Loading...
The URL can be used to link to this page
Your browser does not support the video tag.
Home
My WebLink
About
09-0910
FILE #09-08-718 LAW OFFICE OF STEWART C. CRAWFORD & ASSOCIATES BY: STEWART C. CRAWFORD, ESQUIRE ATTORNEY I.D. NO.: 09827 223 NORTH MONROE STREET ATTORNEY FOR PLAINTIFF MEDIA, PA 19063 TELEPHONE: (610) 565-7050 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW ENCOMPASS INSURANCE COMPANY IN CIVIL LAW OF AMERICA P.O. Box 29500 ?t T Roanoke, VA 24018 NO. 09 V. STEVEN ROY CSOKA 221 BUCKTHORN STREET HARRISBURG, PA 17104 and LYDIA SOCIA 2514 WALNUT STREET PENBROOK, PA 17103 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 further 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 LAWYEROR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP. Le han demandado a usted en la aorte. Si usted quiere defenderse de estas demandas expuestas en Ids paginas siguientes, usted tiene veinte (20) dias de plaza al partir de la fecha de la demanda y la notificacion. Hate faita asentar una comparencia escrita o en persona o con tin abogado y entregar a la torte en forma sus defenses o sus objections a las demandas en contra de su persona. Ses avisado que si usted no se defientle la corte tomara modidas ypuede continuar ila demanda en contra suya sin previo aviso o notification. Ademas, la come puede decidir a favor del demandante y requiera que usted cumpia con todas las provisions de esta demanda. Usted puede perder dinero o sus propied'aces a otros derechos importantes para usted. USTED DEBE LLEVAR ESTA AVISO A UN ABOGADO ENESEQUIDA. SI USTED NO TIENE UN ABOGADO Y NO PUEDEPAGAR LOS SERVICIOS DE UN ABOGADO, DEBE COMUNICARSE CON LA SIGUIENTE OFICINA PARA AVERIGUAR DONDE PUEDE OBTENER AYUDA LEGAL. CUMBERLAND COUNTY BAR ASSOCIATION 32 SOUTH BEDFORD STREET CARLISLE PA 17013 1-800-990-9108 717-249-3166 F. FILE #09-08-718 LAW OFFICE OF STEWART C. CRAWFORD & ASSOCIATES BY: STEWART C. CRAWFORD, ESQUIRE ATTORNEY I.D. NO.: 09827 223 NORTH MONROE STREET ATTORNEY FOR PLAINTIFF MEDIA, PA 19063 TELEPHONE: (610) 565-7050 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW ENCOMPASS INSURANCE COMPANY OF AMERICA P.O. Box 29500 Roanoke, VA 24018 V. STEVEN ROY CSOKA 221 BUCKTHORN STREET HARRISBURG, PA 17104 and LYDIA SOCIA 2514 WALNUT STREET PENBROOK, PA 17103 IN CIVIL LAW NO. COMPLAINT Motor Vehicle Property Damage 1. Plaintiff is an insurance company licensed and authorized to do business in the Commonwealth of Pennsylvania with one of its principle places of business at the above captioned address. 2. Defendant, Steven Roy Csoka, is an adult individual and was the owner of the motor vehicle involved in this incident on February 3, 2008, and at all times pertinent hereto resided at the above-captioned address. 3. Defendant, Lydia Socia, is an adult individual and, at all times pertinent hereto resided at the above-captioned address and was the operator of Defendant Owner's 1 r motor vehicle and did so as an agent, servant, workman or employee on behalf of the owner. 4. On the aforesaid date, Plaintiff provided insurance, insuring against the risk of loss to Elaine Palmer, hereinafter referred to as the named insured. 5. On the aforesaid date, a motor vehicle insured by plaintiff hereafter, the insured vehicle, was involved in an incident with Defendant's vehicle. 6. On the aforesaid date, the insured vehicle was traveling westbound with the right of way on Trindle Road at or near the intersection with South Middlesex Road in Carlisle, Pennsylvania. The defendant vehicle was traveling southbound on South Middlesex Road with the traffic control of a stop sign. The defendant failed to stop at the stop sign and collided with the insured vehicle causing damages. 