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HomeMy WebLinkAbout03-5221NORMAN R. RUNK and NANCY J. RUNK, husband and wife, 86 Bali Hai Road, Mechanicsburg, Pennsylvania 17050, Plaintiffs V. WARREN HODGES, 21 N. Furnace Street, Birdsboro, Pennsylvania 19508, Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA NO. 63 - S'?.A 1 ?t U c C., ??/LY?` CIVIL ACTION - LAW JURY TRIAL DEMANDED PRAECIPE FOR WRIT OF SUMMONS TO: Curt Long, Prothonotary Please issue a Writ of Summons for a Civil Action at Law against the above-referenced Defendant. S7Garc?. AKER WI LIAMS, P.C. Dated: By Tarlow, I.D. #23474 P.O. Box 88 Harrisburg, PA 17108 (717) 763-1121 Attorneys for Plaintiffs 159351 ,Z C r . Commonwealth of Pennsylvania County of Cumberland WRIT OF SUMMONS NORMAN R. RUNK AND NANCY J. RUNIC, HUSBAND AND WIFE 86 BALI HAI ROAD MECHANICSBURG, PA 17050 Court of Common Pleas Plaintiff Vs. No. 03-5221 CIVIL TERM In CivilAction-Law WARREN HODGES 21 N. FURNACE STREET BIRDSBORO, PA 19508 Defendant To WARREN HODGES You are hereby notified that NORMAN R. RUNK AND NANCY J. RUNIC, the Plaintiff has / have commenced an action in Civil Action-Law against you which you are required to defend or a default judgment may be entered against you. (SEAL) CURTIS R. LONG Prothonotary Date OCTOBER 2, 2003 By ??„ _ ??or?jyrJr?? Deputy Attorney: Name: MARC G. TARLOW, ESQUIRE Address: SHUMAKER WILLIAMS, P.C. PO BOX 88 HARRISBURG, PA 17108 Attorney for: Plaintiff Telephone: 717-763-1121 Supreme Court ID No. 23474 SHERIFF'S RETURN - OUT OF COUNTY CASE NO: 2003-05221 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND RUNK NORMAN R ET AL VS WARREN HODGES R. Thomas Kline , Sheriff or Deputy Sheriff who being duly sworn according to law, says, that he made a diligent search and and inquiry for the within named DEFENDANT , to wit: HODGES WARREN but was unable to locate Him in his bailiwick He therefore deputized the sheriff of BERKS County, Pennsylvania, to serve the within WRIT OF SUMMONS On October 29th , 2003 , this office was in receipt of the attached return from BERKS Sheriff's Costs: Docketing 18.00 Out of County 9.00 Surcharge 10.00 Dep Berks County 40.44 .00 77.44 10/29/2003 SHUMAKER WILLIAMS So answers, i R' Thomas Kline Sheriff of Cumberland County Sworn and subscribed to before me this ,S- day of T-6-t ? J-003 A. D. C?l Prothono otary ary SHERIFF OF BERKS COUNTY 633 Court Street, Reading, PA 19601 Phone: 610-478-6240 Main Fax: 610-478-6222 Sheriff Fax: 610-478-6072 Barry Jozwiak, Sheriff Eric J. Weaknecht, Chief Deputy AFFIDAVIT OF SERVICE DOCKET NO. 03-5221 COMMONWEALTH OF PENNSYLVANIA: COUNTY OF BERKS Personally appeared before me, ANTHONY DAMORE, Deputy for Barry J. Jozwiak, Sheriff of Berks County, 633 Court Street, Reading, Pennsylvania, who being duly sworn according to law, deposes and says that on OCTOBER 24, 2003 at 9:00 AM, he served the annexed WRIT OF SUMMONS upon WARREN HODGES, within named defendant, by handing a copy thereof to HIM PERSONALLY, at BERKS COUNTY SHERIFF'S OFFICE, 633 COURT STREET, READING, Berks County, Pa., and made known to defendant the contents therenf Swo subscribed before me this 4rH day of OCTOBF& 2003 A N6TARIAL SEAL Tammy Rodriguez, Notary Public Reading, Berks County My commission expires October 6, 2007 DEPUTY FF OF BERKS P Service made as set forth above. ,So Answers, *-I q SHERIFF OF BERKS OUNTY. PA Sheriff s Costs in Above Proceedings $ 75.00 DEPOSIT $ 40.44 ACTUAL COST OF CASE $ 34.56 AMOUNT OF REFUND All Sheriffs Costs shall be due and payable when services are performed, and it shall be lawful for him to demand and receive from the party instituting the proceedings, or any part liable for the costs thereof, all unpaid sheriff s fees on the same before he shall be obligated by law to make return thereof. _Sec. 2, Act of June 20, 1911, P.L/ 1072 NORMAN R. RUNK and : IN THE COURT OF COMMON PLEAS OF NANCY J. RUNK, husband and wife, : CUMBERLAND COUNTY, PENNSYLVANIA Plaintiffs NO.: 03-5221 Civil V. WARREN HODGES, Defendant JURY TRIAL DEMANDED PRAECIPE FOR ENTRY OF APPEARANCE TO THE PROTHONOTARY: Please enter the undersigned's appearance on behalf of the Defendant, Warren Hodges, with regard to the above-captioned matter. Respectfully submitted, NEALON GOVER & PERRY By: C-asey G. Shore, Esquire I.D. #: 85321 2411 North Front Street Harrisburg, PA 17110 7171232-9900 Date: .51V/,? ) D CERTIFICATE OF SERVICE AND NOW, this ILIA day of May, 2005, 1 hereby certify that I have served the foregoing Praecipe for Entry of Appearance on the following by depositing a true and correct copy of same in the United States mails, postage prepaid, addressed to: Marc G. Tarlow, Esquire Shumaker Williams, P.C. P O Box 88 Harrisburg, PA 17108 L ? L Ca . Shore, Esquire NORMAN R. RUNK and NANCY J. RUNK, husband and wife, Plaintiffs V. WARREN HODGES, Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA No. 03-5221 Civil JURY TRIAL DEMANDED PRAECIPE TO SUBSTITUTE APPEARANCE PLEASE substitute the appearance of Melissa A. Swauger, Esquire, with the appearance of Evan C. Pappas, Esquire, on behalf of Plaintiffs Norman R. Runk and Nancy J. Runk in the above- captioned matter. SHUMAKER WILL .C. Dated: 5/4 I9:x? By Marc G. Tarlow, I.D. #ljW74 Evan C. Pappas, I.D. #200103 P.O. Box 88 Harrisburg, PA 17108 (717) 763-1121 Attorneys for Plaintiffs 188883 CERTIFICATE OF SERVICE I, Evan C. Pappas, Esquire, of the law firm of Shumaker Williams, P.C., hereby certify that I served a true and correct copy of the foregoing Praecipe to Substitute Appearance on this date by depositing a copy of the same in the possession of the United States mail, first-class, postage prepaid, addressed as follows: Casey Shore, Esquire NEALON GOVER & PERRY 2411 N. Front Street Harrisburg, PA 17110 SHUMAKER WILLIAMS, P.C. Dated: Slq? 2b- , BY jP AM 111 1111 Elan C. appas P.O. Box 88 Harrisburg, PA 17108 (717) 763-1121 r°, n.? cs: `.i ` ?`' Y t'j r (i?? r ? _ ` t. ?7 ? ,?? + ?. •? N NORMAN R. RUNK and : IN THE COURT OF COMMON PLEAS OF NANCY J. RUNK, husband and wife, : CUMBERLAND COUNTY, PENNSYLVANIA Plaintiffs : NO.: 03-5221 Civil V. WARREN HODGES, Defendant JURY TRIAL DEMANDED PRAECIPE FOR WITHDRAWAL OF APPEARANCE TO THE PROTHONOTARY: Please withdraw the undersigned's appearance on behalf of the Defendant, Warren Hodges, with regard to the above-captioned matter. Respectfully submitted, NEALON GOVER & PERRY By: C G. hove, Esquire I.D. 5321 2411 North Front Street Harrisburg, PA 17110 717/232-9900 Date: _ 7/21/06 .1 r CERTIFICATE OF SERVICE AND NOW, this ,,?(4 day of July, 2006, 1 hereby certify that I have served the foregoing Praecipe for Withdrawal of Appearance on the following by depositing a true and correct copy of same in the United States mails, postage prepaid, addressed to: Marc G. Tarlow, Esquire Shumaker Williams, P.C. P O Box 88 Harrisburg, PA 17108 1'6?4L Ca Shore, Esquire ?., t-, ?, -? ..? :,- - , ?,-. r NORMAN R. RUNK and : IN THE COURT OF COMMON PLEAS OF NANCY J. RUNK, husband and wife, : CUMBERLAND COUNTY, PENNSYLVANIA Plaintiffs NO.: 03-5221 Civil V. WARREN HODGES, Defendant : JURY TRIAL DEMANDED PRAECIPE FOR ENTRY OF APPEARANCE TO THE PROTHONOTARY: Please enter the undersigned's appearance on behalf of the Defendant, Warren Hodges, with regard to the above-captioned matter. Respectfully submitted, NEALON GOVER & PERRY By: Allen, Esquire Date: I.D. : 84311 North Front Street Harrisburg, PA 17110 717/232-9900 r CERTIFICATE OF SERVICE a(84- day of July, 2006, 1 hereby certify that I have served the AND NOW, this foregoing Praecipe for Entry of Appearance on the following by depositing a true and correct copy of same in the United States mails, postage prepaid, addressed to: Marc G. Tarlow, Esquire Shumaker Williams, P.C. P O Box 88 Harrisburg, PA 17108 i !Nenley Allen, Esquire f' 1'YI _ t _,{ C.- ?--;l {Tl 1 ?.? PREREQUISITE TO SERVICE OF A SUBPOENA ////,...s???/P (?+r PURSUANT TO RULE 4009.22 01 ' ` c` V IN THE MATTER OF: COURT OF COMMON PLEAS NORMAN AND NANCY RUNK, H/W TERM, CUMEERIAND -VS- WARREN HODGES CASE NO: 03-5221-CIVIL As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of JENNI ALLEN, ESQ. certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 08/31/2006 MC on beha of ?J E Q. j torney for DEFENDANT R1.18 133-11 DE11-0644224 29929-LO1 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND IN THE MATTER OF: NORMAN AND NANCY RUNK, H/W -VS- WARREN HODGES COURT OF COMMON PLEAS TERM, CASE NO: 03-5221-CIVIL NOTICE OF INTENT TO SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 LAUREL BAILEY, M.D. MEDICAL RECORDS & XRAYS DURISKE CHIROPRACTIC MEDICAL RECORDS & XRAYS CARLISLE REGIONAL MEDICAL CTR. X-RAY ONLY CARLISLE REGIONAL MEDICAL CNTR MEDICAL RECORDS APPALACHIAN ORTHOPEDIC CENTER MEDICAL RECORDS & XRAYS TO: EVAN PAPPAS, ESQ., PLAINTIFF COUNSEL MCS on behalf of JENNI ALLEN, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena may be served. Complete copies of any reproduced records may be ordered at your expense by completing the attached counsel card and returning same to MCS or by contacting our local MCS office. DATE: 08/11/2006 CC: JENNI ALLEN, ESQ. - 05-311 MARTHA RUGGERO - MCS on behalf of JENNI ALLEN, ESQ. Attorney for DEFENDANT Any questions regarding this matter, contact THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 