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HomeMy WebLinkAbout07-6862A IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CAPITAL ONE BANK Plaintiff NO. ()q- 6 S dog civ i Tim V. ANGELA C THOMPSON Defendant(s) COMPLAINT IN CIVIL ACTION Filed on behalf of: CAPITAL ONE BANK Counsel of Record for This Party: Gregg L. Morris, Esquire Pa I.D. #69006 Patenaude & Felix, A.P.C. 213 E. Main Street Carnegie, PA 15106 (412) 429-7675 PF_PA_11 Cmplt Cvr Sht P&F File No. 07-8914 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CAPITAL ONE BANK Plaintiff V. ANGELA C THOMPSON Defendant(s) NOTICE TO DEFEND You have been sued in Court. If you wish to defend against the claims set forth in the following pages, you must take action within TWENTY (20) DAYS after this Complaint and notice are served, by entering a written appearance personally or by an attorney, and filing in writing with the Court your defenses or objections to the claims set forth against you. You are warned that if you fail to do so the case may proceed without you and a judgment may be entered against you by the court without further notice for any money claimed in the Complaint or for any other claim or relief requested by the Plaintiff. You may lose money or property or other rights important to you. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE.IF YOU DO NOT HAVE A LAWYER GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE. CUMBERLAND COUNTY BAR ASSOCIATION 32 SOUTH BEDFORD STREET CARLISLE, PA 17013 717-249-3166 PA 21Notice to Defend NO. Usted ha sido demandado en corte. Si usted desea defenderse de las demandas que se presentan mas adelante en las siguientes paginas, debe tomar accion dentro de los proximos veinte (20) dias despues de la notificacion de esta Demanda y Aviso radicando personalmente o por medio de un abogado una comparecencia escrita y radicando en la Corte por escrito sus defensas de, y objecciones a, las demandas presentadas aqui en contra suya. Se le advierte de que si usted fall de tomar accion como se describe anteriormente, el caso pude proceder sin usted y un fallo por cualquier sums de dinero reclamada en la demanda o cualquier reclamacion o remedio solicitado por el demandante puede ser dictado en contra suya por la Corte sin mas aviso adicional. Usted puede perder dinero o propiedad au otros derechos importantes para usted. USTED DEBE LLEVAR ESTE DOCUMENTO A SU ABOGADO INMEDIATAMENTE. SI USTED NO TIENE UN ABOGADO, LLAME O VAYA A LA SIGUENTE OFICINA. ESTA OFICINA PUEDE PROVEERLE INFORMACION A CERCA DE COMO CONSEGUIR UN ABOGADO SI USTED NO PUEDE PAGAR POR LOS SERVICIOS DE UN ABOGADO, ES POSSIBLE QUE ESTA OFICINA LE PUEDA PROVEER INFORMACION SOBRE AGENCIAS QUE OFREZCAN SERVICIOS LEGALES SIN CARGO O BAJO COSO A PERSONAS QUE CALIFICAN. CUMBERLAND COUNTY BAR ASSOCIATION 32 SOUTH BEDFORD STREET CARLISLE, PA 17013 717-249-3166 P&F File No. 07-8914 40 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CAPITAL ONE BANK Plaintiff V. ANGELA C THOMPSON Defendant(s) COMPLAINT IN CIVIL ACTION NO. 01- Ge°LZ &:?l T:. AND NOW, comes Plaintiff, CAPITAL ONE BANK, by and through its attorney, GREGG MORRIS, ESQUIRE and the law offices of PATENAUDE & FELIX, A.P.C. and files the following Complaint in Civil Action, and in support thereof aver as follows: 1. Plaintiff, CAPITAL ONE BANK, is a corporation and for the purpose of this litigation, maintaining a place of business c/o PATENAUDE AND FELIX, A.P.C., 213 East Main St Carnegie, Pennsylvania 15106. 2. Defendant is ANGELA C THOMPSON, an adult individual, believed to currently reside at 2503 WARREN WAY MECHANICSBURG, PA 17050-7269. 3. Heretofore, the Defendant(s) opened a account with Plaintiff being Account No. 5178052272852373, for the purchase of good and services. 4. The Defendant(s) has/have made or authorized a number of purchases and as of August 20, 2007, Defendant(s) owes $3,441.98 on said account plus interest. 5. Plaintiff maintains accurate books of account recording all credits and debits for this account. PA-05 Civil Cmplt Crdt Crd P&F File No. 07-8414 6. The Defendant(s) have/has received monthly billing statements from Plaintiff setting forth the nature and amount of all charges made by Defendant(s), and the transactions between Plaintiff and Defendant(s) give rise to an account stated, upon which Plaintiff has relied. 