HomeMy WebLinkAbout08-4578REAGER & ADLER, P.C.
BY:JOHN H. PIETRZAK, ESQUIRE
Attorney I.D. No. 79538
Email: JuietrzakCa7ReauerAdlerPC.com
BY: THOMAS O. WILLIAMS, ESQUIRE
Attorney I.D. No. 67987
Email: Twilliamsa-ReagerAdlerPC com
2331 Market Street
Camp Hill, PA 17011
Telephone: (717) 763-1383
Facsimile: (717) 730-7366
Attomeys for James F. Carchidi. Jr.
JAMES F. CARCHIDI, JR. IN THE COURT OF COMMON PLEAS,
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
V. CIVIL ACTION t
?' - '
BERT PANTEL, NO.
ROBERT
Defendant : CONFESSION OF JUDGMENT
PRAECIPE FOR ENTRY OF JUDGMENT BY CONFESSION
TO THE PROTHONOTARY:
Kindly enter judgment by confession in the above-captioned matter for the Plaintiff and
against the Defendant, and assess damages in the amount of $xxxx, plus interest from May 31,
2008, as follows:
Principal $ 8,379.89
Interest $ 260.82 (plus $1.31 per day after 7/30/08)
Collection fees $ 399.52 (attorney's commission)
Total: $ 9,040.23
Date: July 30, 2008
Respectfully submitted,
REAGER & ADLER, P.C.
Jo . Pietrzak, Esquire
Attorney for Defendant
READER & ADLER, P.C.
BY:JOHN H. PIETRZAK, ESQUIRE
Attorney I.D. No. 79538
Email: J ietrzak,Sa ReagerAdlerPC.com
BY: THOMAS O. WILLIAMS, ESQUIRE
Attorney I.D. No. 67987
Email: Twilliams i ReagerAdlerPC.com
2331 Market Street
Camp Hill, PA 17011
Telephone: (717) 763-1383
Facsimile: (717) 730-7366
Attorneys for James F. Carchidi, Jr.
JAMES F. CARCOIDI, JR. IN THE COURT OF COMMON PLEAS,
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
V. CIVIL ACTION
-7 4
ROBERT PANTEL, NO. qS g cd ?` et"`
Defendant : CONFESSION OF JUDGMENT
CONFESSION OF JUDGMENT
Pursuant to the authority in the Warrant of Attorney, the original or a copy of which is
attached to the Complaint filed in this action, I appear for the Defendant and confess judgment in
favor of the Plaintiff and against Defendant as follows:
Principal $ 8,379.89
Interest $ 260.82 (plus $1.31 per day after 7/30/08)
Collection fees $ 399.52 (attorney's commission)
Total: $ 9,040.23
Respectfully submitted,
REAGER & ADLER, P.C.
Date: July 30, 2008
zlo?Q?
Jo Pietrzak, squire
Att ey for Defendants
P
REAGER & ADLER, P.C.
BY:JOHN H. PIETRZAK, ESQUIRE
Attorney I.D. No. 79538
Email: Jj1etrzak(&,ReagerAdlerPC.com
BY: THOMAS O. WILLIAMS, ESQUIRE
Attorney I.D. No. 67987
Email: Twilliams(a ReagerAdlerPC.com
2331 Market Street
Camp Hill, PA 17011
Telephone: (717) 763-1383
Facsimile: (717) 730-7366
Attorneys for James F. Carchidi, Jr.
JAMES F. CARCHIDI, JR. : IN THE COURT OF COMMON PLEAS,
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
V. CIVIL ACTION
ROBERT PANTEL, NO. Q ?-` LI 7 - c l-1 1 4 Ul`
Defendant : CONFESSION OF JUDGMENT
COMPLAINT IN CONFESSION OF JUDGMENT
1. Plaintiff, James F. Carchidi, Jr. (hereinafter "Carchidi") is an adult individual with
a mailing address of 60 High Ridge Trail, Mechanicsburg, Pennsylvania 17050.
2. Defendant Robert Pantel (hereinafter "Pantel") is an adult individual with a
mailing address of 460 St. Johns Road, Camp Hill, Pennsylvania 17011.
3. This is an action to confess judgment for damages arising out of Pantel's default
of an installment real estate contract entered into between Pantel and Carchidi on February 1,
2005.
4. Judgment is not being entered by confession of judgment against a natural person
in connection with a consumer credit transaction.
5. On February 1, 2005, Pantel and Carchidi entered into an installment real estate
contract (hereinafter the "Sales Contract") under which Pantel agreed to purchase and Carchidi
agreed to sell certain real property located at 2626 Derry Street, Harrisburg, Dauphin County,
Pennsylvania 17104 (hereinafter "the Property") to Pantel for $55,000.00, payable in monthly
installments of $449.41 for a period of 215 months.
6. A true and correct copy of the Sales Contract under which Carchidi has confessed
judgment is attached hereto and incorporated herein, as Exhibit "A".
7. Under the terms of the Sales Contract, Pantel was obligated to pay $450.00 per
month to Carchidi. In the event Pantel defaulted on a payment, a $50.00 late fee was to be added
to the monthly payment, for a total of $500.00.
8. Pantel has defaulted under the terms of the Sales Contract by failing to pay the
$450.00 monthly installment for January, February and March 2007. Accordingly, the $50.00
late fee applies to each missed monthly payment, for a total of $1,500.00.
9. Under the terms of the Sales Contract, Pantel was obligated and responsible to pay
any and all real estate taxes, water, sewer and municipal claims and assessment related to the
Property.
10. Pantel has defaulted under the terms of the Sales Contract by failing to pay 2007
real estate taxes, water bill and a building code inspection fine, in the total principal amount of
$6,490.46.
11. The total principal amount of the judgment sought for the amount in arrears is
$7,990.46.
12. Paragraph 9 of the Sales Contract provides that Pantel must pay an
accommodation charge of 6% for amounts that Carchidi pays due to Pantel's default.
13. Carchidi paid the total amount of $6,490.46 to pay the 2007 real estate taxes,
water bill and a building code inspection fine that Pantel failed to pay. Therefore, Carchidi is
entitled to, and Pantel must pay, a 6% accommodation fee of $389.43.
14. The total judgment amount, including 6% interest per year and 5% attorney's fees,
as provided for in the Sales Contract, is $9,040.23 plus interest that continues to accrue at $1.31
per day after July 30, 2008. An itemized computation of the judgment amount sought is attached
as Exhibit "B".
15. Through legal counsel, Carchidi sent a Notice of Default letter to Pantel by
certified mail, return receipt requested on July 14, 2008. The Notice of Default Letter informed
Pantel that he was in default of the Sales Contract. A true and correct copy of the July 14, 2008
Notice of Default letter is attached hereto as Exhibit "C".
16. Pantel has not responded to the July 14, 2008 Notice of Default letter and has not
paid any amount due for the past due installment payments, taxes, water bills and inspection fine,
as set forth above.
17. The Sales Contract under which judgment is being confessed has not been
assigned.
18. Judgment has not been entered against Pantel in any jurisdiction for the unpaid
sum of $9,040.23 of the debt here demanded.
19. Judgment is demanded as authorized by the Warrant of Attorney contained in the
Sales Contract attached as Exhibit "A".
20. The Warrant appearing in the attached Lease is less than twenty (20) years old.
21. Carchidi has taken all actions or complied with all conditions precedent to the
filing of this action.
WHEREFORE, Plaintiff, James F. Carchidi, Jr. demands judgment against Defendant,
Robert Pantel, in the sum of $9,040.23, plus interest, which continues to accrue, as authorized by
the Warrant appearing in the attached Sales Contract, together with interest from the date of
judgment and costs.
