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HomeMy WebLinkAbout09-0145! 1 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION DISCOVER BANK Plaintiff No: ORS 01'}5 ~ivil el^t vs. COMPLAINT IN CIVIL ACTION ELIZABETH F ROBINSON Defendant FILED ON BEHALF OF Plaintiff COUNSEL OF RECORD OF THIS PARTY: James C. Warmbrodt,42524 WELTMAN, WEINBERG & REIS CO., L.P.A. 436 Seventh Avenue, Suite 1400 Pittsburgh, PA 15219 (412) 434-7955 FAX: 412-338-7130 07129020 C A Pit ABR IN THE COURT OF COMMON PLEASCOVILUD VIS ON COUNTY, PENNSYLVANIA DISCOVER BANK Plaintiff vs. ELIZABETH F ROBINSON Defendant Civil Action No COMPLAINT AND NOTICE TO DEFEND 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 plaintiff. 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 OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP. IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE. LAWYER REFERRAL SERVICE CUMBERLAND COUNTY BAR ASSOCIATION 32 SOUTH BEDFORD STREET CARLISLE, PA 17013 (717) 249-3166 z i COMPLAINT 1. Plaintiff, is a corporation with offices at 6500 New Albany Rd, New Albany, OH 43054. 2. Defendant is adult individual(s) residing at the address listed below: ELIZABETH F ROBINSON 2340 WAGGONERS GAP RD CARLISLE, PA 17013 3. Defendant applied for and received a credit card issued by Plaintiff bearing the account number XXXXXXXXXXXX8279 A copy of Plaintiff's Statement of Account s attached hereto, marked as Exhibit "A" and made a part hereof. 4. Defendant made use of said credit card and currently has a balance due and owing to Plaintiff, as of December 29, 2008 in the amount of $8252.31 . 5. Defendant is in default by failing to make payments when due. 6. Plaintiff avers that the Agreement between the parties provides that Defendant will pay Plaintiff's attorneys' fees. 7. Plaintiff avers that such attorneys' fees will amount to $1000.00 8. Although repeatedly requested to do so by Plaintiff, Defendant has willfully failed and/or refused to pay the balance due to Plaintiff. Wherefore, the Plaintiff prays for Judgment in its favor and against Defendant ELIZABETH F ROBINSON ,INDIVIDUALLY in the amount of $8252.31 with interest at the legal rate of 6.000 per annum from date of judgment plus attorneys' fees of $1000.00 and costs. James WELT 436 S Pitt (41 07 C. War rodt;~42524 WEINBERG & REIS CO., L.P.A. v nth Avenue, Suite 1400 gh, PA 15219 34-7955 2-338-7130 20 C A Pit ABR This law firm is a debt collector atte~pting to collect this debt for our client and any information obtained will be used for that purpose. 'VIJ~.V CK $8,252.31 $8,252.31 ^~~.._.~. -__ CARD -- 22 SDSN6AOt 0005946 ELIZABETH ROBINSON 2340 WAGGONERS GAP RD CARLISLE PA 17013-8308 Payment Due Date November 21, 2008 ~,'j. ~ ~ ;~^a~a,; ... y ,~ ~~~~ ~ ~uo~ onwny Ifs D4 7 _ ,.fir Enter Amount Enclosed Below I' ~~ Please make check payable to Discover Card. Minimum payment due includes a past due amount of $1,381.00. Will your payment get to us on time$ Pay your bill online and your payment can be made to your account on the same day. Visit Diseover.com/payments today. PO BOX 6103 Ill~~~ll~~~r~l~i~rl~l~ll~rl CAROL STREAM IL 60197-6103 Address, o-mail or telephone changel' Print change ins ace I~II~~II~~~~~~II~~~~~~~~~I~~(~~~~~(~I(~~~~~II~(~~~~~~II~~I~~I) above, or go to Discovarcard.com. Print your o-mail address to receive important Account information and special offers. OOODD1986458303081505082523100000000825231 Discover More Card Account Summary Closing Dab: October 22, 2008 page 1 of 1 Account number ending in 8279 Previous Balance $8,252.31 Payment Due Date November 21, 2008 Payments