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HomeMy WebLinkAbout09-0072REBECCA D. STEIGELMAN and CYRUS R. A. STEIGELMAN, JR, her husband, Plaintiffs v. JAMES J. COLLINS, II, Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA 2009- Ol/7oZ CIVIL TERM CIVIL ACTION -LAW PRAECIPE FOR ISSUANCE OF A WRIT OF SUMMONS TO CURTIS R LONG, PROTHONOTARY: Please issue a Writ of Summons against the defendant, JAMES J. COLLINS, II, and enter my appearance on behalf of the plaintiffs, REBECCA D. STEIGELMAN and CYRUS R. A. STEIGELMAN, JR. Please direct the Sheriff to serve the defendant as follows: James J. Collins, II 21 Holly Street Mount Holly Springs, PA 17065 Respectfully submitted, Date: January 7, 2009 1RW1N & HT .C. By: us A. McKnight, II , c 60 We Pomfret Street, Carlis i (717) 49-2353 Supreme Court To: JAMES J. COLLINS, II A 17013 -~No: 25476 You are hereby notified that REBECCA D. STEIGELMAN and CYRUS R A. STEIGELMAN, JR., plaintiffs, have commenced an action against you which you are required to defend or a default judgment maybe entered against you. PROTHONOTARY By: /,!~ ~. ~~ PUTY Date: , 2009 ~i. ~ -x: ~ ~ ~-~ ~ ; ~'` i n7 ~\ ~- ~~ti '~ ~ Y l`~7 ~'~E t~ ._ "°~ b REBECCA D. STEIGELMAN and IN THE COURT OF COl CYRUS R. A. STEIGELMAN, JR., her husband, :CUMBERLAND COUN7 Plaintiffs . v. 2009- 0072 CIVIL JAMES J. COLLINS, H, and CIVIL ACTION -LAW M&J EXPLOSIVES, INC, Defendants AMENDED PRAECIPE FOR ISSUANCE OF A WRIT OF SUMMONS TO CURTIS R LONG, PROTHONOTARY: Please issue an Amended Writ of Summons against the defendant, JAMES J. COLLINS, II, and M&J EXPLOSIVES, INC. and enter my appeazance on behalf of the plaintiffs, REBECCA D. STEIGELMAN and CYRUS R A. STEIGELMAN, JR Please direct the Sheriff to serve the defendants as follows: James J. Collins, II M&J Explosives, Inc. 21 Holly Street 670 Longs Gap Road Mount Holly Springs, PA 17065 Carlisle, PA 17013 Respectfully submitted, IRWIN & M IGHT, P By: Marcu fight, III, 60 W Pomfret Street, Cazlis (71 49-2353 Supreme Co Date: January 8, 2009 To: JAMES J. COLLINS, II and M&J EXPLOSIVES, INC. ;, PA 17013 I.D. No: 25476 You are hereby notified that REBECCA D. STEIGELMAN and CYRUS R. A. STEIGELMAN, JR., plaintiffs, have commenced an action against you which you aze required to defend or a default judgment may be entered against you. dC.a ~. PROTHON TARY BY~ ~ . DEP 'Y Date: , 2009 ~~, fi ~ ~'~ ~ r; ~, ~ ~~-' REBECCA D. STEIGELMAN and CYRUS A. STEIGELMAN, JR., Her Husband, PLAINTIFFS V. JAMES J. COLLINS, II and M & J EXPLOSIVES, INC., DEFENDANTS IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. 09-0072 CIVIL ORDER bF COURT AND NOW, this 11th day of May, 200, upon consideration of the Defendants' Motion to Compel Responses to Supplemental Request for Production of Documents, IT IS HEREBY ORDERED AND DIF~ECTED that if the requested supplemental discovery is not provided to the Defendants on or before May 26, 2010, a hearing will be held on the matter on Friday, July 16, 2010,! at 8:30 a.m. in Courtroom No. 2 of the Cumberland County Courthouse, Carlisle, Pennsylvania. Plaintiff shall bring the requested items to the hearing. A determination of whether sanctions requested by the Defendant are appropriate will also be addressed at the hearing. By'~,the Court, /cus McKni ht, Es uire 9 q Attorney for Plaintiffs ~phen E. Geduldig, Esquire Attorney for Defendants bas ~P~~ ,~~~1~. sl~z~l~v ~r>~ ~~ M. L. Ebert, Jr., J, ~ ~ _ tL? R ~ ~ ~ ~ a;: -- , cn ~; ~ .