HomeMy WebLinkAbout03-2886
F:\FILES\DA T AFILE\General\Documents\ 1 0821-2.comlrag
Created: 6116i036:18AM .
Revised: 6118/031:58PM
R.J.'s TRANSPORT, LLC,
Plaintiff,
v.
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY,
PENNSYLVANIA
NO. DJ-;;J.PPI.. e(JL(~
CIVIL ACTION - LAW
KEYSTONE FLEET SERVICES, INC.,
Defendant
NOTICE
You have been sued in court. If you wish to defend against the claims set forth in the
following pages, you must take action within twenty (20) days after this Complaint and Notice are
served, by entering a written appearance personally or by attorney and filing in writing with the court
your defenses or objections to the claims set forth against you. You are warned that if you fail to do
so, the case may proceed without you and a judgment 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 Plaintiffs. You may lose money or property or other rights important to you.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT
HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET
FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP:
Cumberland County Bar Association
32 South Bedford Street
Carlisle, P A 17013
(717) 249-3166
MARTS ON DEARDORFF WILLIAMS & OTTO
By
Carl C. Risch, Esquire
Attorney J.D. No. 75901
Ten East High Street
Carlisle, P A 17013
(717) 243-3341
Attorney for Plaintiffs
R.J.'s TRANSPORT, LLC,
Plaintiff,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY,
PENNSYLVANIA
v.
NO.
CIVIL ACTION - LAW
KEYSTONE FLEET SERVICES, INC.,
Defendant
VERIFICATION
The foregoing Complaint is based upon information which has been gathered by my counsel
in the preparation of the lawsuit. The language of the document is that of counsel and not my own.
I have read the document and to the extent that it is based upon information which I have given to
my counsel, it is true and correct to the best of my knowledge, information and belief. To the extent
that the content of the document is that of counsel, I have relied upon counsel in making this
verification.
This statement and verification are made subject to the penalties of 18 Pa. C.S. Section 4904
relating to unsworn falsification to authorities, which provides that if I make knowingly false
averments, I may be subject to criminal penalties.
Eli~
Exhibit A
Estimate
lf6AY052503
Date 12/17/2002
KEYSTONE FLEET SERVICE INC.
277 MULBERRY DRIVE, ME~HANICSBURG, PA 17055
Phone (717)-691-8339
REG.REPAIR SHOPt
0--:366
. " ""-"-'--'-~---.__""~'_~_'_'__'.____"_...__~m~.__.___._.~._._..,.._ "'_"__'_~_'___'"_'_'''
P,centH
Name
Addloess,
Vehicle,
PlateH :
TechRep:
QTY
1. 00
1.00
1. 00
2.00
1. 00
1. 00
RJTRANS I\cntype: CHG Taxbl: N
R. J. TRANSPOI1T
1233 CLAREMONT ROAD
CARLISLE PA 17013
1999 KENWORTH Milge, 403042.0
AE-88725 VINI ,lNKWXBTX5XJ799481
CLINT Service Writer: ANTHONY
HmPh,
WI<Ph,
---_._-~._~._------~_._~--_.~--_._-_._.__._-~_._.----"-----_._--------_._--"-----_..~._.__.._-----...__.~_._----~----~
ITEM/STOCKff
DESCRIPTION OF ITEM
PRICE @ TXB EXTAMT
-"'-----'--"-.'--'"
1,00 Y 1. 00
79.31 Y 79.31
O~45 Y O~45
13.96 Y 27.92
9.70 " 9. '/0
,
323.52 Y 323.52
-------------------------
SI3
P,5000
19q81
5 103X
1010.01
K217,..1095
STICKERISI3-0514077
SLAVE VALVE
GASKET
U-JOINT
C L f.H1r
RAIL
Total PARTS
441.90
DESCRIPTION OF LABOR
Hours
TXB
AMOUNT
----------------------------------------------
STATE INSPECTION
WE REPLACED TWO STEERING U-JOINTS,REBUILT THE
AIR DRYER,REPLACED THE TRANS SHIFT VALVE,
INSTALLED O-RINGS IN THE REAR OF TRANS,
REPLACED THE RIGHT SIDE TAG AXLE BRAKES,
REPLACED THE LEFT FRONT FRAME RAIL,INSTALLED
TWO AIR BAGS AND REPLACED A FRONT WHEEL STUD.
