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HomeMy WebLinkAbout01-6598COMMONWEALTH OF PENNSYLVANIA COUNTY OF: Mag. Dist. No.: 09-1-01 DJ Name: Hon. CHAP. LES A. CLEMENT, JR.. Address: 1106 CARLISLE ROAD CAMP HILL, PA Tel.phon.: (717) 761-4940 17011 NOTICE OF JUDGMENT/TRANSCRIPT PLAINTIFF: RESIDENTIAL LEASE NAME and ADDRESS [-CKIBARI, SALVATORE M 1312 WELL DR CAMP HILL, PA 17011 VS. DEFENDANT: NAME and ADDRESS FCROUSE, BETH A 523 MAEKET STREET NEW UMBBKLAND, PA 17070 DocketNo.: LT-0000596-011~ DateFiled: 10/08/01 in a · (Date of Judgment) 750.00. SALVATORE M. C~IBARI 1312 WELL DR CAMP HILL, PA 17011 ~, THIS IS TO NOTIFY YOU THAT: Judgment: FOR PL~]'NTIF~' ~-] Judgment was entered for: (Name) C. RI]~,RI, S3E.,VA'~:)RE M Judgment was entered against CKOUSE, B~TH A Landlord/Tenant action in the amount of $ 906.50 on 10/23/01 The amount of rent per month, as established by the District Justice, is $ The total amount of the Security Deposit is $ .00 Rent in Arrears Physical Damages Leasehold Property Damages/Unjust Detention ~'] Attachment Prohibited/ Victim of Abuse (Act 5, 1996) ~] This case dismissed without prejudice. J'~"] Possession granted. Date: Total Amount Established ~d. 0~)ess~Security Deposit A.p~l~d =$ AdjudicatedsA2n~o.u~b .00-$ .00 = $ .00 .oo-$ .DO = $ .oo Less Amt Due DefenC ant from Cross Complaint - $ . O0 Interest (if provided by lease) . on Certified Judgment Total Possession granted if money judgment not satisfied Dy ~me of ewct~on. Possession not granted. Levy is stayed for ~ days or r-'] generally stayed. Objection to Levy hag b6en filed and hearing will be held: $ L/T Judgment Amount $ Judgment Costs $ Attorney Fees $ Total Judgment $ Post Judgment Credits $ Post Judgment Costs $ $ Time: ~---] Defendants are jointly and severally liable. Place: IN AN ACTION INVOLVING A RESIDENTIAL LEASE TEN DAYS AFTER THE DATE OF ENTRY OF JUDGMENT BY FILING A NOTICE OF APPEAL WITH THE PROTHONOTARY/CLERK OF COURTS OF THE COURT OF COMMON PLEAS, CIVIL DIVISION. THIS APPEAL WILL INCLUDE AN APPEAL OF THE MONEY JUDGMENT, IF ANY. IN ORDER TO OBTAIN A SUPERSEDEAS, THE'APPELLANT MUST DEPOSIT WITH THE PROTHONOTARY/CLERK OF COURTS THE LESSER OF THREE MONTHS RENT OR THE RENT ACTUALLY IN ARREARS ON THE DATE THE APPEAL IS FILED. IF A PARTY WISHES TO APPEAL ONLY THE MONEY PORTION OF A JUDGMENT iNVOLVING A RESIDENTIAL LEASE, THE PARTY HAS 30 DAYS AFTER THE DATE OF ENTRY OF JUDGMENT IN WHICH TO FILE A NOTICE OF APPEAL WITH THE PROTHONOTARy/CLERK OF si.50 906.50 ANY PARTY HAS THE RIGHT TO APPEAL FROM A JUDGMENT FOR POSSESSION WITHIN COURTS OF THE COURT OF COMMON PLEAS, CIVIL DIVISION. THE PARTY FILING AN APPEAL MI/'~T I~ICLUD~ A CQ~PY 0CT 2 ~ 2~ Date _11 ce~ity that this is a true and~t cop~ et t~e~ord~the ~0~ 2:~ ~ Date ~~/~ My commission expires first Monday of January, 2002. ENT/TRANscRIPT FORM WITH THE NOTICE OF APPEAL· · , District Justice ~aining th~ judgment. J District JusticeI ~ SEAL ?/:~ '- : PRAECIPE FOR WRIT OF EXECUTION - (MONEY JUDGMENTS) P.R.C.P. 3101 to 3149 Etc. Salvatore M. Cnbari VS. Beth A. Crouse : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA : : Writ No. Term, 20 : No. 06598 Civil Term, 20.. 