R1.15S 133-H D802-0339382 29929-C02 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND NORMAN AND NANCY RUNK, H/ W VS. WARREN HODGES File No. SUBPOENA TO PRODUCE DOCUMENTS OR THINGS FOR DISCOVERY PURSUANT TO RULE 4009.22 TO: Custodian of Records for LA 1REL BAIL Y M D (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: **** SEE ATTACHED RIDER **** at The M CS roun Inc 1601 Market Street Suite 800, Philatielphia PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: JENNI ALLEN. ESO. ADDRESS: 2411 N. FRONT STREET HARRISBURG. PA 17110 TELEPHONE: (215) 246-0900 SUPREME COURT ID #: ATTORNEY FOR: Defendant AUG S 1 2005 Date: RT .ZUD` Seal of the Court 29929-01 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR: LAUREL BAILEY, M.D. 310 NORTH SALEM CHURCH RD MECHANICSBURG, PA 17050 RE: 29929 NANCY RUNK Prior approval is required for fees in excess of $100.00 for hospitals, $50.00 for all other providers. Entire medical, billing, and diagnostic file, including but not limited to any and all records, correspondence to and from the consulting and/or treating physicians, files, memoranda, handwritten notes, history and physical reports, medication/prescription records, medical billing and payment records, x-ray films and tests with subsequent reports, including any and all such items as may be stored in a computer database or otherwise in electronic form, relating to any examination, consultation, diagnosis, care or treatment pertaining to: Dates Requested: up to and including the present. Subject : NANCY RUNK 86 SAX HAI ROAD, MBCHANICSBURG, PA 17050 Social Security #: XXX-XX-5053 Date of Birth: 07-21-1950 R1.15S 133-H SU10-0636982 29929-LO1 PREREQUISITE TO SERVICE OF A SUBPOENA ? ?? ?lC LlOb? PURSUANT TO RULE 4009.22 IN THE MATTER OF: COURT OF COMMON PLEAS NORMAN AND NANCY RUNK, H/W TERM, CUMBERLAND -VS- WARREN HODGES CASE NO: 03-5221-CIVIL As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of JENNI ALLEN, ESQ. certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 08/31/2006 MCS on behalf f J orney for DEFENDANT R1.18 133-H DE11-064422E 29929-L02 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND IN THE MATTER OF: NORMAN AND NANCY RUNK, H/W -VS- WARREN HODGES COURT OF COMMON PLEAS TERM, CASE NO: 03-5221-CIVIL NOTICE OF INTENT TO SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 LAUREL BAILEY, M.D. MEDICAL RECORDS & XRAYS DURISKE CHIROPRACTIC MEDICAL RECORDS & XRAYS CARLISLE REGIONAL MEDICAL CTR. X-RAY ONLY CARLISLE REGIONAL MEDICAL CNTR MEDICAL RECORDS APPALACHIAN ORTHOPEDIC CENTER MEDICAL RECORDS & XRAYS TO: EVAN PAPPAS, ESQ., PLAINTIFF COUNSEL MCS on behalf of JENNI ALLEN, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena may be served. Complete copies of any reproduced records may be ordered at your expense by completing the attached counsel card and returning same to MCS or by contacting our local MCS office. DATE: 08/11/2006 CC: JENNI ALLEN, ESQ. - 05-311 MARTHA RUGGERO - Any questions regarding this matter, contact MCS on behalf of JENNI ALLEN, ESQ. Attorney for DEFENDANT THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 21.155 133-H DE02-0339382 29929-CO2 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND NORMAN AND NANCY RUNK, H/W VS. WARREN HODGES File No. SUBPOENA TO PRODUCE DOCUMENTS OR THINGS FOR DISCOVERY PURSUANT TO RULE 4009.22 TO: Custodian of Records for DURIS F CHIROPRACTIC (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: **** SEE ATTACHED RIDER **** at The MCS Gr= Inc 1601 Market Street Suite 800 Philadelphia PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: JENNI ALLEN. ESQ. ADDRESS: 2411 N. FRONT STREET HARRISBURG. PA 17110 TELEPHONE: (215) 246-0900 SUPREME COURT ID #: ATTORNEY FOR: Defendant BY THE COURT: Prothonotary/Clerk, AUG s 1 2006 ln YltQ-9 '?n(1{o Deputy Date: Seal of the Court 29929-02 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR: DURISKE CHIROPRACTIC 5229 E. TRINDLE ROAD MECHANICSBURG. PA 17050 RE: 29929 NANCY RUNK Prior approval is required for fees in excess of $100.00 for hospitals, $50.00 for all other providers. Entire medical, billing, and diagnostic file, including but not limited to any and all records, correspondence to and from the consulting and/or treating physicians, files, memoranda, handwritten notes, history and physical reports, medication/prescription records, medical billing and payment records, x-ray films and tests with subsequent reports, including any and all such items as may be stored in a computer database or otherwise in electronic form, relating to any examination, consultation, diagnosis, care or treatment pertaining to: Dates Requested: up to and including the present. Subject : NANCY RUNX 86 BAI RAI ROAD, MECHANICSBURG, PA 17050 Social Security #: XXX-XX-5053 Date of Birth: 07-21-1950 R1.15S 133-H SU10-0636984 29929-LO2 CERTIFICATE PREREQUISITE TO SERVICE OF A SUBPOENA 1 PURSUANT TO RULE 4009.22 , IN THE MATTER OF: COURT OF COMMON PLEAS NORMAN AND NANCY RUNK, H/W -VS- WARREN HODGES TERM, CUMBERLAND CASE NO: 03-5221-CIVIL As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of JENNI ALLEN, ESQ. certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 08/31/2006 MCS on behalf f J?EN, A torney for DEFENDANT R1.18 133-H DE11-0644226 29929-L03 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND IN THE MATTER OF: NORMAN AND NANCY RUNK, H/W -VS- WARREN HODGES COURT OF COMMON PLEAS TERM, CASE NO: 03-5221-CIVIL NOTICE OF INTENT TO SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 LAUREL BAILEY, M.D. MEDICAL RECORDS & XRAYS DURISKE CHIROPRACTIC MEDICAL RECORDS & XRAYS CARLISLE REGIONAL MEDICAL CTR. X-RAY ONLY CARLISLE REGIONAL MEDICAL CNTR MEDICAL RECORDS APPALACHIAN ORTHOPEDIC CENTER MEDICAL RECORDS & XRAYS TO: EVAN PAPPAS, ESQ., PLAINTIFF COUNSEL MCS on behalf of JENNI ALLEN, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena may be served. Complete copies of any reproduced records may be ordered at your expense by completing the attached. counsel card and returning same to MCSor by contacting our local MCS office. DATE: 08/11/2006 CC: JENNI ALLEN, ESQ. - 05-311 MARTHA RUGGERO - Any questions regarding this matter, contact MCS on behalf of JENNI ALLEN, ESQ. Attorney for DEFENDANT THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 R1.15S 133-11 DE02-0339382 29929-C02 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND NORMAN AND NANCY RUNK, H/W VS. WARREN HODGES File No. SUBPOENA TO PRODUCE DOCUMENTS OR THINGS FOR DISCOVERY PURSUANT TO RULE 4009.22 TO: Custodian of Records for CARLISLE REGIONAL MEDICAL CTR. (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: **** SEE ATTACHED RIDER **** at The MCS Croyp Ing- 1601 Market Street Suite NO Philadelpbia PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party snaking this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: JENNI ALLEN. ESO. ADDRESS: 2411 N. FRONT STREET HARRISBURG- PA 17110 TELEPHONE: _(215) 246-0900 SUPREME COURT ID #: ATTORNEY FOR: Defendant AUG 3 1 2006 Date: )Q/xg 1IPxr26 Seal of the Court 29929-03 EXPLANATION OF REQUIRED RECORDS TO.: CUSTODIAN OF RECORDS FOR CARLISLE REGIONAL MEDICAL CTR. RADIOLOGY DEPARTMENT 246 PARKER ST. CARLISLE, PA 17013 RE: 29929 NANCY RUNK Prior approval is required for fees in excess of $100.00 for hospitals, $50.00 for all other providers. Any and all x-ray films and reports, including any and all such items as may be stored in a computer database or otherwise in electronic form, pertaining to: Dates Requested: up to and including the present. Subject : NANCY RUNX 86 BAI HAI ROAD, MECHANICSBURG, PA 17050 Social Security #: XXX-XX-5053 Date of Birth: 07-21-1950 R1.15S 133-H SU10-0636986 29929-LO3 PREREQUISITE TO SERVICE OF A SUBPOENA "/,AIWA t ti \..:iec . s PURSUANT TO RULE 4009.22 IN THE MATTER OF: COURT OF COMMON PLEAS NORMAN AND NANCY RUNK, H/W TERM, CUMBERLAND -VS- WARREN HODGES CASE NO: 03-5221-CIVIL As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of JENNI ALLEN, ESQ. certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 08/31/2006 MCS on behalf of ??Lw A torney for DEFENDANT R1.18 133-H DE11-0644227 29929-L04 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND IN THE MATTER OF: NORMAN AND NANCY RUNY, H/W -VS- WARREN HODGES COURT OF COMMON PLEAS TERM, CASE NO: 03-5221-CIVIL NOTICE OF INTENT TO SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 LAUREL BAILEY, M.D. MEDICAL RECORDS & XRAYS DURISKE CHIROPRACTIC MEDICAL RECORDS & XRAYS CARLISLE REGIONAL MEDICAL CTR. X-RAY ONLY CARLISLE REGIONAL MEDICAL CNTR MEDICAL RECORDS APPALACHIAN ORTHOPEDIC CENTER MEDICAL RECORDS & XRAYS TO: EVAN PAPPAS, ESQ., PLAINTIFF COUNSEL MCS on behalf of JENNI ALLEN, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena may be served. Complete copies of any reproduced records may be ordered at your expense by completing the attached counsel card and returning same to MCS or by contacting our local MCS office. DATE: 08/11/2006 CC: JENNI ALLEN, ESQ. - 05-311 MARTHA RUGGERO - MCS on behalf of JENNI ALLEN, ESQ. Attorney for DEFENDANT Any questions regarding this matter, contact THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 21.155 133-H DE02-0339382 29929-C02 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND NORMAN AND NANCY RUNK, H/W vs. WARREN HODGES File No. TO: Custodian of Records for C RI I E REGIONAL MEDICAL NTR (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: **** SEE ATTACHED RIDER**** at The MCS Crogp, Inc- 1601 Market Street Suite 800 Philadelpbia PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: JENNI ALLEN. ESO. ADDRESS: 2411 N. FRONT STREET HARRISBURG. PA 17110 TELEPHONE: (215) 246-0900 SUPREME COURT ID #: ATTORNEY FOR: Defendant BY HE COURT: Prothonotary/Clerk, Civil D' ion AUG 3 1 2006 Date: Deputy ?,?q??