WE INS TAL LEO NEW S TEE R I N G A X L E B R A.K E S .
1. 00
N
q2~50
24~10
N
1024.25
BRAKES LF 2~/32 RR 16/32 TIRES LOWEST 8/32.
------------------------
Total LABOR
1066.75
''',"~ ~,,__,,__~._.__ .._ ...__~_.._n..__ '-.._.. ~.." _"__,,.,,"' __ "^~,,_. ,,' "_,_,.' _......_... "" "._...._.,,""_._
**********************************************
.
Total PARTS
Totul Lf-\BOn
SHOP SUPPLIES
441. 90
1066.75
45.26
*
*
NOTE TO OUR CUSTOMERS WE DO NOT SEND
STATEMENTS THIS IS YOUR BILL.
OUR TERMS ARE FOR PAYMENT TO BE MADE
10 DAYS FROM THE DATE OF THIS RECEIPT
~
*
*
*
*
*
*
SUB TOTAL
1553.91
*
,.
P/}l 6% T;;~x
0.00
**********************************************
1553.91
TOTAL AMOUNT
[] Cash [] Check [] Crdt Card
(] Hou,\;e Ctdt
T H A N K
YOU
We are fully prepared to handle
All your service needs.
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SHERIFF'S RETURN - REGULAR
CASE NO: 2003-02886 P
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
R J 'S TRANSPORT LLC
VS
KEYSTONE FLEET SERVICES INC
DAWN KELL
, Sheriff or Deputy Sheriff of
Cumberland County, Pennsylvania, who being duly sworn according to law,
says, the within COMPLAINT & NOTICE
was served upon
KEYSTONE FLEET SERVICES INC
the
DEFENDANT
, at 1548:00 HOURS, on the 23rd day of June
2003
at 277 MULBERRY DRIVE
MECHANICSBURG, PA 17055
by handing to
FOSTER LUCAS, FOREMAN,
ADULT IN CHARGE
a true and attested copy of COMPLAINT & NOTICE
together with
and at the same time directing His attention to the contents thereof.
Sheriff's Costs:
Docketing
Service
Affidavit
Surcharge
So Answers:
18.00
6.21
.00
10.00
.00
34.21
.r~~~
R. Thomas Kline
06/24/2003
MDW&O
Sworn and Subscribed to before
By:
Dcu.VY"l -.?' ~
Deputy Sheriff
"..
me this 30 ~ day of
(~ ,)vo..j A.D.
(j Q,~-/
~honotary ~
R.J.'s TRANSPORT, LLC
Plaintiff
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA:
v.
KEYSTONE FLEET SERVICES, INC. : No. 03-2886
Defendant
ENTRY OF APPEARANCE
Please enter the appearance of Thomas E. Brenner of Goldberg, Katzman & Shipman,
P. C., on behalf Defendant Keystone Fleet Services, Inc.
GOLDBERG, KATZMAN & SHIPMAN, P.C.
~L
By:
Date: 1 ~ 11 D'J
Thomas E. Brenner
J.D. # 32085
320 Market Street, Strawberry Square
P.O. Box 1268
Harrisburg, PA 17108
Attorney for Defendant Keystone Fleet Services, Inc.
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that I am this day serving a copy of the foregoing document upon
the persons(s) and in the manner indicated below, which ~;ervice satisfies the requirements of the
Pennsylvania Rules of Civil Procedure, by depositing a copy of same in the United States mail, at
Harrisburg, Pennsylvania, with first class postage, prepaid, as follows:
Carl C. Risch, Esq.
Martson, Deardorf( Williams & Otto
Ten East High Street
Carlisle, P A 17013
Date:
1h (v)
,
GOLDBER 'TZMAN & SHIPMAN, P.C.
~~,~
,
By:
Tho
. Brenner, Esquire
98003.1
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Thomas E. Brenner, Elqulre
!.D. #32085
GOLDBERG, KATZMAN & SHIPMAN, P.C.