7. The Defendant(s) made payments, but have/has refused to pay, and now refuses to pay the balance due and owing on the aforesaid account in the sum of $3,441.98, plus interest and costs. By failing to object or dispute to the statements including the statement attached hereto as Plaintiffs Exhibit "A", Defendant(s) have/has assented to and agreed to the correctness of the balance due on the credit card account so as to constitute and account stated. 9. Despite repeated demands, Defendant(s) have/has failed to make the required installment payments when due and therefore the full amount of the account is now due and payable. PA-05 Civil Cmph Crdt Crd P&F File No. 07-8914 WHEREFORE, Plaintiff demands Judgment in its favor, and against Defendant(s), in the amount of $3,441.98, plus legal interest from the date of breach, with continuing interest at the legal rate thereon from the date of Judgment plus costs. The damages requested are less than the maximum amount for compulsory arbitration as set by the Court. Date: Respectfully submitted: PatenauA kFolic, A.P.C. L?jMo 's, Esquire ?. Main treet Carnegie, PA 5106 (412) 429-7675 PA-05 Civil Cmplt Crdt Crd P&F File No. 07-8914 Capita'Ow' NOT PAYING YOUR DEBT 500013 1 what's in your wallet?' DOESN'T MAKE IT GO AWAY. In fact, even if we report your account as charged off, you'll still be responsible for paying your debt. So why not call us to see what we can do together to keep you from receiving such a serious mark on your credit record? We're here to help. Please contact us to find a solution that's right for you. You can make a payment with our fm check by phone service or speak to an associate by calling 1.800.955.6600. Make sure you call or pay the amount due on your statement within 30 davs to keep your account from being charged off. ® 2006 Capital One Services, Inc. Capital One is a federally registered service mark. All righu reserved 500013-08503 FINANCE Previous Balance Payments 6 Credits CHARGE Inansac 11 New Balance Minimum Payment Due Date $3,192.95 $0.00 + $77,25 + $64,00 = $3,334.20 $623.00 Mar. 27, 2007 Jan. 28, 2007 - Feb. 27, 2007 Page 1 of 1 P11W PAY AT (FAST THS AMOUNT MasterCard Platinum Account 5178-0522.7285.2373 Your Account Information TOTAL CREDIT LINE $3,000.00 TOTAL AVAILABLE CREDIT $0.00 CREDIT LINE FOR CASH $3,000.00 AVAILABLE CREDIT FOR CASH $0.00 Finance Charges (Please see reverse for important klformat on) Balance rate Periodic Corte nding FINANCE applied to rate ATR CHARGE Purchases $3,231.28 0.07712% D 28.15% $77.25 Cash $0.00 0.07712% D 28.15% $0.00 ANNUAL PERCENTAGE RATE applied this period: 28.15% 0 At Your Service 1.800.903.3637 To call Customer Relations or to report a lost or stolen card ® Send payments lo: Capital One Bank P.O. Box 650007 -Dallas, TX 75265-0007 A Send inquiries to: Capital One P.O. Box 30285 -Salt Lake City, UT 84130-0285 Your account is six payments behind. If we charge off your account due to late payments, we will report the charged-off status to several national credit bureaus, and the Purchase APR as reflected on this statement will be applied to all your outstanding balances. Act now to prevent this from happening. Please pay the amount due on your statement or give us a call at 1.800.955.6600. We'll work with you so you can take control of your account and start rebuilding your credit with Capital One. "Important Notice" Under the terms we previously disclosed to you, your account is now eligible for an increase in Annual Percentage Rates (APRs) effective immediately. However, Capital One has elected not to raise your APRs at this time. Please be advised that if you fait to keep your account in good standing, Capital One reserves the right to raise your APRs in the future. Payments, Credits & Adjustments Transactions 1 27 FEB PAST DUE FEE $35.00 2 27 FEB OVERLIMIT FEE FEB 27, 2007 $29.00 As you asked, we've designated your account to close. Please rate that your account balance must remain at $0 for two consecutive monthly statements before it is closed. Please continue to make necessary payments on your account and stop any automatic payments or pre-authorized charges you may have set up. If you make any charges on your Capital One credit card before your account doses (including automatic or pre-authorized charges), your account will remain open and well remove the request to dose your account. You were assessed a past due fee because your minimum payment was not received