HomeMy WebLinkAbout09-0149
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK (USA),NA
Plaintiff No: ~- 019 i''v~lTerr~
vs.
COMPLAINT IN CIVIL ACTION
JANE E STUPI
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
06979600 C N Pit REA
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK (USA),NA
Plaintiff
vs. Civil Action No
JANE E STUPI
Defendant
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
COMPLAINT
1. Plaintiff, CAPITAL ONE BANK (USA),NA is a corporation with offices
at 15000 CAPITAL ONE DRIVE RICHMOND VA 23238 .
2. Defendant is adult individual(s) residing at the address listed
below:
JANE E STUPI
23 LOIS LN
MECHANICSBURG, PA 17050
3. Defendant applied for and received a credit card bearing the
account number XXXXXXXXXXXX3371 .
4. Defendant made use of said credit card and has a current balance
due of $3103.47 as of October 24, 2008 .
5. Defendant is in default by failing to make monthly payments when
due. As such, the entire balance is immediately due and payable to
Plaintiff.
6. Plaintiff is entitled to the addition of interest at the rate of
27.400 per annum on the unpaid balance from October 24, 2008 A copy
of Plaintiff's STATEMENT is attached hereto, marked as Exhibit "1" and
made a part hereof.
7. 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 JANE E STUPI INDIVIDUALLY in the amount of
$3103.47 with continuing interest thereon at the rate of 27.400 per
annum from October 24, 2008 plus costs.
vawaaa aaW1V~AV, Z4J4Z
WEL EINBERG & REIS CO., L.P.A.
436 Se a th Avenue, Suite 1400
Pitts ur h, PA 15219
(412) 4 4-7955
FAX: 4 -338-7130
0697 00 C N Pit REA
This law firm is a debt collector attempting to collect this debt for
our client and any information obtained will be used for that purpose.
~P~~One' NOT PAYING YOUR DEBT 500°"
what's in your wallet?' DOESN'T MAKE IT GO AWAY.
In fact, even if we report your account as charged off, you'll still be responsible
for paying your debt. So why not call us to see what we can do together to
keep you from receiving such a serious mark on your credit record?
We're here to help. Please contact us to
find a solution that's right for you.
You can make a payment with our fig check by phone service
or speak to an associate by calling 1.800.955.6600.
Mahe wre you call or pay the amount due on your statement within 30 days to keep your acowm from being drarged off.
EXHIBIT ~ 2006 Capita! One Srrvicu, Inc. Capita! Onc u a fedrsally registned rrrvicc mark. All rigfitr rerrrved. 500013-09503
~a~e FINANCE
Previous Balance Payments & Credits CHARGE Trensactlons Naw Balance Minimum Payment Due Date
$3,560.10 - $0.00 + $84.76 + $39.00 = $3,683.86 $933.86 Nov. 30, 2007
Oct. 06, 2007 -Nov. 05, 2007 Page 1 of 1
/LEASE PAY AT (FAST TINS AMQINT
Visa Platinum Account
488238251078.3377
Your Account Infom7atbn
TOTAL CREDIT LINE $2,750.00
TOTAL AVAILABLE CREDIT $0.00
CREDIT LINE FOR CASH $2,750.00
AVAILABLE CREDIT FOR CASH $0.00
Finance Charges (Please see reverse for impoAant infonnalion)
Balance rate Periodic ding FNANCE
applied to rate R CHARGE
Purchases $3,609.67 0.07575% D 27.65% 564.76
Cash $0.00 0.07575% D 27.65% $0.00
ANNUAL PERCENTAGE RATE applhd this parlod: 27.65%
® At Your Servke 1.8000013837
To caN l.ustaner Reletlons or ro repot a bsl or abler card:
® Sand paymerds lo:
Capkat One BarYc • P.O. Box 70984 • ChedolN, NC 28272-0684
Your account is siz payments behind. If we charge off your account due to late payments, we will report the
charged-0ff status to several natbnal credit bureaus, and the Purchase APR as reflected on this statement will
be applied to all your outstanding balances. Act now to prevent this from happening. Please pay the amount due
on your statement a give us a call at 1.800.955.6600. We'll work with you so you can take control of your
account and start rebuilding your credit vrith Capital One.
"Important NoBce" Under th temp we previously disclosed to you, your account is now eligiGe for an inaease
in Annliel Percentage Ries (APRs) eftec8ve immediatety. However, Cepitel One has ebded not to raise your
APRs et this Ome. Pkwse be advised that'd you fail to keep your account in good standing, Capital One reserves
the tight to raise your APRs in the future.
Payments. Credits & Adiustments
Transactions
1 30 OCT PAST DUE FEE 539.00
A Sand Ingrrlrla lo: Yau were assessed a pest due fee because your minimum payment was not received by the due date. To avoid
Capkal One • P.O. Box 30285 • Sett take CNy, !R 9x130.0295 this tae in the future, we recommend that you aNow et least 7 business days for your minimum payment to reach
® Have a question about a charge an your statemeM7 Capital One.
Please refer to the Billing Rights Summary an the bade of
your statement a visit
6056 506 1 07 5 071105 PAGE 1 of 1 O1DM6056
PLEASE RETURN PORTION BELOW WITH PAYMENT OR LOG ON TO WWW.CAPITALONE.COM TO MAKE YOUR PAYMENT ONLINE
4862362510193371 05 3683860400000933860
~" what's in your waIIM7'
New Balance Minimum Payment Due Date
$3,683.86 $933.86 Nov. 30, 2007
PLEASE PAY AT LEAST
THIS AMOUNT
Amount Endosed
Capital Ona Bank
P.o. Box 7Dee4 LLIINNIIIINiINILNII
Charlotte, NC 2!272-0884
Ir611NJNrrLIIrINIrNiNIILNILdNLIIrNIrNllydttll IILI 111
Account Number: 4862-3625-1019-3371
Please print address or phone number changes below using blue or black ink.
Home Phone Ahemate Phone
E-mail address
#9031171834946729# MAIL ID NUMBER
JANE E STUPI
23 LOIS LN
nECHANICSBUR6. PA 17050-3632
rrrllLrrIIINNNrLIN111NNNIIINIIIrrrrllrlllrirllNirNfLIrIL
Please write your accoum number on your check or money order made payable to Capital One Bank and mail with this coupon in the enclosed envelope.
