HomeMy WebLinkAbout09-0379IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
Beneficial Consumer Discount Company
Plaintiff, CIVIL DIVISION
Vs.
William R. Weigle
No. OQ - 3 Al? C),&,iL?
Defendant(s)
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 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.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013
717/249-3166
THIS IS AN ATTEMPT TO
COLLECT A DEBT AND ANY
INFORMATION OBTAINED WILL
BE USED FOR THAT PURPOSE.
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
Beneficial Consumer Discount Company,
Plaintiff,
CIVIL DIVISION
No. 0 9- 3 'r 9 eu?j
vs.
TYPE OF PLEADING:
William R. Weigle,
Defendant.
Plaintiff's Address:
2700 Sanders Road
Prospect Heights, IL 60070
Defendant's Address:
207 Westview Drive
Mechanicsburg, PA 17055
Complaint
TYPE OF CASE:
Civil Action
FILED ON BEHALF OF:
Beneficial Consumer Discount Company
COUNSEL OF RECORD:
CATHY ANN CHROMULAK, ESQ.
PA ID NO. 42067
BETH ARNOLD HOWELL, ESQ.
PA ID NO. 203606
,XERESA K. FUCHS, ESQ.
PA ID NO. 205696
JENNIFER M. PALONIS, ESQ.
PA ID NO. 205703
CHROMULAK & ASSOCIATES, LLC
375 Southpointe Boulevard
4th Floor
Canonsburg, PA 15317
(724) 916-2400
THIS IS AN ATTEMPT TO
COLLECT A DEBT AND ANY
INFORMATION OBTAINED WILL
BE USED FOR THAT PURPOSE.
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
Beneficial Consumer Discount Company,
Plaintiff,
CIVIL DIVISION
No. O 4 - 3 '7 9 cil;-Q 71w
vs.
William R. Weigle,
Defendant.
COMPLAINT
AND NOW COMES, the Plaintiff, Beneficial Consumer Discount Company, by its
Attorneys, Chromulak & Associates, LLC, with its Civil Action Complaint, the following of
which is a statement thereof:
1. Beneficial Consumer Discount Company is a Corporation, duly authorized to
conduct business in the Commonwealth of Pennsylvania, with its principal office situated at 2700
Sanders Road, Prospect Heights, IL 60070, hereinafter referred to as "Plaintiff."
2. William R. Weigle is an adult individual residing at 207 Westview Drive,
Mechanicsburg, PA 17055.
3. On or about August 22, 2006, the Defendant entered into a written Loan
Agreement with the Plaintiff, a copy of which is attached hereto as "Exhibit A" and incorporated
herein.
4. Pursuant to the Loan Agreement with Defendant, Plaintiff advanced funds to the
Defendant.
THIS IS AN ATTEMPT TO
COLLECT A DEBT AND ANY
INFORMATION OBTAINED WILL
BE USED FOR THAT PURPOSE.
5. Defendant is in default under the terms and conditions of the aforementioned Loan
Agreement for failing to make payments when due, with the last payment having been made on or about
March 4, 2008.
6. Pursuant to the terms of the Loan Agreement, Plaintiff has the right to require payment
of the entire amount owed upon default. The total amount due, including principal and interest, and
owing by the Defendant is in the sum of Ten Thousand Two Hundred Twenty Four and 64/100 Dollars
($10,224.64) as of December 2, 2008.
7. Numerous demands have been made upon Defendant by Plaintiff, but Defendant has
failed or refused to pay.
8. Pursuant to the Loan Agreement, Plaintiff is entitled to recover the entire indebtedness,
including without limitation, principal, accrued interest, costs of collection and reasonable attorney's
fees.
WHEREFORE, Plaintiff claims damages in the sum of Ten Thousand Two Hundred Twenty
Four and 64/100 Dollars ($10,224.64), with interest thereon at the rate of 24% from December 3, 2008,
plus court costs and attorney's fees.
Respectfully submitted,
Chromulak & Associates, LLC
/? gyj4A
By --
CATf1Y ANN CHROMULAK, ESQ.
PA ID NO. 42067
BETH ARNOLD HOWELL, ESQ.
PA ID NO. 203606
TERESA K. FUCHS, ESQ.
