Loading...
The URL can be used to link to this page
Your browser does not support the video tag.
Home
My WebLink
About
10-1988
COMMONWEALTH OF PENNSYLVANIA COURT OF COMMON PLEAS Judicial District, County Of C v??M. (3 -Q1L,L ptN ? NOTICE OF APPEAL NOTICE OF APPEAL FROM DISTRICT JUSTICE JUDGMENT COMMON PLEAS No. 110- lR88 C Iyi Fi led Notice is given that the appellant has filed in the above Court of Common Pleas an appeal from the judgment rendered by the District Justice on the date and in the case referenced below. V'?IM?e OF APPELLANT f ? MAG. DIST. NO. yGuJ (,//M&?i? Apoy fe0etz4 C'2e9iT dkl 09 _ kDDRESS OF APPELLANT Crrr )ATE OF JUDGMENT IN THE CASE OF (PbWff) 3- /l - /0 2w e1A*1Je&L'4A n A_Awc Cud; C V 0000 7/g -09 This block will be signed ONLY when this notation is required under Pa. R.C.P.D.J. No. 1008B. This Notice of Appeal, when received by the District Justice, will operate as a SUPERSEDEAS to the judgment for possession in this case. Signature of PmMorx9my or Deputy A . pl Ace -70 S Ae" 14-w zo 67-6 63 3/p/?o V e C7-,4 1- e get tit (see f-a. K.u.f u.J. ivo. 1 before a District Justice, A COMPLAINT MUST BE FILED within twenty (20) days after filing the NOTICE of APPEAL. PRAECIPE TO ENTER RULE TO FILE COMPLAINT AND RULE TO FILE (This section of form to be used ONLY when appellant was DEFENDANT (see Pa.R.C.P.D.J. No. 1001(7) in action before District Justice. IF NOT USED, detach from copy of notice of appeal to be served upon appellee. PRAECIPE: To Prothonotary Enter rule upon Name of appeg"(s) appellee(s), to file a complaint in this appeal (Common Pleas No. ) within twenty (20) days after service of rule or suffer entry of judgment of non pros. Signature of appellant or attomey or agent RULE: To , appellee(s) Name of apwOWs) (1) You are notified that a rule is hereby entered upon you to file a complaint in this appeal within twenty (20) days after the date of service of this rule upon you by personal service or by certified or registered mail. (2) If you do not file a complaint within this time, a JUDGMENT OF NON PROS MAY BE ENTERED AGAINST YOU. (3) The date of service of this rule if service was by mail is the date of the mailing. Date: ,20 N?/Ae2 , S%?uP? Signature of Prothonotary or Deputy YOU MUST INCLUDE A COPY OF THE NOTICE OF JUDGMENT/TRANSCRIPT FORM WITH THIS NOTICE OF APPEAL. AOPC 312-02 WHITE -COURT FILE TO 13E FILED WITH PROTHONOTARY GREEN - COURT FILE YELLOW - APPELLANTS COPY PINK -COPY TO BE SERVED ON APPELLEE GOLD -COPY TO BE SERVED ON DISTRICT JUSTICE PROOF OF SERVICE OF NOTICE OF APPEAL AND RULE TO FILE COMPLAINT (This proof of service MUST BE FILED WITHIN TEN (10) DAYS AFTER filing of the notice of appeal. Check applicable boxes.) COMMONWEALTH OF PENNSYLVANIA COUNTY OF ; ss AFFIDAVIT: I hereby (swear) (affirm) that I served ? a copy of the Notice of Appeal, Common Pleas , upon the District Justice designated therein on (date of service) 20 , ? by personal service ? by (certified) (registered) mail, sender's receipt attached hereto, and upon the appellee, (name) , on ,20 ? by personal service ? by (certified) (registered) mail, sender's receipt attached hereto. (SWORN) (AFFIRMED) AND SUBSCRIBED BEFORE ME THIS DAY OF 20 Signature of official before whom affidavit was made Title of official My commission expires on , 20 fib 40D "JaNno Z O : h Wd 61 8VW 01 as MNCAGH 8d 3HI jo Signature of affiant FROM (TOMAR 18 2010 13:49/ST.13:48/No.686019,6931 P 1 vv1V11Y1V1rrrcnLi n ur rr.1'JN,-1TLVfik VIA IVY./ 11%01M Vr- NuLiul 1r'1 L! 1 11 otIVOLF1'11t, i CbL1NTY OF, CM911ZRI.JLID CIVIL CAS Msg. Disi. No.; 09-3-04 MDJ Name: Hon. THOKhS A. PLKCZY Adar.as. 104 S SPORTXNG BILL RD >111111C>au111ICSBURG, PA T.kwh.. (717) 76IL- 8330 17050 M Defendants are jointly and severally liable. Damages will be assessed on Date & Time This case dismissed without prejudice. P.O. BOX 658 Docket No_' CV-0000718-09 NEW CHID, PA 17074-0658 Date Filed; 11/30/09 THIS IS TO NOTIFY YOU THAT: Judgment: DEFAULT `? DZF• (Date of Judgment) 3/11/10 Judgment was entered for. (Name) 811Y7=# STE'VM RAM Judgment was entered against: (Name) MW CT--- RI.7kkM FEDIBR. AL CRZDI in the amount of $ PLAINTIFF; NAME oM ADDRESS FNEN C[A?SRi.2lleID FEDRRAL CRIMIT t=Ob P.O. HOZ 6 a MW CUNERLAW, PA 17070 - 0658 L J vs. DEFENDANT: NAME and ADOMS rSNYDM, $TEV= RAY, INTT AL. 138 L13= DRIVE MCRMCBSOM, PA 17050 itiW CUMRIaAM FEDZPAL CREDIT MION L J Amount of Judgment Subject to Attachment/42 Pa.C.S. § 8127 Portion of Judgment for physical damages arising out of residential lease I-- Amount of Judgment $ • 00 Judgment Costs $T' M Interest on Judgment $? -Go Attorney Fees $""= DO Total $ .00 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 PROTHONOTARYICLERK Oil THE COURT OF COMMON PLEAS, CIVIL DIVISION. YOU IIIUST INCLUDE A COPY OF THIS NOTICE OF JUDGMENT/TRANSCRIPT FORM WITH YOUR NOYICE OF APPEAL. EXCEPT AS OTHERWISE PROVIDED IN THE RULES OF CIVIL PROCEDURE FOR MAGISTERIAL 04TRWY 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 COMMON PLEAS AND NO FURTHER PROCESS MAY BE ISSUED GY 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. I ire v Date ?. I certify that this is a true an/core It e record c Date C' My commission expires first Monday of January, 2016 AOPC 315.07 Ma isteft-Dis rict judge containing the judgment. Magisterial Di5t'rict Judge SEAL DATE PRIMM: 3/11/10 10:49:00 JW TROior (THUNAR 18 2010 13:49/ST, 13:48/No. 6860195931 P 2 \rVlnwnvIVvvcmL 17.1 wr r•tN14Z5YLVANIA I1V 11VG VF- JVY?,7 Ii 111 nmma%onir I COUNTY 0;:- (.UMSE iLAND CIVI J.TF No.. 09-3-04 MDJ NWO. Mail. TWK" A. PLACKY AO011N1 104 8 SPORTING HILL RD XRCN&=CSBMW, PA T? ,erw: (717) 761-8230 17050 PLAINTIFF,: NAME Mid ADDRESS rim 11111111111A M FEDERAL CREDIT 0=0i P:0. BOX 658 Nm CU!®, PA 17 070 - 0658 L ?J VS. DEFENDANT: NAME wnd ADDRES& I-SiYDER, , STEVEN RAY, ET' AL. ? 138 LINtDL . DRIVE MECHANICSBURG, PA 17050 NEW CMERLAND FE IRRAL CREDIT UNION L P.O. BOX 658 Docket No.: CV-0000718-09 NEW CUKBERLAND, PA 17070-0658 Date Filed: 11/30/09 THIS IS TO NOTIFY YOU THAT: . DEFA11IfP DEF.._ 3/11/10 Judgment. • (Date of•Judgment?-- © Judgment was entered for: (Name) SNYDER JR, RAY 0 _ ® Judgment was entered against: (Name) aim C?LBERLUtrD 1FEDER. AL CRED1 in the amount %f It • 0 ? Defendants are jointly and severally liable. Damages will be assessed on Date 8 Time This case dismissed without prejudice, Amount of Judgment Subject to Attachment/42 P&C.S. § 8127 Portion of Judgment for physical damages arising out of residential lease _ Amount of Judgment Judgment Costs $ .00 10 ? Interest on Judgment $ 0 Attorney Fees $"ff0 Total $? .00 Post Judgment Credits $ Post Judgment Costs . $ Certified Judgment Too, $ ' 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 • -..