JANE E STUPI
1. How m Avoid ^ Flnann ClrrpR
t e. Oran PMOd. You wNl hew a minknum pnce perbd of 25
WyewNlwd anarw.a loupe on raw purchase, new
i Debnce /terriers, new spsdd purchase ant raw orix
~I duupr nyou paY yo«bW'Naw BaYnce•, In
aocemanca wiri tlIe ImppleM Notlos br psyrrrrgs
bakes, erd kI tkrr br k b ba «adNed M' Y~r PaYnrnt
'~~. duo deb. Thws 4 ro prsu peeled on ueh advsroea
', and apsdel6anlere. In sddlnon, there N ro prate perbd
on airy 6anaaclbn n you do not pay tM btr'New
bsYlrn
0. Aewkp FYrnq CMrps. Tranaaetlona vRNCh aro not
rgact b • pram period w aaesaed than drrpa 1)
sent rie dab drier k.r.ukn «T)lram rie dare the
tnrtserJiorr is preawaW b yow Amwnt «3) from rie fret
nbndsr dry d the anrM bNYrp perbd. AddltldlW(5 nyau
del rat pry tlr 1New BaYnn' ham rie prevbus bperp
padotl b tW, tktarln dtaya mdalw b aoaus b your
unpaid balarlu urdl dra ullprd 6aYrrn Y paid'n fut. Thin
rtran riot you may sWl owe IYrltas charges, oven n you
pay rie eMka New Balerros Yldkaoed an rie h«e d Your
atarnrrlt hY the payment Ors tlata, but del rat do ao f«
rie prevbus month. Urpab tYrltcs cherpes era added m
IM applinbb sspmeM d yowAmaunt
t c. AprINlrlan Firlann Chrps. Fa each Wiq paned rie! you
amaad b auhyd m a prrrica tlwpe, a miNmum folr
FINANCE CIIMGE dS0.5o well M NnpocW.
t d. Tampanry Rsduedon In Flnarrs Charpa. llJa retpve ere
dgtl b not ease arty «aY flnanCe drrga f« any glwn
bYNnp pedoe.
2. Awnps DagY Mbnn (Inekrdnp New Purehsas),
Frrnce drys p oakasratl by mulnplykp the dry halann
d each sepnrrtt d your amount (e.¢, nsh advance,
purdare, apedel earner, and aPedel purdra) by the
conup«Milp daiN Periodic case(s) thr ha been
preNway dfaelned b You. At the and d each day durlrrp
[ha nNrg psrbd, we appy the daay perbdm rWO /« each
segment d yow amount m tlr deny bdarroe d each
ee«IrwA Than at tlrs std dtha b11Flp psdod, rra add rq rie
subs drisa dry crudsnorr a arrive M your parbdk
flnann dtarga br arh aaprws. VJa add upar resws tram
each aspnm b aMw atths felt peliodc nrrrres dtarge for
yow smaraA 7b Oat rie daly halm f« each sepnrrn d
Your acerae. wo hka dr byiniy hslrros ax each
aeprtrM and add soy rrwl'arwetlona and ratypsrlodt
/note charge dalaled on tlr Provla+s dsyl belrloe for
rir ae(yartl Wa tlrsn autlrad arty payrwda «oadr
posNd x grist d.y riot are aloutad b riot aapmaM. This
picas w M aspvsea daay beYnn for each aspnrM dY«a
amount. Nwrsvar, nyou geld the New Balance shown on
your praNOw sutemant In NI (« ryaur new balerrce wu
zro «^ «adt slrrarM), noes harrectlona, whmh past m
yo« purdrr «apedr purehaae aapmmes ere not added
b Me dry balances. vYe nldaate d,e avaeps cry
nlann by addNq al rie dry bslenns beerier and
dMdrrp tit cum by tM nunher d ere days b the anem
Wimp cyder. To nmuru your bid finerln drrps, muniply
yov awrape dry belrgs by the daffy padodic rant end by
rie Wanner d days b ate bNlkp peeled. Dw b rou«rp on a
daly bu4 «due m miNnwrm 4rnco drye aaeasrtrnL
riere mry he a verlanra bstvrssn ttls nk:ulanon end tlr
smawd d enartu drys aonrpy aaseesed.
3. Mnur Parnalps Rases (APR).
a. The brm'Mnwl PercaMape Rob' may ePPag
a'APR' on rie earn d Ok srbman.
b. n the Dods P (Ouerlerly Prkn~ L (Otlaftary LIBOR), C
(OwrWly CD), «S (Bardua+m Prime) appers an [n front
drib sgbmeM neat b aw padotlb rMS(s), nr perbdb
rates end mnap«Idrrp ANNUAL PERCENTAGE RATES
rtry wy qurYlyand mry kiaests «ds«wss hued m
rie atard irrdiose, a hour in TM Wri 31raa1 Joumr, Dhr
rie mer(pri previowly ditrdnW b you. Thw drrpae w7
hs enedNe on err hY dry dyo« nMYq Period /ousted by
your prlodc aternrertt andeg In rie mndr d Juwry,
Apol, Jdy antl Odobar.
c If els mkt D (MaMhy Prime), F (kbrrwy LIBOR «G
Rro+r+ry LIBOR) aprre on Iha eoM of you statement
ntl m the pedode rate(s), rie pedodb tour erW
mrrasp«tlrq ANNUAL PERCENTAGE RATES may vary
ma,riy end may kI«eus «dsvaasa bsaad an tM acted
Ildkrs, u foutd b TM WY Street Journal, pks Iha
margin provfoury dlatloted b you. Tfra drupes wll be
attacdw on rie Art day d your bllirq pedo0 aaM month.
4. Aaaasamsrd d Lets, tMlYmn end RMlrrlad Payment
Fsa. UnGr ihs bmr d your antomar sprwneM, wa
reserve the rght b wrhN « nd m asssu any tees wWmd
prl«notllk'aliM m you wNlorvgNbp ourripM to was the
ume«aimNarfasa eta Warlirn.
t 5. Rrrwbp vov Am«nt n a menbarehip roe appaere
on Ure iron/ d your daterrrn4 you haw 30 days from the
date des afatertrm was Irrned b you b awid Daykp ate
fee «m bees Moll lea GWi[ed b you n you until ymr
am«aa wiOlaR truing m DaY Os IrwliberetlDfae. To
nrrcd ywr arrant you must nosy us by ralYrg ow
Cuatonur Relatlons DepsNnent and Icy your'New
Boleros' in lul (sxdudmp the msmbsrehlp lea) Pdor b
dr end d the tlerty«dsy period.