by the due date. To avoid this fee in the future, we recommend that you allow at least 7 business days for your minimum payment to reach Capital One. 6056 506 1 7 27 070227 PAGE 1 of 1 OIBC6056 PLEASE RETURN PORTION BELOW WITH PAYMENT CapttailQm` what's in your walleP' 0 5178052272852373 27 3334200085000623002 Account Number: 5178-0522-7285-2373 New Balance Minimum Payment Due Date $3,334.20 $623.00 Mar. 27, 2007 PLEASE PAY AT LEAST' THIS AMOUNT Amount Enclosed Capital One Bank P.O. Box 650007 1111111111111111111111 Dallas, TX 75265-0007 119111111 111111111111111 Please print address or phone number changes below using blue or black ink. Address Home Phone Alternate Phone E-mail address @ 090059610411416530 NAIL ID NUMBER ANGELA C THOMPSON C/O THE LAY OFFICE OF RICHARD A. BRENNAN 23123 STATE ROAD 7 STE 250 BOCA RATON, FL 33426-5477 nllnl11ulu1u1111nIn111nIn11u11191111111111nn111 Please write your account number on your check or money order made payable to Capital One Bank and mail with this coupon in the enclosed envelope. ,bit 4??bl lit II ANGELA C THOMPSON 1. Hew to Avoid a Finance Charge. t e. Grace Period. You will have a minsnum grace period of 25 days without bnsnce charge on new, purchases, new balance transient, new special purchase. and new other charges if you pay your total -New Beene^, in accordance with the Important Notice for payments balm, and in lime for h to be credited by your nod statement closing date, Thera is no grace period on cash advances and speclel In"em. In addition, them Is no gram period on any transaction if you do nil pay the total "New balance." b. Acenring Finance Charge. Transactions which are rat "ad to A grace pedod am assessed finance charge 1) j from the data of the Intersection or 2) from the date the transaction a processed to your Account or 3) fiver, the fast calendar day d the current hiring period. Additionally, V you red not pay the "New Balance' from the previous being period in full, Nana charges continue to Accrue to your unpaid balance until the unpaid balance is paid in tug. This means that you may sw awe Manse charges, even Ni you pay the entice New Balance Indicated w 0s hoe of your statement by the next statement closing date, but did not do w for the prewous rtaNh. Unpaid finance degas are added to the applicable segment of your Account. t c. Minimum Fbsne Charya. F. each blgrg period drat your Account IN subject to a anane charge, a mink u ern total FINANCE CHARGE ra0,50 will be imposed. f of Tsmlrarary Reduction in Flnane Charge. We missive the right to not assess a" or all finance charges for any given tilling period. 2. Average Daily Bafenca (Including New Purchepeal• Finery charge I. calculated by mullgrlying 0e dally balance of each segment of your account (e.g., cash advance, Purchase, specid barsfar, ant apedai purchase) by the cormspormding daily periodic mails) that hem been proviously disclosed to you. At the and or each day during the being porlod, we apply the daily periodic rate for each segment of your account to the daily balance of each segment. Than at the and of the Wfibq period, we add up the results of thew daily calculations to am" at your periodic fmarmce Charge for each segment We add up the results from each segment to amw at the total periodic finance charge fr your account. To gat the daily baance for each segment of your account. we lake the bapirning balance for each segment and add any new transactions and any periodk Manse charge calculated an the previous days balance for if , segment. We thin subtract any peymenre or moss, Posted as of that day that am allocated to that segment . The gives era the separate daily balance fr each seaman of your ecoount. However, If you paid the New Balance shown on your previous statement in fug (r if your crew balance was zero r a credit amours), new Irensectkn 1, which post to You Purchase or special purchase segments ere not added to the dally balances. We calculate the average dally balance by adding AN the daily balances together and dividing the sum by the number of the day. in the current billing cycle. To calculel your total Finance charge, mJllply your average daily balance by the daily periodic rate and by the number at clays M rite b&V period. Due to m rxWV on a daily beak r due to minimum finance charge a stagamant, them may be a variance between this calculation and the amount of Hance charge actually sss caned. 