90 .,tlllnn DONALD E. SLIKE and ROSE MARIE SLIKE, his wife, of Hampden Township, Cumberland County, Pennsylvania herein designated WI fh. Gronto,,", Anb ANDREW E. SLIKE and TAMARA J. SLIKE, .his wife, of the Borough of Camp Hill, Cumberland County, Pennsylvania hirein de.ignated WI the Gront..s; _Un,utt.,. fhat the Grantora, for and in cOIlIlideration of One Dollar ($1.00 l lawful money qf the United.State. qf America, fa the Grantora in ha1ld w.1I alld trulg poid bg tl.. Grolll.... of or before the .ealing and d.livery of fhe.e presenfs. the rec.ipf wh.reof i. h.,.."y ,...k,wlI'l..I(It-d "od fh. Granto,," being th.rewith fully .afiBjied, do by th... pre.ent. granf, b"rgoill, .ell ollll cOOI'I'y IInto the Grant.es forever, All that cE.rtain Township Cumberland tract or parcel of land and pl'e1lli..., .itlll"., Igiog aod b.illg ill file of Middlesex ill tI.. C"lOfy of and Commonwealth of P.nnaY/Vllnia, more partiCll/ar/y de.cribed WI/allow.: . BEGINNING at a point on the south side of a 50 foot private right of way, at the dividing line between Lots 2 and 3 on the hereinafter mentioned plan of lots; thence along the southern side of the private right of way, south 89 degrees 20 minutes 05 seconds east, a distance of 742.88 feet to a point; thence continuing along the southern side of the private right of way, north 88 degrees 56 minutes 10 seconds east, a distance of 75.18 feet to a point at the: dividing line between lots 1 and 2; thence along the dividing line between lots 1 and 2, south 01 degrees 03 minutes 49 seconds east, a' distance of 672.77 feet to a point at line of land now or formerly of Abram Rodgers; thence along land now or formerly of Abram Rodgers, north 87 degrees 26 minutes 09 seconds west, a distance of 348.89 feet to a point; thence along land now or formerly of Edlu Corp., north 87 degrees 57 minutes 20 seconds west, a distance of 215.30 feet to a point: thence along land now or formerly of Guy Fenicle, north 88 degrees 47 minutes 18 seconds west, a distance of 300.90 feet to a point at line of Lot No.3; thence along the dividing line between lots'2 and 3, north 00 degrees 39 minutes 55 seconds west, a distance of 650.84 feet to a point at the southern side of the private right of way. the place of BEGINNING. I 'I. f !e 800Y. ~ fAct 3M -"-"~~~!(!:",l~~" _ I'C "~,~ ., 1 ~P!I?~ " e e e ., ~'I-' " '" '. , BEING Lot No.2. containing 12.21 acres. more or less. of the final subdivision plan for Donald E. Slike and Rose Marie Slike,.his wife, dated October 5. 1988, as revised. which plan was recorded in the Recorder of Deeds office of Cumberland County. Pennsylvania on September 27, 1989. in Plan Book 59. Page 24. TOGETHER with the perpetual easement. right, liberty and privilege to use, for themselves. and for their agents. employees, tenants and guests. and their heirs. successors and assigns. in common with grantors.. as and for a driveway for ingress and egress, and for any required utility easements, a 50 foot wid~ private drive as set forth on the final subdivision plan referred to above. BEING part of the same premises which Lucille A. SchOffstall et el, by their deed dated December 29., 1987, and recorded December 30. 