0! : : Amount Due _$ 906.50 : Interest From 11/26/01 : : Attorney's Com. : Costs ~ 29.25 TO THE PROTHONOTARY OF SAID COURT: Please issue WRIT OF EXECUTION in the above matter, (1) Directed to the Sheriffof Cumberland County, Pennsylvania; (2) Against _ Beth A. Crunse 603 Reno Street. New Cum~berlan& PA 1707(I Defendant (s); (3) and against (4) and index this writ (a) against . (b) against Beth A. Crouse 603 Reno Street. New Cumberland. PA 17070 Garnishee (s); Defendant (s) and Garnishee (s), as a lis pendens against the real property of the Defendant (s) in the name of the Garnishee (s) as follows: (Specifically describe property) Levy upon, attach, and sell all personal property of the Defotdant, BETH A. CROUSE, situate at 523 Market Street, New Cumberland, Pennsylvania 17070, including all furniture, household goods, electronic equipment, appliances, and all other moveable personalty. (5) Exemption has (not) been waived. Date: ] ~ :152504 Attorney for Plaintiff (s) NOTE Under paragraph (1) when the writ is directed to the sheriffof another county as authorized by Rule 3103(b), the county should be indicated. Under Rule 3103(c) a writ issued on a transferred judgment may be directed only to the sheriffof the county in which issued. Paragraph (3) above should be completed only ifa named garnishee is to be included in the writ. Paragraph (4) (a) should be completed only if indexing of the execution in the county of issuance, is desired as authorized by Rule 3104(a). When the writ issues to another county indexing is required as of course in that county by the prothonotary. See Rule 3104(b). Paragraph 4 (b) should be completed only if real property in the name of a garnishee is attached and indexing as a lis pendens is desired. See Rule 3104(c). R. THOMAS KLINE Sheriff EDWARD L. SCHORPP Solicitor OFFICE OF THE SHERIFF One Courthouse Square Carlisle, Pennsylvania 17013 MARCH 1, 2002 Salvatore M. Cribari VS Beth A. Crouse No. 2001-6598 Civil Term Property Claim Detem~ination RONNY R. ANDERSON Chief Deputy JODY S, SMITH Real Estate Deputy Dear Sir, Reference is made to Property Claim dated February 21, 2002 entered by Richard McCurdy pertaining to Writ of Execution No. 2001-6598 Civil Term, Salvatore M. Cribari -vs- Beth A. Crouse. R. Thomas Kline, Sheriff, has determined that the claimant, Richard McCurdy in the above mentioned property claim, is prima facie the owner of the property set forth therein. So Answers: CC: David Lanza, Atty for Pltff. Beth A. Crouse, Deft. Richard McCurdy, Claimant PROPERTY CLAIM In the Court of Common Pleas of Cumberland County, Pennsylvania w t o. 3 00/- d GR TO THE SHERIFF OF CUMBERLAND COUNTY, PENNSYLVANIA The property listed below and levied upon in this case is not the property of the defendant, but is the property of the undersigned. A list of the claimed property and the values thereof are: LIST OF PROPERTY VALUE · 2EO.cO Slate o£ Pennsylvania: Counf~ ?f Cumberland abov'e list in ~e prope~ cl~ ~e co~ec~d 7t7- 77q'~76 berg duly sworn accord~g to law, deposes ~d says PRAECIPE FOR WRIT OF EXECUTION - (MONEY JUDGMENTS) P.R.C.P. 3101 to 3149 Etc. SALVATORE M. CRIBARI VS. BETH A. CROUSE IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA Writ No. Term, 20__ No. 06598 Civil Term, 20 01 Amount Due $ 906.50 Interest From 11/26/01 Attorney's Com. Costs .$ 29.50 TO THE PROTHONOTARY OF SAID COURT: Please issue WRIT OF EXECUTION in the above matter, (1) Directed to the Sheriffof Dauphin County, Pennsylvania; (2) Against Beth A. Crouse 603 Reno Street. New Cumberland. PA 17070 Defendant (s); (3) and against Hoffman Ford Sales, Xnc.. t//t/b/a H0ffman For~ll~Ilqll ][nc. 5200 Jonestown Road. Harrisburg. PA 17112 Garnishee (s); (4) and index this writ (a) against Beth A: Crouse 603 Reno Stre.'et. New Cumberland. PA 17070 Defendant (s); and (b) against Hoffman Ford Sales. Inc.. t/d/b/a Hoffman Fordland. Inc. 5200 jonestown Rbad. Harrisburg. PA 