7. Defendant driver was negligent and careless and the sole cause of this incident in that Defendant driver: a. was careless, inattentive or distracted and otherwise operated their vehicle without regard for the safety of other persons, or property in violation of 75 Pa.C.S. § 3714; b. did not operate their vehicle with a speed calculated to avoid collision with another vehicle or in a manner consistent with their duty to exercise caution at an intersection in violation of 75 Pa.C.S. § 3361; C. ran a stop sign failing to obey the traffic control device in violation of 75 Pa.C.S. § 3111(a); d. failed to stop at the stop sign and failed to yield the right-of-way to vehicles in the intersection in violation of 75 Pa.C.S. § 3323; e. operated their vehicle in reckless, willful, or wanton disregard for the safety of persons or property in violation of 75 Pa,C.S. § 3736; f. in addition to traditional negligence, defendant is negligent per se for violating the above referenced statutes; g. was otherwise negligent and/or violated local laws and the laws of the Commonwealth of Pennsylvania, including, but not limited to: 75 Pa.C.S. § 3714; 75 Pa.C.S. § 3361; 75 Pa.C.S. § 3111(a); 75 Pa.C.S. § 3323; and 75 Pa.C.S. § 3736. 2 8. Plaintiff became liable for damages that arose out of this accident. 9. Due to this incident, expenses were incurred for damages to the insured vehicle, towing, storage and car rental. 10. Pursuant to the principles of equity, the statutory and the common law, Plaintiff is subrogated for all money paid and seeks recovery of these sums totaling $22,042.74. COUNTI PLAINTIFF V. LYDIA SOCIA 11. Plaintiff incorporates paragraphs 1 through 10 inclusive as if fully set for that length herein. 12. Defendant is liable as the negligent driver. WHEREFORE, Plaintiff demands judgment for $22,042.74 ,plus interest and costs of suit. COUNT II PLAINTIFF V. STEVEN ROY CSOKA 13. Plaintiff incorporates paragraphs 1 through 12 inclusive as if fully set forth at length herein. 14. Defendant owner is liable under the Doctrine of Respondeat Superior for the negligence of Defendant driver. 15. Defendant owner was negligent in entrusting this motor vehicle to someone who Defendant knew or could have known was a dangerous, unlicensed, inexperienced or careless with a motor vehicle. WHEREFORE, Plaintiff demands judgment for $22,042.74 plus interest and costs of suit. Stewart C. Cra ord, Esquire Attorney for Plaintiff Date: 9 4/0 3 VERIFICATION The undersigned hereby states that he is an authorized agent of Plaintiff insurance company in this action and verifies that the statements contained in the foregoing Complaint are true and correct. The undersigned understands that false statements herein are made subject to the penalties of 18 Pa. C.S. Section 4904, relating to unsworn falsification to authorities. Stewart C. Crawford, Esquire Attorney for Plaintiff Date: 4 13? 1i rrl : T 3 V -j 1 T" V ?. l1 ? ? Y u.... 1 _:^' t yr, SHERIFF'S RETURN - OUT OF COUNTY CASE NO: 2009-00910 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND ENCOMPASS INSURANCE COMPANY VS CSOKA STEVEN ROY ET AL R. Thomas Kline Sheriff or Deputy Sheriff who being duly sworn according to law, says, that he made a diligent search and and inquiry for the within named DEFENDANT , to wit: nrnT?