1987 in the Recorder of Deeds office of Cumberland County, Pennsylvania, in Deed Book C, Volume 33. Page 934. granted and conveyed unto Donald E. Slike and Rose Marie Slike. his. wife, grantors herein. See also quit-Claim deed recorded December 30. 1987 in Deed Book .C, Volume 33, Page 930. Andrew E. Slike is the son of Donald E. and Rose Marie Slike and, therefore. this deed is exempt from Realty Transfer Tax. \ BOO~34 PAt{ 355 ,".,".-- '.-"--------- -.-..-----.. . to o c... ~ N -J (') '" c: ['I, ~="(') OJ PI 0 ", (':'I ~.1 ;n ~_I n . :- ;:" :': >",'1 ' ;;.. I" , 'j ", . . ';1 -:J c.' '1 ~:. .., . . .~;' I" C, ~.- ':1 f11 -f ~?I q ,..;.,.; "11 In..... ~ ~ . r" ::0 :ll ..... .... C4 .l: -c"~~t';~,$lr~~"'1't1!Il3!:_ "",'M",~~ml ''''~..,. I - - - - . .' - . e . .D.,t~t' willa aU 11114 aillf/llW '''' hiWino', illlprovelMlllI, toIIl", woodJ, tIlGlen, wlJlen:ou,.."" ritJhll, liberlieJ. privileQeJ, lleredilll",""lIl1nd IIppurle1llJ...... III the III""" be/onflinp or'ilIl1nvwiJe IIpperlaininp; 11114 lhe reversion .11114 reversio!l6, remainder IInd remailldera.nmll.itaue.all4 proJila Ihereof. and of evel1J pari and pa~1 Ihereof;Anll .1.. all the ...llIle, ritJhl, litle, inlereJl, uae, posaeaBion, propertv, claim and dBmand whaltoe11er of lhe GronlorB bulh in "'wand ill equilv, of, in and 10 the premilles herein described and BVeI1J part and pal'Cllllhereol wilh lhe appurlenanc.... lItll ~aut anll tD ~olll all and. Billgular Ihe pr.milles herein described logelher wilh the heredilamenll and appurtenancea unlo the Gralll.es olld III On",t.es 'prop,'r WI. and beneftl lorever. l\.nllthe Gronlors covenanltl\al, e:teept as maV be herein Bef lorfh, th.V do and will loreuer warrant and beltnll the "'nds and premites. heredilamenll and appllrfenancea h'/'1!bV cmwL'Ved.agllillsf th. GralllllrB and all olher persons /nwfullv c/nimino the aame or 10 c/nim the Bame. I In all referencBJ herein to any purties pt'raon., entities or curporoliuns, the tuW of ,my IIurtir.ullJr ",'mlf'r or th" plural or lIingfllllr number.a inlendt'l to ifu:lude theapprollriute t/t."der or "umbl1" WI th~' tl'.rt uf OU' wi/Mil iWltrull/('lIt III11U I'eQUin!.Wllf'n!Vfn' in thil insfromnlt cu11/1JtJrtv dull be de.fflrlOled or rrJerTcd ta bU "time '''/l,',...rll' n'Ji'n'''f'f', HI"./, III'Hit/lltl. lion is i,,'r.nd~'d to a"d .hall have the luun~ eJ)"ect Q.If it the word. "h,.,',., ,'xcf.'Utfm., ", lIIi,dHlndu'H, ,""HIII",1 ur I"ufll represe1,tutlvell, .uccell~or. and w.il/nsl' had bee" in8erted qJ1er each u"d UVf!rv lIuch d,.tli",wtt'ml. . In lIIitnt.. 1II11trrol, the Grantors have hereunfo aet Iheir hatlds atld s.al., or if II cllrl"'rafilm, if hI'" caused Ihese preSetl'S 10 be signed by its proper corporate offic.rs atld ils clI1'J)III'11I' s.al fo be "lfi.rl'd herelo, the day and veal' first abo,," written. ligntll, It.ltll anll IItllutrtll In t~t prtltnft 01 or Atttlttll by .......,..........,~,I:,)/~t.