*UST INCLUDE A COPY OF TFHS NOTICE OF JUDGMENIrtrRANSCRIPT FORM WITH YOUR NOTICE OF APPEAL. EXCEPT AS OTHERWISE PROVIDED IN THE RULES OF CIVIL PROCEDURE FOR MAGISTERIAL DISTRICT JUDGES, IF THE JUDGMENT HOLDER ELECT8 TO ENTER THE•JUDGMENT IN THE COURT OF COOWN PLEAS. ALL FURTHER PROCESS MUST COOK-PROM WE-COO i7 OF COIUMOW--PLEAiCAHD:NO 1ittgITtJ?R.pnbdess M'A l t?ED,8Y.1IlE MAti T?'?gA?.DIBTRICI'JUDGE . UNLESS THE JUDGMENT ISINTERE0:1N THE COURT OF COMMON PLEAS: ANYONE INTERESTED. MI THE JUDGMENT MAY FILE REQUEST FOR ENTRY OF SATISFACTION WITH THE MAGISTERIAL DISTRICT JUDGE IF THE JUDGMENT DEBTOR PAYS IN FULL, :,4+ SETTLES, OR OTHERWISE COMPLIES WITH TIME JUDGMENT. INagitsrlaw,flJstrirCy ctdge. V1 tills IF I certify that this is a true c _ ngs contajning"the`-jti-dgmeat r le .. 0 ,} + ,r Date Magis?e(?(I Q}}?tltczt Judge My commission expires first Monday of January, 2016 SEAL AOPC 315.07 DATE PRINTED: 3/11/10 10:49:00 Pill Iq i1 ~ ,f I! ~ n Cvlh,d.,. . ~ . l`tid LLB. ryir PROOF OF SERVICE OF NOTICE OF APPEAL AND RULE TO FILE COMPLAINT (This proof of service MUST BE FILED WITHIN TEN (10J DAYS AFTER tiling of fhe notice of appeal. Check applicable boxes.) COMMONWEALTH OF PENNSYLVAN A COUNTY OF ~~ ~,y~,/a,q,~ ; ss AFFIDAVIT: I hereby (swear) (affirm) that I served a copy of the Notice of Appeal, Common Pleas 10 + ~9 ~$, upon the District Justice designated therein on (date of service) (h pr ~, ~3 , 20_~, ^ by personal service ~b (certified ~ registered} mail, sender`s receipt attached hereto, and upon the appellee, (name) S ~'~ ~,i+ , on lC,A~c-~Y ~ t ~J" 1 _~ ~~ 't3 , 20 ~ ~ ^ by personal service ~ b certifie .registered} mail. sender's receipt attached hereto. (SWORN) (AFFIRMED) AND SUBSCRIBED BEFORE ME THIS ~~ DAY OF il~( /a/L~'~ , 20 I (~ . ~-r~Gc~/c.~~! Signature ofoffrcialbelor2 whom affidavit w. as made Title of off~ciai My commission expires an COMMONWEALTH F PENNSYLVANIA Not~uW 8N1 Bolt T. HowNl, Notary Publk Nwv Cumbwfarb Bono, Cumberland Count CommbNon 'f0, 20t3 em ~, . enne an of Noterlerr 20 Signature ofaffiant T- ~~ ~~m 63 ~ ~~Y~ •~f~t ~ ~ Jdd ~- t S ~~~' r ~ ~ '2' C) °LbZ ~"TZv -'VZ7~ COMMONWEALTH OF PENNSYLVANIA COURT OF COMMON PLEAS Judicial District, County Of COMMON PLEAS No. 2~... 1988 ti._, ~~,, _ --'ri;, NOTICE OF APPEAL ~ = I~,~ x~, A~ ~ f Notice is given that the appellant has filed in the above Court of Common Pleas an appeal from the judgment rendered by the District Justice on the date and in the case referenced below. NNMt OF AF'f'ELL/1NT MAG. DIST. NO. ,,~/~ , ~ / ~r E D.J. 'i~'C.-W ~,G+'~171S3C .'<~Lr..'.~il-.17. ~~~ t.%,r 1,.. '-0 {~.i: -r '!~r{'t h~ d: '~:../ .. .:7 ,--, r..~ ~,; a7 ~.~xFs .'~j a` ~ t .,. , ADDRESS OF APPELLANT CITY STATE ZIP CODE DATE OF JUDGMENT IN THE CASE OF (PleintAr) ~ ~' ~ snf ' ~ ~ '~ ~ i ,_i ~ ,1 l 4 .., ~;-`tai ~ 1y.~r.''rt' i 'c7il 1 ••e'~ (..~;:. ~ . ~i/Jr~y _~ ,rf.+ .,%('f f.r~ (De/erM! .,' i s't+° ~`r=~ `~ f .~ ,r~ C,,. DOCKET No. SIGNATURE OF APPELUWT OR A : E OR~/ 6ENT ~ r r f ', °' , .'G. ~ '~,~ t»- r ~?> ~ ~% ..:~ ~ „e,~•w~/--^";'-"' / is tf'v` "',,.7 #fj`i.? a. AJ , r: d~ ; F This block will be signed ONLY when this notation is required under Pa. If .s /ant was Claimant (see Pa. R.C.P.D.J. No. 1001(6) in action R.C.P.D.J. No. 10088. This Notice of Appeal, when received by the District Justice, will operate as a before a District Justice, A COMPLAINT MUST BE FILED within twenty SUPERSEDERS to the judgment for possession in this case. (20) days aRer filing the NOTICE of APPEAL. signature orFtotltonotary arOapRy PRAEClPE TO ENTER RULE TO FILE COMPLAINT AND RULE TO FILE (This section of fomt to be used ONLY when appellant was DEFENDANT (see Pa.R.C.P.D.J. No. 1001(7) in action before District Justice. !F NOT USED, detach from copy of noSce of appeal to be served upon appellee. PRAECIPE: To Prothonotary Enter rule upon appellee(s), to file a complaint in this appeal Name or appease(s) (Common Pleas No. )within twenty (20) days after service of rule or suffer entry of judgment of non pros. Signature of appellant or attorney or agent RULE: To , appellees) Nana of appease(s) (1) You are notified that a rule is hereby entered upon you to file a complaint in this appeal within twenty (20) days after the date of service of this rule upon you by personal service or by certified or registered mail. NOTICE OF APPEAL FROM DISTRICT JUSTICE JUDGMENT (2) If you do not file a complaint within this time, a JUDGMENT OF NON PROS MAY BE ENTERED AGAINST YOU. (3) The date of service of this rule if service was by mail is'the date of the mailing. Date: 20 • Signahrre c; Prothonotary or Deputy YOU MUST INCLUDE A COPY OF THE NOTICE OF JUDGMENTITRANSCRIPT FORM WIThF THIS NOTICE OF APPEAL. AOPC 312-02 WHITE -COURT FILE TO BE FILED WRH PROTHONOTARY GREEN -COURT FILE YELLOW -APPELLANT'S COPY PINK -COPY TO BE SERVED ON APPELLEE GOLD -COPY TO BE SERVED ON DISTRICT JUSTICE .~ ^ p ~ ,.• - . .-. O ~~ .. y ~o f1J Postage $ . 1.1'1 `, - -- -,~~ f1J Certitied Fee ~ F ~o~tmark .. O ~ Retum Receipt Fee uired) t Re ., .~ '~~ ~ e ~ q (Endorsemen ~~. Restricted Delivery Fee '`~~' ~ (Endorsement Required) ` ~ Total Postage & Fees O ~~°='~- - -~- - --r [~ --- Street, p . No.; / No B I Y ~~.// C ,~' y~ l~ ~- [ / ~ ~fA !f (~- - , _._____. r - ox PO or •- ! Q - . Clty, fate, ZIP+4 .~.., ~ L.~, c t ~ ~ 7Q ~~ ~i~/s (Domestic Mail Only; No Insurance Coverage Provides ~ For delivery information visit our website at www.usps.comz; ~ Postage $ -rl __ ~ /~ Certified Fee - - ~ d Return Receipt Fee Postmarks ~ (Endorsement Required) Hera O Restricted Delivery Fee r,'-*~' O (Endorsement Required) r',Z u'1 O Total Postage & Fees ~ ~',~ •_ : . ~~ ~ ent T •~ ~...~'~. O 3`lreef Apt. N .j -- ~--~~~-•--•---••••-----°--•--°-°°-----• (~- or PO Box No. ~ ~ ~ C ~~ ~~ I'~' ~~- City t te, ZlP+4 - ~f 4 ,cVJ ~ [ S ~~/s /fib /70.~-/~ .~ -~ ~ ~~ f ~ ~ r ' • ~ • r ~ ~ ~ ga.. )a.,,. - ~ .,. ~ • ~ Postage $ ~ Certified Fee ~ ~ R um Receipt Fee (Endors ment Required) Postmark O Here Restricted Delivery Fee O (Endorsement Required) ~ _ - u7 ~ Total Postage & Fees $ ~. ,• r. - O , ~ 0 p ent To ..-_. - ---~ ------ ~- Street • • t N Sl1 7 . '• ~°~! M1 . , . o.; -- or PO Box No. / Q ~ / . - -- - -- _ - . pC NEW CUMBERLAND FEDERAL IN THE COURT OF COMMON PLEAS CREDIT UNION, CUMBERLAND COUNTY PLAINTIFF PENNSYLVANIA ,,~, (.~ ~:~ ' ' _ ~ ~ V. . CIVIL ACTION -LAW ~. rte ~- ,~~ ,.~ ~;~ STEVEN R. SNYDER AND '''' .~.. - , RAY G. SNYDER, JR., ~ 1 ° 0 1 O ~ 8 2 _~ `" ~`~~-,~"' DEFENDANTS ~ - . NO. .. ' ~„ r~~ NOTICE -~` ~~ ~~'' r 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 RELIEF REQUESTED BY THE PLAINTIFF. YOU MAY LOSE MONEY OR PROPERTY OR OTHER IMPORTANT RIGHTS. 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. