HomeMy WebLinkAbout03-5153CUMBERLAND COUNTY
ADULT PROBATION
VS.
Michael Todd Blosser
405 Potato Road
Carlisle, PA 17013
Plaintiff
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY
PENNSYLVANIA
CiVIL ACTION - LAW
NO. ~'j -~'/-5'3 CWIL TERM
Defendant
RE: NO. 03-642 CRIMINAL TERM
PRAECIPE TO ENTER JUDGMENT
TO THE PROTHONOTARY:
Enter judgment in favor of plaintiff, Cumberland County Adult Probation, and against
Defendant in the amount of $1401.14 pursuant to 42 Pa. C.S.A. Section 9728 as set forth in the
attached statement of certified case costs and fines.
Dennis E. Lebo, Clerk of Court
Date: September 29, 2003
ENTRY OF JUDGMENT
AND NOW, this o~~t'~ dayof c~tO~-~m~;~r' , ~.)~ , judgment is entered
in favor of the Plaintiff and against the Defendant in the amount set forth above.
Curtis R. Long, Prothonotary
Attachment
cc: Defendant
Probation
Clerk of Court
093654091003 ******************** Pa~e 33
CCS746 *STATEMENT OF COSTS* 9710/2003
Case No.
2003-00642 To:
Dennis E. Lebo
Cumberland County -
1 Courthouse Square
Carlisle, Pa I7013
Clerk of Courts
BLOSSER MICHAEL TODD
405 POTATO ROAD
CARLISLE, PA 17013
Date Transaction Debit Credit Balance
06/10/03 SHERIFFS COST 24.00 24.00
Totals 24.00 24.00
06/25/03 SHERIFFS COST 15.18 15.18
Totals 15.18 15.18
07/15/03 SHERIFFS COST 6.00 6.00
Totals 6.00 6.00
07/18/03 SHERIFFS COST 4.42 4.42
Totals 4.42 4.42
08/05/03 WITNESS FEE 23.54 23.54
Totals 23.54 23.54
08/05/03 AUTOMATION FEE 5.00 5.00
Totals 5.00 5.00
08/05/03 COURT COSTS 15.84 15.84
Totals 15.84 15.84
08/05/03 SHERIFFS COST 1.50 1.50
Totals 1.50 1.50
08/05/03 STATE COST A 6.33 6.33
Totals 6.33 6.33
08/05/03 STATE COST B 6.33 6.33
Totals 6.33 6.33
08/05/03 JCP FEE 10.00 10.00
Totals 10.00 10.00
08/05/03 DISTRICT ATTY 15.00 15.00
093654091003 ******************** Pa~e 34
· CCS746 *STATEMENT OF COSTS* 9710/2003
Case No.
2003-00642 To:
Dennis E. Lebo
Cumberland County -
1 Courthouse Square
Carlisle, Pa I7013
Clerk of Courts
BLOSSER MICHAEL TODD
405 POTATO ROAD
CARLISLE, PA 17013
Totals 15.00 15.00
08/05/03 JURY NON-JURY 165.00 165.00
Totals 165.00 165.00
08/05/03 DISTRICT ATTY 15.00 15.00
Totals 15.00 15.00
08/05/03 COURT COSTS 8.00 8.00
Totals 8.00 8.00
08/28/03 STATE FINES 1000.00 1000.00
Totals 1000.00 1000.00
08/28/03 EMS 10.00 10.00
Totals 10.00 10.00
08/28/03 CAT FD-ND 30.00 30.00
Totals 30.00 30.00
08/28/03 ADMIN. FEE 40.00 40.00
Totals 40.00 40.00
Case Totals 1401.14 .00 1401.14
You are liable for the above costs
Pursuant to Title 42 of Judiciary and Judicial procedure, 42
PA CSA 9728, the Prothonotary is authorized to confess judgment on all
unpaid costs and issue an execution and place same in the hands of
the Sheriff for the collection.
We trust you will ~ive the above account your ~~~.D, ,
In Testimo~ whereof, I here unto set my nano
~..~.~~n d the seal o! said C? r t,.G..~rll~sle, PA.
AMANDA FAIR
BRADLEY FAIR,
Plaintiffs/Respondents
VS.
JENNIFER LOPIANO,
Defendant/Petitioner
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY PENNSYLVANIA
NO. 02-5153 CFqlL TERM
: INCUSTODY
MOTION TO AMEND
Petitioner, Jennifer Lopiano, by and through her counsel, Jessica Diamondstune
of MidPenn Legal Services, states the following:
1. Petitioner is the above-named Defendant, hereinafter referred to as the mother,
who resides at 110 West High Street #4, Carlisle, Cumberland County,
Pennsylvania 17013.