320 Market Street
P. O. Box 1268
Hanisburg.PA 17108-1268
(717) 234-4161
COWlSel for Defendant
R.].'s TRANSPORT, LLC
Plaintiff
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNA.
v.
KEYSTONE FLEET SERVICES, INC. : No. 03-2886
Defendant
NOTICE TO PLEAD
TO: Plaintiff and its counsel
Carl C. Risch, Esq.
Martson, Deardorff, Williams & Otto
Ten East High Street
Carlisle, PA 17013
YOU ARE REQUIRED to plead to the within Answer With New Matter and
Counterclaim within twenty (20) days of service hereof or a default judgment may be
entered against you.
By:
Thomas E. Brenner, Esquire
320 Market Street
P.O. Box 1268
Harrisburg, PA 17108-1268
[717] 234-4161
Attorney J.D. No. 32085
Attorney for Defendant
Date: '7 h 0 /:>)
6. Denied in part. Defendant properly performed the Pennsylvania state
inspection.
7. Denied. This paragraph is denied pursuant to Pa. RC.P. 1029(e). In
further response, the proper transmission oil was used and the motor mounts were not
worn and did not require replacement.
8. Denied. It is denied that Defendant was negligent. In further response, the
remainder of this paragraph is denied pursuant to Pa. R.C.P. 1029(e).
9. Denied. It is denied that Defendant was negligent. In further response, the
remainder of this paragraph is denied pursuant to Pa. R. C.P. 1 029( e).
COUNT I
10. The answers to Paragraphs 1 through 9 are incorporated herein by
reference.
11. Denied. Defendant did not have a contract with the Plaintiff. In further
response, Defendant properly performed the state inspections.
12. Denied. Defendant did not have a contract with the Plaintiff. In further
response, Defendant properly performed the state inspections and caused no damage to
the Plaintiff's vehicle.
WHEREFORE, Defendant, Keystone Fleet Services, Inc., requests that Count I of
the Plaintiff's Complaint be dismissed with prejudice.
2
COUNT II
13. The answers to Paragraphs 1 through 12 are incorporated herein by
reference.
14. Denied. Defendant properly performed the state inspections.
15. Denied. Defendant properly performed the state inspections and caused no
damage to the Plaintiff.
WHEREFORE, Defendant, Keystone Fleet Services, Inc., requests that Count IT of
Plaintiff's Complaint be dismissed with prejudice.
NEW MATTER
16. Plaintiff's damages arose from their actions in the operation and failure to
properly maintain the Kenworth dump truck.
17.. Plaintiff's damages arose from their assumption of risk in the operation of
the Kenworth dump truck.
WHEREFORE, Defendant, Keystone Fleet Services, Inc., requests that the
Plaintiff's Complaint be dismissed with prejudice.
COUNTERCLAIM
18. Paragraphs I and 2 of the Complaint are incorporated herein by reference.
3
19. Defendant, Keystone Fleet Services, provided mechanical repair services to
vehicles of RI.'s Transport, LLC, on December 6 and December 17, 2002. Invoices for
work on the two vehicles are attached hereto as Exhibits "A" and "B."
20. Plaintiff, R. I.' s Transport, LLC, has failed to pay the balance owed on
these invoices.
21. The work was performed by Defendant, Keystone Fleet Services, Inc. in a
professional and workmanlike manner.
22. The outstanding invoices total $2,446.60.
WHEREFORE, Defendant, Keystone Fleet Services, Inc. demands judgment
against R.I.'s Transport, LLC, in the amount of $2,446.60, together with interest and
costs of suit
GOLDBERG, KATZMAN & SlllPMAN, P.C.
By:
~.~
Thomas E. Brenner, Esquire
Attorney I.D. No. 32085
P.O. Box 1268
Harrisburg, PA 17108-1268
(717) 234-4161
Attorneys for Defendant
Date: 7 ( ?> 0/ DJ
98800.1
4
VERIFICATION
~y a/~ ~erebY acknowledge that Keystone Fleet Services, Inc., is
a Defendant in this action and I am authorized to make this verification on its behalf; that I
have read the foregoing and that the facts stated therein are true and correct to the best of my
knowledge, information and belief.