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER. IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE. LAWYER REFERRAL SERVICE OF THE CUMBERLAND COUNTY BAR ASSOCIATION CUMBERLAND COUNTY BAR CENTER 2 LIBERTY AVENUE CARLISLE, PENNSYLVANIA 17013 (717) 249-3166 /~ By: Steve owel , squire H ell Law Firm 19 Bridge Street New Cumberland, PA 17070 (717) 770-1277 Supreme Court ID 62063 NEW CUMBERLAND FEDERAL IN THE COURT OF COMMON PLEAS CREDIT UNION, CUMBERLAND COUNTY PLAINTIFF PENNSYLVANIA V• CIVIL ACTION -LAW STEVEN R. SNYDER AND : RAY G. SNYDER, JR., DEFENDANTS NO. COMPLAINT 1. The Plaintiff is the New Cumberland Federal Credit Union with a principal place of business located at 345 Lewisberry Road, New Cumberland, York County, Pennsylvania 17070. Plaintiff is a federally chartered nonprofit credit union. 2. The Defendant Steven Ray Snyder is an adult individual residing at 138 Linda Drive, Mechanicsburg PA 17050. 3. The Defendant Ray G. Snyder, Jr. is an adult individual residing at 138 Linda Drive, Mechanicsburg PA 17050. 4. The Defendants are not current members of the Armed Forces. COUNT I: NCFCU VEHICLE LOAN 5. On January 31, 2009 Defendants executed a Loan Agreement attached as Exhibit "A" in the amount of Eight Thousand One Hundred Seventy Nine Dollars and 02/100 ($8,179.02) Dollars at 12.00% interest and pledged as collateral a 2000 Dodge 1500 Quad (VIN 3B7HF13Y4YG109173). Defendants were the borrower under this Loan Agreement. 6. The terms of Exhibit "A" required timely payments of $226.65 monthly for 47 months and a final payment of $226.35 in the 48th month. 7. Defendants failed to make timely payments. 8. There remains a principal balance due of $5,996.27 plus past due interest at 12.00% with a $1.89 per diem from March 15, 2010. 9. Defendants have made no regular payments despite repeated requests. 10. Pursuant to the Loan Agreement the Defendants agreed to pay all "court costs and reasonable attorney fees' incurred in any collection action. WHEREFORE, Plaintiff respectfully requests entry of judgment in the amount of $5,996.27 (principal plus past interest) at 12.00% interest from March 15, 2010 and a per diem of $1.89 together with all court costs and an award of reasonable attorneys' fees. Respectfully submitted, By: Howell, Esquire Law Firm 619 Bridge Street New Cumberland, PA 17070 (717) 770-1277 Supreme Court ID 62063 03f18/2010 13:08 7177701278 HOWELL LAW FIRM PAGE 02f10 Verification I verify that the statements made i.n the forgoing docmr,ef~t are true and correct. I understand that false statements herein arc made subject to the penalties of I8 Pa. C.S.A. Section 4904 relating to unsworn falsification to authorities. i verify that I am the President oFthe New Cumberla~.~d. Federal Credit Unian and. that I ana authoi~azed. to execute this document. By: (~ Donald Varner, Pr 'dent NCFCUJ Date: ~ ! % ~~~ F~~M (.FRI7MAR 12 201 15:03/ST,15:021No.6860195910 P 3 a n raosuc crlasrr t11NOw P.O.9mc B6$ • New Cumberland, PA 17d7o-0658 (717) ?"14.4tla9 • 1•t~7t8~Q3a9 I~DAN AMID SECUl~ITY AGpEEMENT _ AND bISC_L_ (?SURE STA7EMEN L~i~N/QFjY~2 0 0 g I-ppN N~MBER AL,CDU-~T6NUMRER GROUP PpLICV NUMBER MATURITY DAB 1 e1 Lif 0698 1 037-4679-4 ... ., ,,.. :.. .,: ~ ...:: .. ' :., : .' ~ Z NAME AND ADDRESS NAME tANp ADDHE551f DIFFERENT FROM BORROWER tl STEVEN R SNYDER 138 LIIVAA FR MECHANZCSi3ORG ~A 17o5a s. .r ~.-, >:' ,. .. ..r> ,,..,. .... ~ , .: ..: ANNUAL PERCF~ITAt3E RATE FFN4NCE CHARGE Amount Financed Total of Payments Total Sale Price Tha cost or your credit Bs a yearly rate. Th• dollar amount the The emaunt of cradle The amount you will hays The tatel cast of your pulchBae on credlt h credlt WIII colt you. provided to you or on paid after you have made B yqut behalf, afI psymente as scheduled. wrhich inclutlse Your 12. OOD 96 9 2, 160.99 e 9 B, 179.02 9 lp, 878.94 ~' downpayment of 9 Your Payment Schedule WiN Be; Prepayment: If you pay off early you will not have to Number of psymente Amount of Payments When Payments Are pus Pay s p~n~sty. 47 9 226.65 MONTHZY 02/19/2049 Required Depask: The Annual Percentaggee Rate does ~ 1 S 226.35 rr not take irrto account your required depaslt, tf any, ^ Aesumptfon: Someone buying your mobile home Property Insurance: You may obtain property insurance from anyone you cannot assume the remainder of the lawn on the want that ie acceptable to the credit union, If you get the insurance from us, origins! terms. you will payb N!A Demand: ~ 7his obligation has a demand feature. Late Charge: All disclosures ere based on an assumed maturity of.one year. THIS CREI~YT UNYON DQ>rS NOT ASSESS SATE CHARGES Filing Fees Non-F111ng Insurance S S Security: Collateral securing other loans with the credit union may also secure this loan, You are glvfng a security interest in your shares and dlvldends and, It any, your deposits and interest in the credit union; and the property described below: Collateral Property/Modet ~ Year I.D, Number Type Value Key Number DQDGE 1500 (}UiaD 2000 387HF13Y45CG109173 AU S 7, 550.00 c,,-~ G 0,00 8 O.OQ Other fDascribei 0 .00 0 .00 Piadge of Shares S u - DO in Account Na. ~ d ~ oo in Account Na. See your contract documents for any additional Information about nonpayment, default, and any required repayment In full before the scheduled data. ::.., ~y" ,, ~ w.on ~.'. ~<-a» °i..w!< e?w,6 :>.e.< ..;.:<.:..ia'.z>z z ~x .~:Ei~.o,o-s.'.~~~ ` ra~.. F eats f a, .,, f CAUTION: IT IS IMPORTANT THAT YOU THOROUGHLY READ THE AGREEMENT 9EFQRE YOU S#ON IT. ey signing a; Borrower, you agree td the terms of the loan Agreement. If property is described in the Security section of the?rutr it Lending Disclo6ur6, you also agree to the terms of the Security Agreement. if you sign as "owner of Property" you egret only to the terms of the Security Agreement. X iSEAl1 3 15EA1} .t• eORRD t DATE .YORROWER PATE X .~ (SEAt) X 1$EALI TNER 6oRROWER GOWN Of PROPERTY WITNESS DAVE [~OTIiER aORROWEh OWMER OF PROPERTY WIYNE$$ PATE n ~~DI1 ~ CUNA MUTUAL GRDUP, tB99, 2666, 2001, al,L RIGkTS RESERwEO Nxxo22 lin~>=R~ FROM m18atlo~ of Amount Frnancad of Amount Given tq Ypu'Directly Amount Paid on Ypur Account Prepaid Pnan~e Char e Y7 .02 ~ Amcxtnt8 -eid to ethers pn Your Behalf: {If fin amount is marked with an asterisk (• I wb wipll be~ etelning a gortion of the amquat p ~ ~,1~9.02 T4 SPANKEY' S AUTO AND 3 a , as To n 1 a.oo ~TO s 7° ~ 0.00 To 3 ~ . OD Te ~ TO ~ To 8 TO $ To $ Ta S To $ T~ 5 To :: .. :.~ :. L4.Aa ~l~~'I~i1e:C~V-fsNT .. In this Loa n Agreement {"Agreement"} elf references to "Credit Unign," "we,' "our ' or us," mean the Credit •Unlon whose name appears above and anyone to whom the Credit Union assigns or transfers this Agreement. All references to "you," or "your mean 8acl parson whosipns this Agreement as a borrower. 