Loading...
HomeMy WebLinkAbout08-4201 Bruce D. Foreman, Esquire Foreman, Foreman & Caraciolo, Y.C. Attorney ID No. 21193 112 Market Street, 6d' Floor I Iarrisbur& PA 17101 (717) 236-9391 - Telephone (717) 236-6602 - Facsimile brute@ffclaw.net Attorney for Plaintiff CENTRIC BANK, SUCCESSOR TO VARTAN NATIONAL BANK, Plaintiff, V. JEFFERY NILSEN, JR. AND DAWN NILSEN, Defendants NO. 0 Y- V J-01 e_c - Q _.c,,. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW NOTICE 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 Plaintiffs. 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 TOT 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 1-800-990-9108 717-249-3166 1 Bruce D. Foreman, Esquire Foreman, Foreman & Caraciolo, P.C. Attorney ID No. 21193 112 Market Street, 6t^ Floor Harrisburg, PA 17101 (717) 236-9391 - Telephone (717) 236-6602 - Facsimile brute@ffclaw.net Attorney for Plaintiff CENTRIC BANK, SUCCESSOR TO IN THE COURT OF COMMON PLEAS OF VARTAN NATIONAL BANK, CUMBERLAND COUNTY, PENNSYLVANIA Plaintiff, vi. CIVIL ACTION - LAW JEFFERY NILSEN, JR. AND DAWN NILSEN, Defendants. COMPLAINT AND NOW, comes the Plaintiff, Centric Bank, successor to Vartan National Bank, by and through its attorneys, Bruce D. Foreman, Esquire and Foreman, Foreman & Caraciolo, P.C. and avers as follows: 1. Plaintiff is Centric Bank, successor to Vartan National Bank, a federally chartered bank with principal offices located at 3601 Vartan Way, Harrisburg, Dauphin County, Pennsylvania, 17110. 2. Defendants are Jeffery Nilsen, Jr and Dawn Nilsen, husband and wife, with principal residence at 6098 Geneva Drive, Mechanicsburg, Cumberland County, Pennsylvania. 3. On or about October 6, 2003, Defendants, jointly and severally, entered into a Promissory Notice ("Note") evidencing a loan with Vartan National Bank obligating Defendants, jointly and severally, to pay Plaintiff under the terms of said Note for the principal sum of $42,300.00 together for all credit extended together with interest at the rate of 10.00%, reasonable collection fees and other charges. A true and correct copy of the Note, dated October 6, 2003 and signed by each of the Defendants, is attached hereto, labeled Exhibit "A" and made a part hereof. 4. Under the terms of the Note, Plaintiff is entitled to declare a default on the failure to pay a minimum payment when due. 2 5. Defendants, and each Defendant, has failed to pay the minimum payments due and, accordingly, Plaintiff declares the Note in default and all sum owning thereunder immediately due. 6. As of July 14, 2008, Defendants owes the principal sum of $35,486.17, and interest through July 14, 2008 in the amount of $1,263.89 for a total loan balance of $36,750.06. 7. According to the terms of the Note, in addition to principal and interest payments, late charges of $15.00. 8. According to the Note, upon default, all collection costs incurred by Plaintiff are due and payable from Defendants, jointly and severally. 9. Through July 14, 2008, Plaintiff's collections costs in the amount of $ 78.50 for court costs and $1,000.00 attorneys fees which amount is demanded from Defendants jointly and severally. 10. Plaintiff has demanded payment on the credit extended by Plaintiff to Defendants and, despite repeated demands, and despite the obligation of Defendants to pay the same, it has not been paid. WHEREFORE, Plaintiff demands judgment against Defendants, jointly and severally, in the amount of $ 37,843.56 together with continuing interest at the rate of $10.00% per diem, and all court costs, legal fees and other reasonable costs of collection expended from July 14, 2008 and thereafter. Respectfully Submitted, , r? MAN & CARACIOLO, P.C. Bruce D. man, Esq euLr Attorney ID A)D. 21193 112 Market Street, 