And Credits - 0.00 Minimum Payment Due $8,252.31 Purchases + 0.00 Credit limit $7,300.00 Cash Advances + 0.00 Credit Available $0.00 Balance Transfers + 0.00 ~, Cash Credit Limit $0.00 Fi~anes Charge: + 0.00 Cash Credit Available $0.00 New Balance = $8,252.31 Cashback Bonus® Opening Cashback Bonus Balance $ 0.00 New Cashback Bonus Earned + 0.00 Cashback Bonus Balance $ 0.00 Cashback Bonus®Anniversary Available to Redeem $ 0.00 Date: Cktober 22 How Can We Hel You? 1 • Visit Dixovsr.cem to pay your bRl for no cost, view our P latest Account information, earn and redeem rewards and more It's your choice - 3 ways to help 2. Call 1-800.DISCOVER (347-2683) for fast, easy self-service options or to speak with a Customer Service Account Manager Please have your Dixover Card available. 3. Write us at Discover Card, PO Box 30943, For TDD (assistance for hearing impaired) see reverse side SaM Lake City, UT 84130 ,Transactions SO Fraud liability Guarantee Use your Discover Card with confidence. Information for You While we are permitted under the Cardmember Agreement to increase the APRs on your Account because your payment was late, we have chosen not to do so at this time. We have terminated, however, any introductory or promotional rate on ;purchases and any special balance transfer rate, and applied the stondard APR for purchases to your outstanding balance of purchases and balance transfers. However, we reserve the right to increase the APRs on your Account if you fail to pay the minimum payment due by the payment due date. See the Default Rate Plan section of the Cardmember Agreement for EXHIBIT details. ..-_.__. Finance Charge Summary Nominal Transaction Average Daily ANNUAL ANNUAL Periodic Fee Daily Periodic PERCENTAGE PERCENTAGE FINANCE FRJANCE i glances Rates RATES RATES C GES CFIARGES i current billing period: 22 days Purchases $0 0.06573% 23.9990 V 23.99% $0 none Cash Advances $0 0.06573% 23.9990 V 23.99% $0 $0 ~ previous billing period: 7 days Purchases $0 0.06573% 23.999'0 V 23.99% $0 none The rates that apply to your Account are effher fixed (F) or they may vary (V) as noted above. .~ VERIFICATION The undersigned does hereby verify subject to the penalties of 18 PA.C.S. §4904 relating to unswom falsifications to authorities, that she is MaQaie Foi~ht (Name) Accounts Mana~Ler of DFS Services LLC ,plaintiff herein, that (Title) (Company) she is duly authorized to make this Verification, and that the facts set forth in the foregoing Complaint in Civil Action are true and correct to the best of her knowledge, information and belief. (Signa e) WWR# 7129020 Elizabeth F. Robinson '6011002290718279 ~ w ~~ ~~~~ ~ ,.J rJ'. `, f ^ ~` ti. K, n3 ~V,,;~~ 05;18!2009 08:51 ORRSTOWN BANK (FAX} IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYT.Vr~.NIA CIVIL DIVISION ', DISCOVER BANK Plaintiff vs. ELIZABETH F ROBINSON Defendant and ORRSTOWN BANK Garnishee No. 09-014 ~I4(~~ INTERROGATORIES IN ATTAC ORRSTOWN BANK FILED ON BEHALF OF: Plaintiff COUNSEL OF RECORD OF 'PHIS PARTY: Willi PA L] WEL' 1400 436 S Pittsb ~(4.1~) WWI P.005l009 • ~~ai,, 1. 2009 11,22~M No. 3818 P. 3 GARNISHEE'S ANSWERS TO AMENAED XNTERIZOGATORIES IN ATTACHM)~N'T 1. At the time you were served or at any subsequent time did you owe the defendan any money or were you liable to him on any negotiable yr other written insfirument, or did he claim that you owed ~ im any money or were liable to him for any reason? No. 1 a. If the answer to Interrogatory 1 is in the affirmative, state the fo]lowing: the amoun of money you owe or owed to defendant, and, if such money is in the form of a fund, the present 1 cation thereof; the terms, face amount and amount you owe or owed to defendant on each of such negotiable r other written instruments and the present location of each of such instruments; the amount or amounts that defe dent claims or claimed that you awe or owed to him; and the nature and amount of each of such liabilities. Not applicable. 