HomeMy WebLinkAbout01-06844
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National
Association, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
Corporation Mortgage Pass-
Through Certificates, Series
1999-BCl
c/o Moss, Codilis Stawiarski,
Morris, Schneider, & Prior,
LLP
P.O. Box 24737
West Palm Beach, FL 33416-4737
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Floribunda Ln.
Mechanicsburg, PA 17055
Defendant(s)
ATTORNEY FOR PLAINTIFF
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
:NO.Ot-- for# ~
COMPLAINT IN MORTGAGE FORECLOSURE
YOU HAVE BEEN SUED IN COURT. If you wish to defend against the
claims set forth in the following pages, you must ,take action
within twenty (20) days after this Complaint and Notice'are served,
by entering a written appearance personally or by ~ttorney and
filing in writing with the Court your defenses or objections to the
claims set forth against you. You are warned that if:you fail to
do so the case may proceed without you and a judg$ent may be
entered against you by the Court without further not:ice for any
money claimed in the Complaint or for any other cla~m or relief
requested by the Plaintiff. You may lose money or :property or
other rights important to you.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT
HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE
SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL H!j:LP.
LAWYERS REFERRAL SERVICE
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013-3387
717-249-3166 or 800-990-9108
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AVISO
Le han demandado a usted en la corte. Si usted quiere defenderse
de estas demandas expuestas en las paginas siguientes, usted tiene
veinte (20) dias de plazo al partir de la fecha de la demanda y la
notificacion. Race falta ascentar una comparencia escrita 0 en
persona 0 con un abogado y entregar a la corte en formaescrita sus
defensas 0 sus objeciones alas demandas en contra de su persona.
Sea avisado que si usted no se dafiende, la cort.e tomara medidas y
puede continuar la demanda en contra suya sin previa aviso 0
notificacion. Ademas, la corte puede decidir a favor del
demandante y requiere que usted cumpla con todas las provisiones de
esta demanda. Dsted puede perder dinero 0 sus propiedades U otros
derechos importantes para usted.
LLEVE ESTA DEMANDA A UN ABOGADO IMMEDIATAMENTE, SI NO TIENE ABOGADO
o SI NO TIENE EL DlNERO SUFICIENTE DE PAGAR TAL SERVICIO, VAYA EN
PERSONA 0 LLAME POR TELEFONO A LA OFICINA CUYA DIRECCION SE
ENCUENTRA ESCRITA ABAJO PARA AVERIGUAR DONDE SE PUEDE CONSEGUIR
ASISTENCIA LEGAL.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013-3387
717-249-3166 or 800-990-9108
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NOTICE
The amount of your debt is as stated in the attached document. The name of the creditor
to whom the debt is owed is as named in the attached document. Unless you notify us within
30 days after receipt ofthis Notice and the attached document that the validity of the stated
debt, or any portion of it, is disputed, we will assume that the debt is valid. If you do notify
us in writing of a dispute within the 30 day period, we will obtain verification of the debt or
a copy of a judgment against you, and mail it to you. If you do not dispute tll1e debt, it is not
an admission of liability on your part. Also, upon your written request within the 30 day
period, we will provide you with the name and address ofthe original creditor if different from
the current creditor.
If you notify us in writing within the 30 day period as stated above, we will cease collection
of your debt, or any disputed portion of it, until we obtain the information that is required
and mail it to you. Once we have mailed to you the required information, we will then
continue the collection of your debt.
This law firm is deemed to be a debt collector and this Notice and the attacll1ed document is
an attempt to collect a debt, and any information obtained will be used for that purpose.
LAW OFFICES OF MARK J. UDREN
Mark J. Udren, Esquire
1040 N. Kings Highway, Suite 500
Cherry Hill, NJ 08034
(856) 482-6900
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1. Plaintiff is the Corporation designated as such in the
caption on a preceding page. If Plaintiff is an assignee then it
is such by virtue of the following recorded assignments:
Assignor: Ameriquest Mortgage Company
Assignee: First Union National Bank, As Trustee For Structured
Asset Securities Corporation Mortgage pass-Through Certificates,
Series 1999-BC1
Recording Date: 3/9/01 Book: 688 Page: 845
Assignor: First Union National Bank, As Trustee For Structured
Asset Securities Corporation Mortgage Pass-Through Certificates,
Series 1999-BC1
Assignee: Bank One, National Association, As Trustee f/k/a The
First National Bank of Chicago, As Trustee for Structured Asset
Securities Corporation Mortgage Pass-Through Certificates, Series
1999-BCl
Recording Date: Lodged For Recording
2. Defendant(s) is the individual designated as such on the
caption on a preceding page, whose last known address is as set
forth in the caption, and unless designated otherwise, is the real
owner(s) and mortgagor(s) of the premises being foreclosed.
3. On or about the date appearing on the Mortgage
hereinafter described, at the instance and request of Defendant(s),
Plaintiff (or its predecessor, hereinafter called Plaintiff) loaned
to the Defendant (s) the sum appearing on said Mortgage, which
Mortgage was executed and delivered to Plaintiff as security for
the indebtedness. Said Mortgage is incorporated herein by
reference in accordance with PA.R.C.P. 1019 (g).
The information regarding the Mortgage being foreclosed is as
follows:
MORTGAGED PREMISES: 1104 Floribunda Ln
MUNICIPALITY/TOWNSHIP/BOROUGH: Township of Upper Allen
COUNTY: CUmberland
DATE EXECUTED: 6/25/98
DATE RECORDED: 7/9/98 BOOK: 1467 PAGE: 44
The legal description of the mortgaged premises is attached hereto
and made part hereof.
4. Said Mortgage is in default because the required payments
have not been made as set forth below, and by its terms, upon
breach and failure to cure said breach after notice, all sums
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secured by said Mortgage, together with other charges authorized by
said Mortgage itemized below, shall be immediately due.
5. After demand, the Defendant (s) continues to fail or
refuses to comply with the terms of the Note as follows:
(a) by failing or refusing to pay the installments of
principal and interest when due in the amounts indicated
below;
(b) by failing or refusing to pay other charges, if any,
indicated below.
6. The following amounts are due on the said Mortgage as of
11/2/01:
Principal of debt due and unpaid
Interest at 10.75%
from 4/01/01
to 11/02/01
(the per diem interest accruing on
this debt is $28.45 and that sum
should be added each day after
11/02/01)
Title Report
Court Costs (anticipated, excluding
Sheriff's Sale costs)
Escrow Overdraft/(Balance)
(The monthly escrow on this account
is $391.59 and that sum should
be added on the first of each
month after 11/02/01)
Late Charges
(monthly late charge of $65.33
should be added on the fifteenth of
each month after 11/02/01)
Prepayment Penalty
Fees Billed
Payoff Quote Fee
SatiSfaction Fee
Attorneys Fees (anticipated and actual
to 5% of principal)
TOTAL
$96,386.53
6,313.09
250.00
280.00
391.59
184.65
4,478.31
134.69
10.00
48.00
4.819.33
$113,296 .19
7. The attorney's fee set forth above are in conformity with
the mortgage documents and Pennsylvania law, and will be collected
in the event of a third party purchaser at Sheriff's Sale. If the
mortgage is reinstated prior to the sale, reasonable attorney's
fees will be charged in accordance with the reduction provisions of
Act 6, if applicable.
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8. The combined notice specified by the Pennsylvania
Homeowner's Emergency Mortgage Assistance Program, Act 91 of 1983
and Notice of Intention to Foreclose under Act 6 of 1974 has been
sent to each defendant, via certified and regular mail, in
accordance with the requirements of those acts, on the date
appearing on the copy attached hereto as Exhibit "A", and made part
hereof, and defendant(s) have failed to proceed within the time
limits, or have been determined ineligible, or Plaintiff has not
been notified in a timely manner of Defendant(s) eligibility.
WHEREFORE, the Plaintiff demands judgment, in rem, against
the Defendant(s) herein in the sum of $113,296.19 plus interest,
costs and attorneys fees as more fully set forth in the Complaint,
and for. foreclosure and sale of the Mortgaged premises.
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Mark J. Udren~ESQUIRE
MARK J. UDREN & ASSOCIATES
Attorney for Plaintiff
Attorney I.D. No. 04302
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,,'ftLL THAT CERTAIN LOT OF GROUND SITUATE IN THE TOWNSHIP OF UPPER ALLEN, COUNTY OF
'CUMBERLAND AND STATE OF PENNSYLVANIA, BOUNDED AND DESCRIBED AS FOLLOWS, TO WIT:
BEGINNING AT A POINT IN THE NORTHERN LINE OF FLORIBUNDA LANE (50 FEET WIDE) WHICH
SAID POINT IS IN THE DIVISION LINE BETWEEN LOTS NOS. 20 AND 21 ON THE HEREINAFTER
MENTIONED PLAN OF LOTS; THENCE EXTENDING ALONG THE NORTHERN LINE OF FLORI BUNDA LANE
IN AN EASTWARDLY DIRECTION BY THE ARC OF A CIRCLE CURVING TO THE RIGHT, SAID CIRCLE
HAVING A RADIUS OF 200 FEET, THE ARC DISTANCE OF 34.91 FEET TO A POINT MARKED BY A
MONUMENT: THENCE CONTINUING ALONG THE NORTHERN LINE OF FLORIBUNDA LANE, SOUTH 74
DEGREES 25 MINUTES 33 SECONDS EAST 35.75 FEET TO A POINT AT CORNER OF LOT NO. 19 ON
THE HEREINAFTER MENTIONED PLAN OF LOTS; THENCE EXTENDING ALONG THE DIVISION LINE
BETWEEN LOTS NOS. 19 AND 20 ON SAID PLAN, NORTH 15 DEGREES 34 MINUTES 27 SECONDS
EAST 131.18 FEET TO A POINT AT CORNER OF LOT NO. 15 ON THE HEREINAFTER MENTIONED
PLAN OF LOTS; THENCE EXTENDING ALONG THE DIVISION LINE BETWEEN LOTS NOS. 20 AND 15
AND LOTS NOS. 20 AND 14 ON SAID PLAN, NORTH 77 DEGREES 09 MINUTES 21 SECONDS WEST
100.0 FEET TO A POINT AT CORNER OF LOT NO. 21 ON THE HEREINAFTER MENTIONED PLAN OF
LOTS: THENCE EXTENDING ALONG THE DIVISION LINE BETWEEN LOTS NOS. 20 AND 21 ON SAID
PLAN. SOUTH 02 DEGREES 46 MINUTES 37 SECONDS WEST 132.76 FEET TO A POINT IN THE
NORTHERN LINE OF FLORIBUNDA LANE, AFOREMENTIONED, AT THE POINT AND PLACE OF
BEGINNING.
BEING LOT NO. 20, BLOCK "B" ON THE PLAN OF SECTION 1 OF ROSEGARDEN, WHICH SAID PLAN
IS RECORDED IN THE CUMBERLAND COUNTY RECORDER'S OFFICE IN PLAN BOOK 27, PAGE 16.
HAVING THEREON ERECTED AN ALUMINUM AND BEICK COLONIAL BI-LEVEL HOUSE WITH TWO-CAR
GARAGE.
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OCWEN
October 01,2001
"0000717779"
Kenneth R. Steiner
1 Hl4 Flori Bunda Lane
Mechanicsburg, PA 17055
ACT 91 NOTICE TAKE ACTION TO SAVE YOUR HOME FROM FORECLOSURE
This is an official notice that the mortgage on your home is in default, and the lender intends to foreclose. Specific information
about the nature of the default is provided in the attached pages.
IMPORTANT INFORMATION CONCERNING YOUR RIGHTS IS CONTAINED ON PAGE FOUR
The Homeowners' Emergency Mortgage Assistance Program (REMAP) may be able to help to save your home. This notice
explains how the program works.
To see ifHEMAP can help you, you must MEET WITH A CONSUMER CREDIT COUNSELING AGENCY WITHIN 30
DAYS OF THE DATE OF THIS NOTICE. Take this Nolice with you when you meet with the counseling agency.
The name, address, and phone number of Consumer Credit Counseling Agencies serving your county are listed at the end of this
Notice. If yoU have any questions, you may call the Pennsylvania Housing Finance Agency toll free at 1-800-342-2397
(persons with impaired hearing can call 717-780-1869).
La Notificaion en ad junto es de suma importancia, pues afecta su derecho a continuar viviendo en su casa. Si no comprende el
contenido de esta notificion obtenga una traduccion immediatamente llamando esta agencia (pennsylvania Housing Finance
Agency) sin cargos al numero mencionado arriba. Puedes ser elegible para un prestamo por el programa llamado
"Homeowners' Emergency Mortgage Assistance Program" al cual puede salvar su casa de la perdida del derecho a redimir su
hipoteca.
LOAN ACCOUNT
CURRENT SERVICER
Kenneth R. Steiner
1104 Flori Bunda Lane
Mechanicsburg, P A 17055-0000.
30580120
Ocwen Federal Bank FSB
HOMEOWNER'S NAME(S) :
PROPERTY ADDRESS:
You may be eligible for [mancial assistance which can save your home from foreclosure and help you make future mortgage
payments if you comply with the provision of the Homeowners' Emergency Mortgage Assistance Act of 1983 (the "Act"). You
may be eligible for emergency mortgage assistance:
if your default has been caused by circumstances beyond your control, you have a reasonable prospect of being
able to pay your mortgage payments and if you meet other eligibility requirements established by the Pennsylvania
Housing Finance Agency.
TEMPORARY STAY OF FORECLOSURE, Under the Act, you are entitled to a temporary stay of the foreclosure on your
mortgage for thirty (30) days from the date of this Notice. During that time you must arrange and attend a "face-to. face" meeting
with one of the designated consumer counseling agencies list~.d at the end of this Notice. This meeting must occur within the next
thirty (30) days. IF YOU DO NOT APPLY FOR EMERGENCY MORTGAGE ASSISTANCE, YOU MUST BRING YOUR
MORTGAGE ill TO DATE. THE PART OF THIS NOTICE CALLED "HOW TO CURE YOUR MORTGAGE DEFAULT"
EXPLAINS HOW TO BRING YOUR MORTGAGE UP TO DATE.
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Page two
30580120
CONSUMER CREDIT COUNSELING AGENCIES- Hyou attend a face-to-face meeting with one of the consumer credit
counseling agencies listed at the end of this Notice, the lender may NOT take further action against you for thirty (30) days after
the date of this meeting. The names, addresses and telephone numbers of designated consumer counseling agencies for the
county in which your properly is located are set forth at the end of this Notice. It is only necessary to schedule one face-to-face
meeting. You should advise this lender immediately of your intentions.
APPLICATION FOR MORTGAGE ASSIST ANCE- Your mortgage is in default for the reasons set forth later in this Notice
(see following pages for specific information about the nature of your default). If you have tried and are unable to resolve this
problem with the lender, you have the right to apply for financial assistance from the Homeowners' Emergency Mortgage
Assistance Fund. In order to do this, you must fill out, sign and file a completed Homeowners' Emergency Assistance
Application with one of lhe designated consumer credit counseling agencies listed at the end of this Notice. Only consumer
credit counseling agencies have applications for the program and they will assist you in submitting a completed application to
the Pennsylvania Housing Finance Agency. Your application MUST be filed or postmarked within thirty (30) days of your
face-to-face meeting.
YOU MUST FILE YOUR APPLICA TION PROMPTLY. IF YOU FAIL TO DO SO OR IF YOU DO NOT FOLLOW THE
OTHER TIME PERIODS SET FORTH IN THIS LETTER, FORECLOSURE MAY PROCEED AGAINST YOUR HOME
IMMEDIATELY AND YOUR APPLICATION FOR MORTGAGE ASSISTANCE WILL BE DENIED.
AGENCY ACTION- Available funds for emergency mortgage assistance are very limited. They will be disbursed by the
Agency under the eligibility criteria established by the Act. The Pennsylvania Housing fmance Agency has sixty (60) days to
make a decision after it receives you application. During that additional time, no foreclosure proceedings will be pursued
against you if you have met the time requirements set forth above. You will be notified directly by the Agency of its decision on
your application.
NOTE: IF YOU ARE CURRENTLY PROTECTED BY THE FILlNqOF A PETITION IN BANKRUPTCY, THIE FOLLOWING PART OF THIS
NOTICE IS FOR INFORMATION PURPOSES ONLY AND SHOULD NOT BE CONSIDERED AS AN ATIEMPT TO COLLECT THE DEBT.
(Jfyou have tiled bankruptcy you can still apply for Emergency Mortgage Assistance)
HOW TO CURE YOUR MORTGAGE DEFAULT(Bring it up to date).
NATURE OF.THE DEFAULT - The MORTGAGE debt held by the above lender on your property located at 1104
Flori Bunda Lane Mechanicsburg, PA 17055-0000 IS SERIOUSLY IN DEFAULT because:
,
YOU HAVE NOT MADE MONTHLY MORTGAGE PAYMENTS for the following months and the following
amounts are now past due:
(a) 5 Payments
(b) Late chargers) :
(c) Other chargers): NSF & Advances
(d) Less: Credit Balance
(e) Total amount required as of 09/29/2001:
$6,311.54
$123.10
$130.40
$.00
$6,565.04
YOU HA VB FAILED TO TAKE THE FOLLOWING ACTION (if applicable) :
HOW TO CURE THE DEF AULT- You may cure this default within THIRTY (30) days from the date of this letter BY
PAYING THE TOTAL AMOUNT PAST DUE TO LENDER, WHICH IS $6,565.04, PLUS ANY MORTGAGE
PAYMENTS AND LATE CHARGES (and other charges) WHICH BECOME DUE DURING THE THIRTY (30)
DAY PERIOD. Payments must be made either by cash, cashier's check, certified check, or money order made payable
to Ocwen Federal Bank FSB at PO BOX 514577, LOS ANGELES, CA 90051-4577.
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Page three
30580120
IF YOU DO NOT CURE THE DEFAULT- If you do not cure the default within THIRTY (30) days of
this letter date, the lender intends to exercise its right to accelerate the mortgage debt This means that the
entire outstanding balance of this debt will be considered due immediately, andyou may lose the chance
to pay the mortgage in monthly installments. If full payment of the amount of default is not made within
THIRTY (30) days of the letter date, Ocwen Federal Bank FSB also intends to instruct their attorneys to start
a legal action to foreclose upon your mortgaged property.
IF THE MORTGAGE IS FORECLOSED UPON-. The mortgaged property will be sold by the Sheriff to
payoff the mortgage debt If the lender refers your case to its attorneys, but you cure the delinquency
before they begin legal proceedings against you, you will have to pay the reasonable attorney's fees
actually incurred up to $50.00. However, if legal proceedings are started against you, you will have to pay
the reasonable attorney's fees actually incurred even if they are over $50.00. Any attorney's fees will be
added to the amount you owe the lender, which may also include their reasonable costs. Ifvou cure the
default within the THIRTY (30)DA Y period, you will not be required to pay attorneys' fees.
OTHER LENDER REMEDIES- The lender may also sue you personally for the unpaid principal balance,
and all other sums due under the Mortgage.
RIGHT TO CURE THE DEFAULT PRIOR TO SHERIFF'S SALE- If you have not cured the default within the THIRTY
(30) day period and foreclosure proceedings have begun, you still have the right to cure the default and prevent the sale at any
time up to one hour before the Sheriffs Sale. You may do so by paying the total amount then past due plus any late charges,
charges then due, reasonable attorneys' fees and costs connected with the foreclosure sale and any other costs connected with
the Sheriff s Sale as specified in writing by the lender and by perfomring any other requirements under the mortgage. Curing
your default in the manner set forth in this Notice will restore your mortgage to the same position as if you had never
defaulted.
EARLIEST POSSIBLE SHERIFF'S SALE DATE- It is estimated that the earliest date that such sheriffs sale could be held is
would be approximately five (5) months from the date of this Notice. A notice of the actual date ofthe Sheriffs Sale will be
sent to you before the sale. Of course, the amount needed to cure the default will increase the longer you wait You may [md
out at any time exactly what the required payment Or action will be by contacting the lender.
HOW TO CONTACT THE LENDER
Ocwen Federal Bank: FSB
12650 Ingenuity Drive, Orlando, FL 32826
(800) 746-2936
Name of Lender:
Address:
Telephone Number:
I
EFFECT OF SHERIFF'S SALE- You should realize that a sheriffs sale will end your ownership of the mortgaged property
and your right to occupy it If you continue to live in the property after the sheriff s sale, a lawsuit to remove you and your
furniture and other belongings could be started by the lender at any time.
ASSUMPTION OF MORTGAGE- You may not sell or transfer your home to a buyer or transferee who will assume the
mortgage debt, provided that all the outstanding payments, charges and attorneys' fees and costs are paid prior to or at the sale
and that the other requirements of the mortgage are satisfied.
YOU MAY ;\LSO HAVE THE RIGHT
To sell the property to obtain money to payoff the mortgage debt, or borrower money from another lending
institution to payoff this debt .
To have this default cured by any third party acting on your behalf.
To have the mortgage restored to the same position as if no default had occurred. (However, you are not entitled to
this right more than three times in a calendar year).
To assert the nonexistence of a default in any foreclosure proceeding or any other lawsuit instituted under the
mortgage documents.
To assert any other defense you believe you may have to such action by the lender.
To seek protection under the federal bankruptcy law.
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Page four
30580120
Ocwen Federal Bank FSB is attempting to collect a debt, and any information obtained will be used
for that purpose.
Federal law gives you thirty days after you receive this letter to dispute the validity of this debt
or any part of it. If you notify us in writing at the belowcaddress within the thirty day period
that the debt, or any portion thereof, is disputed, we will:
1) Provide to you, upon your written request, verification of the debt or a copy of any
judgment entered against you.
2) Provide to you, upon your written request, the name and address of your original
creditor, if the original creditor is different from the current creditor
Unless you dispute the debt within that 30 day period, we will assume that it is valid.
Sincerely,
Ocwen Federal Bank FSB
/
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Ocwen Federal Bank FSB, P.O. Box 24737, West Palm Beach, FL 33416 Phone (800) 746-2936
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OCWEN
October 01, 2001
'0000717780'
Sun Cha Steiner
1104 Flori Bunda Ln
Mechanicsburg, PA 17055
ACT 91 NOTICE TAKE ACTION TO SAVE YOUR HOME FROM FORECLOSURE
This is an official notice that the mortgage on your home is in default, and the lender intends to foreclose. Specific information
about the nature of the default is provided in the attached pages.
IMPORTANT INFORMATION CONCERNING YOUR RIGHTS IS CONTAINED ON PAGE FOUR
The Homeowners' Emergency Mortgage Assistance Program (HEMAP) may be able to help to save your home. This notice
explains how the program works.
To see ifHEMAP can help you. you must MEET WITH A CONSUMER CREDIT COUNSELING AGENCY WITHIN 30
DAYS OF THE DATE OF THIS NOTICE. Take this Notice with you when you meet with the counseling agency.
The name, address, and phone number of Consumer Credit Counseling Agencies serving your county are listed at the end of this
Notice. If you have any questions. you may call the Pennsylvania Housing Finance Agency toll free at 1-800-342-2397
(persons with impaired hearing can call 717-780-1869).
La Notificaion en ad junto es de suma importancia, pues afecta su derecho a continuar viviendo en su casa. Si no comprende el
contenido de esta notificion obtenga una traduccion immediatamente llamando esb! agencia (Pennsylvania Housing Finance
Agency) sin cargos al numero mencionado arriba. Puedes ser elegible para un pllestamo por el programa llamado
"Homeowners' Emergency Mortgage Assistance Program" al cual puede salvar su casa de la perdida del derecho a redimir su
hipoteca.
HOMEOWNER'S NAME(S) :
PROPERTY ADDRESS:
LOAN ACCOUNT
CURRENT SERVICER
Sun Cha Steiner
1104 Flori Bunda Lane
Mechanicsburg, P A 17055-0000
30580120
Ocwen Federal Bank FSB
You may be eligible for financial assistance which can save your home from foreclosure and help you make future mortgage
payments if you comply with the provision of the Homeowners' Emergency Mortgage Assistance Act of 1983 (the "Act"). You
may be eligible for emergency mortgage assistance:
if your default has been caused by circumstances beyond your control, you have a reasonable prospect of being
able to pay your mortgage payments and if you meet other eligibility requirements established by the Pennsylvania
Housing Finance Agency.
TEMPORARY STAY OF FORECLOSURE. Under the Act, you are entitled to a temporary stay of the foreclosure on your
mortgage for thirty (30) days from the date of this Notice. During that time you must arrange and attend a "face-to-face" meeting
with one of the desigriated 'consumer counseling agencies listed at the end of this N otipe. \ This meeting must occur within the next
thirty (30) days. IF YOU DO NOT APPLY FOR EMERGENCY MORTGAGE ASSISTANCE, YOU MUST BRING YOUR
MORTGAGE UP TO DATE. THE PART OF THIS NOTICE CALLED "HOW TO CURE YOUR MORTGAGE DEFAULT'
EXPLAINS HOW TO BRING YOUR MORTGAGE UP TO DATE.
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Page two
'30580120
CONSUMER CREDIT COUNSELING AGENCIES- If you attend a face-to-face meeting with one of the consumer credit
counseling agencies listed at the end of this Notice, the lender may NOT take further action against you for thirty (30) days after
the date of this meeting. The names, addresses and telephone numbers of designated consumer counseling agencies for the
county in which your property is located are set forth at the end of this Notice. It is only necessary to schedule one face-to-face
meeting. You should advise this lender immediately of your intentions.