(11(j(e Seal of the Court 29929-04 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR CARLISLE REGIONAL MEDICAL CNTR MEDICAL RECORDS 246 PARKET STREET CARLISLE, PA 17013 RE: 29929 NANCY RUNK Prior approval is required for fees in excess of $100.00 for hospitals, $50.00 for all other providers. Entire hospital medical file, including but not limited to any and all records, correspondence to and from the consulting and/or treating physician, files, memoranda, handwritten notes, history and physical reports, medication/ prescription records, nurse's notes, doctor's comments, dietary restrictions, and all patient consent or refusal of treatment, procedures, test, and/or medication, lab and diagnostic test results, including any and all such items as may be stored in a computer database or otherwise in electronic form, relating to any examination, consultation, diagnosis, care, treatment, admission, discharge, or emergency care pertaining to: Dates Requested: up to and including the present. Subject : NANCY RUNX 86 SAX HAI ROAD, MBCHANICSBURG, PA 17050 Social Security #: XXX-XX-5053 Date of Birth: 07-21-1950 R1.15S 133-H SU10-0636988 29929-LO4 CERTIFICATE PREREQUISITE TO SERVICE OF A SUBPOENA PURSUANT TO RULE 4009.22 t.. 1._ IN THE MATTER OF: COURT OF COMMON PLEAS NORMAN AND NANCY RUNK, H/W TERM, CUMBERLAND -VS- CASE NO: 03-5221-CIVIL WARREN HODGES As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCs on behalf of JENNI ALLEN, ESQ. certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 08/31/2006 *ttorney MCS on behalf ^ /ZN CGL'' for. DEFENDANT R1.18 133-H DE11-0644228 29929-L05 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND IN THE MATTER OF: NORMAN AND NANCY RUNK, H/W -vs- WARREN HODGES COURT OF COMMON PLEAS TERM, CASE NO: 03-5221-CIVIL NOTICE OF INTENT TO SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 LAUREL BAILEY, M.D. MEDICAL RECORDS & XRAYS DURISKE CHIROPRACTIC MEDICAL RECORDS & XRAYS CARLISLE REGIONAL MEDICAL CTR. X-RAY ONLY CARLISLE REGIONAL MEDICAL CNTR MEDICAL RECORDS APPALACHIAN ORTHOPEDIC CENTER MEDICAL RECORDS & XRAYS TO: EVAN PAPPAS, ESQ., PLAINTIFF COUNSEL MCS on behalf of JENNI ALLEN, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena may be served. Complete copies of any reproduced records may be ordered at your expense by completing the attached counsel card and returning same to MCS or by contacting our local MCS officer DATE: 08/11/2006 CC: JENNI ALLEN, ESQ. - 05-311 MARTHA RUGGERO - MCS on behalf of JENNI ALLEN, ESQ. Attorney for DEFENDANT Any questions regarding this matter, contact THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 21.155 133-11 DE02-0339382 29929-CO2 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND NORMAN AND NANCY RUNK, H/W VS. WARREN HODGES File No. SUBPOENA TO PRODUCE DOCUMENTS OR THINGS FOR DISCOVERY PURSUANT TO RULE 4009.22 TO: Custodian of Records for APPALACHIAN ORTHOPEDIC CENTER (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: ****SEE ATTACHED RIDER **** at The MCS Ca= Inc 1601 Market Street Suite 900 Philadelphia PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: JENNI ALLEN. ESO. ADDRESS: 2411 N. FRONT STREET HARRISBURG. PA 17110 TELEPHONE: (215) 246-0900 SUPREME COURT ID #: ATTORNEY FOR: Defendant G 3 1 2006 Date: A" "a A ? -?2od6 Seal of the Court BY THE COURT: Prothonotary/Clerk Civil ton Deputy 29929-05 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR: APPALACHIAN ORTHOPEDIC CENTER 1 DUNWOODY DRIVE CARLISLE, PA 17013 RE: 29929 NANCY RUNK Prior approval is required for fees in excess of $100.00 for hospitals, $50.00 for all other providers. Entire medical, billing, and diagnostic file, including but not limited to any and all records, correspondence to and from the consulting and/or treating physicians, files, memoranda, handwritten notes, history and physical reports, medication/prescription records, medical billing and payment records, x-ray films and tests with subsequent reports, including any and all such items as may be stored in a computer database or otherwise in electronic form, relating to any examination, consultation, diagnosis, care or treatment pertaining to: Dates Requested: up to and including the present. Subject : NANCY RUNK 86 SAI HAI ROAD, MECHANICSBURG, PA 17050 Social Security #:. XXX-XX-5053 Date of Birth: 07-21-1950 R1.15S 133-H SU10-0636990 29929-LO5 n ^' r:` f r7' T1 U.; :: I 7.7 n cn TjcY, <r cn CL. PREREQUISITE TO SERVICE OF A SUBPOENA //'/ PURSUANT TO RULE 4009.22 16 N41 'p IN THE MATTER OF: COURT OF COMMON PLEAS NORMAN AND NANCY RUNK, H/W TERM, CUMBERLAND -VS- WARREN HODGES CASE NO: 03-5221-CIVIL As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of JENNI ALLEN, ESQ. certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 08/31/2006 MC on behalf f J I ALLEN, . A torney for DEFENDANT R1.18 133-H DE11-0644229 29931-LO1 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND NORMAN AND NANCY RUNK, H/W VS. WARREN HODGES File No. 03-5221 SUBPOENA TO PRODUCE DOCUMENTS OR THINGS FOR DISCOVERY PURSUANT TO RULE 4009.22 TO: Custodian of Records for LAUREL BAILEY, M.D. (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: **** SEE ATTACHED RIDER **** at The MCS Group. Inc.. 1601 Market Street, Suite 500. Philadelphia. PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: JENNI ALLEN. ESO. ADDRESS: 2411 N. FRONTS F..T HARRISBURG. PA 17110 TELEPHONE: (15) 246-0900 SUPREME COURT ID #: ATTORNEY FOR: Defendant AUG 3 1 2006 Date: N?c? 9 _ Q(p Seal of the Court 29931-01 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR: LAUREL BAILEY, M.D. 310 NORTH SALEM CHURCH RD MECHANICSBURG, PA 17050 RE: 29931 NORMAN RUNK Prior approval is required for fees in excess of $100.00 for hospitals, $50.00 for all other providers. Entire medical, billing, and diagnostic file, including but not limited to any and all records, correspondence to and from the consulting and/or treating physicians, files, memoranda, handwritten notes, history and physical reports, medication/prescription records, medical billing and payment records, x-ray films and tests with subsequent reports, including any and all such items as may be stored in a computer database or otherwise in electronic form, relating to any examination, consultation, diagnosis, care or treatment pertaining to: Dates Requested: up to and including the present. Subject : NORMAN RUNK 86 BAI RAI ROAD, MECHANICSBURG, PA 17050 Social Security #: XXX-XX-9695 Date of Birth: 12-16-1949 R1.15S 133-H SU10-0636992 29931-LO1 CERTIFICATE PREREQUISITE TO SERVICE OF A SUBPOENA PURSUANT TO RULE 4009.22 4 P IN THE MATTER OF: COURT OF COMMON PLEAS NORMAN AND NANCY RUNK, H/W -VS- WARREN HODGES TERM, CUMBERLAND CASE NO: 03-5221-CIVIL As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of JENNI ALLEN, E certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A Copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 08/31/2006 MCS n beha1f,ef /Nc rYJ LEN, C/EXSXQ/JX?Lx At orney for DEFENDANT R1.18 133-H DE11-0644230 29931-LO2 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND IN THE. MATTER OF: NORMAN AND NANCY RUNK, H/W -VS- WARREN HODGES COURT OF COMMON PLEAS TERM, CASE NO: 03-5221-CIVIL NOTICE OF INTENT TO SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 LAUREL BAILEY, M.D. HOLY SPIRIT HOSPITAL HOLY SPIRIT HOSPITAL CARLISLE REGIONAL MEDICAL CARLISLE REGIONAL MEDICAL APPALACHIAN ORTHOPEDIC CE] MEDICAL RECORDS & XRAYS MEDICAL RECORDS X-RAY ONLY CTR. X-RAY ONLY CNTR MEDICAL RECORDS ITTER MEDICAL RECORDS & XRAYS TO: EVAN PAPPAS, ESQ., PLAINTIFF COUNSEL MCS on behalf of JENNI ALLEN, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena may be served. Complete copies of any reproduced records may be ordered at your expense by completing the attached counsel card and returning same to MCS or by contacting our local MCS office. DATE: 08/11/2006 CC: JENNI ALLEN, ESQ. - 05-311 MARTHA RUGGERO - Any questions regarding this matter, contact MCS on behalf of JENNI ALLEN, ESQ. Attorney for DEFENDANT THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 R1.15S 133-H DE02-0339383 29931-CO2 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND NORMAN AND NANCY RUNK, H/W VS. WARREN HODGES File No. 03-5221 SUBPOENA TO PRODUCE DOCUMENTS OR THINGS FOR DISCOVERY PURSUANT TO RULE 4009.22 TO: Custodian of Records for HOLY SPIRIT HOSPITAL. (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: **** SEE ATTACHED RIDER **** at The MCS CaM. Inc. . 