I understand that any false statements herein are made subject to penalties of
18 Pa. C.S. Section 4904, relating to unsworn falsification to authorities.
Keystone Fleet Services, Inc.
By
Date:
98800.1
Rec!lipt (COPY)
IIBAY052249
Date 12/ 6/2002
KEYSTONE FLEET SERVICE INC.
277 MULBERRY DRIVE, MECHANICSBURG, PA 17055
Phone (717)-691-B339
REG. REPAIR SHOP I
0-365
Accntll :
Name
Address:
RJTRANS Acntype: CHG Taxbl: N
R. J. TRANSPORT
1233 CLAREMONT ROAD
CARLISLE PA 17013
1981 MACK Milge: 712874.0
AE-72455 VINII : 1M2P131XBA009626
DUMP TRUCK
JOHN Service Writer: ANTHONY
HmPh:
WkPh:
Vehicle:
Plate II :
Desc.
TechRep:
OTY ITEM/STOCKII DESCRIPTION OF ITEM PRICE @ TXB EXTAMT
------ ---------------- --------------------------- -------- -----------
1. 00 301S052 PIN SET 149.00 Y 149.00
2.00 370048A SEALS 28.97 Y 57.94
1. 00 S13 STICKERIISI3-0514070 1. 00 Y 1.00
Total PARTS
207.94
DESCRIPTION OF LABOR
Hours
TXB
AMOUNT
STATE INSPECTION
WE REPLACED THE KINGPINS AND FRONT WHEEL SEALS
WE REPAIRED THE RIGHT SIGNAL LIGHT.WE HAD TO
HEAT THE BOLTS TO GET THE KINGPIN APART.
BRAKES LF 10/32 RR 12/32 TIRES LOWEST 10/32.
1. 00
N
42.50
14.50
N
616.25
Total LABOR
658.75
**********************************************
*
NOTE TO OUR CUSTOMERS WE DO NOT SEND
STATEMENTS THIS IS YOUR BILL.
OUR TERMS ARE FOR PAYMENT TO BE MADE
10 DAYS FROM THE DATE OF THIS RECEIPT
*
Total PARTS
Total LABOR
SHOP SUPPLIES
207.94
658.75
26.00
*
*
*
*
*
*
SUB TOTAL
892.69
*
*
*
*
PA 6% Tax
0.00
**********************************************
[] Cash [] Check [] Crdt Card
TOTAl, AMOUNT
B9,~. 69
[] House Crdt
T H A N K
YOU
We are fully prepared to handle
All your service needs.
. (,
~~'(COPY)
*,BAY052503 .
,'D'ate 12/17/2002
.
KEYSTONE FLEET SERVIC~ INC.
277 MULBERRY DRIVE. MECHANICSBURG. PA 17055
Phone (717)-691-8339
REG.REPAIR SHOPt
0-365
Ac.pnt* :
Name
Address:
RJTRANS Acntype: CHG Taxbl: N
R, J. TRANSPORT
1233 CLAREMONT ,ROAD
CARLISLE PA 1701~
1999 KENWORTH Milge: 403042.0
AE-88725 VINt : 1NKWXBTX5XJ799481
CLINT Service Writer: ANTHONY
HmPh:
WkPh:
Vehicle:
Plate* :
TechRep:
QTY ITEM/STOCK* DESCRIPTION OF ITEM PRICE @ TX8 EXTAMl
------ ---------------- --------------------------- -------- -~-------
1. 00 SI3 STICKERtSI3-0514077 1. 00 Y 1. OC
1. 00 A5000 SLAVE VALVE 79.31 Y 79.31
1. 00 19481 GASKET 0.45 Y 0.4E
2.00 5-103X U-JOINT 13.96 Y 27.9.
1. 00 1010-1 CLAMP 9.70 Y 9.7C
1. 00 K217-1095 RAIL 323.52 Y 323.5.
Total PARTS
441.9C
DESCRIPTION OF LA80R
Hours
TX8
AMOUNl
STATE INSPECTION
WE REPL~ED TWO STEERING U-JOINTS,REBUILT THE
AIR nRYER,~EPLACED THE TRANS SHIFT VALVE,
INSTALLED O-RINGS IN THE REAR OF TRANS,
REPLA"CED THE RIGHT SIDE TAG AXLE BRAKES.