Respectfully submitted,
REAGER & ADLER, P.C.
Date: July 30, 2008
John Pietrzak, squire
Atto ey I.D. No. 79538
Thomas O. Williams, Esquire
Attomey I.D. No. 67987
Attorneys for Plaintiff, James F. Carchidi, Jr.
?X?'b'?
,md7JdienWcj2group/2626.Isa
May 5, 2003
INSTALLMENT SALES AGREEMENT
THIS AGREEMENT, made and concluded this 1 k daYof 1/J!/t ia,-
2005, by and between JAMES F. CARCH MI (hereinafter referred to as "Seller") and ROBERT
PANTLE (hereinafter referred to as "Buyers").
In consideration of the mutual covenants and agreements hereinafter contained, it is agreed
by and between Seller and Buyers, as follows:
1. Premises. Seller agrees to sell to Buyers and Buyers agree to purchase and accept the
conveyance of all that certain tract or parcel of land, together with the improvements erected
thereon, if any, as more particularly described and set forth in Exhibit "A" which is attached
hereto and i ncorporated h erein b y r eference, c ommonly k nown a s 2626 Derry Street,
Harrisburg, Dauphin County, Pennsylvania..
2. Consideration. Buyers agree to pay to Seller as the full consideration or price of the said
premises the sum of Fifty Five Thousand Dollars ($55,000), payable as follows:
A. The sum of Five Thousand Dollars ($5,000) lawful money of the United States of
America upon execution of this Agreement.
B. Commencing on the 1st day of March, 2005, and thereafter on the same day of each
and every month, Buyers shall make monthly payments of principal and interest, at
the rate of Seven Percent (7%) on the remaining balance of Fifty Thousand
Dollars ($50,000) in the amount of Four Hundred Forty Nine Dollars and 41/100
($449.41).
The outstanding balance after payments of principal and interest as set forth above
shall be due and payable on February 1, 2008, the "maturity datg". This Agreement
may be extended for an additional three (3) months for securing financing in the event
Buyers have made application for financing with a lending institution before the
maturity date.
Prepayment. Buyers shall have the right to prepay all of the unpaid principal balance
without penalty assessment by Seller.
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4. Encumbrance. Seller acknowledges that there is no current financing against the property
and that he owns said property free and clear of any liens or encumbrances.
Preparation of Deed. Upon execution of this Agreement, Seller agrees to execute and
deliver a deed for the premises described to David W. Reager, Esquire, who shall retain said
Deed and deliver same to Buyers upon payment of the full purchase price stated in this
Agreement. B uyers a gree t o e xecute and d eliver a Q uit C laim D eed for the p remises
described to David W. Reager, Esquire who shall hold and deliver to Seller in the event of
a default. At the final closing on the purchase of the premises, Seller shall deliver to Buyers
each such deed.
6. Brokerage Fees and Commissions. Seller and Buyers and acknowledge that there is no
broker involved in this transaction and that there shall be no brokerage fees paid in
connection with this transaction.
7. Possession and Occupancv. Buyers shall be entitled to possession of the premises upon the
execution and delivery of this Agreement and the payment of any monies required at the time
.of, o r p rior t o, settlement, which shall occur on o r b efore February 1, 2005. Buyers
thereafter shall have the right of occupancy.
8. Apportionment of Real Estate Taxes Rents and Expenses. All local real estate taxes shall
be apportioned on a fiscal or calendar year basis as appropriate to the date of execution of
this Agreement. All rents, water rents, sewer rents, refuse charges and municipal
assessments will be apportioned pro-rata as of the legal title transfer of the property from
Seller to Buyer.
9. Local Real Estate Taxes, Future Water, Sewer and all Municipal Assessments and
Claims. All local real estate taxes, future water, sewer and all municipal assessment and
claims accruing from the date of the execution of this Agreement shall be the responsibility
of Buyers when and as same shall become due and payable which shall be paid directly to
the taxing authority or municipality, as appropriate. Buyer's agree to provide Seller with a
receipt marked "Paid" by the taxing authority or municipality for such taxes and municipal
services. Failure of Buyers to make such payments on the current basis shall give Seller
the option to make payment of the delinquent rents or charges and to add the amounts paid,
with interest or penalties plus a six (6%) percent accommodation charge, to the payments
otherwise required by this Agreement or at the option of Seller, to record the Quit Claim
Deed as referenced above to terminate the equitable interest of Buyer hereunder reverting
sole and exclusive ownership, including the rights to any rents, to Seller.
10. Transfer Taxes. Seller shall pay one-half of all realty transfer taxes calculated on the agreed
consideration at the rate applicable on the date of this Agreement, provided, however, Seller
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shall in no event be obligated to pay more than one (1 %) percent of the consideration stated
herein. Buyers shall pay increase in the rate thereof together with all other documentary or
transfer stamps or taxes. Said conveyance stamps and taxes shall be furnished or paid for at
the time of delivery of deed.
11. Casualty and Liability Insurance. Buyers agree, at their own expense, to insure the
premises by policy or policies of insurance with extended coverage in the amount of not less
than Fifty Thousand Dollars ($50,000). Said insurance policies shall be properly endorsed
designating Seller as a loss payee and additional insured. C-1 61X
12. Legal Title. The premises are being conveyed free and clear of all liens, encumbrances and
easements, excepting the following: existing building restrictions, ordinances, easements of
roads, privileges or rights of public service companies, if any, agreements or like matters of
record, and easements or restrictions visible upon the ground. Otherwise, the title to the
described real estate shall be good and marketable, such as will be insured by a licensed Title
Insurance Company at regular rates. Legal title shall be conveyed by fee simple deed with
a special warranty.
Buyers agree to accept title as it exists on the date hereof.
In the event Seller is unable to give a good and marketable title such as will be insured by
a licensed Title Insurance Company subject to the aforesaid, Buyers shall have the option of
taking such title as Seller can give, without abatement of price, or of being repaid all monies
paid by Buyers to Seller on account of the purchase price, less reasonable rental for the
period of occupancy, together with such reasonable costs of searching title, recording fees
and other expenses as Buyers may have incurred. In the latter event, there shall be no further
liability or obligation as to either party concerning this Agreement which thereafter shall be
null and void. Buyers shall be entitled to recover the costs aforesaid of title search only if
Buyers obtained an attorney's opinion of condition of title and notified Seller of any
objections within sixty (60) days after the date hereof.
13. Maintenance and Reuairs. Buyers agree that at their own expense, they will maintain the
premises and will not permit any waste or disrepair to occur. Buyers agree to comply with
federal, state, county or municipal law, ordinance or code in effect now or may become
effective in the future.
14. Improvements and Alterations. No major improvements or alterations shall be made to
the premises without the prior written consent of Seller, which consent shall not be
unreasonably withheld. Buyers agree that Seller or Seller's agent shall have the right at all
reasonable times of the day and upon reasonable notice under the circumstances to enter the
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premises for the purpose of inspection to determine whether Buyers have complied with the
terms hereof.
In the event of Buyers' default as to the terms of this Agreement, any and all improvements
and additions made to the subject premises shall be and remain a permanent part of the
premises; they shall not be removed by Buyers and B uyers will not be entitled to any
reimbursement therefor; nevertheless, if such improvements, alterations or additions were
made without the prior written approval of Seller, Buyers will remove same within thirty (30)
days upon written notice from Seller to do so. In the event of such notice to remove these
items, Buyers will repair the surfaces from which such improvements were removed in
conformity with the surrounding surfaces.
