Loading...
HomeMy WebLinkAbout04-0856David J. Lanza I.D. No. 55782 2157 Market St. Camp Hill, Pennsylvania 17011 (717) 730-3775 Attorney for Plaintiff BLACKTHORN, 1NC., Plaintiff V. KEYSTONE PRE-CAST CONCRETE PRODUCTS, INC., and BRIAN SWANK Defendants 1N THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA PRAECIPE TO ENTER JUDGMENT To the Prothonotary: Please enter judgment against the Defendants and in favor of Plaintiff in the amount of $3,201.98 plus costs and interest from September 10, 2003. Respectfully submitted, By: David J. Lanza Attorney I.D. No. 55782 2157 Market Street Camp Hill, PA 1701 l Telephone (717) 730-3775 Attorney for Plaintiff CERTIFICATE OF JUDGE AS TO CLERK U.S. Code-- Title 28 --Sec. No. 1718 THE STATE OF OHIO, 1, BARBARA P GORMAN COUNTY, ss. COURT OF COMMON PLEAS. , Judge of the Court of Common Pleas, within and for said County and State, the same being a Court of Law and of record, do hereby certify that DAN FOLEY whose genuine signature is appended to the certificate hereto attached, was at the date thereof, and now is Clerk of said Court of Common Pleas, and as such, fullfaith and credit are due his acts, and that the above certificate and attestation are in due form of law, and made by the proper officer. 1N WITNEfiS WHEREOF, I have hereunto set my hand and affixed the seal of said Court, at DAYTON , Ohio this 15TH day of SEPT-~ A.D. 20. 03 d Court of Common Pleas. CERTIFICATE OF CLERK AS TO JUDGE THE STATE OF OHIO, I, MONTC-O~mY DAN FOLEY COUNTY, ss. , Clerk of the Court of Common Pleas, within and for the County and State aforesaid, hereby certify that is Judge of said Court of Common Pleas, duly commissioned and qualified, and now acting as such. IN WITNESS WHEREOF, I have hereunto sft my hand and affixed the seal DA~ IIDN __, Ohio of said Court, a~.x this 15TH (~'~day of ~ PTEMBER A.D. 20_ 03 BLACKTHORN, INC,, Plain~% =¥s- K.EYSTO!N'E PRF~AST CONCRETE PRODUCTS, INC., et al., D~dauts. CASE NO. 03-5592 (Judg~ Kessler) DEFAULT JUDGMENT ENTRY CUm motion and for good cause, the ~out~ raters judgment in favor of the plaintiff agai~ Defendants K~,stonc Pl~-Camt Concrets Produc~, In~. a~d Brian Swauk, jointly aud severally, for $3201.98, inte~ at~ Smpt~mbur 10, 2003 at the ra~e of 18% per year, ax,.d ¢ou~t costs. Ther~ is no just reason for delay for purposes of Civil Rule 54(B). Kett~ring Tower, Suite 2830 Dayton, Ohio ,{5423 (937) 222-6764 Attorney for p}ninfiff 5L-60-£00~ Printing Help FIL[D /'t 0 2; hi / / THE M~T~RY ~Y COMMON COURT BLACKTHORN, INC., * CASE NO, 6~udse Plaintiff, * B~FAULT JU~MgNT ENTRY ~YS~NE P~A~ CONC~ * PROD~S, ~C., ~ ~., On motion and for good cause, thc court enters judgn~-~ in favor oftbe plalatiff l~endants K~stoae Pr~C~st Con~q~ Prod~ts, Inc. and Brian Swank, joim!y ~ ~.verally, for $3201.98, interest a~ S~nbez I0, 2003 at th~ rote of 18% p~r year, and court costs~ '1'1-~ i,~ no j uzt reason for delay fo~ purposes of Civil P,,~e ~(B~ Ronald J. Kozar (0(~1903) Plea~o ,' ...... ...... L ~ ~ .... y for oach ~ To~r, S~te 2830 pa~y r~rf (037) 22247~ ~ .... . ~ ~ it~d~e ~ et~ u~ G;o ~urn~ ~rk of Common Plus Logged in ~ GUEST 'Last Name Montgomery County Clerk of Courts PRO System First Name Company Name MAIN INDEX D~ck~t Case N umber THE DOCKET IMAGES DATE/DOCKET ~ 08/06/2003 P~rin~ter Frie~ndly Docket 2003 CV 05592 BLACKTHORN INC VS. KEYSTONE PRE CAST CONCRETE PRODUCTS INC et al To view an image click on a camera. Begin Dale: 816103 }'hid Date: 1215103 [i~ Descending ENTRY COMPLAINT FILED