3. Annual Parentage Rates (APR). a. The term "Annual Percentage Rata" may appear As "APR" on the front of this staiemem. It. It the code P (Quarterly Prime), L (Quarterly, LIBOR), C (Quarterly CD), or S (Bankcard Prime) sppmm on U. Iron] Of thb statement next to the periodic rate(s), the periodic rates and conespordlng ANNUAL PERCENTAGE RATES MY very quarterly and may manage r dereaae based on the stated indices. W frail m The WNII Street Journal, plus the margin previously disclosed to you These dWVW wiN be effective on the first day of your Npeg period covered by your periodic siaterem ending in the months of January, April, July and October. a If the coda D (Monthly Prone), F (Monthly LIBOR), or G (Treasury LIBOR) appears on the front of your statement next to the periodic rate(s), the periodic rates and corresponding ANNUAL PERCENTAGE RATES may vary -1* and they increase or deo i se based m the stated indices, as found In The Wall Street Journal, Plus the margin previously disclosed to you. These chanw will be effective on the first day of your being period each month . a. AaeaaamsM ON Late, Ovedlma and Retuned Payment Fear. Under the terms of your customer ageemenl, we reserve the rpM to wal" r not to assess any fees weh0ul prior notification to you vdthoutwaNkg ourrigM to assess the aamar similar fees al a klerlims. T 5. RreneaMg Your Account. If e membership fee appears on the front of your statement, you have 30 days from the date this statement was milled to you to avoid paying the fee or to hew such fee credited to you a you cancel your account wideut having to pay the membership fee. To cancel your account, you must notify era by calling our Customer Relations Department and pay your "New Balance" I. NN (exciudfrig the memberaNp free) prior No the and of the thirty-day period. 6. H You Close Your Account. YOU can request to dose your account by camp our Customer Relators Department. You must destroy your credit card(s) and account Access decks, -1 AN preauthotized oiling and uese using your account. Aber your request to close, A you continue io transact r do not cancel preauthorimd liking arrangemente, we vAll consider mcdPr OF a derge your au arivalon a keep your account open. Additionally, your account will not be dosed until you pay all amounts you owe us including. any tmnsactlons YOU have authorized, finance charges, past due fee. wrNmit fees, reamed payment fee., cash advance fees and any other fees aseees ej to, your account. You ere msponsibk err the$..mouns whether they appear on your account at the time you request to does, the ecc ilmt r they am incurred subsequent a your mgUeat to does, the account. This may recWt in charges appearing on your Account after you have requested the account to be dosed. 7. Using Your Account. Your card or account carat be used m connection with any Internet gambling transactions. S. Notice About Electronic Check Conversium. Whan you provide a check as payment, you authrehe us either to use information from your check to make a oce-Nme eknmonk fund transfer from your bank account or to process the payment es a check transaction. When we use Information from your check to make an electronic fund transfer, funds may be withdrawn from your bank Account as Boon m rho sane day we recalve your payment, and you will not receive your check back from your financial Institution BILLING RIGHTS SUMMARY (In Case of Ears r Questions about Your BIN) If you thkut your bill I. wrong, or H you need mom information on a transedgn or bull, write to us on a sepemW sheer es soon as possible at the address for inquiries shown on the honl of this statement. We must hear from you no later than 60 days after we sent you the first bill on which the error or problem appeared. You can call our Customer Relations number, but doing so will not Preserve your rights. In your letter, give us the following Information: your nacre and account number, the dotter amour of the suspected error, a description of the emor and an exPlenetlon. if Possible, of why you believe there Is an error, or If you need mom information, a description of the Item you am unsure about. You do nl have to pay any amount in question while w0 are Investigating b, but you are Still obligated to pay the parts of your bill that am not h question. While we investigate your gvesbon, we carnet report you ss delinquent r take any action to collect the amount you question. 