17112 Garnishee (s), as a lis pendens against the real property of the Defendant (s) in the name of the Garnishee (s) as follows: (Specifically describe property) Levy upon, attach, garnish and sell all personal property of the Defendant, BETH A. CROUSE, in the possession of the Garnishee, Hoffman Ford Sales, Inc., 5200 Jonestown Road, Harrisburg, Pennsylvania 17112, including all commissions earned by BETH A. CROUSE or owed by Garnishee to BETH A. CROUSE. (5) Exemption has (not) been waived. I. ~l,,~ Date: Attorney for Plaintiff (s) :155771 NOTE Under paragraph (1) when the writ is directed to the sheriffof another county as authorized by Rule 3103(b), the county should be indicated. Under Rule 3103(c) a writ issued on a transferred judgment may be directed only to the sheriffof the county in which issued. Paragraph (3) above should be completed only if a named garnishee is to be included in the writ. Paragraph (4) (a) should be completed only if indexing of the execution in the county of issuance, is desired as authorized by Rule 3104(a). When the writ issues to another county indexing is required as of course in that county by the prothonotary. See Rule 3104(b). Paragraph 4 (b) should be completed only if real property in the name of a garnishee is attached and indexing as a lis pendens is desired. See Rule 3104(c). WRIT OF EXECUTION and/or ATTACHMENT COMMONWEALTH OF PENNSYLVANIA) NO 01-6598 Civil COUNTY OF CUMBERLAND) CIVIL ACTION - LAW TO THE SHERIFF OF DAUPHIN COUNTY: To satisfy the debt, interest and costs due SALVATORE M. CRIBARI, Plaintiff (s) From BETH A CROUSE, 603 RENO STREET, NEW CUMBERLAND, PA 17070 (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 LEVY UPON, ATTACH GARNISH AND SELL ALL PERSONAL PROPERTY OF THE DEFENDANT, BETH A CROUSE, IN THE POSSESSION OF THE GARNISHEE, HOFFMAN FORD SALES, INC., 5200 JONESTOWN ROAD, HARRISBURG, PA 17112, INCLUDING ALL COMMISSIONS EARNED BY BETH A. CROUSE OR OWED BY GARNISHEE TO BETH A. CROUSE. GARNISHEE(S) as follows: 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 $906.50 Interest FROM 11/26/01 Atty's Comm % Atty Paid $44.75 Plaintiff Paid Date: MARCH 21, 2002 REQUESTING PARTY: Name DAVID J. LANZA, ESQUIRE Address: 301 MARKET STREET P O BOX 109 LEMOYNE, PA 17043-0109 Attorney for: PLAINTIFF Telephone: 717-761-4540 Supreme Court ID No. 55782 Due Prothy $1.00 Other Costs CURTIS R. LONG Prothonotary, Civil Division Johnson, Duffle, Stewart & Weidner By: David J. Lanza I.D. No. 55782 301 Market Street P. O. Box 109 Lemoyne, Pennsylvania 17043-0109 (717) 761-4540 Attorneys for Plaintiff SALVATORE M. CRIBARI, Plaintiff BETH A. CROUSE, Defendant V. HOFFMAN FORD SALES, INC. individually and t/d/b/a HOFFMAN FORDLAND, INC., Garnishee IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. 01-6598 CIVIL ACTION - LAW PRAECIPE TO FILE INTERROGATORIES TO THE CLERK OF COURT: Please file of record the Interrogatories to Garnishee, Hoffman Ford Sales, Inc., individually and t/d/b/a Hoffman Fordland, Inc., in reference to the above-captioned matter. : 158464 Respectfully submitted, JOHNSON, DUFFLE, STEWART & WEIDNER By: ~'~ David J. Lanza Attorney I.D. No. 55782 301 Market Street P.O. Box 109 Lemoyne, PA 17043-0109 Telephone (717) 761-4540 Attorneys for Plaintiffs CERTIFICATE OF SERVICE AND NOW, this "~ .