B. M Yea Clas Your Aoeoun4 You ran raqueat b tloa your
accorud by pBrtp aw Cw1orller Ralatlons OgrdrrrnL Vou
mart destroy y«r «edn Card(s) end aomlad scow drdol, '
nrroN sl praaungrizsd Wlnp end wa uairrp your amount.
After your rsgwet b dose, n you mnttrue m Wooed «tlo
rmt anal prautiwdaW b1Ynp arran9emen%. Ws vMl
murder rar~lpl der drys yewautlnrlaeam m keep Ymr
ermuM open. Additionaly, your amount will not W dowel
until you pry al amourtr you awe us indudyp: arty
trannGlwr you haw auriodzed than drlBes, plat duo
feu, ovedmb tees, rMrned payment fees, rash aMenn
feu std arty edrrtaa aaaaaaad b your aaoolmL Vau ors
roaprrsbb for than elmnr wf Wierdry epper n Yes
amamt M the tlms you rsgwd b does rie socouM «riey
aro tricllne0 su0aaquent m yow request m dace rie accoura.
This may raauN M davpr eppeerp on your account snot you
haw raquered tiro eCmiarl m he deed.
7. Usbp Year AemuM. Vow nm or account anrgl be wed in
oonnawan wiM arty IntamN pamtlky Uanaecdans.
8. Notks Abdul ElaWank CMck Convarelon.
When you proNde ^ dledr as Daymem, you aulhodze w
eNlw b uSa infarlnaecn from your dtedc b nrrr 6 ana-lime
aNoeonb tnlrtl aaltsterfioln yar 6snlt adman/ «b plower
tlr DaymeM a a dteck trenaalPn. When we ua
bfarnrecn e'am your dtsrk b mska an abdroltb Aud
tnrrbr, hxrrb may be wNrdrawo aoln your bank aoogld as
aom a to came day w renlve Yaw D.ym.M, and you win
rbt receive your clledr Wdteom your hondr YtrNutlan.
BILLIfJG RIGHTS SUAMARV
(In Caw d Error «Guatlons allout Your BMI)
n you riYec your tl1 M rworq, «n you need more Idamatlm on
a Irarlssatlon er tll, welt b w an • taperer chasl a won ac
pwNde at tl1a addross b inquilia shown m ew hoot d riN
statsnrlrt yes mwt hear earn you ro Isbr 11rn p0 days afbr we
sent you rie Am biN n wstlcll rie error «probWn appssrod. Vou
an till ov drebrrier Ralstlona rslmbs6 Dr tldnD ao wNl rat
plasvs yaw dphb. In your MW, pies us Ur baowkg
hdamretlon: your Irma an aomuM numbs, are OaNar amont
of the awpeded error, a eeecr4dbn d the error and an
a~laneaerr, n paaeltle, d why you 6albva dwra h an attar; or M
you need more infonrra«r, a daautplion d the Item you aro
wrrlus about Vou do nPl haw b D,y any arrwlrnt 11 gUa6lian
whNe we ere inwedpedip h, but you aro NNI otligated b pay the
pane d Your hNl that an not m quaadon. tAmlle we inweapar
yow gwalbn, w carrel report you u dalnqueM « Ws any
adion b gonad tM amount you gwstbn.
Y. t SperJal Fbde kx Credo Gm Purtltaeee
H you haw a Drablem wiri rie qurNy o1 ProPertY or aerviw that
you pemhaasd with • «adn nm and you Aew tried k good faith
m correct Itr Protlam with the merdrenl. You meY haw rie right
nd m pay the romrnlrrp amount des m tlro properly «sorvmn.
You haw Wes Prdealon ony when the purdwe Prk:e wu more
rian 560.00 and tlrs pudtw wa msda in yow home afar «
within 100 mile d your mrlNp aOtrua. (If w own «opsreb
tlr ItrrehanL «n w mooed you the edwrtlaamaM f« rie
propsdy «aarYiw, all p«dtasa ors nvend rapsmleu d
amoud «bntbn d purchawJ Plesaa romember m aqn all
mrafP0ldNIG.
t Doss nd apply b mnalarrr noncmda csrd sccowda
Ora not eDD1Y b buakrsa rrorFOrede card accowue
Capital One auppo14 id«matrat privary protection: as our
weMtis M .
Caplhl On b a (a0srry rapbOrrsO aervln msdc d GPNr On
FlnancW CoR+oretion. All d9hts roserved. O 2008 GpiW One
TC-0e
01 DMe066 - t • OM10/07
bporbnt Natlu: P.ymalh you met m r err h credited b yawaocanl r dnw brdner dayvr canes Y, prwNed (1) you ram h
hdmm pvmn d Wr aWrlrll am yow dad h tlr and«M miiWta anrkq rd (2) ywpaynad Y noshed h wpracsMq oedrr
by3 pm ET (12 rom Pit. Pbue rmw at Mrl Ar (61 Nrrrr eapf« poeW sentry. PMnnnb naked tr/ u r ury mw mratlon «m
cry aNrrfwm my nd a Cndrd r dIM day a raaeka tlrn. Owhuanw days ua Madry tlrarplr SabNSy. artadYq hddeye.
Pbese do nd uu atepW, piper dip, am. who PaPUmYYour PaN~~
CAPITAL ONE BANK (USA), N.A.,
Plaintiff,
v.
JANE E STUPI
Defendant(s).
VERIFICATION
The undersigned does hereby verify subject to the penalties of 18 Pa.C.S. Section 4904 relating
to unswom falsification to authorities, that he/she is an authorized agent of CAPITAL ONE
BANK (LISA), N.A., Plaintiff herein, and that he/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 his/her knowledge, information and belief.
Dated: ~
Courtney Sto
A049
WELTMAN, WEINBERG & REIS CO., L.P.A.
3 ~ ~~~'
~:_ _x;
,.~..