-n r?mr-?c rT?wT nl1Tf but was unable to locate Him deputized the sheriff of DAUPHIN serve the within COMPLAINT & NOTICE County, Pennsylvania, to On March 2nd , 2009 , this office was in receipt of the attached return from DAUPHIN Sheriff's Costs: Docketing Out of County Surcharge Dauphin County 18.00 9.00 10.00 60.50 r\ r\ So answers; R. Thomas K ne Sheriff of umberland County J I . J V 03/02/2009 STEWART CRAWFORD Sworn and subscribe to before me this day of in his bailiwick. He therefore A. D. G 4 ice { ? .wyr .. . tt 1"T ? ` t SHERIFF'S RETURN - OUT OF COUNTY CASE NO: 2009-00910 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND ENCOMPASS INSURANCE COMPANY VS CSOKA STEVEN ROY ET AL R. Thomas Kline Sheriff or Deputy Sheriff who being duly sworn according to law, says, that he made a diligent search and and inquiry for the within named DEFENDANT to wit: but was unable to locate Her deputized the sheriff of DAUPHIN serve the within COMPLAINT & NOTICE On March 2nd , 2009 , this office was in receipt of the attached return from DAUPHIN Sheriff's Costs: Docketing 6.00 Out of County .00 Surcharge 10.00 .00 County, Pennsylvania, to 03/02/2009 STEWART CRAWFORD Sworn and subscribe to before me this day of in his bailiwick. He therefore So answer R. Thomas Kline Sheriff of Cumberland County A. D. 4, C > Lu r t? E © - tn tJ Cl- LLJ ti CO C3 r 01firt o MarJEan?entyder William T. Tully Solicitor Dauphin County Harrisburg, Pennsylvania 17101 ph: (717) 780-6590 fax: (717) 255-2889 Jack Lotwick sheriff Charles E. Sheaffer Chief Deputy Michael W. Rinehart Assistant Chief Deputy Commonwealth of Pennsylvania ENCOMPASS INSURANCE CO OF AMERICA VS County of Dauphin STEVEN ROY CSOKA Sheriffs Return No. 2009-T-0418 OTHER COUNTY NO. 2009910 I, Jack Lotwick, Sheriff of the County of Dauphin, State of Pennsylvania, do hereby certify and return, that I made diligent search and inquiry for STEVEN ROY CSOKA the DEFENDANT named in the within COMPLAINT and that I am unable to find him/her in the County of Dauphin; and therefore return same NOT FOUND, FEBRUARY 25, 2009. RESIDENCE IS VACANT; ELECTRIC METER IS RED TAGGED So Answers, Sworn and subscribed to ka before me this 26TH day of February, 2009 ? A74KX451 NOTARIAL SEAT. Y JANE SNYDER, Notary Higbspire, Dauphin County M Co 'on inns Sevt 1 2010 0 Sheriff of Dauphin County, Pa. By aa2?V Deputy Sheriff Deputy: R HOPKINS Sheriffs Costs: $60.5 2/20/2009 011itt of Mary JEstate ane S William T. Tully Solicitor Commonwealth of Pennsylvania County of Dauphin Dauphin County Harrisburg, Pennsylvania 17101 ph: (717) 780-6590 fax: (717) 255-2889 Jack Lotwick Sheriff Charles E. Sheaffer Chief Deputy Michael W. Rinehart Assistant Chief Deputy ENCOMPASS INSURANCE CO OF AMERICA VS STEVEN ROY CSOKA Sheriffs Return No. 2009-T-0418 OTHER COUNTY NO. 2009910 I, Jack Lotwick, Sheriff of the County of Dauphin, State of Pennsylvania, do hereby certify and return, that I made diligent search and inquiry for LYDIA SOCIA the DEFENDANT named in the within COMPLAINT and that I am unable to find him/her in the County of Dauphin, and therefore return same NOT FOUND, FEBRUARY 25, 2009. APT IS EMPTY Sworn and subscribed to before me this 26TH day of February, 2009 A!? NOTARIAL SEAL MARY JANE SNYDER, Notary Publi Highspire, Dauphin County M Commission Expires t 1 2010 So Answers, Sheriff o auphi o By Deputy Sheriff Deputy: R HOPKINS Sheriffs Costs: $60.5 2/20/2009 Firm File No.09-08-718 THE LAW OFFICES OF STEWART C. CRAWFORD & ASSOCIATES By: Stewart C. Crawford, Sr., Esquire ~ -'' Attorney Id. No.: 09827 ~`~' ~ ~~ 223 North Monroe Street 19063 M