~ $'~" day of May 2002, the undersigned does hereby certify that he did this date serve a copy of the foregoing PRAECIPE upon the other parties of record by causing same to be deposited in the United States Mail, first class postage prepaid, at Lemoyne, Pennsylvania, addressed as follows: Beth A Crouse 523 Market Street New Cumberland, PA 17070 Hoffman Ford Sales, Inc. 5200 Jonestown Road Harrisburg, PA 17112 JOHNSON, DUFFLE, STEWART & WEIDNER By: David J. Lanza 05/10/2002 11:25 FAX 717 781 3015 JDS&W ~004 Johnson, Duffle, Stewart & Weidner By: David I. Lm~za I.D. No. $$782 301 Market Street P. O- Box 109 iLemoyn~, P~nnsylvania 17043-0109 (717) 761-4540 Attorneys for Plaintiff SALVATORE M. GRIBARI, BETH A. CROUSE, Plaintiff Defendant HOFFMAN FORD SALES, INC. individually and t/d/b/a HOFFMAN FORDLAND, INC., Gamishee IN THE COURT OF CQMMON PLEAS OF CUMBERLAND COUNTY. PENNSYLVANIA NO. 01-6598 CIVIL ACTION - LAW TO: INTERROGATORIES Hoffman Ford Sales, Inc., t/d/b/a Hol'l'r, ~an Fordland. Inc. 5200 Jonestown Road Harrisburg, PA 17112 You are required to file answers to each of the following Interrogatories within twenty (20) days al[er service upon you. You are required tb sign the verification page following the Inierrogatories. Failure to answer any of the Interrogatories or to sign the verification page shall result in judgment against you. Dated: -155fi13 JOHNSON, DUFFLE. STEVVART & WEIDNER By: David J, Lanza Attorney I.D. No_ 55782 301 Market Street P.O. Box 109 Lemoyne, PA 17043-0109 Telephone (717) 761~4540 Attorneys for Plaintiff FROM 717 761 3015 TO 5/10/2002 11:25 AM Page 4 05/10/2002 11:25 FAX 717 761 3015 JDS&W ~005 Set forth the basis upon which Defendant is paid for selling vehicles, including any commission arrangement or agreement, and identi~ any percentage or other dollar amount which Defendant receives for each sale. Set forth and itemize all commissions eamed by the Defendant in ~he past six (6) months. FROM 717 761 3015 TO 5/10/2002 11:25 AM Page 5 '05/10/2002 11:25 FAX 717 781 3015 JDS&%¥ [~006 3. At the time you were served or at any subsequent time did you owe the Defendant, BETH CROUSE, any money, or were you liable to her on any negotiable or other wdtten instrument or did the Defendant claim that you owed any rhoney or were liable to her for any reason? 4. At the time you were served or any subsequent time you owed the Defendant any money, state the amount of money owed to Defendant. FROM 717 761 3015 TO 5/10/2002 11:25 AM Page 6 05/10/2002 11:26 FAX 717 761 3015 JDS&~' ~007 5. If the answer to question no. 4 is yes, describe the property held by you and state the value of any such property. 6. 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 in part by the Defendant(s) or any other property in which Defendant(s) held or claimed any interest? FROM 717 761 3015 TO 5/10/2002 11:25 AM Page 7 05/10/2002 11:26 FAX 717 761 3015 JDS&W ~ 008 7. If the answer to ques'don no. 6 is yes, describe the property so held or claimed, and state the value of such property. 8. At the time you were served or any subsequent time did you hold as a fiduciary any property in which the Defendant(s) had an interest? FROM 717 761 3015 TO 5/10/2002 11:25 AM Page 8 0§/10/2002 11:26 F.L.~ 717 761 301~ JDS&W ~009 If the answer to question no, 8 is yes, describe the property and state the value thereof, 10, At any time before or after you were served did the Defendant(s) transfer or deliver any property to you or any person or place pursuant to your directien or consent, and if so, what was the consideration therefore? FROM 717 761 3015 TO 5/10/2002 11:25 AM Page 9 '05/10/2002 11:26 F.