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HomeMy WebLinkAbout04-2445Thomas J. Weber, Esquire Attomey I.D. No. 58853 GOLDBERG KATZMAN, RC. 320 Market Street P. O. Box 1268 Harrisburg, PA 17108-1268 (717) 234-4161; (717) 234A161 (facsimile) Coumel for Plainfi$ JASON MCBRIDE IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA V. No. SHAWN STONE CIVIL ACTION - LAW Defendant NOTICE 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. Lawyer Referral Service Cumberland County Bar Association 2 Liberty Avenue Carlisle, PA 17013 717-249-3166 Thomas I. Weber, Esquire Attorney I.D. No. 58853 GOLDBERG KATZ.MAN, P.C. 320 Market Street R O. Box 1268 rlarrisbur&PA 17108-1268 (717) 234-0161; (717) 2344161 (facsimile) Couwelfor Plaintiff JASON MCBRIDE Plaintiff V. SHAWN STONE Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA No. CIVIL ACTION - LAW NOTICIA Le han demandado a usted en la corte. Si usted quiere defenderse de estas demandas expuestas en las paginas siguientes, usted tiene viente (20) dias de plazo al partir de la fecha de la demanda y la notificacion. Usted debe presentar una apariencia escrita o en persona o por abogado y archivar en la corte en forma escrita sus defensas o sus objectiones a las demandas en contra de su persona. Sea adisado que si usted no se defiende, la sin previo aviso o notificacion y por cualquier quja o puede perder dinero o sus propiedades o otros derechos importantes para usted. LLEVE ESTA DEMANDA A UN ABOGADO IMMEDIATAMENTE. SI NO TIENE ABOGADO 0 SI NO TIENE EL DINERO SUFICIENTE DE PAGAR TAL SERVICIO, VAYA EN PERSONA O LLAME POR TELEFONO A LA OFICINA CUYA DIRECCION SE ENCUENTRA ESCRITA ABAJO PARA AVERIGUAR DONDE SE PUEDE CONSEGUIR ASISTENCIA LEGAL. Lawyer Referral Service Cumberland County Bar Association 2 Liberty Avenue Carlisle, PA 17013 717-249-3166 'niomas S. Weber, Esquire Attorney I.D. No. 58853 GOLDBERG KATZMAN,PC. 320 Market Stmet P. O. Box 1268 Harrisburg, PA 17108-1268 (717) 234-0161; (717) 2344161 (facsimile) Cwnmlfor Plaintiff JASON MCBRIDE Plaintiff V. SHAWN STONE Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA No. OL/•- oZq?') CIVIL ACTION - LAW COMPLAINT Plaintiff, Jason McBride, through his attorneys, Goldberg Katzman P.C., files the within Complaint and in support thereof states the following: Jason McBride is an adult individual residing at 2608 Yale Ave, Camp Hill, Cumberland County, Pennsylvania. Defendant is Shawn Stone, an adult individual residing at 1460 Lutztown Road, Boiling Springs, Cumberland County, Pennsylvania. Plaintiff Jason McBride is the owner of a 2002 Honda Motorcycle, Model No. RVT100R with a Vehicle Identification No. JH2SC45392M201263. On or about Sunday, February 22, 2004, Defendant Shawn Stone borrowed the aforementioned motorcycle owned by Jason McBride. A short period of time after borrowing the aforementioned motorcycle, Defendant Shawn Stone, due to his negligent and careless operation of the motorcycle was involved in a one vehicle accident which resulted in extensive damage to the motorcycle rendering it a total loss. As a direct and proximate result of Defendant Shawn Stone's negligent and careless operation of the motorcycle owned by Plaintiff Jason McBride, Plaintiff suffered damages in the nature of the loss of his personal property. Despite numerous requests for payment for the loss occasioned to the motorcycle, Defendant has refused to properly compensate Plaintiff for his loss. WHEREFORE, Plaintiff respectfully requests that the Court enter Judgment in his favor and against the Defendant in an amount that does not exceed the compulsory arbitration levels in Cumberland County, along with interest and all other relief the court deems just. Respectfully submitted, GOLDBERG KATZMAN, P.C. Date: J5- Oa' 13 V Thomas Weber, squire Attorney I.D. No. 58853 320 Market Street P. O. Box 1268 Harrisburg, PA 17108-1268 Telephone: (717) 234-4161 Attorneys for Plaintiff ::ODMA\PCDOCS\DOCS\ 109513.1\ 05/25/2004 10:19 FAX 717 234 8808 GOLDBERG KATZMAN & SHIPM + RICK Mc BRIDE PER 1j008/008. VERMCATION 1, Jason McBride, hereby acknowledge that i am the Plaintiff in this action, that I have read the foregoing document, and that the facts stated therein are true and correct to the best of my knowledge, information, and belief. I understand that any false statements herein are made subject to penalties of IS Pa. C. S. Section 4904 relating to unworn falsification to