HomeMy WebLinkAbout99-05234e?
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CUMBERLAND VALLEY SCHOOL : IN THE COURT OF COMMON PLEAS OF
DISTRICT, CUMBERLAND COUNTY, PENNSYLVANIA
Claimant
NO. 99-5234 Civil Term
V.
CIVIL ACTION -LAW
CARLISLE SPORTS EMPORIUM,
INC., SCIRE FACIAS
Defendant MUNICIPAL LIEN
ORDER OF COURT
AND NOW, this .12 day of November, 1999, upon consideration of Claimant's
Motion to Compel Defendant to Respond to Claimant's Interrogatories and Request For
Production of Documents, defendant is hereby ORDERED and DIRECTED to provide Answers
to the Interrogatories and Responses to the Request For Production of Documents on or before
, 1999. In the event Defendapt does not comply 9
the close of business Wednesday, November 24
4-0 - 04
with the foregoing,
4'T 11:0 0 4.01. w4 a-A . Q t.,c 60re v 1,.a " h^.ht..,r 7 W. V.Gy d?
gtvrX*-•a .
BY THE C
J.
LAW OFFICES
SNELBAKER.
BRENNEMAN
& SPARE
=/n .
CUMBERLAND VALLEY SCHOOL
DISTRICT,
Claimant
V.
CARLISLE SPORTS EMPORIUM,
INC.,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 99-5234 Civil Term
CIVIL ACTION -LAW
SCIRE FACIAS
MUNICIPAL LIEN
MOTION TO COMPEL DEFENDANT TO RESPOND TO CLAIMANT'S
INTERROGATORIES AND REQUEST FOR PRODUCTION OF DOCUMENTS
AND NOW, comes the Claimant, Cumberland Valley School District by its Attorneys,
Snelbaker, Brenneman & Spare, P. C., who files the within Motion as follows:
1. This case involves the on going efforts of Cumberland Valley School District to
collect from Defendant amounts due and owing under the Admissions/ Amusement Tax
for the time period of July 1, 1996 through January 31, 1998.
2. In response to the Writ of Scire Facias issued in this case, Defendant answered
that the sums claimed are "inaccurate and capricious" without any explanation
whatsoever as to the alleged inaccuracy or capriciousness.
3. By Order signed by the Honorable Edward E. Guido and dated October 4, 1999,
a hearing was scheduled at Defendant's request for Wednesday, December 1, 1999 at
LAW OFFICES
SNELBAKER.
BRENNEMAN
& SPARE
1:30 P.M.
4. On October 20, 1999, Claimant's counsel served upon Defendant's counsel
Interrogatories and Request For Production of Documents, true and correct copies of
which are attached hereto and incorporated by reference herein as "Exhibit A" and
"Exhibit B" respectively.
5. On at least two occasions, Claimant's counsel reminded Defendant's counsel in
writing of the necessity of a timely response to the foregoing discovery given the rapidly
approaching hearing date.
6. Pursuant to applicable law, responses to the foregoing discovery requests were
due on or before Friday, November 19, 1999.
7. Defendant did not respond to the foregoing discovery requests on or before
Friday, November 19, 1999.
8. Claimant has been prejudiced in its ability to prepare for the December 1, 1999
hearing due to Defendant's failure to respond in a timely fashion to the discovery
requests.
WHEREFORE, Claimant requests your Honorable Court to issue an Order
directing Defendant to provide Answers to the Interrogatories and Responses to the
Request For Production of Documents on or before the close of business Wednesday,
November 24, 1999 or be precluded from presenting argument or evidence at the
December 1, 1999 hearing relating to the unanswered discovery and to order other relief
as Your Honor deems just and reasonable, including but not limited to the award of
counsel fees to Claimant.
LAW OFFICES
SNELBAKER,
BRENNEMAN
& SPARE
Respectfully Submitted,
SNELBAKER, BRENNEMAN & SPARE, P. C.