1601 Market Street. Suite 800. Philadelphia. PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: JENNI ALLEN. ESO. ADDRESS: 2411 N. FRONTSTREET _HARRISBURG. PA 17110 TELEPHONE: (215) 246-0900 SUPREME COURT ID #: ATTORNEY FOR: Defendant BY COURT: Prothonotary/Clerk Civt D' on AUG 3 12006 C Deputy Date: Seal of the Court 29931-02 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR HOLY SPIRIT HOSPITAL MEDICAL RECORDS 503 N. 21ST STREET CAMP HILL. PA 17011 RE: 29931 NORMAN RUNK Prior approval is required for fees in excess of $100.00 for hospitals, $50.00 for all other providers. Entire hospital medical file, including but not limited to any and all records, correspondence to and from the consulting and/or treating physician, files, memoranda, handwritten notes, history and physical reports, medication/ prescription records, nurse's notes, doctor's comments, dietary restrictions, and all patient consent or refusal of treatment, procedures, test, and/or medication, lab and diagnostic test results, including any and all such items as may be stored in a computer database or otherwise in electronic form, relating to any examination, consultation, diagnosis, care, treatment, admission, discharge, or emergency care pertaining to: Dates Requested: up to and including the present. Subject : NORMAN RUNK 86 BAI HAI ROAD, MECHANICSBURG, PA 17050 Social security #: 187-40-9695 Date of Birth: 12-16-1949 R1.15S 133-H SU10-0636994 29931-LO2 CERTIFICATE PREREQUISITE TO SERVICE OF A SUBPOENA PURSUANT TO RULE 4009.22( IN THE MATTER OF: COURT OF COMMON PLEAS NORMAN AND NANCY RUNK, H/W TERM, CUMBERLAND -VS- WARREN HODGES CASE NO: 03-5221-CIVIL As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of JENNI ALLEN, ESQ. certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 08/31/2006 MCS on beha/l of '3 J ALLEN`% 552 Attorney for DEFENDANT R1.18 133-H DE11-0644231 29931-LO3 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND IN THE MATTER OF: NORMAN AND NANCY RUNK, H/W -VS- WARREN HODGES COURT OF COMMON PLEAS TERM, CASE NO: 03-5221-CIVIL NOTICE OF INTENT TO SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 LAUREL BAILEY, M.D. MEDICAL RECORDS & XRAYS HOLY SPIRIT HOSPITAL MEDICAL RECORDS HOLY SPIRIT HOSPITAL X-RAY ONLY CARLISLE REGIONAL MEDICAL CTR. X-RAY ONLY CARLISLE REGIONAL MEDICAL CNTR MEDICAL RECORDS APPALACHIAN ORTHOPEDIC CENTER MEDICAL RECORDS & XRAYS TO: EVAN PAPPAS, ESQ., PLAINTIFF COUNSEL MCS on behalf of JENNI ALLEN, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena maybe served. Complete copies of any reproduced records may be ordered at your expense by completing the attached counsel card and returning same to MCS or by contacting our local MCS office. DATE: 08/11/2006 CC: JENNI ALLEN, ESQ. - 05-311 MARTHA. RUGGERO - Any questions regarding this matter, contact MCS on behalf of JENNI ALLEN, ESQ. Attorney for DEFENDANT THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 R1.15S 133-H DE02-0339383 29931-C02 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND NORMAN AND NANCY RUNK, H/W VS. WARREN HODGES File No. 03-5221 SUBPOENA TO PRODUCE DOCUMENTS OR THINGS FOR DISCOVERY PURSUANT TO RULE 4009.22 TO: Custodian of Records for HOLY SPIRIT HOSPITAL (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: **** SEE ATTACHED RIDER **** at The MCS Group_ Inc., 1601 Market Street. Suite 800 P ilad lphia PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: JENNI ALLEN. ESO. ADDRESS: 2411 N. FRONT STREET HARRISBURG. PA 17110 TELEPHONE: (215) 246-0900 SUPREME COURT ID #: ATTORNEY FOR: Defendant AUG g 1 2006 Date: A/1 e T- t Seal of the Court BY HE COURT: 2. Prothh?onotaryJCleerrk?, Civil sion Deputy 29931-03 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR HOLY SPIRIT HOSPITAL RADIOLOGY DEPT. 503 N. 21ST STREET CAMP HILL, PA 17011 RE: 29931 NORMAN RUNK Prior approval is required for fees in excess of $100.00 for hospitals, $50.00 for all other providers. Any and all x-ray films and reports, including any and all such items as may be stored in a computer database or otherwise in electronic form, pertaining to: Dates Requested: up to and including the present. Subject : NORMAN RUNK 86 BAI HAI ROAD, MECHANICSBURG, PA 17050 Social Security #: XXX-XX-9695 Date of Birth: 12-16-1949 R1.15S 133-H SU10-0636996 29931-LO3 PREREQUISITE TO SERVICE OF A SUBPOENA j PURSUANT TO RULE 4009.22 IN THE MATTER OF: COURT OF COMMON PLEAS NORMAN AND NANCY RUNK, H/W TERM, CUMBERLAND -VS- WARREN HODGES CASE NO: 03-5221-CIVIL As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of JENNI ALLEN, ESQ. certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 08/31/2006 / MCS on behal of J T F1LLE A orney for DEFENDANT R1.18 133-H DE11-0644232 29931-L04 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND IN THE MATTER OF: NORMAN AND NANCY RUNK, H/W -VS- WARREN HODGES COURT OF COMMON PLEAS TERM, CASE NO: 03-5221-CIVIL NOTICE OF INTENT TO SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 LAUREL BAILEY, M.D. MEDICAL RECORDS & XRAYS HOLY SPIRIT HOSPITAL MEDICAL RECORDS HOLY SPIRIT HOSPITAL X-RAY ONLY CARLISLE REGIONAL MEDICAL CTR. X-RAY ONLY CARLISLE REGIONAL MEDICAL CNTR MEDICAL RECORDS APPALACHIAN ORTHOPEDIC CENTER MEDICAL RECORDS & XRAYS TO: EVAN PAPPAS, ESQ., PLAINTIFF COUNSEL MCS on behalf of JENNI ALLEN, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena may be served. Complete copies of any reproduced records may be ordered at your expense by completing the attached counsel card and returning same to MCS or by contacting our local MCS office. DATE: 08/11/2006 CC: JENNI ALLEN, ESQ. - 05-311 MARTHA RUGGERO - Any questions regarding this matter, contact MCS on behalf of JENNI ALLEN, ESQ. Attorney for DEFENDANT THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 R1.15S 133-H DE02-0339383 29931-C02 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND NORMAN AND NANCY RUNK, H/W VS. WARREN HODGES File No. 03-5221 SUBPOENA TO PRODUCE DOCUMENTS OR THINGS FOR DISCOVERY PURSUANT TO RULE 4009.22 TO: Custodian of Records for CARLISLE REGIONAL MEDICAL, CTR. (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: **** SEF ATTACHED RIDER **** at The MCS Ca=. Inc., 1601 Market Street Suite 800. Philadelphia. PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate &-compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: JENNI ALLEN. ESO. ADDRESS: 2411 N. FRONT STREET HARRIS11URG. PA 17110 TELEPHONE: (215) 246-0900 SUPREME COURT ID #: ATTORNEY FOR: Defendant AUG 3 1 2006 Date: 44tia Seal of the Court 29931-04 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR CARLISLE REGIONAL MEDICAL CTR. RADIOLOGY DEPARTMENT 246 PARKER ST. CARLISLE, PA 17013 RE: 29931 NORMAN RUNK Prior approval is required for fees in excess of $100.00 for hospitals, $50.00 for all other providers. Any and all x-ray films and reports, including any and all such items as may be stored in a computer database or otherwise in electronic form, pertaining to: Dates Requested: up to and including the present. Subject : NORMAN RUNK 86 BAI RAI ROAD, MECHANICSBURG, PA 1705C Social Security #: XXX-XX-9695 Date of Birth: 12-16-1949 R1.15S 133-H SU10-0636998 29931-LO4 CERTIFICATE PREREQUISITE TO SERVICE OF A SUBPOENA r ? /y PURSUANT TO RULE 4009.22 .?` ??y ?dy IN THE MATTER OF: COURT OF COMMON PLEAS NORMAN AND NANCY RUNK, H/W TERM, CUMBERLAND -VS- WARREN HODGES CASE NO: 03-5221-CIVIL As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of JENNI ALLEN, ESQ. certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 08/31/2006 MCS on behalf of ?J FALLEN, (25e& A orney for DEFENDANT R1.18 133-H DE11-0644233 29931-L05 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND IN THE MATTER OF: NORMAN AND NANCY RUNK, H/W -VS- WARREN HODGES COURT OF COMMON PLEAS TERM, CASE NO: 03-5221-CIVIL NOTICE OF INTENT TO SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 LAUREL BAILEY, M.D. HOLY SPIRIT HOSPITAL HOLY SPIRIT HOSPITAL CARLISLE REGIONAL MEDICAL. CARLISLE REGIONAL MEDICAL APPALACHIAN ORTHOPEDIC CE] MEDICAL RECORDS & XRAYS MEDICAL RECORDS X-RAY ONLY CTR. X-RAY ONLY CNTR MEDICAL RECORDS QTER MEDICAL RECORDS & XRAYS TO: EVAN PAPPAS, ESQ., PLAINTIFF COUNSEL MCS on behalf ofJENNI ALLEN, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena may be served. Complete copies of any reproduced records may be ordered at your expense by completing the attached counsel card and returning same to MCS or by contacting our local MCS office. DATE: 08/11/2006 CC: JENNI ALLEN, ESQ. - 05-311 MARTHA RUGGERO - Any questions regarding this matter, contact MCS on behalf of JENNI ALLEN, ESQ. Attorney for DEFENDANT THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 JR1.15S 133-H DE02-0339363 29931-CO2 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND NORMAN AND NANCY RUNK, H/W VS. WARREN HODGES File No. 03-5221 SUBPOENA TO PRODUCE DOCUMENTS OR THINGS FOR DISCOVERY PURSUANT TO RULE 4009.22 TO: Custodian of Records for CARLISLE REGIONAL MEDICAL CNTR (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: **** SEE ATTACHED RIDER **** at The MCC C==. In 1601 Market Street Suite 800_ Philadelphia PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: JENNI ALLEN. ESO. ADDRESS: 2411 N. FRONT STREET HARRISBURG. PA 17110 TELEPHONE: (215) 246-0900 SUPREME COURT ID #: ATTORNEY FOR: Defendant AUG 3 1 2006 BY THE COURT: Date: 9 .2,X1., Deputy T Seal of the Court 29931-05 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR CARLISLE REGIONAL MEDICAL CNTR MEDICAL RECORDS 246 PARKET STREET CARLISLE, PA 17013 RE: 29931 NORMAN RUNK Prior approval is required for fees in excess of $100.00 for hospitals, $50.00 for all other