2, At the time you were served or at any subsequent time was there in your possession, custody or control of yourself and one or more other persons any property of any nature awned solely or in part by the defendant. Yes. 2a. If the answer to Interrogatory 2 is in the affirmative, state the following; the amount of money in your possession or custody, and, if such money is in the form of a fund, the present loca ion thereof. $891.00 reward checking account.(subject to set off fo garnishment fee) 3, At the time you were served or at any subsequent time did you hold legal title to ny property of any nature owned solely or part by the defendant or in which defendant held or claimed any interest. No. 4. At the time you were served or at any subsequent time did you hold as fiduciary ~ny property in which the defendant had an interest? Yes. 5. At any time before or after you were served, did the defendant transfer or deliver ny property to you or to any person or place pursuant to your directions or consent and if so what was the considers'ion thereof? Yes. Account deposits and checks. No consideration given. 6. At any time after you were served did you pay, transfer, or deliver any money or roperty to the defendant or to any person or place pursuant to his direction or otherwise discharge any claim o the defendant against you? No. 7. If you are a bank ar other financial institution, at the time you were served or at any ubsequent time did the defendant have funds on deposit in an account in which funds are deposited electronicall on a recurring basis and which are identified as being funds that upon deposit are exempt from execution, levy ar attachment under Pennsylvania or federal law? If so, Identify each account and state the reason forth exemption, Igo . • ~'~ a ~,, 1. 2009 11.22AM No, 3818 P, 4 the amount being withheld under each exemption and the entity electronically depositing those funds on a recurring basis. '' 8. If you are a bank or other financial institution, at tho tim®you were seitied or at any ubsequent time did the defendant have funds on deposit in an account in which the funds on deposit, not includ ng any otherwise exempt funds, did not exceed the amount of the genera] monetary exemption under 42 Pa. .S. § 8123? If so, identify each account. No. WELTMAN, WEINBERG & REIS CO., L ~y: William T. Molczan, Esquire FA I,D. #47437 WELTMAN, WEINBERG & REIS CO,, 1400 Toppers Building 436 Seventh Avenue Pittsburgh, PA 15219 (41 Z) 434-7955 WWR#7129020 Respectfully submitted 0' BAR & CH i David A. Baric, Esquire I.D. # 44853 19 West South Stee~t Carlisle, PA 17013 (717) 249-6873 Attorney for Garnishee, P.A. P.A. 0rrstown Bank _ _ _ Jun, ', 2009 i 1.22AM No. 38 i8 P. VERIFICATION The undersigned does hereby verify subject to the penalties of 18 PA. C.S. 4904 rela to unsworn falsifications to authorities, that he/she is David A. Baric, Esc~uir (Name) Attorney for Orrstos~n Bank ___ _.. _ > garnishee herein, (Title) (Company) that he/she is duly authorised to make this verification, and that the facts set forth in the fore Answers to Interrogatories are true and correct to the best of his/her knowledge, infoz~rnation .