By: W QL
Philip H. are, E uire
44 W. Main Street
Mechanicsburg, PA 17055
(717) 697-8528
Attorneys for Claimant
Cumberland Valley School District
LAW OFFICE:
SNELBAKER.
BRENNEMAN
& SPARE
Date: November 22, 1999
CUMBERLAND VALLEY SCHOOL IN THE COURT OF COMMON PLEAS OF
DISTRICT, CUMBERLAND COUNTY, PENNSYLVANIA
Claimant
V. NO. 99-5234 CIVIL TERM
CARLISLE SPORTS EMPORIUM, CIVIL ACTION - LAW
INC.,
Defendant SCIRE FACIAS
MUNICIPAL CLAIM
CLAIMANT'S INTERROGATORIES (FIRST SET)
DIRECTED TO DEFENDANT
TO: Peter J. Russo, Esquire
61 W. Louther Street
Carlisle, PA 17013
AND
Keith L. Plasterer, President
Carlisle Sports Emporium, Inc.
29 S. Middlesex Road
Carlisle, PA 17013
PLEASE TAKE NOTICE that you are hereby requ,:sted, pursuant
to Pennsylvania Rules of Civil Procedure 4001, et seq., to serve
upon the undersigned within thirty (30) days after service of
this Notice, answers in writing and under oath to the following
Interrogatories.
SNELBAKER, BRENNEMAN & SPARE, P. C.
By: D=4&L
P ip Sp e, Esquire
I.Aw OFFICES 44 West Main Street
SNELOAKER. Mechanicsburg, PA 17055
BRENNEMAN (717) 697-8528
& SPARE IlDate: October sC, 1999 Attorneys for Cumberland
Valley School District
EXHIBIT A
DEFINITIONS AND INSTRUCTIONS
"You" or "your" as used herein means the Defendant or
Defendants to whom this Request is directed, his, her or their
agents, employees, contractors, attorneys or any person, firm or
entity acting on behalf of or at the request of said party or
parties.
"Defendant" shall mean and refer to Carlisle Sports
Emporium, Inc., it agents, employees, contractors, attorneys or
any other person, firm or entity acting on behalf of or at its
request.
"Claimant" as used herein means Cumberland Valley School
District, its agents, employees, contractors, attorneys or any
person, firm or entity acting on behalf of or at its request.
"Identify" as used herein with respect to persons, means
state the name, last known address, phone number, employer and
employment position of the person. When used with respect to
businesses, corporations, associations or entities, "Identify"
means state the full name, last known address of its principal
place of business and phone number of such business, corporation,
association or entity.
"Destroyed" as used herein shall mean and refer to the act
of shredding, burning, throwing away and/or defacing a document,
together with any other act that permanently makes a record
LAW OFFMES illegible or useless, or any other act that permanently
SNELBAKER.
BRENNEMAN dispossess Defendant of or from the document.
& SPARE
11 -2-
When an interrogatory requires you to "describe", to "state
the basis of" or to "state all facts" on which you rely to
support a particular claim, contention or allegation, state in
the answer each and every fact and identify each and every
document or communication which supports, refers to, or evidences
such claim, contention or allegation.
Whenever you are asked to "identify" a document or
Idocuments, the following information should be given as to each
document of which you are aware, whether or not you have
possession, custody or control thereof:
(a) The nature of the document, e.g., letter, memorandum,
computer print-out, minutes, resolution, tape
recording, etc.;
(b) Its date (or if it bears no date, the date when it was
prepared);
(c) The name, address, employer and position of the signer
or signers of the document (or if there is no signer,
of the person who prepared the document);
(d) A brief statement of the subject matter of the
document.
