HomeMy WebLinkAbout09-5959
ASSET ACCEPTANCE LLC
c/o Edwin A. Abrahamsen & Assoc.
120 North Keyser Ave.
Scranton, PA 18504
vs.
PATRICK A BASOM
103 N 21 ST ST
CAMP HILL PA 17011
Plaintiff
Defendant
In the Court of Common Pleas of
CUMBERLAND County, Pennsylvania
Civil Division
NO: CQ- 5q53 04'Jit -F
Plr*l
PRAECIPE FOR ENTRY OF JUDGMENT
To the Prothonotary of CUMBERLAND County:
1) Enter Judgment on the attached Certified copy of Judgment from a District Justice.
A) Date of Instrument: MAY 18 2009
B) Amount of Judgment: $ 2627.35
C) Interest From: MAY 18 2009
2) Enter the judgment in favor or the original holder, or (unless expressly forbidden in
the instrument) in favor of the assignee or other transferee;
3) I hereby certify that the address of the plaintiff is:
ASSET ACCEPTANCE LLC
c/o Edwin A. Abrahamsen & Assoc.
120 North Keyser Ave.
Scranton, PA 18504
4) I hereby certify that the address of the defendant is:
PATRICK A BASOM
103 N 21ST ST
CAMP HILL PA 17011
Michael F. Ratchford, Esquire
Edwin A. Abrahamsen & Associates, P.C.
120 N. Keyser Ave
Scranton, PA 18504
570-558-5510 Ext. 101
Attorney ID 86285
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: CUMBERLAND
Mag. Dist. No.:
09-1-02
MDJ Name: Hon.
ROGER A. ESTEP (Sit NDJ)
Address: 1901 STATE ST
CA" HILL, PA
Telephone: (7 17 761-0583 17011
NOTICE OF JUDGMENT/TRANSCRIPT
CIVIL CASE
PLAINTIFF: NAME and ADDRESS
I'ASSET ACCEPTANCE LLC/VALUE CITY FEW
1729 PITTSTON AVE
SCRANTON, PA 18505
L J
VS.
DEFENDANT: NAME and ADDRESS
r8ASON, PATRICK A ?
103 N 21ST ST
CAMP HILL, PA 17011
ASSET ACCEPTANCE LLC/VALUE CITY FRN L J
1729 PITTSTON AVE Docket No.: CV-0000129-09
SCRANTON, PA 18505 Date Filed: 4/08/09
THIS IS TO NOTIFY YOU THAT:
Judgment: DEFAULT JUDGKE IT PLTF N (Date of Ju?dgq .._... 5/19/09
® Judgment was entered for: (Name) ASSET ACCEPTANCE LLC/VALUE CIT
® Judgment was entered against: (Name) BASOK, PATRICK A
in the amount of $ 3, 946.9
Defendants are jointly and severally liable.
Damages will be assessed on Date & Time
This case dismissed without prejudice.
? Amount of Judgment Subject to Attachment/42 Pa.C.S. § 8127
Portion of Judgment for physical damages arising out of
residential lease $
Amount of Judgment
Judgment Costs
interest on Judgment
Attorney Fees
Total
$ 3,850.43
$ 96.5
$ .00
$ .00
$ 3,946.931.
Post Judgment Credits $
Post Judgment Costs $
Certified Judgment Total $
ANY PARTY HAS THE RIGHT TO APPEAL WITHIN 30 DAYS AFTER THE ENTRY OF JUDGMENT BY FILING A NOTICE
OF APPEAL WITH THE PROTHONOTARY/CLERK OF THE COURT OF COMMON PLEAS, CIVIL DIVISION. YOU
MUST INCLUDE A COPY OF THIS NOTICE OF JUDGMENT/TRANSCRIPT FORM WITH YOUR NOTICE OF APPEAL.
EXCEPT AS OTHERWISE PROVIDED IN THE RULES OF CIVIL PROCEDURE FOR MAGISTERIAL DISTRICT JUDGES, IF THE
JUDGMENT HOLDER ELECTS TO ENTER THE JUDGMENT IN THE COURT OF COMMON PLEAS, ALL FURTHER PROCESS MUST
COME FROM'THE COURT OF ci71GIMON PLEAS AND 'NO FARTHER PROCESS MAY BE ISSUED BY THE MAGISTERIAL DISTRICT JUDGE.