~ (S~CrNATY.JRE) David A. Baric, E ief. uuire CERTIFICATE OF SERVICE I hereby certify that on June 10, 2009, I, David A. Baric, Esquire of O'Brien Baric & Scherer, did serve a copy of Garnishee, Orrstown Bank's Answers To Amended Int rrogator In Attachment, by first class U.S. mail, postage prepaid, to the party listed below, as follows: William T. Molczan, Esquire Weltman, Weinberg & Reis, Co., LPA 1400 Koppers Building 436 Seventh Avenue Pittsburgh, Pe vania 15219 r David A. Baric, Esquire f i~~Lr`li1~f ±vt.. Z~Q~ ~~~~~ ~ ~ ~f~ ~~ 38 CUi4R ::tom ;~ .~rJl~1aY r ~P~li ,SYL~',~~i'~l,t{ IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, CIVIL DIVISION DISCOVER BANK Plaintiff 04 -t~s No. 69-fr1~#3=CIVIL TERM vs. PRAECIPE FOR JUDGMENT AG GARNISHEE ELIZABETH F ROBINSON Defendant ORRSTOWN BANK Garnishee FILED ON BEHALF OF Plaintiff COUNSEL OF RECORD OF THIS PARTY: WILLIAM T. MOLCZAN, ESQUIRE PA I.D.#47437 Weltman, Weinberg & Reis Co., L.P.A 1400 Koppers Bldg. 436 Seventh Avenue Pittsburgh, PA 15219 (412)434-7955 WWR#7129020 VANIA IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYI~ CIVIL DIVISION DISCOVER BANK Plaintiff vs. ELIZABETH F ROBINSON Defendant ORRSTOWN BANK Garnishee Civil Action No. 09-01145-CIVIL TI VAN[A PRAECIPE FOR JUDGMENT AGAINST GARNISHEE TO THE PROTHONOTARY: Kindly enter Judgment against the Garnishee, ORRSTOWN BANK , in the amount c less than Defendant owes to Plaintiff and which amount Garnishee has admitted owing to the L to Cnterrogatories. $591.00, which is -n answers WELTMAN, WEINBERG & REIS CCf ., L.P.A. WILLIA T. MOLCZ ,ESQUIRE PA I.D.#47437 Weltman, Weinberg & Reis Co., L.P.~ 1.400 Koppers Bldg. 436 Seventh Avenue Pittsburgh, PA 15219 (412)434-7955 WWR#7129020 I hereby certify that the address of the Plaintiff is: c/o Weltman, Weinberg & Reis Co., L.P.A., 1400 Koppers Building, 436 7`" Avenue, Pittsburgh, PA 1.5219 And that the last known address of the Garnishee is: Orrstown Bank; 3 Baden Powell Lane, Mec anicsburg, PA 17055 0 ~l18t2009 08:51 4RRSTOWN BARK {FA}t} P.005l009 IN THE COURT OP COMMON PLEAS OF CUIvIBERLAND COUNTY, PENNSYLVA CIVIL DIVISION DISCOVER BANK Plaintiff vs. ELIZABETH F ROBINSON Defendant and ORRSTOWN BANK Garnishee No. 09-0145-CIVIL TERM INTERROGATORIES IN ATT ORRSTOWN BANK FILED ON BEHALF OF: Plaintiff COUNSEL OF RECORD OF "PHIS PARTY: William T. Molczan, Esquire PA I.D. #47437 WELTMAN, WEINBERG 3z REIS CO., 1400 Koppers Building 435 Seventh Avenue Pittsburgh, PA 15219 (4-1~)--'r34-7955 WWR~#7129020 .A. Jun. 1. 2009 11:22AM GARNISHEE'S ANSWERS TO AMENAED XN'TE1l2ROGATORIES IN ATTACHMENT No. 38118 P. 1. At the time you were served or at any subsequent tine did you owe the defendant any money or were you liable to him on any negotiable or other written instrument, or did he claim that you owed im any money or wars liable to him for any reason? No. 1 a. If the answer to Interrogatory 1 is in the affirmative, state the following: the amount of money you owe or owed to defendant, and, if such money is in the form of a fund, the present to ation thereof; the terms, face amount and amount you owe or owed to defendant on each of such negotiable o other written instruments and the present location of each of such instruments; the amount or amounts that defen ant claims or claimed that you owe or owed to him; and the nature and amount of each of such liabilities. Not applicable. 