di P ~. ~' e a, a ~~ ~ Telephone: (877)-992-6311, ext. 21 ' ~ Web: www.subrolaw.us ~ ,~. E-Mail: sccrawford@subrolaw.us ~ Q Attorney for Plaintiff, Encompass Insurance Company IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA IN CIVIL ACTION-LAW ENCOMPASS INSURANCE COMPANY IN CIVIL ACTION v. STEVEN ROY CSOKA and LYDIA SOCIA N0.2009910 PRAECIPE TO REINSTATE COMPLAINT TO THE PROTHONOTARY: Kindly reinstate this complaint an additional thirty (30) days. Dated: ~ ~ `'b THE LAW OFFICES OF STEWART C. CRAWFORD & ASSOCIATES Stewart C. Cra ord, Esquire Attorney for Encompass Insurance Company ~la• oo PD ATt'~1 ~'+~ 1(o(oa o p.J"'~ a 37351 SHERIFF'S OFFICE OF CUMBERLAN.~t~~Y ~r Ronny R Anderson :`~~ 71-!E P~OTN~ldpTAq}r Sheriff ~~~,,,,. or ~~t,t,1~~,.,,,~0 2010 M~i~ -3 ~,~ t t ~ 2~ Jody S Smith Chief Deputy a ~ r a~, CUf!~!~ ~~~ ~~!-1~ Edward L Schorpp "' ~ s w~-r~/ r i ~ + v v ' Solicitor 4 ~.F ~>,~ .u.~~t=~ u~~~Ll~~ ~: ~l~u, Encompass Insurance Company Case Number vs. Lydia Socia (et al.) 2009-910 SHERIFF'S RETURN OF SERVICE 02/08/2010 Ronny R. Anderson, Sheriff who being duly sworn according to law states that he made a diligent search and inquiry for the within named defendant, to wit: Steven Roy Csoka, but was unable to locate him in his bailiwick. He therefore deputized the Sheriff of Lancaster County, PA to serve the within Complaint and Notice according to law. 02/19/2010 Lancaster County Return: And now, February 19, 2010 I, Terry A. Bergman, Sheriff of Lancaster County, Pennsylvania, do hereby certify and return, that I made diligent search and inquiry for Steven Roy Csoka the defendant named in the within Complaint and Notice and that I am unable to find him in the County of Lancaster and therefore return same NOT FOUND. Request for service at 344 E. Chestnut Street, Lancaster, PA 17602 is a womans shelter and they have never heard of Steven Roy Csoka. 02/20/2010 09:25 PM -Ryan Burgett, Deputy Sheriff, who being duly sworn according to law, states that on February 9, 2010 at 2125 hours, he served a true copy of the within Complaint and Notice, upon the within named defendant, to wit: Lydia Socia, by making known unto herself personally, at 658 N. Hanover Street #2, Carlisle, Cumberland County, Pennsylvania 17013 its contents and at the same time handing to her personally the said true and correct copy of the same. SHERIFF COST: $58.40 February 26, 2010 tc Coun`ySuite Sheriff. T~ieaso?c. I.x.. rte"`"- ~ Z to i, 9 e ,r ~ /, SH ERIFF S OFFICE %~' n x 50 NORTH DUKE STREET, P.O. BOX 83480, LANCASTER, PENNSYLVANIA, 17608-3480 - (717) 299-8200 ~' _ - - - __ SHERIFF SERVICE .PLEASE MAKE SURE FORM PRINTS PROCESS RECEIPT, and AFFIDAVIT of RETURN LEGIBLY 1. PLAINTIFF/S/ 12. COURT DOCKET NUMBER Encompass Insurance Company of America 2009-910 3. DEFENDANT/S/ Steven Roy Csoka & Lydia Socia SERVE ('S~N~AME OF INDIVIDUAL, Steve) n Rov Csoka TION, ETC., TO BE 6. ADDRESS (Street or RFD, Apartment No., City, Boro, Twp., State and ZIP Code) AT 344 E. Chestnut Street, Lancaster, PA 17602 ' X' DEPUTI E i THER Jow~'ehn.>a 9 20 10 , I SHERIFF OF ~i1•i COUNTY, PA., do hereby deputize the S ~neas ter County to execute the writ and make return thereof according to law. This equest and risk of the plaintiff Sheriff 8. SPECIAL INSTRUCTIONS OR OTHER INFORMATION THAT WILL ASSIST IN EXPEDITING SERVICE: ~. eat CUMBERLAND COUNTY LAW OFFICE"'~+F STEWART C. CRAWFORD & ASSOCIATES NOTE ONLY APPLICABLE ON WRIT OF EXECUTION: N.B. WAIVER OF WATCHMAN -Any deputy sheriff levying upon or attaching any property under within writ may leave same without a watchman, in custody of whomever is found in possession, after notifying person of lery or attachment, without liability on the part of such deputy or the sheriff to any plaintiff herein for any loss, destruction or removal of any such property before sheriffs sale thereof. 