providers. Entire hospital medical file, including but not limited to any and all records, correspondence to and from the consulting and/or treating physician, files, memoranda, handwritten notes, history and physical reports, medication/ prescription records, nurse's notes, doctor's comments, dietary restrictions, and all patient consent or refusal of treatment, procedures, test, and/or medication, lab and diagnostic test results, including any and all such items as may be stored in a computer database or otherwise in electronic form, relating to any examination, consultation, diagnosis, care, treatment, admission, discharge, or emergency care pertaining to: Dates Requested: up to and including the present. Subject : NORMAN RUNX 86 BAI RAI ROAD, MECHANICSBURG, PA 17050 Social Security #: XXX-XX-9695 Date of Birth: 12-16-1949 R1.15S 133-H SU10-0637000 29931-LOS CERTIFICATE IN THE MATTER OF: PREREQUISITE TO SERVICE OF A SUBPOENA j 0l ? qA? PURSUANT TO RULE 4009.22 COURT OF COMMON PLEAS NORMAN AND NANCY RUNK, H/W -VS- WARREN HODGES TERM, CUMBERLAND CASE NO: 03-5221-CIVIL As a prerequisite to service of a subpoena for documents and things pursuant to Rule 4009.22 MCS on behalf of JENNI ALLEN, ESQ. certifies that (1) A notice of intent to serve the subpoena with a copy of the subpoena attached thereto was mailed or delivered to each party at least twenty days prior to the date on which the subpoena is sought to be served, (2) A copy of the notice of intent, including the proposed subpoena, is attached to this certificate, (3) No objection to the subpoena has been received, and (4) The subpoena which will be served is identical to the subpoena which is attached to the notice of intent to serve the subpoena. DATE: 06/31/2006 MC on behalf of tJ ttorney for DEFENDANT R1.16 133-H DE11-0644234 29931-LO6 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND IN THE MATTER OF: NORMAN AND NANCY RUNK, H/W -VS- WARREN HODGES COURT OF COMMON PLEAS TERM, CASE NO: 03-5221-CIVIL NOTICE OF INTENT TO SERVE A SUBPOENA TO PRODUCE DOCUMENTS AND THINGS FOR DISCOVERY PURSUANT TO RULE 4009.21 LAUREL BAILEY, M.D. HOLY SPIRIT HOSPITAL HOLY SPIRIT HOSPITAL CARLISLE REGIONAL MEDICAL CARLISLE REGIONAL MEDICAL APPALACHIAN ORTHOPEDIC CE] MEDICAL RECORDS & XRAYS MEDICAL RECORDS X-RAY ONLY CTR. X-RAY ONLY CNTR MEDICAL RECORDS QTER MEDICAL RECORDS & XRAYS TO: EVAN PAPPAS, ESQ., PLAINTIFF COUNSEL MCSon behalf of JENNI ALLEN, ESQ. intends to serve a subpoena identical to the one that is attached to this notice. You have twenty (20) days from the date listed below in which to file of record and serve upon the undersigned an objection to the subpoena. If the twenty day notice period is waived or if no objection is made, then the subpoena may be served. Complete copies of any reproduced records may be ordered at your expense by completing the attached counsel card and returning same to MCS or by contacting our local MCS office. DATE: 08/11/2006 CC: JENNI ALLEN, ESQ. - 05-311 MARTHA RUGGERO - Any questions regarding this matter, contact MCS on behalf of JENNI ALLEN, ESQ. Attorney for DEFENDANT THE MCS GROUP INC. 1601 MARKET STREET #800 PHILADELPHIA, PA 19103 (215) 246-0900 JR1.15S 133-H DE02-0339383 29931-C02 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND NORMAN AND NANCY RUNK, H/W VS. WARREN HODGES File No. 03-5221 SUBPOENA TO PRODUCE DOCUMENTS OR THINGS FOR DISCOVERY PURSUANT TO RULE 4009.22 TO: Custodian of Records for APPALACHIAN ORTHOPEDIC CENTER (Name of Person or Entity) Within twenty (20) days after service of this subpoena, you are ordered by the court to produce the following documents or things: ****SEE ATTACHED RIDER **** at The MCS Grottn inc 1601 Market Street Suite S00 Philadelphia. PA 19103 You may deliver or mail legible copies of the documents or produce things requested by this subpoena, together with the certificate of compliance, to the party making this request at the address listed above. You have the right to seek, in advance, the reasonable cost of preparing the copies or producing the things sought. If you fail to produce the documents or things required by this subpoena within twenty (20) days after its service, the party serving this subpoena may seek a court order compelling you to comply with it. THIS SUBPOENA WAS ISSUED AT THE REQUEST OF THE FOLLOWING PERSON: NAME: JENNI ALLEN. ESO. ADDRESS: 2411 N. FRONT STREET HARRISBURG. PA 17110 TELEPHONE: (215) 246-0900 SUPREME COURT ID #: ATTORNEY FOR: Defendant n AUG 3 1 2006 Date:9 'z5x't. Seal of the Court 29931-06 EXPLANATION OF REQUIRED RECORDS TO: CUSTODIAN OF RECORDS FOR: APPALACHIAN ORTHOPEDIC CENTER 1 DUNWOODY DRIVE CARLISLE, PA 17013 RE: 29931 NORMAN RUNK Prior approval is required for fees in excess of $100.00 for hospitals, $50.00 for all other providers. Entire medical, billing, and diagnostic file, including but not limited to any and all records, correspondence to and from the consulting and/or treating physicians, files, memoranda, handwritten notes, history and physical reports, medication/prescription records, medical billing and payment records, x-ray films and tests with subsequent reports, including any and all such items as may be stored in a computer database or otherwise in electronic form, relating to any examination, consultation, diagnosis, care or treatment pertaining to: Dates Requested: up to and including the present. Subject : NORMAN RUNK 86 BAI RAI ROAD, MECHANICSBURG, PA 17050 Social Security #: XXX-XX-9695 Date of Birth: 12-16-1949 R1.15S 133-H SU10-0637002 29931-L06 ('7 c? ? r;=; f"' _,U films --• ? ( ????' f -' -: i i ? ?"j -' .- ? _ - ?l `t > _? ' {_17 C7 PRAECIPE FOR LISTING CASE FOR TRIAL (Must be typewritten and submitted in duplicate ) TO THE PROTHONOTARY OF CUMBERLAND COUNTY Please list the following case: ® for JURY trial at the next term of civil court. ? for trial without a jury. -- - ------------------- - -------- - - -- - ---------- - ---------- - - -------- - --------------------------------------- CAPTION OF CASE (entire caption must be stated in full) (check one) 71 Civil Action - Law NUMN R. RUNK and NANCY J. RUNK, r 7l Appeal from arbitration husband and wife, (other) (Plaintiff) VS. The trial list will be called on May 22, 2007 WARREN HODM, and Trials co nmence on June 18, 2007 (Defendant) Pretri&V will be held on May 30, 2007 vs. (Briefs ire due 5 days before pretrials No. 03-5221 Civil Term Indicate the attorney who will try case for the part-, who files this praecipe•. Evan C. Pappas Indicate trial counsel for other parties if known. Jenni Henley Allen This case is ready for trial. Date: Signed: Print Name: Evan C. Pappas. -I.D. #200103 Attorney for: Plaintiffs i r, --.? _? ?? _;-? ?- ? `?. .?° -' ??; ?,, __. , ; y ,y , ,. f S"x ?' ? ?? ?'? NORMAN R. RUNK and NANCY J. RUNK, husband and wife, Plaintiffs WARREN HODGES, Defendant c'? ? o IN THE COURT OF COMMON PIS t C, CUMBERLAND COUNTY, PENNS.YLV51I Z F-n No. 03-5221 Civil ?-? `; _r? -2: rn JURY TRIAL DEMANDED " ?- r") PLAINTIFF'S UNCONTESTED MOTION FOR CONTINUANCE OF TRIAL AND NOW COME Plaintiffs, Norman R. Runk and Nancy J. Runk, by their attorneys, Shumaker Williams, P.C. and state as follows: This case is set for trial for the week of June 18, 2007. 2. In preparing for this trial, counsel for Plaintiffs identified the need for the taking of the deposition of Daniel P. Hely, M.D., Plaintiffs' physician, prior to the commencement of trial. 3. The only date Dr. Hely's has available for the taking of his deposition prior to the week of trial is June 14, 2007. 4. Counsel for Defendant has previously scheduled commitments for June 14, 2007 and cannot attend Dr. Hely's deposition. 5. The Honorable M.L. Ebert, Jr. is the Judge assigned to the trial of this matter. 5. Counsel for Defendant concurs in the filing of this Motion. WHEREFORE, Plaintiffs Norman R. Runk and Nancy J. Runk request a continuance of this matter until the September 2007 trial term. Respectfully submitted, MS, P.C. Dated: ?( (200? By 'Evan &,200103 gC.PaDpDp P.O. Box 88 Harrisburg, PA 17108 (717) 763-1121 Attorneys for Plaintiffs :200000 CERTIFICATE OF CONCURRENCE I hereby certify that I sought concurrence in the filing of the instant Motion from Casey Shore, Esquire, counsel for Defendant, and said concurrence was granted. SHUMAKER WILLIAMS, P.C. Dated: qPcj? By Evan C. Pappas, I.D. #200103 P.O. BOX 88 Harrisburg, PA 17108 (717) 763-1121 Attorneys for Plaintiffs 11 CERTIFICATE OF SERVICE I, Evan C. Pappas, Esquire, hereby certify that I served a true and correct copy of the foregoing Plaintiffs' Uncontested Motion for Continuance of Trial on this date by United States mail, first-class, postage prepaid, addressed as follows: Casey Shore, Esquire NEALON GOVER & PERRY 2411 N. Front Street Harrisburg, PA 17110 SHUMAKER WILLIAMS, P.C. Dated: 4q200-7 By jQt Evan C. Papp P.O. Box 88 Harrisburg, PA 17108 (717) 763-1121 f a NORMAN R. RUNK and NANCY J. RUNK, Husband and Wife, Plaintiffs V. WARREN HODGES, Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA No. 03-5221 CIVIL : JURY TRIAL DEMANDED IN RE: PRE-TRIAL CONFERENCE ORDER OF COURT AND NOW, this 30th day of May, 2007, after pre-trial conference in the above referenced case, IT IS HEREBY ORDERED AND DIRECTED: 1. Trial counsel in this case shall be Evan C. Pappas, Esquire for the Plaintiff and Casey G. Shore, Esquire for the Defendant. 