APPLICA nON FOR MORTGAGE ASSIST ANCE- Your mortgage is in default for the reasons set forth later in this Notice
(see following pages for specific information about the nature of your default). If you have tried and are unable to resolve this
problem with the lender, you have the right to apply for financial assistance from the Homeowners' Emergency Mortgage
Assistance Fund. In order to do this, you must fill out, sign and file a completed Homeowners' Emergency Assistance
Application with one of the designated consumer credit counseling agencies listed at the end of this Notice. Only consumer
credit counseling agencies have applications for the program and they will assist you in submitting a completed application to
the Pennsylvania Housing Finance Agency. Your application MUST be filed or postmarked within thirty (30) days of your
face-to-face meeting.
YOU MUST FILE YOUR APPLICATION PROMPTLY. IF YOU FAIL TO DO SO OR IF YOU DO NOT FOLLOW THE
OTHER TIME PERIODS SET FORTH IN THIS LETTER, FORECLOSURE MAY PROCEED AGAINST YOUR HOME
IMMEDIATELy AND YOUR APPLICATION FOR MORTGAGE ASSISTANCE WILL BE DENIED.
AGENCY ACTION- Available funds for emergency mortgage assistance are very limited. They will be disbursed by the
Agency under the eligibility criteria established by the Act. The Pennsylvania Housing finance Agency has sixty (60) days to
make a decision after it receives you application. During that additional time, no foreclosure proceedings will be pursued
against you if you have met the time requirements set forth above. You will be notified directly by the Agency of its decision on
your application.
NOTE: IF YOU ARE CURRENTLY PROTECTED BY THE FILING OF A PETITION IN BANKRUPTCY, THE FOLLOWING PART OF THIS
NOTICE IS FOR INFORMATION PURPOSES ONLY AND SHOUL6 NOT BE CONSIDERED AS AN ATIEMPT TO COLLECT THE DEBT.
(If you have filed bankruptcy you can still apply for Emergency Mortgage Assistance)
HOW TO CURE YOUR MORTGAGE DEF AUL T(Bring it up to date).
NATURE OF THE DEFAULT - The MORTGAGE debt held by the above lender on your property located at 1104
Flori Bunda Lane Mechanicsburg, P A 17055-0000 IS SERIOOSL Y IN DEFAULT because:
YOU HAVE NOT MADE MONTHLY MORTGAGE PAYMENTS for ihe following months and the following
amounts are now past due:
(a) 5 Payments
(b) Late charger s) :
(c) Other charge(s): NSF & Advances
(d) Less: Credit Balance
(e) Total amount required as of 09/29/2001:
$6,311.54
$123.10
$130.40
$.00
$6,565.04
YOU HAVE FAILED TO TAKE THE FOLLOWING ACTION (ifapplicable) :
HOW TO CURE THE DEFAULT- You may cure this default within THIRTY (30) days from the date of this letter BY
P A YINO THE TOTAL AMOUNT PAST DUE TO LENDER, WHICH IS $6,565.04, PLUS ANY MORTGAGE
PAYMENTS AND LATE CHARGES (and other charges) WHICH BECOME DUE DURING THE THIRTY (30)
DAY PERIOD. Payments must be made either by cash, cashier's check, certified check, or money order made payable
to Ocwen Federal Bank FSB at PO BOX 514577, LOS ANGELES, CA 90051-4577.
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Page three
30580120
IF YOU DO NOT CURE THE DEFAULT- If you do not cure the default within THIRTY (30) days of
this letter date, the lender intends to exercise its right to accelerate the mortgage debt. This means that the
entire outstanding balance of this debt will be considered due immediately, and you may lose the chance
to pay the mortgage in monthly installments. If full payment of the amount of default is not made within
THIRTY (30) days of the letter date, Ocwen Federal Bank FSB also intends to instruct their attorneys to start
a legal action to foreclose upon your mortgaged property.
IF THE MORTGAGE IS FORECLOSED UPON-. The mortgaged property will be sold by the Sheriff to
pay off the mortgage debt. If the lender refers your case to its attorneys, but you cure the delinquency
before they begin legal proceedings against you, you will have to pay the reasonable attorney's fees
actually incurred up to $50.00. However, iflegal proceedings are started against you, you will have to pay
the reasonable attorney's fees actually incurred even if they are over $50.00. Any attorney's fees will be
added to the amount you owe the lender, which may also include their reasonable costs. If you cure the
default within the THIRTY (30)DA Y period, you will not be required to pay attorneys' fees.
OTHER LENDER REMEDIES- The lender may also sue you personally for the unpaid principal balance,
and all other sums due under the Mortgage.
RIGHT TO CURE THE DEFAULT PRIOR TO SHERIFF'S SALE- If you have not cured the default within the THIRTY
(30) day period and foreclosure proceedings have begun, you still have the right to cure the default and prevent the sale at any
time up to one hour before the Sheriff's Sale. You may do so by paying the total amount then past due plus any late charges,
charges then due, reasonable attorneys' fees and costs connected with the foreclosure sale and any other costs connected with
the Sheriff s Sale as specified in writing by the lender and by performing any other requirements under the mortgage. Curing
your default in the manner set forth in this Notice will restore your mortgage to the same position as if you had never
defaulted.
EARLIEST POSSIBLE SHERIFF'S SALE DATE- It is istimated that the earliest date that such sheriffs sale could be held is
would be approximately five (5) months from the date otthis Notice. A notice of the actual date of the Sheriff's Sale will be
sent to you before the sale. Of course, the amount needed to cure the default will increase the longer you wait. You may find
out at any time exactly what the required payment or action will be by contacting the lender.
HOW TO CONTACT THE LENDER
Ocwen Federal Bank FSB
12650 Ingenuity Drive, Orlando, FL 32826
(800) 746-2936
Name of Lender:
Address:
Telephone Number:
EFFECT OF SHERIFF'S SALE- You should realize that a sheriff's sale will eAd your ownership of the mortgaged property
and your right to occupy it. If you continue to live in the property after the sheriffs sale, a lawsuit to remove you and your
furniture and other belongings could be started by the lender at any time.
ASSUMPTION OF MORTGAGE- You may not sell or transfer your home to a buyer or transferee who will assume the
mortgage debt, provided that all the outstanding payments, charges and attorneys' fees and costs are paid prior to or at the sale
lind that the other requirements of the mortgage are satisfied.
YOU MAY ALSO HAVE THE RIGHT
To sell the property to obtain money to payoff the mortgage debt, or borrower money from another lending
institution to payoff this debt.
To have this default cured by any third party acting on your behalf.
To have the mortgage restored to the same position as if no default had occurred. (However, you are not entitled to
this right more than three times in a calendar year).
To assert the nonexistence of a default in any foreclosure proceeding or any other lawsuit instituted under the
mortgage documents.
To assert any other defense you believe you may have to such action by the lender.
To seek protection under the federal bankruptcy law.
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Page four
30580120
Ocwen Federal Bank FSB is attempting to collect a debt, and any information obtained will be used
for that purpose.
Federal law gives you thirty days after you receive this letter to dispute the validity of this debt
or any part of it. If you notify us in writing at the below address within the thirty day period
that the debt, or any portion thereof, is disputed, we will:
1) Provide to you, upon your written request, verification of the debt or a copy of any
judgment entered against you.
2) Provide to you, upon your written request, the name and address of your original
creditor, if the original creditor is different from the current creditor
Unless you dispute the debt within that 30 day period, we will assume that it is valid.
Sincerely,
Ocwen F edera1 Bank FSB
\
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Ocwen Federal Bank FSB, P.O, Box 24737, West Palm Beach, FL 33416 Phone (800) 746-2936
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V E R I F I CAT ION
Mark J. Udren, Esquire, hereby states that he is the attorney
for the Plaintiff, a corporation unless designated otherwise; that
he is authorized to take this Verification and does so because of
the exigencies regarding this matter, and because Plaintiff must
verify much of the information through agents, and because he has
personal knowledge of some of the facts averred in the foregoing
pleading; and that the statements made in the foregoing pleading
are true and correct to the best of his knowledge, information and
belief and the source of his information is public records and
reports of Plaintiff's agents. The undersigned understands that
this statement herein is made subject to the penalties of 18
Pa.C.S. Section 4904 relating to unsworn falsification to
authorities.
=m
Mark J. Udren, ESQUIRE
MARK J. UDREN & ASSOCIATES
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SHERIFF'S RETURN - NOT FOUND
~
CASE NO: 2001-06844 P
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
BANK ONE NA
VS
STEINER KENNETH R ET AL
R, Thomas Kline ,Sheriff or Deputy Sheriff, who being
duly sworn according to law, says, that he made a diligent search and
inquiry for the within named defendant, DEFENDANT
STEINER SUN CHA
but was
unable to locate Her in his bailiwick. He therefore returns the
-....
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COMPLAINT - MORT FORE
.
, NOT FOUND , as to
the within named DEFENDANT
, STEINER SUN CHA
PER NEIGHBOR, HAS NOT LIVED THERE FOR 3 MONTHS.
THEY PICK UP THE MAIL THERE ONCE PER WEEK.
Sheriff's Costs:
Docketing
Service
Affidavit
Surcharge
6.00
.00
.00
10.00
.00
16.00
~A
R. mas
Sheriff of Cumberland County
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MARK UDREN
12/20/2001
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Sworn and subscribed to before me
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SHERIFF'S RETURN - NOT FOUND
CASE NO: 2001-06844 P
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
BANK ONE NA
VS
STEINER KENNETH R ET AL
R. Thomas Kline
,Sheriff or Deputy Sheriff, who being
duly sworn according to law, says, that he made a diligent search and
inquiry for the within named defendant, DEFENDANT
.....
--
-
STEINER KENNETH R
but was
unable to locate Him in his bailiwick. He therefore returns the
COMPLAINT - MORT FORE
, NOT FOUND , as to
the within named DEFENDANT
, STEINER KENNETH R
PER NEIGHBOR, THEY HAVE NOT LIVED THERE FOR 3 MONT
BUT THEY COME AND PICK UP THE MAIL ONCE PER WEEK.
Sheriff's Costs:
Docketing
Service
Not Found
Surcharge
18.00
6.50
5.00
10.00
.00
39.50
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So answe : / _/ _/ ..' ..~ ///
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R. Thomas Kline
Sheriff of Cumberland County
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MARK UDREN
12/20/2001
Sworn and subscribed to before me
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this
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National
Association, As Trustee f/k/a
The First. National Bank of
chicago, As Trustee for
structured Asset Securities
Corporation Mortgage Pass-
Through Certificates, Series
1999-BC1
c/o Moss, Codilis Stawiarski,
Morris, Schneider, & Prior,
LLP
P.O. Box 24737
West Palm Beach, FL 33416-4737
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Floribunda Ln.
Mechanicsburg, PA 17055
Defendant(s)
,
'WE HEREBY CERTIFY THE
WITHIN TO ale mUle AND ~
CORRIECT COpy Of THE ORIGINAL"
ATTORNEY FOR PLAINTIFF
. COURT OF COMMON PLEAS
: CIVIL DIVISION
.
: Cumberland County
TRUE COPY FROM RECORD
In T estlmony whereof ,I hereunto SIlt my haIId
and the, seal of ' Coo.;t. at CarliSle Pa..
r j,~ y 01 V 'J"oa (
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PrCllho
: NO.
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r14
COMPLAINT IN MORTGAGE FORECLOSURE
YOU HAVE BEEN SUED IN COURT. If you wish to defend against the
claims. set forth in the following pages, you must take action
within twenty (20) days after this Complaint and Notice are served,
by entering a written appearance personally or by attorney and
filing in writing with the Court your defenses or objeGtions to the
claims set forth against you. You are warned that if you fail to
do so the case may proceed without you and a judgment may be
entered against you by the Court without further notice for any
money claimed in the Complaint or for any other claim or relief
requested by the Plaintiff. You may lose money or property or
other rights important to you.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT
HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE
SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
LAWYERS REFERRAL SERVICE
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013-3387
717-249-3166 or 800-990-9108
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AVISO
Le han demandado a usted en la corte. si usted quiere defenderse
de estas demandas expuestas en las paginas siguientes, usted tiene
veinte (20) dias de plazo al partir de la fecha de la demanda y la
notificacion. Hace falta ascentar una comparencia escrita 0 en
persona 0 con un abogado y entregar a la corte en forma escrita sus
defensas 0 sus objeciones alas demandas en contra de su persona.
Sea avisado que si usted no se dafiende, la corte tomara medidas y
puede continuar la demanda en contra suya sin previo aviso 0
notificacion. Ademas, la corte puede decidir a favor del
demandante y requiere que usted cumpla con todas las provisiones de
esta demanda. Usted puede perder dinero 0 sus propiedades u otros
derechos importantes para usted.
LLEVE ESTA DEMANDA A UN ABOGADO IMMEDIATAMENTE, SI NO TIENE ABOGADO
o S! NO TIENE EL DINERO SlJFICIENTE DEPAGAR TAL SERVICIO, VAYA EN
PERSONA 0 LLAME POR TELEFONO A LA OFICINA CUYA DIRECCION SE
ENClJENTRA ESCRITA ABAJO PARA AVERIGlJAR DONOE SE PlJEDE CONSBGlJIR
ASISTENCIA LEGAL.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, P A 17013-3387
717-249-3166 or 800-990-9108
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NOTICE
The amount of your debt is as stated in the attached document. The name of the creditor
to whom the debt is owed is as named in the attached document. Unless you notify us within
30 days after receipt of this Notice and the attached document that the validity of the stated
debt, or any portion of it, is disputed, we will assume that the debt is valid. If you do notify
us in writing of a dispute within the 30 day period, we will obtain verification of the debt or
a copy of a judgment against you, and mail it to you. If you do not dispute the debt, it is not
an admission of liability on your part. Also, upon your written request within the 30 day
period, we will provide you with the name and address of the original creditor.if different from
the current creditor.
If you notify us in writing within the 30 day period as stated above, we will cease collection
of your debt, or any disputed portion of it, until we obtain the information that is required
and mail it to you. Once we have mailed to you the required information, we will then
continue the collection of your debt.
This law firm is deemed to be a debt collector and this Notice and the attacheddocuinenfis .
,
an attempt to collect a debt, and any information obtained will be used for that purpose.
LAWOFFICESOFMARKJ. UDREN
Mark J. Udren, Esquire
1040 N. Kings Highway, Suite 500
Cherry Hill, NJ 08034
(856) 482-6900
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1. Plaintiff is the Corporation designated as such in the
caption on a preceding page. If Plaintiff is an assignee then it
is such by virtue of the following recorded assignments:
Assignor: Ameriquest Mortgage Company
Assignee: First Union National Bank, As Trustee For Structured
Asset Securities Corporation Mortgage Pass-Through Certificates,
Series 1999-BC1 .
Recording Date: 3/9/01 Book: 688 Page: 845
Assignor: First Union National Bank, As Trustee For Structured
Asset Securities Corporation Mortgage Pass-Through Certificates,
Series 1999-BC1
Assignee: Bank One, National Association, As Trustee f/k/a The
First National Bank of Chicago, As Trustee for Structured Asset
Securities Corporation Mortgage Pass-Through Certificates, Series
1999-BC1
Recording Date: Lodged For Recording
2. Defendant{s) is the individual designated as such on the
caption on a preceding page, whose last known address is as set
forth in the caption, and unless designated otherwise, is the real
owner{s} and mortgagor{s} of the premises being foreclosed.
3. On or about the date appearing on the Mortgage
hereinafter described, at the instance and request of Defendant{s},
Plaintiff (or its predecessor, hereinafter called Plaintiff) loaned
to the Defendant (s) the sum appearing on said Mortgage, which
Mortgage was executed and delivered to Plaintiff as security for
the indebtedness. Said Mortgage is incorporated herein by'
reference in accordance with PA.R.C.P. 1019 (g).
The information regarding the Mortgage being foreclosed is as
follows:
MORTGAGED PREMISES: 1104 Floribunda Ln
MUNICIPALITY/TOWNSHIP/BOROUGH: Township of Upper Allen
COUNTY: Cumberland
DATE EXECUTED: 6/25/98
DATE RECORDED: 7/9/98 BOOK: 1467 PAGE: 44
The legal description of the mortgaged premises is attached hereto
and made part hereof.
4. Said Mortgage is in default because the required payments
have not been made as set forth below, and by its terms, upon
breach and failure to cure said breach after notice, all sums
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secured by said Mortgage, together with other charges authorized by
said Mortgage itemized below, shall be immediately due.
5. After demand, the Defendant (s) continues to fail or
refuses to comply with the terms of the Note as follows:
(a) by failing or refusing to pay the installments of
principal and interest when due in the amounts indicated
below;
(b) by failing or refusing to pay other charges, if any,
indicated below.
6. The following amounts are due on the said Mortgage as of
11/2/01:
Principal of debt due and unpaid
Interest at 10.75%
from 4/01/01
to 11/02/01
(the per diem interest accruing on
this debt is $28.45 and that sum
should be added each day after
11/02/01)
Title Report
Court Costs (anticipated, excluding
Sheriff's Sale costs)
Escrow Overdraft/(Balance)
(The monthly escrow on this account
is $391.59 and that sum should
be added on the first of each
month after 11/02/01)
$96,386.53
6,313.09
250.00
280.00
391. 59
Late Charges
(monthly late charge of $65.33
should be added on the fifteenth of
each month after 11/02/01)
Prepayment Penalty
Fees Billed
Payoff Quote Fee
Satisfaction Fee
Attorneys Fees (anticipated and actual
to 5% of principal)
TOTAL
l
184.65
4,478.31
134.69
10.00
48.00
4.819.33
$113,296.19
7. The attorney's fee set forth above are in conformity with
the mortgage documents and Pennsylvania law, and will be collected
in the event of a third party purchaser at Sheriff's Sale. If the
mortgage is reinstated prior to the sale, reasonable attorney's
fees will be charged in accordance with the reduction provisions of
Act 6, if applicable.
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8. The combined notice specified by the Pennsylvania
Homeowner's Emergency Mortgage Assistance Program, Act 91 of 1983
and Notice of Intention to Foreclose under Act 6 of 1974 has been
sent to each defendant, via certified and regular mail, in
accordance with the requirements of those acts, on the date
appearing on the copy attached hereto as Exhibit "A", and made part
hereof, and defendant{s) have failed to proceed within the time
limits, or have been determined ineligible, or Plaintiff has not
been notified in a timely manner of Defendant{s) eligibility.
WHEREFORE, the Plaintiff demands judgment, in rem, against
the Defendant{s) herein in the sum of $113,296.19 plus interest,
costs and attorneys fees as more fully set forth in the Complaint,
and for foreclosure and sale of the Mortgaged premises.
~
Mark J. Udren~ESQUIRE
MARK J. UDREN & ASSOCIATES
Attorney for Plaintiff
Attorney I.D. No. 04302
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/~L THAT CERTAIN LOT OF GROUND SITUATE IN THE TOWNSHIP OF UPPER ALLEN, COUNTY OF
,
CUMBERLAND AND STATE OF PENNSYLVANIA, BOUNDED AND DESCRIBED AS FOLLOWS, TO WIT:
BEGINNING AT A POINT IN THE NORTHERN LINE OF FLORIBUNDA LANE (50 FEET WIDE) WHICH
SAID POINT IS IN THE DIVISION LINE BETWEEN LOTS NOS. 20 AND 21 ON THE HEREINAFTER
MENTIONED PLAN OF LOTS; THENCE EXTENDING ALONG THE NORTHERN LINE OF FLORIBUNDA LANE
IN AN EASTWARDLY DIRECTION BY THE ARC OF A CIRCLE CURVING TO THE RIGHT, SAID CIRCLE
HAVING A RADIUS OF 200 FEET, THE ARC DISTANCE OF 34.91 FEET TO A POINT MARKED BY A
MONUMENT; THENCE CONTINUING ALONG THE NORTHERN LINE OF FLORIBUNDA LANE, SOUTH 74
DEGREES 25 MINUTES 33 SECONDS EAST 35.75 FEET TO A POINT AT CORNER OF LOT NO. 19 ON
THE HEREINAFTER MENTIONED PLAN OF LOTS; THENCE EXTENDING ALONG THE DIVISION LINE
BETWEEN LOTS NOS. 19 AND 20 ON SAID PLAN, NORTH 15 DEGREES 34 MINUTES 27 SECONDS
EAST 131.18 FEET TO A POINT AT ,CORNER OF LOT NO. 15 ON THE HEREINAFTER MENTIONED
PLAN OF LOTS; THENCE EXTENDING ALONG THE DIVISION LINE BETWEEN LOTS NOS. 20 AND 15
AND LOTS NOS. 20 AND 14 ON SAID PLAN, NORTH 77 DEGREES 09 MINUTES 21 SECONDS WEST
100.0 FEET TO A POINT AT CORNER OF LOT NO. 21 ON THE HEREINAFTER MENTIONED PLAN OF
LOTS: THENCE EXTENDING ALONG THE DIVISION LINE BETWEEN LOTS NOS. 20 AND 21 ON SAID
PLAN, SOUTH 02 DEGREES 46 MINUTES 37 SECONDS WEST. 132.76 FEET TO A POINT IN THE
NORTHERN LINE OF FLORIBUNDA LANE, AFOREMENTIONED, AT THE POINT AND PLACE OF
BEGINNING.
BEING LOT NO. 20, BLOCK "B" ON THE PLAN OF SECTION 1 OF ROSEGARDEN, WHICH SAID PLAN
IS RECORDED IN THE CUMBERLAND COUNTY RECORDER'S OFFICE IN PLAN BOOK 27, PAGE 16.
HAVING THEREON ERECTED AN ALUMINUM AND BEICK COLONIAL BI-LEVEL HOUSE WITH TWO-CAR
GARAGE.
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OCWEN
October 01, 2001
*0000717779*
Kenneth R. Steiner
I Hl4 Flori Bunda Lane
Mechanicsburg, PAl 7055
ACT 91 NOTICE TAKE ACTION TO SAVE YOUR HOME FROM FORECLOSURE
This is an official notice that the mortgage on your home is in default, and the lender intends to foreclose. Specific information
about the nature of the default is provided in the attached pages.
IMPORTANT INFORMATION CONCERNING YOUR RIGHTS IS CONTAINED ON PAGE FOUR
The Homeowners' Emergency Mortgage Assistance Program (HEMAP) may be able to help to save your home. This notice
explains how the program works.
To see ifHEMAP can help you, you must MEET WITH A CONSUMER CREDIT COUNSELING AGENCY WITHIN 30
DAYS OF THE DATE OF THIS NOTICE. Take this Nolice with you when you meet with the counseling agency.
The name, address, and phone number of Consumer Credit Counseling Agencies serving your county are listed at the end of this
Notice. If you have any Questions, you may caII the Pennsylvania Housing Finance Agency toll free at 1-800-342-2397
(persons with impaired hearing can call 71 7-780-1869). .
La Notificaion en ad junto es de suma importancia, pues afecta su derecho a continuar viviendo en su casa. Si no comprende el
contenido de esta notificion obtenga una traduccion immediatamente lIamando e8ta agencia (Pennsylvania Housing Finance
Agency) sin cargos al numero mencionado arriba. Puedes ser elegible para un ptestamo por el prograrna llamado
"Homeowners' Emergency Mortgage Assistance Program" aI cual puede salvar su casa de la perdida del derecho a redimir su
hipoteca
LOAN ACCOUNT
CURRENT SERVICER
Kenneth R. Steiner
I 104 Flori Bunda Lane
Mechanicsburg, PAl 7055-0000.
30580120
Ocwen Federal Bank FSB
HOMEOWNER'S NAME(S) :
PROPERTY ADDRESS:
You may be eligible for fmancial assistance which can save your home from foreclosure and help you make future mortgage
payments if you comply with the provision of the Homeowners' Emergency Mortgage Assistance Act of 1983 (the "Ace'). You
may be eligible for emergency mortgage assistance:
if your default has been caused by circumstances beyond your control, you have a reasonable prospect of being
able to pay your mortgage payments and if you meet other eligibility requirements established by the Pennsylvania
Housing Finance Agency.
TEMPORARY STAY OF FORECLOSURE. Under the Act, you are entitled to a temporary stay of the foreclosure on your
mortgage for thirty (30) days from the date of this Notice. During that time you must arrange and attend a "face-to-face" meeting
with one of the designated consumer counseling agencies Iist<;d at the end of this Notice. This meeting must occur Within the next
thirty (30) days. IF YOU DO NOT APPLY FOR EMERGENCY MORTGAGE ASSISTANCE, YOU MUST BRING YOUR
MORTGAGE UP TO DATE. THE PART OF THIS NOTICE CALLED "HOW TO CURE YOUR MORTGAGE DEFAULT'
EXPLAINS HOW TO BRING YOUR MORTGAGE UP TO DATE.
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. 30580120
CONSUMER CREblT COUNSELING AGENCIES- If you attend a face-to-face meeting with one of the consumer credit
counseling agencies listed at the end of this Notice, the lender may NOT take further action against you for thirty (30) days after
the date of this meeting. The names, addresses and telephone numbers of designated consumer counseling agencies for the
county in which vour property is located are set forth at the end of this Notice. It is only necessary to schedule one face-to-face
meeting. You should advise this lender immediatelv of your intentions.