15. Structural Changes. Any and all structural changes to be made to the premises by the
Buyers must have the same approval and meet the same requirements as other improvements
and alterations as above provided. In the event that such structural changes are to be made,
Buyers shall indemnify Seller from the imposition ofinechanics claims, mechanics liens, and
encumbrances of any nature which might affect Seller's interest in the subject premises,
except as otherwise may be agreed in writing.
16. Assignment of Sale. This Agreement may not be assigned by Buyers without the prior
written approval of Seller, nor may the premises be sold by Buyers by means of an
installment sales agreement or comparable document without the prior written approval of
Seller; provided that nothing contained in this paragraph shall be construed as a prohibition
against the sale of the premises by Buyers to a third party whereby. Seller receives the full
consideration stated hereinabove. In the event of such an "outright" sale, Seller agrees to
execute (at no additional cost to Seller) all documents reasonably required to effect such a
sale and conveyance.
17. Warranty as to Use or Occupancy. Seller warrants that present use of the premises are in
conformity with federal, state and local laws relative to zoning, building and other laws,
ordinances or codes. Seller makes no warranty or representation'as to the conformity of any
future use or occupancy of the subject premises insofar as federal, state or local law are
concerned relative to zoning, building or other laws, ordinances or codes. In the event that
Buyers wish to obtain approval of a change of use or occupancy, Seller agrees to cooperate
to any reasonable degree in such application or request, providing all costs associated
therewith shall be borne by Buyers.
18. Condemnation. In the event of condemnation ofthe subject premises or anyportion thereof
by any governmental agency, public authority or utility prior to the payment of all the within
obligations from Buyers to Seller; the payment of damages for the "taking" shall be divided
between the Buyers and the Seller "as their respective interests then may appear."
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19. Default. Any failure of the Buyers to make payment of any monies required by this.
Agreement within thirty (30) days after the due date for such payment, or any acts, or the
performance of any act forbidden by this Agreement, or the failure to perform any act
required by this Agreement, may constitute a default, at the option of Seller. If any payments
due hereunder shall remain unpaid for five (5) days following the designated due date in
addition to other remedies hereunder, there shall be imposed a Fifty Dollar ($50.00) late fee
which shall be immediately due and payable.
In the case of default by Buyers, Seller may (a) declare the principal balance, together with
interest and other charges due hereunder, immediately due and payable; (b) retain any and
all monies received under the provision of this Agreement (whether on account of purchase
money or otherwise) as partial compensation for Buyers' use and occupancy of said premises
and a s l iquidated d amages for b reach o f t his A greement; o r (c) a xercise any r emedies
available to Seller at law or in equity. All remedies hereunder may be exercised individually,
successively or cumulatively, in the discretion of Seller.
All of the above effective only after written notice is provided to Buyers with fifteen (15)
days to cure, except that no notice is require prior to unposinon of a late fee. Seller agrees
to provide written notice of default to Buyer and George Zozoz both or either of which may
cure the default. In the event George Zozoz cures said default, any reimbursement between
Buyer and George Zozoz is strictly a matter between them and shall not include Seller. At
the time of final legal title transfer, Seller will record a deed transferring legal title to Buyer
unless Buyer has executed a Quit Claim Deed for his interests hereunder and this Agreement
has been assigned to George Zozoz then, in such event, legal title shall be transferred to
George Zozoz.
Notice of Default shall be.provided to:
Buyer: Robert Pantel
1845 Derry Street
Harrisburg, PA 17104
With copy to:
George Zozoz
605 S. 25 h Street
Harrisburg, PA 17104
19. Confession of Judgment. In the event of default of payment of any sum of principal or
interest herein agree to be paid for the space of thirty (30) days after the same shall become
due and payable by the terms hereof, or the breach of any other of the terms of this
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Agreement, the whole of said principal sum in the option of Seller, shall become due and
payable forthwith, anything hereinbefore contained to the contrary notwithstanding. In such
case of default, Buyers hereby authorize and empower any attorney of any court of record in
the Commonwealth of Pennsylvania or elsewhere to appear for Buyers and confess a
judgment for the entire principal sum and interest remaining unpaid thereon, with five (5%)
percent attorney's commission or fees, hereby waiving the right of exemption and inquisition
so far as the land herein described and any property or building thereof may be concerned.
Said Seller, as Seller's option, among other remedies available to Seller, may proceed by
Action of Ejectment on this Agreement after default made as aforesaid for the recovery of
said premises; in such case, Buyers hereby authorize and empower any attorney of any court
of record in the Commonwealth of Pennsylvania, or elsewhere, to appear for Buyers and
confess judgment of ejectment and authorize the immediate issuing of a Writ of Possession
and Execution (without asking leave of court) for the costs and five (5%) percent attorney's
commission or fees, waiving all stay and exemption laws.
Initials:
BUYERS ACKNOWLEDGE THAT THEY HAVE BEEN REPRESENTED BY LEGAL
COUNSEL IN CONNECTION WITH THE EXECUTION AND DELIVERY OF THIS
INSTALLMENT SALES AGREEMENT AND THAT THEY UNDERSTAND THIS PROVISION
FOR CONFESSION OF JUDGMENT AND THE BUYERS WAIVE ANY RIGHT TO NOTICE
ORHEARING WHICH THEY MIGHT OTHERWISE HAVE BEFORE ENTRY OF JUDGMENT.
Initials: 4' P
4( - -,
20
E
Placement of Liens and Rights of Purchasers to Pav Liens.
A. Seller agrees that she will not knowingly or voluntarily. cause any encumbrance to be
placed on said property without prior written approval of Buyers.
B. Notice of the entry of any mortgage, judgment, lien or other encumbrance affecting
title to said premises received by the Seller after the date of the execution of this
Agreement shall be given by the Seller to the Buyers within thirty (30) days of the
recording thereof in the Cumberland County Courthouse.
C. In the event any mortgage, judgment, lien or other encumbrance affecting title to the
premises existing at the date of the execution of this Agreement or hereafter entered
of record and default in the payment is made by the Seller, then Buyers shall have the
right to make the delinquent payments and to receive credit for the full amount of
said payment made by the Buyers and to deduct the amount thereof from the required
monthly payments under this Agreement. Prior to exercising the rights stated in the
paragraph, Buyers shall give Seller three (3) days' notice by certified mail of their
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May 5, 2003
intent to do so, but this provision shall not limit Buyers' right to make the delinquent
payments and to claim credit therefor.
21. Recording. A Memorandum of this Agreement may be filed of record in any public office,
as appropriate.
22. Anulicable Law. In the event of any disagreement or misunderstanding, the terms of this
Agreement shall be construed pursuant to the laws of the Commonwealth of Pennsylvania
in effect at the time of the execution hereof and as they may be amended subsequently.
23. Entire Agreement. This document contains the entire agreement between Buyers and
Seller; there are no representations, warranties, covenants, terms or conditions, except as
specifically set forth herein.
24. Time of the Essence. Time shall be of the essence of this Agreement and all of its
conditions or modifications.
25. Binding. Agreement. This Agreement shall extend to and be legally binding upon the parties
hereto, their respective heirs, executors, administrators and assigns.
26. Waiver. The failure of either party to insist upon strict enforcement of any provisions of
this Agreement shall not constitute a waiver of the right to enforcement of that provision or
of any other provision.
27. Modification. No modification of this Agreement shall be binding unless the same shall be
in writing and duly approved by Seller and Buyers.
28. Descriptive Headings. The descriptive headings used herein are for convenience only, and
they are not intended to indicate all of the matter in the sections which follow them.
Accordingly, they have no effect whatsoever in determining the rights or obligations of the
parties.