~.~:0,:.P.,:..t.f.:............. ~~~tI"~~......................... .12/H9,...1l],.CMd.Jt.:k."..................,..,..... ROS~ MARIE SLIKE . <ltolllU\llnUJtalt~ of .nnJllJIlIanla, QlountlJ of .0cu....tl--:" "..: .t It Iltmtmbtrtll, that 0lI J J.\ ~ .J C I 19 90 . bejore me the aubscriber a ,!,jotar;;,lublic pmona yappea Donald E. Slike and Rose Mllrie Slike, his wife known t~ ~e (or BatWo.cloriltJproven) 10 be the pel'80l1 s whole Mmm are subscribed 10 lhe Wlthlll deed and o.cknowwdged that the Y 6UlJuted the same lor the purposes fhereiu cUllluill.d. IIIltnm mv hand and seal ~~'~'~:?: a,foresaid.\.. ../,.\ ( /' "O~"'"J'''v''' IA:.' \-/ ~'l . '1.\\.t~':" ~\"or,.'. L .....J.-:t:;:,..I- '~: .... ,\. . Vb , '0"" .........~....., .":1".;- ~ ...........1...t...-:, ,................ :"l:., (?:'.:, I~':..~'~~~~; .;;~\ . 't "-~'''''-. .1~ """J. L{ ''',:'.: 0 .....,.;..1 :.."':::..r I NOTARIAL SEAL' ..'.. ... ....'~. .' :0.1 ANNJ I II.' ~~~'........ . .-:' .....,.:;!..'.....~ , ~C..,"1)1}f'lPllbllc '. -."">.1 ...~:.... .::':: H4rri~bu~:... !;.;..'itJla (u,..I~;Y JIll -:.... ~ ~..'. P~...~" l MyCo,"mi~,ion hpi'" OIlC 29' 19'91 ., "" ....... C., .- . , . 'I, .'. " 11" .\ ,-.' . '~'UIlI1I"\" !OOX QM ~tt 356 e ,A..--"''''''''i~-Igpi._~" ^" ~u. . W ~ ~ h" ~f":""""~'~"" " , H_ -' I I \%':'5;"r,;s,,-~W~Z>f'. Ulpmmllnw,"Il~ pf ll,nu.ytllllulll. UldUUtlJ df ti, It Il,m,mb,rrll, Ihaf on IH!THm",Uy <l/'pcarod wI", lIcktmwledged .elf fa be Ih. ",.: 19 . before nte th. BubBcriber. . of a C"rIHlrttli"u, alld thaI being aulhori;ed la do .0 08 .uch corporat. oJJic.r ezecut.d th.lore/J"ill/J ill.lrum",t lor the l"'I"}"'Bes Iherein contained on behalf of Ihe cOl"},orafi,m, .Itn". mv hand and .lUIllhe daVand Vellr u,fi,re.aid, -.J .0 ,...... r/' - GI .... GI .... .... ) .... ~ ) 1Il '... 1Il 'OJ:: '0.... ~ c: C:J:: <0 . <0 ~ Iil ~ . Iilil( Iillil il(H iI(iI( JRJ H>-l HH >-lUl >-l>-l Ul UlUl III 'H . . 1Illl:: 11I1") o~ 3< >-l ~Ct: <Iil ZUl o~ 8111 ~~ -......"..\ .......... ..ft.,. '!,.'~S~ . . '. IV".'" ,f.\ !. ,. .... :t'\ /1--" ./l<.~ '.. .-.(........ ~~?..."",.'.'.t?~) I..,'. "'h 1,7,0"........ ~'., 1.._" I I " ...' ...... .~_'._""..r~;- , : ., ".." ,. 0,." ,~\'. l . : ..: ';', . ',..:'1: .~., !:," :'.~')~:. rii ~ ~: ~ .....,;. \ I J"';:;..t.o#...... rI '.. " ' ~ .....;. .l~t.."l.,.~~. .:T.'~,.,..1.!f"1 ,.,~~ . ... , 'J, " . ,__ .,...." .' .', ~ ,:;),". J,. ...~.~"'t.;. \''r?\.,i;.J!"t,o)J'~ : , , .'. ~.,.' \ .."., '., C,! ~tl\~~j~F~QAi;y\v~t"l~ 't, '.:County \)'-Curnb~;rl;'IIl!" A$corded In till.. oHJGu 1\1, ',II. Ii ..~:..,' .'. . ' I . ot~ !"__?Pd roo r~lll(l'lI'!': '. ~ ,t. ". I~CeO"I\W_ t'v'.::'J./. . .354 corll.l~~\~:';:'~ '"qo ~ .~,~.~~~ I~ PACE 3$1 ,"_~l ~ ~,' - r~,~<' , ~'-"r. .................,......................................'..................... '" .. 1 ~ " '" ;~ I .