~ 717 761 3015 JDS&W ~010 11. At any time after you were served did you pay, transfer or deliver any money to the Defendant(s) or place pursuant to Defendant's direction or otherwise discharge any claim of the Defendant against you? 12. At any time prior to the time you were served did you owe the Defendant(s) any money or were ~ou liable to Defendant(s) on any negotiable or other written instrument or did the Defendant(s) claim that you owed Defendant(s) any money or were liable to Defendant(s) for any reason? FROM 717 761 3015 TO 5/10/2002 11:25 AM Page 10 13. If the answer to question no. 12 is yes, state the most recent time that you owed the Defendant(s) any money or the most recent time that you were liable to Defendant(s) on any negotiable or other wdtten instrument or that the Defendant(s) claimed that you owed Defendant(s) any money or were liable to Defendant(s) for any reason. FROM 717 761 3015 TO 5/10/2002 11:25 AM Page 11 05/10/2002 11:27 FAX_ ?17 761 3015 JDS&I¥ ~012 , of Ho~<,-,an Ford Sales. Inc., vedfy that the statements made in the foregoing Interrogatories to Garnishee are true and correct to the best of my knowledge, information and belief, I understand that false statements herein are made subject to tt~e penalties of 18 Pa. C.S. ~4904 relating to unswom falsification to authorities. Date: NOTARIAL SEAL ' SABRINA J, (3LQTFELTER, Notary Public Lower Pa, x.'t~n Twp,, Dauphin County My Comm~J~ ~ M~.V 18, 2003 FROM 717 761 3015 TO 5/10/2002 11:25 AM Page 12 1206 ?AC~ 000~ i~LUDiNG EMFLOYEE~ 612 fHI{OUUH 61Z, ALL GHECK5 AN[! ALL DEPi~iMENI~ KEO/~LAR¥ OVER~I~E DQUBLEiiME VACAIiDN SiCK HOLIDAY ~UHL/BF H~G/SAL HR5 U{ HR~ ~J h~ V~S HR5 SICK H~S HUL HK~ ~HL/SF H~S IOiRL UEU ~EiMB/EiC Fi} FiU~ "~ S,, 5Ui CCI OlHEK 1 OiHER Z iUI'AL 'iAx 77'TT .............................................................................................................................. ~MKLU~E~ - 612 BEllt RNfl D~USE U~F'fi~IMEN] - ?gO0 NE~ CA~ [iLF'] ~fli AKY/CU~M CHECK DAIE 12/14/2001 CHECK NO Mi~C £~EUUUltDN~ LIUECU 2;(t. OO ~L~EN SVNU$ Z5.0O CHECK UAiE 12/28/200i CHECK NO 612~I i9i5C DEDJCI ION5 ~UPFUR{ DtE[;K iSV4ik 011U4/2002 cHECK NU 613/3 IbO,OO 9.0V O.oO ({.(E; O.UV O,(E{ O.~V //.Sb 160.OD O.OO O.Oo O.vo O.OO O.O0 O.~ O,OO o.,OO O,Oo ~,ta 12,24 19i6C ~EL{UCilUN6 5UPF'UK{' Z?.VV MIS/COFF~E b,OV 5LSMkN 5VN65 gHEUK 9A;E 01/11/2002 UHE~K NU 61456 CHECK OA]E 01/18/'zoo2 CHECK NU 61242 MiSC '" Uc~Uu tUNo 5UPPO~I 44.~8 SLS~EN 5VNUS · '05/0'://2002 HUI-FHAN FORIi SRI. ES 12(.)6 !3:%:00 ?ATR[1LL I~tECK REGISfER fOR PEi~iOi) BEGINNiN~ 12/03/2U0i AND ENFJlNG 05/02/2002 ,%qGE 000'2 NEU/$A£.AK¥ OVERIIME ~UBLEI~M~ VACAiiON ~iCK HULiDA¥ $cHL/BF NEI GKU$$ REG/~L HRS Ol' HR$ D'£ HR$ VAC HRS $iLX HR$ HUL HK5 ~HLIBF H~$ I'UiAL OkU REIMS/~iC CH~CK D~llE 01/25/Z002 ~HECK NO 61630 160.00 0.00 O,O0 O.UU 0.00 O.OO O.Oq~ 66.6? lbO,CO O.UO O.O0 0.00 O.Uo 0.00 0.00 0.00 6Y,~8 O.OO ti,lj I~,24 ~.48 ('),Oo (LOg 1.60 0,00 O.O0 '"" 'h HI2C OEuUC'ItuNS ~UPPI'~T ~4.~8 SLSMEN SVNGS 2~.00 CHECK £1AiE OZ/Ot/2oo2 CHECK Nil 61718 80,00 0.00 0,~ 0.00 O.OO 0,00 o.0( /7,:~ 180,00 o. O0 0.00 0,o0 0.00 0.00 0.00 0.00 74.~8 0.00 7,12 L.Yx 5.04 0.00 0,~) 1,80 0,~1 0,00 27,74 MiSC INCL~tE$ 5L5 NEm iOo. Oo ~I1~ O~UctlUN~ $UKPONi 44.88 cHECK CH~CK NO 61~04 2,5, OO O.gO O,(~J 74.5J 1/O 0,00 O,O0 6Y.