APPLICATION FOR MORTGAGE ASSISTANCE~ Your mortgage is in default for the reasons set forth later in this Notice
(see following pages for specific information about the nature of your default). If you have tried and are unable to resolve this
problem with the lender, you have the right to apply for financial assistance from the Homeowners' Emergency Mortgage
Assistance Fund. In order to do this, you must fill out, sign and file a completed Homeowners' Emergency Assistance
Application with one of the designated consumer credit counseling agencies listed at the end of this Notice. Only consumer
credit counseling agencies have applications for the program and they will assist you in submitting a completed application to
the Pennsylvania Housing Finance Agency. Your application MUST be filed or postmarked within thirty (30) days of your
face-to-face meeting.
YOU MUST FILE YOUR APPLICA TION PROMPTLY. IF YOU FAlL TO DO SO OR IF YOU DO NOT FOLLOW THE
OTHER TIME PERIODS SET FORTH IN THIS LEITER, FORECLOSURE MAY PROCEED i\GAINST YOUR HOME
IMMEDIATELY AND YOUR APPLICATION FOR MORTGAGE ASSISTANCE WILL BEDENIED~
AGENCY ACTION- Available funds for emergericy mortgage assistance are very limited. They will be disbursed by the
Agency under the eligibility criteria established by the Act. The Pennsylvania Housing finance Agency has sixty (60) days to
make a decision after it receives you application. During that additional time, no loreclosure proceedings will be pursued
against you if you have met the time requirements set forth above. You will be notified directly by the Agency of its decision on
your application.
NOTE: IF YOU ARE CURRENTLY PROTECTED BY THE FILIN~OF A PETITION IN BANKRUPTCY, THE FOLLOWING PART OF THIS
NOTICE IS FOR INFOItMATION PURPOSES ONLY AND SHOULD NOT BE CONSIDERED AS AN ATTEMPT TO COLLECT THE DEBT.
(If you have filed bankruptcy you can still apply for Emergency Mortgage Assistance)
HOW TO CURE YOUR MORTGAGE DEF AUL T(Bring it up to date).
NATURE OF.THE DEF AUL T - The MORTGAGE debt held by the above lender on your property located at 1104
Flori Bunda Lane Mechanicsburg, PA 17055-0000 IS SERIOUSLY IN DEFAULT because :
,
YOU HA VB NOT MADE MONTHLY MORTGAGE PAYMENTS for the following months and the following
amounts are now past due:
(a) 5 Payments
(b) Late charge(s) :
(c) Other charge(s): NSF & Advances
(d) Less: Credit Balance
(e) Total amount required as of 09/29/2001:
$6,311.54
$123.10
$130.40
$.00
$6,565.04
YOU HA VB FAILED TO TAKE THE FOLLOWING ACTION (if applicable) :
HOW TO CURE THE DEFAULT- You may cure this default within THIRTY (30) days from the date of this letter BY
PAYING THE TOTAL AMOUNT PAST DUE TO LENDER, WHICH IS $6,565.04, PLUS ANY MORTGAGE
PAYMENTS AND LATE CHARGES (and other charges) WHICH BECOME DUE DURING THE THIRTY (30)
DAY PERIOD. Payments must be made either by cash, cashier's check, certified check, or money order made payable
to Oewen Federal Bank FSB at PO BOX 514577, LOS ANGELES, CA 90051-4577.
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Page three
30580120
IF YOU DO NOT CURE THE DEFAULT. If you do not cure the default within THIRTY (30) days of
this letter date, the lender intends to exercise its right to accelerate the mortgage debt. This means that the
entire outstanding balance of this debt will be considered due immediately, and you may lose the chance
to pay the mortgage in monthly installments. If full payment of the amount of default is not made within
THIRTY (30) days of the letter date, Ocwen Federal Bank FSB also intends to instruct their attomeys to start
a legal action to foreclose upon yourmort~a~ed property.
IF THE MORTGAGE IS FORECLOSED UPON-. The mortgaged property will be sold by the Sheriff to
payoff the mortgage debt. If the lender refers your case to its attorneys, but you cure the delinquency
before they begin legal proceedings against you, you will have to pay the reasonable attorney's fees
actually incurred up to $50.00. However, iflegal proceedings are started against you, you will have to pay
the reasonable attorney's fees actually incurred even if they are over $50.00. Any attorney's fees will be
added to the amount you owe the lender, which may also include their reasonable costs. If you cure the
default within the THIRTY (30)DA Y period, you will not be required to pay attorneys' fees.
OTHER LENDER REMEDIES- The lender may also sue you personally for the unpaid principal balance,
and all other sums due under the Mortgage.
RIGHT TO CURE THE DEF AUL T PRIOR TO SHERIFF'S SALE- If you have not cured the default within the THIRTY
(30) day period and foreclosure proceedings have begun, you still have the right to cure the default and prevent the sale at any
time up to one hour before the Sheriff's Sale. You may do so by paying the total amount then past due plus any late charges,
charges then due, reasonable attorneys' fees and costs connected with the foreclosure sale and any other costs connected with
the Sheriff's Sale as specified in writing by the lender and by performing any other requirements under the mortgage. Curing
your default in the manner set forth in this Notice will restore your mortgage to the same position as if you had never
defaulted.
EARLIEST POSSIBLE SHERIFF'S SALE DA TE- It is ,stitnated that the earliest date that such sheriff's sale could be held is
would be approximately five (5) months from the date of this Notice. A notice of the actual date of the Sheriff's Sale will be
sent to you before the sale. Of course, the amount needed to cure the default will increase the longer you wait. You may fmd
out at any time exactly what the required payment or action will be by contacting the lender.
HOW TO CONTACT THE LENDER
Ocwen Federal Bank FSB
12650 Ingenuity Drive, Orlando, FL 32826
(800) 746-2936
Name of Lender:
Address:
Telephone Number:
,
EFFECT OF SHERIFF'S SALE- You should realize that a sheriff's sale will end your ownership of the mortgaged property
and your right to occupy it. If you continue to live in the property after the sheriff's sale, a lawsuit to remove you and your
furniture and other belongings could be started by the lender at any time.
ASSUMPTION OF MORTGAGE- You may not sell or transfer your home to a buyer or transferee who will assume the
mortgage debt, provided that all the outstanding payments, charges and attorneys' fees and costs are paid prior to or at the sale
and that the other requirements of the mortgage are satisfied.
YOU MAY ALSO HAVE THE RIGHT
To sell the property to obtain money to payoff the mortgage dabt, or borrower money from another lending
institution to payoff this debt.
To have this default cured by any third party acting on your behalf.
To have the mortgage restored to the same position as if no default had occurred. (However, you are not entitled to
this right more than three times in a calendar year).
To assert the nonexistence of a default in any foreclosure proceeding or any other lawsuit instituted under the
mortgage documents.
To assert any other defense you believe you may have to such action by the lender.
To seek protection under the federal bankruptcy law.
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Page four
30580120
Ocwen Federal Bank FSB is attempting to collect a debt, and any information obtained will be used
for that purpose.
Federal law gives you thirty days after you receive this letter to dispute the validity of this debt
or any part of it. If you notify us in writing at the below:address within the thirty day period
that the debt, or any portion thereof, is disputed, we will:
1) Provide to you, upon your written request, verification of the debt or a copy of any
judgment entered against you.
2) Provide to you, upon your written request, the name and address of your original
creditor, if the original creditor is different from the current creditor
Unless you dispute the debt within that 30 day period, we will assume that it is valid.
Sincerely,
Ocwen F edera1 Bank FSB
/
/
Ocwen Federal Bank FSB, P.O. Box 24737, West Palm Beach, FL 33416 Phone (800) 746-2936
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OCWEN
October 01, 2001
'0000717780'
Sun Cha Steiner
1104 Flori Bunda Ln
Mechanicsburg, P A 17055
ACT 91 NOTICE TAKE ACTION TO SAVE YOUR HOME FROM FORECLOSURE
This is an official notice that the mortgage on your honie is in default, and the lender intends to foreclose. Specific information
about the nature of the default is provided in the attached pages.
IMPORTANT INFORMATION CONCERNING YOUR RIGHTS IS CONTAINED ON PAGE FOUR
The Homeowners' Emergency Mortgage Assistance Program (HEMAP) may be able to help to save your home. This notice
explains how the program works.
To see ifHEMAP can help you. you must MEET WITH A CONSUMER CREDIT COUNSELlNG AGENCY WITHlN 30
DAYS OF THE DATE OF THIS NOTICE. Take this Notice with you when you meet with the counseling agency.
The name. address, and phone number of Consumer Credit Counseling Agencies serving your county are listed at the end of this
Notice. If you have any Questions. you may call the Pennsylvania Housing Finance Agency toll free at 1-800-342-2397
(persons with impaired hearing can call 717.780-1869).
La Notificaion en adjunto es de suma importancia, pues afecta su derecho a continuar viviendo en su casa. Si no comprende el
contenido de esta notificion obtenga una traduccion immediatamente lIamando esl:a agencia (Pennsylvania Housing Finance
Agency) sin cargos aI numero mencionado arriba. Puedes ser elegible para un pllestamo por el programa lIamado
"Homeowners' Emergency Mortgage Assistance Program" aI cual puede salvar su casa de la perdida del derecho a redimir su
hipoteca.
LOAN ACCOUNT
CURRENT SERVICER
Sun Cha Steiner
1104 Flori Bunda Lane
Mechanicsburg, P A 17055-0000
30580120
Ocwen Federal Bank FSB
HOMEOWNER'S NAME(S) :
PROPERTY ADDRESS:
You may be eligible for [mancial assistance which can save your home from foreclosure and help vou make future mortgage
I>avrnents if you comply with the provision of the Homeowners' Emergency Mortgage Assistance Act of 1983 (the "Act''). You
may be eligible for emergency mortgage assistance:
if your default has been caused by circumstances beyond your control, you have a reasonable prospect of being
able to pay your mortgage payments and if you meet other eligibility requirements established by the Pennsylvania
Housing Finance Agency.
TEMPORARY STAY OF FORECLOSURE- Under the Act, you are entitled to a temporary stay of the foreclosure on your
mortgage for thirty (30) days from the date of this Notice. During that time you must'arrange and a~end a "face-to-face" meeting
with one of the desigriated'consumer counseling agencies listed at the end of this Notice. \ This meeting must occur within the next
thirty (30) days. IF YOU DO NOT APPLY FOR EMERGENCY MORTGAGE ASSISTANCE. YOU MUST BRING YOUR
MORTGAGE UP TO DATE. THE PART OF TIllS NOTICE CALLED "HOW TO CURE YOUR MORTGAGE DEFAULT"
EXPLAINS HOW TO BRING YOUR MORTGAGE UP TO DATE.
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Page two
CONSUMER CREDIT COUNSELING AGENCIES- If you attend a face-to-face meeting with one of the consumer credit
counseling agencies listed at the end of this Notice, the lender may NOT take further action against you for thirty (30) days after
the date of this meeting. The names, addresses and telephone numbers of designated consumer counseling agencies for the
county in which your properlY is located are set forth at the end of this Notice. It is only necessary to schedule one face-to-face
meeting. You should advise this lender immediately of your intentions.
APPLICA nON FOR MORTGAGE ASSISTANCE- Your mortgage is in default for the reasons set forth later in this Notice
(see following pages for specific information about the nature of your default). If you have tried and are unable to resolve this
problem with the lender, you have the right to apply for fmancial assistance from the HomeoWl1ers' Emergency Mortgage
Assistance Fund. In order to do this, you must fill out, sign and file a completed Homeowners' Emergency Assistance
Application with one of the designated consumer credit counseling agencies listed at the end of this Notice. Only consumer
credit counseling agencies have applications for the program and they will assist you in submitting a completed application to
the pennsylvania Housing Finance Agency. Your application MUST be filed or postmarked within thirty (30) days ofyoul"
face-to-face meeting.
YOU MUST FILE YOUR APPLICATION PROMPTLY. IF YOU FAIL TO DO SO OR IF YOU DO NOT FOLLOW THE
OTHER TIME PERIODS SET FORTH IN THIS LETTER, FORECLOSURE MAY PROCEED AGAINST YOUR HOME
IMMEDIATELY AND YOUR APPLICA nON FOR MORTGAGE ASSISTANCE WILL BE DENIED.
AGENCY ACTION- Available funds for emergency mortgage assistance are very limited. They will be disbursed by the
Agency under the eligibility criteria established by the Act. The Pennsylvania Housing finance Agency has sixty (60) days to
make a decision after it receives you application. During that additional time, no foreclosure proceedings will be pursued
against you if you have met the time requirements set forth above. You will be notified directly by the Agency of its decision on
your application.
NOTE: IF YOU ARE CURRENTLY PROTECTED BY THE FI.LING OF A PETITION IN BANKRUPTCY, TIlE FOLLOWING PART OF THIS
NOTICE IS FOR INFORMATION PURPOSES ONLY AND SHOUL6 NOT BE CONSIDERED AS AN ATIEMPT TO COLLECT THE DEBT.
(If you have filed bankruptcy you can still apply for Emergency Mortgage Assistance)
HOW TO CURE YOUR MORTGAGE DEF AUL T(Bring it UP to date).
NATURE OF THE DEFAULT - The MORTGAGE debt held by the above lender on your property located at 1104
Flori Bunda Lane Mechanicsburg, P A 17055-0000 IS SERIOUSLY IN DEFAULT because:
YOU HAVE NOT MADE MONTHLY MORTGAGE PAYMENTS for Ibe following months and the following
amounts are now past due :
(a) 5 Payments
(b) Late chargee s) :
(c) Other chargers): NSF & Advances
(d) Less: Credit Balance
(e) Total amount required as of 09/29/2001 :
$6,311.54
$123.10
$130.40
$.00
$6,565.04
YOU HA VB FAILED TO TAKE THE FOLLOWING ACTION (if applicable) :
HOW TO CURE THE DEFAULT- You may cure this default within THIRTY (30) days from the date of this letter BY
PAYING THE TOTAL AMOUNT PAST DUE TO LENDER, WHICH IS $6,565.04, PLUS ANY MORTGAGE
PAYMENTS AND LATE CHARGES (and other charges) WHICH BECOME DUE DURING THE THIRTY (30)
DAY PERIOD. Payments m!'st be made either by cash, cashier's check, certified check, or money order made payable
to Oewen Federal Bank FSB at PO BOX 514577, LOS ANGELES, CA 90051-4577.
/
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Page three
30580120
IF YOU DO NOT CURE THE DEFAULT- If you do not cure the default within THIRTY (30) days of
this letter date, the lender intends to exercise its right to accelerate the mortgage debt. This means that the
entire outstanding balance of this debt will be considered due immediately, and you may lose the chance
to pay the mortgage in monthly installments. If full payment of the amount of default is not made within
THIRTY (30) days of the letter date, Ocwen Federal Bank FSB also intends to instruct their attorneys to start
a legal action to foreclose upon yourmortgaged property.
IF TIlE MORTGAGE IS FORECLOSED UPON-. The mortgaged property will be sold by the Sheriff to
payoff the mortgage debt. If the lender refers your case to its attorneys, but you cure the delinquency
before they begin legal proceedings against you, you will have to pay the reasonable attorney's fees
actually incurred up to $50.00. However, iflegaJ proceedings are started against you, you will have to pay
the reasonable attorney's fees actually incurred even if they are over $50.00. Any attorney's fees will be
added to the amount you owe the lender, which may also include their reasonable costs. If you cure the
default within the THIRTY (30)DA Y period, you will not be required to pay attorneys' fees.
OTIlER LENDER REMEDIES- The lender may also sue you personally for the unpaid principal balance,
and all other sums due under the Mortgage.
RIGHT TO CURE THE DEFAULT PRIOR TO SHERIFF'S SALE- If you have not cured the default within the TIlIRTY
(30) day period and foreclosure proceedings have begun, you still have the right to cure the default and prevent the sale at any
time up to one hour before the Sheriffs Sale. You may do so by paying the total amount then past due plus any late charges,
charges then due, reasonable attorneys' fees and costs connected with the foreclosure sale and any other costs connected with
the Sheriff's Sale as specified in writing by the lender and by performing any other requirements under the mortgage. Curing
your default in the manner set forth in this Notice will restore your mortgage to the same position as if you had never
defaulted.
EARLIEST POSSIBLE SHERIFF'S SALE DATE- It is I'stimated that the earliest date that such sheriff's sale could be held is
would be approximately five (5) months from the date of this Notice. A notice of the actual date of the Sheriff's Sale will be
sent to you before the sale. Of course, the amount needed to cure the default will increase the longer you wait. You may find
out at any time exactly what the required payment or action will be by contacting the lender.
HOW TO CONTACT THE LENDER
Ocwen Federal Bank FSB
12650 Ingenuity Drive, Orlando, FL 32826
(800) 746-2936
Name of Lender:
Address:
Telephone Number:
EFFECT OF SHERIFF'S SALE- You should realize that a sheriff's sale will eltd your ownership of the mortgaged property
and your right to occupy it. If you continue to live in the property after the sheriffs sale, a lawsuit to remove you and your
furniture and other belongings could be started by the lender at any time.
ASSUMPTION OF MORTGAGE- You may not sell or transfer your home to a buyer or transferee who will assume the
mortgage debt, provided that all the outstanding payments, charges and attorneys' fees and costs are paid prior to or at the sale
and that the other requirements of the mortgage ate satisfied. .
YOU MAY ALSO HAVE THE RIGHT
To sell the property to obtain money to payoff the mortgage debt, or borrower money from another lending
institution to payoff this debt.
To have this default cured by any third party acting on your behalf.
To have the mortgage restored to the same position as if no default had occurred. (However, you are not entitled to
this right more than three times in a calendar year).
To assert the nonexistence of a default in any foreclosure proceeding or any other lawsuit instituted under the
mortgage documents.
To assert any other defense you helieve you may have to such action by the lender.
To seek protection under the federal bankruptcy law.
/
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Page four
30580120
Ocwen Federal Bank FSB is attemptiJig to collect a debt, and any information obtained will be used
for that purpose.
Federal law gives you thirty days after you receive this letter to dispute the validity of this debt
or any part of it. If you notify us in writing at the below address within the thirty day period
that the debt, or any portion thereof, is disputed, we will:
1) Provide to you, upon your written request, verification of the debt or a copy of any
judgment entered against you.
2) Provide to you, upon your written request, the name and address of your original
creditor, if the original creditor is different from the current creditor
Unless you dispute the debt within that 30 day period, we will assume that it is valid.
Sincerely,
Ocwen Federal Bank FSB
,
\
/
/
Ocwen Federal Bank FSB, P.O, Box 24737, West Palm Beach, FL 33416 Phone (gOO) 746-2936
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V E R I F I CAT ION
Mark J. Udren, Esquire, hereby states that he is the attorney
for the Plaintiff, a corporation unless designated otherwise; that
he is authorized to take this Verification and does so because of
the exigencies regarding this matter, and because Plaintiff must
verify much of the information through agents, and because he has
personal knowledge of some of the facts averred in the foregoing
pleading; and that the statements made in the foregoing pleading
are true and correct to the best of his knowledge, information and
belief and the source of his information is public records and
reports of Plaintiff's agents. The undersigned understands that
this statement herein is made subject to the penalties of 18
Pa.C.S. Section 4904 relating to unsworn falsification to
authorities.
~
Mark J. Udren, ESQUIRE
MARK J. UDREN & ASSOCIATES
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PENNSYLVANIA
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren, Esquire
ATTY LD. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National
Association, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
Corporation Mortgage Pass-
Through Certificates, Series
1999-BC1
c/o Moss, Codilis Stawiarski,
Morris, Schneider, & Prior,
LLP
P.O. Box 24737
West Palm Beach, FL 33416-4737
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Floribunda Ln.
Mechanicsburg, PA 17055
Defendant(s)
"WE HEREBY CERTIFY THE
WITHIN TO ell! TRILl/! AND AI'--'
CORRECT COPV OF THE ORIGINAL'"
ATTORNEY FOR PLAINTIFF
. COURT OF COMMON PLEAS
: CIVIL DIVISION
.
: CUmberland County
:NO. Oi~ (Pm
COMPLAINT IN MORTGAGE FORECLOSURE
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YOU HAVE BEEN SUED IN COURT. If you wish to defend against the
claims set forth in the following pages, you must take action
within twenty (20) days after this Complaint and Notice are served,
by entering a written appearance personally or by attorney and
filing in writing with the Court your defenses or objections to the
claims set forth against you. You are warned that if you fail to
do so the case may proceed without you and a judgment may be
entered against you by the Court without further notice for any
money claimed in the Complaint or for any other claim or relief
requested by the Plaintiff. You may lose money or property or
other rights important to you.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT
RAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE
SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
LAWYERS REFERRAL SERVICE
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013-3387
717-249-3166 or 800-990-9108
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AVISO
Le han demandado a usted en la corte. Si usted quiere defenderse
de estas demandas expuestas en las paginas siguientes, usted tiene
veinte (20) dias de plazo al partir de la fecha de la demanda y la
notificacion. Hace falta ascentar una comparencia escrita 0 en
persona 0 con un abogado y entregar a la corte en forma escrita sus
defensas 0 sus objeciones alas demandas en contra de su persona.
Sea avisado que si usted no se dafiende, la corte tomara medidas y
puede continuar la demanda en contra suya sin previa aviso 0
notificacion. Ademas, la corte puede decidir a favor del
demandante y requiere que usted cumpla con todas las provisiones de
esta demanda. Usted puede perder dinero 0 sus propiedades U otros
derechos importantes para usted.
LLEVE ESTA DEMANDA A UN ABOGADO IMMEDIATAMENTE, SI NO TIENE ABOGADO
o SI NO TIENE EL DINERO SUFICIENTE DE PAGAR TAL SERVICIO, VAYA EN
PERSONA 0 LLAME POR TELEFONO A LA OFICINA CUYA DIRECCION SE
ENCUENTRA ESCRITA ABAJO PARA AVERIGUAR DONDE SE PUEDE CONSEGUIR
ASISTENCIA LEGAL.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, P A 17013-3387
717-249-3166 or 800-990-9108
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NOTICE
The amount of your debt is as stated in the attached document. The name of the creditor
to whom the debt is owed is as named in the attached document. Unless you notify us within
30 days after receipt of this Notice and the attached document that the validity of the stated
debt, or any portion of it, is disputed, we will assume that the debt is valid. If you do notify
us in writing of a dispute within the 30 day period, we will obtain verification of the debt or
a copy of a judgment against you, and mail it to you. If you do not dispute the debt, it is not
an admission of liability on your part. Also, upon your written request within the 30 day
period, we will provide you with the name and address of the original creditor if different from
the current creditor.
If you notify us in writing within the 30 day period as stated above, we will cease collection
of your debt, or any disputed portion of it, until we obtain the information that is required
and mail it to you. Once we have mailed to you the required information, we will then
continue the collection of your debt.
This law firm is deemed to be a debt collector and this Notice and the attached document is
,
an attempt to collect a debt, and any information obtained will be used for that purpose.
LAW OFFICES OF MARK J. UDREN
Mark J. Udren, Esquire
1040 N. Kings Highway, Suite 500
Cherry Hill, NJ 08034
(856) 482-6900
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1. Plaintiff is the Corporation designated as such in the
caption on a preceding page. If Plaintiff is an assignee then it
is such by virtue of the following recorded assignments:
Assignor: Ameriquest Mortgage Company
Assignee: First Union National Bank,
Asset securities Corporation Mortgage
Series 1999-BC1
Recording Date: 3/9/01
As Trustee For Structured
pass-Through Certificates,
Book: 688 Page: 845
Assignor: First Union National Bank, As Trustee For Structured
Asset Securities Corporation Mortgage Pass-Through Certificates,
Series 1999-BCl
Assignee: Bank One, National Association, As Trustee f/k/a The
First National Bank of Chicago, As Trustee for Structured Asset
Securities Corporation Mortgage Pass-Through Certificates, Series
1999-BC1
Recording Date: Lodged For Recording
2. Defendant(s) is the individual designated as such on the
caption on a preceding page, whose last known address is as set
forth in the caption, and unless designated otherwise, is the real
owner(s) and mortgagor(s) of the premises being foreclosed.
3. On or about the date appearing on the Mortgage
hereinafter described, at the instance and request of Defendant(s),
Plaintiff (or its predecessor, hereinafter called Plaintiff) loaned
to the Defendant (s) the sum appearing on said Mortgage, which
Mortgage was executed and delivered to Plaintiff as security for
the indebtedness. Said Mortgage is incorporated herein by'
reference in accordance with PA.R.C.P. 1019 (g).
The information regarding the Mortgage being foreclosed is as
follows:
MORTGAGED PREMISES: 1104 Floribunda Ln
MUNICIPALITY/TOWNSHIP/BOROUGH: Township of Upper Allen
COUNTY: Cumberland
DATE EXECUTED: 6/25/98
DATE RECORDED: 7/9/98 BOOK: 1467 PAGE: 44
The legal description of the mortgaged premises is attached hereto
and made part hereof.
4. Said Mortgage is in default because the required payments
have not been made as set forth below, and by its terms, upon
breach and failure to cure said breach after notice, all sums
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secured by said Mortgage, together with other charges authorized by
said Mortgage itemized below, shall be immediately due.