authorities. Date:? as on McBride r'`-v ,,, ? ? ? ? -'; `? ?, ? . , „?.. ?? n.? ??N/\' ?J I C ) -? ? Lr L? r <'' SHERIFF'S RETURN - REGULAR CASE NO: 2004-02445 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND MCBRIDE JASON VS STONE SHAWN JODY SMITH , Sheriff or Deputy Sheriff of Cumberland County,Pennsylvania, who being duly sworn according to law, says, the within COMPLAINT & NOTICE was served upon STONE SHAWN the DEFENDANT at 1225:00 HOURS, on the _7th day of June , 2004 at CUMBERLAND CO SHERIFF'S OFFICE ONE COURTHOUSE SQUARE CARLISLE, PA 17013 by handing to SHAWN STONE 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: Docketing 18.00 Service .00 Affidavit .00 Surcharge 10.00 .00 28.00 Sworn and Subscribed to before me this /p q? day of J-&o y A.D. P othonotary So Answers: R. Thomas Kline 06/07/2004 GOLDBERG KATZMAN SHIPMAN By: )a De ty Sheri f JASON MCBRIDE IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA V. No. 04-2445 Civil SHAWN STONE CIVIL ACTION - LAW Defendant NOTICE 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 Answer, New Matter and Counterclaim 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 Answer, New Matter and Counterclaim or for any other claim or relief requested by the Defendant. 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. Lawyer Referral Service Cumberland County Bar Association 2 Liberty Avenue Carlisle, PA 17013 717-249-3166 JASON MCBRIDE IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND (AUNTY, PENNSYLVANIA V. No. 04-2445 Civil SHAWN STONE CIVIL ACTION - LAW Defendant NOTIFICACION Le han demandado a usted en la corte. Si usted quiere defenderse de estas demandas expuestas en las paginas siguientes, usted tiene viente (20) dias de plazo al partir de la fecha de la demanda y la notificacion. Usted debe presentar una apariencia escrita o en persona o por abogoda y archivar en la corte en forma escrita sus defensas o sus objectiones a las demandas en contra de su persona. Sea adisado que si usted no se defiende, la sin previo aviso o notificacion y por cualquier quja o puede dinero o sus propiedades o otros derechos importantes para usted. LLEVE ESTA DEMANA A UN ABOGADO IMMEDIATAMENTE. SI NO TIENE ABOGADO 0 SI NO TIENE EL DINERO SUFICIENTE DE PAGAR TAL SERVICIO, VAYA EN PERSONA 0 LLAME POR TELEFONO A LA OFICINA CUY A DIRECCION SE ENCUENTRA ESCRITAABAJO PARAAVERIGUAR IDONDE SE PUDE CONSEGUIR ASISTENCIA LEGAL. Lawyer Referral Service Cumberland County Bar Association 2 Liberty Avenue Carlisle, PA 17013 717-249-3166 JASON MCBRIDE IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA V. No. 04-2415 Civil SHAWN STONE CIVIL ACTION - LAW Defendant ANSWER. NEW MATTER AND COUNTERCLAIM AND NOW, Defendant, Shawn Stone, (hereinafter Defendant), by and through his attorneys, Charles O. Barto, Jr., and Associates, files this Answer, New Matter, and Counterclaim and in support thereof avers the following: Denied. Defendant is without sufficient knowledge or information to form a belief as to the truth of the averments of this paragraph, thherefore, it is denied. 2. Admitted. 3. Denied. Defendant is without sufficient knowledge or information to form a belief as to the truth of the averments of this paragraph, therefore, it is denied. Strict proof at trial is demanded. 4. Admitted in part; denied in part. It is admitted that Defendant on or about Sunday, February 22, 2004 borrowed the aforementioned motorcycle and after riding said motorcycle for a short period of time was involved in a one-vehicle accident. It is denied that the accident was a result of Defendant's negligent and careless operation of the motorcycle in that at all times Defendant operated the motorcycle at a safe speed, under proper control and abided by all rules of the road. NEW MATTER 5. Defendant incorporates by reference paragraphs 1 through 4 of this answer as if set forth here in full. 6. Plaintiffs complaint fails to join an indispensable party by not including as defendant the repair shop and or individual repair person from which said motorcycle had been retrieved earlier in the day of February 22, 2004 after being left there as a direct consequence of an accident sustained by Plaintiff while riding said motorcycle that had resulted in the front end of the motorcycle severely damaged. WHEREFORE, Defendant demands that judgment be entered in his favor and against Plaintiff together with reasonable costs. COUNTERCLAIM 7. Defendant incorporates by reference paragraphs 1 through 6 of this answer as if set forth here in full. 8. On or about Sunday, February 22, 2004 Defendant, Shawn Stone, borrowed the motorcycle in possession of Jason McBride. Defendant proceeded to ride said motorcycle east on Rt. 174 and without warning the front wheel of said motorcycle began to wobble resulting in Defendant losing control of the motorcycle whereby the motorcycle went off the road, tossed Defendant off and came to rest in a snow embankment. At all times Defendant was in control of the motorcycle and was driving within the speed limit. 