UNLESS THE JUDGMENT IS ENTERED IN THE COURT OF COMMON PLEAS, ANYONE INTERESTED IN THE JUDGMENT MAY FILE
A REQUEST FOR ENTRY OF SATISFACTION WITH THE MAGISTERIAL DISTRICT JUDGE IF THE JUDGMENT DEBTOR PAYS IN FULL,
SETTLES, OR OTHERWISE COMPLIES WITH THE JUDGMENT.
Date .Magisterial District Judge
certify that this is a true and r ct CO y of t Or the proceedings containing the judgment.
A 119 Date Magisterial District Judge 'tor My commission expires first Monday of January, 2012 SEAL
AOPC 315-07 j -
11f?.
DATE PRINTED: 5/19/09 9:25:00 AN
ASSET ACCEPTANCE LLC
c/o Edwin A. Abrahamsen & Assoc.
120 North Keyser Ave.
Scranton, PA 18504
Plaintiff :
VS.
PATRICK A BASOM
103 N 21 ST ST
CAMP HILL PA 17011
Defendant
State of Pennsylvania
County of CUMBERLAND SS:
In the Court of Common Pleas of
CUMBERLAND County, Pennsylvania
Civil Division
NO:
AFFIDAVIT UNDER SOLDIERS AND SAILORS
RELIEF CIVIL RELIEF ACT OF 1940 AS
AMENDED
Michael F. Ratchford, Esquire being duly sworn according to law deposes and says that the
above named defendant(s): PATRICK A BASOM is(are) not in the military service of the United
States of America as defined by the Soldiers' and Sailors' Civil Relief Act of 1940 as amended;
That the defendant(s): PATRICK A BASOM is(are) older than eighteen years of age;
That the employment status of the defendant(s): PATRICK A BASOM is(are) unknown.
NOTARIAL SEAL
ANDREA SCRIVENER
Notary Public
ACKAWANNA Mar l8, 20113
golly Commiasioo Expires
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ASSET ACCEPTANCE LLC
vs.
PATRICK A BASOM
103 N 21 ST ST
CAMP HILL PA 17011
Plaintiff
Defendant
In the Court of Common Pleas of
CUMBERLAND County, Pennsylvania
Civil Division
NO:
NOTICE OF FILING JUDGMENT
Notice is herby given that a money judgment in the above-captioned matter has been entered
against you in the amount of $ a (oall, 35 on 8131104
By: K
01CB
If you have any questions regarding this notice, please contact the filing party:
Edwin A. Abrahamsen & Associates
120 N. Keyser Avenue
Scranton, PA 18504
Telephone: (570)-558-5510
(Notice is given in accordance with PA Supreme Court Rule of Civil Procedure No. 236)
PRAECIPE FOR WRIT OF EXECUTION - (MONEY JUDGMENT) RULES PA. R.C.P. 3252,3111 (a)
ASSET ACCEPTANCE LLC
P.O. Box 2036 In the Court of Common Pleas of
Warren MI 48090-2036 CUMBERLAND County, Pennsylvania ,-..,
Plaintiff Civil Division -`=-'
VS.
C
n t?fi3 b7'
.
PATRICK A BASOM NO: 09-5959` `'
103 N 21ST ST °--
i-
CAMP HILL PA 17011
Defendant ; ' ..
PRAECIPE FOR WRIT OF EXECUTION-AN DI :? -
VS. ATTACHMENT '"'
METRO BANK
3201 TRINDLE RD
CAMP HILL, PA 17011 (MONEY JUDGMENT)
Garnishee
To the Prothonotary: TO SATISFY THE JUDGMENT, ISSUE WRIT OF EXECUTION IN THE ABOVE MATTER
(I) Directed to the Sheriff of CUMBERLAND County, Pennsylvania;
(2) Against: PATRICK A BASOM
(3) And against: METRO BANK 3201 TRINDLE RD CAMP HILL, PA 17011
(4) and index this writ (a) against
0
Defendant(s) (b) against METRO BANK 3201 TRINDLE RD CAMP HILL, PA 17011 +aQ.00 PD Any
Garnishee(s), a9 a5 CSF
as a lis pendens against the real property of the defendant(s) in the name of the Garnishee(s), any and all accounts of the 1,50 u
defendant(s), in the possession of Garnishee, including but not limited to savings account balances; checking account - MTY
balances; Certificates of Deposit; Money Market Accounts; contents of Safety Deposit Boxes. Defendant's SSN(s):Ts-s-, ?? ` PD
393-90-5492;
(5) Judgment Amount $2.627.35
Interest $247.19
Payments $150.00
Clerks Fee $
Sheriff $
Poundage $
Total $
*a.a5 bio-O
• 501.L
Date: January 23, 2012
Michael F. Ratchford, Esquire
Edwin A. Abrahamsen & Associates, P.