2. Counsel has indicated that trial should take less than 2 days. 3. Each party will be granted four peremptory challenges. 4. Given the brief nature of the case, the Court has determined that the jurors will not be allowed to take notes. 5. On or before 12:00 noon on June 15, 2007, Counsel for each party is directed to file with the Court a list of the numbered standard jury instructions the party is requesting, and if a party is proposing a unique jury instruction or requesting significant modification of a standard instruction it shall provide the full text of the proposed instruction. 6. On or before 12:00 noon on June 15, 2007, the parties will provide a proposed verdict slip to the Court for review. r' 7. Counsel are attached for trial in this matter for the week beginning June 18, 2007. By the Court, h -L M. L. Ebert, Jr., J. van C. Pappas, Esquire Attorney for Plaintiffs V"asey G. Shore, Esquire Attorney for Defendant Court Administrator Ps' bas VINVAl,kSNN3d 6? :1 bid 0£ IN 1002 AWONG-08d 3U JO DAl C-MIH 1 0 M• NORMAN R. RUNK and NANCY J. RUNK, husband and wife, Plaintiffs WARREN HODGES, Defendant a .1 . IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA No. 03-5221 Civil JURY TRIAL DEMANDED ORDER AND NOW, this g day of June, 2007, Plaintiffs Uncontested Motion for .mil C tinuance of Trial is G TED r E? co :xn V C-4 PRAECIPE FOR LISTING CASE FOR TRIAL (Must be typewritten and submitted in duplicate) TO THE PROTHONOTARY OF CUMBERLAND COUNTY Please list the following case: ® for JURY trial at the next term of civil court. ? for trial without a jury. --_----_----------------------------------------- --------------------- ---------------------------- --------------- CAPTION OF CASE (entire caption must be stated in full) (check one) 93 Civil Action - Law NORMAN R. RUNK and NANCY J. RUNK, ? Appeal from arbitration husband and wife, ? (other) (Plaintiff) VS. The trial list will be called on August 21, 2007 WARREN HODGES, and Trials commence on September 17, 2007 (Defendant) Pretrials willbe held on August 29, 2007 VS. (Briefs are due 5 days before pretrials No. 03-5221 _ Term indicate the attorney who will try case for the party who files this praecipe: Evan C. Pappas Indicate trial counsel for other parties if known: Casey Shore This case is ready for trial. Signed: Print Name: Evan C. Pappas Date: 7 13 0 Attorney for: Plaintiffs t 4 4 r-a c? ..-., ? ? ? ? r ? 14?, ' } ?? W' { t \ 1 ? i ? :iwJ ? '`? r. I???? 1 ? w ? _ ` ^ V P J # 16 NORMAN R. RUNK and NANCY J. RUNK, husband and wife, Plaintiffs . V. . WARREN HODGES, Defendant . IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW 03-5221 CIVIL TERM PRETRIAL CONFERENCE AND NOW, this 29th day of August, 2007, a pretrial conference was held before Edgar B. Bayley, Judge. Present for the Plaintiff is Evan C. Pappas, Esquire, and for the Defendant was Casey G. Shore, Esquire. n Norman Runk and his wife, Nancy Runk, are see4? ncp damages for injuries they both received as a result of a _ G) rn { >' C.3 T.P"T automobile accident on the Pennsylvania Turnpike on Octo6)x 1? ,t --? 2001. Liability is contested. t ?= w Z) M At the commencement of trial both parties shill N provide the judge with points for charge which upon the completion of all the evidence may be altered and/or added to. Both Plaintiffs seek general non-economic damages, respective loss of consortium, and reimbursement of medical expenses. If there is going to be any issue as to whether any medical expenses can be recovered, if the Defendant is found causally negligent, that issue should be briefed and provided to the trial judge at the commencement of trial. Estimated time of trial is one to two days. Evan C. Pappas, Esquire P.O. Box 88 Harrisburg, PA 17108 For the Plaintiffs Casey G. Shore, Esquire 2411 N. Front Street Harrisburg, PA 17110 For the Defendant Court Admin Prothonotary p cb ." NORMAN R. RUNK and NANCY J.: RUNK, husband and wife, Plaintiffs v WARREN HODGES, Defendant # 16 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW 03-5221 CIVIL TERM IN RE: CONTINUANCE ORDER OF COURT AND NOW, this 17th day of September, 2007, upon consideration of an oral request for a continuance of trial in the above-captioned matter made by Defendant's counsel, Casey G. Shore, Esquire, based upon an alleged indisposition of the Defendant arising out of a motorcycle accident, and following a conference in chambers with counsel for the Plaintiffs, Evan C. Pappas, Esquire, and Casey G. Shore, Esquire, on behalf of the Defendant (participating by telephone), the Defendant's motion for a continuance of trial is, granted, in the absence of an objection on the part of Plaintiffs, and counsel are directed to relist this case for the November 2007 term of court. Pursuant to an agreement of counsel reached at the conference, Defendant is directed to promptly supply to Plaintiffs' counsel verification from one or more medical care providers of his indisposition and unavailability for trial during the present trial term. By the Court, allip VIN, VA WNN3d AlN('P rl_ r ?uiN(13 1 E :6 NV 61 d3S LOOZ 18VlONOHiOdd 3N1 dQ 301'?0-013113 Evan C. Pappas, Esquire P.O. Box 88 Harrisburg, PA 17108 For Plaintiffs Casey G. Shore, Esquire 2411 N. Front Street Harrisburg, PA 17110 For Defendant Court Administrator :mae PRAECIPE FOR LISTING CASE FOR TRIAL (Must be typewritten and submitted in duplicate) TO THE PROTHONOTARY OF CUMBERLAND COUNTY Please list the following case: © for JURY trial at the next term of civil court. ? for trial without a jury. CAPTION OF CASE (entire caption must be stated in fulo NOMM R. RUNK and NANCY J. RUNK, husband and wife, (Plaintiff) VS. (check one) Civil Action - Law ? Appeal from arbitration (other) The trial list will be called on January 8, 2008 and WARREN HODGES, Trials commence on FAQ Marv 4. 2008 (Defendant) Pretrials will be held on January 16, 2008 VS. (Briefs are due 5 days before pretrials No. 03-5221 _, Civil Term Indicate the attorney who will try case for the party who files this praecipe: Casey G. Shore, Esquire Indicate trial counsel for other parties if known: Ewan C. PaDUas, Esquire, P.O. Box 88, Hafraisb j?PA 17108 This case is ready for trial. Date: October 23, 2007 Attorney for: Defendant Warren Hodges 7j- r) ? N d r' Qn » 7 cl-,, -c NORMAN R. RUNK and NANCY J. RUNK, husband and wife, Plaintiffs WARREN HODGES, Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA No. 03-5221 Civil : JURY TRIAL DEMANDED PLAINTIFFS' PETITION FOR CONTEMPT AND NOW COMES Plaintiffs, Norman R. Runk and Nancy J. Runk ("Plaintiffs"), by and through their counsel, Shumaker Williams, P.C., to file this Petition for Contempt on Defendant Warren Hodges ("Defendant"), and in support thereof aver as follows: 1. On Monday September 17, 2007 trial was scheduled to occur in the Court of Common Pleas of Cumberland County related to the automobile accident between the Plaintiffs and Defendant. 2. On the morning of trial, counsel for Defendant notified counsel for Plaintiffs and this Court that Defendant would not be in attendance for the trial. 3. Defendant's reason given to Plaintiffs' counsel and this Court for not attending the trial was that Defendant was involved in a motorcycle accident during the weekend preceding trial and, according to doctor's orders, he was not permitted to travel to the trial. 4. A conference was held in the Chambers of The Honorable J. Wesley Oler, Jr. to discuss Defendant's absence, with Defendant's counsel participating via telephone. 5. On September 17, 2007, Judge Oler entered an Order which memorialized the understanding between the parties during the conference held in Chambers. 6. Specifically, Judge Oler determined that the case should be re-listed for the next trial date by Defendant and that Defendant should provide "verification from one or more medical care providers of his indisposition and unavailability for trial during the present trial term." See September 17, 2007 Order attached hereto as Exhibit "A." 7. On October 31, 2007 Defendant re-listed this matter for trial. 8. Several attempts have been made to request this information from counsel for Defendant Hodges, specifically via e-mail correspondence dated October 15, 2007, and by letters dated October 16, 2007 and November 28, 2007. See October 15, 2007 e-mail to Casey Shore, and letters dated October 16, 2007 and November 28, 2007 to Casey Shore attached hereto as Exhibits "B," "C," and "D." 9. Despite these repeated requests for the information, Plaintiffs have not received the documentation or a statement indicating that such verification does not exist. 10. "Call of the Trial List" was scheduled and held on January 8, 2008. 11. Trial is scheduled for the week of February 4, 2008. 12. To date, Defendant has not provided any medical records related to his unavailability for trial as required by the September 17, 2007 Order. 13. The power of contempt is an inherent power possessed by the courts which enables enforcement of their orders. Commonwealth v. Bowden, 576 Pa. 151, 838 A.2d 740, 760 (2003), citing Brocker v. Brocker, 429 Pa. 513, 241 A.2d 336, 338 (1968). 