6`h Floor Harrisburg, PA 17101 (717) 236-9391 - Telephone (717) 236-6602 - Facsimile bruce@ffclaw.net Attorneys for Plaint 3 Exhibit A 1006/2003 11:29 7176571472 VARTA'J NATILNAL BANK rrauc eg, PROMISSORY N Borrower: Jeffery Nilsen, Jr. DoWn Nilsen 6098 Geneva Drive Mechanicsburg, PA 17055 Lender: artan National Bank Progress Office 3601 Vartern Way iHarrlsburg, PA 17110 Principal Amount: $42,300.00 Interest Rate: 10.i PROMISE TO PAY. I promise to pay to Varian National Bank ("Lender"), or o principal amount of Forty Two Thousand Three Hundred & 001100 Dollars ($42,30 on the unpaid principal balance from October 6, 2003, until paid in full. PAYMENT. I will pay this loan In 180 payments of $454.78 each payment. My payments are due on the some clay of each month after that. My final payment w all accrued Interest not yet paid- Payments Include principal and interest. inter4 that is, by applying the ratio of the annual interest rate over the number of days in a p the actual number of days the principal balance is outstanding. I wit[ pay Lender at L may designate in writing. Unless otherwise agreed or required by applicable law, p principal, and any remaining amount to any unpaid collection costs and late charges. PREPAYMENT. I may Pay Without penalty all or a portion of the an not, unless agreed to by Lender in writing, relieve me of my obligation to continue to reduce the principal balance due and may result In me making fewer payments. k Date in lawful money of thi together with Interest i st payment Is due Move be due on October e, 201 on this Note Is computed multiplied by the outstan der's address shown aba menu will be applied first Note: October 6, 2003 ilted States of America, the e rate of 1o.aoo% per annum ?r 6, 2003, and all subsequent ind will be for all principal and a 3651365 simple interest basis; principal balance, multiplied by r at such other place as Lender accrued unpaid interest, then to owed earlier the It Is due. Early payments will payments under the p' ernt schedule. Rather, they will LATE CHARGE. If a payment is 16 days or more late, I will be charged 5.000% ¢f the unpaid portion of the $5.00, whichever is less- DEFAULT. I wit be in default If any of the following happens' (a) I fail to make or Lender, or I fall to comply with or to perform when due any other term, obligation, related to this Note, or in any other agreement or loan I have with under. (c) Any re on my behalf is faire or misleading in any materlal respect either now or at the time appointed for any part of my property, I make an assignment for the benefit of credits under any bankruptcy or insolvency saws- (e) Any creditor tries to take any of my pr includes a garnishment of any of my accounts with Lender. (f) Any of the events des of this Note. (g) Lander in good faith dooms Itself Insecure. If any default, other than a default In payment, is curable and it I have not been given preceding twelve (12) months, it may be cured (and no event of default will have oc cure of such default: (a) cure the default within fifteen (16) days; or (b) if the cure roc Lender deems in Lender's solo discretion to be sufficient to cure the default and then sufficient to produce compliance as soon as reasonably practical. LENDER'S RIGHTS. Upon default, Lender in most cases will send me a notice of s within thirty (30) days from the postmarked data of the notice, Lender may declare unpaid interest immediately due, and then I will pay that amount. If, however, (a) I two (2) notices of default within a one (1) year period, or (c) other extreme circumstal such notices as required by applicable law, declare the entire unpaid principal balan end than I will pay that amount. Lender may hire or pay someone also to help collect