1. PROMISE70 PAY - You promise ko pay S 8;279.t~ the Credit Union plu6 interest en the unpaid balance until what you owe has been repaid. For fixed rate loans the interest rate is 12.opo$ per year. (FRI)MAR 12 2010 15:03/ST.1~:02/No.686019~910 P 4 Credit U bn Ntw CLnrberlarld Federal Credit Union Laen No. Aact. Nv- r'~orrpWiir+~i 3Tt;yEN R $NYDER Lir 2 069961 ,, :, ;.. ,. . T 'IZAT O OF TH ".~ a ; NT•.FINAM . . ire Cpllection Goats: You promise to pay all coats of collecting the amount yeu owe under this agreement including court costs and reaaollable attorney fees. 2. PAYMENTS -You promise to make ayments of the mount and at the time shown in the ~rlath in Lendingg ~isclp9ure. You ma prepay any amount without penalty, ff ou prepay any pe of what ou owe, yeu are still required ~o make the regular y schedulyed payments, unless we h$ve Agreed to a change in the p, yment schedule. Because this is a sim le iftto est loan, i y u do not mak pa merits exactly as scheduled, Your fjnal payment may~e r~lpre or less than the amolrn~ of the fin$i payrrlent that i$ d'sclased, If you elect credrt nsurance, we wrll either inc~ude the Pfremrum in your payman~s or extan~ the term of your loan. the term rs extenc~a yeu wrl be required to m ke additional payments p tf,e scheduled amount, until w~iat yyou pw hag been paid, You promise to make all payments to the p~ace,we chaos If t is ( an rein ances another loan w have wrth you, tie ot~er. oan wi~f be canceled and ree{in r~~er~ f the d of his { an, 3. I`~AIV r~~~EED,S ~Y MA~L - I~ tie proceeds of t~ris loan are mailed to you, inters t on this oan begins on t e dat$ het $$n pr ca g~ rQ m ilgdd to yeu, ~. S~GU~l~ ~~~~i'lAl1e1 - Thrs Rgreement Is secured by all proppr~ ascribed ill the "Securetv sectran of the Truth in `endin Disclosure. Proqq~rty secur~itrg other (cans you have with us also secures this Ilan unless the ropQrty js a ~welli A dwq~IGng s~curgs thl' io n only if iP is gescribed in the '3eCurity se tign of the ~ruth in Lending aiBClosure fpr this jean. fT Crp~t Unioln has p ~dar~rl chertar;,Statutory I-ren - i yau,are in defaut on a financial obligation to us, eder~l jaw grv~ us the right to a~p)y, the balance of shares sit widen s rn aN indivi~~((ual an jo~nt accounts yo~r ~ave wit us to satisfy that Qbfigatipn, A er you are, in a au1t, may exerci a this rlpht , ithout further notice to you. ~"v~e have a fe~eral oh r~er i~ ur name rnCludes the term f=ederaf Credit Union."~/f Cre'~t Union has a stele charter, except in ahlo apt/ Rhoda~sland.• We have a statutr~ry hen on the char s, and ividen s and, if any,the deposits and interest m al~ in~}vidual and 'Dint accounts ycu have with us and may Y noise o~ir righ~ ~nder the Tien to the ~ tent permitt~d ~ state aw, ( e ova a state charter r~ orb name Des net inr~l ,rde the term FedQral Credit Union. For all borrowers: ou pledge as seCUrrty for this loan al shares and dryidends and, if an ,elf deposits and interest in all,joini end rndivic~ual accoun~s you have with th credit union now and in t e future. T e statutory lien and~or your ledghe will tallow ue to apply the funds in yo r account(s) ~o w at you owe when you are in etault. ~he st~tutory Iran and your pledge do not app~y to any lndlvidual Retirement Account pr airy other acgount that Kvould lose special tax treatment under state or ederal law if given as sour YY~~ ~. DE~AULT -You will be in de#ault under this Agreement if you do not make d payment of the amount required on or E CUNA MIrTVAZ GROUP, 19y9, 2000, 2ppl, ALL RIGHTS RESK,pvEO before the date it is di~e.,You will be in dFfault,lf you brae any promise yo madde rn connection with this loan or any Aria is m default rider an seCUritx greenie t mq e i cpringction with this ~igreamet~t. You wrll~e in ~e~ault ~f ya die, file fpr ~ankru tc , be~me insolvent {t at i unable t pay hour bil s and fppns as ey become due), or~f you mad arty false or misleading statements in your loan application o will also be in e~ult if som$khing happens that w bellgve may seriously a act your abr{rty to repay what yo ov~+e under this Agreement or if you ere in default under sn of r n a reemen have wt h us. 8. ~-C I~NSBAFTER~~~AULT -When You are in ¢etault, w me d9mat~dd immediate payment qt the ntrre unpai baf~nce under this ggreernent. You waive any r~gght you hav to receive demand for p~yme t, notice of rntsnt to dernpn Immediate ayment an not~ce o demand for immsdla~ payment. l~ we demand immediate payment ~ you wl continue to pay interest at the rate provided ,for to thr greement, until what you owe has been reppprd. We wi a so apply aaernst whet you owe any shares andlar deppsit given ors sacur ty under this Agreement. We may ale eddxercistt~e~ any ot~Ier rights groan y law when you are i 7~fEACH PERSON RESPONSIBLE - @aph, person whn sign this Agreement will be individually and lointl responsible fc payin~ the entire amount owQd under phis greement. 7hi mean we can enforce our rights against any one of yo i~tdivi u~ll~~r a~ernst ell of you together rest will remain In effect. h 11. NQTIC~ES - Helices will -be sent tq ,you at the moe reeengqt yya~~dppres you have Ivan us in writing, Natlce to an 12~ OTFIER PRObVIS ONSth all' WT AR 1r - If ycu are I to in making a p yment, o iomise to pay the {ate charge s~owrt in the Truth In Lenain disclosure, if no late charge is shown, you will not b charsg d one: 9. OE~-Y ll~ ENFORCING RI~iHTS - Ws can del y enforcin any o??Ti our rig is under this gre~rnent any num~er of time without loci~lg the ability to axerc+s6 our rights later. We ca enforce this Agreement against your hgus or rage reppregger~rtatives. 1t]. CraNTINUED EFFECTIVENESS - if any part of the Agreement Is •d~termined by a court to be unenforceable t N700022 fLASFI FROM - __.. --- ._.,~., ,o,M ~~~r,n~ 41'aa1L unron ~ BDrrpyr~Si STEVRN R SNYI7ER (FRI)MRR 12 2010 15:04/ST.15:02/No.6860195910 P 5 Loan Na. Acct. No. LM 2 089661 In thin Agreement all references to "Credit union," "we," "our",pr r "us" mean she credit union whose Hama appears on this document and anyone to whom the credit union assigns or transfers this Agreement. All references to the "Loan" mean the loan described in the Loan Agreement that is part of this document. All reterences to "you," or"your" mean any person who signs this Agreement. 