5. After demand, the Defendant(s) continues to fail or
refuses to comply with the terms of the Note as follows:
(a) by failing or refusing to pay the installments of
principal and interest when due in the amounts indicated
below;
(b) by failing or refusing to pay other charges, if any,
indicated below.
6. The following amounts are due on the said Mortgage as of
11/2/01:
Principal of debt due and unpaid
Interest at 10.75%
from 4/01/01
to 11/02/01
(the per diem interest accruing on
this debt is $28.45 and that sum
should be added each day after
11/02/01)
$96,386.53
Title Report
Court Costs (anticipated, excluding
Sheriff's Sale costs)
Escrow Overdraft/(Balance)
(The monthly escrow on this account
is $391.59 and that sum should
be added on the first of each
month after 11/02/01)
Late Charges
(monthly late charge of $65.33
should be added on the fifteenth of
each month after 11/02/01)
Prepayment Penalty
Fees Billed
Payoff Quote Fee
Satisfaction Fee
Attorneys Fees (anticipated and actual
to 5% of principal)
TOTAL
6,313.09
250.00
280.00
391. 59
.
184.65
4,478.31
134.69
10.00
48.00
4.819.33
$113,296.19
7. The attorney's fee set forth above are in conformity with
the mortgage documents and Pennsylvania law, and will be collected
in the event of a third party purchaser at Sheriff's Sale. If the
mortgage is reinstated prior to the sale, reasonable attorney's
fees will be charged in accordance with the reduction provisions of
Act 6, if applicable.
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8. The combined notice specified by the Pennsylvania
Homeowner's Emergency Mortgage Assistance program, Act 91 of 1983
and Notice of Intention to Foreclose under Act 6 of 1974 has been
sent to each defendant, via certified and regular mail, in
accordance with the requirements of those acts, on the date
appearing on the copy attached hereto as Exhibit "A", and made part
hereof, and defendant(sl have failed to proceed within the time
limits, or have been determined ineligible, or Plaintiff has not
been notified in a timely manner of Defendant(s) eligibility.
WHEREFORE, the Plaintiff demands judgment, in rem, against
the Defendant(s) herein in the sum of $113,296.19 plus interest,
costs and attorneys fees as more fully set forth in the Complaint,
and for foreclosure and sale of the Mortgaged premises.
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Mark J. Udren~ ESQUIRE
MARK J. UDREN & ASSOCIATES
Attorney for Plaintiff
Attorney I.D. No. 04302
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dTHAT CERTAIN LOT OF GROUND SITUATE IN THE TOWNSHIP OF UPPER ALLEN, COUNTY OF
,
" CUMBERLAND AND STATlil OF PENNSYLVANIA, BOUNDED AND DESCRIBED AS FOLLOWS, TO WIT:
i
BEGINNING AT A POINT IN THE NCRTHlilRN LINE OF FLORIBUNDA LANE (50 FEET WIDE) WHICH
SAID POINT IS IN THlil DIVISION LINE BETWEEN LOTS NOS. 20 AND 21 ON THE HEREINAFTER
MENTIONED PLAN OF LOTS; THENCE EXTENDING ALONG THE NORTHlilRN LINE OFFLORIBUNDA LANE
IN AN EASTWARDLY DIRECTION BY THE ARC OF A CIRCLE CURVING TO THE RIGHT, SAID CIRCLE
HAVING A RADIUS OF 200 FEET, THE ARC DISTANCE OF 34.91 FElilT TO A PPI:NT MARKED BY A
MONUMENT; THlilNClil CONTINUING ALONG THE NORTHERN LINE OF FLORI BUNDA LANE, SOUTH 74
DEGREES 25 MINUTES 33 SECONDS EAST 35.75 FEET TO A POINT AT CORNlilR OF LOT NO. 19 ON
THE HEREINAFTlilR MENTIONED PLAN OF LOTS; THENCE EXTENDING ALONG THE DIVISION LINE
BETWEEN LOTS NOS. 19 AND 20 ON SAID PLAN, NORTH 15 DEGREES 34 MINUTES 27 SECONDS
EAST 131.18 FEET TO A POINT AT CORNER OF LOT NO. 15 ON THE HEREINAFTER MENTIONED
PLAN OF LOTS; THENCE EXTENDING ALONG THlil DIVISION LINE BlilTWElilN LOTS NOS. 20 AND 15
AND !'OTS NOS. 20 AND 14 ON SAID PLAN, NORTH 77 DEGRElilS 09 MINUTES 21 SECONDS WEST
100.0 FEET TO A POINT AT CORNER OF LOT NO. 21 ON THE HlilRlilINAFTER MENTIONED PLAN OF
LOTS; THENCE' EXTENDING ALONG THE DIVISION LINE BETWEEN LOTS NOS. 20 ,AND 21 ON SAID
PLAN, SOUTH 02 DEGREES 46 MINUTES 37 SlilCONDS WEST 132.76 FEET TO A POINT IN THE
NORTHERN LINE OF FLORIBUNDA LANE, AFOREMENTIONED, AT THE POINT AND PLACE OF
BEGINNING.
BEINQ LOT NO. 20, BLOCK "B" ON THE PLAN OF SECTION 1 OF ROSEGARDEN. WHICH SAID PLAN
IS RECORDED IN THE CUMBERLAND COUNTY RlilCORDER'S OFFICE IN PLAN BOOK 27. PAGE 16.
HAVING THEREON ERECTED AN ALUMINUM AND BEICK COLONIAL BI-LEVEL HOUSlil WITH TWO-CAR
GARAQE.
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OCWEN
October 0 I, 200 I
-0000717779-
Kenneth R. Steiner
I Hl4 Flori Bunda Lane
Mechanicsburg, P A 17055
ACT 91 NOTICE TAKE ACTION TO SAVE YOUR HOME FROM FORECLOSURE
This is an official notice that the mortgage on your home is in default,. and the lender intends to foreclose. Specific information
about the nature of the default is provided in the attached pages.
IMPORTANT INFORMATION CONCERNING YOUR RIGHTS IS CONTAINED ON PAGE FOUR
The Homeowners' Emergency Mortgage Assistance Program (REMAP) may be able to help to save your home. This notice
explains how the program works.
To see ifHEMAP can help vou. you must MEET WITH A CONSUMER CREDIT COUNSELING AGENCY WITHIN 30
DAYS OF THE DATE OF THIS NOTICE. Take this Notice with you when you meet with the counseling agency.
The name. address, and phone number of Consumer Credit Counseling Agencies serving your county are listed at the end of this
Notice. Ihou have any Questions, you may call the Pennsylvania Housing Finance Agency toll free at 1.800-342-2397
(persons with impaired hearing can call 717-780-1869).
La Notificaion en ad junto es de suma importancia, pues afecta su derecho a continuar viviendo en su casa. Si no comprende el
contenido de esta notificion obtenga una traduccion inunediatamente llamando e8ta agencia (Pennsylvania Housing Finance
Agency) sin cargos al numero mencionado arriba. Puedes ser elegible para un ptestamo por el programa lIamado
"Homeowners' Emergency Mortgage Assistance Program" al cual puede salvar su casa de la perdida del derecho a redimir su
hipoteca.
LOAN ACCOUNT
CURRENT SERVICER
Kenneth R. Steiner
1104 Flori Bunda Lane
Mechanicsburg, P A 17055-0000,
30580120
Ocwen Federal Bank FSB
HOMEOWNER'S NAME(S) :
PROPERTY ADDRESS:
You may be eligible for fmancial assistance which can save your home from foreclosure and help you make future mortgage
payments if you comply with the provision of the Homeowners' Emergency Mortgage Assistance Act of 1983 (the "Act"). You
may be eligible for emergency mortgage assistance:
if your default has been caused by circumstances beyond your control, you have a reasonable prospect of being
able to pay your mortgage payments and if you meet other eligibility requirements established by the Pennsylvania
Housing Finance Agency.
TEMPORARY STAY OF FORECLOSURE- Under the Act, you are entitled to a temporary stay of the foreclosure on your
mortgage for thirty (30) days from the date of this Notice. During that time you must arrange and attend a "face-to. face" meeting
with one of the designated consumer counseling agencies list~ at the end of this Notice. This meeting must occurwitbin the next
thirty (30) days. IF YOU DO NOT APPLY FOR EMERGENCY MORTGAGE ASSISTANCE. YOU MUST BRING YOUR
MORTGAGE UP TO DATE. THE PART OF THIS NOTICE CALLED "HOW TO CURE YOUR MORTGAGE DEFAULT'
EXPLAINS HOW TO BRING YOUR MORTGAGE UP TO DATE.
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Page two
30580120
CONSUMER CREDIT COUNSELING AGENCIES- If you attend a face-ta-face meeting with one of the consumer credit
counseling agencies listed at the end of this Notice, the lender may NOT take further action against you for thirty (30) days after
the date of this meeting. The names, addresses and telephone numbers of designated consumer counseling agencies for the
county in which your properlY is located are set forth at the end of this Notice. It is only necessary to schedule one face-to-face
meeting. You should advise this lender immediately of your intentions.
APPLICATION FOR MORTGAGE ASSIST ANCE~ Your mortgage is in default for the reasons set forth later in this Notice
(see following pages for specific information about the nature of your default). If you have tried and are unable to resolve this
problem with the lender, you have the right to apply for financial assistance from the Homeowners' Emergency Mortgage
Assistance Fund. In order to do this, you must fill out, sign and file a completed Homeowners' Emergency Assistance
Application with one of the designated consumer credit counseling agencies listed at the end of this Notice. Only consumer
credit counseling agencies have applications for the program and they will assist you in submitting a completed application to
the Pennsylvania Housing Finance Agency. Your application MUST be filed or postmarked within thirty (30) days of your
face-ta-face meeting.
YOU MUST FILE YOUR APPLICATION PROMPTLY. IF YOU FAIL TO DO SO OR IF YOU DO NOT FOLLOW THE
OTHER TIME PERIODS SET FORTH IN THIS LETTER, FORECLOSURE MAY PROCEED AGAINST YOUR HOME
IMMEDIATELY AND YOUR APPLICATION FOR MORTGAGE ASSISTANCE WILL BE DENIED.
AGENCY ACTION- Available funds for emergency mortgage assistance are very limited. They will be disbursed by the
Agency under the eligibility criteria established by the Act. The Pennsylvania Housing finance Agency has sixty (60) days to
make a decision after it receives you application. During that additional time, no foreclosure proceedings will be pursued
against you if you have met the time requirements set forth above. You will be notified directly by the Agency of its decision on
your application.
NOTE: IF YOU ARE CURRENTLY PROTECfED BY THE FILINc,OF A PETITION IN BANKRUPTCY, THE FOLLOWING PART OF THIS
NOTICE IS FOR INFORMATION PURPOSES ONLY AND SHOULD NOT BE CONSIDERED AS AN ATIEMPT TO COLLECf THE DEBT.
(If you have filed bankruptcy you can still apply for Emergency Mortgage Assistance)
HOW TO CURE YOUR MORTGAGE DEFAULT(Bring it up to date).
NATURE OF THE DEFAULT - The MORTGAGE debt held by the above lender on your property located at 1104
Flori Bunda Lane Mechanicsburg, PA 17055.0000 IS SERIOUSLY IN DEFAULT because:
.
YOU HAVE NOT MADE MONTHLY MORTGAGE PAYMENTS for the following months and the following
amounts are now past due:
(a) 5 Payments
(b) Late chargee s) :
(c) Other chargers): NSF & Advances
(d) Less: Credit Balance
(e) Total amount required as of 09/29/200 1 :
$6,311.54
$123.10
$130.40
$.00
$6,565.04
YOU HAVE FAILED TO TAKE THE FOLLOWING ACTION (ifapplicable) :
HOW TO CURE THE DEFAULT- You may cure this default within THIRTY (30) days from the date of this letter BY
PAYING THE TOTAL AMOUNT PAST DUE TO LENDER, WHICH IS $6,565.04, PLUS ANY MORTGAGE
PAYMENTS AND LATE CHARGES (and other charges) WHICH BECOME DUE DURING THE THIRTY (30)
DAY PERIOD. Payments must be made either by cash, cashier's check, certified check, or money order made payable
to OcwenFederalBankFSB at PO BOX 514577, LOS ANGELES, CA 90051-4577.
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Page three
30580120
IF YOU DO NOT CURE THE DEFAULT- If you do not cure the default within THIRTY (30) days of
this letter date, the lender intends to exercise its rieht to accelerate the morteaee deht. This means that the
.entire outstanding balance of this debt will be considered due immediately, and you may lose the chance
to pay the mortgage in monthly installments. If full payment of the amount of default is not made within
THIRTY (30) days of the letter date, Ocwen Federal Bank FSB also intends to instruct their attorneys to start
a legal action to foreclose upon yourmorteaged propertY.
IF THE MORTGAGE IS FORECLOSED UPON.. The mortgaged property will be sold by the Sheriff to
pay off the mortgage debt. If the lender refers your case to its attorneys, but you cure the delinquency
before they begin legal proceedings against you, you will have to pay the reasonable attorney's fees
actually incurred up to $50.00. However, iflegal proceedings are started against you, you will have to pay
the reasonable attorney's fees actually incurred even if they are over $50.00. Any attorney's fees will be
added to the amount you owe the lender, which may also include their reasonable costs. If you cure the
default within the THIRTY (30)DA Y period. you will not be required to pay attorneys' fees.
OTHER LENDER REMEDIES- The lender may also sue you personally for the unpaid principal balance,
and all other sums due under the Mortgage.
RIGHT TO CURE THE DEFAULT PRIOR TO SHERIFF'S SALE- If you have not cured the default within the THIRTY
(30) day period and foreclosure proceedings have begun, you still have the right to cure the default and prevent the sale at any
time up to one hour before the Sheriff's Sale. You may do so by paying the total amount then past due plus any late charges,
charges then due, reasonable attorneys' fees and costs connected with the foreclosure sale and any other costs connected with
the Sheriff's Sale as specified in writing by the lender and by perfonning any other requirements under the mortgage. Curing
your default in the manner set forth in this Notice will restore your mortgage to the same position as if you had never
defaulted.
EARLIEST POSSIBLE SHERIFF'S SALE DA TE- It is tstitnated that the earliest date that such sheriff's sale could be held is
would be approximately five (5) months from the date of this Notice. A notice of the actual date of the Sheriff's Sale will be
sent to you before the sale. Of course, the amount needed to cure the default will increase the longer you wait. You may find
out at any time exactly what the required payment or action will be by contacting the lender.
HOW TO CONTACT THE LENDER
Ocwen Federal Bank FSB
12650 Ingenuity Drive, Orlando, FL 32826
(800) 746-2936
Name of Lender:
Address:
Telephone Number:
I
EFFECT OF SHERIFF'S SALE- You should realize that a sheriff's sale will end your ownership of the mortgaged property
and your right to occupy it. If you continue to live in the property after the sheriff's sale, a lawsuit to remove you and your
furniture and other belongings could be started by the lender at any time.
ASSUMPTION OF MORTGAGE- You may not sell or transfer your home to a buyer ortraIiSferee who will assume the
mortgage debt, provided that all the outstanding payments, charges and attorneys' fees and costs are paid prior to or at the sale
and that the other requirements of the mortgage are satisfied.
YOU MAY ALSO HAVE THE RIGHT
To sell the property to obtain money to payoff the mortgage debt, or borrower money from another lending
institution to pay off this debt.
To have this default cured by any third party acting on your behalf.
To have the mortgage restored to the same position as if no default had occurred. (However, you are not entitled to
this right more than three times in a calendar year).
To assert the nonexistence of a default in any foreclosure proceeding or any other lawsuit instituted under the
mortgage documents.
To assert any other defense you believe you may have to such action by the lender.
To seek protection under the federal bankruptcy law.
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Page four
30580120
Ocwen Federal Bank FSB is attempting to collect a debt, and any information obtained will be used
for that purpose.
Federal law gives you thirty days after you receive this letter to dispute the validity of this debt
or any part of it. If you notify us in writing at the below,-address within the thirty day period
that the debt, or any portion thereof, is disputed, we will:
1) Provide to you, upon your written request, verification of the debt or a copy of any
judgment entered against you.
2) Provide to you, upon your written request, the name and address of your original
creditor, if the original creditor is different from the current creditor
Unless you dispute the debt within that 30 day period, we will assume that it is valid.
Sincerely,
Ocwen Federal Bank FSB
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Oowen Federal Bank FSB, P.O. Box 24737, West Palm Beach, FL 33416 Phone (800) 746-2936
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OCWEN
October 01, 2001
.0000717780.
Sun Cha Steiner
1104 Flori Bunda Ln
Mechanicsburg, PA 17055
ACT 91 NOTICE TAKE ACTION TO SAVE YOUR HOME FROM FORECLOSURE
This is an official notice that the mortgage on your honie is in default, and the lender intends to foreclose.. Specific information
about the nature of the default is provided in the attached pages.
IMPORTANT INFORMATION CONCERNING YOUR RIGHTS IS CONTAINED ON PAGE FOUR
The Homeowners' Emergency Mortgage Assistance Program (REMAP) may be able to help to save your home. This notice
explains how the program works.
To see ifHEMAP can help you, you must MEET WITH A CONSUMER CREDIT COUNSELING AGENCY WITHIN 30
DAYS OF THE DATE OF THIS NOTICE. Take this Nodce with you when you meet with the counseling agency.
The name, address. and phone number of Consumer Credit Counseling Agencies serving your county are listed at the end of this
Notice. If you have any Questions, you may call the Pennsylvania Housing Finance Agency toll free at 1-800-342-2397
(persons with impaired hearing can call 717-780-1869).
La Notificaion en adjunto es de suma importancia, pues afecta su derecho a continuar viviendo en su casa. Si no comprende el
contenido de esta notificion obtenga una traduccion immediatamente llamando eso. agencia (pennsylvania Housing Finance
Agency) sin cargos al numero mencionado arriba. Puedes ser elegible para un pllCstamO por el programa llamado
"Homeowners' Emergency Mortgage Assistance Program" al cual puede salvar su casa de la perdida del derecho a redimir su
hipoteca.
HOMEOWNER'S NAME(S) :
PROPERTY ADDRESS:
LOAN ACCOUNT
CURRENT SERVICER
Sun Cha Steiner
1104 Flori Bunda Lane
Mechanicsburg, P A 17055-0000
30580120
Ocwen F ederat Bank FSB
You may be eligible for fmancial assistance which can save your home from foreclosure and help you make future mortgage
payments if you comply with the provision of the Homeowners' Emergency Mortgage Assistance Act of 1983 (the "Act"). You
may be eligible for emergency mortgage assistance:
if your default has been caused by circumstances beyond your control, you have a reasonable prospect of being
able to pay your mortgage payments and if you meet other eligibility requirements established by the Pennsylvania
Housing Finance Agency.
TEMPORARY STAY OF FORECLOSURE- Under the Act, you are entitled to a temporal)' stay of the foreclosure on your
mortgage for thirty (30) days from the date of this Notice. During that time you must arrange and attend a "face-to-face" meeting
with one of the desigriatedconsumer counseling agencies listed at the end of this Noti,"e. \ This meeting must occur within the next
thirty (30) days. IF YOU DO NOT APPLY FOR EMERGENCY MORTGAGE ASSISTANCE. YOU MUST BRING YOUR
MORTGAGE UP TO DATE. THE PART OF THIS NOTICE CALLED "HOW TO CURE YOUR MORTGAGE DEFAULT"
EXPLAINS HOW TO BRING YOUR MORTGAGE UP TO DATE.
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Page two
CONSUMER CREDIT COUNSELING AGENCIES- If you attend a face-to-face meeting with one of the consumer credit
counseling agencies listed at the end of this Notice, the lender may NOT take further action against you for thirty (30) days after
the date of this meeting. The names, addresses and telephone numbers of designated consumer counseling agencies for the
county in which your properlY is located are set forth at the end of this Notice. It is only necessary to schedule one face-to-face
meeting. You should advise this lender immediately of your intentions.
APPLICATION FOR MORTGAGE ASSISTANCE' Your mortgage is in default for the reasons set forth later in this Notice
(see following pages for specific information about the namre of your default). If you have tried and are unable to resolve this
problem with the lender, you have the right to apply for financial assistance from the Homeowners' Emergency Mortgage
Assistance Fund. In order to do this, you must fill out, sign and me a completed Homeowners' Emergency Assistance
Application with one of the designated consumer credit counseling agencies listed at the end of this Notice. Only consumer
credit counseling agencies have applications for the program and they will assist you in submitting a completed application to
the Pennsylvania Housing Finance Agency. Your application MUST be filed or postmarked within thirty (30) days of you..
face-to.face meeting.
YOU MUST FILE YOUR APPLICATION PROMPTLY. IF YOU FAIL TO DO SO OR IF YOU DO NOT FOLLOW THE
01HER TIME PERIODS SET FOR1H IN 1HIS LETTER, FORECLOSURE MAY PROCEED AGAINST YOUR HOME
IMMEDIATELY AND YOUR APPLICATION FOR MORTGAGE ASSISTANCE WILL BE DENIED.
AGENCY ACTION- Available funds for emergency mortgage assistance are very limited. They will be disbursed by the
Agency under the eligibility criteria established by the Act. The Pennsylvania Housing finance Agency has sixty (60) days to
make a decision after it receives you application. During that additional time, no foreclosure proceedings will be pursued
against you if you have met the time requirements set forth above. You will be notified directly by the Agency of its decision on
your application.
NOTE: IF YOU ARE CURRENTLY PROTECTED BY THE FILING OF A PETITION IN BANKRUPTCY, THE FOLLOWING PART OF THIS
NOTICE IS FOR INFORMA TlON PURPOSES ONLY AND SHOUL6 NOT BE CONSIDERED AS AN ATfEMPT TO COLLECT THE DEBT.
(If you have filed bankruptcy you can still appl)' for Emergency Mortgage Assistance)
HOW TO CURE YOUR MORTGAGE DEFAULT(Bring it up to date).
NATURE OF THE DEFAULT - The MORTGAGE debt held by the above lender on your property located at 1104
Flori Bunda Lane Mechanicsburg, P A 17055-0000 IS SERIOUSLY IN DEFAULT because:
YOU HA VB NOT MADE MONTIIL Y MORTGAGE PAYMENTS for):he following months and the following
amounts are now past due:
(a) 5 Payments
(b) Late chargers) :
(c) Other chargers): NSF & Advances
(d) Less: Credit Balance
(e) Total amount required as of 09/29/2001:
$6,311.54
$123.10
$130.40
$.00
$6,565.04
YOU HA VB FAILED TO TAKE THE FOLLOWING ACTION (if applicable) :
HOW TO CURE THE DEFAULT- You may cure this default within 1HlRTY (30) days from the date of this letter BY
PAYING THE TOTAL AMOUNT PAST DUE TO LENDER, WHICH IS $6,565.04, PLUS ANY MORTGAGE
PAYMENTS AND LATE CHARGES (and other charges) WHICH BECOME DUE DURING THE 1HIRTY (30)
DAY PERIOD. Payments m]1st be made either by cash, cashier's check, certified check, or money order made payable
to Ocwen Federal Bank FSB at PO BOX 514577, LOS ANGELES, CA 90051-4577.
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IF YOU DO NOT CURE THE DEFAULT- If you do not cure the default within THIRTY (30) days of
this letter date, the lender intends to exercise its right to accelerate the mortgage debt. This means that the
entire outstanding balance of this debt will be considered due inlmediately, and you may lose the chance
to pay the mortgage in monthly instalhnents. Iffull payment of the amount of default is not made within
THIRTY (30) days of the letter date, Ocwen Federal Bank FSB also intends to instrnct their attorneys to start
a legal action to foreclose upon your mortgaged property.
IF THE MORTGAGE IS FORECLOSED UPON-. The mortgaged property will be sold by the Sheriff to
payoff the mortgage debt. If the lender refers your case to its attorneys, but you cure the delinquency
before they begin legal proceedings against you, you will have to pay the reasonable attorney's fees
actually incurred up to $50.00. However, iflegal proceedings are started against you, you will have to pay
the reasonable attorney's fees actually incurred even if they are over $50.00. Any attorney's fees will be
added to the amount you owe the lender, which may also include their reasonable costs. If you cure the
default within the THIRTY (30)DA Y period, you will not be required to pay attorneys' fees.
OTHER LENDER REMEDIES- The lender may also sue you personally for the unpaid principal balance,
and all other sums due under the Mortgage. .
RIGHT TO CURE THE DEFAULT PRIOR TO SHERIFF'S SALE- If you have not cured the default within the THIRTY
(30) day period and foreclosure proceedings have begun, you still have the right to cure the default and prevent the sale at any
time up to one hour before the Sheriff's Sale. You may do so by paying the total amount then past due plus any late charges,
charges then due, reasonable attorneys' fees and costs connected with the foreclosure sale and any other costs connected with
the Sheriff's Sale as specified in Wliting by the lender and by performing any other requirements under the mortgage. Curing
your default in the manner set forth in this. Notice will restore your mortgage to the same position as if you had never
defaulted.
EARLIEST POSSIBLE SHERIFF'S SALE DATE- It is estimated that the earliest date that such sheriff's sale could be held is
would be approximately five (5) months from the date olthis Notice. A notice of the actual date of the Sheriffs Sale will be
sent to you before the sale. Of course, the amount needed to cure the default will increase the longer you wait. You may frod
out at any time exactly what the required payment or action will be by contacting the lender.