U1 ~ ~ K= C i
-r /•
.:.. •_
.°
Z
~'
N
G.7 -~G
WRIT OF EXECUTION and/or ATTACHMENT
COMMONWEALTH OF PENNSYLVANIA)
COUNTY OF CUMBERLAND)
NO 09-149 Civil
CIVIL ACTION - LAW
TO THE SHERIFF OF CUMBERLAND COUNTY:
To satisfy the debt, interest and costs due CAPITAL ONE BANK (USA), N.A. Plaintiff (s)
From JANE E. STUPI, 23 Lois Lane, Mechanicsburg, PA 17050
(1) You are directed to levy upon the property of the defendant (s)and to sell
(2) You are also directed to attach the property of the defendant(s) not levied upon in the possession
of
GARNISHEE(S) as follows:
MEMBERS 1sT FCU, 1711 SPRING ROAD, CARLISLE, PA 17013
M&T BANK, I WEST HIGH STREET, CARLISLE, PA 17013
METRO BANK, 20 NOBLE BLVD., CARLISLE, PA 17013
and to notify the garnishee(s) that: (a) an attachment has been issued; (b) the garnishee(s) is enjoined from
paying any debt to or for the account of the defendant (s) and from delivering any property of the defendant
(s) or otherwise disposing thereof,
(3) If property of the defendant(s) not levied upon an subject to attachment is found in the possession
of anyone other than a named garnishee, you are directed to notify him/her that he/she has been added as a
garnishee and is enjoined as above stated.
Amount Due $3,342.86
Interest $451.71
Atty's Comm %
Atty Paid $158.30
Other Costs
Plaintiff Paid
Date: JULY 5, 2011
(Seal)
REQUESTING PARTY
Name MATTHEW D. URBAN, ESQUIRE
L.L. $.50
Due Prothy $2.00
David D. Buell, Prothonotary
Deputy
Address: WELTMAN, WEINBERG & REIS CO., L.P.A.
1400 KOPPERS BUILDING
436 SEVENTH AVENUE
PITTSBURGH, PA 15219
Attorney for: PLAINTIFF
Telephone: 412-434-7955
Supreme Court ID No. 90963
r ;;.:D-Or Eit;r:
rOTHONOTA"
I JU -5 AM 10, 43
cUMBERLAND COUNT'S
PENNSYLVANIA
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK (USA),NA
Plaintiff No. 09-0149 CIVIL TERM
vs. PRAECIPE FOR WRIT OF EXECUTION
JANE E STUPI c?3 1 (?j S +<-0.?? (BANK ATTACHMENT ONLY)
Defendant(s) {?? i'10 S0
MEMBERS I ST FCU qcadlam' L1, 51-el Pla /76(f
M&T BANK -• ?• ??l I?l Qr?c S del' 17(x! 3
METRO BANK, - oZU yVdlr'jI? f?lVc?•t rat Sle PI4 170
Garnishee(s)
FILED ON BEHALF OF
Plaintiff
0 P) Pd 0-
'W?v se
3g•c6o C6r-
Q• Sd 11 lr
y. (So " u
?• SD U it
COUNSEL OF RECORD OF
THIS PARTY:
Matthew D. Urban, Esquire
PA I.D. #90963
WELTMAN, WEINBERG & REIS CO., L.P.A.
1400 Koppers Building
436 Seventh Avenue
Pittsburgh, PA 15219
(412) 434-7955
L
k,4- 15 9 57/3a
s
C
2.4a (0-6a
WWR No. 6979600
Wrif o F tk Jsstoed
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK (USA),NA
Plaintiff
vs. Civil Action No. 09-0149 CIVIL TERM
JANE E STUPI
Defendant(s)
MEMBERS I ST FCU
M&T BANK
METRO BANK
Garnishee(s)
PRAECIPE FOR WRIT OF EXECUTION
TO THE PROTHONOTARY:
Kindly issue a Writ of Execution in the above matter...
1. directed to the Sheriff of CUMBERLAND County:
2. against JANE E STUPI , Defendant
3. against MEMBERS 1 ST FCU, M&T BANK, METRO BANK, Garnishee
4. Judgment Amount $ 3342.86
Less Payments/credits received $ 0
Interest $ 451.71
Costs $
SUBTOTAL: S 3794.57
Costs (to be added by Prothonotary): $
WELTMAN, WEINBERG & REIS CO., L.P.A.
By: L---?`
Matthew D. Urban, Esquire
PA I.D. #90963
WELTMAN, WEINBERG & REIS CO., L.P.A.
1400 Koppers Building
436 Seventh Avenue
Pittsburgh, PA 15219
(412) 434-7955
WWR No. 6979600
SHERIFF'S OFFICE OF CUMBERLAND COUNTY
Ronny R Anderson
Sheriff
Jody S Smith
Chief Deputy
Richard W Stewart
Solicitor
p11t1S' at 4itltlGp? f44o
FILED-OFF-i v
OF- 1 'HE PROTIHON AR".
201 1 JUL 15 AM 8: P 3
CUMBERLAND COUNTY
PENNSYLVANIA
Capital One Bank (U.S.A.) N.A.
vs.
Jane E Stupi
Case Number
2009-149
SHERIFF'S RETURN OF SERVICE
07/13/2011 02:30 PM - Michael Barrick, Deputy, who being duly sworn according to law, attached as herein
commanded all goods, chattels, rights, debts, credits, and monies of the Defendant, in the hands,
possession, or control of the within named garnishee, Members 1st at 1711 Spring Road, North Middletor
Township, Carlisle, PA 17013, Cumberland County, by handing to KRISTAL LUCKEY--- SERVICE REP,
personally three true and attested copies of the Writ of Execution and made the contents there of known
to her.
The writ of execution and notice to defendant was mailed on July 14, 201 Ito Jane E. Stupi at 23 Lois
Lane, Mechanicsburg, PA 17050.
07/13/2011 03:02 PM - Michael Barrick, Deputy, who being duly sworn according to law, attached as herein
commanded all goods, chattels, rights, debts, credits, and monies of the Defendant, in the hands,
possession, or control of the within named garnishee, M&T Bank at 1 W High Street, Carlisle Borough,
Carlisle, PA 17013, Cumberland County, by handing to LINDSAY GRAY--- RELATIONSHIP BANKER,
personally three true and attested copies of the Writ of Execution and made the contents there of known
to her.