COMPLAINT FILED Receipt: 323815 Date: 08/06/2003 08/06/2003 CIVIL CASE INFORMATION SI-I~ET FILED CIVIL CASE INFORMATION SHEET FILED 08/06/2003 INSTRUCTIONS FOR SERVICE - CERTIFIED MAIL FILED INSTRUCTIONS FOR SERVICE - CERTIFIED MAIL FILED 08/06/2003 CIVIL DEPOSIT CIVIL DEPOSIT Receipt: 323815 Date: 08/06/2003 08/07/2003 CIVIL CERTIFIED MAIL CIVIL CERTIFIED MAIL Issue Date: 08/07/2003 Service: CIVIL INITIAL SERVICE - PAM Method: CIVIL CERTIFIED MAIL Cost Per :$ 5.00 KEYSTONE PRE CAST CONCRETE PRODUCTS INC C/O BRIAN SWANK VICE PRESIDENT 714 L1NDWOOD GREENSBURG, PA 15601 Tracking No: 7104223016601683428 SWANK, BRIAN 714 LINDWOOD GREENSBURG, PA 15601 Tracking No: 7104223016601683429 Receipt: 329446 Date: 09/17/2003 08/15/2003 CIVIL RETURN OF SERVICE CIVIL RETURN OF SERVICE Method: CIVIL CERTIFIED MAIL Issued: 08/07/2003 Service: CIVIL INITIAL SERVICE - PAM Served: 08/11/2003 Return: 08/15/2003 On: KEYSTONE PRE CAST CONCRETE PRODUCTS INC Signed By: CAROL SWANK Reason: G-CIVIL SUCCESSFUL Comment: Tracking #: 7104223016601683428 08/15/2003 CIVIL RETURN OF SERVICE CIVIL RETURN OF SERVICE Method: CIVIL CERTIFIED MAIL Issued: 08/07/2003 Service: CIVIL INITIAL SERVICE - PAM Served: 08/l 1/2003 Return: 08/15/2003 On: SWANK, BRIAN Sig/~ed By: CAROL SWANK Reason: G-CIVIL SUCCESSFUL Comment: Tracking #: 7104223016601683429 09/10/2003 MOTION OF PLAINTIFF PLNTF'S DEFAULT JUDGMENT MOTION Attorney: KOZAR, RONALD J (0041903) 09/10/2003 RULING BY JUDGE/REF ON MOTION DEFAULT JUDGMENT ENTRY; SIGNED BY JUDGE GORMAN Receipt: 329446 Date: 09/.17/200_.~_ 09/15/2003 CIVIL NOTICE I ~ m~t tl~ ~ ~ a 'e~ CIVIL NOTICE NOTICE SENT Sent on: 09/15/2003 15:23:43 09/I 7/2003 CIVIL REFUND CIVIL REFUND OF $91.00 TO RONALD KOZAR ~ ~nd and seal tlds "David J. Lanza I.D. No. 55782 2157 Market St. Camp Hill, Pennsylvania 170l 1 (717) 730-3775 Attorney for Plaintiff BLACKTHORN, INC., Plaintiff V. KEYSTONE PRE-CAST CONCRETE PRODUCTS, 1NC., and BRIAN SWANK Defendants IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. O'4--o*St' CIVIL ACTION - LAW CERTIFICATION OF JUDGMENT ENFORCEABIlITY AND VALIDITY AND NOW, this 23Ta day of February 2004, comes, DA VID J. LANZA, and certifies as follows: 1. The judgment in the above captioned matter the Plaintiff seeks to enforce in Pennsylvania is valid and enforceable. No appeals have been taken from this judgment. 2. The judgment remains unsatisfied. Respectfully submitted, By:D~anz/// Attorney I.D. No. 55782 2157 Market Street Camp Hill, PA 17011 Telephone (717) 730-3775 Attorney for Plaintiff I-David J. Lanza I.D. No. 55782 2157 Market St. Camp Hill, Pennsylvania 17011 (717) 730-3775 Attorney for Plaintiff BLACKTHORN, INC., Plaimiff V. KEYSTONE PRE-CAST CONCRETE PRODUCTS, 1NC., and BRIAN SWANK Defendants 1N THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. ~:~ q '". J~, CIVIL ACTION-LAW '~-~ CERTIFICATION OF ADDRESS AND NOW, this 23ra day of February 2004, comes, DA VID d. LANZA, and certifies as follows: The address of the Defendants is 714 Lindwood, Greensburg, PA 15601. Respectfully submitted, By: ~ David J. Lanza Attorney I.D. No. 55782 2157 Market Street Camp Hill, PA 17011 Telephone (717) 730-3775 Attorney for Plaintiff PRAECIPE FOR WRIT OF EXECUTION - (MONEY JUDGMENTS) P.R.C.P. 3101 to 3149 Etc. BLACKTHORN, INC. Plaintiff Keystone Pre-Cast Concrete Products Brian Swank Defendants VS. and IN TIlE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA Writ No. Term, 20 No. 04-,~8~ CIVIL Term, 2004 Amount Due $ 3,201.98 Interest From