2. Respondents are the above-named Plaintiffs, hereinafter referred to as the
maternal aunt and uncle, who reside at 51 Hillside Drive, Carlisle, Cumberland
County, Pennsylvania 17013.
3. The above-named Petitioner is the natural mother of Taylor Houtz, born May 10,
2002.
4. The ab°ve-named Respondents are the maternal aunt and uncle of Taylor
Lopiano.
5. The natural father of Taylor Houtz is Brian V. Houtz, who resides at 2433
Heather Circle, State College, Centre County, Pennsylvania 16801.
6. On January 23, 2004, the mother filed a Petition for Special Relief, asserting that
the Respondents violated the current custody agreement by refusing to permit the
mother periods of visitation with the child and threatening to send the child to live
with the father in State College.
7. The Court deemed the Petition to be a request to modify a custody order and
scheduled the matter for a custody conciliation on March 25, 2004.
8. Since the date of filing, the Respondents have, in fact, sent the child to the father
in State College and the mother continues to be denied contact with the child.
9. The mother requests the Court to permit her to amend the previously filed petition
to include the father.
WHEREFORE, Petitioner respectfully requests that the Court permit an amendment
to her petition to include the father, Brian V. Houtz, as a necessary party, and to appear
for the custody conciliation on March 25, 2004.
Respectfully submitted,
omey for Plaintiff/Petitioner
MidPenn Legal Services
8 Irving Row
Carlisle, PA 17013
AMANDA FAIR
BRADLEY FAIR,
Plaintiffs/Respondents
VS.
JENNIFER LOPIANO,
Defendant/Petitioner
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY PENNSYLVANIA
NO. 02~5153 CIVIL TERM
IN CUSTODY
AFFIDAVIT OF SERVICE BY MAIL
I, Jessica Diamondstone, do hereby swear that I served Brian Houtz with a
Motion to Amend on March 19, 2004, by certified mail, return receipt, restricted delivery,
to the person and address below:
Brian Houtz
2433 Heather Cimle
State College, PA 16801
I, Jessica Diamondstone, verify that the statements made in this Affidavit of
Service are true and correct. I understand that false statements herein are made subject to
the penalties of 18 Pa.C.S. Section 4904 relating to unswom falsification to authorities.
Date: ~ ' lC/'0~
Signatm'e:
AMANDA FAIR
BRADLEY FAIR,
Plaintiffs/Respondents
VS.
JENNIFER LOPIANO,
Defendant/Petitioner
IN THE COURT OF COMMON PLEAS OF
CI. JMBE~ COUNTY PENNSYLVANIA
NO. 02-5153 CIVIL TERM
IN CUSTODY
AFFIDAVIT OF SERVICE BY MAIL
I, Jessica Diamondstone, do hereby swear that I served Amanda Fair and
Bradley Fair with a Motion to Amend on March 19, 2004, by certified mail, return
receipt, restricted delivery, to the person and address below:
Bradley and Amanda Fair
51 Hillside Drive
Carlisle, PA 17013
I, Jessica Diamondstone, verify that the statements made in this Affidavit of
Service are true and correct. I understand that false statements herein are made subject to
the penalties of 18 Pa.C.S. Section 4904 relating to unsworn falsification to authorities.
Date:
Signature:
VERIFICATION
The above-named PLAINTIFF, Jennifer Lopiano, verifies that
the statements made in the above Motion to Amend are true and
correct. Plaintiff understands that false statements herein are
made subject to the penalties of 18 Pa. C.S. §4904, relating to
unsworn falsification to authorities.
i, ~nnl~e opi ~ ! '
Commonwealth of Pennsylvania PRAECIPE TO ENTER
Court of Common Pleas , ;t; SATISFACTION OF JUDGMENT
County of Cumberland
9th Judicial District `"
'`�. - ,° Cumberland County Adult Probation, Plantiff
V.
Michael Todd Blosser, Defendant
Cumberland County Clerk of Courts
1 Courthouse Square
Carlisle, PA 17013
PH: 717-240-6250 Civil Docket No: 2003-5153
CP Docket No: CP-21-CR-0000642-2003
Associated 2003-5153
Docket No(s):
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TO THE PROTHONOTARY: z7 -rrr
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Please mark the Judgment in this case as satisfied. � F.'>
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April 26, 2013
Clerk of Courts Date
CPCMS 2127 1 Printed:04/26/2013 11:33:29AM