1 .7'HE SECURITY FOR THE LOAN • You give us what ;s known as a security interest in the property described in the "Security" section o1 the Truth in Lending Dleclosure that is part of this document ("Che Property"), The security interest you give include6 ail accessions, Accessions are things which era attached to ar installed in the Property now or in the future, The security interest also includes any replacements for the Property which you buy wltflin 10 days of the Loan and any eXtensign6, renewals or refinancings: of the Loan. It also includes any moriey you receive from selling the Property or from insurarnce you have on the Property. If the value of the Property declines, you promise to give ue more property as security ff asked to do so. 2. WHAM THE SECURITY INTEREST COVERS -The Property secures the Loan and any extensions, renewals or refinancings of the Laan. If the Property is not a dwelling, it also secures any other loans, Including any credit card loan, you have now ar receive in the future from us and any other amounts you owe us for any reason npuu or in the future, excerpt any loan SeCUred by your princlpa- residence. ff the Property is household goads as defined by the Federal Trade Commission Credit Practices Rule or your principal residence, the Property will secure only this Loan and not other loans or amounts you owe us. 3. OWNERSHIP OF THE PFtt~PERTY • You promise that you own the Property or, if this Laan is tp buy the Property, you promise you will use the Loan proceeds for that purpose. You promise that no one else has any interest in or claim against the Property that you have not already told us about, You promise not to sell or lease the Property or to use it ae security for a loan with another creditor until the Loan is repaid, Yau promise you will allow no other security ;nterest ar lien to attach to the Property either by Yau- actions or by operation of law. 4. PROTECTING THE SECURITY INTEREST • If your state issues a title for the Property, you promise to have our securty interest shown on the title. We may have to file whet is called a financing statement to protect our security interest from the claims of others. If asked to do so, you promise to sign a financing statement, You promise to dq whatever else we think is necessary to protect our security interest in the Property. You also promise to pay all coats, Including but Hat limited to any attorney fees, we rncur in protecting our security interest and rights in the Property, to the extent permitted by applicable law. 5. USE pF PRpPERTY -Until the Loan has been paid off, you promise you will; (1 M Use the Property Carefully and keep it in ggod repair. (2) obtain our written pgrmlasion before making major changes to the Property or ehangin~ the address where the Property is kept. (3} Inform us in wrrtrng before changing your address. ia) Allow us to inspect the Property, (5) Promptly notify us if the Property 1s damaged, stolen or a4used. (8) Not use the Property for any unlawful purpose. B. PRQPERTY INSURANCE, TAXES AND FEES -You promise to pay all taxes and fees (like registration fees) due on the Property and to keep the Property insured against loss and dam ego, Tha amount and coverage of the property insurance must be acceptable to ua. Yau may provide the property insurance through a policy you already have, or through a policy you get and pay for, You promise to make the insurance policy payable to us and to deliver the policy or proof pf coverage to us if asked to do so, If you cancel your insurance and get a refund, wa have a right to the refund, If the Property is lost or damaged, we can use the insurance settlement tq repair the Property pr apply it towards what you owe. Yau authorize us to endorse any draft or check which may be payable to you in order for us to collect any refund pr benefits due under your rnaurance policy, If you do not pay the taxes or foes qn the Property when duo or keep it insured, we may pay these obligations, but we erg not required to do so. Any money we spend for taxes, fees or insurance will be added to the unpaid balance of the Loan and you will pay interest on those amounts at the same rate you agreed to pay pn the Lodn. We may receive payments in cannectipn with the insurance from a company which provides the insurance. Wg may monitor our spans for the purpose of determining whether you and other borrowers have complied with the insurance requirements of our loan agreements or may engage others to do sp, The insurance ettarge added to the Loan may include (1) the insurance Company's payments to ua and (2) the cost of determining compliance with mCUtJA MUYUaI GROUP. X999, 2000, ZpD~, ALL RrGH75 RESERVED GFtEEIVI~NT the insurance requirements. It we add amounts for taK~e fees C insurance to the unpaid balance of the Loan, we may increase yon payments to pay the amount added within the Term of thQ insuranG pr term of the~Loan. i. INSURANCE NOTICE - If yea do not purchase the require prgparty insurance, the Insurance we may purchase and charge Yq for will cover only our interest in the Property, TM Insurance wr not be liability insurance. and will not eatlefy any ataY~g finanCil responsibility or no fault laws. 8. DEFAULT -You will be in default if you break any F'rpmise yo make or fait to perform any abliganon you have under thi Agreement. You will also ba in default under this A4reQrr~ent if th Loan is in default. 8. WHAM HAPPENS IF YOU ARE IN DEFAULT • When yqu are i default, wa may demand immediate payment of the outstandin balance of the Laan without giving you advance notice and tak pgsse65ion of the prgparty, You agree the Credit Union beg the rigF to take possession of the Property without judicial process If thl can be done without breach of the peace. If we ask, Yqu promise t deliver the Property at a lima and place we choose, We will not b re9ponsibla far any other property not covered by this A reamer chat you leave inside the Property or that is attached to th Property, Wp will try to return that property to you Or make available to you to claim. After we have possession of the Property,.wa can sell it and appl the money to any amounts you owe Us. We will glue You notice C any public sale or the date after which a private sale will be'helt Our expenses for taking possession of and se111ng the Property wi be deducted from the money received from the sale, Those cost may include the cost of storing the Propetty, preparing it for sal and attorney's fees to the extant pe-mrtted under state law c awarded under the Bankruptcy Code. The rest of the sale mono will be applied to what you owe under the Loan. If you have agreed tp pay the Loan, you will also have to pay an amount that remains unpard after the sale money has beers applie to the unpaid balance of the Loen and to what you owe under thi Agreement. You agree to pay Intere.8t on that amount at the sam rate as the Loan until that amount has been paid. 70. DELAY IN ENFORCING RIGHTS AND CHANGES NV THE i.pAN We can delay enforcing any of our rights under this Agreement an number of times without losing the ability tq exercise our right later. We can