2, At the time you were served or at any subsequent time was there in your possessi n, custody or control of yourself and one or more other persons any property of any nature owned solely or n pa~•t by the i defendant. Yes. 2a. If the answer to Interrogatory 2 is in the affirmative, scats the following: the amount of money in your possession or custody, and, if such money is in the form of a fund, the present locati n thereof. $891.00 reward checking account-(subject to set off for garnishment fie) 3, At the time you were served or at any subsequent time did you hold legal title to ai y property of any nature owned solely or part by the defendant or in which defendant held or claimed any interest? No. 4. At the time you wars served or at any subsequent time did you hold as fiduciary a~~y property in which the defendant had an interest? Yes. 5. At any time before or after you were served, did the defendant transfer or deliver a y property to you or to any person or place pursuant to your directions or consent and if so what was the considerati n thereof? Yes. Account deposits and checks. No consideration gi en. 6. At any time after you were served did you pay, transfer, or deliver any money or p operty to the defendant or to any parson or place pursuant to his direction or otherwise discharge any claim of he defendant against you? No. 7. If you are a bank or other financial institution, at the time you were served or at any su sequent time did the defendant have funds on deposit in an account in which funds are deposited electronicaliy n a recurring basis and which are identified as being funds that upon deposit are exempt from execution, l y ar attachment under Pennsylvania or federal law? If so, Identify each account and state the reason for the xemption, Nto . . ,~~~~~. 1. 2UU9 11.22AM No, 38118 P. 4 the amount being withheld under each exemption and the entity electronically depositing those funds bn a recurring basis. II 8. If you are a bank or other iinanciai institution, at tho time you were sewed or at any s bsequent time did the defendant have funds on deposit in an account in which the funds on deposit, not includi g any otherwise exempt funds, did not exceed the amount of the genera] monetary exemption under 42 Pa. .S. § 8123? If sv, identify each account, No. WELTMAN, WEINBERG & REIS CO., L.~'.A. gy: ~ EG'G' ~- William T. Molczan Es uir`-~ ~a PA 1,17. #47437 WELTMAN, WEINBERG & REIS CO., L.I 1400 Koppers Building 436 Seventh Avenue ,Pittsburgh, PA 15219 {412)434-7955 WWR#7129020 Respectfully submitted 0' , BAR & CH i David A. Baric, Esquire I.D. # 44853 19 West South St~e~t Carlisle, PA 17013 (717) 249-6873 '.A. Attorney for Garnishee, O~rrstown Bank .Jun. 1. 2009 11.22AM VERIFICATION No, 38h 8 P. 8 The undersigned does hereby verify subject to the penalties of 18 PA. C,S, 4904 relati to unsworn falsifications to authorities, that he/she is David A. B a r i c, E s q u i r e (Name) Attorney for Orrstoc~ra Bank ,garnishee herein, (Title) (Company) that he/she is duly authorised to make this verification, and that the Facts set forth in the foreg Answers to Interrogatories are true and correct to the best of his/her knowledge, information , (SICrNATC~'RE) David A. Baric, Esu ire CERTIFICATE OF SERVICE I hereby certify that on June 10, 2009, I, David A. Baric, Esquire of O'Brien, uric & Scherer, did serve a copy of Garnishee, Orrstown Bank's Answers To Amended In Attachment, by first class U.S. mail, postage prepaid, to the party listed below, as William T. Molczan, Esquire Weltman, Weinberg & Reis, Co., LPA 1400 Koppers Building 436 Seventh Avenue Pittsburgh, Pe vania 15219 David A. Baric, Esquire ?OQ9 Ji~~ 2b F~ ~ : ~ b ~~ ss73~sm l.