2 9. As a result of the defective condition of the motorcycle that resulted in the accident as set forth under paragraph 6, Defendant sustained lacerations of the ankle, bruises of the groin and wrist and abrasion of the ankle necessitating medical emergency treatment. 10. Defendant further was unable to work for a week due to the injuries and as a direct consequence of his inability to return to work he was terminated from his employment. 11. As a direct consequence of the accident Plaintiff is liable to Defendant for the following damages: Medical expenses $1015.45 Loss income..... 800.00 Total $1815.45 WHEREFORE, Defendant demands that judgment be entered in his favor and against plaintiff on defendant's counterclaim in the amount of $1815.45, amount that does not exceed the compulsory arbitration levels in Cumberland County, along with interest and all other relief the court deems just. Respectfully Submitted, ? L,? 7-Dates Maria M. Chesterton, Esq. Attorney for Defendant Attorney ID:54991 Charles O. Barto, Jr. & Associates 608 North "third Street Harrisburg, PA 17101 Phone: 717-236-6257 3 VERIFICATION 1 verify that the statements in the foregoing document are true and correct to the best of my knowledge and belief. I understand that any false statements herein are made subject to Penalties of 18 Pa. C.S. § 4904, relating to unsworn falsification to authorities. Date: ! - ... Shawn Stone JASON MCBRIDE IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA V. No. 04-2445 Civil SHAWN STONE CIVIL ACTION - LAW Defendant CERTIFICATE OF SERVICE I hereby certify that I have this 27th day of July, 2004, served, in the manner set forth below, a true and correct copy of the attached Defendants, Answer, New Matter and Counterclaim to the following: U.S. REGULAR FIRST CLASS MAIL POSTAGE PREPAID: Thomas J. Weber, Esquire GOLDBERG KATZMAN, P.C. 320 Market Street P.O. Box 1268 Harrisburg, PA 17108-1268 CHARLES 0.BARTO,JR. AND ASSOCIATES 11-5 Maria M. Chesterton, Esquire Attorney ID# 54911 Charles 0. Barto, Jr. and Associates 608 North Third Street Harrisburg, PA 17101 (717) 236-6257 Counsel for Defendant GOLDBERG KATZMAN, P.C. Thomas J. Weber, Esq. I.D. No. 320 Market Street Strawberry Square P.O. Box 1268 Harrisburg,PA 17108-1268 17171 2344 16 1 Attorneys for Plaintiff JASON MCBRIDE, IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA No. 04-2445 Civil SHAWN STONE, Defendant CIVIL ACTION - LAW NOTICE TO PLEAT) TO: Shawn Stone, Defendant c/o Maria M. Chesterton, Esq. Charles O. Barto, Jr. & Assoc. 608 North Third Street Harrisburg, PA 17101 You are hereby notified to plead to Plaintiff's New Matter to Defendant's Counterclaim within twenty (20) days from service hereof. GOBII D?RG, ?KATZMJ & SHIPMAN I A t n n\\ Thoas J. Weber Attorney I.D. 958853 Goldberg, Katzman & Shipman 320 Market Street P.O. Box 1268 Harrisburg, PA 17108-1268 (717) 234-4161 (717) 234-6808 (facsimile) Date: 6, t f) 0 4- GOLDBERG KATZMAN, P.C. Thomas J. Weber, Esq. I.D. No. 120 m4g! N*! Strawberry Square P.O. Box 1268 Harrisburg, PA 17108-1268 [71712344161 Attorneys for Plaintiff JASON MCBRIDE, SHAWN STONE, Plaintiff Defendant PLAINTIFF'S ANSWER TO NEW MATTER AND SWER TO rnFTXT ,- . _- IN THE COURT OF COMMON PLEAS CUMBERLAND COLjNTy PENNSYLVANIA No. 04-2445 Civil CIVIL ACTION - LAW 5. Maintiff incorporates the averments contained in paragraphs 1 through 4 of his Complaint. 6. The averments contained in paragraph 6 of Defendant's New Matter constitute conclusions of law to which no response is required. To the extent: they are deemed factual in nature, they are denied. WHEREFORE, Plaintiff's respectfully requests entry ofjudgment in his favor on his original Complaint, along with interest, attorneys' fees and all other relief the Court deems just. ANSWER TO COUNTERCLAIM 7. Plaintiff incorporates his averments to paragraphs 1 through 6 as though set forth herein in their entirety. 