Includes, subject to any limits under applicable law, Lender's attorneys' fees and Let attorneys' fees and legal expenses for bankruptcy proceedings (including efforts to me anticipated post-judgment colleotion services, if not prohibited by applicable taw, I al by law. If judgment is entered In connection with this Note, interest will continue h provided for In this Note. This Note has been delivered to Lender and accepted b lawsuit. I agree upon Lender's request to submit to the jurisdiction of the courts Note shall be governed by and construed in accordance with the laws of the Corr RIGHT OF SETOFF. i grant to Lender a contractual security interest In, and hereby a title and interest In and to, my accounts with Lender (whether checking, savings, or P jointly with someone else and all accounts I may open In the future, excluding howev grant of a security interest would be prohibited by law. I authorize Lender, to the ext on this Note against any and all such accounts. GENERAL PROVISIONS. Lender may delay or forgo enforcing any of its rights or person who signs, guarantees or endorses this Note, to the extent allowed by law, dishonor. Upon any change in the terms of this Note, and unless otherwise expressly guarantor, accommodation maker or endorser, shall be released from liability. All su for any length of time) this loan, or release any party or guarantor or collateral; or Im collateral. All such parties also agree that Lender may modify this loan without the c modifioation Is made. The obligations under this Note are joint and several. This m persons slgning below. PRIOR TO SIGNING THIS NOTE, I, AND EACH OF US, READ AND UNDERSTOO COSIGNER SET FORTH BELOW. 1, AND EACH OF US, AGREE TO THE T COMPLETED CONY OF THE NOTE. payment when due. (b) I t venant, or condition contaii esentation or statement ma; lade or furnished. (d) I die , or any proceeding Is eomr arty on or in which Lender bed in this default section o notice of a breach of the si Fred) if I, after receiving wr ras more than fifteen (15) d Pier continue and complete scheduled payment or ak any promise i have made to i in this Note or any agreement or furnished to Lender by me or become Insolvent, a receiver is iced either by me or against me I a lien or security interest. This irs with respect to any guarantor provision of this Note within the i notice from Lender demanding , immediately initiate steps which reasonable and necessarysteps sfwlt by registered or oertifiE ie entire unpaid principal be ave abandoned the Proparb, ,as exist which jeopardize th a on this Note and all acerw Its Nate if I do not pay. I ale Jar's legal expenses whathel lity or vacate any automatic o will pay any court oasts, In accrue on this Note after ju Lender in the Commonw6 f baluphin County, the Com nonweatth of Pennsylvania, sign, convey, deliver, pledge me other account), Including all IRA and Keogh accounts, t permitted by applicable lax remedies under this Note wf waive presentment, demand stated in writing, no party whc h parties agree that Lender m air, fail to realize upon or per tnsent of or notice to anyone bans that the words "I", "me", ALL THE PROVISIONS OF l<MS OF THE NOTE AND mail. It I do not cure the default ice on this Note and all aocrued (b) I previously have been given 'roperty, Lender may, after giving unpaid interest immediately due, vill pay Lender that amount. This r not there Is a lawsuit, including ir or injunction), appeals, and any idition to all other sums provided ment at the existing Interest rate h of Pennsylvania. If there is a )nwealth of Pennsylvania. This Lnd transfer to Lender all my right, without limitation all accounts held rid all trust accounts for which the io charge or setoff at sums owing ut losing them. I and any other payment, protest and notice of gns this Note, whether as maker, renew or extend (repeatedly and t Lender's security interest In the er than the party with whom the d "my" mean each and all of the NOTE AND THE NOTICE TO IOWLEDGE RECEIPT OF A THIS NOTE HAS BEEN SIGNED AND SEALED BY THE UNDERSIGNED, BORROWER. 