29. All payments, notices and documents required by this Agreement shall be sufficiently
delivered; if mailed by certified mail, postage prepaid, return receipt requested, or personally
delivered to one of the parties to this Agreement as follows:
A. To Seller, addressed as follows:
James F. Carchidi
60 High Ridge Trail
Mechanicsburg, PA 17050
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May 5, 2003
B. To Buyers, addressed as follows:
Robert Pantel
1845 Derry Street
Harrisburg, PA 17104
With copy to:
George Zozoz
605 S. 25`h Street
Harrisburg, PA 17104
IN WITNESS WHEREOF, the parties, intending to be legally bound, have duly executed
this contract as of the date first above written.
WITNESS:
BUYER:
Robert antle
GUARANTOR:
George Zozoz
8
02/01/2005
Page: 1
AMORTIZATION SCHEDULE
Date of First Payment: 03/01/2005
Date Interest Starts: 02/0112005
Original Number of Payments: 215
Actual Number of Payments: 215
Loan Amount: 55,000.00
Regular Payment: 449.41
Annual Rate: 7.0000
Payment Beginning Total Interest Principal Ending
Date Principal Payment Payment Payment Principal
02101/2005 55,000.00 0.00 0.00 0.00 55,000.00
03/01/2005 55,000.00 449.41 320.83 128.58 54,871.42
04/01/2005 54,871.42 449.41 320.08 129.33 54,742.09
05/01/2005 54,742.09 449.41 319.33 130.08 54,612.01
06/01/2005 54,612.01 449.41 318.57 130.84 54,481.17
07/01/2005 54,481.17 449.41 317.81 131.60 54,349.57
08/01/2005 54,349.57 449.41 317.04 132.37 54,217.20
09/01/2005 54,217.20 449.41 316.27 133.14 54,084.06
10/0112005 54,084.06 449.41 315.49 133.92 53,950.14
11/01/2005 53,950.14 449.41 314.7.1," 134.70 53,815.44
12/01/2005 53,815.44 449.41 313.92 135.49 53,679.95
2005 0.00 4,494.10 3,174.05 1,320.05 53,679.95
01/01/2006 53,679.95 449.41 313.13 136.28 53,543.67
02/01/2006 53,543.67 449.41 312.34 137.07 53,406.60
03/0112006 53,406.60 449.41 311.54 137.87 53,268.73
04/01/2006 53,268.73 449.41 .310.73 138.68 53,130.05
05/01/2006 53,130.05 449.41 309.93 139.48 52,990.57
06/01/2006 52,990.57 449.41 309.11 140.30 52,850.27
07/01/2006 52,850.27 449.41 308.29 141.12 52,709.15
08/01/2006 52,709.15 449.41 307.47 141.94 52,567.21
09/01/2006 52,567.21 449.41 306.64 142.77 52,424.44
10/01/2006 52,424.44 449.41 305.81 143.60 52,280.84
11/01/2006 52,280.84 449.41 304.97 144.44 52,136.40
12/01/2006 52,136.40 449.41 304.13 145.28 51,991.12
2006 53,679.95 5,392.92 3,704.09 1,688.83 51,991.12
01/01/2007 51,991.12 449.41 303.28 146.13 51,844.99
02/01/2007 51,844.99 449.41 302.43 146.98 51,698.01
03/01/2007 51,698.01 449.41 301.57 147.84 51,550.17
04/01/2007 51,550.17 449.41 300.71 148.70 51,401.47
05/01/2007 51,401.47 449.41 299.84 149.57 51,251.90
06/01/2007 51,251.90 449.41 298.97 150.44 51,101.46
07/01/2007 51,101.46 449.41 298.09 151.32 50,950.14
08/01/2007 50,950.14 449.41 297.21 152.20 50,797.94
09/01/2007 50,797.94 449.41 .296.32 153.09 50,644.85
10/01/2007 50,644.85 449.41 295.43 153.98 50,490.87
q_
AMORTIZATION SCHEDULE
Date of First Payment: 03/01/2005
Date Interest Starts: 02/01/2005
Original Number of Payments: 215
Actual Number of Payments: 215
Loan Amount: 55,000.00
Regular Payment: 449.41
Annual Rate: 7.0000
02/01/2005
Page: 2
Payment Beginning Total Interest Principal Ending
Date Principal Payment Payment Payment Principal
11/0112007 50,490.87 449.41 294.53 154.88 50,335.99
12/01/2007 50,335.99 449.41 293.63 155.78 50,180.21
2007 51,991.12 5,392.92 3,582.01 1,810.91 50,180.21
'`.4'
01 /01 /2008
02/01/2008 50,180.21
50,023.52 449.41
449.41 292.72
291.80 156.69
157.61
V t
03/01
/2008
49,865.91
449.41
• 290.88
158.53 9,3
04/01/2008 49,707.38 449.41 289.96 159.45 49,547.93
05101/2008 49,547.93 449.41 289;03 160.38 49,387.55
06/01/2008 49,387.55 449.41 288.09 161.32 49,226.23
07/01/2008 49,226.23 449.41 287.15 162.26 49,063.97
08/01/2008 49,063.97 449.41 286.21 163.20 48,900.77
09/01/2008 48,900.77 449.41 285.25 164.16 48,736.61
10/01/2008 48,736.61 449.41 284.30 165.11 48,571.50
11/01/2008 48,571.50 449.41 283.33 166.08 48,405.42
12101/2008 48,405.42 449.41 282.36 167.05 48,238.37
2008 50,180.21 5,392.92 3,451.08 1,941.84 48,238.37
01/01/2009 48,236.37 449.41 281.39 168.02 48,070.35
02/01/2009 48,070.35 449.41 280.41 169.00 7,901.35
03/01/2009 47,901.35 449.41 279.42 169.99 47,731.36
04/01/2009 47,731.36 449.41 278.43 170.98 .47,560.38
05/01/2009 47,560.38 449.41 277.44 171.97 47,388.41
06/01/2009 47,388.41 449.41 276.43 172.98 47,215.43
07/01/2009 47,215.43 449.41 275.42 173.99 47,041.44
08/01/2009 47,041.44 449.41 274.41 175.00 46,866.44
09/01/2009 46,866.44 449.41 273.39 176.02 46,690.42
10/01/2009 46,690.42 449.41 272.36 177.05 46,513.37
11/01/2009 46,513.37 449:41 271.33 178.08 46,335.29
12/01/2009 46,335.29 449.41 270.29 179.12 46,156.17
2009 48,238.37 5,392.92 3,310.72 2,082.20 46,156.17
01/0112010 46,156.17 449.41 269.24 180.17 45,976.00
02/01/2010 45,976.00 449.41 268.19 181.22 45,794.78
03/01/2010 45,794.78 449.41 267.14 182.27 45,612.51
04/01/2010 45,612.51 449.41 266.07 183.34 45,429.17
R5
•k
e 02/01/2005
Page: 3
AMORTIZATION SCHEDULE
Date of First Payment: 03/01/2005
Date Interest Starts: 02/01/2005 Loan Amount: 55,000.00
Original Number of Payments: 215 Regular Payment: 449.41
Actual Number of Payments: 215 Annual Rate: 7.0000
Payment Beginning Total Interest Principal Ending