2. T Special R.I. for Credit Card Purchases if you hew a problem with tha quality of property or services that YOU purchased with a rack card and you have tried in good faith to correct the problem with the merchant, you may have the rpm not to pay Nine ramainkV amount due on the property r services. You haw this protection only when the purchase price was more then 150.00 and tie OWdM a wu made In your home state r within 100 miles of your mailing address. Of we own r operate the merchant, r it we nulled you the adwnlsement fr the property r services, all purchases are covered regardless of amount r location of purchase.) Please remember to sign all correspondence. T Does rot apply to consumer noncredit card accounts ; Doan not apply to bushsss nor.cmdN card accounts Capital One Supports information privacy protection: we our webdte at www.radtalone ram. Capital One Is a federally registered service mark of Capital One Financial Corporation. Ali rights reserved. 02006 Capital One 01 BC8056-6-12n1ge Important Noybyments you mail to us will be credited to YYour account as of the business day we receive it, provided (1) you send the bottom portion of this statement and ayo check in the end ad remittance envelope and (2 your payment is received in our processing center by 3 p.m. ET (12 noon red Please albw at least five (5) business days for postal delivery. Payments received by us at any other location or in any other forlaylot be credited as of the day we receive them. Our business days are Monday through Saturday, excluding holidays. Please do not use staples, paper clips, etc. when preparing your payment. VERIFICATION The undersigned is an authorized agent of the Plaintiff and verifies that the facts and statements made herein are true and correct based upon my knowledge, information and belief. Counsel has signed the verification as a matter of time and convenience. The verification of the party can be provided if requested. The statements are made subject to the penalties of 18 Pa.C.S. Section 4904, relating to unsworn falsification to authorities. Date: r ggC. orris, Esquire atenaude & Felix, A.P.C. 213 E. Main Street Carnegie, PA 15106 (412) 429-7675 PA_Ol Atty Verification P&F File No. 07-8914 r-? CJ 1 00 g, SHERIFF'S RETURN - REGULAR CASE NO: 2007-06862 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND CAPITAL ONE BANK VS THOMPSON ANGELA C TIMOTHY REITZ Sheriff or Deputy Sheriff of Cumberland County,Pennsylvania, who being duly sworn according to law, says, the within COMPLAINT & NOTTC''R the THOMPSON ANGELA C was served upon DEFENDANT at 1620:00 HOURS, on the 10th day of December , 2007 at 2503 WARREN WAY MECHANICSBURG, PA 17050-7269 by handing to ANGELA C THOMPSON a true and attested copy of COMPLAINT & NOTICE together with and at the same time directing Her attention to the contents thereof. Sheriff's Costs: Docketing Service Affidavit Surcharge C),., So Answers: 18.00 13.44 _ ./•? * 00 10.00 R. Thomas Kline .00 41.44 12/12/2007 PATENAUDE & FELIX Sworn and Subscibed to before me this day By of A. D. D uty She ff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CAPITAL ONE BANK Plaintiff NO. 07-6862 V. ANGELA C THOMPSON Defendant(s) PRAECIPE FOR DEFAULT JUDGMENT Filed on behalf of: CAPITAL ONE BANK Counsel of Record for This Parry: Gregg L. Morris, Esquire Pa I.D. 469006 Patenaude & Felix, A.P.C. 213 E. Main Street Carnegie, PA 15106 (412) 429-7675 PA_119 Prep Def Jg Both P&F He No. 07-8914 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CAPITAL ONE BANK Plaintiff V. ANGELA C THOMPSON Defendant(s) NO. 07-6862 PLAINTIFF'S PRAECIPE FOR DEFAULT JUDGMENT TO: PROTHONOTARY Please enter a judgment against the defendant, above named, for failure to file an Answer to Plaintiffs complaint. Amount claimed in Complaint $3,441.98 Interest from August 20, 2007 $739.10 Less payments received $60.00 Attorney's fees $0.00 TOTAL $4,121.08 With continuing interest on the principal amount of $4,121.08, with interest at the legal rate, plus costs of suit. I hereby certify that a written notice of intention to file this praecipe was mailed to the defendants and defendants' counsel (if known), after the default had occurred and at least ten (10) days prior to the date of the filing of this praecipe. A copy of the Notice is attached. submitted: Date: & Felix, A.P.C. Orel. Morris, E9 