The writ of execution and notice to defendant was mailed on July 14, 2011 to Jane E. Stupi at 23 Lois
Lane, Mechanicsburg, PA 17050.
07/13/2011 03:22 PM - Michael Barrick, Deputy, who being duly sworn according to law, attached as herein
commanded all goods, chattels, rights, debts, credits, and monies of the Defendant, in the hands,
possession, or control of the within named garnishee, Metro Bank 20 NOBLE BLVD., Carlisle Borough,
Carlisle, PA 17013, Cumberland County, by handing to NICOLE ALLEMAN--- CUSTOMER SERVICE
REP, personally three true and attested copies of the Writ of Execution and made the contents there of
known to her.
The writ of execution and notice to defendant was mailed on July 14, 2011 to Jane E. Stupi at 23 Lois
Lane, Mechanicsburg, PA 17050.
SHERIFF COST: $262.36
July 14, 2011
SO ANSWERS,
RON R ANDERSON, SHERIFF 4 _/ 4
is ekn Ba r c, eputy
.r,) ccun!yS?ito SherYf. re?e^sofl. Inc.
FILED-OFFICE
DF THE PROTHONOTARY
2011 JUL 18 PM 1: U 8
CUMBERLAND COUNTY
PENNSYLVANIA
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK (USA),NA
Plaintiff
vs.
JANE E STUPI
Defendant(s)
MEMBERS I ST FCU
M&T BANK
METRO BANK
Garnishee(s)
Civil Action No. 09-0149 CIVIL TERM
Apower-5 4z)
INTERROGATORIES IN ATTACHMENT
FILED ON BEHALF OF:
Plaintiff
COUNSEL OF RECORD OF
THIS PARTY:
Matthew D. Urban, Esquire
PA I.D. #90963
WELTMAN, WEINBERG & REIS CO., L.P.A.
1400 Koppers Building
436 Seventh Avenue
Pittsburgh, PA 15219
(412) 434-7955
W WR No. 6979600
IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK (USA),NA
Plaintiff
vs.
JANE E STUPI
Defendant(s)
MEMBERS 1 ST FCU
M&T BANK
METRO BANK
Garnishee(s)
Civil Action No. 09-0149 CIVIL TERM
TO: MEMBERS I ST FCU, 1711 SPRING RD, CARLISLE, PA 17013
M&T BANK, 1 WEST HIGH ST, CARLISLE, PA 17013
METRO BANK20 NOBLE BLVDCARLISLE, PA 17013
RE: JANE E STUPI, 23 LOIS LN, MECHANICSBURG, PA 17050
Suggested Reference No.: XXX-XX-0894
XXX-XX-
IMPORTANT NOTICES TO GARNISHEE!
A. You are required to file answers to the following interrogatories within twenty (20) days after
service upon you. Failure to do so may result in Judgment against you.
B. Herein, the word "defendant" means any one or more of the defendants against whom the writ of
Execution is issued.
C. While service of Writ upon the Garnishee attaches all property of the Defendant subject to
attachment which is then in the hands of the garnishee, it also attaches all property of the defendant which comes
into the Garnishee's possession thereafter, until Judgment is entered against the Garnishee. For example, the
resultant liability of a Garnishee-Bank would not be measured by the balance in the debtor's account, either at the
time of service of the Writ or at the time of Judgment against the Garnishee, but rather by the amounts deposited
and withdrawn during the intervening period.
WWR No. 6979600
INTERROGATORIES IN ATTACHMENT
1. At the time you were served or at any subsequent time 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 him any money
or were liable to him for any reason (including funds on deposit for checking or savings accounts and certificates of
deposit)?
no accounts
I a. If the answer to Interrogatory I 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 location thereof;
the terms, face amount and amount you owe or owed to defendant on each of such negotiable or other written
instruments and the present location of each of such instruments; the amount or amounts that defendant claims or
claimed that you owe or owed to him; and the nature and amount of each of such liabilities.
no
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 owned solely or in part by the
defendant.
no
3. At the time you were served or at any subsequent time did you hold legal title to any 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 any property in
which the defendant had an interest?
no
5. At any time before or after you were served, did the defendant transfer or deliver any property to
you or to any person or place pursuant to your directions or consent and if so what was the consideration thereof?
no
6. At any time after you were served did you pay, transfer, or deliver any money or property to the
defendant or to any person or place pursuant to his direction or otherwise discharge any claim of the defendant
against you?
no
7. If you are a bank or other financial institution, at the time you were served or at any subsequent
time did the defendant have funds on deposit in an account in which funds are deposited electronically on a
recurring basis and which are identified as being funds that upon deposit are exempt from execution, levy or
attachment under Pennsylvania or federal law? If so, Identify each account and state the reason for the exemption,
the amount being withheld under each exemption and the amount of funds in each account, and the entity
electronically depositing those funds on a recurring basis.
no
W WR No. 6979600
8. If you are a bank or other financial institution, at the time you were served or at any subsequent
time did the defendant have funds on deposit in an account in which the funds on deposit, not including any
otherwise exempt funds, did not exceed the amount of the general monetary exemption under 42 Pa.C.S. § 8123? If
so, identify each account.
no
9. If the answer to Interrogatory 1 is in the affirmative, state the date the sheriff served these
interrogatories on this institution.
no
10. If the answer to Interrogatory 1 is in the affirmative, state the date the written instrument, checking
or savings account, certificate of deposit, or other funds were frozen, restricted, or otherwise put on hold by this
institution.
]I. If the response to Interrogatory 7 is in the affirmative, are other funds comingled in the account
which are not deposited electronically on a recurring basis and which are identified as being funds that upon deposit
are exempt from execution, levy or attachment under Pennsylvania or federal law?
no
12. If the response to Interrogatory 1 I is in the affirmative, state the amount of non-exempt funds on
deposit in the account.
no
WELTMAN, WEINBERG & REIS CO., L.P.A.
By:
Matthew D. Urban, Esquire
PA I.D. #90963
WELTMAN, WEINBERG & REIS CO., L.P.A.