8. Admitted in part. Denied in part. It is admitted that on or about Sunday, February 22, 2004, Defendant Shawn Stone borrowed Plaintiff's motorcycle. It is further admitted that Defendant proceeded to ride the motorcycle and was involved in a one vehicle accident. It is specifically denied that the front wheel of said motorcycle began to wobble or that Defendant was in control of the motorcycle and was driving within the speed limit. By way of further answer, it is specifically averred that Defendant was in fact operating the vehicle in a negligent and unsafe manner. 9. Denied. It is specifically denied that the motorcycle was in a defective condition at the time of Defendant's operation, thus causing the accident as set forth under paragraph 6 [sic] of Defendant's counterclaim. After reasonable investigation, Plaintiff is without specific knowledge or information to form a belief as to the truth of the averments regarding the alleged injuries purportedly caused in the accident and, therefore, they are denied. By way of further answer, it is specifically denied that Plaintiff is responsible for any and all injuries as suffered by Defendant. 10. After reasonable investigation, Plaintiff is without sufficient knowledge or information to form a belief as to the truth of the averments contained in paragraph 10 of Defendant's Counterclaim and, therefore, they are denied. By way of further answer, it is specifically denied that Plaintiff is responsible for Defendant's inability to work or loss of employment. 11. The averments contained in paragraph 11 of Defendant's counterclaim constitute conclusions of law to which no response is required. To the extent they are deemed factual in nature, they are specifically denied. By way of further answer, after reasonable investigation, Plaintiff is without sufficient knowledge or information to form a belief as to the validity of the monetary value ascribed to the purported injuries and, therefore, strict proof is demanded at time of trial. WHEREFORE, Plaintiff respectfully requests judgment in his favor on Defendant's counterclaim, along with costs, attorneys' fees and all other relief the Court deems just. NEW-- MATTER 12. Plaintiffs averments to paragraphs I through 11 are incorporated herein as though set forth in their entirety. 13. Defendant's injuries, the existence of which are specifically denied, are caused by the actions of the Defendant himself or others not under the control of the Plaintiff. 14. Defendant's recovery is barred/reduced by the doctrines of contributory/comparative negligence. 15. It is believed, and therefore, had been attempting to "pop a wheelie" with Plaintiff's motorcycle. averred that shortly prior to the accident, Defendant 16, It is believed, and therefore, averred Defendant was otherw' vehicles in a negligent and unsafe manner. 1se operating the 17. This negligent and irresponsible behavior led to Defendant losing control of the motorcycle, thus causing the accident. 18. At the time Defendant borrowed Plaintiffs motorcycle, Plaintiff had recently completed safely operating the vehicle without incident or reason for concern. 19. At the time Defendant borrowed Plaintiffs motorcycle, Plaintiff did not have any reason to believe that the motorcycle was in anything other than good working condition. WHEREFORE, Plaintiff respectfully requests judgment in his favor on Defendant's counterclaim along with costs, attorneys' fees and all other relief the Court deems just. GOLDBERG KATZMAN, P,C, Date: Q U ' (1J OBI By: Thomas J. er, Esq. J I. D. No. 588 3 320 Market Street P. O. Box 1268 Harrisburg, PA 17108-1268 Telephone: 717-23 4-4161 112783.1 CERTIFICATE OF SERVICE I HEREBY CERTIFY that I served a true and correct copy of the foregoing document upon all parties or counsel of record via United States First Class mail to the following: Maria M. Chesterton, Esq. Charles O. Barto, Jr. & Assoc. 608 North Third Street Harrisburg, PA 17101 Date: 61014 GOLDBERG KATZMAN, P C Thomas . IN eber, sq. ?I .., Ida I-1 PJ - ii 4.,J JASON MCBRIDE IN THE COURT OF COMMON PLEAS Plaintiff, CUMBERLAND COUNTY, PENNSYLVANIA V. No. 04-2445 Civil SHAWN STONE CIVIL ACTION - LAW Defendant. DEFENDANTS ANSWER TO NEW MATTER 12. Defendant incorporates the averments contained in paragraphs 1 through 11 of his Answer, New Matter and Counterclaim. 