¢~ O,OO 1. lO O.t~ O,O0 cHECK DAt'E 0211.512002 CHECK ~ 61893 160.00 O.oo 0.90 O,O0 0.00 6,63 13,37 1NCUME~ F~i NEW OEUUUilUN5 $U~POKi 7.50 44.8~ O.OO 0,00 0,00 FM bI. SM~N SVN~ 0,00 O,Oo O,OO ?,.50 O,O0 0,00 78,4b 175,00 0,00 0,00 bY,e8 O,uo 1,75 0,~ 0,00 26,67 CH~-CK UAIE 02/2X/20UX CHizCK NU CHkcK DAlE OS/Ui/ZOUZ CHECK NU 62067 44,88 0,00 0, O0 ~-&l NEW bI. SMEN $VNG~ 0.00 0,00 ib,lYJ 25,00 O,O0 0,00 165.3V 2YO,UO O,O0 0,00 69,88 0,00 2,90 0,(~ 0,00 b%73 ZOO.U0 O,OO 0,00 0.00 0,00 10.22 iSO.OO 44.88 O.oO 0,00 O,UO O,(K) ~,u,.,~ ...... O,O0 U,O0 0.00 O,o0 7%8~ O,O0 O,OO O, Oo 3,65 O, Oo O,O0 74,58 k~l NEw I~.O0 MiS/CUFFEk 5.00 SLSMFN SVNGS 2b,oo · 1206 P~GE OOt 3 iEG/SALAR ~ QVER ~ IME DOUBLE f ~M~ VAUA fi UN $ I ~J.tDA¥ SCHL/Bk NEJ' URO~S kEG/SAL H~S £H H~ Di H~$ V~C H~S SiCK HkS HUL HRS Fil FICA SIT SOl .... ~ ...................... CJI' O'I'HER ] O~HER 2 fOIAL IA~ 8O.(E) 0.00 O.o0 0.0o 0.~) O.O0 0.00 1, IO/. t4 1, ;77.24 O.VO O.VO O.OO O.o0 0.00 0.00 0.o0 6Y.88 o. O0 ~76.73 l~t,.Y6 4y. 76 O.oo 0.00 l 7.77 O.~J O.Oo 6UO.zz Mi~ INCO~S ~S NEW 1,b62.Z4 F&i NEW I~.00 MlSC flEL~Ci'I~S SUF'F'ORi' 4;.88 ~SMEN SVN~ 25.00 CHECK U~IE VS/I~IZO~)Z CHECK NU 62245 o. O0 O. Oo V. oo O. tto O. Oo O.o0 0.00 0.00 0.00 0.00 0.00 0.00 8'Y.49 O.OO Z/.53 2b.24 o -~ ..~4 0.o0 o.0o 3.30 0.0o 0.00 6a.~1 MiSC I~C~E5 SLS NEW 150.00 SLS USEU i~0.00 k&l ~W 15.00 F&t U5~ 1~.00 M.lSC DE/iU~iJONS 5CF'PURl ~4,8~ DUECO 19,61 SL~EN SVr~GS ~*~**~ EMPLUYEE 612 iOiALS *~***.~ Z. 31 Y. {;5 O. O0 O. O0 O. O0 O. O0 O. O0 V. g<~ :~, 033.5~ 5 ~ 228.86 O. O0 O. oO O. O0 0. O0 O. O0 o. O0 O. oO Y;L~5.53 O. O0 661. OY 40V. 01 146,40-HA O, O0 O. O(l hZ, 2Y g, (KI O, O0 1, Zb9. ]9 MiSU INCO~S ~S NEW 2,~.64 5CS ~ScU 253.37 J-~I NEW 61.2,0 t-&J U~[i 22.50 ]UJ~L UHELRS 14 ' "~" O.O0 3~038.54 0.00 YaS.ba 0.00 O.oo o.oO 1,z59.79 67,a0 F&I Usku 22.50 lb,O0 SLSMLN SVNS~ 41,8~ · HOFFMAN FORDLAND 5200 JONESTOWN ROAD HARRISBURG, PA 17112 (717)657-1600~ FAX (717)657-9791 www. h,;,,,, ,anford.com T-II ESTA~USHED 1953 May 8th, 2002 Ms. Beth Ann Crouse 523 Market Street New Cumberland, PA 17070 Dear Beth, This letter is to advise you we must have verification of your medical condition from your physician and the expected date of release for your return to work. The last day you worked at Hoffman Ford was March 2, 2002. Our recent efforts to contact you have been to no avail. We must have this above noted information within ten (10) days of receipt of this letter. If we do not receive the information requested, we will have no other alternative than to consider your position, with Hoffman Ford, to be abandoned and you will be dis- missed. Please avoid this action by promptly provilding the requested information. General Sales Manger R. Thomas Kline, Sheriff, who being duly sworn according to law, states that a Sheriff's Sale of personal property was held on March 27, 2002, at which time the personal property of Beth A. Crouse was sold to Salvatore and Linda Cribari for the sum of $1.00, it being the highest bid and best price quoted for the same. Date and Time of Sale, Wednesday, March 27, 2002 at 11:00 A.M.E.D.S.T. at 523 Market Street, New Cumberland, PA 17070. This writ is returned STAYED, as per instructions from attorney. Sheriff's Costs: Docketing $ 18.00 Poundage 18.13 Advertising 20.00 Law Library .50 Prothonotary 1.00 Milage 11.73 Cert. Mail 3.95 Surcharge 20.00 Levy 20.00 Post Pone Sale Garnishee $-113.31 Pd by Defendant Sworn and Subscribed to before me This _. //~ day of (~ _ 2001 A.D.p~, So Answer~; R. Thomas Kline, Sheriff COMMONWEALTH OF PENNSYLVANIA) COUNTY OF CUMBERLAND) WRIT OF EXECUTION and/or ATTACHMENT NO. TO THE SHERIFF OF Cumberland COUNTY:. TO satisfy the debt, interest and costs due Salvatore M. Crihari lr0m Beth A. Crouse, 603 Reno Street, New C~nberland. PA ]7070 01-6598 CIVIL I~[X TB~Rv[ CIVIL ACTION - LAW PLAINTIFF(S) DEFENDANT(S) (1) You are dim~edtolevyuponthe pmpedyofthedefendant(s) andlo