113/06/2003 11: 29 71765714 rl JHfC I H1V IVH 11VIVH1_ nHivN r 10-06-2003 PROMISSORY NOTE Page 2 Loan No 61523 (Continued) f > -? A-J NOTICE TO COSIGNER You are being asked to guarantee this debt. Think carefully before you do. If the borrower doesn't pay the you can afford to pay if you have to, and that you want to accept this responsibility. You may have to pay up to the full amount of the debt If the borrower does not pay. You may also have to i which increase this amount. The tender can collect this debt from you without first trying to collect from the borrower. The lender can u against you that can be used against the borrower, such as suing you, garnishing your wages, etc. If this deb become a part of YOUR credit record- This notice Is not the contract that makes you liable for the debt, bt, you will have to. Be sure fate fees or collection costs, the same collection methods ever In default, that fact may Elxcd Rate. Installment. LASER PRO, Reg. U.S. Pat, d T.M. Off., Ver. 3.298 (C)Concentrex7003 All rlghte reser ct. IPA-D2o E3.29 NILSEN.LN 07 Bruce D. Foreman, Esquire Foreman, Foreman & Caraciolo, P.C. Attorney ID No. 21193 112 Market Street, 61h Floor Harrisburg, PA 17101 (717) 236-9391 - Telephone (717) 236-6602 - Facsimile brace@ffclaw.net CENTRIC BANK, SUCCESSOR TO IN THE COURT OF COMMON PLEAS OF VARTAN NATIONAL BANK, CUMBERLAND COUNTY, PENNSYLVANIA Plaintiff, NO. vii. JEFFERY NILSEN, JR. AND CIVIL ACTION -LAW DAWN NILSEN, Defendants. VERIFICATION I, Doris K. Ney, personal representative of Plaintiff, Centric Bank, successor to Vartan National Bank, verify that the statements made in foregoing Complaint are true and correct to the best of my knowledge. I understand that false statements herein are made subject to the penalties of 18 Pa. C.S. Section 4904, relating to unsworn falsification to authorities. Date: 7 141 Q 4 TI ' n r'} Y SHERIFF'S RETURN - OUT OF COUNTY CASE NO: 2008-04201 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND CENTRIC BANK VS NILSEN JEFFERY JR ET AL 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: NILSEN JEFFERY JR but was unable to locate Him in his bailiwick. He therefore deputized the sheriff of YORK County, Pennsylvania, to serve the within COMPLAINT & NOTICE On August 22nd , 2008 , this office was in receipt of the attached return from YORK Sheriff's Costs: So answers: Docketing 18.00 ~=='"""? Out of County 9.00 Surcharge 10.00 R`' Thomas Kli e Dep York County 108.99 Sheriff of Cu erland County: Postage 2.95 148.94 ? SoR?op 08/22/2008 FOREMAN FOREMAN CARACIOLO Sworn and subscribe to before me this day of A. D. SHERIFF'S RETURN - OUT OF COUNTY CASE NO: 2008-04201 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND CENTRIC BANK VS NILSEN JEFFERY JR ET AL R. Thomas Kline , Sheriff or Deputy Sheriff wh being duly sworn according to law, says, that he made a diligent se rch and and inquiry for the within named DEFENDANT to wit: NILSEN DAWN but was unable to locate Her in his bailiwick. He therefre deputized the sheriff of YORK County, Pennsylva ia, to serve the within COMPLAINT & NOTICE On August 22nd , 2008 , attached return from YORK Sheriff's Costs: is office was in receipt of the So ans Docketing 6.00 Out of County .00 Surcharge 10.00 R. Thomas Kline .00 Sheriff of Cumberland County .00 16.00 `? ?Jozt?S 08/22/2008 FOREMAN FOREMAN CARACIOLO Sworn and subscribe to before me this day of , A. D. PENNY PRESS OF YORK IfiC. Ph (717) 843.4078 Fax (717) 848-1380 -:0A1?