1400 Koppers Building
436 Seventh Avenue
Pittsburgh, PA 15219
(412) 434-7955
WWR No. 6979600
VERIFICATION
The undersigned does hereby verify subject to the penalties of 18 PA. C.S. § 4904 relating
to unsworn falsifications to authorities, that he/she is Jennifer Hilbish
(Name)
Levy Specialist of Metro Bank, garnishee herein,
(Title) (Company)
that he/she duly authorized to make this verification, and that the facts set forth in the foregoing
Answers to Interrogatories are true and correct to the best of his/her knowledge, information and
?n
belief.
7
(SIG ATURE)
40
ii_FID-OFFICE
20 11 .;U 13 AN 10: 211+
CUIMBERLAND I
M LVAN A le
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK (USA),NA
Plaintiff
VS.
JANE. E STUPI
Defendant(s)
MEMBERS I ST FCU
M&T BANK
METRO BANK
Garnishee(s)
Civil Action No. 09-0149 CIVIL TERM
A nswu& 4
INTERROGATORIES IN ATTACHMENT
FILED ON BEHALF OF:
Plaintiff
COUNSEL OF RECORD OF
THIS PARTY:
Matthew D. Urban, Esquire
PA I.D. #90963
WELTMAN, WEINBERG & REIS CO., L.P.A.
1400 Koppers Building
436 Seventh Avenue
Pittsburgh, PA 15219
(412) 434-7955
W W R No. 6979600
IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE 13ANK (USA),NA
Plaintiff
vs.
JANE E STUPI
Defendant(s)
MEMBERS 1 ST FCU
M&T BANK
METRO BANK
Garnishee(s)
Civil Action No. 09-0149 CIVIL TERM
TO: MEMBERS 1 ST FCU, 1711 SPRING RD, CARLISLE, PA 17013
M&T BANK, I WEST HIGH ST, CARLISLE, PA 17013
METRO BANK20 NOBLE BLVDCARLISLE, PA 17013
RE: JANE E STUPI, 23 LOIS LN, MECHANICSBURG, PA 17050
Suggested Reference No.: XXX-XX-0894
XXX-XX-
IMPORTANT NOTICES TO GARNISHEE!
A. You are required to file answers to the following interrogatories within twenty (20) days after
service upon you. Failure to do so may result in Judgment against you.
B. Herein, the word "defendant" means any one or more of the defendants against whom the writ of
Execution is issued.
C. While service of Writ upon the Garnishee attaches all property of the Defendant subject to
attachment which is then in the hands of the garnishee, it also attaches all property of the defendant which comes
into the Garnishee's possession thereafter, until Judgment is entered against the Garnishee. For example, the
resultant liability of a Garnishee-Bank would not be measured by the balance in the debtor's account, either at the
time of service of the Writ or at the time of Judgment against the Garnishee, but rather by the amounts deposited
and withdrawn during the intervening period.
W WR No. 6979600
INTERROGATORIES IN ATTACHMENT
I. At the time you were served or at any subsequent time 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 him any money
or were liable to him for any reason (including funds on deposit for checking or savings accounts and certificates of
deposit)?
NO
I 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 location thereof;
the terms, face amount and amount you owe or owed to defendant on each of such negotiable or other written
instruments and the present location of each of such instruments; the amount or amounts that defendant claims or
claimed that you owe or owed to him; and the nature and amount of each of such liabilities.
r7p
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 owned solely or in part by the
defendant.
06
3. At the time you were served or at any subsequent time did you hold legal title to any property of
any nature owned solely or part by the defendant or in which defendant held or claimed any interest?
!o
4. At the time you were served or at any subsequent time did you hold as fiduciary any property in
which the defendant had an interest?
N
5. At any time before or after you were served, did the defendant transfer or deliver any property to
you or to any person or place pursuant to your directions or consent and if so what was the consideration thereof?
M0
6. At any time after you were served did you pay, transfer, or deliver any money or property to the
defendant or to any person or place pursuant to his direction or otherwise discharge any claim of the defendant
against you? II??
,l0
7. If you are a bank or other financial institution, at the time you were served or at any subsequent
time did the defendant have funds on deposit in an account in which funds are deposited electronically on a
recurring basis and which are identified as being funds that upon deposit are exempt from execution, levy or
attachment under Pennsylvania or federal law? If so, Identify each account and state the reason for the exemption,
the amount being withheld under each exemption and the amount of funds in each account, and the entity
electronically depositing those funds on a recurring basis.
?)6
WWR No. 6979600
v
8. If you are a bank or other financial institution, at the time you were served or at any subsequent
time did the defendant have funds on deposit in an account in which the funds on deposit, not including any
otherwise exempt funds, did not exceed the amount of the general monetary exemption under 42 Pa.C.S. § 8123? If
so, identify each account.
M
9. If the answer to Interrogatory I is in the affirmative, state the date the sheriff served these
interrogatories on this institution.
N
10. If the answer to Interrogatory 1 is in the affinnative, state the date the written instrument, checking
or savings account, certificate of deposit, or other funds were frozen, restricted, or otherwise put on hold by this
institution. 1)
11. If the response to Interrogatory 7 is in the affirmative, are other funds comingled in the account
which are not deposited electronically on a recurring basis and which are identified as being funds that upon deposit
are exempt from exnec/u^tion, levy or attachment under Pennsylvania or federal law?
pl //?
12. If the response to Interrogatory I 1 is in the affirmative, state the amount of non-exempt funds on
deposit in the account.
AlP
WELTMAN, WEINBERG & REIS CO., L.P.A.
By:
Matthew D. Urban, Esquire
PA I.D. #90963
WELTMAN, WEINBERG & REIS CO.; L.P.A.