PA ID NO. 205696
JENNIFER M. PALONIS, ESQ.
PA ID NO. 205703
Attorneys for Plaintiff
375 Southpointe Boulevard
4`h Floor
Canonsburg, PA 15317
THIS 18 AN ATTEMPT TO
COLLECT A DEBT AND ANY
INFORMATION OBTAINED WILL
BE USED FOR THAT PURPOSE.
PERSONAL CREDIT LINE ACCOUNT AGREEMENT (Page I of 4)
LENDER (called "We", "Us", "Our")
BENEFICIAL CONSUMER DISCOUNT COMPANY
4810 CARLISLE PIKE
SUITE 104-HAMPOEN CENTER
MECHANICSBURG PA 11050
BORROWERS (called "You", "Your") LOAN NO: 111114-13-518138
WEIGLE, WILLIAM R
SS# 3589
201 WESTVIEW DRIVE
MECHANICSBURG PA 11055
01 AND OVER
2.000 % s 24.000 %
In this Agreement, "you", "your" and "Borrower" mean the customer(s) who signs this Agreement. "We% "us", and
"our" refer to Lender. This Agreement covers the terms and conditions of your Personal Credit Line Account. We want
you to understand how your Personal Credit Line Account works. Read this carefully, ask us any questions, and if you
agree to be bound by this Agreement, sign below. If more-than one person signs, each will be responsible for repaying all
sums advanced under this Agreement.
Your Credit Line Account is a revolving line of credit extended to you and secured as described below. You can obtain
funds from your Personal Credit Line Account (up to your credit limit) directly from us or by using the special checks we
supply to you. You may pay your total unpaid balance at any time or in installments.
REQUIRED INSURANCE. You must obtain insurance for term of loan covering security for this loan agreement as indicated by
the word "YES" below, naming us as Loss Payee:,
Physical damage insurance on vehicle listed under "Security" above, if "Y" appears under "Insured."
You may obtain any required insurance from anyone you choose.
NOTICE SEE THE FOLLOWING PAGES FOR ADDITIONAL EXHIBIT
03-01-00 MATRON REGARDING YOUR RIGHTS TO DISPUTE
BR.UNG ERRORS. WINO PA066361
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ORIGINAL
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PERSONAL CREDIT LINE ACCOUNT AGREEMENT (Page 2 of 4)
Available Credit: You may obtain funds directly from us or through your special checks up to your available credit. Each
check must EF-wntten for at least $100.00. Your available credit is your credit limit (shown on page one) less the total
unpaid balance, including Finance Charges, of your Account. If you make loan payments by check, we will adjust your
available credit seven days after we receive your check to allow for check clearing. If you request funds in an amount that
would cause you to exceed your available credit, we are not obligated to honor your request. If we do lend you an amount
over your available credit, you agree to pay us that excess amount, plus Finance Charges, immediately.
Promise to Pay: You promise to pay Lender. (a) amounts borrowed under this Agreement; (b) Finance Charges,
Administrative Charges (the late charge and bad check charge) and other charges provided in this Agreement; (c) credit
insurance charges, if any; (d) collection costs permitted by applicable law, including reasonable attorneys' fees; and (e)
amounts in excess of your credit limit that we may lend you, plus Finance Charges.
Payments: You may repay your entire outstanding balance at any time without penalty. You may not use your special
c ec s o pay any amounts due under this Agreement. Because the Finance Charge is computed each day, you will contact
us regarding the exact payoff amount for the day you intend to make full payment. If you do not pay the entire unpaid
balance on your Account at once, you agree to pay at least the minimum payment shown on your monthly statement.
Payments will be applied as follows: First, to any accrued but unpaid Finance Charges; Second, to any unpaid
Administrative Charges (the late charge and bad check charge); Third, to any unpaid credit insurance charges; and Fourth,
to the outstanding balance of your Account. Any part of your monthly payment to be applied to amounts borrowed on
your Account will be applied to the amounts borrowed under your Personal Credit Line Account in the order in which the
amounts were borrowed. Any part of your monthly payment to be applied to Finance Charges will be applied in the same
manner.