HOW TO CONTACT THE LENDER
Ocwen Federal Bank FSB
12650 Ingenuity Drive, Orlando, FL 32826
(800) 746-2936
Name of Lender:
Address:
Telephone Number:
EFFECT OF SHERIFF'S SALE- You should realize that a sheriff's sale will el1d your ownership of the mortgaged property
and your right to occupy it. If you continue to live in the property after the sheriff's sale, a lawsuit to remove you and your
furniture and other belongings could be started by the lender at any time.
ASSUMPTION OF MORTGAGE- You may not sell or transfer your horoe to a buyer or transferee who will assume the
mortgage debt, provided that all the outstanding payments, charges and attorneys' fees and costs are paid prior to or at the sale
and that the other requirements of the mortgage are satisfied. .
YOU MAY ALSO BA VE THE RIGHT
To sell the property to obtain money to payoff the mortgage debt, or borrower motley from another lending
institution to pay off this debt.
To have this default cured by any third party acting on your behalf.
To have the mortgage restored to the same position as if no default had occurred. (However, you are not entitled to
this right more than three thnes in a calendar year).
To assert the nonexistence of a default in any foreclosure proceeding or any other jawsuit instituted under the
mortgage documents.
To assert any other defense you believe you may have to such action by the lender,
To seek prorection under the federal bankruptcy law.
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30580120
Ocwen Federal Bank FSB is attempting to collect a debt, and any information obtained will be used
for that purpose.
Federal law gives you thirty days after you receive this letter to dispute the validity of this debt
or any part of it. If you notify us in writin2 at the below address within the thirty day period
that the debt, or any portion thereof, is disputed, we will:
1) Provide to you, upon your written request, verification of the debt or a copy of any
judgment entered against you.
2) Provide to you, upon your written request, the name and address of your original
creditor, if the original creditor is different from the current creditor
Unless you dispute the debt within that 30 day period, we will assume that it is valid.
Sincerely,
Ocwen Federal Bank FSB
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OCWeI\ Federal Bank FSB, P.O, Box 24737, West Palm Beach, FL 33416 Phone (800) 746-2936
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V E R I F I CAT ION
Mark J. Udren, Esquire, hereby states that he is the attorney
for the plaintiff, a corporation unless designated otherwise; that
he is authorized to take this Verification and does so because of
the exigencies regarding this matter, and because Plaintiff must
verify much of the information through agents, and because he has
personal knowledge of some of the facts averred in. the foregoing
pleading; and that the statements made in the foregoing pleading
are true and correct to the best of his knowledge, information and
belief and the source of his information is public 'records and
reports of Plaintiff's agents. The undersigned unde~stands that
this statement herein is made subject to the penalties of 18
Pa.C.S. Section 4904 relating to unsworn falsi~ication to
authorities.
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Mark J. Udren, ESQUIRE
MARK J. UDREN & ASSOCIATES
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OFFICE or THE SHERIFF
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Dee 3 3 47 PH '01
OAHLi :LE
PENNSYLVANIA
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MARK J.UDREN & ASSOCIATES
BY: MARKJ. UDREN, ESQUIRE
ATTY I.D. NO. 04302
1040 N. KINGS IDGHWAY, SUITE 500
CHERRY lllLL, NJ 08034
856-482-6900
Bank One, National Association, As Trustee
f/k1a The First National Bank of Chicago,
As Trustee for structured Asset Securities
Corporation Mortgage Pass-Through
Certificates, Series 1999- BC 1
Plaintiff
ATTORNEY FOR PLAINTIFF
: COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
.
. NO. 01-6844 Civil
v.
Kenneth R. Steiner
Sun Cha Steiner
Defendant(s)
ORDER
AND NOW, this II-' day of <Jr;.....-, ,2001-- , upon consideration of Plaintiff's
Motion and the Affidavit of Good Faith investigation attached hereto, it is hereby ORDERED that
service of the Complaint in Mortgage Foreclosure and all subsequent pleadings on Defendant(s),
Kenneth R. Steiner and Sun Cha Steiner, shall be complete when Plaintiff or its counselor agent
has mailed true and co'rrect copies of the Complaint in Mortgage Foreclosure and all subsequent
pleadings by certified mail and regular mail to the last known address of Defendant(s), Kenneth
R. Steiner and Sun Cha Steiner at 1104 Floribunda Lane, Mechanicsburg, PA 17055 and by
posting the mortgaged premises located at 1104 Floribunda Lane, Mechanicsburg, PA 17055.
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BY THE COURT:
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MARK J. UDREN & ASSOCIATES
BY: NUUUKJ.UDREN,ESQUIRE
ATTY I.D. NO. 04302
1040 N. KINGS IDGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National Association, As Trustee
f/k/a The First National Bank of Chicago,
As Trustee for structured Asset Securities
Corporation Mortgage Pass-Through
Certificates, Series 1999- BC 1
Plaintiff
ATTORNEY FOR PLAINTIFF
: COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
.
: NO. 01-6844 Civil
v.
Kenneth R. Steiner
Sun Cha Steiner
Defendant(s)
MOTION FOR SPECIAL SERVICE PURSUANT
TO SPECIAL ORDER OF COURT
Plaintiff, by its counsel, Mark J. Udren, Esquire, moves this Honorable Court for an
Order directing service of the Complaint in Mortgage Foreclosure upon Defendant(s), Kenneth
R. Steiner and ~un Cha Steiner by regular mail and certified mail and in support thereof avers the
following:
1. Process was unable to be served at the then last known address of said Defendant(s)
at 1104 Floribunda Lane, Mechanicsburg, PA 17055, which is the mortgaged premises. A copy
of the Return of Service is attached hereto as Exhibit A.
2. Pursuant to Pa.R.C.P. 430, Plaintiff made a Good Faith Investigation, the report
thereof being attached hereto as Exhibit B.
3. Said investigation was unable to determine an alternate address for said
Defendant(s ).
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4. The last known address of Defendant(s) is as set forth in the attached Exhibits.
WHEREFORE, Plaintiff prays and respectfully requests that this Honorable Court enter
an Order pursuant to Pa.R.C.P. 430 directing service of the Complaint in Mortgage Foreclosure
by regular mail and certified mail upon said Defendant(s), Kenneth R. Steiner and Sun Cha
Steiner.
MARK J. UDREN & ASSOCIATES
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By:
Mark J. Udren, Esquire
Attorney for Plaintiff
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BY: MARKJ. UDREN, ESQUIRE
ATTY I.D. NO. 04302
1040 N. KINGS IDGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National Association, As Trustee
f/k1a The First National Bank of Chicago,
As Trustee for structured Asset Securities
Corporation Mortgage Pass. Through
Certificates, Series 1999-BC1
Plaintiff
ATTORNEY FOR PLAINTIFF
. COURT OF COMMON PLEAS
: CML DMSION
: Cumberland County
.
. NO. 01-6844 Civil
v.
Kenneth R. Steiner
Sun Cha Steiner
Defendant(s)
MRMORANDIJM OF LAW
Pennsylvania Rule of Civil Procedure 430(a) specifically provides:
(a) If service cannot be made under the applicable rule the plaintiff may move
the court for a special order directing the method of service. The motion shall be
accompanied by an affidavit stating the nature and extent of the investigation which
has been made to determine the whereabouts of the defendant and the reasons why
service cannot be made.
,i
NOTE: A sheriffs return of "not found" or the fact that a defendant has moved
without leaving a new forwarding address is insufficient evidence of concealment.
Cnmzales vs.J:>olis, 238 Pa. Super. 362, 357 A.2d 580 (1976). Notice of intended
adoption mailed to last known address requires a "good faith effort" to discover the
correct address. Adoption of Walker, 468 Pa. 165, 360 A2d 603 (1976).
An illustration of a good faith effort to locate the defendant includes (1) inquiries
of postal authorities including inquiries pursuant to the Freedom of Information
Act, 39 C.F.R. Part 265, (2) inquiries of relatives, neighbors, friends and
employers of the defendant and (3) examinations of local telephone directories,
voter registration records, local tax records, and motor vehicle records.
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As set forth in the Return of Service marked Exhibit A, the Sheriff and/or Process Server has
been unable to serve the Complaint in Mortgage Foreclosure. A good faith effort to discover the
whereabouts of the Defendant(s)has been made as evidenced by the attached Affidavit of Good
Faith Investigation marked Exhibit B.
WHEREFORE, Plaintiff prays and respectfully requests service of the Complaint in
Mortgage Foreclosure upon Defendant(s) by regular mail and certified mail.
MARK J. UDREN & ASSOCIATES
BY:~
Mark J. Ddren, squire
Attorney for Plaintiff
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SHERIFF'S RETURN - NOT FOUND
CASE NO: 2001-06844 P
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
BANK ONE NA
VS
STEINER KENNETH R ET AL
R. Thomas Kline
,Sheriff or Deputy Sheriff, who being
duly sworn according to law, says, that he made a diligent search and
inquiry for the within named defendant, DEFENDANT
STEINER KENNETH R
but was
unable to locate Him in his bailiwick. He therefore returns the
COMPLAINT - MORT FORE
, NOT FOUND , as to
the within named DEFENDANT
, STEINER KENNETH R
PER NEIGHBOR, THEY HAVE NOT LIVED THERE FOR 3 MONT
BUT THEY COME AND PICK UP THE MAIL ONCE PER WEEK. .
Sheriff's Costs:
Docketing
Service
Not Found
Surcharge
18.00
6.50
5.00
10.00
.00
39.50
So answer,;-:
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RI. Thomas Kline
Sheriff of Cumberland County
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MARK UDREN
12/20/2001
Sworn and subscribed to before me
this
day of
A.D.
Prothonotary
EXHIBIT A
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SHERIFF'S RETURN - NOT FOUND
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CASE NO: 2001-06844 P
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
BANK ONE NA
VS
STEINER KENNETH R ET.AL
R. Thomas Kline
,Sheriff or Deputy Sheriff, who being
duly sworn according to law, says, that he made a diligent search and
inquiry for the within named defendant, DEFENDANT
STEINER SUN CHA
but
was
unable to locate Her
in his bailiwick. 'He therefore returns the
._-
COMPLAINT - MORT FORE
, NOT FOUND , as to
the within named DEFENDANT
, STEINER SUN CHA
PER NEIGHBOR, HAS NOT LIVED THERE FOR 3 MONTHS.
THEY PICK UP THE MAIL THERE ONCE PER WEEK.
Sheriff's Costs:
Docketing
Service
Affidavit
Surcharge
6.00
.00
.00
10.00
.00
16.00
So answ~xcS""'" ~/ / >,""~'-...
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R. Th6mas Wl:i'nE(
Sheriff of Cumberland County
MARK UDREN
12/20/2001
.....
Sworn and subscribed to before me
this
day of
A.D.
Prothonotary
EXHIBIT A
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PLAYERS NATIONAL LOCATOR
AFFIDAVIT OF GOOD FAITH INVESTIGATION
Loan Number: 0129008
Attorney Firm: MARK J UDREN & ASSOCIATES
Case Number:
SUbJect: KENNETH R & SUN CHA STEINER
AX A KENNETH STEINER, SUNCHA STEINER
Last Known Address: 1104 FLO~IBUNDA LANE
MECHANICSBURG. PA 17055
Last Known Number ( ) -
Michaell< Gross, being duly sworn according to law, deposes and says
1 I am employed in the capacity of Pl1'!sident for Players National Locator.
2. On 11/12/2001, I conducted an investigation into the whereabouts of the above named
defendant(s) The results of my investigation are as follows:
CREDIT INFORMATION -
A SOCIAL SECURITY NUMBER: 191-40-8321 213-64-1288
B E;MPLOYMENT SEARCH:
Unable to locste a good employer for Kenneth and Sun.
C INQUIRY OF CREDITORS:
Creditors IndIcated that Kenneth and Sun lire using 1104 FlorlbulJda Lane. Mech.nlcsburg. Pa.
17'055 with no valid home phone number. Kenneth filed chapter 7 bankruptcy In June 2001 with
attorney JamllS M Bach. Case II 01-03395 with a release date of October 2001.
INQUIRY OF TELEPHONE COMPANY -
A DIRE;CTORY ASSISTANCE SEARCH:
Directory assistance f1as no listing for Kenneth and Sun Steiner.
INQUIRY OF NEIGHBORS -
we contacted 717-786-1461 registered at 1105 Florlbunda Lane and spoke wlth a neighbor who
stated he thinks Kenneth and Sun Steiner have moved from the last known addre$s and did not
have a forwarding address.
INQUIRY OF POST OFFICE -
A NATIONAL ADDRESS UPDATE
As of November 10.2001 the NaUonal Change of Address (NCOA) has no change for Kenneth and
Sun from the last known address.
MOTOR VEHICLE REGISTRATION -
A MOTOR VEHICLE; & DMV Of=FICE.
The Pennsylvania Department of Drtvers Llcel1Sing hIlS Kenneth and Sun listed at the last known
address.
OTHER INQUIRIES -
A DEATH RECORDS-
As of November 10. 2001 the Social Security Administration has no death records. on file for
Kenneth R and Sun Cha Steiner and or a.k.a:s under their social security numbers. EXHIBIT e
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B. PUBLIC LICENSES (PILOT, REAL ESTATE. ETC ):
None Found
C COUNTY VOTER REGISTRATION:
The Cumberland County Voters Registration OffIce has Kenneth and Sun IIstlld at the last known.
ADDITIONAL INFORMATION ON SUBJeCT.
A. DATE OF BIRTH:
Kenneth 07/48
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AFFIANT
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I<ris!ir,e M. S~oll. Nolary Public
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Players Nation81 Locator 113 Old State Road. Suite 104 St. LouIs. M063021
Phone' (636) 230-9922 Fall: (636) 230-0558
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VRRIFICATION
Mark J. Udren, Esquire, hereby states that he is the Attorney for the Plaintiff in this
action, that he is authorized to take this Verification, and that the statements made in the foregoing
MOTION FOR SPECIAL SERVICE PURSUANT TO SPECIAL ORDER OF COURT are true
and correct to the best of his knowledge, information and belief.
The undersigned understands that this statement herein is made subject to the penalties of
18 Pa.C.S. Sec 4904 relating to unsworn falsification to authorities.
MARK J. UDREN & ASSOCIATES
Date: //3/01
M~' Esquire
Attorney for Plaintiff
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BY: MARK J. UDREN, ESQUIRE
ATTY I.D. NO. 04302
1040 N. KINGS IDGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
ATTORNEY FOR PLAINTIFF
Bank One, National Association, As Trustee
f/kla The First National Bank of Chicago,
As Trustee for structured Asset Securities
Corporation Mortgage Pass-Through
Certificates, Series 1999. BC 1
Plaintiff
. COURT OF COMMON PLEAS
: CML DMSION
: Cumberland County
.
: NO. 01-6844 Civil
v.
Kenneth R. Steiner
Sun Cha Steiner
Defendant(s)
CERTIFICATE OF SERVICE
I, Mark J. Udren, Esquire hereby certify that I have served true and correct copies of the
attached Motion For Special Service upon the following person(s) named herein at their last
known address or their attoruey of record by:
x
Regular First Class Mail
Certified Mail
Other
Date Served:
TO: Kenneth R. Steiner and Sun Cha Steiner
1104 Floribunda Lane
Mechanicsburg, PA 17055
MARK J. UDREN & ASSOCIATES
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BY:~
Mark J. Udren, Esquire
Attorney for Plaintiff
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MARK J. ODREN & ASSOCIATES
BY: Mark J. Udren, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE SOD
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National
Association, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
Corporation Mortgage Pass-
Through Certificates, Series
1999-BC1
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
Defendant(s)
ATTORNEY FOR PLAINTIFF
COURT OF COMMON PLEAS
CIVIL DIVISION
Cumberland County
NO. 01-6844 Civil
PRAECIPE TO REINSTATE COMPLAINT
TO THE PROTHONOTARY:
Kindly reinstate the Complaint on the above-captioned matter.
DATE: January 22, 2002
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& ASSOCIATES
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ATTORNEY FOR PLAINTIFF
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MARKJ. UDREN & ASSOCIATES
BY: MARK J. UDREN, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS IDGHWAY, SUITE 500
CHERRY IDLL, NJ 08034
856-482-6900
Bank One, National Association, As Trustee
f/kla The First National Bank of Chicago,
As Trustee for structured Asset Securities
Corporation Mortgage Pass-Through
Certificates, Series 1999- BC 1
Plaintiff
ATTORNEY FOR PLAINTIFF
. COURT OF COMMON PLEAS
: CIVIL DMSION
: Cumberland County
: NO. 01-6844 Civil
v.
Kenneth R. Steiner
Sun Cha Steiner
Defendant(s)
VERIFICA nON OF SERVICE BY CERTIFIED MAIL ANn
REGULAR MAIL PURSUANT TO COURT ORDER
The undersigned hereby verifies that he is counsel for Plaintiff in the above case and that pursuant
to the Court order issued in this matter he mailed a true and correct copy of the Complaint in
Mortgage Foreclosure to Defendant(s), by certified mail and regular first class mail, to the last
known address of Defendant(s) as follows:
DATE MAILED: I\a'g/D'd-
Kenneth R. Steiner and Sun Cha Steiner
11 04 Floribunda Lane
Mechanicsburg, P A 17055
I verify that the statements made herein are true and correct and I understand that false statements
made herein are subject to the penalties relating to unsworn falsification to authorities.
Dated: !jaR 1(:)0....
MARK J. UDREN & ASSOCIATES
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Mark J. Udren, Esquire
Attorney for Plaintiff
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SHERIFF'S RETURN - REGULAR
CASE NO: 2001-06844 P
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
BANK ONE NA
VS
STEINER KENNETH R ET AL
BRYAN WARD
, Sheriff or Deputy Sheriff of
Cumberland County,Pennsylvania, who being duly sworn according to law,
says, the within COMPLAINT - MORT FORE
was served upon
STEINER KENNETH R AND STEINER SUN CRA
the
DEFENDANT
, at 0935:00 HOURS, on the 30th day of January ,2002
at 1104 FLORI BUNDA LANE
MECHANICSBURG, PA 17055
by handing to
POSTED PROPERTY AT 1104
FLORIBUNDA LANE MECHANICSBURG
a true and attested copy of COMPLAINT - MORT FORE
together with
and at the same time directing His attention to the contents thereof.
Sheriff's Costs:
Docketing
Service
Posting
Surcharge
So Answers:
18.00
6.90
6.00
10.00
.00
40.90
r-~~
R. Thomas Kline
01/31/2002
MARK UDREN
Sworn and Subscribed to before
By:
,~ ~J~J
Deput heriff
me this 1i~
day of
J..e)Uh A "1 c20?;,L A.D.
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, Prot onotary ,
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
ATTORNEY FOR PLAINTIFF
Bank. One, National
Association, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
Corporation Mortgage Pass-
Through Certificates, Series
1999-BC1
.
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
.
. NO. 01-6844 Civil
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
Defendant(s)
PRAECIPE TO SUBSTITUTE VERIFICATION
TO THE PROTHONOTARY:
Kindly substitute the attached Verification for the
Verification attached to the Complaint in Mortgage Foreclosure with
regard to the captioned matter.
DATED: March 5, 2002
J. Udren & ssociates, Esquire
Attorney for Plaintiff
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The undersigned, an officer of the Corporation which is the
Plaintiff in the foregoing Complaint or an officer
of the
Corporation which is the servicing agent of Plaintiff, and being
authorized to make this verification on behalf of the Plaintiff,
hereby verifies that the facts set forth in the foregoing Complaint
are taken from records maintained by persons supervised by the
undersigned who maintain the business records of the mortgage held
by Plaintiff in the ordinary course of business and that those
facts are true and correct to the best of the knowledge,
information and belief of the undersigned.
The undersigned understands that this statement is made
subject to the penalties of 18 Pa. e.s. Section 4904 relating to
unSworn falsification to authorities.
Date:
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Title: Dfreub- OA ~Vt ~~~"L-
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National
Association, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
Corporation Mortgage Pass-
Through Certificates, Series
1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
Plaintiff
ATTORNEY FOR PLAINTIFF
COURT OF COMMON PLEAS
CIVIL DIVISION
Cumberland County
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
Defendant(s)
NO. 01-6844 Civil
YERIFICATION OF SERVICE BY CERTIFIED MAIL AND
REGULAR MAIL PURSUANT TO COURT ORDER
The undersigned hereby verifies that he is counsel for Plaintiff in
the above case and that pursuant to the Court order issued in this
matter he mailed a true and correct copy of the Notice of Sale to
Defendant(s), by certified mail and regular first class mail, to
the last known address of Defendant(s) as follows:
DATE MAILED: March 18, 2002
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
I verify that the statements made herein are true and correct and
I understand that false statements made herein are subject to the
penalties of 18 Pa.C.S. Section 4904 relating to unsworn
falsification to authorities.
MARK J. UDREN & ASSOCIATES
Dated:
~~
March 21,2002
Mark J. Udren & Associates, Esquire
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JAN 0 8 2002 ~f--'
MARK J. UDREN & ASSOCIATES
BY: MARK J. UDREN, ESQUIRE
ATTY l.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
ATTORNEY FOR PLAINTIFF
Bank One, National Association, As Trustee
flkfa The First National Bank of Chicago,
As Trustee for structured Asset Securities
Corporation Mortgage Pass- Through
Certificates, Series 1999-BCl
Plaintiff
: COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
"
: NO. 01-6844 Civil
, "
I:.!:
II
"
';1
1<
I
,
!I
v.
Kenneth R. Steiner
Sun Cha Steiner
Defendant(s)
ORDER
AND NOW, this UP ~h day of J o..J u.o..r~ ,200;t, upon consideration of Plaintiffs
, Motion and the Affidavit of Good Faith investigation attached hereto, it is hereby ORDERED that
service of the Complaint in Mortgage Foreclosure and all subsequent pleadings on Defendant(s),
Kenneth R. Steiner and Sun Cha Steiner, shall be complete when Plaintiff or its counsel or agent
has mailed true and correct copies of the Complaint in Mortgage Foreclosure and all subsequent
pleadings by certified mail and regular mail to the last known address of Defendant(s), Kenneth
R. Steiner and Sun Cha Steiner at 1104 Floribunda Lane, Mechanicsburg, PA 17055 and by
-
posting the mortgaged premises located at 1104 Floribunda Lane, Mecharncsburg, PA 17055_,
BY THE COURT:
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
ATTORNEY FOR PLAINTIFF
Bank One, National
Association, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
Corporation Mortgage Pass-
Through Certificates, Series
1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
Plaintiff
.
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
. NO. 01-6844 Civil
v_
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
Defendant(s)
PRAECIPE TO FILE PROOF OF SERVICE
TO THE PROTHONOTARY:
Kindly file the attached Proofs of Service with regard to the
captioned'matter.
MARK J. UDREN & ASSOCIATES
BY:
'h/,
Mark J. Udren & Associates,ESQUIRE
Attorney for Plaintiff
Date: April 4, 2002
',,.,,7"'_' '""'""'""''''''~~!Oiii'~_ !l: Ill: -.,__,""'''~ ~~,_
~ "
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~ ~. ~,~~-~" -~ ,~~~
.
Bank One, National Association, as trustee, et. aI., Pla~tiff(s)
vs.
Steiner, et. al., Defendant(s)
~~
')
=~
,
.
Service of Process by
APS International, Ltd.
1-800-328-7171
APS International Plaza
7800 Gle~roy Rd.
Minneapolis, MN 55439-3122
AFFIDAVIT OF SERVICE -- Individual
MARKJ. UDREN
Service of Process on:
--Kenneth R. Steiner, hy posting
Court Case No. 01-6844
Ms. Cara Stears
1040 North Kings Highway
Suite 500
Cherry Hill, NJ 08034
~::~:;~:~~~~d -~~----------------
Name of Server: AJ(\l~,^ll ",\,j rp, R~ fJir-'b ,undersigned, being duly sworn, deposes and says
that at the time of service, slhe was lver the age of twenty-one, was not a party to this action;
Date/Time of Service: that on the Old. nlf day of '1N\.a. t'~ , 20 O'J- ,at (d',o1- o'clock P M
Place of Service:
Documents Served:
%('Service of Process on:
Person Served, aud
Method of Service:
Description of Person
Receiving Documents:
Signature of Server:
~~""~~..., ,"~
at 2104 Flori Bunda Lane
, city of Mechanicsburg
state of PA
, =
the undersigned served the documents described as:
Notice of Sheriffs Sale oCReal Property and Order
A true and correct copy ofthe aforesaid documentCs) was served on:
Kenneth R. Steiner, hy posting
D By personally delivering them into the hands of the person to be served.
D By delivering them into the hands of
suitable age and discretion residing at the Place of Service,
whose relationship to the person to be served is
, a person of
The person receiving documents is described as follows:
Sex _; Skin Color ; Hair Color ; Facial Hair
Approx. Age ; Approx. Height Approx. Weight
o To the best of my knowledge and belief, said person was not engaged in the US Military at
the time of service.
Undersigned declares under penalty of perjury Subscribed and sworn to before me this
th foregoing is eandcorrect. j0~ayof Ao.,x~ ,20oQ
),():;;:.
(Date)
No Public
mission Expires)
APS International, Ltd.
APS File #: 051917.0001
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lI\frfH.N;\'I[(}IVA.L.
Service of Process by
APS International, Ltd.