sell Levy upon attach and sell all personal oroDerty of the DefPn~nt. Beth A. ~'%tlAA: ~fllR~A m~ ~9~ MAr~m+ ~+r~. ~ C~nberland, PA, in~l-~nq all furniture, household qoods. ~lec~ni~ ~_)i_rm~_nt. a_r%3_liances and all other moveable personalty. (2) You are also directedto aUachthe pmpe~yofthedefendant(s)notlevied uponinthepossess~nof__ GARNISHEE(S) as follows: and to notify the garnishee(s) that: (a) an attachment has been issued; (b) the garnishee(s) is/are enjoined Imm 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 properly of the defendant(s) not levied upon an subject to attachment is found in the passesslon of anyone olher 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 $906.50 Interest frcl~'.. 11/26/01 Atty's Corem Arty Paid _ S31.75 Plaintiff Paid LmL, $.50 Due Prolhy ~ nn Other Costs Date: Dec~nber 11. REQUESTING PARTY: Name David J. Lanza, Esq. AddresS: 301 Market Street, P.O.Box 109 Lemoyne, PA 17043-0109 A~orney for: Plaintiff Telephone: 717-761-4540 Supreme Court ID No. Prothonotary, Civil Division t Deputy SHERIFF'S SALE BY VIRTUE OF WRIT OF EXECUTION NO. 2001-6598 CIVIL TERM ISSUED OUT OF THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PA, AND TO ME DIRECTED, I WILL EXPOSE TO PUBLIC SALE ON WEDNESDAY THE 27TM DAY OF MARCH 2002 AT 11:00 A.M., THE PROPERTY OF BETH A. CROUSE, AT, 523 MARKET STREET, NEW CUMBERLAND, CUMBERLAND COUNTY, PENNSYLVANIA. THE FOLLOWING PROPERTY TO WIT: SOFAS (2) COFFEE/END TABLES (2) VCR (DAEWOO) DINETTE TABLE W/4 CHAIRS IRONING BOARD WASHER (KELVINATOR) COFFEE POT DRESSERS (3) TELEVISON (13' RCA) MISC. DOLLS (11) PICTURE (LEOPARD) WICKER DEER FISH TANK W/STAND WICKER STAND BICYCLE (MAGNA) WALL SHELF BREAD KEEPER WINE BOTTLES (3) ELECTR2C JIGSAW GAS GRILL (SUNBEAM) LOVE SEATS (2) TELEVISION (RCA) STEREO (EMERSON) MICROWAVE (GE) NIGHT STAND DRYER (KENMORE) BEDS (3) BUREAU LANDSCAPE TUB PANASONIC PRINTER LAWNMOWER (MURRAY) TELEVISION W/STAND (ZENITH) FLOOR LAMP VCR (FISHER) BICYCLE (ROADMASTER) CORNER SHELF/CABINET WIRE RACK ELECTRIC DRILL MISC. HANGING BASKETS (B) ALL CLAIMS TO PROPERTY MUST BE CERTIFIED AND FILED WITH THE SHERIFF BEFORE THE SALE, ALONG WITH THE PRESCRIBED FEE OF FIFTY-FIVE DOLLARS ($55.00) ALL CLAIMS TO THE PROCEEDS MUST BE FILED WITH THE SHERIFF BEFORE DISTRIBUTION. (c) THE SHERIFF'S SCHEDULE OF DISTRIBUTION WILL BE FILED IN HIS OFFICE ON THE 1sT DAY OF APRIL 2002 NOT LATER THAN FIVE (5) DAYS AFTER THE SALE, AND DISTRIBUTION WILL BE MADE IN ACCORDANCE WITH THE SCHEDULE UNLESS EXCEPTIONS ARE FILED WITHIN THE TEN (10) DAYS THEREAFTER. TOGETHER WITH ALL THE BALANCE OF THE DEFENDANT'S PERSONAL PROPERTY SEIZED AND TAKEN IN EXECUTION AS PROPERTY OF BETH A. CROUSE, AT, 523 MARKET STREET, NEW CUMBERLAND, CUMBERLAND COUNTY, PENNSYLVANIA. AND TO BE SOLD BY:, R. THOMAS KLINE, SHERIFF CUMBERLAND COUNTY SHERIFF'S OFFICE CARLISLE, PA 17013 CUMBERLAND COUNTY SHERIFF'S OFFICE CARLISLE, PA 17013 R. Thomas Kline, Sheriff, who being duly sworn according to law, says that due and legal notice having been given according to law, he sold the personal property of Beth A. Crouse, at 523 Market Street, New Cumberland, PA 17070, to Salvatore and Linda Cribari, of 523 Market Street, New Cumberland, PA 17070, for the sum of $ 1.00 it being the highest bid and price quoted for the same. Date and time of sale, Wednesday, March 27,2002 at 11:00 A.M.E.D.S.T. Sworn and Subscribed to before me this of -- / Notary Public ~<line, Sheriff NOTARIAL SEAL CLAUDIA Al ~:IEWBAKER, NOTARY piJBLiC Carlisle Boro, Cumberlan~l County MY Commission Expires April 4, 2005 Salvatore Cribari 1312 Well Drive Camp Hill, PA 17011 717-763-1855 Plaintiff In Pro Per IN THE MUNICIPAL COURT OF THE COMMONWE,M~TH OF PENNSYLVANIA IN AND FOR THE COUNTY OF CUMBERLAND Salvatore Cribari, Plaintiff, VS. Beth Crouse ) Defendant. CASE NO.: 01-06598 ACKNOWLEDGMENT OF ASSIGNMENT OF JUDGMENT COMES NOW Saivatore Cribari, Plaintiffin the within matter and hereby provides the following in support of an ASSIGNMENT OF JUDGMENT: 1) THAT Judgment was entered by this court on or about October 24, 2001. 