14. "Generally contempt can be criminal or civil in nature, and depends on whether the core purpose of the sanction imposed is to vindicate the authority of the court, in which case the contempt is criminal, or whether the contempt is to aid the beneficiary of the order being 2 defied, in which case it is civil. Id., citing Commonwealth v. Marcone, 487 Pa.572, 410 A.2d 759, 762 (1980). 15. "Compensatory civil contempt, as its moniker suggests, involves compensation that is paid to the party whom the contempt has harmed." Id., citing Bata v. Cent.-Penn Nat'l Bank, 448 Pa. 355, 293 A.2d 343, 354 n.21 (1972). 16. Any suggestion of criminal contempt by Plaintiffs is hereby disclaimed and left to the sole discretion of the Court when it rules on this matter. 17. However, Defendant's unavailability for trial has caused hardship on Plaintiffs which is the subject of this civil contempt petition. 18. Specifically, Plaintiffs' counsel, paralegal, and legal assistant have expended significant resources preparing for the September 17, 2007 trial date, all of which will need to be duplicated before the impending February trial date. 19. The cost of these services does not include the cost of copies or other exhibits which will be reused to conserve money and resources. 19. The cost to Plaintiffs of Defendant not showing up for trial and his continued refusal to provide medical records proving that his unavailability was justified is $6,200.00. 20. In addition to costs associated with preparation for trial, both Plaintiffs missed work specifically so that they could attend and testify at the trial in this matter. 21. Nancy Runk missed work for the morning of September 17, 2007 with a total lost value to be determined at a later date. 22. Norman Runk missed work for the entire day of September 17, 2007 with a total lost value to be determined at a later date. 3 23. With the exception of this Petition for Contempt, Plaintiffs are otherwise ready for trial. 24. In an effort to not postpone or delay trial in this matter, which has been listed and postponed over four times and lasted over five years, Plaintiffs are amenable to a hearing on this matter on the day of trial or, in the alternative, following the trial in this matter if a hearing is not convenient for this Court prior to trial. 25. Pursuant to Cumberland County Local Rule 208.2(d), counsel for Plaintiffs sought the concurrence of counsel for Defendant in the filing of the instant Petition and said concurrence was not granted. WHEREFORE, Plaintiffs request this Honorable Court to enter an Order holding Defendant in Contempt of Court for failing to comply with this Court's September 17, 2007 Order and hereby requests that Defendant be ordered to pay a compensatory amount of actual damages totaling in excess of $5,789.50. Dated: :206771 SHUMAKER WILLIAM P.C. By Evan C. Pappas, I. D. #200103 P.O. Box 88 Harrisburg, PA 17108 (717) 763-1121 Attorneys for Plaintiffs 4 k NORMAN R. RUNK and NANCY J.: RUNK, husband and wife, Plaintiffs v WARREN HODGES, Defendant # 16 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW 03-5221 CIVIL TERM IN RE: CONTINUANCE ORDER OF COURT AND NOW, this 17th day of September, 2007, upon consideration of an oral request for a continuance of trial in the above-captioned matter made by Defendant's counsel, Casey G. Shore, Esquire, based upon an alleged indisposition of the Defendant arising out of a motorcycle.accident, and following a conference in chambers with counsel for the Plaintiffs, Evan C. Pappas, Esquire, and Casey G. Shore, Esquire, on behalf of the Defendant (participating by telephone), the Defendant's motion for a continuance of trial is granted, in the absence of an objection on the part of Plaintiffs, and counsel are directed to relist this case for the November 2007 term of court. Pursuant to an agreement of counsel reached at the conference, Defendant is directed to promptly supply to Plaintiffs' counsel verification from one or more medical care providers of his indisposition and unavailability for trial during the present trial term. Exhibit ?? By the Court, Evan C. Pappas, Esquire P.O. BOX 88 Harrisburg, PA 17108 For Plaintiffs Ca y G. Shore, Esquire 11 N. Front Street Harrisburg, PA 17110 For Defendant Court Administrator mae Page 1 of From: Evan Pappas To: cshore@ngplawfirm.com Date: 10/15/2007 2:45 PM Subject: Runk v. Hodges CC: Melanie Butz; Michele Connor Casey, My calendar shows that tomorrow is the Call of the Trial List for Cumberland County. I recall receiving from you a "Praecipe For Listing Case For Trial" the day after the September 17, 2007 Continuance Order was issued by Judge Oler. After inquiring into why "Runk v. Hodges" was not listed on the Call of the List, I learned that your Praecipe has not been filed. Please indicate whether you have in your possession a time-stamped copy of the Praecipe and whether this has been a mere oversight by the Cumberland County Prothonotary. If you are not in possession of such time-stamped copy, please indicate why the same was not filed. Also, pursuant to Judge Oler's September 17, 2007 Order, please have your client forward to this firm "verification from one or more medical care providers of his indisposition and unavailability for trial during the present trial term." Thanak You, Evan Pappas Evan C. Pappas, Esquire SHUMAKER WILLIAMS, P.C. 3425 Simpson Ferry Road Camp Hill, PA 17011 Phone: (717) 763-1121 Fax: (717) 763-7467 www.shumakerwiliiams.com Exhibit SHUMAKER ..C WILLIAMSP.C. LEGAL AND BUSINESS COUNSEL October 16, 2007 Casey Shore, Esquire NEALON GOVER & PERRY 2411 N. Front Street Harrisburg, PA 17110 WRITER'S DIRECT DIAL NUMBERS: 717.909.1655 WRITER'S E-MAIL: Pappas@shumakerwilliams.com Admitted to Pennsylvania and New Jersey Bars VIA TELECOPIER Re: Runk v. Hodges C.C.P. Cumberl d County, No. 03-5221 Civil Our File No02(2) Dear Casey: Pursuant to Judge Oler's September 17, 2007, Order of Court, please promptly provide us with verification from one or more of Mr. Hodges' physicians as to the medical care surrounding his inability to be available for the trial in this matter on September 17, 2007. In the event such medical verification does not exist, please provide notice ofthe same. Please provide the medical verification or notice that verification does not exist on or before October 29, 2007. Additionally, since this case was not listed on the November trial list as directed by Judge Oler, please provide us with a date-stamped copy of the Praecipe for Listing Case for Trial for the February 4, 2008 trial term. Cases must be listed for this trial term by December 17, 2007. If you wish to discuss these matters, please telephone us. Sincerely,_ By Evan C. Pappas ECP/mac:204145 cc: Norman R. and Nancy J. Runk CORRESPONDENCE: PO BOX 88 HARRISBURG, PA 17108 PHONE: 717.763.1121 r FAX: 717.7637419 ESTATE j(h'b'? COLLEGE, PA 814-234-321 AAl i TOWSON, MD 410.825.522: YORK, PA 717.848.513 mail Q shumakerwilliams.cor 1. 6 SHUMAKER WILLIAMSP.c. LEGAL AND BUSINESS COUNSEL WRITER'S DIRECT DIAL NUMBERS: 717.909.1655 WRITER'S E-MAIL: Pappas@shumakerwilliams.com Admitted to Pennsylvania and New Jersey Bars November 28, 2007 Casey Shore, Esquire NEALON GOVER & PERRY 2411 N. Front Street Harrisburg, PA 17110 VIA TELECOPIER Re: Runk v. Hodges C.C.P. Cumberland County, No. 03-5221 Civil Our File No. 565-02(2) Dear Casey: We previously wrote to you on October 16, 2007 to request a copy of Mr. Hodges' medical verification with regard to his inability to attend the trial in this matter on September 17, 2007. As you know, this documentation was required to be provided pursuant to an Order of Court dated September 17, 2007. Please provide us with the requested medical verification from Mr. Hodges' physician within ten (10) days of the date of this letter. If we do not receive the requested documentation by December 10, 2007, we will have no other option but to notify the Court of the violation of its Order. If you wish to discuss these matters, please telephone us. ECP/mac:205386 cc: Norman R. and Nancy J. Runk AEv By an C. PappCORRESPONDENCE: PO BOX 88 HARRISBURG, PA 17108 PHONE: 717.783.1121 T FAX: 717.783.7419 Exhibit ?_..._ STATE COLLEGE, PA 814-234-3211 TOWSON, MD 410.825.5223 YORK, PA 717.848.5134 mail @ shumakerwilliams.com CERTIFICATE OF SERVICE I, Evan C. Pappas, of the law firm of Shumaker Williams, P.C., hereby certify that I served a true and correct copy of the foregoing Plaintiffs' Petition for Contempt on this date by depositing a copy of the same in the possession of the United States mail, first-class, postage prepaid, addressed as follows: Casey Shore, Esquire NEALON GOVER & PERRY 2411 N. Front Street Harrisburg, PA 17110 SHUMAI WILLIAMS, P.C. Dated: ? 