The words "document" or "documents" as herein used include,
uw OFFICES
SNELBAKER,
BRENNEMAN
& SPARE
but are not limited, to any written or graphic matter of any kind
whatsoever, however produced or reproduced, any electronically or
magnetically recorded matter of any kind or character, however
produced or reproduced, and any other matter concerning the
recording of data or information upon any tangible thing by any
means, including, but not limited to, the original, non-identical
copy, rough or final draft of the following (regardless of
-3-
however or by whomever prepared, produced or reproduced): books,
records, reports, memoranda, notes, letters, telegrams, diaries,
calendar or diary entries, schedules, maps, graphs, contracts,
studies, analyses, instructions, photographs, tape-recordings,
computer tapes, computer disks or diskettes, telex or fax
transmissions, correspondence, messages, CD-ROM, drawings, forms
and work paper or any other thing in which any matter is
memorialized.
These Interrogatories shall be deemed to be continuing
Interrogatories. Between the time of your answers to these
Interrogatories, and the time of trial, if you or anyone acting
on your behalf learn of or obtain additional information
requested herein, but not supplied in your answers, then you
shall promptly furnish a supplemental answer under oath
containing the same.
LAW OFFICE;
SNELSAKER.
BRENNEMAN
& SPARE
-4-
INTERROGATORIES
1. Identify each and every fact witness, lay witness and/or
expert witness which you intend to offer or call in your case in
chief or by way of rebuttal in an effort to prove any of the
matters set forth in Defendant's Answer and in an effort to rebut
any averments set forth in Claimant's Writ of Scire Facias filed
relative to this action.
ANSWER:
uw on¢cs
SNELBAKER.
BRENNEMAN
& SPARE
-5-
2. For each witness identified by
Interrogatory, briefly state the subject
individuals proposed testimony.
ANSWER:
LAW OFFICES
SNELOAKER.
BRENNEMAN
& SPARE
Answer to the preceding
matter of each
-6-
3. Identify all documents or other objects which you intend
to introduce as exhibits at the hearing of this matter, whether
in your case in chief or by way of rebuttal.
ANSWER:
LAW OFFICES
SNELBAKER•
BRENNEMAN
& SPARE
-7-
4. With regard to each and every expert witness identified
by Answer to interrogatory 1, state:
a) The subject matter on which the expert is expected
to testify;
b) The substance of the facts and opinions to which
the expert is expected to testify;
C) A summary of the grounds for each opinion;
d) Whether the facts and opinions to which the expert
is expected to testify are contained in any
written report, memorandum or other document, and,
if so, identify the name and address of the
present custodian of said report, memorandum or
other document. (A copy of the expert report may
be attached in lieu of answering this
Interrogatory.)
ANSWER:
uw OFFICES
SNELBAKER.
BRENNEMAN
& SPARE
-8-
5. Describe what you allege is "inaccurate" about the sums
claimed in the writ of Scire Facias.
ANSWER:
6. Describe what you allege is "capricious" about the sums
claimed in the Writ of Scire Facias.
ANSWER:
uw OFFICES
SNELSAKER,
BRENNEMAN
6 SPARE
-9-
7. Describe what amount you admit is due and owing to the
Cumberland Valley School District in Admissions/Amusement Tax for
the time period of July 1, 1996 through January 31, 1998.
ANSWER:
8. Identify all documents or other objects relied upon in
ascertaining your Answer to the preceding Interrogatory.
ANSWER:
uw OIIIEE9
SNELBAKER,
BRENNEMAN
& SPARE
-10-
9. Did you appeal in writing to
of School Directors from the Notice of
in Payment of Admissions/Amusement Tax
ANSWER:
the Cumberland Valley Board
Assessment of Deficiency
dated June 18, 1998?
10. Identify all persons who assisted in the preparation of
your Answers to these InterrocatoriPC_
ANSWER:
LAW OFFICE'S
SNELOAKER.
BRENNEMAN
& SPARE
-11-
CERTIFICATE OF SERVICE
IF PHILIP H. SPARE, ESQUIRE, hereby certify that I have,
on the below date, caused a true and correct copy of the
foregoing interrogatories to be served upon the person and in the
manner indicated below:
FIRST CLASS MAIL, POSTAGE PREPAID ADDRESSED AS FOLLOWS:
Peter J. Russo, Esquire
61 W. Louther Street
Carlisle, PA 17013
s2u-/'Q? D
Philip U. Sp rb, Esquire
SNELBAKER, BRENNEMAN & SPARE, P. C.