1-800-328-7171
:dank One, National Association, as trustee, et. al., Plaiqtiff(s)
vs.
Steiner, et. al., Defendant(s)
APS International Plaza
7800 Glenroy Rd.
Minnenpolis, MN 55439-3122
AFFIDAVIT OF SERVICE -- Individual
MARIO. UDREN
Service of Process on:
--Sun Cha Steiner, by posting
Conrt Case No. 01-6844
Ms. Cara Stears
1040 North Kings Highway
Suire 500
Cherry Hill, NJ 08034
-S;"t;ot ~..l~I'~~I~'=;I:.- - )ss~ - - - - - --
County of: tu VV\ b r Io.\f\{l ) ()
Name of Server: '0"'-\.\Q~n:~l t. Ra...~, undersigned, being duly sworn, deposes and says
that at the time of service, s/he was over the age of twenty-one, was not a party to thiS action;
DatelTime of Service: that on the d 8.rJ day of - -~~ , 20 o? , at 3 01- o'clock't:.-M
Place of Service:
Documents Served:
.If- Service of Process on:
Persoo Served, and
Method of Service:
Description of Person
Receiving Documents:
Signature of Server:
"AF~i'.P'?",""'jj'W""'"'~1i
.n - ~r-
at 1104 Flori Bunda Lane
, city of Mechanicsburg
, state of PA
the undersigned served the documents described as:
Notice of Sheriffs Sale of Real Property and Order
A true and correct copy of the aforesaid document(s) was served on:
Snn eha Steiner, by posting
D By personally delivering them into the hands of the person to be served.
D By delivering them into the hands of
suitable age and discretion residing at the Place of Service,
whose relationship to the person to be served is
, a person of
The person receiving documents is described as follows:
Sex _; Skin Color ; Hair Color ; Facial Hair
Approx. Age ; Approx. Height Approx. Weight
D To the best of my knowledge and belief, said person was not engaged in the US Military at
the time of service.
Undersigned declares under penalty of perjnry Subscribed and sworn to before me this
that foregoing is true and correct. ;;:t S +\1ay of M~ 'r~ ,20 () ;;).
~(~Oa-. --- R ~,
(Dale) (Commission Expires)
APS International, Ltd.
APS File #: 0519l7-0001
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l~'i>._~~W'~ ..: :_ v ,'~~>HfiW.tf'n~'j.1:'''~~t~_";i,,;;:c,;-}f'-"""9V;'''f.F.~",,i'?(''--_~;~'''~ii\.~tf'~!;~'JfH"~.~:i;~:;i~~ri;ll"ili~~~ilili~ _~,.,"<t,,,,,~,.,..,.('j"'1
~ J. UDREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National Association,
As Trustee f/k/a The First
National Bank of Chicago, As
Trustee for structured Asset
Securities Corporation Mortgage
Pass-Through Certificates,
Series 1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
~'~'F:->
.
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
Defendant(s)
ATTORNEY FOR PLAINTIFF
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
; MORTGAGE FORECLOSURE
.
. NO. 01-6844 civil
PRAECIPE FOR JUDGMENT FOR FAILURE TO
ANSWER AND ASSESSMENT OF DAMAGES
TO THE PROTHONOTARY:
Kindly enter judgment in favor of the Plaintiff and against the
Defendant (s) for failure to file an Answer to Plaintiff's Complaint
within 20 days from service thereof and for foreclosure and sale of the
mortgaged premises, and assess Plaintiff's damages as follows:
As set forth in Complaint
Interest Per Complaint
From 11/3/01 to 3/5/02
Late charges per Complaint
From 11/3/01 to 3/5/02
Escrow payment per Complaint
From 11/3/01 to 3/5/02
$113,296 .19
3,499.35
261. 32
~.566.36
TOTAL
$118.623.22
I hereby certify that (1) the addresses of the Plaintiff and
Defendant are as shown above, and (2) that notice has been given in
accordance with Rule 237.1, a copy of which is attached hereto.
DAMAGES ARE HEREBY ASSESSED AS
DATE: frl::iA.d..... q, ;'}6"~
,'+,\r,;t\!if--!""--;"""'~~ ,
, "0
,,,,-1"';"-'--' ^.,
& ASSOCIATES
ESQUIRE
,.,
u
"~!~;;';1I,r.;n/<'l-'~"'C%""
..
ATTORNEY FOR PLAINTIFF
MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National Association, As
Trustee f/k/a The First National Bank
of Chicago, As Trustee for structured
Asset Securities Corporation Mortgage
Pass-Through Certificates, Series
1999-BC1
COURT OF COMMON PLEAS
CIVIL DIVISION
Cumberland County
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
Defendant(s)
NO. 01-6844 Civil
February 22, 2002
Kenneth R. Steiner
1104 Floribunda Lane
Mechanicsburg, pA 17055
IMPORTANT NOTICE
YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN
APPEARANCE PERSONALLY OR BY ATTORNEY AND FILE IN WRITING WITH THE
COURT YOUR DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST
YOU. UNLESS YOU ACT WITHIN TEN DAYS FROM THE DATE OF THIS NOTICE,
A JUDGMENT MAY BE ENTERED AGAINST YOU WITHOUT A HEARING AND YOU MAY
LOSE YOUR PROPERTY OR OTHER IMPORTANT RIGHTS. YOU SHOULD TAKE THIS
NOTICE TO A LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER OR CANNOT
AFFORD ONE, GO TO OR TELEPHONE THE FOLLOWING OFFICE TO FIND OUT
WHERE YOU CAN GET LEGAL HELP.
LAWYER REFERRAL SERVICE
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, pA 17013-3387
717-249-3166 or 800-990-9108
NOTIFICACION IMPORTANTE
DATED:
TO:
USTED SE ENCUENTRA EN ESTADO DE REBELDIA pOR NO HABER TOMADO LA
ACCION REQUIRIDA DE SU PARTE EN ESTE CASO. AL NO TOMAR LA ACCION
DEB IDA DENTRO DE UN TERMINO DE DIEZ (10) DIAS DE ESTA NOTIFICACION,
EL TRIBUNAL pODRA, SIN NECESIDAD DE COMpARARECER USTED EN CORTE 0
ESCUCHAR pREUBA ALGUNA, DICTAR SENTENCIA EN SU CONTRA, USTED pUEDE
PERDER BIENES Y OTROS DERECHOS, IMpORTANTES. DEBE LLEVAR ESTA
NOTIFICACION A UN ABOGADO IMMEDIATAMENTE SI USTED NO TIENE ABOGADO,
o SI NO TIENE DINERO SUFICIENTE PARA TAL SERVICIO, VAYA EN PERSONA
o LLAME pOR TELEFONO A LA OFICINA, CUYA DIRECCION SE ENCUENTRA
ESCRITA ABAJO PARA AVERIGUAR DONDE SE pUEDE CONSEGUIR ASSISTENCIA
LEGAL.
SERVICIO DE REFERENCIA LEGAL
LAWYER REFERRAL SERVICE
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, pA 17013-3387
717-249-3166 or 800-990-9108
NOTICE: PURSUANT TO THE FAIR DEBT COLLECTION PRACTICES ACT, THIS
LAW FIRM IS DEEMED TO BE A DEBT COLLECTOR AND THIS IS AN ATTEMPT TO
COLLECT A DEBT. ANY INFORMATION OBTAINED WILL BE USED FOR THAT
PURPOSE.
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ATTORNEY FOR PLAINTIFF
MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National Association, As
Trustee f/k/a The First National Bank
of Chicago, As Trustee for structured
Asset Securities 9o~poration M9rtgage
pass-Through Certlflcates, Serles
1999-BC1
COURT OF COMMON PLEAS
CIVIL DIVISION
Cumberland County
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
Defendant(s)
NO. 01-6844 Civil
DATED:
TO:
February 221 2002
Sun Cha Stelner
1104 Floribunda Lane
Mechanicsburg, PA 17055
IMPORTANT NOTICE
YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN
APPEARANCE PERSONALLY OR BY ATTORNEY AND FILE IN WRITING WITH THE
COURT YOUR DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST
YOU. UNLESS YOU ACT WITHIN TEN DAYS FROM THE DATE OF THIS NOTICE,
A JUDGMENT MAY BE ENTERED AGAINST YOU WITHOUT A HEARING AND YOU MAY
LOSE YOUR PROPERTY OR OTHER IMPORTANT RIGHTS. YOU SHOULD TAKE THIS
NOTICE TO A LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER OR CANNOT
AFFORD ONE, GO TO OR TELEPHONE THE FOLLOWING OFFICE TO FIND OUT
WHERE YOU CAN GET LEGAL HELP.
LAWYER REFERRAL SERVICE
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013-3387
717-249-3166 or 800-990-9108
NOTIFICACION IMPORTANTE
US TED SE ENCUENTRA EN ESTADO DE REBELDIA POR NO HABER TOMADO LA
ACCION REQUIRIDA DE SU PARTE EN ESTE CASO. AL NO TOMAR LA ACCION
DEB IDA DENTRO DE UN TERMINO DE DIEZ (10) DIAS DE ESTA NOTIFICACION,
EL TRIBUNAL PODRA, SIN NECESIDAD DE COMPARARECER USTED EN CORTE 0
ESCUCHAR PREUBA ALGUNA, DICTAR SENTENCIA EN SU CONTRA, USTED PUEDE
PERDER BIENES Y OTROS DERECHOS, IMPORTANTES. DEBE LLEVAR ESTA
NOTIFICACION A UN ABOGADO IMMEDIATAMENTE SI USTED NO TIENE ABOGADO,
o SI NO TIENE DINERO SUFICIENTE PARA TAL SERVICIO, VAYA EN PERSONA
o LLAME POR TELEFONO A LA OFICINA, CUYA DIRECCION SE ENCUENTRA
ESCRITA ABAJO PARA AVERIGUAR DONDE SE PUEDE CONSEGUIR ASSISTENCIA
LEGAL.
SERVICIO DE REFERENCIA LEGAL
LAWYER REFERRAL SERVICE
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013-3387
717-249-3166 or 800-990-9108
NOTICE: PURSUANT TO THE FAIR DEBT COLLECTION PRACTICES ACT, THIS
LAW FIRM IS DEEMED TO BE A DEBT COLLECTOR AND THIS IS AN ATTEMPT TO
COLLECT A DEBT. ANY INFORMATION OBTAINED WILL BE USED FOR THAT
PURPOSE.
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National
Association, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
Corporation Mortgage Pass-
Through Certificates, Series
1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
Plaintiff
ATTORNEY FOR PLAINTIFF
COURT OF COMMON PLEAS
CIVIL DIVISION
Cumberland County
MORTGAGE FORECLOSURE
NO. 01-6844 Civil
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
Defendant(s)
AFFIDAVIT OF NON-MILITARY SERVICE
STATE OF t::IOyi d a....
COUNTY OF eHauje
THE UNDERSIGNED being duly sworn, deposes and says that the
averments herein are based upon investigations made and records
maintained by us either as Plaintiff or as servicing agent of the
plaintiff herein and that the above Defendant(s) are not in the
Military or Naval Service of the united States of America or its
Allies as defined in the Soldiers and Sailors Civil Relief Act of
1940, as amended, and that the age and last known residence and
employment of each Defendant are as follows:
SS
Defendant:
Age:
Residence:
Employment:
Kenneth R. Steiner
Over 18
As captioned above
Unknown
Defendant:
Age:
Residence:
Employment:
Sun Cha Steiner
Over 18
As captioned
Unknown
Sworn to and subscri
be ore me this" d
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ATTORNEY FOR PLAINTIFF
. MARK J. UDREN &: ASSOCIATES
BY: Mark J. Udren &: Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
.
Bank One, National
Association, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
Corporation Mortgage Pass-
Through Certificates, Series
1999-BC1
The Forum, Tower B, 7th Floor
1665 ~alm Beach Lakes Blvd.
West ~alm Beach, FL 33401
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
Defendant(s)
TO: Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
: MORTGAGE FORECLOSURE
: NO. 01-6844 Civil
NOTICE
Pursuant to Rule 236 of the Supreme Court of Pennsylvania, you are hereby
notified that a Judgment has been entered against you in the above
proceeding as indicated below.
C:::;;:~R. ~ .
Jj;~/c>~ ?
_~ Judgment by Default
Money Judgment
Judgment in Replevin
Judgment for Possession
Judgment on Award of Arbitration
Judgment on Verdict
Judgment on Court Findings
ATTORNEY
IF YOU HAVE ANY QUESTIONS CONCERNING THIS NOTICE PLEASE CALL:
MarL-~. Udren & Associates. Esquire
At this telephone number:
,;',;;,1!'jj\'.f'~~"1 ,il.l~
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856-482-6900
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'MARK J, UDREN << ASSOCIATES
BY: Mark J. Udren << Associates, Esquire
ATTY 1.0. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National Association,
As Trustee f/k/a The First
National Bank of Chicago, As
Trustee for structured Asset
Securities Corporation Mortgage
Pass-Through Certificates,
Series 1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lak~s Blvd.
West Palm Beach, FL 33401
-<>
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.
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
Defendant(s)
ATTORNEY FOR PLAINTIFF
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
: MORTGAGE FORECLOSURE
.
. NO. 01-6844 civil
PRAECIPE FOR JUDGMENT FOR FAILURE TO
ANSWER AND ASSESSMENT OF DAMAGES
TO THE PROTHONOTARY:
Kindly enter judgment in favor of the Plaintiff and against the
Defendant (s) for failure to file an Answer to. Plaintiff's Complaint
within 20 days from service thereof and for foreclosure and sale of the
mortgaged premises, and assess Plaintiff's damages as follows:
AS set forth in Complaint
Interest Per Complaint
From 11/3/01 to 3/5/02
Late charges per Complaint
From 11/3/01 to 3/5/02
Escrow payment per Complaint
From 11/3/01 to 3/5/02
$113,296.19
3,499.305
261.32
1.566.36
TOTAL
$118,623.22
I hereby certify that (1) the addresses of the Plaintiff and
Defendant are as shown above, and (2) that notice has been given in
accordance with Rule 237.1, a copy of which is attached hereto.
DAMAGES ARE HEREBY ASSESSED AS
DATE: fYl;;nrt.
'-< ~ An ~
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& ASSOCIATES
ESQUIRE
IND-yj'TED
pke/I(6L;- )
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if J,M!l~"___
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.TTI
.
~
. 'MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National Association,
As Trustee f/k/a The First
National Bank of Chicago, As
Trustee for structured Asset
Securities Corporation Mortgage
Pass-Through Certificates,
Series 1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
ATTORNEY FOR PLAINTIFF
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
: MORTGAGE FORECLOSURE
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
.
. NO. 01-6844 civil
Defendant(s)
TO: Kenneth R. Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
NOTICE
Pursuant to Rule 236 of the Supreme Court of Pennsylvania, you are hereby
notified that a Judgment has been entered against you in the above
proceeding as indicated below~
--.L
Judgment by Default
C::;;;:;~ .~
2/1J../Ody C-
Money Judgment
Judgment in Replevin
Judgment for Possession
Judgment on Award of Arbitration
Judgment on Verdict
Judgment on Court Findings
IF YOU HAVE ANY QUESTIONS CONCERNING THIS NOTICE PLEASE CALL:
ATTORNEY
Mark J. Udren & Associates. Esquire
At this telephone number:
856-482-6900
,:;,,,;:r'~i""'~~"',e-,q__~,~"--= "'.
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. 'MARK J. UOREN & ASSOCIATES
BY: Mark J. Udren & Associates,
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National Association,
As Trustee f/k/a The First
National Bank of Chicago, As
Trustee for structured Asset
Securities Corporation Mortgage
Pass-Through Certificates,
Series 1999-BCl
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
Plaintiff
ATTORNEY FOR PLAINTIFF
Esquire
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
: MORTGAGE FORECLOSURE
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
Defendant(s}
.
. NO; 01-6844 Civil
PRAECIPE FOR JUDGMENT FOR FAILURE TO
ANSWER AND ASSESSMENT OF DAMAGES
TO THE PROTHONOTARY:
Kindly enter judgment in favor of the plaintiff and against the
Defendant (s) for failure to file an Answer to Plaintiff's Complaint
within 20 days from service thereof and for foreclosure and sale of the
mortgaged premises, and assess Plaintiff's damages as follows:
As set forth in Complaint
Interest Per Complaint
From 11/3/01 to 3/5/02
Late charges per Complaint
From 11/3/01 to 3/5/02
Escrow payment per Complaint
From 11/3/01 to 3/5/02
$113,296.19
3,499.J.S
261. 32
l..566.36
TOTAL
$118.623.22
I hereby certify that (1) the addresses of the Plaintiff and
Defendant are as shown above, and (2) that notice has been given in
accordance with Rule 237.1, a copy of which is attached hereto.
\
& ASSOCIATES
ESQUIRE
DAMAGES ARE HEREBY ASSESSED AS
DATE: /l/5::wcl I)., ,;)/)6~
PRO PROTHY
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
ATTORNEY FOR PLAINTIFF
Bank One, National
Association, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
Corporation Mortgage Pass-
Through Ce~tificates, Series
1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
.
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
: MORTGAGE FORECLOSURE
. .
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
.
. NO. 01-6844 Civil
Defendant(s)
PRAECIPE FOR WRIT OF EXECUTION
TO THE SHERIFF:
Issue Writ of Execution in the above matter:
Amount due $~,623.22
Interest From March 6. 2002 2.617.40
to Date of Sale June 5. 2002
Per diem @$28.45
(Costs to be added) $
\. ; \ Mark J. Udren & Associates, ESQUIRE
~ ATTORNEY FOR PLAINTIFF
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ALL THAT CERTAIN LOT OF GROUND SITUATE IN THE TOWNSHIP OF UPPER ALLEN, COUNTY OF
CUMBERLAND AND STATE OF PENNSYLVANIA, BOUNDED AND DESCRIBED AS FOLLOWS, TO WIT:
BEGINNING AT A POINT IN THE NORTHERN LINE OF FLORIBUNDA LANE (50 FEET WIDE) WHICH
SAID POINT IS IN THE DIVISION LINE BETWEEN LOTS NOS, 20 AND 21 ON THE HEREINAFTER
MENTIONED PLAN OF LOTS; THENCE EXTENDING ALONG THE NORTHERN LINE OF FLORI BUNDA LANE
IN AN EASTWARDLY DIRECTION BY THE ARC OF A CIRCLE CURVING TO THE RIGHT, SAID CIRCLE
HAVING A RADIUS OF 200 FEET, THE ARC DISTANCE OF 34.91 FEET TO A POINT MARKED BY A
MONUMENT; THENCE CONTINUING ALONG THE NORTHERN LINE OF FLORIBUNDA LANE, -SOUTH 74
DEGREES 25 MINUTES 33 SECONDS EAST 35.75 FEET TO A POINT AT CORNER OF LOT NO. 19 ON
THE HEREINAFTER MENTIONED PLAN OF LOTS; THENCE EXTENDING ALONG THE DIVISION LINE
BETWEEN LOTS NOS. 19 AND 20 ON SAID PLAN, NORTH 15 DEGREES 34 MINUTES 27 SECONDS
EAST 131.18 FEET TO A POINT AT CORNER OF LOT NO. 15 ON THE HEREINAFTER MENTIONED
PLAN OF LOTS; THENCE EXTENDING ALONG THE DIVISION LINE BETWEEN LOTS NOS. 20 AND 15
AND LOTS NOS. 20 AND 14 ON SAID PLAN, NORTH 77 DEGREES 09 MINUTES 21 SECONDS WEST
100.0 FEET TO A POINT AT CORNER OF LOT NO. 21 ON THE HEREINAFTER MENTIONED PLAN OF
LOTS; THENCE EXTENDING ALONG THE DIVISION LINE BETWEEN LOTS NOS. 20 AND 21 ON SAID
PLAN, SOUTH 02 DEGREES 46 MINUTES 37 SECONDS WEST 132.76 FEET TO A POINT IN THE
NORTHERN LINE OF FLORIBUNDA LANE, AFOREMENTIONED, AT THE POINT AND PLACE OF
BEGINNING.
BEING LOT NO. 20, BLOCK "B" ON THE PLAN OF SECTION 1 OF ROSEGARDEN" WHICH SAID PLAN
IS RECORDED IN THE CUMBERLAND COUNTY RECORDER'S OFFICE IN PLAN BOOK 27, PAGE 16.
HAVING THEREON ERECTED AN ALUMINUM AND BEICK COLONIAL BI-LEVEL HOUSE WITH TWO-CAR
GARAGE.
BEING KNOWN AS 1104 FLORI BUNDA LANE, MECHANICSBURG, PA 17055
PROPERTY TAX PARCEL NO.: 42-31-2153-027
TITLE TO SAID PREMISES IS VESTED IN KENNETH R. STEINER AND SUN CHA
STEINER, HIS WIFE, BY DEED FROM RICHARDA. WALKER, A SINGLE MAN,
DATED 7/29/86, RECORDED 7/30/86, IN DEED BOOK B-32, PAGE 480.
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
ATTORNEY FOR PLAINTIFF
Bank One, National
Association, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
Corporation Mortgage Pass-
Through Certificates, Series
1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
: MORTGAGE FORECLOSURE
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
.
. NO. 01-6844 civil
Defendant{s)
C E R T I F I CAT E
Mark J. Udren & Associates, Esquire, hereby states that he is the
attorney for the Plaintiff in the above-captioned matter and that the
premises are not subject to the provisions of Act 91 because it is:
An FHA insured mortgage
Non-owner occupied
Vacant
x Act 91 procedures have been fulfilled.
Over 24 months delinquent.
This certification is made subject to the penalties of 18 Pa. C.S.
Sec. 4904 relating to unsworn falsification to authorities.
en & Associates, ESQUIRE
PLAINTIFF
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MARK J. UDREN << ASSOCIATES
BY: Mark J. Udren << Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
ATTORNEY FOR PLAINTIFF
Bank One, National Association,
As Trustee f/k/a The First
National Bank of Chicago, As
Trustee for structured Asset
Securities Corporation Mortgage
Pass-Through Certificates,
Series 1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
: MORTGAGE FORECLOSURE
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
.
. NO. 01-6844 Civil
Defendant(s)
AFFIDAVIT PURSUANT TO RULE 3129.1
Bank One, National Association, As Trustee f/k/a The First National Bank
of Chicago, As Trustee for structured Asset Securities Corporation
Mortgage Pass-Through Certificates, Series 1999-BC1, Plaintiff in the
above action, by its attorney, Mark J. Udren & Associates, ESQ., sets
forth as of the date the Praecipe for the Writ of Execution was filed the
following information concerning the real property located at: 1104
Flori Bunda Ln, Mechanicsburg, PA 17055
1. Name and address of Owner(s) or reputed Owner(s) :
Name Address
Kenneth R. Steiner
1104 Flori Bunda Ln., Mechanicsburg, PA 17055
Sun Cha Steiner
1104 Flori Bunda Ln., Mechanicsburg, PA 17055
2. Name and address of Defendant(s) in the judgment:
Name Address
Same as #1 above
3. Name and address of every judgment creditor whose judgment is a record
lien on the real property to be sold:
Name Address
None
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4. Name and address of the last recorded holder of every mortgage of
record:
Name Address
Plaintiff herein.
See Caption above.
Bank One, NA
10300 Kincaid Drive, INl-9030,
Fishers, IN 46038
5. Name and address of every other person who has any record lien on the
property:
Name Address
None
6. Name and address of every other person who has any record interest in
the property and whose interest may be affected by the sale:
Name Address
Real Estate Tax Dept.
1 Courthouse Sq., Carlisle, PA 17013
Domestic Relations Section
13 N. Hanover St., Carlise, PA 17013
Commonwealth of PA,
Department of Revenue
Bureau of Compliance, Dept. 280946
Harrisburg, PA 17128-0946
7. Name and address of every
knowledge who has any interest
the sale:
Name
other person of whom the plaintiff has
in the property which may be affected by
Address
Tenants/Occupants
1104 Flori Bunda Ln, Mechanicsburg, PA 17055
I verify that the statements made in this affidavit are true and correct
to the best of my personal knowledge or information and belief. I
understand that false statements herein are made subject to the penalties
of 18 Pa.C.S. sec. 4904 relating to unsworn falsification to authorities.
DATED: March 5, 2002
M rk J. Udren Associates, ESQ.
Attorney for Plaintiff
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National Association,
As Trustee f/k/a The First
National Bank of Chicago, As
Trustee for structured Asset
Securities Corporation Mortgage
Pass-Through Certificates,
Series 1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
ATTORNEY FOR PLAINTIFF
: COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
: MORTGAGE FORECLOSURE
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
.
. NO. 01-6844 civil
Defendant(s)
~~~~HERIFF'S SALE OF REAL PROPERTY
TO: Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
Your house (real estate) at 1104 Flori Bunda Ln, Mechanicsbur2' PA 17055
is scheduled to be sold at the Sheriff's Sale on June 5, 2002, at 10:00
A.M. in the Commissioners Hearing Room, 2nd Floor, Courthouse, Carlisle,
PA , to enforce the court judgment of $118,623.22, obtained by Plaintiff
above (the mortgagee) against you. If the sale is postponed, the
property will be relisted for the Next Available Sale.