~~ i '0 I t'& 'I" C:l~ I ~ " ! <:() Q,,, ('1 ~ i j "'.., i -j ';5.., tl " hi ~,~ -~ ~~ i i " " .l:!ll .: ~ 'lll "l:' 0: :::. ilt <::u~ t..!l i11l! r~ II'l _III ~i "oll ' I ... ,JI ~! ..., s :1 ~8 J1J . .., I ~.~ 1 C- a- ::i" '" Il .U (() JI5 ~'U .~ - FRIEDMAN & KING, P. C. ATTORNEYS AT LAW 600 N. SECOND ST. FIFTH FLOOR P.O. Box 984 HARRISBURG, PENNSYLVANIA 17108 (717) 2se-aooo TELECOPIER No. (717) 236-a080 frtedmanandking@hotmail.com RICHARD S. FRIEDMAN JOHN F. KING May 27,2004 E. Robert Elicker, Divorce Master Office of the Divorce Master 9 North Hanover Street Carlisle, P A 17013 In re: Slike v. Slike No. 2001-6821 Dear Mr. Elicker: You will recall that when the parties were in your office on Tuesday, May 11, 2004, they rellched certain agreements regarding resolving their contest of the distribution of the marital assets, It. is my recollection that the parties agreed to inform you by Friday, May 28, 2004 ,I' as to whether they had reached an agreement as to the distribution of the personalty. Unfortunately, we just received the appraisal reports from Ibis Appraisal Services, which compal1Y the parties had agreed to utilize. I am forwarding (this same date) a copy of the appraisal report to Ms. Cantor, as well as to my client, and I have asked them both to review the reports. We should have no problem in informing you next week of our clients' decision regarding the personalty issue. I trust that that will be sufficient. Thank you very much for your kind attention to this matter. JFK/bp: corresaf\elicker.ltr cc: Tamara Slike Debra Deirison Cantor, Esquire Ih'.!'l!1 i#{;:,,-\;~ :r '., __: ',.,> ~i~ &?~;;-",<: '."'" ,. "1" ,',,,~' ~;;~':__;~"~,':J~~,~,:,:;\~L-:-_~i,):'~': L:~_: ~r;~ Ii - ~- ~'''-."di;~, '-' ~ ~ ' <"t<~''':/_>'-_' .-__""'" " '-""W,-, v. : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA : NO, 2001-6821 : CIVIL ACTION - LAW : DIVORCE TAMARA J. SLIIill, Plaintiff ANDREW E. SLIIill, Defendant AFFIDAVIT OF INTENTION TO RESUME PRIOR SURNAME COMMONWEALTH OF PENNSYLVANIA : SS COUNTY OF DAUPHIN Tamara 1. Slike, being duly sworn according to law, deposes and says that she is the Plaintiff in the above-captioned divorce action in which a final decree from the bonds of matrimony was entered and she hereby elects to resume her prior surname of Tamara J. King and, therefore, gives this written notice avowing said intention, in accordance with #704 of the Act of November 15, 1972, P.L. 1063,54 Pa. C.S.A. 704. ~~_/:. Tamara 1. S 1 e To be known as ~ ;?~f2 ~ Tamara J. King Sworn and subscribed to before me this ~ day of 2ttl\~, 2004. ."".J "~~,~, 1- .....,. .'",.," !I!!~lIll!llll' .., .~"~ -, '"" , > ." "~~ ?V(J"'9 1'= 'i ~ '- _ 8 ~ ~ 7{) w...;) r )J ~ ~ --.c: ---J::- ~ -S;- - "'" ~"'" ,..., ,"" = ".,-. () '~n :;;;e: ;E~ :;:I ,O;-;-"l:r: 1:'""'- -oQJ :JJ'T' C)(~') :2~,; :~ ~~~.\ .~ ~~ ::;:: o ',,", 1'.' ,,,-, ."," "",~ '<~-:"J"T~ "''''='')__''" _,JUiJfJ~.]OC _ .JnJI~Q~_~~,.,:~i\j!-W~~~~~~ijj!\~-lli!i~Jf~~~1r1'~i~-i'