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HomeMy WebLinkAbout07-740467- '74o4 IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA Christopher Rhoads Dogwood Lane Enola, PA 17025 Goodwin & Bryan, L.P. P. O. Box 221406 Cleveland, OH 44122-0999 Plaintiff(s) & Addresses Defendant(s) & Addresses PRAECIPE FOR WRIT OF SUMMONS TO THE PROTHONOTARY OF SAID COURT: Please issue writ of summons in the above-captioned action. Writ of Summons shall be issued and forwarded to (X ) Attorney ( ) Sheriff. Deanna Lynn Saracco, Esquire 76 Greenmont Drive Enola, Pennsylvania 17025 Phone 717-732-3750 SaraccoLaw@aol.com Lix" 'te44:10- Signature of Attorney Dated: 12/6/07 WRIT OF SUMMONS TO THE ABOVE NAMED DEFENDANT(S): YOU ARE NOTIFIED THAT THE ABOVE-NAMED PLAINTIFF(S) HAS/HAVE COMMENCED AN ACTION AGAINST YOU. Dated: _Tp2 i rothonotary By: &Depu'?/ G_. V IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA Christopher Rhoads, Plaintiff, V. Civil Action No.:07-7404 JURY TRIAL DEMANDED Goodwin & Bryan, LLP, debt collection attorneys, and Elizabeth Ann Goodwin, an individual debt collection attorney, and Bradric Thomas Bryan, an individual debt collection attorney, Defendants. PRAECIPE TO DISCONTINUE/WITHDRAW WITH PREJUDICE And now comes Plaintiff, by and through his counsel, Deanna Lynn Saracco, and files this Praecipe to Withdraw the above captioned matter, with prejudice as the parties have amicably settled their dispute. This case should be discontinued and you may mark this case CLOSED. Respectfully submitted, 'DA Dated: 2/11/08 Deanna Lynn Saracco, Attorney for Plaintiff 76 Greenmont Drive Enola, PA 17025 717-732-3750 Certificate of Service: I hereby certify that I served, via U. S. Mail, postage prepaid, a copy of the forgoing, on the defendant as follows: Mr. Bradric T. Bryan Goodwin & Bryan, LLP 22050 Mastick Road Fairview, OH 44126 Dated: 2/11/08 Deanna Lynn Saracco c- ?J co Cl Y ti