Date Principal Payment Payment Payment Principal
05/01/2010 45,429.17 449.41 265.00 184.41 45,244.76
06/01/2010 45,244.76 449.41 263.93 185.48 45,059.28
07/01/2010 45,059.28 449.41 262.85 186.56 44,872.72
08/01/2010 44,872.72 449.41 261.76 187.65 44,685.07
09/01/2010 44,685.07 449.41 260.66 188.75 44,496.32
10/01/2010 44,496.32 449.41 259.56 189.85 44,306.47
11/01/2010 44,306.47 449.41 258.45 190.96 44,115.51
12/0112010 44,115.51 449.41 257.34 192.07 43,923.44
2010 46,156.17 5,392.92 3,160.19 2,232.73 43,923.44
01/01/2011 43,923.44 449.41 256.22 193.19 43,730.25
02/01/2011 43,730.25 449.41 255.09 194.32 43,535.93
03/01/2011 43,535.93 449.41 253.96 195.45 43,340.48
04/01/2011 43,340.48 449.41 252.82 196.59 43,143.89
05/01/2011 43,143.89 449.41 251.67 197.74 42,946.15
06/01/2011 42,946.15 449.41 250.52 198.89 42,747.26
07/01/2011 42,747.26 449.41 249.36 200.05 42,547.21
08/01/2011 42,547.21 449.41 248.19 20122 42,345.99
09/01/2011 42,345.99 449.41 247.02 202.39 42,143.60
10/01/2011 42,143.60 449.41 245.84 203.57 41,940.03
11/01/2011 41,940.03 449.41 244.65 204.76 41,735.27
12/01/2011 41,735.27 449.41 243.46 205.95 41,529.32
2011 43,923.44 5,392.92 2,998.80 2,394.12 41,529.32
01/01/2012 41,529.32 449.41 242.25 207.16 41,322.16
02/01/2012 41,322.16 449.41 241.05 208.36 41,113.80
03/01/2012 41,113.80 449.41 239.83 209.58 40,904.22
04/01/2012 40,904.22 449.41 238.61 210.80 40,693.42
05/01/2012 40,693.42 449.41 237.38 212.03 40,481.39
06/01/2012 40,481.39 449.41 236.14 21327 40,268.12
07/01/2012 40,268.12 449.41 234.90 214.61 40,053.61
08/01/2012 40,053.61 449.41 233.65 215.76 39,837.85
09/01/2012 39,837.85 449.41 232.39 217.02 39,620.83
10/01/2012 39,620.83 449.41 231.12 21829 39,402.54
11/01/2012 39,402.54 449.41 229.85 219.56 39,182.98
12/01/2012 39,182.98 449.41 228.57 220.84 38,962.14
' A
AMORTIZATION SCHEDULE
Date of First Payment: 03/01/2005
Date Interest Starts: 02/01/2005 Loan Amount: 55,000.00
Original Number of Payments: 215 Regular Payment: 449.41
Actual Number-of Payments: 215 Annual Rate: 7.0000
02/01/2005
Page: 4
Payment Beginning Total Interest Principal Ending
Date . Principal Payment Payment Payment Principal
2012 41,529.32 5,392.92 2,825.74 2,567.18 38,962.14
01/01/2013 38,962.14 449.41 227.28 222.13 38,740.01
02/01/2013 38,740.01 449.41 225.98 223.43 38,516.58
03/01/2013 38,516.58 449.41 224.68 224.73 38,291.85
04/01/2013 38,291.85 449.41 223.37 226.04 38,065.81
05/01/2013 38,065.81 449.41 222.05 227.36 37,838.45
06/01/2013 37,838.45 449.41 220.72 228.69 37,609.76
07/0112013 37,609.76 449.41 219.39 230.02 37,379.74
08/01/2013 37,379.74 449.41 218.05 231.36 37,148.38
09/0112013 37,148.38 449.41 216.70 232.71 36,915.67
10/01/2013 36,915.67 449.41 215.34 234.07 36,681.60
11/01/2013 36,681.60 449.41 213.98 235.43 36,446.17
12101/2013 36,446.17 449.41 212.60 236.81 36,209.36
2013 38,962.14 5,392.92 2,640.14 2,752.78 36,209.36
01/01/2014 36,209.36 449.41 211.22 238.19 35,971.17
02/01/2014 35,971.17 449.41 209.83 239.58 35,731.59
03/01/2014 35,731.59 449.41 208.43 240.98 35,490.61
04/0112014 35,490.61 449.41 207.03 242.38 35,248.23
05/01/2014 35,248.23 449.41 205.61 243.80 35,004.43
06/01/2014 35,004.43 449.41 204.19 245.22 34,759.21
07/01/2014 34,759.21 449.41 202.76 246.65 34,512.56
08/01/2014 34,512.56 449.41 201.32 248.09 34,264.47
09/01/2014 34,264.47 449.41 199.88 249.53 34,014.94
10/01/2014 34,014.94 449.41 198.42 250.99 33,763.95
11/01/2014 33,763.95 449.41 196.96 252.45 33,511.50
12/01/2014 33,511.50 449.41 195.48 253.93 33,257.57
2014 36,209.36 5,392.92 2,441.13 2,951.79 33,257.57
01/01/2015 33,257.57 449.41 194.00 255.41 33,002.16
02/01/2015 33,002.16 449.41 192.51 256.90 32,745.26
03/01/2015 32,745.26 449.41 191.01 258.40 32,486.86
04/01/2015 32,486.86 449.41 189.51 259.90 32,226.96
05/01/2015 32,226.96 449.41 187.99 261.42 31,965.54
06/01/2015 31,965.54 449.41 186.47 262.94 31,702.60
w' 07/01/2015 31,702.60 449.41 184.93 264.48 31,438.12
AMORTIZATION SCHEDULE
Date of First Payment: 03/01/2005
Date Interest Starts: 02/01/2005 Loan Amount: 55,000.00
Original Number of Payments: 215 Regular Payment: 449.41
Actual Number of Payments: 215 Annual Rate: 7.0000
02/01/2005
Page: 5
i
Payment Beginning Total Interest Principal Ending
Date Principal Payment Payment Payment Principal
08/01/2015 31,438.12 449.41 183.39 266.02 31,172.10
09/01/2015 31,172.10 449.41 181.84 267.57 30,904.53
10/01/2015 30,904.53 449.41 180.28 269.13 30,635.40
11/01/2015 30,635.40 449.41 178.71 270.70 30,364.70
12/01/2015 30,364.70 449.41 177.13 272.28 30,092.42
2015 33,257.57 5,392.92 2,227.77 3,165.15 30,092.42
01/01/2016 30,092.42 449.41 175.54 273.87 29,818.55
02/01/2016 29,818.55 449.41 173;.94 275.47 29,543.08
03/01/2016 29,543.08 449.41 172.33 277.08 29,266.00
04/01/2016 29,266.00 449.41 170.72 278.69 28,987.31
05/0112016 28,987.31 449.41 169.09 280.32 28,706.99
06/01/2016 28,706.99 449.41 167.46 281.95 28,425.04
07/01/2016 28,425.04 449.41 165.81 283.60 28,141.44
08/01/2016 28,141.44 449.41 164.16 285.25 27,856.19
09/01/2016 27,856.19 449.41 162.49 286.92 27,569.27
10/01/2016 27,569.27 449.41 160.82 288.59 27,280.68
11/01/2016 27,280.68 449.41 159.14 290.27 26,990.41
12/01/2016 26,990.41 449.41 157.44 291.97 26,698.44
2016 30,092.42 5,392.92 1,998.94 3,393.98 26,698.44