9. SIGNATURE OF ATTORNEY OR OTHER ORIGINATOR print Name 10. TELEPHONE NUMBER 11. DATE Stewart C. Crawford ' 610-565-7050 ~ 02/ %2010 12. SEND. NOTICE OF SERVICE COPY TO NAME AND ADDRESS BELOW:(This area must be completed if notice is to be mailed) The Cumberland County SherifFs Office-1 Courthouse Square Room 303, Carlisle, PA 17013 Spats Rt`I nw 13. I acknowledge receipt of the writ NAME of authorized LCSO Deputy or Clerk 14. Date Received 15 Fxoiration/Heannq Date or complaint as indicated above K. BRADSHAW 299-8200 2/16/2010 3/15/2010 16. I Here y CERTI Y an R URN t at I have personally served, ave ega evi ence o service as s own in Remar s', ave execute as shown in "Remarks",the writ or complaint described on the individual, company, corporation, etc., at the address shown above or on the individual, com n or oration etc. at the address inserted below b handin a TRUE and ATTE TED COPY thereof. 17 I ere certi an return a T UN ecause am una a to ocate t e In Ivl ua , om an , cor oration, etc., name a ove. 18. Name and title of individual Served(if not shown above) (Relationship to Defendant) 19. r No Service See Remarks Below 20. Address ~:f where served (Complete only it differer.*, than showr. above)(Street or RFD, Apartment No., City, 21. Date of Servicel22. Time AM / PM Boro, TWP, State and ZIP Code) es.rie.os.r 23. Attempts 24. R # ,~I r. S.T.A.: Dep.lnt Date _ Zf~~ I s I .~u- Costs 25. Serv36Co}tOs 26. Notary 150. C'he~~ tLIN~ i"~~ 'Y1C'~-CZ.~,j subscribed to before me this as Dep.lnt Date Mites Dep.lnt Date Miles Dep.lnt Date Miles Dep.lnt >sts 27. Mileage/Postage/N.F 28. rTotttal Costs 29. COST DUE OR REFUND ~~, Q ~~~~~ 37. Prothonotary/Deputy/Norary Public MY COMMISSION EXPIRES 31. AFFIRf 34. day of 4. TYPE OF DOCUMENTTO BE SERVED Complaint & Notice 20 32. Sign 35.5 A. of ANSWER. 3= N(, ~ L COUNTY PA ~d ~ ~ F:\FILES\Clienu\13781 SociaU3781.1.ms1/mav Revised: 8 / tt/ 10 10:42AM 13781.1 George B. Faller, Jr., Esquire I.D. No. 49813 MARTSQN DEARDORFF WILLIAMS OTTO GILROY & FALLER MARTSQN LAW OFFICES 10 East High Street Carlisle, PA 17013 (717) 243-3341 Attorneys for Defendant Lydia Socia aolo AU6 to Apt r(:s~ ,. ~ . , . , i 4 .~ ENCOMPASS INSURANCE IN THE COURT OF COMMON PLEAS OF COMPANY OF AMERICA, CUMBERLAND COUNTY, PENNSYLVANIA Plaintiff, v. STEVEN ROY CSOKA and LYDIA SOCIA, Defendants. N0.09-910 CIVIL ACTION -LAW JURY TRIAL DEMANDED ANSWER WITH NEW MATTER OF DEFENDANT LYDIA SOCIA TO PLAINTIFF'S COMPLAINT TO: ENCOMPASS INSURANCE COMPANY OF AMERICA, Plaintiff, and its attorney, STEWART C. CRAWFORD, ESQUIRE YOU ARE HEREBY NOTIFIED TO FILE A WRITTEN RESPONSE TO THE ENCLOSED NEW MATTER WITHIN TWENTY (20) DAYS FROM SERVICE HEREOF OR A JUDGMENT MAY BE ENTERED AGAINST YOU. AND NOW comes Defendant Lydia Socia, by and through her counsel, MARTSQN DEARDORFF WILLIAMS OTI'O GILROY & FALLER, and hereby answers Plaintiff's Complaint as follows: 1. Denied pursuant to Pa. R.C.P. 1029(e). 2. Denied pursuant to Pa. R.C.P. 1029(e). 3. Denied as stated. It is admitted that Lydia Socia was the operator of the motor vehicle. The remaining averments of this paragraph are conclusions of law to which no response is required. To the extent a response may be deemed required, it is denied that Lydia Socia was acting as an agent, servant, workman or employee on behalf of the owner. 