2) THAT Plaintiff Saivatore Cribari was awarded against Defendant Beth Crouse the sum of $906.50. 3) THAT there have been no renewals since the entry of said!udgment by this court and that Plaintiff Saivatore Cfibari has received $0.00 of judgment from Defe,ndant Beth Crouse. 4) THAT Salvatore Cfibafi of 1312 Well Drive, Camp Hill, PA, 17011 is the judgment creditor of record. 5) THAT the last address of record for the judgment debtor is 523 Market Street, New Cumberland, PA, 17070. 6) THAT I hereby transfer, and assign all title rights, and interest in the within judgment to the following company: Mid-Atlantic Judgment Recovery PO Box 1415 Camp Hill, PA 17001 717-737-1316 7) THAT I hereby authorize Assignee, Mid-Atlantic Judgment Recovery Corporation, to recover, compromise, settle and enforce said judgment and I withdraw all righ~r and claim to same. Signed this _~- day of ~ ~¥C~C~--~ , 2003 at ~il~ ~ '- ~ -- - (City) (State) Sa~¢a~o~e-Cfibari - Judgment IJrecmo COMMONWEALTH OF PENNSYLVANIA co NT OF ( SWORN TO and subscribed before me this ~_ day of (~C~x~ ~ x, 2003 OTARY PUBLIC My Commission Expire: ~ l ~-~ )~-~- · COMMONWEALTH OF PENNSYLVANI~ (NOTARIAL SEAL) Mid-Atlantic Judgment Recovery PO Box 1415 Camp Hill, PA 17001 717-737-1316 Judgment Creditor In Pm Per 1N THE MUNICIPAL COURT OF THE COMMONWEALTH OF PENNSYLVANIA IN AND FOR THE COUNTY OF CUMBERLAND Salvatore Cribari, Plaintiff, VS. Beth Cmuse Defendant. CASE NO.: 01-06598 ACKNOWLEDGMENT OF ASSIGNMENT OF JUDGMENT COMES NOW Mid-Atlantic Judgment Recover CoEpomtion, a Pennsylvania corporation, Judgment Creditor in the within matter and hereby provides the following in support of an ASSIGNMENT OF JUDGMENT: 1) THAT Judgment was entered by this court on or about 10/24/2001. 2) THAT Plaintiff, Salvatore Cribari, was awarded against Defendant Beth Crouse the sum of $906.50. 3) THAT Plaintiff, Salvatore Ct/bad, assigned judgment to Mid-Atlantic Judgmem Recovery Corporation, a Pennsylvania corporation, was recorded by this Court that was awarded against Defendant Beth Crouse the sum of $906.50. 4) THAT there have been no renewals since the entry of said judgment by this court and that Judgment Creditor has received no funds or monies of judgment from Defendant Beth Crouse. 5) THAT Mid-Atlantic Judgment Recovery, PO Box 1415, (;amp Hill, PA 17001, 717-737- 1316 is the judgment creditor of record. 6) THAT the last address of record for the judgment debtor is 523 Market Street, New Cumberland, PA, 17070. 7) THAT I hereby transfer, and assign all title rights, and interest in the within judgment to the following: Salvatore Cribad 1312 Well Drive Camp Hill, PA 17011 8) THAT Mid-Atlantic Judgment Recovery Corporation hereby authorizes Assignee, to recover, compromise, settle and enforce said judgment and I withdraw all right and claim to same. Signed this ~ 7 day of , ~ . ,2004at (City)// (State) COMMONWEALTH OF PENNSYLVANIA SWORN TO and subscribed before me this day of ~L~. ---//lq'd~y lbUBLiC ,2004 My Commission Expire: (NOTARIAL SEAL)