44 West Main Street
P. 0. Box 318
Mechanicsburg, PA 17055
(717) 697-8528
Attorneys for Cumberland Valley
School District
Date: October 20, 1999
LAW OFFICES
SNELBAKER,
BRENNEMAN
& SPARE
CUMBERLAND VALLEY SCHOOL
DISTRICT,
Claimant
V.
CARLISLE SPORTS EMPORIUM,
INC.,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 99-5234 CIVIL TERM
CIVIL ACTION - LAW
SCIRE FACIAS
MUNICIPAL CLAIM
CLAIMANT'S FIRST REQUEST FOR PRODUCTION OF DOCUMENTS
DIRECTED TO DEFENDANT
TO: Peter J. Russo, Esquire
61 W. Louther Street
Carlisle, PA 17013
AND
Keith L. Plasterer, President
Carlisle Sports Emporium, Inc.
29 S. Middlesex Road
Carlisle, PA 17013
Pursuant to Pennsylvania Rule of Civil Procedure 4009.1, et
seq., Claimant Cumberland Valley School District requests that
Defendant Carlisle Sports Emporium, Inc. produce and permit
Claimant to inspect and copy each of the documents specified
below. The documents should be made available for inspection and
:opying during regular business hours at the offices of
Claimant's attorneys, Snelbaker, Brenneman & Spare, P. C., 44 W.
Main Street, Mechanicsburg, Pennsylvania, or at such other place
as may be mutually agreeable to the parties' attorneys, within
thirty (30) days of the service of this Request.
LAW OF11CES
SNELSAKER, Defendant shall also serve a written response to this
BRENNEMAN
&SPARE Request For Production of Documents within thirty (30) days of
Ilsaid service.
EXHIBIT B
INSTRUCTIONS
1. Produce all documents known or reasonably available to
you. This means that you are required to produce all documents
in the possession, custody, or control of you, your attorneys,
accountants, investigators, representatives, agents, employees,
servants, contractors, consultants, associates, or any others
acting on your behalf or under your direction or control or their
attorneys or agents.
2. If you claim that the attorney-client privilege or any
other privilege or reason for withholding documents is applicable
to any document requested, please state as to each document:
(a) the subject matter of the document;
(b) the name of the writer, sender, or initiator of the
original and each copy of the document;
(c) the names of the recipients, addressees, or persons to
whom the original or any copy of the document was sent;
(d) each person who has ever had possession, custody or
control of the original or any copy of the document;
(e) the date of the original and each copy of the document,
if any, or an estimate of its date;
(f) a statement of the basis of the claim of privilege; and
(g) sufficient further information concerning the document
and the circumstances surrounding the document to
explain the claim of privilege and to allow a court to
adjudicate the propriety of your claim of privilege.
LAW OFFICES
SNELBAKER.
BRENNEMAN
& SPARE
3. If you assert privilege as to a portion of any category
of documents or things requested, produce the remainder of that
-2-
category as to which you do not assert a privilege. If you
assert privilege as to any portion of a document or thing
requested, produce the portion as to which you do not assert a
privilege.
4. This Request shall be deemed to be continuing. Between
the time of your response and the time of trial, if you obtain,
secure or gain control over any documents requested herein; then
you shall promptly furnish Claimants attorneys with same in
accordance with the direction herein.
DEFINITIONS
The words "document" or "documents" as herein used include,
but are not limited, to any written or graphic matter of any kind
whatsoever, however produced or reproduced, any electronically or
magnetically recorded matter of any kind or character, however
produced or reproduced, and any other matter concerning the
recording of data or information upon any tangible thing by any
means, including, but not limited to, the original, non-identical
, rough or final draft of the following (regardless of
however or by whomever prepared, produced or reproduced) : books,
records, reports, memoranda, notes, letters, telegrams, diaries,
calendar or diary entries, schedules, maps, graphs, contracts,
studies, analyses, instructions, photographs, tape-recordings,
I.A. OFFICES
SNELEIAKER, computer tapes, computer disks or diskettes, telex or fax
BRENNEMAN
& SPARE
Itransmissions, correspondence, messages, CD-ROM, drawings, forms
land work paper or any other thing in which any matter is
Imemorialized.