/ C 1 OF 2 COUNTY OF YORK OFFICE OF "THE SHERIFF 45 N. GEORGE ST., YORK, PA 17401 SHERIFF SERVICE PROCESS RECEIPT and AFFIDAVIT OF RETURN 1 PLAINTIFFS/ Centric Bank PLEASE TYPE ONLY 00 "OT L ETACH 1 2 COURT NUMBER^ 3 DEFENDANT/S/ Jeffery Nilsen Jr et al t. TYPE OF WRIT OR W11 & EA SERVICE CALL (717) 771-%01 0M L( 1 THM 12 S )874201 civil 31M LAINT Tint SERVE S. NAME OF INDIVIDUAL, COMPANY, CORPORATION, ETC TO SERVE OR DESCRIPTION OF PROPERTY TO BE LEVIED, ATTACHED, OR SOLD Jeffery Nilsen Jr. ADDRESS (STREET OR RFO WITH BOX NUMBER. APT NO.. CITY ORO TWP, TATE AND ZIP CODE) AT Walmar Drive Dillsburg, PA 17019 7. INDICATE SERVICE O PERSONAL O PERSON IN CHARGE )(DEPUTIZE L ? 1 ST CLASS MAIL U 06STED U OTHER NOW August 4 2008 I, SHERIFF OF COUNTY, PA, do hereby deputize the sheriff of ?return they ccording York COUNTY to execute this-IAWOS? to law. This deputization being made at the request and risk of the plaintiff., 77 SHERIFF OF C NTY land 8. SPECIAL INSTRUCTIONS OR OTHER INFORMATION THAT WILL ASSIST IN EXPEDITING SERVICE OUT Ovo??;r Alternate address for service: 60 Walmar Drive Dillsburg Please mail return of service to Cumberland County Sheriff. Thank You. _ADV FEE PAID RV CUMBERLAND Co RNFRTRR NOTE: ONLY APPLICABLE ON WRIT OF EXECUTION: N.B. WAIVER OF WATCHMAN - Any deputy sheriff levying upon or attaching any property under 'within wnt may leave same without a watchman, in custody of whomever is found in possession, after notifying person of levy or attachment, without liability on the part of such deputy or the sheriff to any plaintiff herein for amt toss, destruction, or removal of any property before sheriffs sale thereof. 9. TYPE NAME and ADDRESS of ATTORNEY / ORIGINATOR and SIGNATURARUCE D. FOREMAN, ESQ. 10. TELEPHONE NUMBER it DATE FILED 112 MARKET ST., 6th FL., HARRISBURG, PA 17101 717-236-9391 17-15-08 12. SEND NOTICE OF SERVICE COPY TO NAME AND ADDRESS BELOW: (This area must be completed 0 notice is to be mailed) CUMBERLAND CO SHERIFF rs-'nr cars caw rnio rlettr tW 1 LW cJIC"0WIP Inn UnT WI<'!ft t*i nW TSM l 13. 1 admowiedge receipt of the writ 14. DATE RECEIVED 15. Expiration/Hearing Date or complaint as indicated above. MJ MCG I LL YC SO 18-5-20 0 8 ?-14-2008 oe- 16. HOW SERVED: PERSONAL RESiDENC POSTED( ) POE ( ) SHERIFF'S OFFICE ( ) OTHER ( ) SEE REMARKS BELOW 17. O 1 hereby certify and return a NOT FOUND because I am unable to locate the individual, company, etc. named above. (See remarks below.) 1 A LE OF IN ID SER / LIST ADDRESS HERE IF NOT SHOWN ABOVE (Relationship to Defendant) It nice 20 Time of Serv L AL Je-4e t, L W s2h St. &.2 3/m t. ATTE 'FWA Miles Date Time Mid Int. Date Time Miles Int. Date Time Miles Int. Date Time Miles Init. Date Time Miles Int. 22. REMARKS: J 23. Advance Costs $150.00 34. Foniyn County 24. Service Costs 25 N/F 26. Mileage 27. Postage 26. Sub Total 29. Pound 30. Notary 31. Surchg. 32. Tot. Costs 33 Costs Due etund heck No. Its 35. Advance Costs 36 Service Costs 37. Notary Cert. 38. Mileage/PostagetNot Found 39. Total Costs 40. Costs Due or Refund 41. AFFIRMED and subscribed to be a me 42. day of AUG 20 0 8 43 LA2A COIU,MC'WP;?LTH ^r e ,TA,7!_SEA.L LISA L E `a ?1P -IOTARY PUBLIC , ... ?r ``RK COUNTY M. Signature of L it / Dep. Sherif - r J? 46. Signature of York 47. 15ATE County Sherif RTr ARD P?. KEUII?