~_ ~ ~~=; v ~ ~ ~- ~ `f' REBECCA D. STEIGELMAN and CYRUS L. A. STEIGELMAN, JR., her husband, IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA Plaintiffs v. 2009- 0072 CIVIL TERM JAMES J. COLLINS, II, and CIVIL ACTION -LAW M&J EXPLOSIVES, INC., Defendants ~ ~ ~_ c .;.~ ~ ~ _:.. '~ AFFIDAVIT OF -~~~ ~ ~~~ - ~ r = -~ .~:~ -~-, REBECCA D. STEIGELMAN . :, , ~ ,-~ t ~.., _ - r~, _ COMMONWEALTH OF PENNSYLVANIA "^ `_ - .+~ ~ I ~`~ , ; r•, ~ `-' ~~ COUNTY OF CUMBERLAND --- AND NOW, this 6~' day of July 2010, I, Rebecca D. Steigelman, being duly sworn, do hereby state the fallowing facts: Shortly following the beginning of my counseling with Lori Hogg, M.S., she suggested that it may help if I kept a diary of my daily activities and feelings. 2. I kept a diary for approximately two (2) weeks or less. After that time, I stopped keeping the diary because I did not believe it was helpful. I then destroyed the diary of the brief period I had kept it. 3. My counselor, Lori Hogg, M.S., knew that I had stopped keeping the diary and had no objection to my ceasing to keep the diary. ecca D. Steigelman Sworn and subscribed to before me this 6th day of July 2010. Notarial SbaL~' Martha 1. Noel, Notary Public Carlisia Toro, Cumberland County My Commission Expires Sept. 18, 2011 Member. Pennsylvania Association of Notaries CF THELPROTHHaQTAf;Y 2010OCT 12 PM 2: CUMBERLAND COUt4T V PENNSYLVANIA REBECCA D. STEIGELMAN and CYRUS L. A. STEIGELMAN, JR., her husband, Plaintiffs v. JAMES J. COLLINS, H, and M&J EXPLOSIVES, INC., Defendants : IN THE COURT OF COMMON PLEAS : OF CUMBERLAND COUNTY, : PENNSYLVANIA 2009- 0072 CIVIL TERM CIVIL ACTION - LAW PRAECIPE TO SETTLE AND DISCONTINUE To The Prothonotary: Please mark the above-captioned case settled and discontinued. Respectfully submitted, IRWIN & McKNIGHT, P.C. By: A. M(Yd%ight, III, Esquire 60 Wist Pomfret Street Carlisle, Pennsylvania 17013 (717) 249-2353 Date: October 12, 2010 REBECCA D. STEIGELMAN and : IN THE COURT OF COMMON PLEAS CYRUS L. A. STEIGELMAN, JR., her husband, : OF CUMBERLAND COUNTY, : PENNSYLVANIA Plaintiffs v. 2009- 0072 CIVIL TERM JAMES J. COLLINS, H, and CIVIL ACTION - LAW M&J EXPLOSIVES, INC., Defendants CERTIFICATE OF SERVICE I, Marcus A. McKnight, III, Esquire, hereby certify that a copy of attached Praecipe to Settle and Discontinue was served upon the following by depositing a true and correct copy of the same in the United States mail, First Class, postage prepaid in Carlisle, Pennsylvania, on the date referenced below and addressed as follows: STEPHEN E. GEDULDIG, ESQ. THOMAS, THOMAS & HAFER 305 NORTH FRONT STREET POST OFFICE BOX 999 HARRISBURG, PA 17108-0999 IRWIN & McKNIGHT, P.C By: Marcus A. Mc t, III, Esquire 60 West Pomfret Street Carlisle, PA 17013 (717) 249-2353 Supreme Court I.D. No. 25476 Date: October 12, 2010