"You" or "your" as used herein means the party or parties to
whom this Request is directed, his, her or its agents, employees,
contractors, attorneys or any person, firm or entity acting on
behalf of or at the request of said party or parties.
"Defendant" shall mean and refer to Carlisle Sports
Emporium, Inc., its agents, employees, contractors, attorneys or
any other person, firm or entity acting on behalf of or at the
request of Carlisle Sports Emporium, Inc.
"Claimant" as used herein means Cumberland Valley School
District, its agents, employees, contractors, attorneys or any
person, firm or entity acting on behalf of or at the request of
Cumberland Valley School District.
LAW OFFICES
SNELBAKER,
BRENNEMAN
& SPARE
-4-
DOCUMENTS TO BE PRODUCED
1. A photostatic copy or like reproduction of all
statements made by any party or any witness concerning this
lawsuit or its subject matter pursuant to Pennsylvania Rule of
Civil Procedure 4003.4.
2. Any and all documents, reports, notes, memoranda,
summaries and/or records of any kind relating to any and all
interviews of any and all parties and witnesses or individuals
made by any Defendant in this action, any adjuster, insurer, or
any other agent, employee or representative of the party to whom
this request is directed, other than their attorneys.
3. Any and all expert reports prepared by any expert
engaged by the party to whom this request is directed, who will
be called to testify at the trial of this case. This request is
inclusive of any and all reports prepared by said experts during
the course of the engagement by the Defendant dealing with any
factual issue involving the case and any and all facts and data
which have been reviewed by said expert and any and all opinions
which he/she has rendered.
4. Any and all documents containing the name(s) or
address(es), either home or business, of any and all individuals
contacted as potential witnesses in this case.
LAW OFFICES
SNELBAKER.
BRENNEMAN 5. Any and all documents identified in your Answers to
& SPARE
i
-5-
i
Claimant's Interrogatories (First Set) Directed to Defendant in
this case.
SNELBAKER, BRENNEMAN & SPARE, P. C.
By:
Philip H. are, Esqui- e
44 W. ain Street
Mechanicsburg, PA 17055
(717) 697-8528
Attorneys for Claimant,
Date: 1619 0 `T 9 Cumberland Valley School District
LAW OFFICES
SNELBAKER.
BRENNEMAN
& SPARE
-6-
CERTIFICATE OF SERVICE
I, PHILIP H. SPARE, ESQUIRE, hereby certify that I have,
on the below date, caused a true and correct copy of the
foregoing Request For Production of Documents to be served upon
the person and in the manner indicated below:
FIRST CLASS MAIL. POSTAGE PREPAID. ADDRESSED AS FOLLOWS:
Peter J. Russo, Esquire
61 W. Louther Street
Carlisle, PA 17013
2glaiLQ
Philip . S e, Esquire
SNELBAKER, BRENNEMAN & SPARE, P. C.
44 West Main Street
P. O. Box 318
Mechanicsburg, PA 17055
(717) 697-8528
Attorneys for Cumberland Valley
School District
Date: October 20, 1999
LAW OFFICES
SNELBAKER,
BRENNEMAN
& SPARE
CERTIFICATE OF SERVICE
I, PHILIP H. SPARE, ESQUIRE, hereby certify that I have, on the below date, caused a
and correct copy of the foregoing Motion to Compel to be served upon the person
and in the manner indicated below:
POSTAGE PREPAID. FIRST-CLASS MAIL ADDRESSED AS FOLLOWS:
Peter J. Russo, Esquire
61 W. Louther Street
Carlisle, PA 17013
P flip . Spare, squire
SNEL AKER, BRENNEMAN & SPARE, P. C.