- ?,E-X?R, 8-19- 48 Sionature of Foreign e9 nATF aiV PENNY PRESS OF YORK, INC. Ph (717) 843-4078 Fax (717) 648-1360 2 OF 2 COUNTY OF YORK OFFICE OF THE SHERIFF S(R,'7719601 45 N. GEORGE ST., YORK, PA 17401 SHERIFF SERVICE "STRUCTItM PROCESS RECEIPT and AFFIDAVIT OF RETURN PLEASE TYPE OWY LM I TWU'12 00 NM bETACH MY CO MS 1 PLAINTIFF/S/ 2 COURT NUMBER Centric Bank 8-4201 civil 3. DEFENDANT/S/ V 1' 1 C IT(;1 GprPMNT Jeffry Nilsen Jr et al Notice and Complaint SERVE 5. NAME OF INDIVIDUAL, COMPANY. CORPORATION, ETC TO SERVE OR DESCRIPTION OF PROPERTY TO BE LEVIED, ATTACHED, OR SOLD Dawn Nilsen 6. ADDRESS (STREET OR RFO WITH BOX NUMBER, APT NO., CITY, BORO. STATE AND ZIP CODE) AT 16 Walmar Drive Dillsburg, PA 17019 /4 a?f r. INDICATE SERVICE' Li PERSONAL u PERSON IN CHARGE JKOEPUTIZE O CERT. MAIL U 1 ST CLASS MAIL 0 FROSTED 0 OTHER NOW August 4 , 2008 I, SHERIF OUNTY, PA, do hereby deputize the sheriff of York COUNTY to execute thi return there rding to law. This deputization being made at the request and risk of the plaintiff., 7 SHERIFF OF it 8. SPECIAL INSTRUCTIONS OR OTHER INFORMATION THAT WILL ASSIST IN EXPEDITING SERVICE -OUT OF CO Ctmbe rland Alternate address for service: 60 Walmar Drive DillsburgV JM Ard Please mail return of service to Cumberland County Sheriff. Thank you. ADV FEE PAID BY CUMBERLAND CO SHERIFF NOTE: ONLY APPLICABLE ON WRIT OF EXECUTION: N.B. WAIVER OF WATCHMAN -Any deputy sheriff levying upon or attaching any property under within writ may leave same without a watchman, in custody of whomever is found in possession, after notifying person of levy or attachment, without liability on the part of such deputy or the sheriff to any plaintiff herein for any loss, destnutxion, or removal of any property before sheriff's sale thereof. 9. TYPE NAME and ADDRESS of ATTORNEY/ ORIGINATOR and SIGNATURFBRUCE D. FOREMAN, ESQ. 10. TELEPHONE NUMBER 11 DATE FILED 112 MARKET ST., 6th FL, HARRISBURG, PA 17101 1717-236-9.191 17-15-2008 12. SEND NOTICE OF SERVICE COPY TO NAME AND ADDRESS BELOW: (This area must be completed if notice is to be mailed) CUMBERLAND CO SHERIFF SPACE BELOW FOR USE OF TW SHFi - (>k'1 &AftT wo1 M Am 1 T"M la = 13. 1 acknowledge receipt of the writ 14. DATE RECEIVED 15. Expiration Hearing Date or complaint as indicated above. M J MC G I LL YC S O 18-5-08 18-14-2008 16. HOW SERVED PERSONAL( ) RESIDENCE ( ) POSTED( ) POE( ) SHERIFF'S OFFICE ( ) OTHER( ) SEE REMARKS BELOW 17. I hereby certify and return a NOT FOUND because 1 am unable to locate the individual, company, etc. named above. (See remarks below.) 187 NAME AND TITLE OF INDIVIDUAL SERVED / LIST ADDRESS HERE IF NOT SHOWN ABOVE (Relationship to Defendant) 19. Date of Service 20 Time of Service I of 21. ATTEMPTSUiE I&%. 1 Mile _.It. Date Time Miles Int. Date Time Miles Int. Date Time Miles Int. Date Time Miles Int. 22. REMARKS: PER JEFFREY NILSEN DAWN NILSEN DOES NOT LIVE AT THIS ADDRESS SHE MOVED TO YORK CITY. PER POST OFFICE CHECK MAIL IS DELIVERED TO ADDRESS GIVEN. 23. Advance Costs 24. Service Costs 25 N/F 26. Mileage 27. Postage 28. Sub Total 29. Pound 30 Notary 31. Surchg. 32. Tot. Costs 33 Costs Due or Refund Check No. 34. F~ County Costs 35. Advance Costs 36 Service Costs 37. Notary Cert. 38. M6eage/Postage(Not Found 39. Total Costs ! 40- Costs Due or Refund 41. AFFIRMED and subscribed to ore me this .19th SO ANSWERS 44. 42. day of j Signature 45. DATE Dep. Sherdf 46. Signature of York _ ?i N,C JARs A! - SEAL County Sheriff 47. DATE Ll&"L ?PJ`vV, ^IC:/TARYPUBLIC RICHARD P. E Z?VER SH IFF $-19-2008 C T t" RK COUNTY 48. Signature of Foreign ?o onno 49. DATE David D. Bueff Prothonotary KirkS. Sohonage, ESQ Solicitor 0 knee X Simpson 15C Deputy 1tothonotary Irene E. Morrow 2 d Deputy Prothonotary Office of the Prothonotary Cum6erland County, Tennsy(vania 0 A -'7.261 CIVIL TERM ORDER OF TERMINATION OF COURT CASES AND NOW THIS 25TH DAY OF OCTOBER, 2011, AFTER MAILING NOTICE OF INTENTION TO PROCEED AND RECEIVING NO RESPONSE -THE ABOVE CASE IS HEREBY TERMINATED WITH PREJUDICE IN ACCORDANCE WITH PA R.C.P 230.2 BY THE COURT, DAVID D. BUELL PROTHONOTARY One Courthouse Square 9 Suite 100 • Carfiste, V 17013 • (717 240-6195 0 FaA- (717 240-6573