enforce this Agreement against your heirs or leg; •representatives, Ef we ohan~e the terms pf the Loan, you agree the this Agreement will remain m effect, 11. CONTINUED EFFECTIVENESS - If any part of this Agreement i determined by a court to be unenforceable, the rest wrll remain i affect. i 2, NORTH DAKOTA NOTICE TO 80RRgWERS Pt1RGHASING , MOTOR VEHICLE -THE MOTOR VEHICLE IN THIS TRANSACTIbI MAY l3E SUBJECT TO REPOSSE$5lQN. IF IY 1S NO' REPOSSESSED AND SOLD TO SOMEONE ELSE, ANb AL AMOUNTS DUE TO THE SECURED PARTY ARE NOT RECEIVED II THAT SALE, YOU MAY HAVE TO PAY THE DIFFERENCE, 13. NOTICE FOR ARIZONA OWNERS OF PROPERTY • It Is unlawft far you to fail to return a motor vehicle that is subject to a securit ;ntare6t, within thirty days after you have received notice of defaul~ The notice will be mailed to the address you gave us. It Is yet responsibility to notify us if your address changes, The max;mur penalty for unlawful failure to return a motor vehicle is one year l prison andlor a fine of 8150,0aa.00. ^ The !ollowing lrotfCe ~ap lirs 4N1. Y when the box rrf left is me-keC 14. N07iCf;: ANY H~LDER bF TMIS CONSUMER t:REDI' CONTRACT 15 SUBJEGT TO ALf_ GLAIMS AND DEFENSE; WHICH THE DEBTOR COLft.D ASSERT AGAINST THI SELLER OF GOODS OR SERVECES OBTAINf:D PURSUAN' HERETp IQR WITH THE PROCEEDS HEREQF. 1RECOVER` HEREUNDER BY THE DEBTOR SHALL NpT EXCEI'[ AMOUNTS PAlO 8Y TWI: IaEBTOR HEREUNDEf. 15, OTHER PROVISIONS - NXX022fLnSF rRJM (FRI)MRR 12 2010 16:05/ST,16:02/N0.6860195910 P 7 ~-~~~~ ~u~ra~t~ NEW CUMBERLANp FEDERAL CREDIT' UNItO1+1 Agreement NeAU Cumberland, PA 1717111) ~ 717.774.4t~,33 tx 717.774.7708 BASIC To induce NEW CUMBERLAND FEDERAL CREDIT UNION (the "Credit Union") QUARANTY to lend money pr give credit tq (the "Borrower"), yqu (the "Guarantor(s)"), Jointly and severally if mgrs than qne, t,arantee prompt and full payment when due the follgwing debt, Including principal and interest. s g 1 `~~' n~ at ~_-._. ~a inulrest p~ ybar with a minimum month-y payrTtera al I; ~ until the ouistandirp balance has been paid plus interest under Borrolwer's LAANLINERs AgCWMS; and you promise id pay aq oasts of collecting the art~amt ow~ad under this agreement including coud Costs end reasonable attorney fees. WHEN YOU It the Bgrrow@r fails tq pay the debt when due you promise to pay the debt tq the Credit Union upon demand. The Credit MUST PAY Union can demand that you pay the debt even if It dose not try to coAE-ct from the Borrower and without enforcing any security Interests the Borrower has given the Credit Union, SECURITY You pledge all shares andlor deposits in any of your Joint and individual accounts at the Gradlt Union ss security for your promise, The Credit Unbn has the right to apply your shams andlor deposits towards what you owe If you aro in default under this agreement. Shares andlor deposits in an Individual Retirement Account, Keogh Plan Accoum, or All SaveTB Certffkate will not be gut~ct t4 any right of set oft or to your pledge of shares andlor deposits. NO NOTICE Thls guaranty remains in effect even though you are not given notice of the loltowing: REQUIREt~ (1) If the Borrower fails to pay any amount due. (2) Of any action taken by the Credit Union with respect to property given by the Borrower as security for the debt. (3) Of any new debts with the Credit Union incurred by the Qgrrgwer, (4) Of any renewal, extension or subsUtutlgn of any of the Borrower's debts. (5) Of the acceptange by the Credit Unign of this guaranty. PAYMENTS The Credit Union hag the right to apply payments by the Borrower to any of the Borrower's debts in any order the Credit Unign elects, YOU MAY You may be sued fqr payment of the debt if the BOrrgwer Is in default and yqu da not pay the.amqunt; yqu have guaranteed. BE SUED OTHER If more than one Guarantor signs this agreement, the Credit Union Can release qr Settle with any of the Guarantors at any QUARANTORS time without affecting the liability qt the pthera. NO WAIVER The Credit Union can delay enforcing any of its rights under this agreement without losing them. OF RIQHT$ WHO IS Eagh person whg Signs below is bound jointly and severally. The Credit Union can enforce this Agreement against your BOUND heirs and legal representatives. GUARANTOR WITNESS SIGNATURES Ppl~ •~ .7~i-- PRINT NA ~~ '~`~~ X SIGN E GATE SIGNATURE GATE PRINT NAME PRINT NAME X __ _ X SIGNATURE DATE SIGNATURE RATE PRINT NAME PRINT NAME .. __ X _ _ X SIGNATURE ~ DATE SIGNATURE ~ OATE PRINT NAME PRINT NAME A /~ SGNATURE DATE 3#~IMT3RE DATE a~ WnA ANJTUAI IM9fINNCt SOptT', ti6p, 92, da, b8. Bi, ALL RlrlhlT$ PF9ERYED a3T012 dB2dLL NEW CUMBERLAND FEDERAL IN THE COURT OF COMMON PLEAS CREDIT UNION, CUMBERLAND COUNTY PLAINTIFF PENNSYLVANIA c~ ~ ,-~, c'.'. ~.~ ~-rt V. CIVIL ACTION -LAW __- _ ~'~ ~ ~ STEVEN R. SNYDER, and, ; .,, ~':, RAY G. SNYDER, JR., DEFENDANTS NO. 2010 - 1988 CIVIL TERM ^,A ; , _~~ c ~n - ,~._ AFFIDAVIT OF SERVICE OF COMPLAINT {;;~ ~.:: I hereby certify that on March 23, 2010 a true and correct copy of a Complaint endorsed with a Notice to Defend was served upon the Defendants by the U.S. Postal Service by U.S. first class mail with USPS Form 3817 as shown on Exhibit "A". Service complies with Pa.R.C.P.M.D.J. 1005. Respectfully submitted, By Date: March 23, 2010 Commonwealth of Pennsylvania County of Cumberland ss On this, the ~ 3 day of ~? p~~eff , 2010, before me, the undersigned officer, personally appeared Steven Howell, Esquire, known to me (or satisfactorily proven) to be the person whose name is subscribed to the within Affidavit of Service and acknowledged that he executed the same for the purposes therein contained. IN WITNESS WHEREOF, I hereunto set my hand and official seal. ~~~~ ~~~~ ~ Notary Public My Commission Expires: COMMONWEALTH OF PENNSYLVANIA Noterlal Seal Berit T. Howell, Notary Public New Cumberland Bono, Cumberland County ~ ~ Expros May 10, 2013 aAember, PennsYlvanla Aasoclatfon of Notanes o i y tsriuge ~ trees New Cumberland, PA 17070 (717) 770-1277 Supreme Court ID 62063 U.S. POSTAL SERVICE MAV BE USE' - CERTIFICATE OF PROVIDE FC M'41~iNG "^'n iniTFRNATIONAL Steven MAIL, DOES NOT Receives Howell ~ 2 r ~ me _ - 6 tto Y At Law o° ~ y 19 Brill ~ a ~ New ~Um~erlan~ Preet '' ~~jj niN, A1~Q1~ _ On piece of ordina rY mail ++addressed to: ~ . l4 (~ m J ~ o~ 3 ~ o a ~ c t o~oF-~ 3~ C v~ `\ o. OIVUW~• ~ ~/ (~p~a ,ZWom~~ n~. ~~a3 ~ ~ ~ z PS Far o t~ m 3817, Janua ~ n' rY 2001 ~ unr'~ -. ~~. rn~5 < rnrs ~ Ste How Certificate Of Mailin Frog men ell ~ A ttOr "'mailing. ~ O 61 neY At I.aw ° a New ~ u, i~Bricl~Ye Street - m m ~ erlanc(, BA 17~7~ To: / ~ ~ m 3 g y G ~/ f/ C ~ o._+ ~oN.