01/01/2017 26,698.44 449.41 155.74 293.67 26,404.77
02/01/2017 26,404.77 449.41 154.03 295.38 26,109.39
03/01/2017 26,109.39 449.41 152.30 297.11 25,812.28
04/01/2017 25,812.28 449.41 150.57 298.84 25,513.44
05/01/2017 25,513.44 449.41 148.83 300.58 25,212.86
06/01/2017 25,212.86 449.41 147.08 302.33 24,910.53
07/01/2017 24,910.53 449.41 145.31 304.10 24,606.43
08/01/2017 24,606.43 449.41 143.54 305.87 24,300.56
09101/2017 24,300.56 449.41 141.75 307.66 23,992.90
10/01/2017 23,992.90 449.41 139.96 309.45 23,683.45
11/01/2017 23,683.45 449.41 138.15 311.26 23,372.19
12/01/2017 23,372.19 449.41 136.34 313.07 23,059.12
2017 26,698.44 5,392.92 1,753.60 3,639.32 23,059.12
01/01/2018 23,059.12 449.41 134.51 314.90 22,744.22
t 'b •
AMORTIZATION SCHEDULE
Date of First Payment: 03/01/2005
Date Interest Starts: 02/01/2005 Loan Amount: 55,000.00
Original Number of Payments: 215 Regular Payment: 449.41
Actual Number of Payments: 215 Annual Rate: 7.0000
Payment Beginning Total Interest Principal Ending
Date Principal Payment Payment Payment Principal
02/01/2018 22,744.22 449.41 132.67 316.74 22,427.48
03/01/2018 22,427.48 449.41 130.83 318.58 22,108.90
04/01/2018 22,108.90 449.41 128.97 320.44 21,788.46
05/01/2018 21,788.46 449.41 127.10 322.31 21,466.15
06/01/2018 21,466.15 449.41 125.22 324.19 21,141.96
07/01/2018 21,141.96 449.41 123.33 326.08 20,815.88
08/01/2018 20,815.88 449.41 121.43 327.98 20,487.90
09/01/2018 20,487.90 449.41 119.51 329.90 20,158.00
10/01/2018 20,158.00 449.41 117.59 331.82 19,826.18
11/01/2018 19,826.18 449.41 116.65 333.76 19,492.42
12101/2018 19,492.42 449.41 113.71 335.70 19,156.72
2018 23,059.12 5,392.92 1,490.52 3,902.40 19,156.72
01/01/2019 19,156.72 449.41 111.75 337.66 18,819.06
02/01/2019 18,819.06 449.41 109.78 339.63 18,479.43
03/01/2019 18,479.43 449.41 107.80 341.61 18,137.82
04/01/2019 18,137.82 449.41 105.80 343.61 17,794.21
05/01/2019 17,794.21 449.41 103.80 345.61 17,448.60
06/01/2019 17,448.60 449.41 101.78 347.63 17,100.97
07/01/2019 17,100.97 449.41 99.76 349.65 16,751.32
08/01/2019 16,751.32 449.41 97.72 351.69 16,399.63
09/01/2019 16,399.63 449.41 95.66 353.75 16,045.88
10/01/2019 16,045.88 449.41 93.60 355.81 15,690.07
11/01/2019 15,690.07 449.41 91.53 357.88 15,332.19
12/01/2019 15,332.19 449.41 89.44 359.97 14,972.22
2019 19,156.72 5,392.92 1,208.42 4,184.50 14,972.22
01/01/2020 14,972.22 449.41 87.34 362.07 14,610.15
02101/2020 14,610.15 449.41 85.23 364.18 14,245.97
03/01/2020 14,245.97 449.41 83.10 366.31 13,879.66
04/01/2020 13,879.66 449.41 80.96 368.45 13,511.21
05/01/2020 13,511.21 449.41 78.82 370.59 13,140.62
06/01/2020 13,140.62 449.41 76.65 372.76 12,767.86
07/01/2020 12,767.86 449.41 74.48 374.93 12,392.93
08/01/2020 12,392.93 449.41 72.29 377.12 12,015.81
09/01/2020 12,015.81 449.41 70.09 379.32 11,636.49
10/01/2020 11,636.49 449.41 67.88 381.53 11,254.96
02/01/2005
Page: 6
f a s
AMORTIZATION SCHEDULE
Date of First Payment: 03/01/2005
Date Interest Starts: 02/01/2005 Loan Amount: 55,000.00
Original Number of Payments: 215 Regular Payment: 449.41
Actual Number of Payments: 215 Annual Rate: 7.0000
02/01/2005
Page: 7
i ;
Payment Beginning Total Interest Principal Ending
Date Principal Payment Payment Payment Principal
11/01/2020 11,254.96 449.41 65.65 383.76 10,871.20
12/01/2020 10,871.20 449.41 63.42 385.99 10,485.21
2020 14,972.22 5,392.92 905.91 4,487.01 10,485.21
01/01/2021 10,485.21 449.41 61.16 388.25 10,096.96
02/01/2021 10,096.96 449.41 58.90 390.51 9,706.45
03101/2021 9,706.45 449.41 56.62 392.79 9,313.66
04/01/2021 9,313.66 449.41 54.33 395.08 8,918.58
05/01/2021 8,918.58 449.41 52.3 397.38 8,521.20
06/01/2021 8,521.20 449.41 49.71 399.70 8,121.50
07/01/2021 8,121.50 449.41 47.38 402.03 7,719.47
08/01/2021 7,719.47 449.41 45.03 404.38 7,315.09
09/01/2021 7,315.09 449.41 42.67 406.74 6,908.35
10/01/2021 6,908.35 449.41 40.30 409.11 6,499.24
11/01/2021 6,499.24 449.41 37.91 411.50 6,087.74
12/01/2021 6,087.74 449.41 35.51 413.90 5,673.84
2021 10,485.21 5,392.92 581.55 4,811.37 5,673.84
01/01/2022 5,673.84 449.41 33.10 416.31 5,257.53
02/01/2022 5,257.53 449.41 30.67 418.74 4,838.79
03/01/2022 4,838.79 449.41 28.23 421.18 4,417.61
04/01/2022 4,417.61 449.41 25.77 423.64 3,993.97
05/01/2022 3,993.97 449.41 23.30 426.11 3,567.86
06/01/2022 3,567.86 449.41 20.81 428.60 3,139.26
07/01/2022 3,139.26 449.41 18.31 431.10 2,708.16
08/01/2022 2,708.16 449.41 15.80 433.61 2,274.55
09/01/2022 2,274.55 449.41 13.27 436.14 1,838.41
10/01/2022 1,838.41 449.41 10.72 438.69 1,399.72
11/01/2022 1.399.72 449.41 8.17 441.24 958.48
12101/2022 958.48 449.41 5.59 443.82 514.66
r
2022 5,673.84 5,392.92 233.74 5,159.18 514.66
01 /01 /2023 514.66 517.66 3.00 514.66 0.00
2023 514.66 517.66 3.00 514.66 0.00
TOTALS: 55,000.00 96,691.40 41,691.40 55,000.00 0.00
c a w
EXHIBIT "B"
Assessment for building code violation: $ 391.50
Water bill, paid in April 2008 293.93
Harrisburg City Taxes for 2005: 801.86
Harrisburg City Taxes for 2006: 2,536.96
Harrisburg City Taxes for 2007: 2,466.21
Subtotal: $6,490.46
Plus 6% accommodation on principal: 389.43
Subtotal: $6,879.89
Plus unpaid installments: $1,500.00
Subtotal: $8,379.89
Plus 6% interest on principal through 7/30/08: 260.82
Plus 5% attorney's commission on principal: 399.52
Total amount of judgment: $9,040.23
???"b'} ?