NOTICE OF QKNE~S RIGHTS
YOU MAY BE ABLE TO PREVENT THIS SHERIFF'S SALE
To p~event this Sheriff's Sale, you must take imID~iate action:
1, The sale will be cancelled if you pay to the
charges, costs and reasonable attorney's fees.
you may call: {8561-482-6900.
mortgagee the back payment, late
To find out how much you must pay,
2. You may be able to stop the sale by filing a petition asking the Court to strike
or open the judgment, if the judgment was improperly entered. You may also ask
the Court to postpone the sale for good cause.
3. You may also be able to stop the sale through other legal proceedings.
You may need an attorney to assert your rights. The sooner you contact one, the
more chance you will have of stopping the sale. (See notice on page two on how
to obtain an attorney.)
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~Q~Y STILL BE~BLE TO SAVE YO~R-RR~PERTY AND YOU HAVE OTHER RIGBTS
EnL~IF THE-S~I~F'S SALE ~QES TAKE PLACE.
1. If the Sheriff's Sale is. not stopped, your property will be sold to the
highest bidder. You may find out the price bid by calling 856-482-6900.
2. You may be able to petition the Court to' set aside the sale if the bid price
was g~ossly inadequate compared to the value of your property.
3. The sale will go through only if the buyer pays the Sheriff the full amount
due in the sale. To find out if this has happened, you may call 856-482-6900.
4. If the amount due from the Buyer is not paid to the Sheriff, you will remain
the OWner of the property as if the sale never happened.
5. You have the right to remain in the property until the full amount due is
paid to the Sheriff and the Sheriff gives a deed to the buyer. At that time, the buyer
may bring legal proceedings ,to evict you.
6. You may be entitled to a share of the money which was paid for your house.
A schedule of distribution of the money bid for your house will be filed by the Sheriff
within 30 days afte~ the sale. This schedule will state who will be receiving that
money. The money will be paid out in accordance with this schedule unless exceptions
(reasons why the proposed distribution is wrong) are filed with the Sheriff within ten
(10) days after Schedule of Distribution is filed.
7. You may also have other rights and defenses, or ways of getting your home
back, if you act immediately after the sale.
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 LISTED BELOW TO FIND OUT WHERE YOU CAN
GET LEGAL HELP.
LAWYER REFERRAL SERVICE
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013-3387
717-249-3166 or 800-990-9108
ASSOCIATION DE LICENCIDADOS DE FILADELFIA
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013-3387
717-249-3166 or 800-99Q'9108
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
ATTORNEY FOR PLAINTIFF
Bank One, National Association,
As Trustee f/k/a The First
National Bank of Chicago, As
Trustee for structured Asset
Securities Corporation Mortgage
Pass-Through Certificates,
Series 1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
: MORTGAGE FORECLOSURE
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
.
. NO. 01-6844 civil
Defendant(s)
NOTICE OF SHERIFF'S SALE OF REAL PROPERTY
TO: Kenneth R. Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
Your house (real estate) at 1104 Flori Bunda Ln, Mechanicsburg, PA 17055
is scheduled to be sold at the Sheriff's Sale on June 5, 2002, at 10:00
A.M. in the Commissioners Hearing Room, 2nd Floor, Courthouse, Carlisle,
PA , to enforce the court judgment of $118,623.22, obtained by Plaintiff
above (the mortgagee) against you. If the sale is postponed, the
property will be relisted for the Next Available Sale.
NOTICE OF OWNER'S RIGHTS
YOU MAY BF. ABT,R TO PREVENT THIS SHERIFF'S SALE
To prevent this Sheriff's Sale, you must take immediate action:
1. The sale will be cancelled if you pay to the
charges, costs and reasonable attorney's fees.
you may call: (SSG) 4S2 -6900.
mortgagee the back payment, late
To find out how much you must pay,
2. You may be able to stop the sale by filing a petition asking the Court to strike
or open the judgment, if the judgment was improperly entered. You may also ask
the Court to postpone the sale for good cause.
3. You may also be able to stop the sale through other legal proceedings.
You may need an attorney to assert your rights. The sooner you contact one, the
more chance you will have of stopping the sale. (See notice on page two on how
to obtain an attorney.)
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r YOU MAY STILL BE ABLE TO SAVE YOUR PROPERTY AND YOU HAVE OTHER RI~
EVEN IF THE SHERIFF'S SALE DOES TAKE PLACE.
1. If the Sheriff's Sale is not stopped, your property will be sold to the
highest bidder. You may find out the price bid by calling 856-482-6900.
2. You may be able to petition the Court to set aside the sale if the bid price
was grossly inadequate compared to the value of your property.
3. The sale will go through only if the buyer pays the Sheriff the full amount
due in the sale. To find out if this has happened, you may call 856-482-6900.
4. If the amount due from the Buyer is not paid to the Sheriff, you will remain
the owner of the property as if the sale never happened.
5. You have the right to remain in the property until the full amount due is
paid to the Sheriff and the Sheriff gives a deed to the buyer. At that time, the buyer
may bring legal proceedings to evict you.
6. You may be entitled to a share of the money which was paid for your house.
A schedule of distribution of the money bid for your house will be filed by the Sheriff
within 30 days after the sale. This schedule will state who will be receiving that
money. The money will be paid out in accordance with this schedule unless exceptions
(reasons why the proposed distribution is wrong) are filed with the Sheriff within ten
'(10) days after Schedule of Distribution is filed.
7. You may also have other rights and defenses, or ways of getting your home
back, if you act immediately after the sale.
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 LISTED BELOW TO FIND OUT WHERE YOU CAN
GET LEGAL HELP.
LAWYER REFERRAL SERVICE
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013-3387
717-249-3166 or 800-990-9108
ASSOCIATION DE LICENCIDADOS DE FILADELFIA
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013-3387
717-249-3166 or 800-990-9108
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~RK J, UDREN & ASSOCIATES
BY: Mark J. Udren & Associates
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500,
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National
Association, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
corporation Mortgage Pass-
Through Certificates, Series
1999-BCl
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
Defendant(s)
ATTORNEY FOR PLAINTIFF
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
: NO. 01-6844 civil
AFFIDAVIT OF SERVICE PURSUANT TO Pa.R.C.P.RULE 3129.1
Plaintiff, by its/his/her Attorney, Mark J. Udren & Associates, Esquire,
hereby verifies that:
1. A copy of the Notice of Sheriff's Sale, a true and correct copy of which
is attached hereto as Exhibit "A", was sent to every recorded lienholder and
every other interested party known as of the date of the filing of the
Praecipe for the Writ of Execution, on the date(s) appearing on the attached
Certificates of Mailing.
2. A Notice of Sheriff's Sale was sent to Defendant(s) by regular mail and
certified mail on the date appearing on the attached Return Receipt, which
was signed for by Defendant (s) on the date specified on the said Return
Receipt. Copies of the said Notice and Return Receipt are attached hereto as
Exhibit "B".
3. If a Return Receipt is not attached hereto, then service was by personal
service on the date specified on the attached Return of Service, attached
hereto as Exhibit "B".
4. If service was by Order of Court, then proof of compliance with said
Order is attached hereto as Exhibit "B".
All Notices were served within the time limits set forth by Pa Rule C.P.
3129.
This Affidavit is made subject to the penalties of 18 Pa.C.S. Section 4904
relating to unsworn falsification to authorities.
Dated: April 5, 2002
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BY:
~REN & ASSOCIATES
Mark J. Udren & Associates, Esquire
Attorney for Plaintiff
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
ATTORNEY FOR PLAINTIFF
Bank One, National
Association, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
Corporation Mortgage Pass-
Through Certificates, Series
1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
Plaintiff
COURT OF COMMON PLEAS
CIVIL DIVISION
Cumberland County
NO. 01-6844 civil
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
Defendant(s)
DATE: March 18, 2002
TO: ALL PARTIES IN INTEREST AND CLAIMANTS
NOTICE OF SHERIFF'S SALE
OF REAL PROPERTY
OWNER(S): KENNETH R. STEINER & SUN CHA STEINER
PROPERTY: 1104 Flori Bunda Ln, Mechanicsburg,PA 17055
Improvements: RESIDENTIAL DWELLING
The above captioned property is scheduled to be sold at the
Cumberland County Sheriff's Sale on June 5, 2002, at 10:00 A.M., at
the COMMISSIONERS HEARING ROOM, 2ND FLOOR, COURTHOUSE, CARLISLE, PA
Our records indicate that you may hold a mortgage or judgment
on the property which will be extinguished by the sale. You may
wish to attend the sale to protect your interests.
A Schedule of Distribution will be filed by the Sheriff on a date
specified by the Sheriff not later that 30 days after sale.
Distribution will be made in accordance with the schedule unless
exceptions are filed thereto within 10 days after the filing of the
schedule.
EXHIBIT A
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National
Association, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
Corporation Mortgage Pass-
Through Certificates, Series
1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
Plaintiff
ATTORNEY FOR PLAINTIFF
COURT OF COMMON PLEAS
CIVIL DIVISION
Cumberland County
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
NO. 01-6844 civil
Defendant(s)
VERIFICATION OF SERVICE BY CERTIFIED MAIL AND
REGULAR MAIL PURSUANT TO COURT ORDER
The undersigned hereby verifies that he is counsel for Plaintiff in
the above case and that pursuant to the Court order issued in this
matter he mailed a true and correct copy of the Notice of Sale to
Defendant(s), by certified mail and regular first class mail, to
the last known ad~ress of Defendant(s) as follows:
DATE MAILED: March 18, 2002
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA17055
I verify that the statements made herein are true and correct and
I understand that false statements made herein are subject to the
penalties of 18 Pa.C.S. Section 4904 relating to unsworn
falsification to authorities.
MARK J. UDREN & ASSOCIATES
Dated:
~
Mark J. Udren
.If Associates, ~e0-\
, EXHIDII U
March 21, 2002
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JAN 0 13 2002 Lf---
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ARK J. UDREN & ASSOCIATES
BY: MARK J. UDREN, ESQUIRE
ATTY J.D. NO. 04302
1040 N, KINGS HIGI;IWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
ATTORNEY FOR PLAINTIFF
Bank One, National Association, As Trustee
f/kla The Fitst National Bank of Chicago,
As Trustee for structured Asset Securities
Corporation Mortgage Pass. Through
Certificates;,. Series 1999-BC1
Plaintiff
: COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
.
: NO. 01-6844 Civil
v.
Kenneth R. Steiner
Sun Cha Steiner
Defendant(s)
u
,
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!
ORDER
AND NOW, this ) 1.0 -lh day of J o..J' u.o..r~ ' 200 ~ ,upon consideration of PlaintiffS
, Motion and the Affidavit of Good Faith investigation attached hereto, it is hereby ORDERED that
service of the Complaint in Mortgage Foreclosure and all subsequent pleadings on Defendant(s),
Kenneth R. Steiner and Sun Cha Steiner, shall be complete when Plaintiff or its counsel or agent
has mailed true and correct copies of the Complaint in Mortgage Foreclosure and all subsequent
pleadings by certified mail and regular mati to the last known ,address of Defendant(s), Kenneth
R. Steiner and Sun Cha Steiner at 1104 Floribunda Lane, Mechanicsburg, PA 17055 and by
-
posting the mortgaged premises located at 1104 Floribunda Lane, Mechanicsburg, FA 17055.,
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ATTORNEY FOR PLAINTIFF
MARK J. UOREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National
. Associat:i.on, As Trustee f/k/a
The First National Bank of
Chicago, As Trustee for
structured Asset Securities
Corporat:i.on Mortgage ,Pass-
Through Certificates, Series
1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
Plaintiff
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
.
. NO. 01-6844 Civil
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
Defendant (s)
PRAECIPE TO FILE PROOF OF SERVICE
TO THE PROTHONOTARY:
Kindly file the attached Proofs of Service with regard to the
captioned matter.
Date: April 4, 2002
"-f,ZftN,i~"'~"'iI~""iO~mr~~~
~-""~~ ~- 1 "
MARK J. UDREN & ASSOCIATES
"m(
Mark J. Udren & Associates,ESQUIRE
Attorney for Plaintiff
BY:
EXHIBIT 8
- ;
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en
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Service of Process by
APS International, Ltd.
1-800-328~7171
Bank One, National Association, as trustee, et. al., Plat,ntiff(s)
vs.
Steiner, et. al., Defendant(s)
APS International Plaza
7800 Glenroy Rd.
Minneapolis, MN 55439-3122
AFFIDAVIT OF SERVICE -- Individual
MARK J. UDREN
Service of Process on:
--Kenneth R. Steiner, by posting
Court Case No. 01-6844
Ms. Cara Stears
1040 North Kings Highway
Snite 500
Cherry Hill, NJ 08034
----~---------------------------------------
State of: '-Qf\I\&t."-/VfC, )ss.
County of: 0),).. \IV\. If Ia.. rl 01 ) R'
Name of Server: AJ ",j.. ~("'\ ,\,j 'j), <L -8ir- b " undersigned, being duly sworn, deposes and says
that at the time of service, s!he was lver the age of twenty-one, was not a party to this action;
DatelTime of Service: that on the Old, nJ. day of 'iVlo.. r-C/~ ,20 0 ~ ,at J',o1- o'clock PM
Place of Service:
Documents Served:
~ervice of Process on:
Person Served, and
Method of Service:
Description of Person
Receiving Documents:
Signature of Server:
A1~~"''''''''1'<T'''F_''''__~__" _
at 1104 Flori Bunda Lane
, city of Mechanicshurg
state of PA
, =
the undersigned served the documents described as:
Notice of Sheriffs Sale of Real Property and Order
A true and correct copy of the aforesaid document(s) was served on:
Kenneth R. Steiner, by posting
o By personally delivering them into the hands of the person to be served.
o By delivering them into the hands of
suitable age and discretion residing at the Place of Service,
whose relationship to the person to be served is
, a person of
The person receiving documents is described as follows:
Sex _; Skin Color ; Hair Color ; Facial Hair
Approx. Age Approx. Height Approx. Weight
o To the best of my knowledge and belief, said person was not engaged in the US Military at
the time of service.
,20 0 Q.
(Cnmmission Expires)
APS International, Ltd.
APS File #: 051917..0001
EXHIBIT B
"~~ ,-- -~~
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Service of Process by
APS International, Ltd.
1-800-328-7171
Bank One, National Association, as trustee, et. al.~ Plaiv:tiff(s)
vs.
Steiner, et. al., Defendant(s)
APS International Plaza
7800 Glenroy Rd.
Minneapolis, MN 55439.3122
AFFIDAVIT OF SERVICE -- Individual
MARK J. UDREN
Service of Process on:
--Sun Cha Steiner, by posting
Court Case No. 01.6844
Ms. Cara Stears
1040 North Kings Highway
Snite 500
Cherry Hill, NJ 08034
'S;';t:o;'- ~J.;I\.~~ 10'::';, ~. - -)ss~ - - ~ - - - - - - - - - - - - - - - - - - - - - - - - - -
County of: Cu \"Vi b r Ill.JlVl ) 0
Name of Server: . 10....~~a.V\ :~1 (. R'L~ ,undersigned, being duly sworn, deposes and says
that at the time of service, slhe was over the age of twenty.one, was not a party to this action;
Dateffime of Service: that on the di}rJday of -~~ ,20 o? , at 301- o'clock ~M
,
1
I
Place of Service:
Documents Served:
t Service of Process on:
Person Served, and
Method of Service:
Description of Person
Receiving Documents:
at 1'104 Flori Bunda Lane
, city of Meehanicsbu!rg
, state of PA
the undersigned served the documents described as:
Notice of Sheriff's Sale of Real Property and Order
A true and correct copy of the aforesaid document(s) was served on:
Sun eha Steiner, by posting
o By personally delivering them into the hands of the person to be served.
o By delivering them into the hands of
suitable age and discretion residing at the Place.of Service,
whose relationship to the person to be served is
, a person of
The person receiving documents is described as follows:
Sex _; Skin Color ; Hair Color ; Facial Hair
Approx. Age ; Approx. Height Approx. Weight
o To the best of my knowledge and belief, said person was not engaged in the US Military at
the time of service.
Signature of Server:, Undersigned declares under penalty of perjury
that foregoing is true and correct.
c
-;--,?Hf~D""-'-~"!_~~_ ,~~,_~_.,:i
Subscribed and sworn to before me this
Q S+'day of Met.- 'r ,20 tl d.
-- R lvv--
(Date)
Not Public
(Commission Expires)
APS Internation,d, l,td.
APS File #: OS1917..o001
EXHIBIT E
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,
COMMONWEALTH OF PENNSYLVANIA }
COUNTY OF CUMBERLAND SS:
I, Robert P. Ziegler, Recorder of Deeds in and for said County and State do hereby certify that
the Sheriff's Deed in which j is the grantee the same having been sold to said grantee on the 5th day of
June A.D., 2002, under and by virtue of a writ Execution issued on the 12th day of March, A.D., 2002,
out of the Court of Common Pleas of said County as of Civil Term, 2001 Number 6844, at the suit of
Bank One N A Tr against Kenneth R Steiner & Sun Cha is duly recorded in Sheriff's Deed Book No.
253, Page 828.
IN TESTIMONY WHEREOF, I have hereunto set my hand
and seal of said office this .l.!t.... day of ~ A.D. 20C) 2,.
YY)~ (lJ. ~JHrr ~
ecorder of Deeds
_oIDea,CUmIlettlnI<l\ll!IlIY.CI!ItIII. M
My CrlIIImJlIIIojIIiltilfNI""'I'irIlMllilllllVIII__
"-''W><*,'<'.'-"~''''~~,~~,"
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Bank One, N.A, as Trustee fi'k/a The In The Court of Common Pleas of
First National Bank of Chicago, as Trustee Cmnberland County, Pennsylvania
For Structured Asset Securities Corporation Writ No. 2001.6844 Civil Term
Mortgage Pass. Through Certificates,
Series 1999.BCl
VS
Kenneth R. Steiner and Sun Cha Steiner
Bryan Ward, Deputy Sheriff, who being dulysworn according to law, states that
on March 22,2002 at 7:53 o'clock p.m., EST, he served the within Real Estate Writ,
Notice and Description upon the within named defendants, to wit: Kenneth R. Steiner
and Sun Cha Steiner, by posting the premises located at 1104 Floribunda Lane,
Mechanicsburg, Cmnberland County, Pennsylvania pursuant to a court order.
Bryan Ward, Deputy Sheriff, who being duly sworn according to law, states that
on April 5, 2002 at 9:22 o'clock A.M., E.S.T., he posted a true copy of the within Real
Estate Writ, Notice, Poster and Description, in the above entitled action, upon the
property of Kenneth R. Steiner and Sun Chas Steiner located at 1104 Flori Bunda Lane,
Mechanicsburg, Pennsylvania, according to law.
R. Thomas Kline, Sheriff, who being duly sworn according to law says he served
the above Real Estate Writ, Notice, Poster and Description in the following manner: The
Sheriff mailed a notice of the pendency of the action to one of the within named
defendants to wit: Kenneth R. Steiner, by regular mail to his last known address of 1104
Floribunda Lane, Mechanicsburg, P A 17055. This letter was mailed under the date of
April 04, 2002 and never returned to the Sheriff s Office.
R. Thomas Kline, Sheriff, who being duly sworn according to law says he served
the above Real Estate Writ, Notice, Poster and Description in the following manner: The
Sheriff mailed a notice of the pendency of the action to one of the within named
defendants to wit: Sun Cha Steiner, by regular mail to her last known address of 1104
Floribunda Lane, Mechanicsburg, P A 17055. This letter was mailed under the date of
April 04, 2002 and never retmned to the Sheriff s Office.
R. Thomas Kline, Sheriff, who being duly sworn according to law, says that after
due and legal notice had been given according to law, exposed the within described
premises at public venue or outcry at the Court House, Carlisle, Cmnberland County,
Pennsylvania, on June 5' 2002 at 10:00 o'clock AM. He sold the same for the smn of
$1.00 to Attorney Mark J. Udren for Bank One N.A, fi'k/a The First National Bank of
Chicago, as Trustee for the Structured Asset Securities Corporation Mortgage Pass.
Through Certificates series 1999.BCl; Aurora Loan Services, Inc. Amresco Residential
Mortgage Corporation. It being the highest bid and best price received for the same,
Bank One N.A, fi'k/a The First National Bank of Chicago, as Trustee for the Structured
Asset Securities Corporation Mortgage Pass. Through Certificates series 1999" BC 1;
Aurora Loan Services, Inc. Amresco Residential Mortgage Corporation of 12650
Ingenuity Drive, Orlando, FL 32826, being the buyer in this execution paid SheriffR.
Thomas Kline, the smn of $948.48, it being costs.
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Sheriff's Costs:
Docketing
Poundage
Posting Bills
Advertising
Acknowledging Deed
Auctioneer
Law Library
Prothonotary
Service
Certified Mail
Levy
Surcharge
Posting (pursuant to
Court Order)
Law Journal
Patriot News
Share of Bills
Distribution of
Proceeds
Sheriffs Deed
$30.00
18.60
15.00
15.00
30.00
10.00
.50
1.00
13.80
2.43
15.00
30.00
12.00
404.90
270.55
25.20
25.00
29.50
$948.48 paid by attorney
08/07/02
Sworn and subscribed to before me So An~ ~~
hi 1[.., f a ~ -; - ~ I~ .....,
T s J.-D-aayo ~..d- 1 ~ -
(~ A1 R. Thomas Kline, Sheriff
2002, A.D. c4> 0. )-ul'~ ^f"i
V,
P ot onotary BYvb ~h
Real E~ Deputy
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Assoc~ates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL,NJ 08034
856-482-6900
Bank One, National Association,
As Trustee f/k/a The First
National Bank of Chicago, As
Trustee for structured Asset
Securities Corporation Mortgage
Pass-Through Certificates,
Series 1999-BCl
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
ATTORNEY FOR PLAINTIFF
. COURT OF COMMON PLEAS
~ CIVIL DIVISION
: Cumberland County
: MORTGAGE FORECLOSURE
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
. NO. 01-6844 civil
Defendant(s)
AFFIDAVIT PURSUANT TO RULE 3129.1
Bank One, National Association, As Trustee f/k/a The First National Bank
of Chicago, As Trustee for structured Asset Securities Corporation
Mortgage Pass-Through Certificates, Series 1999-BC1, Plaintiff in the
above action, by its attorney, Mark J. Udren & Associates, ESQ., sets
fQrth as of the date the praecipe for the Writ of Execution was filed the
following information, concerning the real property located at: 1104
Flori Bunda Ln, Mechanicsburg, PA 17055 ~
1. Name and address of Owner(s) or reputed Owner(s) :
Name Address
Kenneth R. Steiner
1104 Flori Bunda Ln., Mechanicsburg, PA 17055
Sun Cha Steiner
1104 Flori Bunda Ln., Mechanicsburg, PA 17055
2. Name and address of Defendant(s) in the judgment:
Name Address
Same as #1 above
3. Name and address of every judgment creditor whose judgment is a record
lien on the real property to be sold:
Name Address
None
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4. Name and address of the lqst recorded holder of every mortgage of
record:
Name Address
Plaintiff herein.
See Caption above.
Bank One, NA
10300 Kincaid Drive, INl-9030,
Fishers, IN 46038
5. Name and address of every other person who has any record lien on the'
property:
Name Address
N,one
6. Name and address of every ,other person who has any record interest in
the property and whose interest may be affected by the sale:
Name Address
Real Estate Tax Dept.
1 Courthouse Sq., Carlisle, PA 17013
Domestic Relations Section
13 N. Hanover St., Carlise, PA 17013
Commonwealth of PA,
Department of Revenue
Bureau of Compliance, Dept. 280946
Harrisburg, PA 17128-0946
7. Name and address of every
knowledge who has any interest
the sale:
Name
other person of whom the plaintiff has
in the property which may be affected by
Address
Tenants/Occupants
1104 Flori Bunda Ln, Mechanicsburg, PA 17055
I verify that the statements made in this affidavit are true and correct
to the best of my personal knowledge or information and belief. I
understand that false statements herein are made subject to the penalties
of 18 Pa.C.S. sec. 4904 relating to unsworn falsification to authorities.
DATED: March 5, 2002
M rk J. Udren& Associates, ESQ.
Attorney for Plaintiff
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Assoc~ates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, . National Association,
As Trustee f/k/a The First
National Bank of Chicago, As
Trustee for structured Asset
Securities Corporation Mortgage
Pass-Through Certificates,
Series 1999-BC1
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
ATTORNEY FOR PLAINTIFF
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
: MORTGAGE FORECLOSURE
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
.
. NO. 01-6844 Civil
Defendant(s)
NOTICE OF SHERIFF'S SALE OF REAL PROPEaTX
TO: Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
,Your house (real estate) at 1104 Flori Bunda Ln, Mechanicsbur3, PA 17055
is scheduled to be sold at the Sheriff's Sale on June 5, 2002, at 10:00
A.M. in the Commissioners Hearing Room, 2nd Floor, Courthouse, Carlisle,
PA , to enforce the court judgment of $118,623.22, obtained by Plaintiff
above (the, mortgagee) against you. If the sale is postponed, the
property will be relisted for the Next Available Sale.
NOTICE O~OWNER'S RIGHIS
YOU MAY BE ABLE TO PREVENT THIS SHERIFF'S SALE
To prevent this Sheriff's Sale, you must take imme~~~o~
1. The sale will be cancelled if you pay to the
charges, costs and reasonable attorney's fees.
you may call: la56)-482.6900
mortgagee the back payment, late
To find out how much you must pay,
2. You may be able to stop the sale by filing a petition asking the Court to strike
or open the judgment, if the judgment was improperly entered. You may also ask
the Court to postpone the sale for good cause.