44 West Main Street
P. O. Box 318
Mechanicsburg, PA 17055
(717) 697-8528
Attorneys for Claimant
November 22, 1999
L1W OFFICE'
SNELBAKER.
BRENNEMAN
& SPARE
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Nov-29-99 10:30A Snolbakor, Bronmmnan & Sp 717 697 7681 p_02
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SNELBAKRR, BRENNEMAN & SPARE, P. C.
..............
Attorneys at Lew
P. 0. Box 318
44 West Main Street
Mechanicsburg, PA 17055
(717) 697-8526
Richard C. Snelbaker Fax No. (717) 697-7681
Keith O. Brenneman
Philip H. Spare
FACSIMILE COVER LETTER
PLEASE DELIVER THE FOLLOWING PAGES:
DATE: November 29, 1999
TO: The Honorable Edward E. Guido
FAX M: 240-6462
FROM: Phil Spare
NO. OF PAGES INCLUDING COVER LETTER: 2
COMMENTS: RE: Cumberland Valley School District v,
Carlaile Sports Emporium, Inc.
Attached please find my letter of today's date.
Nov-29-99 10:30A Snalbaker, Brannaman & Sp 717 697 7681
R.ICHAko C. SNrlrIAKLM.
KEITII 0 NNkNNeh1AN
PHILU` II SrARr
.SNFI.RAKER, BKENNF.MAN & SPARE
A rAnn•aluN,v. C-ORN114AUON
AI'I'ORNEYt, Al' 'IAW
u wKr MAIN CIRFFT
MEC IANICSBURG, PENNSYLVANIA I/U!iF,
/V 6517.11-'K
November 29, 1999
P.O1
r o Rox !Jtl
FACSIMIIt VV1397.7,jm
VIA I?AX ONLY 240-6462
The Honorable Edward L. Guido
Cumberland County Courthouse
One Courthouse Square
Carlisle, PA 17013
Re: Cumberland Valley School District v. C'ar'lisle Spoils Emporium, Inc.
Nos. 99-5234 and 99-5235 C:iYiI Term
Dear Judge Guido:
I am pleased to report that a settlement has been reached in the above referenced cases.
Counsel are in agreement that both the argument scheduled ['or this morning at 11:00 and the hearing
scheduled for Wednesday, December 1, 1999 at 1:30 p.m. he continued generally pending finali'radon
of Lhe settlement. Thank you for your attention to this matter.
Very truly yours,
(:? 6
Philip II. Spare
1?nclo5arr
Cc: Peter J. Russo, Esquire (via fax 249-4514)
A
SEP 21 1999
CUMBERLAND VALLEY SCHOOL : IN THE COURT OF COMMON PLEAS OF
DISTRICT, : CUMBERLAND COUNTY, PENNSYLVANIA
Claimant
NO. 99.5234 CIVIL TERM
V.
CIVIL ACTION - LAW
CARLISLE SPORTS EMPORIUM, : SCIRE FACIAS
INC., : MUNICIPAL LIEN
Defendant
ORDER
AND NOW, THIS Z/ M day of - QG/ D O &t 1999, upon
consideration of the Affidavit of Defenses filed by the Defendant in the above-captioned
matter, a hearing shall be scheduled on the _/ S/ day of b &/c
1999 in Courtroom S in the Court of Common Pleas of Cumberland
County. @/ 3D R m•
,e?d?,,f? E. Eu,'do/ J.
Peter J. Russo, Esquire for Defendant _ C'?"
Philip H. Spare, Esquire for Claimant ,d
v
PETER J. RUSSO, ESQUIRE
61 West Louther Street
Carlisle, PA 17013
(717)249-2721
CUMBERLAND VALLEY SCHOOL
DISTRICT,
Claimant
V.