Attorney for Plaintiff /
mratchford@eaa-law.com
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ASSET ACCEPTANCE LLC
P.O. Box 2036 In the Court of Common Pleas of
Warren MI 48090-2036 CUMBERLAND County, Pennsylvania
Plaintiff Civil Division
vs.
PATRICK A BASOM NO: 09-5959
103 N 21ST ST
CAMP HILL PA 17011
Defendant .. -'
vs.
AFFIDAVIT UNDER SOLDIERS AND SAILORS
METRO BANK RELIEF CIVIL RELIEF ACT OF 1940 AS
3201 TRINDLE RD AMENDED
CAMP HILL, PA 17011
Garnishee
State of Pennsylvania
County of CUMBERLAND SS:
Michael F. Ratchford, Esquire being duly sworn according to law deposes and says that the above
named defendant(s): PATRICK A BASOM; is(are) not in the military service of the United States of
America as defined by the Soldiers' and Sailors' Civil Relief Act of 1940 as amended;
That the defendant(s): PATRICK A BASOM; is(are) older than eighteen years of age;
pNWEpllli OF PENNSYLVANIA
COMM_ . t4ogrtal seal
pyanne E; Rupp, a? Aunty
City dn?n' July 20, 2015
MN ?jpnpt1155b? npN pf NOTES
MEMBER. PENN5 v? AAA
Request for Military Status
Department of Defense Manpower Data Center
Military Status Report
Pursuant to the Service Members Civil Relief Act
Page 1 of 2
Feb-08-2012 07:53:41
< Last First/Middle Begin Date Active Duty Status Active Duty End Date Service
A
Name gency
PATRICK Based on the information you have furnished, the DMDC does not possess
BASOM A an information indicating the individual status.
Upon searching the information data banks of the Department of Defense Manpower Data Center, based
on the information that you provided, the above is the current status of the individual as to all branches
of the Uniformed Services (Army, Navy, Marine Corps, Air Force, NOAA, Public Health, and Coast
Guard).
Irl.
Mary M. Snavely-Dixon, Director
Department of Defense - Manpower Data Center
1600 Wilson Blvd., Suite 400
Arlington, VA 22209-2593
The Defense Manpower Data Center (DMDC) is an organization of the Department of Defense that
maintains the Defense Enrollment and Eligibility Reporting System (DEERS) database which is the
official source of data on eligibility for military medical care and other eligibility systems.
The DoD strongly supports the enforcement of the Service Members Civil Relief Act (50 USC App. §§
501 et seq, as amended) (SCRA) (formerly known as the Soldiers' and Sailors' Civil Relief Act of 1940).
DMDC has issued hundreds of thousands of "does not possess any information indicating that the
individual is currently on active duty" responses, and has experienced a small error rate. In the event the
individual referenced above, or any family member, friend, or representative asserts in any manner that
the individual is on active duty, or is otherwise entitled to the protections of the SCRA, you are strongly
encouraged to obtain further verification of the person's status by contacting that person's Service via the
"defenselink.mil" URL http://www.defenselink.mil/fag-/pis/PC09SLDR.htmi. If you have evidence the
person is on active duty and you fail to obtain this additional Service verification, punitive provisions of
the SCRA may be invoked against you. See 50 USC App. §521(c).
If you obtain additional information about the person (e.g., an SSN, improved accuracy of DOB, a
middle name), you can submit your request again at this Web site and we will provide a new certificate
for that query.
This response reflects active duty status including date the individual was last on active duty, if it was
within the preceding 367 days. For historical information, please contact the Service SCRA points-of-
contact.
https://www.dmdc.osd.mil/appj/scra/popreport.do 2/8/2012
Request for Military Status
Page 2 of 2
More information on "Active Duty Status"
Active duty status as reported in this certificate is defined in accordance with 10 USC § 101(d)(1) for a
period of more than 30 consecutive days. In the case of a member of the National Guard, includes
service under a call to active service authorized by the President or the Secretary of Defense for a period
of more than 30 consecutive days under 32 USC § 502(f) for purposes of responding to a national
emergency declared by the President and supported by Federal funds. All Active Guard Reserve (AGR)
members must be assigned against an authorized mobilization position in the unit they support. This
includes Navy TARs, Marine Corps ARs and Coast Guard RPAs. Active Duty status also applies to a
Uniformed Service member who is an active duty commissioned officer of the U.S. Public Health
Service or the National Oceanic and Atmospheric Administration (NOAA Commissioned Corps) for a
period of more than 30 consecutive days.
