HomeMy WebLinkAbout09-3610IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL, ACTION-LAW
Trudy Chorba, a/k/a Trudy Woodnng
Plaintiff Jury Trial Demanded
V.
Riesinger and Associates ?(J 3` 10 L
3100 Breckenridge Blvd Suite 722
Deluth GA 30095
Defendant
MOTION TO PROCEED IN FORMA PAUPERIS OR IN THE ALTERNATIVE TO
MAKE PAYMENTS ON THE FILING FEE
1. Counsel has received no funds from the Plaintiff in this matter.
2. Plaintiff is constantly harassed on a weekly basis by numerous creditors who violate
various state and federal consumer protection statutes.
3. Due to the shear volume of consumer suits that Plaintiff must bring to protect themself,
Plaintiff needs a waiver of the filing fee, or at least an order from the court allowing him
to make payments on the filing fee.
4. Without a waiver of the filing fee, or at least to make payments on the filing fee, Plaintiff
cannot afford to litigate this matter.
5. Plaintiff asks that the filing fee be waived, or that she be allowed to make payments on
the filing fee at a rate of approximately $25.00 per month.
Wherefore, plaintiff requests that this Court enter an ORDER waiving the filing fee or
allowing Plaintiff to make payments at a rate of approximately $25.00 per month.
Vicki Piontek, Esquire Date
Attorney for Plaintiff
BAR ID No 83559
951 Allentown Road
Lansdale, PA 19446
877-737-8617
palaw@justice.com
Fax: 866-408-6735
Tit ,r? r l t`sRY
2009 AIN -2 P; I
Ui.1.
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION-LAW
Trudy Chorba, aWa Trudy Woodring
Plaintiff
Jury Trial Demanded
V.
Riesinger and Associates 09-J&.10 Cto'.'L
3100 Breckinridge Blvd Suite 722
Deluth GA 30095
Defendant
PRECIPE TO PROCEED INFORMA PAUPERIS
OR IN THE ALTERNATIVE TO MAKE PAYMENTS ON THE FILING GEE
To: The Prothonotary:
Kindly waive the filing fee in the above captioned matter. No funds have been paid by
the Plaintiff to counsel in the above captioned matter. Fees shall be charged to the
Defendant after the litigation is completed due to the fee shifting provisions of 73 PS 201.
et. seq.
4
6 2 2oa9
Vicki Piontek, Esquire Date
Attorney for Plaintiff
BAR ID No 83559
951 Allentown Road
Lansdale, PA 19446
877-737-8617
palaw@justice.com
Fax: 866-408-6735
F! LEj,
l' - THE 7rr,?Y
2 9 AN -2 Pill ? ? i
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION-LAW
Trudy Chorba, a/k/a Trudy Woodring
Plaintiff Jury Trial Demanded
V. N.
Riesinger and Associates
3100 Breckinridge Blvd Suite 722
Deluth GA 30095
Defendant
PRECIPE TO ISSUE WRIT OF SUMMONS
To: The Prothonotary:
Kindly issue a writ of summons against the above captioned Defendants. Thank you.
?--?.
Vicki Piontek, Esquire
Attorney for Plaintiff
BAR ID no. 83559
951 Allentown Road
Lansdale, PA 19446
877-737-8617
palaw@justice.com
Fax: 866-408-6735
C-
Date
FILE
TE'.t_ ,A; ; y
1J
,J HI 2 FI 5
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION-LAW
Trudy Chorba, a/k/a Trudy Woodring
Plaintiff
V.
Riesinger and Associates
3100 Breckinridge Blvd Suite 722
Deluth GA 30095
Defendant
WRIT OF SUMMONS
TO: Riesinger and Associates
3100 Breckinridge Blvd Suite 722
Deluth GA 30095
Jury Trial Demanded
You are notified that Trudy Chorba, a/k/a Trudy Woodring has commenced an action
against you.
SEAL OF
THE
COURT
Prothonotary
Date
By
TRUDY CHORBA, a/k/a IN THE COURT OF COMMON PLEAS OF
TRUDY WOODRING CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
V. : CIVIL ACTION - LAW
RIESINGER AND
ASSOCIATES
Defendant
: NO. 09-3610 CIVIL TERM
IN RE: PLAINTIFF'S MOTION TO PROCEED IN FORMA PAUPERIS OR IN
THE ALTERNATIVE TO MAKE PAYMENTS ON THE FILING FEE
ORDER OF COURT
AND NOW, this 4t' day of June, 2009, upon consideration of Plaintiff's Motion to
Proceed in Forma Pauperis or in the Alternative To Make Payments on the Filing Fee,
filed June 2, 2009, and the Motion not being in conformity with the requirements of
Pennsylvania Rule of Civil Procedure 240, the Motion is DENIED, without prejudice to
Plaintiffs right to file a petition and affidavit in conformity with the Pennsylvania Rules
of Civil Procedure.
/cki Piontek, Esquire
951 Allentown Road
Lansdale, PA 19446
Attorney for Plaintiff
,,'<esinger and Associates
3100 Breckinridge Blvd. Suite 722
Deluth, GA 30095
Defendant
(ac)t es en'611Lamc
BY THE COURT,
FILED-C,i !CE
OF THE Pr OTHONMAPY
2009 JUN -9 AM 11: 39
PENNSYLVANIA