4. Denied as stated and proof hereof is demanded. 5. Denied as stated and proof hereof is demanded. ,r 6. Denied pursuant to Pa. R.C.P. 1029(e). 7.(a-g) Denied pursuant to Pa. R.C.P. 1029(e). 8.-10. Denied as stated and proof hereof is demanded. COUNTI PLAINTIFF v. LYDIA SOCIA 11. The averments of paragraphs 1 through 10 of this Answer are hereby incorporated by reference. 12. Denied pursuant to Pa. R.C.P. 1029(e). WHEREFORE, Defendant Lydia Socia demands judgment in her favor and dismissal of Plaintiffs Complaint with prejudice. COUNT II PLAINTIFF v. STEVEN ROY CSOKA 13.-15. The averments of paragraphs 1 through 12 of this Answer are hereby incorporated by reference. NEW MATTER 16. The accident was caused by the negligence, recklessness, and carelessness of the Plaintiffs subrogor, Linda Palmer, and according to Equity, Common Law and principals of subrogation, Plaintiffs recovery is barred or reduced by the percentage of fault attributable to their subrogor. 17. This recovery may be barred or reduced by the terms of the Pennsylvania Motor Vehicle Financial Responsibility Law. WHEREFORE, Defendant Lydia Socia demands judgment in her favor and dismissal of Plaintiff s Complaint with prejudice. By v ~ Geo ~ e .Faller, Jr., Esq ire Ten East High Street Carlisle, PA 17013 (717) 243-3341 Dated: 8/12/10 Attorneys for Defendant Lydia Socia VERIFICATION The foregoing Answer with New Matter is based upon information which has been gathered by my counsel in the preparation of the lawsuit. The language of the document is that of counsel and not my own. I have read the document and to the extent that it is based upon information which I have given to my counsel, it is true and correct to the best of my knowledge, information and belief. To the extent that the content of the document is that of counsel, I have relied upon counsel in making this verification. This statement and verification are made subject to the penalties of 18 Pa. C.S. Section 4904 relating to unsworn falsification to authorities, which provides that if I make knowingly false averments, I may be subject to criminal penalties. t' Lydia S 'a F:\FILES\C1~s\137!1 Sxi\1378t.1.w1 ~ i CERTIFICATE OF SERVICE I, Nichole L. Myers, an authorized agent for Martson Deazdorff Williams Otto Gilroy & Faller, hereby certify that a copy of the foregoing Answer with New Matter of Defendant Lydia Socia to Plaintiff s Complaint was served this date by depositing same in the Post Office at Cazlisle, PA, first class mail, postage prepaid, addressed as follows: Stewart C. Crawford, Esquire Law Office of Stewart C. Crawford & Associates 223 North Monroe Street Media, PA 19063 Counsel for Plaintiff Mr. Steven R. Csoka 221 Buckthorn Street Harrisburg, PA 17104 MARTSON LAW OFFICES By ~G Nichole L. Myers Ten East High Street Carlisle, PA 17013 (717) 243-3341 Dated: 8/12/10 David D. Buell. Prothonotaly Solona g e, F S Q Solicitor 0 `.1 f < O /,. Z \j „so Wenee X Simpson 1st Deputy Prothonotay Irene E. Morrow 2nd Deputy Prothonotary Office of the Prothonotary Cumberland County, Pennsylvania 69 -09/6 CIVIL TERM ORDER OF TERMINATION OF COURT CASES AND NOW THIS 29TH DAY OF OCTOBER, 2013,AFTER MAILING NOTICE OF INTENTION TO PROCEED AND RECEIVING NO RESPONSE-THE ABOVE CASE IS HEREBY TERMINATED WITH PREJUDICE IN ACCORDANCE WITH PA R.C.P.230.2. BY THE COURT, DAVID D. BUELL PROTHONOTARY One Courthouse Square • Suite 100 • Carlisle, PA 17013 • (717)240-6195 • Ect ,(717)240-6573