213 E. Main Street Carnegie, PA 15106 (412) 429-7675 PA_119 Prcp Def Jg Both P&F File No. 07-8914 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CAPITAL ONE BANK Plaintiff NO. 07-6862 V. ANGELA C THOMPSON Defendant(s) PLAINTIFF'S AFFIDAVIT OF NON-MILITARY SERVICE AND MAILING OF NOTICE PURSUANT TO PA.R.C.P. 1037(b) COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND SS. Before me, the undersigned authority, a Notary Public in and for said County and State, personally appeared GREGG MORRIS, attorney for and authorized representative of Plaintiff, who being duly sworn according to law, deposes and states that the defendant(s), ANGELA C THOMPSON, is not in the military service of the United States of America to the best of his knowledge, information and belief and certifies that Notice of Intent to take Default Judgment was mailed in accordance with Pa.R.C.P.237.1, as evidenced by the attached copy. submitted: Felix, A.P.C. Date: Sworn to and subscribed before me this day of , 20,r,? Notary Publ' i4Fi i:iYLV'Me ` ?. d ? Y-. ... „.GUmf Ofegg L--Korri* Esquire 213 E. Main Street Carnegie, PA 15106 (412) 429-7675 PA 120 Aff of Non Mil P&F File No. 07-8914 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CAPITAL ONE BANK Plaintiff NO. 07-6862 V. ANGELA C THOMPSON Defendant(s) IMPORTANT NOTICE Filed on behalf of: CAPITAL ONE BANK Counsel of Record for This Party: Gregg L. Morris, Esquire Pa I.D. #69006 Patenaude & Felix, A.P.C. 213 E. Main Street Carnegie, PA 15106 (412) 429-7675 PA -1 I 1 10 Day Dl P&F File No. 07-8914 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CAPITAL ONE BANK Plaintiff NO. 07-6862 V. ANGELA C THOMPSON Defendant(s) To: Angela C Thompson 2503 Warren Way Mechanicsburg Pennsylvania 17050-7269 Date of Notice: January 11, 2008 YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN APPEARANCE PERSONALLY OR BY ATTORNEY AND FILE IN WRITING WITH THE COURT YOUR DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU. UNLESS YOU ACT WITHIN TEN DAYS FROM THE DATE OF THIS NOTICE, A JUDGMENT MAY BE ENTERED AGAINST YOU WITHOUT A HEARING AND YOU MAY LOSE YOUR PROPERTY OR OTHER IMPORTANT RIGHTS. YOU SHOULD TAKE THIS NOTICE TO A LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER. IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE. Cumberland County Bar Association 32 South Bedford Street Carlisle PA 17013 717-249-3166 Rewictfully submitted: elix, A.P.C. Date: r g L. M rris, Esquire 213 E. Main treet Carnegie, PA 151 (412) 429-7675 PA _l I 1 10 Day DI P&F File No. 07-8914 I, GREGG MORRIS, attorney for Plaintiff, CAPITAL ONE BANK, hereby certify that a true and correct copy of foregoing document was served this date by ordinary mail upon the following: Angela C Thompson Defendant 2503 Warren Way Mechanicsburg PA 17050-7269 Date: Gregg . Morris, Esquire Paten de & Felix, A.P.C. 213 E Main Street Cameg PA 15106 (412) 429-7675 PA_I I 1 10 Day D1 P&F File No. 07-8914 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CAPITAL ONE BANK Plaintiff NO. 07-6862 V. ANGELA C THOMPSON Defendant(s) NOTICE OF ORDER, DECREE OR JUDGMENT Filed on behalf of: CAPITAL ONE BANK Counsel of Record for This Party: Gregg L. Morris, Esquire Pa I.D. #69006 Patenaude & Felix, A.P.C. 213 E. Main Street Carnegie, PA 15106 (412) 429-7675 PA-123 Ntc Jgmt Both P&F File No. 07-8914 _ r 00 r t C tit C'.l IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CAPITAL ONE BANK Plaintiff ) NO. 07-6862 V. ) ANGELA C THOMPSON ) Defendant(s) ) NOTICE OF ORDER DECREE OR JUDGMENT AGAINST ANGELA C THOMPSON ONLY TO: ( )Plaintiff ( x )Defendant ( )Garnishee ( )Additional Defendant You are hereb notified that the following Order, Decree, or Judgment has been entered against you on a 8 11_6 R ( ) Decree Nisi in Equity ( ) Final Decree in Equity ( X) Judgment of ( ) Confession ( ) Verdict ( ) Court Order ( X) Default ( ) Non-suit ( ) Non-Pros ( ) Arbitration Award ( X) Judgment in the amount of $4,121.08, plus costs. ( ) District Justice Transcript of Judgment in the amount of $ plus costs. ( ) If not satisfied within sixty (60) days, your motor vehicle operator's license will be suspended by the Department of Transportation Protho tart' By Deputy If you have questions concerning the above, please Contact: Name of Attorney: GREGG MORRIS, Esquire 213 East Main St Carnegie PA 15106 (412)-429-7675 PA 123 Me Jgmt Both P&F File No. 07-8914