~ceQ i..lo~L~Q /Garn~sf~.e IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLV~ CIVIL DIVISION DISCOVER BANK Plaintiff vs. ELIZABETH F ROBINSON Defendant ORRSTOWN BANK Garnishee Civil Action No. 09-O1145-CIVIL TERQ NOTICE OF JUDGMENT OR ORDER TO: ( )Plaintiff ( )Defendant (xx) Garnishee You are hereby notified that the following Order or .tudgment was entered against you on (xx) Assumpsit Judgment in the amount of $591.00 plus costs. ( ) Trespass Judgment in the amount of $ plus costs. ( ) If not satisfied within sixty (60) days, your motor vehicle operator's license and/or regi suspended by the Department of Transportation. Bure Harrisburg, PA. (xx) Entry of Judgment of ( ) Court Order ( } Non-Pros ( ) Confession ( ) Default ( ) Verdict ( ) Arbitration Award Prothonotary By: 5 ~(,c.tSlc..B ~. P OTHONOTARY (OR D Orrstown Bank 3 Baden Powell Lane Mechanicsburg, Pa ]7055 IA ration will he of Traffic Safety, IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DNISION DISCOVER BANK Plaintiff vs. ELIZABETH F ROBINSON Defendant ORRSTOWN BANK Garnishee No. 09-0145 CIVIL TERM PRAECIPE FOR SATISFACTION OF JUDGMENT AS TO THE GARNISHEE ORRSTOWN BANK ONLY FILED ON BEHALF OF Plaintiff COUNSEL OF RECORD C)F THIS PARTY: WILLIAM T. MOLCZAN, ESQUIRE PA I.D #47437 WELTMAN, WEINBERG & REIS CO., L.P.A. 1400 Koppers Building 436 Seventh Avenue Pittsburgh, PA 15219 (412)434-7955 WWR#7129020 IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA CNIL DNISION DISCOVER BANK Plaintiff vs. ELIZABETH F ROBINSON Defendant ORRSTOWN BANK Garnishee Civil Action No. 09-0145 CIVIL TERM PRAECIPE FOR SATISFACTION OF JUDGMENT AS TO THE GARNISHEE , ORRSTOWN BANK, ONLY TO THE PROTHONOTARY: Please kindly Satisfy the Judgment of the above captioned matter upon the records of the Court and mark the cost paid as to Garnishee, ORRSTOWN BANK, only. Sworn to and subscribed B~~~e the ~~ ay of i,JI,}~, 2001 ARY PIIBLIC COMMONWEALTH OF PENNSYLVANIA Notarial Seal Jennifer M. Borowski, Notary Public City of Pittsburgh, Allegheny County My Commission Expires Feb. 22, 2012 Member, Pennsylvania Association of Notaries WELTMAN, WEINBERG & REIS CO., L.P.A. ~ l_ r By: ~/ WILLIAM T. MOLCZAN, QUIRE PA I.D #47437 WELTMAN, WEINBERG & REIS CO., L.P.A. 1400 Koppers Building 436 Seventh Avenue Pittsburgh, PA 15219 (412)434-7955 WWR#7129020 ~~~ n~k~~y ~;;r,~ J _ , ,-~-~,. ~ ~. ~ `; ~ , ~ S. oo Qo A`r'rY ~'~ 84l soa.~ I~ aas9~a 1~ ~ 4 Ronny R Anderson Sheriff Jody S Smith Chief Deputy Edward L Schorpp SOIICItOr SHERIFF'S OFFICE OF CUMBERLAND COUNTY ~Q~ti~~;, pi' ~kiiui~fr~~rf~4 < < -~.,~ Discover Bank vs. Elizabeth F Robinson 2QlQ !~".i' ! ~ !~~ 2~ i ~ - r ~ •' V ~.. rr{. Case Number 2009-0145 SHERIFF'S RETURN OF SERVICE 05/14/2009 05:40 PM -Mark Conklin, Deputy Sheriff, who being duly sworn according to law, states that on May 14, 2009 at 1540 hours, attached as herein commanded all goods, chattels, rights, debts, credits, and monies of the within named defendant, to wit: Elizabeth F. Robinson, in the hands, possession, or control of the within named garnishee, Orrstown Bank, 3 Baden Powell Lane, Mechanicsburg, Cumberland County, Pennsylvania, 17055 by handing to Jeff Bingaman, Branch Executive Officer personally three copies of interrogatories together with three true and attested copies of the writ of execution and made the contents there of known to him. The writ of execution and notice to defendant was mailed on May 18, 2009 to Elizabeth F. Robinson, 2340 Waggoners Gap Road, Carlisle, PA 17013. 05/17/2010 Ronny R. Anderson, Sheriff, who being duly sworn according to law, states this writ of execution is returned as ABANDONED. No action on writ in over 6 months. SHERIFF COST: $90.27 May 17, 2010 SO ANSWERS, RON R ANDERSON, SHERIFF B Sharon R. Lantz ~~,"~ 7C, a>~i ej Cou; n,ifl~ Si~.e t. 'e.. ,;cstt. inc.