Coverage Under the SCRA is Broader in Some Cases
Coverage under the SCRA is broader in some cases and includes some categories of persons on active
duty for purposes of the SCRA who would not be reported as on Active Duty under this certificate.
Many times orders are amended to extend the period of active duty, which would extend SCRA
protections. Persons seeking to rely on this website certification should check to make sure the orders on
which SCRA protections are based have not been amended to extend the inclusive dates of service.
Furthermore, some protections of the SCRA may extend to persons who have received orders to report
for active duty or to be inducted, but who have not actually begun active duty or actually reported for
induction. The Last Date on Active Duty entry is important because a number of protections of SCRA
extend beyond the last dates of active duty.
Those who would rely on this certificate are urged to seek qualified legal counsel to ensure that all rights
guaranteed to Service members under the SCRA are protected.
WARNING: This certificate was provided based on a name and SSN provided by the requester.
Providing an erroneous name or SSN will cause an erroneous certificate to be provided.
Report ID:UFH53J8R6S
https://www.dmdc.osd.mil/appj/scra/popreport.do 2/8/2012
ASSET ACCEPTANCE LLC
P.O. Box 2036 In the Court of Common Pleas of
Warren MI 48090-2036 CUMBERLAND County, Pennsylvania
Plaintiff Civil Division
vs.
PATRICK A BASOM NO: 09-5959
103 N 21 ST ST
CAMP HILL PA 17011 c
Defendant ? ~:'
N
vs.
METRO BANK =' -e x
3201 TRINDLE RD 5- t
CAMP HILL, PA 17011
Garnishee
Praecipe for Entry of Appearance
Kindly enter my appearance on behalf of ASSET ACCEPTANCE LLC in the above-captioned
matter.
Date: January 23, 2012
120 North Keyser Avenue
Telephone No: 5570) 5
Supreme Court ID No:
WRIT OF EXECUTION and/or ATTACHMENT
COMMONWEALTH OF PENNSYLVANIA)
COUNTY OF CUMBERLAND)
NO 09-5959 Civil
CIVIL ACTION -- LAW
TO THE SHERIFF OF CUMBERLAND COUNTY:
To satisfy the debt, interest and costs due ASSET ACCEPTANCE, LLC, Plaintiff (s)
From PATRICK A. BASOM, 103 N. 21"' Street, Camp Hill, PA 17011
(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:
METRO BANK, 3201 Trindle Rd, Camp Hill, PA 17011
Any and all accounts of the deft in the possession of Garnishee, including but not limited to savings
account balances; checking account balances; Certificates of Deposit; Money Market Accounts;
contents of Safety Deposit Boxes. Deft's SSN: 393-90-5492
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 $2,477.35 L.L. $.50
Interest -- $247.19
Atty's Comm % Due Prothy $2.25
Atty Paid $58.75 Other Costs
Plaintiff Paid
Date: 219!12
David D. Buell, Prothonotary
(Seal)
Deputy
REQUESTING PARTY:
Name MICHAEL F. RATCHFORD, ESQUIRE
Address: EDWIN A. ABRAHAMSON & ASSOC IATES, PC
120 NORTH KEYSER AVENUE
SCRANTON, PA 18504
Attorney for: PLAINTIFF
Telephone: 570-558-5510 Ext. 101
Supreme Court ID No. 86285
SHERIFF'S OFFICE OF CUMBERLAND COUNTY
Ronny R Anderson
Sheriff
Jody S Smith
Chief Deputy
2012 FEB 13 PM 2: 28
Richard W Stewart
Solicitor
Asset Acceptance LLC
vs.
Patrick A. Basom
OFF P "'t - --!;RIFF
CUMBERLAND COUNTY
PENNSYLVANIA
Case Number
2009-5959
SHERIFF'S RETURN OF SERVICE
02/10/2012 03:52 PM - William Cline, Deputy Sheriff, who being duly sworn according to law, states that on February
10, 2012 at 1553 hours, attached as herein commanded all goods, chattels, rights, debts, credits, and
monies of the within named defendant, to wit: Patrick A. Basom, in the hands, possession, or control of the
within named garnishee, Metro Bank, 3201 Trindle Road, Camp Hill, Cumberland County, Pennsylvania,
17011 by handing to Angelique Waters, Customer Service Representative, personally three copies of
interrogatories together with 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 February 13, 2012 to Patrick A. Basom, 103 N
21 st Street, Camp Hill, PA 17011.