Minimum Monthly Payment: The Minimum Monthly Payment for any billing cycle will be the greater of (1) the
greater of kp or the Payment mount (as described below) plus any Administrative Charges and credit insurance charges,
- : rounded to the nearest $1; or (2) the Finance Charges due for the billidj ?.plus any Administrative Charges and credit
insurance charges; or (3) the amount of the Annual Fee assessed to your Account. In each instance the Minimum Monthly
Payment will be adjusted to include any unpaid amounts due from previous billing cycles.
The Payment Amount depends on the monthly periodic rate applicable to your Account, and is calculated as follows:
Monthly Periodic Rate
through
over 1.33% through 1.45%
over 1.45% through 1.57%
over 1.57% through 1.70%
over 1.70% through 1.83%
over 1.83% through 1.95%
over 1.95%
Payment Amount
o Account Balance
1.55% of Account Balance
1.67% of Account Balance
1.80% of Account Balance
1.93% of Account Balance
100% of Account Balance
2.15% of Account Balance
Finance Charges: This is the interest charged on the balance of your Account during each billing cycle. The Finance
Charge is calculated from the date that each advance, check or charge is posted to your Account. The Finance Charge is
computed by multiplying the average daily balance in your Account in each billing cycle times the monthly periodic rate
stated on page one. The average daily balance is determined by totaling all daily unpaid balances in each billing cycle and
dividing the total by the number of days in that cycle (but not less than thirty). A daily unpaid balance is the amount owed
each day, excluding any unpaid Finance Charge, Administrative Charges, and credit insurance charges for prior billing
cycles.
Annual Fee: You agree to pay an Annual Fee as stated on page one for participation in this revolving credit plan. The
Initial nnu Fee is stated on page one and is due and payable on the date that your Account is established, and the
subsequent Annual Fee stated on page one is due and payable on the same day of each subsequent year. You agree that this
fee may be charged to your Account balance.
Bad Check Charge: if you pay by a check which is returned for any reason, you agree to pay a bad check charge of $20.
Late Charge: If you do not pay any required Minimum Monthly Payment within 15 days after it is due, you agree to pay
alate c charge of 10% of the Minimum Monthly Payment due or $20, whichever is greater (excluding any unpaid late
charges and amounts due from prior billing cycles).
NOTICE: SEE THE FOLLOWING PAGES FOR ADDMONAL PROVISIONS AND IMPORTANT INFORMATION REGARDING YOUR RIGHTS TO DISPUTE BILLING
ERRORS.
F3NRE-00 isNINON 111111 L0®I®e®®011®1111 ORIGINAL Ell PA056362
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PERSONAL CREDIT LINE ACCOUNT AGREEMENT (Page 3 of 4)
Other Charges: You agree to pay any amounts actually incurred by Lender for services rendered in connection with the
Personal re rt Line Account for fees paid to public officials in connection with perfecting, recording, releasing or
satisfying a security interest in the security. You agree that these fees may be charged to your Account balance.
Exchange of Information: You understand that from time to time we may receive credit information concerning you
from others, suc as stores, other lenders, and credit reporting agencies. You authorize us to share any information, on a
regular basis, we obtain related to your Account, including but not limited to credit reports and insurance information,
with any of our affiliated corporations, subsidiaries or other third parties. The uses of this information may include an
inquiry to determine if you qualify for additional offers of credit. You also authorize us to share any information
regarding your Account with any of our affiliated corporations. subsidiaries or other third parties. You may prohibit the
sharing of such information (except for the sharing of information about transactions or experiences between
us and you) by sending a written request which contains your full name, Social Security Number and Address
to us at P.O. Box 1547, Chesapeake, VA 23320.
If you fail to fulfill the terms of your credit obligation, a negative report reflecting on your credit record may be
submitted to a Credit Reporting Agency. You agree that the Department of Motor Vehicles (or your state's equivalent
of such department) may release your residence address to us, should it become necessary to locate you. You agree that
our supervisory personnel may listen to telephone calls between you and our representatives in order to evaluate the
quality of our service to you.
Termination and Changes in the Agreement: We can terminate your right to obtain additional advances or
change the terms o this Agreement, including increasing the rate of Finance Charge at any time. Prior written
notice will be given to you when required by applicable law unless you consent to the change before that time.
Changes may apply to both new and outstanding balances unless prohibited by applicable law.