REPLACED THE LEF~ FRONT FRAME RAIL,INSTALLED
TWO AIR BAGS AND REPLACED A FRONT WHEEL STUD.
WE INSTALLED NEW STEERING AXLE BRAKES.
1. 00
N
42.5(
24.10
N
1024.2E
BRAKES LF 24/32 RR 16/32 TIRES LOWEST 8/32.-
I,
I
!
, "
I'
I
I
I
I
I
I
I
I
I
I
I
Total LABOR'
1066.7!
,,'.4
**********************************************
Total PARTS
Total LABOR
SHOP. SUPPLIES
441.9(
1066.7!
/Wi".2!
* NOTE TO OUR CUSTOMERS WE DO NOT SEND *
* STATEMENTS THIS IS YO.UR BILL. *
* OUR TERMS ARE FOR PAYMENT TO BE MADE *
* 10 DAYS FROM THE DATE OF THIS RECEIPT *
* *
* *
-----------------------.
SUB TOTAL
1553.9:
PA 6% Tax
O.O!
*..... "'................... *.,.,....................... 'IIr """1INIr ,lI{,~"*"" ..'It *..... * * 1< * '* *** ""..... *........... *..... *.,...... '"
TOTAL AMOUNT
1563.9
[] Cash [, Check [] Crdt Card
[] House Crdt
-------------------~--_.
T H A N K
YOU
W. ere fully pr.pertd to h'indle
III your s.rvlc. n..ds.
/
CERTIFICATE OF SERVICE
1 hereby certify that 1 served a copy of the foregoing document upon the person(s)
indicated below by depositing a copy of the same in the United States mail, postage
prepaid, at Harrisburg, Pennsylvania and addressed as follows:
Carl C. Risch, Esq.
Mattson, Deardorff, Williams & Otto
Ten East High Street
Carlisle, PA 17013
GOLDBERG, KATZMAN & SHIPMAN, P.C.
BY:~~
Thomas E. Brenner, Esquire
Date: 1130 /o}
98800.1
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F:\FILES\DA T AFILE\General\Documents\ I 0821.2.reply/rag
Created: 61161036:18AM
Revised: 9/1:5/03239PM
R,J.'s TRANSPORT, LLC,
Plaintiff,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY,
PENNSYLVANIA
v,
KEYSTONE FLEET SERVICES, INC.,
Defendant
NO, 03-2886
CIVIL ACTION - LAW
REPLY TO NEW MATTER
16, Denied, Plaintiff has always properly maintained the truck in question, Defendant's
incompetent performance of routine inspections and maintenance on the vehicle was the cause of
the damage to the truck and Plaintiff's business,
17. Denied, The allegation in Paragraph 17 is a conclusion ofIaw to which no response
is required,
18, The responses to Paragraphs 16 and 17 are incorporated herein as if fully set forth,
19, Admitted in part, denied in part, It is denied that the services described in the
invoices were provided in a workmanlike manner and that Plaintilffwas obligated to pay Defendant
for its incompetent performance,
20, Admitted. By way of further answer, Plaintiff's performance is excused given
Defendant failed to provide the services in a workmanlike manner.
21. Denied, To the contrary, Defendant failed to provide the services in a workmanlike
manner as described in Paragraphs 7,8, and 9 of the Complaint.
22, Admitted, By way of further answer, Plaintiff's performance is excused given
Defendant failed to provide the services in a workmanlike manner.