~Opa' (~ c» 4 z -i PS Fqm 3817, ~4pril 2007 PSN 7530-02- ~ m D 000-9065 NEW CUMBERLAND FEDERAL IN THE COURT OF COMMON PLEAS CREDIT UNION, CUMBERLAND COUNTY PLAINTIFF PENNSYLVANIA V. CIVIL ACTION -LAW STEVEN R. SNYDER AND ~' c' , ; ;~ ~ ~.~ RAY G. SNYDER, JR., -- t ;``~ _ --' DEFENDANTS NO. 2010-1988 # _._ -,-, PRAECIPE FOR ENTRY OF DEFAULT JUDGMENT = : ~~: -_ ~_ TO THE PROTHONOTARY: Please enter a DEFAULT JUDGMENT against STEVEN RAY SNYDER AND RAY G. SNYDER, JR. for their failure to file an Answer to the Complaint served by Certified Mail March 23, 2010 to Steven Ray Snyder and Ray G. Snyder as shown on Exhibit "A-1" in accordance with PA R.C.P.D.J. No. 1005. A Notice of Intention to Take a Default Judgment was filed on April 16, 2010 and served using a U.S. Postal Certificate of Mailing by first class prepaid postage on April 15, 2010 as shown on Exhibit "A-2" (Certificate of Mailing USPS Form 3817 is attached showing service). No answer or response having been filed with the Prothonotary as of Apri129, 2010 please enter a Default Judgment in the following amount as of $6,531.32 plus all costs: Count I $5,996.27 Interest Count I $ 85.05 ($1.89 Per Diem from March 15, 2010) Fees $ 450.00 (Attorney Fees per Contract) $6,531.32 plus all costs Respectfully submitted, By: Ho ell Lav~Firm 9 Bridge Street New Cumberland, PA 17070 (717) 770-1277 Supreme Court ID 62063 Attorney for Plaintiff Date: Apri129, 2010 ~~ ~~~ ~ ,t.lG~rC~ ~~~~ COPY NEW CUMBERLAND FEDERAL CREDIT UNION, PLAINTIFF V. STEVEN R. SNYDER, and, RAY G. SNYDER, JR., DEFENDANTS IN THE COURT OF COM~!ION~~L,E , CUMBERLAND COUN'1`I~ ;,'~ _ PENNSYLVANIA ,-..,~ =Y -~=~ ? t CIVIL ACTION -LAW ~` ~, `"_~? _ _~:: =:~ ;~`- i't~ - F" i I }~ _ ., L.~S .~, :a7 ~.,~ .~.. NO. 2010 - 1988 CIVIL TERM AFFIDAVIT OF SERVICE OF COMPLAINT I hereby certify that on March 23, 2010 a true and correct copy bf a Complaint endorsed with a Notice to Defend was served upon the Defendants by the U.S. Postal Service by U.S. first class mail with LISPS Form 3817 as shown on Exhibit "A". Service complies with Pa.R.C.P.M.D.J. 1005. Respectfully submitted, By: Date: March 23, 2010 Commonwealth of Pennsylvania County of Cumberland ss yS~ven Ho~ell; Esquird' Howell Law Firm 619 Bridge Street New Cumberland, PA 17070 (717) 770-1277 Supreme Court ID 62063 On this, the 2 3 day of ~? ~a~Cf~` , 2010, before me, the undersigned officer, personally appeared Steven Howell, Esquire, known to me (or satisfactorily proven) to be the person whose name is subscribed to the within Affidavit of Service and acknowledged that he executed the same for the purposes therein contained. IN WITNESS WHEREOF, I hereunto set my hand and official seal. ~~ ~w~ .,V~.., =~ Notary Public f ~ "-y ' , My Commission Expires: -- . , ~-= = . t .,~- -_ .~. ~ '~ EXHIBIT m COMMONWEALTH OF PENNSYLVANIA Notarial Seal eerit T. Howell, Notary Publ~ New Cumberland eoro, res Mma 20 3n~ MY Qommisfiort Expl ktember, Pennaylvanla Aasociarion Cif Notaries ,~ ; v.~. rvaiH~ atKVlct CERTIFICATE OF MAILING $ MAYBE USE'- "- " ~^ ~r.in irJrcRNATIONAL MAIL, DOES NOT ~ -~~i PROVIDE FC c ,. m s''teven 1 jowell - ' o° +~" 9 Receives Attorney At L,aw -""' ~'"` " ' 619 Bride Street ~ ~~ ~~~ New Cumberland, PA 17070 ~~!~-~, r~" ~ ~ \~ ~: _ ~y~ ~: On piece of//o~~rd~~inary mail addressed to: ------~ ~;~ ,.~ ~/j C p.,... Z J3700 - ~.3 g ~.~ e ~- 7r.~-P ors ~o°= D ~~ C ~.( ~q,/- l ~ 1 ~1 U/ _ /' >~ 1"'70,x' U ~ ~ m v D PS Form 3817, January 2001 tlNI7'FD'~JdTi~ ~ i ~~~~`+' 7~ 7777Gertificate O~ IVMaili~g ... ; m This I SteVOn HOwell •••,m.•"•.m8iliny.. c m From ~ Attorney At j,aR, ~ m ~ ,ry N 619 Bride Street -- New Cumberland, PA 17070 . '/ ~F~ ~~d ~ ;~`'~"! ~"~ m i ~ ~- ~~ &~'T ~< n ,S~/Pit ~ S'itT lit ~ .~~F---~ o .,WD /~! v •~ .o7roO~o i `- D /i /L( ,P C~ /~! L G S~ tJ/q ~ l 7o,~c~~ ~ o o m P§ Fo~m.3817, Apn6.20(17 PSN`7539-02.000-9065` ' - ~== NEW CUMBERLAND FEDERAL CREDIT UNION, PLAINTIFF V. STEVEN R. SNYDER AND RAY G. SNYDER, JR., DEFENDANTS TO: Steven Ray Snyder ~~ ~i ~. IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY PENNSYLVANIA CIVIL ACTION -LAW NO. 2010-1988 138 Linda Drive Mechanicsburg PA 17050 ~ ~ ~ , Ray G. Snyder, Jr. r., ~ :~ ~ ,~, ~~~ ~ 138 Linda Drive ~ ~-- ~ Mechanicsburg PA 17050 ,~ ~-' ~ -~: ~ ~~ DATE OF NOTICE: April 15, 2010 r cc IMPORTANT NOTICE YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN APPEARANCE-PERSONALLY OR BY ATTORNEY AND FILE 1N WRITING WITH THE COURT YOUR DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU. UNLESS YOU ACT WITHIN TEN (10) DAYS FROM THE DATE OF THIS NOTICE, A JUDGMENT MAY BE ENTERED AGAINST YOU WITHOUT A HEARING AND YOU MAY LOSE YOUR PROPERTY OR OTHER IMPORTANT RIGHTS. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER. IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE. LAWYER REFERRAL SERVICE OF THE CUMBERLAND COUNTY BAR ASSOCIATION CUMBERLAND COUNTY BAR CENTER 2 LIBERTY AVENUE CARLISLE, PENNSYLVANIA 17013 (717) 249-3166 EXHIBIT m ,~ ~_ _ ~.~,._ .1:~ _..,,~n_ AVISO IMPORTANTE A: Steven Ray Snyder 138 Linda Drive Mechanicsburg PA 17050 Ray G. Snyder, Jr. 138 Linda Drive Mechanicsburg PA 17050 ECHA DEL AVISO: April 15, 2010 USTED STA EN EBELDIA PORQUE HA FALLADO DE REGISTRAR COMPARENCENCIA ESCRITA POR SI MISMO O A TRAVES DE UN ABOGADO Y SOMETER CO LA CORTE SUS DEFENSAS U OBJECCIONES A LOS CARGOS QUE SE HAN PRESETADO CONTRA USTED. A MEMOS QUE USTED ACTUE DENTRO DE DIEZ EN CONTRA SUYA SIN TENER DERECHOS A UNA VISTA Y USTED PUEDE PERDER SU PROPIEDAD U OTRO S DERECHOS IMPORTANTES. USTED DEBE LLEVAR EST DOCUMENTO A SU ABOGAbO INMEDIATAMENTE. SI USTED NO TIENE UN ABOGADO, LLAME 0 VAYA A LAW SIGUIENTE OFICINA. ESTA OFICINA PUEDE PROVEERLE. INFORMACION A CERCA DE COMO CONSEGUIR UN ABOGADO. SI USTED NO PUEDE PAGAR POR LOS SERVICIOS DE UN ABOGADO, ES POSIBLE QUE ESTA OFICINA LE PUEDE PROVEER INFORMACION ~ SOBRE AGENCIAS QUE OFREZCAN SERVICIOS LEGALES SIN CARGO O BAJO COSTO A PERSONAS QUE CALIFICAN. LAWYER REFERRAL SERVICE OF THE CUMBERLAND COUNTY BAR ASSOCIATION CUMBERLAND COUNTY BAR CENTER 2 LIBERTY AVENUE CARLISLE, PENNSYLVANIA 17013 (717) 249-3166 Respectfully submitted, By: owell Law Firm 619 Bridge Street New Cumberland, PA 17070 (717) 770-1277 Supreme Court ID 62063 Date: April 15, 2010 I hereby certify that on the ~larP ~Pr forth halnw a tn1P, and correct cony of the foregoing document was served ups prepaid, first class United States M Steven Ray Snyder 138 Linda Drive Mechanicsburg PA 17050 Ray G. Snyder, Jr. 13 8 Linda Drive Mechanicsburg PA 17050 Certificate of Service U.S. POSTAL SERVICE CERTIFICATE OF MAILING MAY BE USEf ~t PROVIDE FO Steven Dowell _ Received Attorney At Law 619 Bridge Street New Cumberland, PA 17070. ~: One piece of ordinary mail addressed to: ~4Y G ~ S~y,~e2, ~~ / 3 s~ ~ >.U D~ ;Ur2: ~ ~ /n~t~,A~vlcJ/1UyLt ~/~ / 7~y U v PS Form 3817, January 2001 0 ~ O ~0 O N o A D J _~ N ' m o ot.A ~J C o ~~ C N p~~ 0--~1W~• T~..