September 10, 2003 Attorney's Com. Costs ~ TO THE PROTHONOTARY OF SAID COURT: Please issue WRIT OF EXECUTION in the above matter, (1) Directed to the Sheriffof Westmoreland County, Pennsylvania; (2) Against Keystone Pre-Cast Concrete Products and Brian Swank 714 Lindwood, Greensbure, PA 15601 Defendant (s); (3) and against Garnishee (s); (4) and index this xwit (a) against Keystone Pre-Cast Concrete Products and Brian Swank 714 Lindwood, Greensburg, PA 1560l Defendant (s); and (b) against Garnishee (s), as a lis pendens against the real propen), of the Defendant (s) in the name of the Garnishee (s) as follows: (Specifically describe property) Lev), upon, attach and sell all personal property of the Defendants, Keystone Pre-Cast Concrete Products and Brian Swank, inchtding all fitrnitttre, office equipment, household goods, appliances, equipment, computers and other moveable personalty situate at 714 Lindwood, Greensburg, PA 15601. (5) Exemption has (not) been waived. Date: March 29, 2004 i/~ :28-1 Atlomey for Plaintiff(s) NOTE Under paragraph ( I ) ~hen the ~srit is directed to the sheriffo£ another county ~s authorized by Rule 3103(b), the county should be indicated Under Ru~e 3 ~ ~3( c) a ~ r~t issued ~n a ~ransferred ~udgment may be directed ~n~y t~ the she~i~ ~f the c~unty in which issued. Paragraph (3) above should be completed only ifa named garnishee is to be included in the writ. Paragraph (4) (a) should be completed only if indexing of the execution in the county of issuance, is desired ~s authorized by Rule 3104(a). When the x~qrit issues to another courtD indexing is required as of course in that county by the prothonotary. See Rule 3104(b). Paragraph 4 (b) should be completed only il'real properly in the name o£a garnishee is anached and indexing as a lis pendens is desired. See Rule 3104(c). q3t> WRIT OF EXECUTION and/or ATTACHMENT COMMONWEALTH OF PENNSYLVANIA) NO04-856 Civil COUNTY OF CUMBERLAND) CIVIL ACTION - LAW TO THE SHERIFF OF Y/es tmoreland COUNTY: To satisfy the debt, interest and costs due BLACKTHORN INC Plaintiff (s) From KEYSTONE PRE-CAST CONCRETE PRODUCTS AND BRIAN SWANK 714 L1NDWOOD GREENSBURG PA 15601 (1) You are directed to levy upon the property of the defendant (s)and to sell ALL PERSONAL PROPERTY OF THE DEFENDANTS KEYSTONE PRE-CAST CONCRETE AND BRIAN SWANK INCLUDING ALL FURNITURE, OFFICE EQUIPMENT, HOUSEHOLD GOODS, APPLIANCES, EQUIPMENT, COMPUTERS AND OTHER MOVEABLE PERSONALTY SITUATE AT 714 LINDWOOD GREENSBURG, Pa 15601. (2) You are also directed to attach the property of the defendant(s) not levied upon in the possession of GARNISHEE(S) as follows: and to notify the garnishee(s) that: (a) an attachment has been issued; (b) the garnishee(s) is enjoined from paying any debt to or for the account of the defendant (s) and from delivering any property of the defendant (s) or otherwise disposing thereof; (3) If property of the defendam(s) not levied npon an subject to attachment is found in the possession of anyone other than a named garnishee, you are directed to notify him/her that he/she has been added as a garnishee and is enjoined as above stated. Amount Due $ 3,201.98 Interest from September 10, 2003 Atty's Corem % L.L.$ 0.50 Due Prothy $1.00 Atty Paid $ 37.50 Plaintiff Paid Date: MARCH 31, 2004 (Seal) REQUESTING PARTY: Name DAVID J LANZA, ESQUIRE Address: 2157 MARKET STREET CAMP HILL, PA 17011 Other Costs CURTIS R. LONG Prothonotary Deputy Att0rney~r:PLAINTIFF Telephone (717)730-3775 Supreme Court ID No. 55782