1 4. THEODORE A. ADLER +
DAVID W. REAGER
LINUS E. FENICLE
THOMAS 0. WILLIAMS
PETER R. WILSON
REAGER & ADLER, PC
ATTORNEYS AND COUNSELORS AT LAW
2331 MARKET STREET
CAMP HILL, PENNSYLVANIA 17011-4642
717-763-1383
TELEFAX 717-730-7366
WEBSITE: ReagerAdlerPC.com
SUSAN H. CONFAIR
JOHN H. PIETRZAK
RICHARD J. JOYCE
+Certified Civil Trial Specialist
Writers E-Mail Address: JDietrzakDreageradlerac com
July 13, 2008
Certified Mail, Return Receipt Requested
Robert Pantel Mr. Georte Zozos
460 St. John's Road 605 S. 25 Street
Camp Hill, PA 17050 Harrisburg, PA 17104
Re: 2626 Derry Street
Our File No. 02-841.001
Dear Messers Pantel and Zozos:
This letter will serve as notice to you that you are in default of the terms and conditions
of the Installment Sales Agreement dated February 1, 2005 as a result of failure to pay
installments, taxes or municipal assessments as required by the Agreement. Mr. Carchidi has
paid the taxes and a municipal assessment on your behalf.
Paragraph of the Agreement permits a six percent (6%) accommodation charge to be
assessed for the advancement of payments by Mr. Carchidi.
You have failed to pay the installments due for January, February and March 2007, in the
amount of $450.00 per month. The Agreement provides for a $50.00 late penalty per month,
which has been assessed, for a total due of $1,500.00.
In addition, you have defaulted by failing to pay the following items, which Mr. Carchidi
has paid:
Assessment for building code violation:
Water bill, paid in April 2008
Harrisburg City Taxes for 2005:
Harrisburg City Taxes for 2006:
Harrisburg City Taxes for 2007:
Subtotal:
Plus 6% accommodation:
Subtotal:
$ 391.50
293.93
801.86
2,536.96
2,466.21
$6,490.46
389.43
$6,879.89
Messers Pantel and Zozos
July 13, 2008
Page 2
Plus unpaid installments: $1,500.00 .
Total: $8,379.89
Under the terms and conditions of the Agreement, you have fifteen (15) days from the
date referenced above in which to cure the above-referenced defaults. In order to cure said
default, you must present funds in the amount of $8,379.89 in the form of a cashiers check to Mr.
Carchidi no later than July 29, 2008.
Mr. Carchidi has recorded the Quit Claim Deed that was executed by Mr. Pantel and has
sold the property to another buyer. This does not release you from your obligation under the
Agreement to pay the amounts listed above. If you fail to pay the amount due of $8,379.89
within fifteen (15) days of the date of this letter, we will file a confession of judgment against
you for the full amount owing,-plus interest and 5% attorney's commission, as provided for in
the Agreement.
In the event you have any questions, please contact your attorney. Otherwise, please
contact me to advise when you will forward payment.
Very truly yours,
John H. Pietrzak
JHP/sc
cc: James F. Carchidi, Jr.
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VERIFICATION
I, James F. Carchidi, Jr., hereby verify that the averments of the foregoing document are
true and correct to my personal knowledge, information and belief. I understand that false state-
ments herein are made subject to the penalties of 18 Pa. C.S. §4904, relating to unworn
falsification to authorities.
Date: 0 - %.I;p
T
By: t
Js F. Carchidi, Jr.
li"S 2
REAGER & ADLER, P.C.
BY:JOHN H. PIETRZAK, ESQUIRE
Attorney I.D. No. 79538
Email: JpietrzakaReagerAdlerPC.com
BY: THOMAS O. WILLIAMS, ESQUIRE
Attorney I.D. No. 67987
Email: Twilliams(a)AeagerAdlerPC.com
2331 Market Street
Camp Hill, PA 17011
Telephone: (717) 763-1383
Facsimile: (717) 730-7366
Attorneys for James F. Carchidi, Jr.
JAMES F. CARCHIDI, JR. IN THE COURT OF COMMON PLEAS,
, Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
V. : CIVIL ACTION
ROBERT PANTEL, : NO.
Defendant : CONFESSION OF JUDGMENT
NOTICE UNDER RULE 2737.1 OF RIGHT TO RECOVER ATTORNEY FEES AND
COSTS AND PROCEDURE TO FOLLOW TO STRIKE OFF OR OPEN A CONFESSED
JUDGMENT
TO: Robert Pantel
Pursuant to 42 Pa.C.S.A. 2737. 1, you are hereby notified that a debtor who has been incorrectly
identified and had a confession of judgment entered against him shall be entitled to costs and
reasonable attorney fees as determined by the court.
Pursuant to 42 Pa.C.S.A. § 2737. 1, you are hereby notified of the instructions regarding the
procedure to follow to strike off or open a confessed judgment under Pennsylvania Rule of Civil
Procedure 2959, which is reproduced in full, on the following page.
Date: July 30, 2008
Camp Hill, PA 17011
(717) 763-1383
PENNSYLVANIA RULE OF CIVIL PROCEDURE 2959
STRIKING OFF OR OPENING JUDGMENT; PLEADINGS AND PROCEDURE
(a)(1) Relief from a judgment by confession shall be sought by petition. Except as
provided in subparagraph (2), all grounds for relief whether to strike off the judgment or to open
it must be asserted in a single petition. The petition may be filed in the county in which the
judgment was originally entered, in any county to which the judgment has been transferred or in
any other county in which the sheriff has received a writ of execution directed to the sheriff to
enforce the judgment.
(2) The ground that the waiver of the due process rights of notice and hearing was not
voluntary, intelligent and knowing shall be raised only
(i) in support of a further request for a stay of execution where the court has
not stayed execution despite the timely filing of a petition for relief from
the judgment and the presentation of prima facie evidence of a defense;
and
(ii) as provided by Rule 2958.3 or Rule 2973.3.
(3) If a written notice is served upon the petitioner pursuant to Rule 2959.1(c)(2) or
Rule 2973.1(c), then petition shall be filed within thirty days after such service. Unless the
defendant can demonstrate that there were compelling reasons for the delay, a petition not timely
filed shall be denied.
(b) If the petition states prima facie grounds for relief, the court shall issue a rule to
show cause and may grant a stay of proceedings. After being served with a copy of the petition
the plaintiff shall file an answer on or before the return day of the rule. The return day of the rule
shall be fixed by the court by local rule or special order.
(c) A party waives all defenses and objections which are not included in the petition
or answer.
(d) The petition and the rule to show cause and the answer shall be served as provided
in Rule 440.
(e) the court shall dispose of the rule on petition and answer, and on any testimony,
depositions, admissions and other evidence. The court for cause shown may stay proceedings on
the petition insofar as it seeks to open the judgment pending disposition of the application to
strike off the judgment. If evidence is produced which in a jury trial would require the issues to
be submitted to the jury, the court shall open the judgment.
(f) The lien of the judgment of or any levy or attachment shall be preserved while the
proceedings to strike off or open the judgment are pending.
JAMES F. CARCHIDI, JR.
Plaintiff
ROBERT PANTEL,
V.
Defendant
IN THE COURT OF COMMON PLEAS,
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION
NO. 7
: CONFESSION OF JUDGMENT
NOTICE UNDER RULE 2958.1 OF JUDGMENT AND EXECUTION THEREON
NOTICE OF DEFENDANTS' RIGHTS
TO: Robert Pantel
A judgment in the prnount of $9,040.23 has been entered against you and in favor of the Plaintiff
without any prior notice or hearing based on a confession of judgment contained in a written
agreement or other paper already signed by you. The Sheriff may take your money or other
property to pay the judgment at any time after thirty (30) days after the date on which this notice
is served on you.
You may have legal rights to defeat the judgment or to prevent your money or property from
being taken.