Default and Cancellation of Agreement: We have the right tk-sa quire you to pay your entire balance plus. all other
accrued ut unpaid c arges immediately an or to cancel your credit privileges under this Agreement because of:
(a) failure to make any payments in full when due under this Agreement;
(b) frequent overdrawing of your line of credit;
(c) failure to supply us with any information requested;
(d) supplying us with misleading, false, incomplete or incorrect information;
(e) breaking any of the promises, terms or conditions that are contained in this Agreement;
(f) the filing of a bankruptcy petition by or against you;
(g) the death of any borrower who signs this Agreement; or
(h) the sale or transfer of any interest in the property securing this agreement (this includes the creation of a
subordinate lien).
After default, you will pay our court costs, reasonable attorney fees (if attorney is not our salaried employee), and other
collection costs related to the default, if not prohibited by applicable law.
Any balance outstanding under this Agreement when the credit limit is terminated will continue to accrue interest at the
contract rate until paid in full.
YOUR BILLING RIGHTS
KEEP THIS NOTICE FOR FUTURE USE
This notice contains important imformation about your rights and Lender's responsibilities under the Fair Credit Billing
Act.
Notify Lender In Case of Errors or Questions About Your Bill
If you think your bill is wrong, or if you need more information about a transaction on your bill, write Lender on a
separate sheet at the address listed on your bill after the words: "Send your billing error notice to: (Lender's, name and
address)." Write to Lender as soon as possible. Lender must hear from you no later than 60 days after Lender sent you the
first bill on which the error or problem appeared. You can telephone Lender, but doing so will not preserve your rights.
NOTICE. SEE THE FOLLOWING PAGE FOR ADOITIONAL PROVISIONS AND IMPORTANT INFORMATION REGARDING YOUR RIGHTS TO DISPUTE BILLING
ERRORS.
F3NRE-00 PA056363
INI 1#111®11MINININININUNI®
wM2652AAIBORLABOOOPA0563630%KWIGLE " ORIGINAL
PERSONAL CREDIT LINE ACCOUNT AGREEMENT (Page 4 of 4)
In your letter, give Lender the following information:
. Your name and account number.
. The dollar amount of the suspected error.
. Describe the error and explain, if you can, why you believe there is an error. If you need more information, describe the
item you are not sure about.
Your Rights and Lender's Responsibilities After Lender Receives Your Written Notice
Lender must acknowledge your letter within 30 days, unless Lender has corrected the error by then. Within 90 days, Lender
must either correct the error or explain why Lender believes the bill was correct.
After Lender receives your letter, Lender cannot try to collect any amount you question, or report you as delinquent.
Lender can continue to bill you for the amount you question, including finance charges, and Lender can apply any unpaid
amount against your credit limit. You do not have to pay any questioned amount while Lender is investigating, but you are
still obligated to pay the parts of your bill that are not in question.
If Lender finds that Lender made a mistake on your bill, you will not have to pay any finance charges related to any
questioned amount. If Lender did not make a mistake, you may have to pay finance charges, and you will have to make up
any missed payments on the questioned amount. In either case, Lender will send you a statement of the amount you owe
and the date that it is due.
If you fail to pay the amount that Lender thinks you owe, Lender may report you as delinquent. However, if Lender's
explanation does not satisfy you and you write to Lender within ten days telling Lender that you still refuse to pay, Lender
must tell anyone Lender reports you to that you have a question about your bill. And, Lender must tell you the name of
anyone Lender reported you to. Lender must tell anyone Lender reports you to that the matter has been settled between us
when it finally is.
If Lender doesn't follow these rules, Lender can't collect i fie first` S50 of the questioned amount, even if your bill was
correct
Alternative Dispute Resolution and Other Riders: The terms of the Arbitration Agreement and any other Riders
sign as pa o this loan transaction are incorporated tnto this Agreement by reference.
Applicable Law: The terms and conditions of this Agreement will be governed by the provisions of the Pennsylvania
Consumer Discount Company Act, Chapter 7, Sections 6201 through 6221, Purdon's Pennsylvania Statutes Annotated,
particularly Section 6217.1.
Before signing this Agreement, you have read and received this Agreement and the Federal Truth-In-Lending
disclosures contained in it.
You, the customer(s) signing below, agree to observe the terms and conditions of this Agreement.