6 7=?g By Evan C. WPapppas P.O. Box 88 Harrisburg, PA 17108 (717) 763-1121 - c r7i co -, -=''s NORMAN R. RUNK and IN THE COURT OF COMMON PLEAS OF NANCY J. RUNK, CUMBERLAND COUNTY, PENNSYLVANIA Husband and wife, Plaintiffs V. CIVIL ACTION - LAW WARREN HODGES, Defendant NO. 03-5221 CIVIL TERM ORDER OF COURT AND NOW, this 11`h day of January, 2008, upon consideration of Plaintiffs' Petition for Contempt, a Rule is hereby issued upon Defendant to show cause why the relief requested should not be granted. RULE RETURNABLE at the hearing scheduled in the above matter for Wednesday, March 5, 2008, at 9:30 a.m., in Courtroom No. 1, Cumberland County Courthouse, Carlisle, Pennsylvania. Evan C. Pappas, Esq. P.O. Box 88 Harrisburg, PA 17108 Attorney for Plaintiffs Casey G. Shore, Esq. 2411 N. Front Street Harrisburg, PA 17110 Attorney for Defendant BY THE COURT, 1?p (CS MVJEC? :rc _. ) 1 ` c :1 i4d ? ! Nvr G0oz #4 NORMAN R. RUNK and IN THE COURT OF COMMON PLEAS OF NANCY J. RUNK, CUMBERLAND COUNTY, PENNSYLVANIA husband and wife, Plaintiffs V. NO. 03-5221 CIVIL TERM CQ c._ _-t WARREN HODGES, _ r} Defendant _ ?i 3 d... IN RE: PRETRIAL CONFERENCE A pretrial conference was held Wednesday. Jaf1ua y CD --< 16, 2008, before the Honorable Edward E. Guido, Judge. Present for the Plaintiffs was Evan C. Pappas, Esquire, and present for the Defendant was Casey Shore, Esquire. This is an uncomplicated motor vehicle accident in which liability is contested. Counsel expect the trial to take one day. There are no conflicts during trial week, although they would like to begin on the first day of trial if possible. There are no complicated legal issues. However, Plaintiff is asking the Defendant to be held in contempt of court for failure to appear at the trial of this matter that was originally scheduled in September and for failing to respond to Judge Oler's Order to present evidence of his medical unavailability during that term. The parties have requested that the issue of contempt be resolved by the trial judge immediately before or after the trial in this matter. Insofar as Defendant hotly contests liability, there have been no offers to settle. Edward E. Guido, J. Evan Pappas, Esquire Shumaker Williams, P.C. P.O. Box 88 Harrisburg, PA 17108 For the Plaintiffs Casey Shore, Esquire Nealon, Gover & Perry 2411 North Front Street Harrisburg, PA 17110 For the Defendant Prot h otary Court Administrator srs NORMAN R. RUNK and, IN THE COURT OF COMMON PLEAS OF NANCY J. RUNK, H/W, CUMBERLAND COUNTY, PENNSYLVANIA PLAINTIFF 03-5221 CIVIL LAW V. CIVIL ACTION - LAW WARREN HODGES DEFENDANT JURY TRIAL DEMANDED IN RE: JURY TRIAL ORDER OF COURT AND NOW, this 31s` day of January, 2008, it appearing that the above-captioned jury trial has been assigned to this Court, IT IS HEREBY ORDERED AND DIRECTED: 1. Both parties are directed to prepare an exhibit list pursuant to the example attached. Two copies of this exhibit list shall be provided to the Court prior to the commencement of trial. 2. Counsel for each party is directed to file with the Court on or before 3:00 p.m., Friday, February 1, 2008, a list of the numbered standard jury instructions the party is requesting. If a party is proposing a unique jury instruction or requesting significant modification of a standard instruction it shall provide the full text of the proposed instruction to the Court. 3. The parties will provide a proposed verdict slip to the Court for review on or before 3:00 p.m., Friday, February 1, 2008. By the Court, M. L. Ebert, Jr. mi '4 van Pappas, Esquire Attorneys for Plaintiff ,2asey Shore, Esquire Attorney for Defendant bas - -v, ?`?t • 14 4 _ ? 4,-? ('-? COMMONWEALTH OF PENNSYLVANIA IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA 96-1183 CRIMINAL CHARGE: (1) CRIMINAL HOMICIDE - MURDER OF THE FIRST DEGREE V. (2) CRIMINAL ATTEMPT TO MURDER (3) AGGRAVATED ASSAULT (4) CRIMES COMMITTED WITH FIREARMS (6) FIREARMS NOT TO BE CARRIED WITHOUT A LICENSE ANTYANF ROBINSON AFFIANT: DETECTIVE RONALD EGOLF COMMONWEALTH'S EXHIBIT LIST EXHIBIT NUMBER DESCRIPTION 1 Photograph of injury to Tara Hodge's head 2 Used envelope bearing handwriting of Tara Hodge 3 Photograph of the front of building at 117-119 West Louther Street 4 Exterior side view of Tara Hodge's apartment 3 Photograph of body of Rashawn Bass in shower 6 Closeup photograph of Rashawn Bass with bullet casing on shoulder 7 Diagram of Tara Hodge's apartment S Plastic shower enclosure from Tara Hodges apartment 9 Address book of Tara Hodge 10 Date book of Tara Hodge NORMAN R. RUNK and, : IN THE COURT OF COMMON PLEAS OF NANCY J. RUNK, husband and wife,: CUMBERLAND COUNTY, PENNSYLVANIA PLAINTIFF V. WARREN HODGES, DEFENDANT NO. 03-5221 CIVIL JURY VERDICT FORM 1. Do you find that the Defendant Warren Hodges was negligent? Yes No If you answer Question No. 1 "No," the Plaintiffs Norman and Nancy Runk cannot recover and you should return to the Courtroom. If you answer Question No. 1 "Yes," continue to Question No. 2. 2. Was the Defendant Warren Hodges' negligence a factual cause of any harm to the Plaintiffs Norman and Nancy Runk? Yes C No If you answer Question No. 2 "No," you should not answer any further questions and should return to the Courtroom. If you answer Question No. 2 "Yes," continue to Question No. 3. 3. Was the Plaintiff Norman Runk contributorily negligent? Yes No If you answer Question No. 3 "Yes," proceed to Question No. 4. If you answer Question No. 3 "No," proceed to Question ":o. 6. 4. If you answered Question No. 3 "Yes," was the Plaintiff Norman Runk's contributory negligence a factual cause in bringing about harm to himself or Nancy Runk? Yes No If you answer Question No. 4 "Yes," proceed to Question No. 5. If you answer Question No. 4 "No," proceed to Question No. 6. 5. Taking the combined negligence that was a factual cause of any harm to the Plaintiffs Norman and Nancy Runk as 100 percent, what percentage of that causal negligence was attributable to Defendant Warren Hodges and what percentage was attributable to Plaintiff Norman Runk? Percentage of causal negligence attributable to Defendant Warren Hodges % Percentage of causal negligence attributable / oho to Plaintiff Norman Runk CJ If you have found the Plaintiff Norman Runk's causal negligence to be greater than 50%, then the Plaintiff cannot recover and you should not answer Question No. 6, and you should return to the courtroom. 6. State the amount of damages sustained by Plaintiff Norman and Nancy Runk. Insert a figure for each category set forth below. If, for a particular category, you do not believe that the plaintiff sustained damages, put the figure "0" in the space: (a) Medical Expenses (stipulated at $37,630.85) $ (b) Past work loss $ (c) Pain and suffering, loss of enjoyment of life, embarrassment and humiliation, disfigurement $ Forepers a S O? Date Z O 0 w N N C7 r Z O O m ? 2 ? O CD N < 7r CD N fl' CL Z O X c 5? "t 1?,,? vC (i k &:; 7-)?7 1'06 ft6L 12PPd2! /CIL) 5cu- /-WC. 't Under the Pennsylvania Rules of Evidence, the jury will not be able to review the police report in this case. With regard to police involvement in this case, the jury will be required to consider only the testimony of Tpr. Anthony Wagner. *k-I'UA Judge Ebert 0 3-saai CI?3tg__. Atty- Jury Panel for Courtroom No. Juror # Name 44 LOEWEN, JOHN 46 COOKUS, JOHN M so- ' Notty At 53 SLIFKIO, STEPHANIE N 55 ZEIDERS, MICHELLE 56 KUHN, BRENDA K. 57 RUMBERGER, RODNEY L. 58 BONEBRAKE, LISA -P-q -01` , 101 HALENZ (DOERING), DIANA 492 1 m4mFER, 4r'r"a" T',t A K.. -- 104 DEWALT, BARBARA 105 MARINO; BARTH A. T3 -Igr - , 198 Kei ' Qa 109 ADAMS, JANE E 111 CARTER, JAMIE L. 1 122 MACMILLAN, ANGELA N 11 /l1J --iSnC=v YLTT GL y 11TIiI"?TrIL?'?'? It X15- MONT GE,, MAREfA d 3 116 BITTNER, GINA HEINAMAN, JAMES E. 118 GAUL, ELIZABETH H 120 RADCZENKO, KATHY 121 WELDON, BRIAN 122 BECK, AMANDA 123 HARE, THEODORE B. 125 RHODES, ROBERT K. 127 FALCONER, LORI ANN 128 MINES-HALL, MEGAN EVE 131 TROUTON, THOMAS R. 132 COOK, DANNY J JR 134 PODOLSKY, ALEX 136 SCHNEIDER, JONATHAN L. r Total number of jurors going to the courtroom: 35 i Monday, February 04, 2008 Page 1 of 1 NORMAN R. RUNK and NANCY J. RUNK, husband and wife, Plaintiffs IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA No. 03-5221 Civil V. WARREN HODGES, Defendant : JURY TRIAL DEMANDED PRAECPIE TO WITHDRAW PETITION FOR CONTEMPT TO THE PROTHONOTARY: Please withdraw Plaintiffs' Petition for Contempt filed on January 8, 2008 in the above-captioned matter. Dated: 2- 2-I 2 :208518 S AKER WILL IAMS, P.C. By Evan C. Pappas, I. D. #200103 P.O. Box 88 Harrisburg, PA 17108 (717) 763-1121 Attorneys for Plaintiffs CERTIFICATE OF SERVICE I, Evan C. Pappas, of the law firm of Shumaker Williams, P.C., hereby certify that I served a true and correct copy of the foregoing Praecipe to Withdraw Petition for Contempt on this date by depositing a copy of the same in the possession of the United States mail, first-class, postage prepaid, addressed as follows: Casey Shore, Esquire NEALON GOVER & PERRY 2411 N. Front Street Harrisburg, PA 17110 SHUMAKER WILLIAMS, P.C. Dated: By Evan C. Pappas P.O. Box 88 Harrisburg, PA 17108 (717) 763-1121 ?? i,- c.t^x -i'1 - C:?:7 ...T.t 1 f ? t? ? +? h _ } et w.?.. ?' ?.?a ?? NORMAN R. RUNK and IN THE COURT OF COMMON PLEAS OF NANCY J. RUNK, CUMBERLAND COUNTY, PENNSYLVANIA Husband and wife, Plaintiffs V. WARREN HODGES, Defendant CIVIL ACTION - LAW NO. 03-5221 CIVIL TERM ORDER OF COURT AND NOW, this 29th day of February, 2008, upon consideration of the Praecipe To Withdraw Petition for Contempt filed in the above matter on February 27, 2008, the hearing previously scheduled for March 5, 2008, is cancelled. ? Evan C. Pappas, Esq. P.O. Box 88 Harrisburg, PA 17108 Attorney for Plaintiffs Casey G. Shore, Esq. 2411 N. Front Street Harrisburg, PA 17110 Attorney for Defendant :rc yn'z?c L a/a4/oS BY THE COURT, f?7 9ti N - ~i ? Id 6 Z 8A 8H7