CARLISLE SPORTS EMPORIUM,
INC.,
Defendant
Attorney for Defendant
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
NO. 99 - 5234 CIVIL TERM
: CIVIL ACTION -LAW
: SCIRE FACIAS
: MUNICIPAL LIEN
DEFENDANT. CARLISLE SPORTS EMPORIUM INC 'S
AFFIDAVIT OF DEFENSES
AND NOW, COMES the Defendant, Carlisle Sport Emporium, Inc. by and
through its attorney Peter J. Russo and states in support of its Affidavit of Defenses as
follows:
1. Carlisle Sports Emporium, Inc. maintains its principal business location of 29
South Middlesex Road, Carlisle, Pennsylvania.
2. Keith L. Plasterer is the President of Carlisle Sports Emporium, Inc.
3. The parties in the above-captioned matter have entered into and have engaged
in ongoing negotiations in an effort to resolve this matter.
4. Defendant has obtained a commitment letter from the Business Loan Center in
Chicago, Illinois to refinance the property subject to the Municipal Liens in question. A
copy of said commitment letter has been provided to the Claimant.
5. As a part of the refinancing, the Defendant has earmarked certain loan
proceeds for and agreed to pay all outstanding and current Municipal Liens due
Claimant.
6. Defendant has been advised that the entry of a judgment against the subject
property would terminate the viability of the loan.
7. Defendant expects the loan from the Business Loan Center to be completed and
finalized, at the latest, by November 30, 1999.
8. The entry of a judgment in favor of the Claimant would create in irreparable
hardship for the Defendant.
9. Defendant has a solution as to how to pay all liens owed to the Claimant well in
development.
10. Claimant is well aware of the efforts Defendant has made and is making toward
the resolution of this matter.
11. Defendant has reviewed the Writ of Scire Facias and avers that the sums
claimed are inaccurate and capricious.
WHEREFORE, Defendant, Carlisle Sports Emporium, Inc. respectfully requests
that this Honorable Court schedule a hearing to determine the issues in question.
R spectfully submitted,
Peter J. Russo
Dated: Tuesday, September 28, 1999
PETER J. RUSSO, ESQUIRE
61 West Louther Street
Carlisle, PA 17013
(717)249-2721
CUMBERLAND VALLEY SCHOOL
DISTRICT,
Claimant
Attorney for Defendant
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
NO. 99 - 5234 CIVIL TERM
V.
: CIVIL ACTION -LAW
CARLISLE SPORTS EMPORIUM, : SCIRE FACIAS
INC., : MUNICIPAL LIEN
Defendant
CERTIFICATE OF SERVICE
I, Peter J. Russo Esquire hereby certify that I am on this day serving a copy of
the foregoing document upon the person(s) and in the manner indicated below:
Service by First-Class Mail Postage Prepaid, and Addressed as follows:
Philip H. Spare, Esquire
Snelbaker, Brenneman & Spare
44 West Main Street
Mechanicsburg, PA 17055 Peter J. Russo
Date: Tuesday, September 28, 1999
CUMBERLAND VALLEY SCHOOL
DISTRICT,
Claimant
V.
CARLISLE SPORTS EMPORIUM,
INC.,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 99 - 5234 CIVIL TERM
CIVIL ACTION - LAW
SCIRE FACIAS
MUNICIPAL LIEN
VERIFICATION
I, Keith L. Plasterer, an authorized agent for the Defendant in the above-
captioned matter, verify that the statements made in this document are true and correct.
I understand that false statements herein are made subject to penalties of 18 Pa. C.S. §
4904, relating to unsworn falsification to authorities.
eith L. Plasterer
Date. 4
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CUMBERLAND VALLEY SCHOOL DISTRICT,
............................................
CLAIMANT
.................
vs.
CARLISLE SPURTS EMPORIUM, INC.,
.......................
OWNER
................................................
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In the Court of Common Pleas of
Cumberland County, Pennsylvania
No...99-1864.Mjp..Tgft.... Civil. 19......
MUNICIPAL LIEN DOCKET
................................................
PRAECIPE FOR WRIT OF SC RE FACIAS
TO. THE,.PROTHONOTARY:
...............................................................................