This Agreement is entered under the applicable provisions of Federal law and the Pennsylvania Consumer
Discou? Company Act.
,/,7 oe
(SEAL)
orrer Signature
Date: t/
(SEAL)
Customer Signature
Date:
Witness: (SEAL) (SEAL)
03-01-00 PA056364
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LOAN CLOSING STATEMENT (Page 1 of 1)
REVOLVING LOAN VOUCHER
CREDITOR
BENEFICIAL CONSUMER DISCOUNT COMPANY
4910 CARLISLE.PIKE
SUITE 104-HAMPDEN CENTER
MECHANICSBURG PA 17050
BORROWERS
WEIGLE, WILLIAM R
207 WESTVIEW DRIVE
MECHANICSBURG PA 17055
LOAN NO: 71 1714-13-518138
Borrowers agree to and direct the disbursements and Advance indicated below. If any estimated amount shown below
varies from the actual amount paid, Borrowers agree to the disbursement of the actual amount and a corresponding
change to the Advance shown below. Borrowers agree that this Advance is made under Borrowers' Revolving Loan
Agreement (account number shown above.)
i
Inlttel Annual Fee ...................- -_..-.......... .............. ........... s. 50.00
CASH OR CHECK TO BORROWER .............. ......................... .............. s 7000.00
TOTAL ADVANCE(S) ..............................................................s 7050.00
09-26-04
RL Voucher
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VERIFICATION
Pit ricia L. N.ughes ; Recover Specialist for
DENEFICIAL CONSUMER DISCOUNT COMPANY
Deposes and says subject to the penalties of 18 Pa C.S. Section 4904 relating to unworn
falsification to authorities, that the facts set forth in the forgoing Complaint are true and
correct to the best of her knowledge, information and belief.
Patxicia L. s
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1
SHERIFF'S RETURN - REGULAR
CASE NO: 2009-00379 P
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
BENEFICIAL CONSUMER DISCOUNT
VS
WEIGLE WILLIAM R
MICHAEL BARRICK
, Sheriff or Deputy Sheriff of
Cumberland County,Pennsylvania, who being duly sworn according to law,
says, the within COMPLAINT & NOTICE
was served upon
WEIGLE WILLIAM R the
DEFENDANT , at 1500:00 HOURS, on the 28th day of January , 2009
at 207 WESTVIEW DRIVE
MECHANICSBURG, PA 17055
WILLIAM R WEIGLE
by handing to
a true and attested copy of COMPLAINT & NOTICE together with
and at the same time directing His attention to the contents thereof
Sheriff's Costs: So Answers:
Docketing
Service 18.00
9.00 ,
Affidavit .00
Surcharge 10.00 R. Thomas Kline
.00
37.00 01/29/2009
CHROMULAK
AS
SOTES
Sworn and Subscibed to 7
Z
By:
before me this day Deputy Sh iff
of A. D.
C> ce) d
c-z r-
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3:uj LLJ S 1 CL.
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o
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
BENEFICIAL CONSUMER DISCOUNT
COMPANY,
Plaintiff,
CIVIL DIVISION
No. 09-379 Civil Term
VS.
WILLIAM R. WEIGLE,
Defendant.
Plaintiffs Address:
2700 Sanders Road
Prospect Heights, IL 60070
Defendant's Address:
207 Westview Drive
Mechanicsburg, PA 17055-5757
Date: March 11, 2009
THIS IS AN ATTEMPT TO
COLLECT A DEBT AND ANY
INFORMATION OBTAINED WILL
BE USED FOR THAT PURPOSE.
TYPE OF PLEADING:
NOTICE OF BANKRUPTCY
TYPE OF CASE:
Civil Action
FILED ON BEHALF OF:
BENEFICIAL CONSUMER DISCOUNT
COMPANY
COUNSEL OF RECORD:
CATHY ANN CHROMULAK, ESQ.
PA ID NO. 42067
BETH ARNOLD HOWELL, ESQ.
PA ID NO. 203606
TERESA K. FUCHS
PAID NO. 205696
JENNIFER M. PALONIS
PAID NO. 205703
CHROMULAK & ASSOCIATES, L.L.C.