3. You may also be able to stop the sale through other legal proceedings.
You may need an attorney to assert your rights. The soorter you contact one, the
more chance you will have of stopping the sale. (See notice on page two on how
to obtain an attorney.)
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l'QU_HALB..TILL BE AJll,E TO SAYE-YOUR PROPER'I'l'.....AND YOU HAVE OTHER RIGli.TS.
EVEN: IF THE SHERIFF'S SALE,; DQES TAKE PLACELL
1. If the Sheriff's Sale is not stopped, your property will be sold to the
highest bidder. You may find out the price bid by calling 856-482-6900.
2. You may be able to petition the Court to'set aside the sale if the bid price
was grossly inadequate compared to the value of your property.
3. The sale will go through only if the buyer pays the Sheriff the full amount
due in the sale. To find out if this has happened, you may calI' 856-482-6900.
4. If the amount due from'the Buyer is not paid to the Sheriff, you will remain
the owner of the property as if the sale never happened.
5. You have the right to remain in the property until the full amount due is
paid to the Sheriff and the Sheriff gives a deed to the buyer. At that time, the buyer
may bring legal proceedings to evict you.
G. You may be entitled to a share of the money which was paid for your house.
A schedule of distribution of the money bid for your house will be filed by the Sheriff
within 30 days after the sale. This schedule will state who will be receiving that
money. The money will be paid out in accordance with this schedule unless exceptions
(reasons why the proposed distribution is wrong) are filed with the Sheriff within ten
(10) days after Schedule of Distribution is filed.
7. You may also have. other rights and defenses, or ways of getting your home
back, if you act immediately after the sale.
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 LISTED BELOW TO FIND OUT WHERE YOU CAN
GET LEGAL HELP.
LAWYER REFERRAL SERVICE
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013.3387
717'249-3166 or 800-990-9108
ASSOCIATION DE LICENCIDADOS DEFILADELFIA
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013-3387
717-249-3166 or 800-990-9108
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ALL THAT CERTAIN LOT OF GROUND SITUATE IN THE TOWNSHIP OF UPPER ALLEN, COUNTY OF
CUMBERLAND AND STATE OF PENNSYLVANIA, BOUNDED AND DESCRIBED AS FOLLOWS, TO WIT:
BEGINNING AT A POINT IN THE NORTHERN LINE OF FLORIBUNDA LANE (50 FEET WIDE) WHICH
SAID POINT IS IN THE DIVISION LINE BETWEEN LOTS NOS, 20 AND 21 ON THE HEREINAFTER
MENTIONED PLAN OF LOTS; THENCE EXTENDING ALONG THE NORTHERN LINE OF FLORI BUNDA LANE
IN AN EASTWARDLY DIRECTION BY THE ARC OF A CIRCLE CURVING TO THE RIGHT, SAID CIRCLE
HAVING A RADIUS OF 200 FEET, THE ARC DISTANCE OF 34.91 FEET TO A POINT MARKED BY A
MONUMENT; THENCE CONTINUING ALONG THE NORTHERN LINE OF FLORIBUNDA LANE, SOUTH 74
DEGREES 25 MINUTES 33 SECONDS EAST 35.75 FEET TO A POINT AT CORNER OF LOT NO. 19 ON
THE HEREINAFTER MENTIONED PLAN OF LOTS; THENCE EXTENDING ALONG THE DIVISION LINE
BETWEEN LOTS NOS. 19 AND 20 ON SAID PLAN, NORTH 15 DEGREES 34 MINUTES 27 SECONDS
EAST 131.18 FEET TO A POINT AT CORNER OF LOT NO. 15 ON THE HEREINAFTER MENTIONED
PLAN OF LOTS; THENCE EXTENDING ALONG THE DIVISION LINE BETWEEN LOTS NOS. 20 AND 15
AND LOTS NOS. 20 AND 14 ON SAID PLAN, NORTH 77 DEGREES 09 MINUTES 21 SECONDS WEST
100.0 FEET TO A POINT AT CORNER OF LOT NO. 21 ON THE HEREINAFTER MENTIONED PLAN OF
LOTS; THENCE EXTENDING ALONG THE DIVISION LINE BETWEEN LOTS NOS. 20 AND 21 ON SAID
PLAN, SOUTH 02 DEGREES 46 MINUTES 37 SECONDS WEST 132.76 FEET TO A POINT IN THE
NORTHERN LINE OF FLORI BUNDA LANE, AFOREMENTIONED, AT THE POINT AND PLACE OF
BEGINNING.
BEING LOT NO. 20, BLOCK "B" ON THE PLAN OF SECTION 1 OF ROSEGARDEN, WHICH SAID PLAN
IS RECORDED IN THE CUMBERLAND COUNTY RECORDER'S OFFICE IN PLAN BOOK 27, PAGE 16.
HAVING THEREON ERECTED AN ALUMINUM AND BEICK COLONIAL BI-LEVEL HOUSE WITH TWO-CAR
GARAGE.
BEING KNOWN AS 1104 FLORI BUNDA LANE, MECHANICSBURG, PA 17055
PROPERTY TAX PARCEL NO.: 42-31-2153-027
TITLE TO SAID PRBMISES IS VESTED IN KENNETH R. STEINER AND SUN CHA
STEINER, HIS WIFE, BY DEED FROM RICHARD A. WALKER, A SINGLE MAN,
DATED 7/29/86, RECORDED 7/30/86, IN DEED BOOK B-32, PAGE 480.
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ALL THAT CERTAIN LOT OF GROUND SITUATE IN THE TOWNSHIP OF UPPER ALLEN, COUNTY OF
CUMBERLAND AND STATE OF PENNSYLVANIA, BOUNDED AND DESCRIBED AS FOLLOWS, TO WIT:
BEGINNING AT A POINT IN THE NORTHERN LINE OF FLORIBUNDA LANE (50 FEET WIDE) WHICH
SAID POINT IS IN THE DIVISION LINE BETWEEN LOTS NOS. 20 AND 21 ON THE HEREINAFTER
MENTIONED PLAN OF LOTS; THENCE EXTENDING ALONG THE NORTHERN LINE OF FLORI BUNDA LANE
IN AN EASTWARDLY DIRECTION BY THE ARC OF A CIRCLE CURVING TO THE RIGHT, SAID CIRCLE
HAVING A RADIUS OF 200 FEET, THE ARC DISTANCE OF 34.91 FEET TO A POINT MARKED BY A
MONUMENT; THENCE CONTINUING ALONG THE NORTHERN LINE OF FLORIBUNDA LANE, SOUTH 74
DEGREES 25 MINUTES 33 SECONDS EAST 35.75 FEET TO A POINT AT CORNER OF LOT NO. 19 ON
THE HEREINAFTER MENTIONED PLAN OF LOTS; THENCE EXTENDING ALONG THE DIVISION LINE
BETWEEN LOTS NOS. 19 AND 20 ON SAID PLAN, NORTH 15 DEGREES 34 MINUTES 27 SECONDS
EAST 131.18 FEET TO A POINT AT CORNER OF LOT NO. 15 ON THE HEREINAFTER MENTIONED
PLAN OF LOTS; THENCE EXTENDING ALONG THE DIVISION LINE BETWEEN LOTS NOS. 20 AND 15
AND LOTS NOS. 20 AND 14 ON SAID PLAN, NORTH 77 DEGREES 09 MINUTES 21 SECONDS WEST
100.0 FEET TO A POINT AT CORNER OF LOT NO. 21 ON THE HEREINAFTER MENTIONED PLAN OF
LOTS; THENCE EXTENDING ALONG THE DIVISION LINE BETWEEN LOTS NOS. 20 AND 21 ON SAID
PLAN, SOUTH 02 DEGREES 46 MINUTES 37 SECONDS WEST 132.76 FEET TO A POINT IN THE
NORTHERN LINE OF FLORIBUNDA LANE, AFOREMENTIONED, AT THE POINT AND PLACE OF
BEGINNING.
BEING LOT NO. 20, BLOCK "B" ON THE PLAN OF SECTION 1 OF ROSEGARDEN, WHICH SAID PLAN
IS RECORDED IN THE CUMBERLAND COUNTY RECORDER'S OFFICE IN PLAN BOOK 27, PAGE 16.
HAVING THEREON ERECTED AN ALUMINUM AND BEICK COLONIAL BI-LEVEL HOUSE WITH TWO.CAR
GARAGE.
BEING KNOWN AS 1104 FLORI BUNDA LANE, MECHANICSBURG, PA 17055
PROPERTY TAX PARCEL NO.: 42-31-2153-027
TITLE TO SAID PREMISES IS VESTED IN KENNETH R. STEINER AND SUN CHA
STEINER, HIS WIFE, BY DEED FROM RICHARD A. WALKER, A SINGLE MAN,
DATED 7/29/86, RECORDED 7/30/86, IN DEED BOOK B-32, PAGE 480.
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MARK J. UDREN & ASSOCIATES
BY: Mark J. Udren & Associates, Esquire
ATTY I.D. NO. 04302
1040 N. KINGS HIGHWAY, SUITE 500
CHERRY HILL, NJ 08034
856-482-6900
Bank One, National Association,
As Trustee f/k/a The First
National Bank of Chicago, As
Trustee for structured Asset
Securities Corporation Mortgage
Pass-Through Certificates,
Series 1999-BCl
The Forum, Tower B, 7th Floor
1665 Palm Beach Lakes Blvd.
West Palm Beach, FL 33401
ATTORNEY FOR PLAINTIFF
. COURT OF COMMON PLEAS
: CIVIL DIVISION
: Cumberland County
: MORTGAGE FORECLOSURE
Plaintiff
v.
Kenneth R. Steiner
Sun Cha Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
. NO. 01-6844 Civil
Defendant{s)
NOTI~E OF SHERIFF'S SALE OF REAL PROPERTY
TO: Kenneth R. Steiner
1104 Flori Bunda Ln.
Mechanicsburg, PA 17055
Your house (real estate) at 1104 Flori Bunda Ln, Mechanicsbu~, PA 17055
is scheduled to be sold at the Sheriff's Sale on June 5, 2002, at 10:00
A.M. in the Commissioners Hearing Room, 2nd Floor, Courthouse, Carlisle,
PA , to enforce the court judgment of $118,623.22, obtained by Plaintiff
above (the mortgagee) against you. If the sale is postponed, the
property will be relisted for the Next Available Sale.
NOTICE OF OWNER'S RIGijTS
YOU MAY BE ABI,E TO PREVENT THIS SHERIFF'S SALE
To prevent this Sheriff's Sale, you must take immediat~io~
1. The sale will be cancelled if you pay to the
charges, costs and reasonable attorney's fees.
you may call: (856) 482.6900.,
mortgagee the back payment, late
To find out how much you must pay,
2. You may be able to stop the sale by filing a petition asking the Court to strike
or open the judgment, if the judgment was improperly entered. You may also ask
the Court to postpone the sale for good cause.
3. You may also be able to stop the sale through other legal proceedings.
You may need an attorney to assert your rights. The sooner you contact one, the
more chance you will have of stopping the sale. (See notice on page two on how
to obtain an attorney.)
'--'<<;';<)"P",-:;,;,:,;,,,-
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YQU ~y STI.LlLJiE..-AB.LE....,'l'Q.-SAVE. YOU~Y-AND YQlLHA'llL.Q'I'HE~1U..GH'l'S.
EYEN IF THE SHERIFF I S SALE" DOES TAKE PLAC.E~
1. If the Sheriff's Sale is not stopped, your property will be sold to the
highest bidder. You may find out the price bid by calling 856-482-6900.
2. You may be able to petition the Court to Set aside the sale if the bid price
was grossly inadequate compared to the value of your property;
3. The sale will go through only if the buyer pays the Sheriff the full amount
due in the sale. To find out if this has happened, you may call 856.482.6900.
4. If the amount due from the Buyer is not paid to the Sheriff, you will remain
the owner of the property as if the sale never happened.
5. You have the right to remain in the property until the full amount due is
paid to the Sheriff and the Sheriff gives a deed to the buyer. At that time, the buyer
may bring legal proceedings to evict you.
6. You may be entitled to a share of the money which was paid for your house.
A schedule of distribution of the money bid for your house will be filed by the Sheriff
within 30 days after the sale. This schedule will state who will be receiving that
money. The money will be paid out in accordance with this schedule unless exceptions
(reasons why the proposed distribution is wrong) are filed with the Sheriff within ten
'(10) days after Schedule of Distribution is filed.
7. You may also have other rights and defenses, or ways of getting your home
back, if you act immediately after the sale.
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 LISTED BELOW TO FIND OUT WHERE YOU CAN
GET LEGAL HELP.
LAWYER REFERRAL SERVICE
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013-3387
717-249'3166 or 800-990-9108
ASSOCIATION DE LICENCIDADOS DE FILADELFIA
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013-3387
717-249'3166 or 800-990-9108
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WRIT OF EXECUTION and/or ATTACHMENT
COMMONWEALTH OF PENNSYLVANIA)
COUNTY OF CUMBERLAND)
TO THE SHERIFF OF CUMBERLAND COUNTY:
To satisfy the debt, interest and costs due BANK ONE, NATIONAL ASSOCIATION; AS
TRUSTEE FIKIA THE FIRST NATIONAL BANK OF CmCAGO, AS TRUSTEE FOR
STRUCTURED ASSET SECURITIES CORPORATION MORTGAGE PASS. THROUGH
NO 01.6844 Civil
CIVIL ACTION - LAW
CERTIFICATES, SERIES 1999-BCI, Plaintiff(s)
From KENNETH R. STEINER AND SUN CHA STEINER, 1104 FLORI BUNDA LN,
MECHANICSBURG, PA 17055
(1) You are directed to levy upon the property of the defendant (s)and to sell SEE LEGAL
DESCRIPTION.
(2) You are also directed to attach the property of the defendant(s) not levied upon in the possession
of
GARNISHEE(S) as follows:
and to notify the garnishee( s) that: (a) an attachment has been issued; (b) the garnishee( s) is enjoined from
paying any debt to or for the account of the defendant (s) and from delivering any property of the defendant
(s) or otherwise disposing thereof;
(3) If property of the defendant(s) not levied upon an subject to attachment is found in the possession
of anyone other than a named garnishee, you are directed to notify hirnlher that he/she has been added as a
garnishee and is enjoined as above stated.
Amount Due $118,623.22 L.L. $.50
Interest FROM 3/6/02 TO DATE OF SALE 6/5/02 PER DIEM @ $28.45 - $2,617.40
Arty's Comm % Due Prothy $1.00
Arty Paid $168.40 Other Costs
Plaintiff Paid
Date: MARCH 12, 2002
CURTIS R. LONG
Prothonotary, Civil Division
REQUESTING PARTY:
Name MARK J. UmU:N, ESQUIRE
Address: MARK J. UDREN & ASSOCIATES
1040 N. KINGS mGHW AY, SmTE 500
CHERRY HILL, NJ 08034
Attorney for: PLAINTIFF
Telephone: 856.482-6900
Supreme Court ill No. 04302
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Real Estate Sale #56
On March 15,2002 the sherifflevied upon the
defendant's interest in the real property situated in
Upper Allen Township, Cumberland County, P A known
and numbered as 1104 Floribunda Lane, Mechanicsburg
and more fully described on Exhibit "A" filed with
this writ and by this reference incorporated herein.
Date: March 15,2002
By: --Jw..qJ~
Real Estate Deputy
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THE PATRIOT NEWS
THE SUNDAY PATRIOT NEWS
Proof of Publication
Under M No. 587, Approved May 16,1929
Commonwealth of Pennsylvania, County of Dauphin} ss
Frank J. Epler being duly sworn according to law, deposes and says:
That he is the Controller of The Patriot News Co" a corporation organized and existing under the laws of the
Commonwealth of Pennsylvania, with its principal office and place of business at 812 to 818 Market Street, in the
City of Harrisburg, County of Dauphin, State of Pennsylvania, owner and publisher of The Patriot-News and The
Sunday Patriot-News newspapers of general circulation, printed and published at 812 to 818 Market Street, in the
City, County and State aforesaid; that The Patriot-News and The Sunday Patriot-News were established March 4th,
1854, and September 18th, 1949, respectively, and all have been continuously published ever since;
That the printed notice or publication which is securely attached hereto is exactly as printed and published in
their regular dally and/or Sunday/ Metro editions which appeared on the 23rd and 30th day(s) of April 2002 and the
7th day(s) of May 2002, That neither he nor said Company is interested in the subject matter of said printed notice
or advertising, and that all of the allegations of this statement as to the time, place and character of publication are
true; and
That he has personal knowledge of the facts aforesaid and is duly authorized and empowered to verify this
statement on behalf of The Patriot-News Co. aforesaid by virtue and pursuant to a resolution unanimously passed and
adopted severally by the stockholders and board of directors of the said Company and subsequently duly recorded in
the office for the Recording of Deeds in and for said County of Dauphin in Miscellaneous Book "M",
Volume 14, Page 317.
PUBLICATION
COPY
SALE #56
Notarial Seal
Terry L, RUS$~II, Notary Public ~
HarTIsburg, Dauphin County
My Commission Expires June 6, 2002
My commission expires June 6, 2002
Member, Pennsylvanla Asaoclalion 01 Nolllrias
CUMBERLAND COUNlY SHERIFFS OFFICE
CUMBERLAND COUNlY COURTHOUSE
CARLISLE, PA. 17013
\
,
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Statement of Advertising Costs
To THE PATRIOT.NEWS CO., Dr.
For publishing the notice or publication attached
hereto on the above stated dates $
Probating same Notary Fee(s) $
Total $
268.80
1.75
270,55
Publisher's Receipt for Advertising Cost
. . The Patriot News Co., publisher of The Patriot-News and The Sundav Patriot-News, newspapers of general
Circulation, hereby acknowledge receipt of the aforesaid notice and publication costs and certifies that the same have
been duly paid.
By..................................................,.,.,.'.,.,.,.,.,.
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REAL ESTATE SALE No. 56
WrltNo.2001-6l144
tlvllTerm
Bank One, N.A.,.a9Trost~
IMa The First NatlonaJ
,:'Sank of ChICago,
.as Trustee for Structured
Asset Seculltl~s Corp.
. Mortg~ge~-1ss--Through
Certitlcates1
Selie. 1999.8Cl
vs
Kenneth R. Steiner
and Sun ena.Sterner
Atty' Mark ~ Upren
DESCRIPTION .
ALL THAT CERTA~ lot, of ,ground situate in the '
Tciwmhip of Upper Allen,. .COunty of Cumberland
and State of Pennsylvania, Ixlundedanudescrlbed as
follows,lowh:,., . . ,', ..... ..... '
:BEG~d'at a point in tbe Northern line of
. Ffunoonda Lane (50 feet wide) which .said onint is in
!he divisIon line between Lots NoS. 20 lll1{Zl on the
hereimifter meniioncd Plan of Loffi; thence extending
atong the Northern line ~f FIoribunda Lane in iln
EiiStWardlydirectian by l)1e arc ofadrcie curving to .
the right, said circle having a radiu511f,200feet, the
arc distance.,~\f 34.91 feet to.) point.marked by a
monumen!;,.t&nce cohtinuingjilong the Northern line
',.:.'4f i<1oribund'a,"4ne, -Soujh 74 dcgree& 25 minutes 33
seconds &.'1\)5.75, feet to a'. point at cOmer of U1t
No. .l9 .on ~ hereinafter mci1tioned Plan of Lots;
lheni:e'ext~mfhlg along'the division line betwren
lots Nos., 19 Jllld 10 on said Plan, Nortb 15 degrees
J4 minutes T1 seconds ~f 131.18 feet to a point at
comer (Jf 1M No. 15 on'the hereinafter mentioned
PiarrofLotsitbenceextendfngalongthediyjfJonline
betw.een Lots N05. 20 and IS and Lots Nos. 20 and
14 on said Plan; North 77 degrees 09 rriimites 2t
seoondsWe:;tlOOJlOfectloapointatcQmerofLol
No. 21 on the hereinafter mentioned Plan of Lots;
tiJ~(;e extending a1OJ1g the division line between
Lots Nos, 20 and 21 on said Plao~ South 02 degr:ee~
46 nunutes 37.seconds We,st 132.76 feel loapillnrin
We Northern line of Florihunda Lane,
. aforementioned, at the point and place of
BEGINNING.
BErNG lot No. 20, Block "B" OIl th!l: Plan of Section
1 ofRosegarden,wblcfJ said Plan is recoroedinthe
Ctimberland COUnty RecQ)'der's Office in Plan 'Book
27,page 16, "
HAVJNG THEREON erected an aluminum and hrick
Colonja1hi-lel'~housewithtwti-cargarage.'
BEING KJ>.J..1WN as llQ.} Floribunda Lane.
~echanicsbu.rg, PA 17055.' ,:
PROPERTY TAX PARca No.: 42,31.2153.U27,
'nm TO SAW premlse$ IS vested in Kenneth R.
S.~eiIie:(and S\m Cba Steiner, his wife, by deed from
Richard A. W<tlker, a single man, dated 7129/86,
rero:ded 7/301E6, irJ Deed Brink 8-32, Page 4'81).
r
PROOF OF PUBLICATION OF NOTICE
IN CUMBERLAND LAW JOURNAL
(Under Act No. 587, approved May 16, 1929), P. L.1784
STATEOFPENNSYLVANIA :
ss.
COUNTY OF CUMBERLAND :
Roger M. Morgenthal, Esqnire, Editor of the Cumberland Law Journal, of the County
and State aforesaid, being duly sworn, according to law, deposes and says that the Cumberland
Law Journal, a legal periodical published in the Borough of Carlisle in the County and State
aforesaid, was established January 2, 1952, and designated by the local courts as the official legal
periodical for the publication of all legal notices, and has, since January 2, 1952, been regularly
issued weekly in the said County, and that the printed notice or publication attached hereto is
exactly the same as was printed in the regular editions and issues of the said Cumberland Law
Journal on the following dates,
viz:
APRIL 26, MAY 3, 10, 2002
Affiant further deposes that he is authorized to verify this statement by the Cumberland
Law Journal, a legal periodical of general circulation, and that he is not interested in the subject
matter of the aforesaid notice or advertisement, and that all allegations in the foregoing
statements . tin- ~ _1, '"lnd character of publication are true.
SWORN TO AND SUBSCRIBED before me this
10 day of MAY, 2002
NOTARIAl.
LOIS E. SIMlER, No\lIIy PublIc
Carilsle BollI, CUmIliIileI1d County
My CoolI~1181lll1 Exp/!T!lI Man:Il5. 2005
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REAL ESTATE SALE NO. 56
Writ No, 2001.6844 Civil
Bank One, N.A, as Trustee.
f/k/ a The First National Bank
of Chicago, as Trustee for
Structured Asset Securities
Corporation Mortgage
Pass-Through Certificates.
Series 1999- Be 1
vs,
Kenneth R. Steiner and
Sun eha Steiner
Atty,: Mark J, Udren
ALL TIlAT CERTAIN lot of ground
situate in the Township of Upper
Allen, County of Cumberland and
State of Pennsylvania, bounded and
described as follows, to wit:
BEGINNING at a point in the
northern line ofFloribnnda Lane {50
feet wide) which said point is in the
division line between Lots Nos. 20
and 21 on the hereinafter mentioned
Plan of Lots: thence extendillg along
the northern line of Floribunda Lane
in an eastwardly direction by the
arc of a circle cUIVing to the right,
said circle having a I.adiLlS of 200
feet. the arc distance of 34.91 feet
to a point marked by a monument;
thence continuing along the north-
ern line of Florlbunda Lane, South
74 degrees 25 minutes 33 seconds
East 35.75 feet to a point at corner
of Lot No. 19 on the hereinafter men-
tioned Plan of Lots: thence enend-
ing along the dMsion line between
Lots Nos. 19 and 20 on said Plan,
North 15 degrees 34 minutes 27
seconds East 131.18 feet to a point
at corner of Lot No. 15 on the here-
inafter mentioned Plan of Lots;
thence extending along the division
line between Lots Nos. 20 and 15
and Lots Nos, 20 and 14 on said
Plan. North 77 degrees 09 mlnutes
21 seconds West 100.0 feet to a
point at corner of Lot No. 21 on the
hereinafter mentioned Plan of Lots;
thence extending along the division
line between Lots Nos. 20 and 21
on said plan. South 02 degrees 46
minutes 37 seconds West 132.76
feet to a point in the northern line
of Flotibunda Lane, aforementioned.
at the point and place of beginning,
BEING Lot No. 20, Biock "B" on
the Plan of Section 1 of Rosegarden,
which said Plan is recorded in the
Cumberland County Recorder's Of.
fice in Plan Book 27. Page 16,
HAVING thereon erected an alu-
minum and brick colonial bi-Ievel
house with two-car garage.
BEING KNOWN AS 1104 FIorI
Bunda Lane, Mechanicsburg, PA
17055.
PROPERTY TAX PARCEL NO,:
42.31.2153.027,
TITLE TO SAID PREMISES '18
VEs1ED IN Kenneth R. Steiner and
SlUl Cha Steiner, his wife, by deed
from Richard A Walker. a single man,
dated 7/29/86, recorded 7/30/86,
in Deed Book B~32, Page 480,
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