SO ANSWERS,
February 13, 2012 RON R ANDERSON, SHERIFF
it iam T. Cline, Deputy
,ci CeuntySotc She, :tt. T'e'eosott. Inc.
ASSET ACCEPTANCE LLC
P.O. Box 2036
Warren MI 48090-2036
Plaintiff
vs.
PATRICK A 13ASOM
103 N 21ST ST
CAMP HILL PA 17011
Defendant
vs.
METRO BANK
3201 TRINDLE RD
CAMP HILL, PA 17011
Garnishee .
In the Court of Common Pleas of "
CUMBERLAND County, Pennsylvania C °
Civil Division 'Nr1 -?+
J C:)
NO: 09-5959 ?c ..? -TI
?Sp
Av
sU c T' qry-.
.
INTERROGATORIES IN ATTACHMENT-< ?
RE: Execution of Judgment against your depositor PATRICK A BASOM SSN # 393-90-5492
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:
1) At the time you were served or at any subseqent time, did the Defendant possess
any bank accounts, joint or individual, that were in your custody or control?
Please specify joint or individual account. Please list the legal title of any such
account(s) an dthe primary account holder and if known whether joint account is
entireties property.
Defandant does not have accounts with Metro Bank
2) At the time you were served or at any subsequent time, what was the balance and
account number of the bank accounts(s) identified in Interrogatory # 1 ?
3) At the time you were served or at any subsequent time, please list the average
daily balance in the past five (5) months for each such account identified in your
answer to Interrogatories number one (1) and two (2) above.
4) At the time you were served or at any subsequent time, did the bank account(s)
that the Defendant possessed contain fund derived solely from social security
funds and/or disability funds?
5) At any time before or after you were served, did the Defendant(s) transfer or
deliver any property or money to you or to any person or place pursuant to your
direction or consent, and if so, what was the consideration therefore?
6) At any time after you were served, did you pay, transfer or deliver any money or
property to the Defendant(s) or to any person or place pursuant to the Depositor's
direction or otherwise discharge any claim of the Depositor against you?
7) At the time you were served or any subsequent time, did you have, share, or
utilize any safe-deposit boxes, pledges, documents of title, securities, notes,
coupons, receivable, license, or collateral in which there was an interest claimed
by Defendant(s)?
8) At the time you were served or at any subsequent time did the Defendant(s)account
contain funds deposited electronically on a recurring basis and which are identified
as being exempt from execution, levy or attachment. If so, state the reason for the
exemption, the amount being withheld and the entity electronically depositing
those funds on a recurring basis.
9) 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. Section 8123? If so, identify each account.
10) Identify every other account (not previously noted) titled in the name of the
Defendant(s) in which you believe the Defendant(s) have an interest in whole of
part, whether or not styled as a payroll account, individual retirement account, tax
account, lottery account, partnership account, joint or tenants by entirety account,
insurance account, trust or escrow account, attorney's account, or otherwise.
To the extent that you're above answers depend in whole or part on documents,
account records, or other papers or electronic data, describe each in exact detail
(or attach a copy of the same).
Edwin A, Abrahams & 4[ssociWs, P.C.
Michael F. Ratchford, Esquire
120 North Keyser Avenue
Scranton, PA 18504
(570) 558-5510
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
belief.
(SIGN URE)
ASSET ACCEPTANCE LLC
PROTHONOTARl
In the Court of Com„P? PM 2: 43
Plaintiff CUMBERLAND Co `, ennsy vama
: Civil Division CUMBERLAND COUNTY
vs. PENNSYLVANIA
PATRICK A BASOM
103 N 21 ST ST NO: 09-5959
CAMP HILL PA 17011
Defendant
: Praecipe to Dissolve the Attachment against
vs. Garnishee
METRO BANK
3201 TRINDLE RD
CAMP HV,'L, A 17011
Garnishee
To the Prothonotary of CUMBERLAND County Pennsylvania:
Please enter the above Praecipe to Dissolve the Attachment against Garnishee.
Thank you,
,Glichael F. Ratchford, Esquire
Edwin A. Abrahamsen & Assoc ates, P.C.
Lawyer ID # 86285
Sworn and subscribed before me on this day of C 20 a
P t ic
hda' Trial seal _
rs`J'r'tt E. R4.1pp, Notary publie
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