375 Southpointe Boulevard
4`i' Floor
Canonsburg, PA 15317
(724) 916-2400
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
BENEFICIAL CONSUMER DISCOUNT
COMPANY, No. 09-379 Civil Term
Plaintiff,
VS.
WILLIAM R. WEIGLE,
Defendant.
NOTICE OF BANKRUPTCY
TO: THE PROTHONOTARY,
Please file this Notice of Bankruptcy filing at the above case number. The Defendant, William
R. Weigle, filed Chapter 7 bankruptcy on March 5, 2009 in the United States Bankruptcy Court,
Middle District of Pennsylvania, at Case No. 1:09-bk-01573. A copy of the Notice of Bankruptcy
Case Filing is attached hereto as Exhibit "A". Pursuant to 11 U.S.C. §362, the filing of a Petition in
Bankruptcy acts as an automatic stay of the above referenced matter. Accordingly, please remove this
case from the Arbitration list.
Respectfully submitted,
CHROMULAK & ASSOCIATES, L.L.C.
THIS IS AN ATTEMPT TO
COLLECT A DEBT AND ANY
INFORMATION OBTAINED WILL
BE USED FOR THAT PURPOSE.
By:
CATHY ANN CHROMULAK, ESQ.
PA ID NO. 42067
TERESA FUCHS, ESQ.
PA ID NO. 205696
JENNIFER M. PALONIS, ESQ.
PA ID NO. 205703
BETH ARNOLD HOWELL, ESQ.
PA ID NO. 203606
Attorneys for Plaintiff
375 Southpointe Boulevard
4th Floor
Canonsburg, PA 15317
USBC PAM - LIVE - VERSION 3.21,
United States Bankruptcy Court
Middle District of Pennsylvania
Notice of Bankruptcy Case Filing
A bankruptcy case concerning the debtor(s) listed below was
filed under Chapter 7 of the United States Bankruptcy Code,
entered on 03/05/2009 at 09:39 AM and filed on 03/05/2009.
William R. Weigle
207 Westview Drive
Mechanicsburg, PA 17055-5757
SSN / ITIN: xxx-xx-6589
The case was filed by the debtor's attorney:
Gregory S Hazlett
7 West Main Street
Mechanicsburg, PA 17055
717 790-5500
The case was assigned case number 1:09-bk-01573-MDF to Judge Mary D France.
Pagel of 2
In most instances, the filing of the bankruptcy case automatically stays certain collection and other
actions against the debtor and the debtor's property. Under certain circumstances, the stay may be
limited to 30 days or not exist at all, although the debtor can request the court to extend or impose a stay.
If you attempt to collect a debt or take other action in violation of the Bankruptcy Code, you may be
penalized. Consult a lawyer to determine your rights in this case.
If you would like to view the bankruptcy petition and other documents filed by the debtor, they are
available at our Internet home page http://www.pamb.uscourts.gov/ or at the Clerk's Office, U.S.
Bankruptcy Court, Ronald Reagan Federal Building, PO Box 908, Harrisburg, PA 17108.
You may be a creditor of the debtor. If so, you will receive an additional notice from the court setting
forth important deadlines.
EXHIBIT
Terrence S. Miller
Clerk, U.S. Bankruptcy
Court
PACER Service Center
Transaction Receipt
https://ecfparnb.uscourts.gov/cgi-bin/NoticeOfFiling.pl?t88100 3/6/2009
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
BENEFICIAL CONSUMER DISCOUNT
COMPANY, No. 09-379 Civil Term
Plaintiff,
vs.
WILLIAM R. WEIGLE,
Defendant.
CERTIFICATE OF SERVICE
I, counsel for Beneficial Consumer Discount Company, hereby certify that a true and correct
copy of Notice of Bankruptcy was served upon the following by First Class Mail, postage prepaid
on this 11 "'day of March 2009:
C/O GREG HAZLETT, ESQ.
7 WEST MAIN STREET
MECHANICSBURG, PA 17055
Cathy Ann Chromulak, Esquire
Beth Arnold Howell, Esquire
Teresa K. Fuchs, Esquire
Jennifer M. Palonis, Esquire
Enslosures/MF
THIS IS AN ATTEMPT TO
COLLECT A DEBT AND ANY
INFORMATION OBTAINED WILL
BE USED FOR THAT PURPOSE.
_ _a
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