1400 Koppers Building
436 Seventh Avenue
Pittsburgh, PA 15219
(412) 434-7955
WWR No. 6979600
A
f*V16
MEMBERS 1St
FEDERAL CREDIT UNION
July 15, 2011
Jane S Miller
23 Lois Lane
Mechanicsburg, PA 17050
Review Dates (60 Days): 05/14/2011 - 7/13/2011
Total Writ of Execution: $3,955.37
Cumberland County Docket Number: NO 09-149 Civil
File # WWR No. 6979600
Account Number: XXX203-0000 Total - $1713.99
Name on Account: Jane S Miller
Reggie W Miller (Joint)
Savings-0000: $ 8.21
Checking -0011: $254.77
$364.62 -payroll Jane 7/14/11
$1136.39 - payroll Reggie 7/15/11
-$50.00 (Processing Fee)
$1705.78
Payroll: Aerotek - Jane Miller, Motor-vations, In - Reggie Miller
Account Number: XX696 Total - $6.15
Name on Account: Jane S Miller
Doris and George Stupi (Joint)
Savings-0000: $5.00
Checking - 0011: $1.15
Account Number: XXX343 Total - $224.38
Name on Account: Jadelyn M Miller
Jane S Miller (Joint)
Savings - 0000: $64.25
Savings -- 0002: $160.13
Account Number: XXX500 Total - $188.45
Name on Account: Halie A Miller
Jane S Miller (Joint)
Savings - 0000: $28.32
Savings - 0002: $160.13
Grand Total - $2132.97
$300.00 Statutory Exemption was not taken out.
4e
16 j .41V
elly .Hall
Deposit Operations Analyst
Rev: 06/11
5000 Louise Drive • P.O. Box 40 • Mechanicsburg, Pennsylvania 17055 • (800) 283-2328 • www.memberslst.org
VERIFICATION
The undersigned does hereby verify subject to the penalties of 18 PA. C.S. 4904 relating
to unsworn falsifications to authorities, that he/she is Kelly L Hall
(Name)
Deposit Operations Analyst of Members 1st Federal Credit Union
(Title)
(Company)
garnishee herein, that he/she is duly authorized to make this verification, and the facts set
forth in the foregoing Answer to Interrogatories are true and correct to the best of his/her
knowledge, information and belief.
4((' ATURE)
I
IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
CAPITAL ONE BANK (USA),NA
Plaintiff
VS.
JANE E STUPI
Defendant(s)
Civil Action No. 09-0149 CIVIL TERM
MEMBERS I ST FCU
M&T BANK
METRO BANK
Garnishee(s)
TO: MEMBERS 1 ST FCU, 1711 SPRING RD, CARLISLE, PA 17013
M&T BANK, 1 WEST HIGH ST, CARLISLE, PA 17013
METRO BANK20 NOBLE BLVDCARLISLE, PA 17013
RE: JANE E STUPI, 23 LOIS LN, MECHANICSBURG, PA 17050
Suggested Reference No.: XXX-XX-0894
xxx-xx-
G
,,
rri
< --
-v --r
7
.,
n
-,w u.J -TT Y't '
IMPORTANT NOTICES TO GARNISHEE!
A. You are required to file answers to the following interrogatories within twenty (20) days after
service upon you. Failure to do so may result in Judgment against you.
B. Herein, the word "defendant" means any one or more of the defendants against whom the writ of
Execution is issued.
C. While service of Writ upon the Garnishee attaches all property of the Defendant subject to
attachment which is then in the hands of the garnishee, it also attaches all property of the defendant which comes
into the Garnishee's possession thereafter, until Judgment is entered against the Garnishee. For example, the
resultant liability of a Garnishee-Bank would not be measured by the balance in the debtor's account, either at the
time of service of the Writ or at the time of Judgment against the Garnishee, but rather by the amounts deposited
and withdrawn during the intervening period.
W W R No. 6979600
INTERROGATORIES IN ATTACHMENT
1. At the time you were served or at any subsequent time 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 him any money
or were liable to him for any reason (including funds on deposit for checking or savings accounts and certificates of
deposit)?
WAS B/ANK
NO .7PEN A t,COUNTc:
I a. If the answer to Interrogatory 1 is in the affirmative, state the following: tlAamoi amount
of money you owe or owed to defendant, and, if such money the form of a fund, the present location thereof,
the terms, face amount and amount you owe or owed to defendant on each of such negotiable or other written
instruments and the present location of each of such instruments; the amount or amounts that defendant claims or
claimed that you owe or owed to him; and the nature and amount of each of such liabilities.
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 an_v nature owned solely )r In part by the
defendant.
3. At the time you were served or at any subsequent time did you hold legal title to any property of
any nature owned solely or part by the defendant or in which defendant held or claimed any interest?
JC ? 4A
4. At the time you were served or at any subsequent time did you hold as fiduciary any property in
which the defendant had an interest?
kJ ?.j
5. At any time before or after you were served, did the defendant transfer or deliver any property to
you or to any person or place pursuant to your directions or consent and if so what was the consideration thereof?
-kj 1A
6. At any time after you were served did you pay, transfer, or deliver any money or property to the
defendant or to any, person or place pursuant to his direction or otherwise discharge any claim of the defendant
against you?
7. If you are a bank or other financial institution, at the time you were served or at any, subsequent
time did the defendant have funds on deposit in an account in which funds are deposited electronically on a
recurring basis and which are identified as being funds that upon deposit are exempt from execution, levy or
attachment under Pennsylvania or federal law? If so, Identify each account and state the reason for the exemption,
the amount being withheld under each exemption and the amount of funds in each account, and the entity
electronically depositing those funds on a recurring basis.
lk: 0
WWR No. 6979600
8. If you are a bank or other financial institution, at the time you were served or at any subsequent
time did the defendant have funds on deposit in an account in which the funds on deposit, not including any
otherwise exempt funds, did not exceed the amount of the general monetary exemption under 42 Pa.C.S. § 8123? If
so, identify each account.
9. If the answer to Interrogatory I is in the affirmative, state the date the sheriff served these
interrogatories on this institution.
c "'A
10. If the answer to Interrogatory I is in the affirmative, state the date the written instrument, checking
or savings account, certificate of deposit, or other funds were frozen, restricted, or otherwise put on hold by this
Institution.
11. If the response to Interrogatory 7 is in the affirmative, are other funds coin ungled in the account
which are not deposited electronically on a recurring basis and which are identified as being funds that upon deposit
are exempt from execution, levy or attachment under Pennsylvania or federal law?
k?l I
12. If the response to Interrogatory 1 I is in the affirmative, state the amount of non-exempt funds on
deposit in the account.
aJA
WELTMAN, WEINBERG & REIS CO., L.P.A.
By:
Matthew D. Urban, Esquire
PA I.D. #90963
WELTMAN, WEINBERG & REIS CO., I..P.A.