KINDLY ISSUE A WRIT OF SCIRE FACIAS IN THE ABOVE CAPTIONED MATTER
..............................................................................
IN THE AMOUNT OF . $75 . , . 202 .
. .85 .
. WITH .
. APPLICABLE COSTS AND INTEREST FROM
......................................................................
MARCH 30, 1999.
...............................................................................
To ...CURT, LONG.. Prothonotary
......................... Au9NSt..26.......... 19.99..
S BAKE ENNEMAN 6 SPARE, P.C.
BY:.. ........................
Attorney forMaj Ct{*
Claimant
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CUMBERLAND VALLEY SCHOOL IN THE COURT OF COMMON PLEAS OF
DISTRICT, CUMBERLAND COUNTY, PENNSYLVANIA
Claimant
NO. 99- 5aaLE C L. Q -j-E'CM
V.
CIVIL ACTION - LAW
CARLISLE SPORTS EMPORIUM,
INC., SCIRE FACIAS
Defendant MUNICIPAL LIEN
WRIT OF SCIRE FACIAS
The Commonwealth of Pennsylvania to Carlisle Sports
Emporium, Inc., greeting:
WHEREAS, the Cumberland Valley School District on the 30th
day of March, 1999 filed its claim in our Court of Common Pleas
of Cumberland County at No. 99-1864 MLD Term, for the sum of
$75,202.85, with interest from the 30th day of March, 1999 for
the Admissions/Amusement Tax levied by the Cumberland County
School District for the period of July 1, 1996 through January
31, 1998, against the following property situate in the Township
of Middlesex, Cumberland County, Pennsylvania:
All that certain tract of land including improvements
thereon known and numbered as 29 South Middlesex Road,
which is owned or reputed to be owned by you.
AND WHEREAS, we have been given to understand that said
claim is still due and unpaid, and remains a lien against the
said property;
NOW, you are hereby notified to file your affidavit of
defense to said claim if defense you have thereto, in the Office
Page 1 of 2
i
of the Prothonotary of our said Court, within fifteen (15) days
after service of this Writ upon you. If no affidavit of defense
be filed within said time, judgment may be entered against you
for the whole claim, and the property described in the claim be
sold to recover the amount thereof.
WITNESS, the Honorable George E. Hoffer, President Judge of
our said Court, this p?(p}'1 day of August, 1999.
/-. R. 1,
Prothonotary
??cA-m ?
Deputy Prothonotary
$24.00 Pd Atty
$ 1.00 County Due
Page 2 of 2
Johnson, Duffle, Stewart & Weidner
By: Jerry R. Duffie
I. D. No. 09601
Michael Cassidy
I.D. No. 82164
301 Market Street
P. O. Box 109
Lemoyne, Pennsylvania 17043-0109
(717) 761-4540
CUMBERLAND VALLEY SCHOOL
DISTRICT,
Plaintiff
V.
CARLISLE SPORTS EMPORIUM, INC.,
Defendant
Attorneys for Cumberland Valley
School District
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IN THE COURT OF COM LEAS
CUMBERLAND COUNTY, PENNSYLOVA
NO. 99-5234 Civil Term
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PRAEC/PE TO SETTLE A DISCONTINUE
TO THE PROTHONOTARY:
Please mark the above-captioned action settled and discontinued.
:427276
12050-45
Michael J. Cassidy
Solicitor
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CERTIFICATE OF SERVICE
AND NOW, this TA day of 2011, the undersigned does hereby certify that
she did this date serve a copy of the foregoing document upon the other parties of record by
causing same to be deposited in the United States Mail, first class postage prepaid, at Lemoyne,
Pennsylvania, addressed as follows:
Anthony P. Tabasso, Esquire
Klehr, Harrison, Harvey, Branzburg & Ellers, LLP
260 South Broad Street
Philadelphia, PA 19102
JOHNSON, DUFFIE, STEWART & WEIDNER
By: 0. JZ2?6?7
Beth A. Fetterhoff