WHEREFORE, Plaintiff demands judgment against Defendant in the amount of$II,961.11
plus costs and fees,
MARTSON DEARDORFF WILLIAMS & OTTO
By
CJXl)) .0
Carl C. Risch, Esquire
Attorney LD, No, 75901
Ten East High Street
Carlisle, PA 17013-3093
(717) 243-3341
Attorney fbr Plaintiffs
Date: September 15, 2003
R,]'s TRANSPORT, LLC,
Plaintiff,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAJ'ID COUNTY,
PENNSYL VANIA
v,
KEYSTONE FLEET SERVICES, INC"
Defendant
NO,
CIVIL ACTION - LAW
VERIFICATION
The foregoing Reply to New Matter is based upon information which has been gathered by
my counsel in the preparation of the lawsuit. The language of the document is that of counsel and
not my own, I have read the document and to the extent that it is based upon information which I
have given to my counsel, it is true and correct to the best of my knowledge, information and belief
To the extent that the content of the document is that of counsel, I have relied upon counsel in
making this verification,
This statement and verification are made subject to the penalties of18 Pa, C.S, Section 4904
relating to unsworn falsification to authorities, which provides that if I make knowingly false
averments, 1 may be subject to criminal penalties,
Elizabeth S e
~
R,J.'s TRANSPORT, LLC,
Plaintiff,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAi'ID COUNTY,
PENNSYLVANIA
v.
KEYSTONE FLEET SERVICES, INC"
Defendant
NO,
CIVIL ACTION - LAW
CERTIFICATE OF SERVICE
I, Carl C. Risch, hereby certify that a copy of the fon:going was served this 15th day of
September by first class mail as follows:
Thomas E. Brenner, Esquire
Goldberg, Katzman & Shipman, P,C,
320 Market Street
P,O, Box 1268
Harrisburg, P A 17108-1268
MARTSONDEARDORFF WILLIAMS & OTTO
(JLQD
By
Carl C, Ris,~h. Esquire
Attorney I.JD, No, 75901
Ten East High Street
Carlisle, PA 17013-3093
(717) 243-3341
Date: September 15, 2003
Attorney for Plaintiffs
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R.J.'s TRANSPORT, LLC,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
NO. 03-2886
CIVIL
2003
v.
KEYSTONE FLEET SERVICES, INC.,
Defendant
RULE 1312.1.
The Petition for Appointment of Arbitrators shall be substantially in the following fonn:
PETITION FOR APPOINTMENT OF ARBITRATORS
TO THE HONORABLE, THE JUDGES OF SAID COURT:
Thomas E. Brenner. !',squ i Te . counsel for the~/defendant in the above action (or actions).
respectfully represents that:
1. The above-captioned action (or actions) is (are) at issue.
2. The claim of the plaintiff in the action is $11 ,961. 11
The counterclaim of the defendant in the action is $2,446.60
The following attorneys are interested in the case(s) as counselor are otherwise disqualified to sit as arbitrators:
Carl C. Risch, Esquire, counsel for plaintiff
WHEREFORE. your petitioner prays your Honorable Court to appoint three (3) arbitrators to whom the case shall be
submitted,
Respectfully submitted,
GOLD~TZM~P' SHIPMAN, P. C.
BY:~~
ORDER OF COURT Thom;;:s--r.- Brenner, Esq., ID 1/32085
AND NOW. a~ <J:lI;. , l~in consider,ation ofth\... A /
foregoing petition. ~~ Esq,. );;/-cI'/(.I'- ~
'7 ~' / ( ,
Esq" and l':Y1d / / i~t:: . Esq,. are appointed arbitrators in the above captioned action (or
actions) as prayed for.
By the Co
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R.J.'s TRANSPORT, LLC
Plaintiff
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND CO., PENNSYLVANIA
v.
: No, 03-2886
KEYSTONE FLEET
SERVICES,INC.
Defendant
PRAECIPE
TO THE PROTHONOTARY:
Please mark this action settled and discontinued.
R.J. TRANSPORT, INC.
Uffi)
By:
Carl Risch, Esquire
Attorney for R.J. Transport, Inc.
105384,1
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R.J.'S TRANSPORT, LLC.
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
: 03-2886 CIVIL TERM
V.
KEYSTONE FLEET SERVICES, INC.
IN RE: ARBITRATION
ORDER OF COURT
AND NOW, May 27, 2005, the Court having been informed that the
above-captioned case has been settled prior to hearing, the panel of
arbitrators previously appointed is vacated, and Jerry A. Weigle, Esquire,
Chairman of the Arbitration Panel, shall be paid the sum of $50.00.
By the Court,
~rry A. Weigle, Esquire
Weigle & Associates, P.C.
126 East King Street
Shippensburg, PA 17257-1397
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Court Administrator
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