1400 Koppers Building
436 Seventh Avenue
Pittsburgh, PA 15219
(412)434-7955
WWR No. 6979600
VERIFICATION
The undersigned does hereby verify subject to the penalties of 18 PA. C.S. 4904 relating
to unsworn falsifications to authorities, that he/she is _ -a ,? .b
ame)
of garnishee herein,
(Title) (Company)
that he/she is duly authorized to make this verification, and that the facts set forth in the foregoing
Answers to Interrogatories are true and correct to the best of his/her knowledge, information and belief.
7 2 " (SIG ?T,.`*
WWR No. 6979600
WELTMA:`ri, WEINBERG & REIS CO., L.P.A.
BY: Matthi w D. Urban, Esquire
I.D. No.9093
436 Seventh Avenue, Suite 1400
Pittsburgh PA 15219
Phone: 412.434.7955
Fax: 412.434.7959
File # 697-600
CAPITAL ONE BANK (USA) NA
vs.
JANE E STUPI
and
MEMBERS 1S1 FCU
M&T BANK
METRO B,=INK
Ga:nishe-t,s)
Attorney for Plaintiff(s)
?ROTI 0N0TA
+ilI AUG-I AI?I{i: I !
CUMBERLAND COUNTY
PENNSYLVANIA
CUMBERLAND County
Court of Common Pleas
NO. 09-0149 CIVIL TERM
PRAECIPE TO DISCONTINUE ATTACHMENT EXECUTION
TO THE PROTHONOTARY:
Kindly marked the above matter discontinued and ended as to Garnishee(s), MEMBERS 1 ST
FCU
M&T BAN K
METRO BANK, only.
WELTMAN, WEINBERG & REIS CO., L.P.A.
By
Matthew D. Urban, Esquire
Attorney for Plaintiff
Sworn to ar,d subscribed
Before th?7 day of JULY, 2011
NOTARY i`UBL IC Notarial seal ?(c,?I043Z
Sheila G. Bevan, Notary Public
Ross Twp., Allegheny County
?? ?W d S
My Commisslon Expires Nov. 15, 2014
MEMBER, PENNSYLVANIA ASSOCIATION OF NOTARIES
`10 -0 FFICE
",QE' PROf HONOTAWY I'l
WELTMAN, VV'EINBERG & REIS CO., L.P.A.
BY: Sarah E. Ehasz, Esquire Attorney for Plaintiff( I A UG -9 Af"1 1 1 : 42
I.D. No. 86469
436 Seventh Avenue, Suite 1400 CUMBERLAND COUNTY
Pittsburgh, PA 15219 F"ENHSYLVANIA
Phone: 412.43 :.7955
Fax: 412.434.7959
File # 6979600
CAPITAL ONE BANK (USA) NA
CUMBERLAND County
Court of Common Pleas
vs.
JANE E STI?PI
NO. 09-0149-CIVIL TERM
PRAECIPE FOR SATISFACTION OF JUDGMENT
FO THE PROTHONOTARY:
Please k: idly Satisfy the Judgment of the above-captioned matter upon the records of the
Court and mark the cost paid.
WELTMAN, WEINBERG & REIS CO.,,IC,.P.A.
By
Sworn to anc su;.,scribed
Before me :ha _C? day of August, 2011
OTARY 1'i'BLir
Sarah E. Ehasz, Esqu
Attorney for Plaintiff
IA
PWIC
gheila ?. eov?
M
MENIBE0., N
Oskk ILE,0opd aI
CL* I00aa8-s y
12 *A &D 1;0 9 0
SHERIFF'S OFFICE OF CUMBERLAND COUNTY
ay R Anderson
,eriff
Jody S Smith
Chief Deputy
Richard W Stewart
Solicitor
P-
n--1cF
LED - l..lr lx:
E? 12 MAR 22 Aft 10= 4 4
Capital One Bank (U.S.A.) N.A.
vs.
Jane E Stupi
CUMBERLAND COUNT",`
PENNSYLVANIA
Case Number
2009-149
SHERIFF'S RETURN OF SERVICE
07/13/2011 02:30 PM - Michael Barrick, Deputy, who being duly sworn according to law, attached as herein
commanded all goods, chattels, rights, debts, credits, and monies of the Defendant, in the hands,
possession, or control of the within named garnishee, Members 1st at 1711 Spring Road, North Middletor
Township, Carlisle, PA 17013, Cumberland County, by handing to KRISTAL LUCKEY--- SERVICE REP,
personally three true and attested copies of the Writ of Execution and made the contents there of known
to her.
The writ of execution and notice to defendant was mailed on July 14, 2011 to Jane E. Stupi at 23 Lois
Lane, Mechanicsburg, PA 17050.
07/13/2011 03:02 PM - Michael Barrick, Deputy, who being duly sworn according to law, attached as herein
commanded all goods, chattels, rights, debts, credits, and monies of the Defendant, in the hands,
possession, or control of the within named garnishee, M&T Bank at 1 W High Street, Carlisle Borough,
Carlisle, PA 17013, Cumberland County, by handing to LINDSAY GRAY--- RELATIONSHIP BANKER,
personally three true and attested copies of the Writ of Execution and made the contents there of known
to her.
The writ of execution and notice to defendant was mailed on July 14, 2011 to Jane E. Stupi at 23 Lois
Lane, Mechanicsburg, PA 17050.
07/13/2011 03:22 PM - Michael Barrick, Deputy, who being duly sworn according to law, attached as herein
commanded all goods, chattels, rights, debts, credits, and monies of the Defendant, in the hands,
possession, or control of the within named garnishee, Metro Bank 20 NOBLE BLVD., Carlisle Borough,
Carlisle, PA 17013, Cumberland County, by handing to NICOLE ALLEMAN-- CUSTOMER SERVICE
REP, personally three true and attested copies of the Writ of Execution and made the contents there of
known to her.
The writ of execution and notice to defendant was mailed on July 14, 2011 to Jane E. Stupi at 23 Lois
Lane, Mechanicsburg, PA 17050.
03/21/2012 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: $200.33 SO ANSWERS,
1?z
March 21, 2012 RON R ANDERSON, SHERIFF
,, ,?
f?
;_cj GbuntySuite Sheriff. Teleosuft, Inc. eof t ?.Z -?r 7