YOU MUST FILE A PETITION SEEKING RELIEF FROM THE JUDGMENT AND
PRESENT IT TO A JUDGE WITHIN THIRTY (30) DAYS AFTER THE DATE ON WHICH
THIS NOTICE IS SERVED ON YOU OR YOU MAY LOSE YOUR RIGHTS.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT
HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE
SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
Dauphin County Lawyer Referral Service
213 N. Front St.
Harrisburg, PA 17101
717-232-7536
Date: July 30, 200$ &JA '4a,/
Jo . Pietrz squire
REAGER & ADLER, P.C.
2331 Market Street
Camp Hill, PA 17011
(717) 763-1383
Attorneys for Plaintiff, James F. Carchidi,
Jr.
REAGER & ADLER, P.C.
BY:JOHN H. PIETRZAK, ESQUIRE
Attorney I.D. No. 79538
Email: J12ietrzak@ReagerAdlerPC.com
BY: THOMAS O. WILLIAMS, ESQUIRE
Attorney I.D. No. 67987
Email: TwilliamsaReagerAdlerPC.com
2331 Market Street
Camp Hill, PA 17011
Telephone: (717) 763-1383
Facsimile: (717) 730-7366
Attorneys for James F. Carchidi, Jr.
JAMES F. CARCHIDI, JR. IN THE COURT OF COMMON PLEAS,
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
V. CIVIL ACTION
ROBERT PANTEL, : NO. Q 7
Defendant : CONFESSION OF JUDGMENT
AFFIDAVIT THAT JUDGMENT IS NOT BEING ENTERED
Commonwealth of Pennsylvania )
) SS:
County of Cumberland )
I, John H. Pietrzak, being duly sworn according to law, hereby state that the judgment
being entered by confession is not being entered against a natural person in connection with a
consumer credit transaction.
Jo. Pietrzak, Esquire
Sworn to and subscribed
Before me thisa?rday of
2008.
otary Public
COMMONWEALTH_ OF PENNSYLVANIA
rOTARIAL SEAL
LINDA H MILLER
Notary Public
CITY OF HARRISBURG, DAUPHIN COUNTY
My Commission Expires May 9, 2009
REAGER & ADLER, P.C.
BY:JOHN H. PIETRZAK, ESQUIRE
Attorney I.D. No. 79538
Email: JpietrzakAReagerAdlerPC,com
BY: THOMAS O. WILLIAMS, ESQUIRE
Attorney I.D. No. 67987
Email: Twilliams(a)ReagerAdlerPC.com
2331 Market Street
Camp Hill, PA 17011
Telephone: (717) 763-1383
Facsimile: (717) 730-7366
Attorneys for James F. Carchidi, Jr.
JAMES F. CARCHIDI, JR. IN THE COURT OF COMMON PLEAS,
. Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
V. CIVIL ACTION
ROBERT PANTEL, NO. 0 ? ?? c r J ??~
Defendant : CONFESSION OF JUDGMENT
AFFIDAVIT OF NON-MILITARY SERVICE
Commonwealth of Pennsylvania )
)s . S:
County of Cumberland )
The undersigned, being duly sworn according to law, deposes and says that the
Defendant(s) is/are not in the Military or Naval Service of the United States or Allies, or
otherwise within the provisions of the Soldiers' and Sailors' Civil Relief Act of Congress of
1940, as amended:
John/. Pietrzak, Esquire
Sworn to and subscribed
B fore me thig2V day of COMMONWEALTH OF PENNSYLVANIA
2008. NOTARIAL SEAL
LINDA H MILLER
Notary Public
CITY OF HARRISBURG, DAUPHIN COUNTY
Otarv Public My COfYN MIOn Expkes May 9, 2009
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REAGER & ADLER, P.C.
BY:JOHN H. PIETRZAK, ESQUIRE
Attorney I.D. No. 79538
Email: J12ietrzak - Rea??erAdlerPC.com
BY: THOMAS O. WILLIAMS, ESQUIRE
Attorney I.D. No. 67987
Email: Twilliams ,ReagerAdlerPC.com
2331 Market Street
Camp Hill, PA 17011
Telephone: (717) 763-1383
Facsimile: (717) 730-7366
Attorneys for James F. Carchidi, Jr.
JAMES F. CARCHIDI, JR. : IN THE COURT OF COMMON PLEAS,
r Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
V. CIVIL ACTION
ROBERT PANTEL, NO.
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Defendant : CONFESSION OF JUDGMENT
ENTRY OF APPEARANCE
TO THE PROTHONOTARY:
Enter my appearance for the above-named Defendant pursuant to the Warrant of Attorney
contained in the Sales Contract, attached hereto.
Respectfully submitted,
REAGER & ADLER, F
Date: July 30, 2008
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REAGER & ADLER, P.C.
BY:JOHN H. PIETRZAK, ESQUIRE
Attorney I.D. No. 79538
Email: Jj2ietrzakaReag_erAdlerPC.com
BY: THOMAS O. WILLIAMS, ESQUIRE
Attorney I.D. No. 67987
Email: Twilliams(a,ReggerAdlerPC.com
2331 Market Street
Camp Hill, PA 17011
Telephone: (717) 763-1383
Facsimile: (717) 730-7366
Attorneys for James F. Carchidi, Jr.
JAMES F. CARCHIDI, JR. : IN THE COURT OF COMMON PLEAS,
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
V. CIVIL ACTION
ROBERT PANTEL, NO. O S - '?57 $ ?? U `
Defendant : CONFESSION OF JUDGMENT
NOTICE
Pursuant to Rule 236 of the Supreme Court of Pennsylvania, you are hereby notified that
a JUDGMENT BY CONFESSION has been entered against you in the above proceeding and
that enclosed herewith is a copy of all of the documents filed in support of said judgment. If you
have any questions concerning this notice, please call John J. Pietrzak at (717) 763-1383.
(1,71, A
oPf'othonot
REAGER & ADLER, P.C.
BY:JOHN H. PIETRZAK, ESQUIRE
Attorney I.D. No. 79538
Email: Jpietrzak(a7ReagerAdlerPC.com
BY: THOMAS O. WILLIAMS, ESQUIRE
Attorney I.D. No. 67987
Email: Twilliams@,Reag_erAdlerPC.com
2331 Market Street
Camp Hill, PA 17011
Telephone: (717) 763-1383
Facsimile: (717) 730-7366
Attorneys for James F. Carchidi, Jr.
JAMES F. CARCHIDI, JR.
Plaintiff
V.
ROBERT PANTEL,
Defendant
IN THE COURT OF COMMON PLEAS,
CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION
: NO. 08-4578
: CONFESSION OF JUDGMENT
PRAECIPE TO WITHDRAW COMPLAINT IN CONFESSION OF JUDGMENT
CONFESSION OF JUDGMENT AND JUDGMENT ENTERED THERON
TO: The Prothonotary:
Please withdraw the Complaint in Confession of Judgment, Confession of Judgment and the
Judgment entered thereon in Docket number 08-4578, as captioned above.
Date: August 6, 2008
11,4
Jo'- H. Pietrzak, Esquire
A foror
ey I.D. No. 79538
2331 Market Street
Camp Hill, PA 17011
(717) 763-1383
Attorney for Plaintiff
CERTIFICATE OF SERVICE
AND NOW, this ? day of August, 2008, I hereby verify that I have caused a true and
correct copy of the foregoing Praecipe for Withdrawal of Complaint in Confession of Judgment,
Confession of Judgment and Judgment to be placed in the U.S. mail, postage prepaid and
addressed as follows:
Robert Pantel
460 St. Johns Road
Camp Hill, PA 17011
l
Jo . Pietrzak, Esquire
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