13. Denied. It is denied that Defendants action or others caused the injury and by way of further answer, Plaintiffs motorcycle was in an unsafe driving condition. 14. The averments contained in paragraph 14 of Plaintiffs New Matter constitute conclusions of law to which no response is required. To the extent they are deemed factual in nature, they are denied. 15. Denied. It is specifically denied that shortly prior to the accident, Defendant had been attempting to "pop a wheelie" with Plaintiffs motorcycle. To the contrary, Defendant operated said motorcycle at a safe speed and abided by all the rules of the road at all times. 16. The averments contained in paragraph 16 of Plaintiffs New Matter constitute conclusions of law to which no response is required. To the extent they are deemed factual in nature, they are denied. 17. The averments contained in paragraph 17 of Plaintiffs New Matter constitute conclusions of law to which no response is required. To the extent they are deemed factual in nature, they are denied. 18. Admitted in part, denied in part. It is admitted that Plaintiff had been operating the vehicle earlier in the day. After reasonable investigation, Defendant is without sufficient knowledge or information to form a belief as to the validity of whether Plaintiff had any reason for concern about the condition of the vehicle, and, therefore, it is denied. By way of further answer, it is denied that Defendant operated the vehicle in a negligent and unsafe manner. 19. The averments contained in paragraph 19 of Plaintiffs New Matter constitute a conclusion of law to which no response is required. To the extent it is deemed factual in nature, they are specifically denied. By way of further answer, after reasonable investigation, Plaintiff is without sufficient knowledge or information to form a belief as to the validity of the statement and, therefore, strict proof is demanded at time of trial. WHEREFORE, Defendant respectfully requests that judgment be entered in his favor in the amount set forth under the counterclaim along with interest and all other relief the court deems just. Date Respectfully submitted, Marna M. Chesterton, Esq. Attorney for Defendant Attorney ID: 54911 CHARLES O. BARTO, JR., AND ASSOCIATES 608 North Third Street Harrisburg, PA 17101 717-236-6257 VERIFICATION I verify that the statements in the foregoing document are true and correct to the best of my knowledge and belief. I understand that any false statements herein are made subject to penalties of 18 Pa. C.S. § 4904, relating to unsworn falsification to authorities. Date: ? C;??Ol/ ?'-???- ?-- Shawn Stone JASON MCBRIDE IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, Plaintiff PENNSYLVANIA V. No. 04-2445 Civil SHAWN STONE CIVIL ACTION - LAW Defendant CERTIFICATE OF SERVICE, 1 hereby certify that I have this 27`" day of August, 2004, served, in the manner set forth below, a true and correct copy of the attached Defendants' Answer to New Matter to the following: U.S. REGULAR FIRST CLASS MAIL POSTAGE PREPAID: Thomas J. Weber, Esquire GOLDBERG KATZMAN, P.C. 320 Market Street P.O. Box 1268 Harrisburg, PA 17108-1268 CHARLES O. BARTO, JR. AND ASSOCIATES Ma' ria M. Chesterton, Esquire Attorney ID# 54911 Charles O. Barto, Jr. and Associates 608 North Third Street Harrisburg, PA 17101 (717) 2313-6257 Counsel for Defendant N O d r $wo A cti Douglas C. Lovelace, Jr., Esquire Attorney Identification Number: 83889 36 Donegal Drive Carlisle, PA 17013 (717) 385-1866 JASON MCBRIDE SHAWN STONE To The Prothonotary: IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, Plaintiff PENNSYLVANIA V. : CIVIL ACTION - IN LAW NO. 04-2445 Civil Defendant PRAECIPE TO ENTER APPEARANCE Please enter my appearance as attorney for SHAWN STONE, Defendant in the above captioned matter. Date. March o6 '2006 4a; (19'??4e7 ? DOUGLAS C. LOVELACE, JR., Esquire Attorney for Defendant Attorney Identification Number: 83889 36 Donegal Drive Carlisle, PA 17013 (717) 385-1866 ?? ,: , - ' ?. r . Curtis R. Long Prothonotary office of the Vrotbonotarp CCumberranb CCounrp Renee K. Simpson Deputy Prothonotary John E. Slike Solicitor D!q- ag4S CVIL TERM ORDER OF TERMINATION OF COURT CASES AND NOW THIS 28TH DAY OF OCTOBER, 2009, 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, CURTIS R. LONG PROTHONOTARY One Courthouse Square • Carlisle, Pennsylvania 17013 • (717) 240-6195 • Fax (717) 240-6573