~,~ Z~~1Z700 ~ --i •or rn ~~~ o D -i o ~ m Date: April 15, 2010 U.S. POSTAL SERVICE CERTIFICATE OF MAILING MAY BE USEr t~ PROVIDE FC Steven Howell _ Received Attorney At Law 619 Bride Street New Cumberland, PA 17070 One piece of ordinary mail addressed to: S~r~vC~,c~ ~~ Y S,~ yiJ~eR ~P~ ~~tir~s~la~~~/~ /7d ~y ~e c ?m O N ~ O ~ P' ^~ M ~ PS Form 3817, January 2001 z m ~ '~ ~ E C ~ c vl~r a v7 3 -3~• ~ O•-VWD ~ ~~ ccnom..v ~• or° ° o ~~~ • c n ~ o ~ ~ m NEW CUMBERLAND FEDERAL CREDIT UNION, PLAINTIFF V. STEVEN R. SNYDER AND RAY G. SNYDER, JR., DEFENDANTS IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY PENNSYLVANIA CIVIL ACTION -LAW NO.2010-1988 RULE 236 NOTICE OF FILING JUDGMENT (X) Notice is hereby given that a money judgment in the above captioned action has been entered against STEVEN R. SNYDER AND RAY G. SNYDER, JR., in the amount of $6,531.32 plus all costs on ~~{ ~' , 2010. (X) A copy of all documents filed with the Prothonotary in support of the within judgment is/are enclosed. Prothonotary Civil ivision BY: If you have any questions regarding this Notice, please contact the filing party: Steven Howell, Esquire Howell Law Firm 619 Bridge Street New Cumberland, PA 17070 (717) 770-1277 This Notice is given in accordance with Pa R.C.P. 236. Notice should be sent to: Steven Ray Snyder Ray G. Snyder, Jr. 138 Linda Drive 138 Linda Drive Mechanicsburg PA 17050 Mechanicsburg PA 17050 NEW CUMBERLAND FEDERAL CREDIT UNION, PLAINTIFF V. STEVEN R. SNYDER AND RAY G. SNYDER, JR., DEFENDANTS IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY PENNSYLVANIA CIVIL ACTION -LAW N0.2010-1988 PRAECIPE FOR WRIT OF EXECUTION PURSUANT TO PA. R.C.P. 3101 TO 3149 TO THE PROTHONOTARY: Please issue writ of execution in the above matter, (1) Directed to the Sheriff of Cumberland County, Pennsylvania C ~ ~, ~ r :a:r c~ . -< . ~=~_ -~~: .,- N d 4 L„ .~- z~ v~ rv ti.,.i "7't ....{ ~; _.° 3 j ;, .~. . (2) Against Garnishee WACHOVIA BANK, 3205 TRINDLE ROAD, CAMP HILL, CUMBERLAND COUNTY, PA 17011 (3) and against STEVEN R. SNYDER AND RAY G. SNYDER, JR. (4) and index this writ (a) against DEFENDANTS STEVEN R SNYDER AND RAY G. SNYDER, JR. (b) against Garnishee WACHOVIA BANK, 3205 TRINDLE ROAD, CAMP HILL, CUMBERLAND COUNTY, PA 17011 as a lis pendens against the property of the defendant in the name of the Garnishee as follows: ALL BANK ACCOUNTS, SAVINGS ACCOUNTS, MONEY MARKET ACCOUNTS OR OTHER FINANCIAL ACCOUNTS IN WHICH THE DEFENDANT/S HAS/HAVE ANY LEGAL OR EQUITABLE INTEREST INCLUDING BUT NOT LIMITED TO HER ACCOUNTS AT GARNISHEE BANK. (5) Count I Count I Interest O S TOTAL ~a~r. sd ~ 4l. '15 t/BF !'~ • Oo ~~ a. so ~, $6,531.32 71.82 ($1.89 Per Diem from 5/4/10) $6,603.14 plus all costs Respectfully submitted; By: ~ 134.75 - PD 1vT7`/ ~aool4uE ~O •So t.l. Date: June 11, 2010 e~ F~7s Steven I~- 6we1~; Esquire Ho Law Firm Bridge Street New Cumberland, PA 17070 (717) 770-1277 Supreme Court ID 62063 ~~ ~ w~;+ ~•P ~~~~ WRIT OF EXECUTION and/or ATTACHMENT COMMONWEALTH OF PENNSYLVANIA) COUNTY OF CUMBERLAND) NO 10-1988 Civil CIVIL ACTION -LAW TO THE SHERIFF OF CUMBERLAND COUNTY: To satisfy the debt, interest and costs due NEW CUMBERLAND FEDERAL CREDIT UNION, Plaintiff (s) , From STEVEN R. SNYDER and RAY G. SNYDER, JR, 138 Linda Drive, Mechanicsburg, PA 17050 (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: WACHOVIA BANK, 3205 Trindle Road, Camp Hill, PA 17011 All bank accounts, savings accounts, money market accounts or other financial accounts in which the defendants have any legal or equitable interest including but not limited to their accounts at bank. 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 $6,531.32 Interest ($1.89 per diem from 5/4/10) -- $71.82 Atty's Comm Atty Paid $132.75 Plaintiff Paid Date: 6/14/10 L.L. $.50 Due Prothy $2.00 Other Costs D ue 1, rothonotary (Seal) By: Deputy REQUESTING PARTY: Name STEVEN HOWELL, ESQUIRE Address: HOWELL LAW FIRM 619 BRIDGE STREET NEW CUMBERLAND, PA 17070 Attorney for: PLAINTIFF Telephone: 717-770-1277 Supreme Court ID No. 62063 SHERIFF'S OFFICE OF CUMBERLAND COUNTY Ronny R Anderson ~~,IrQ--~ ~ {~~ Sheriff - 7= TNr o=''~ `!':~~4F?Y ~~~+,ttr s( tuauf~,p~,f~~~~ ~ i =;t. Jody S Smith ZO~~ ~~~~ 2$ ~~ '~~ i1 • Chief Deputy , Richard W Stewart ~+~ t c~FS . ~ ~•:t~i~~ CUP~P~~. .~1..1U{vtY Solicitor ~ ~ ~~ ~ ~ _n New Cumberland Federal Credit Union Case Number vs. 2010-1988 Steven R Snyder (et al.) SHERIFF'S RETURN OF SERVICE 06/24/2010 03:53 PM -Ryan E. Burgett, Deputy Sheriff, who being duly sworn according to law, states that on June 24, 2010 at 1551 hours, attached as herein commanded all goods, chattels, rights, debts, credits, and monies of the within named defendant, to wit: Steven R. Snyder and Ray G. Snyder, Jr., in the hands, possession, or control of the within named garnishee, Wachovia Bank, 3205 Trindle Road, Camp Hill, Cumberland County, Pennsylvania 17011, by handing to Sarah Fanelli, Customer Sales and 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 June 25, 2010 to Steven R. Snyder at 138 Linda Drive, Mechanicsburg, PA 17050 and also to Ray G. Snyder, Jr., at 138 Linda Drive, Mechanicsburg, PA 17050. SO ANSWERS, ,~ ~-- June 25, 2010 RON R ANDERSON, SHERIFF Ryan E. Burgett, Deputy _~ GrueiySuR~ he:n+f. reiecsott. h,.c. NEW CUMBERLAND FEDERAL IN THE COURT OF COMMON PLEAS CREDIT UNION, CUMBERLAND COUNTY PLAINTIFF PENNSYLVANIA V. CIVIL ACTION -LAW n STEVEN R. SNYDER AND ~ o Q RAY G. SNYDER, JR., ~ _ ~-: c DEFENDANTS NO. 2010-1988 r, i" r _ ca ~~: ° ~` PRAECIPE TO DISSOLVE WRIT OF EXECUTION A~' NSA' GARNISHEE WACHOVIA BANK TO: PROTHONOTARY GARNISHEE WACHOVIA BANK 3205 TRINDLE ROAD CAMP HILL PA 17011 DEFENDANTS STEVEN R. SNYDER AND RAY G. SNYDER, JR. ~~ rn ~~ ~;x Please dissolve the writ of execution against the Defendants Steven R. Snyder and Ray G. Snyder, Jr., served upon Wachovia Bank on June 24, 2010 by the Sheriff of Cumberland County. Respectfully submitted, Date: June 30, 2010 By: ~3owell Law Firm / 619 Bridge Street New Cumberland, PA 17070 (717) 770-1277 Supreme Court ID 62063 ~~% ~~-!XJ f¢~y' ~w~ G~,G'#- g3ia ~~ SHERIFF'S OFFICE OF CUMBERLAND COUNTY Ronny R Anderson Sheriff Jody S Smith Chief Deputy Richard W Stewart Solicitor ~.°`~u1r cif ~u~n~r~,~~~~ _ 'M f" Z' ~?'q -_ ; ~,. pFfi~E ~. ~ T••E SkERIFF r ~r`~'I-r1~~ '~~ TF-{ p :` Z~10 JU_ -a ~~~ 3~ i f~l ~~~. trt.Sl(n New Cumberland Federal Credit Union vs. Case Number Steven R Snyder (et al.) 2010-1988 SHERIFF'S RETURN OF SERVICE 06/24/2010 03:53 PM -Ryan E. Burgett, Deputy Sheriff, who being duly sworn according to law, states that on June 24, 2010 at 1551 hours, attached as herein commanded all goods, chattels, rights, debts, credits, and monies of the within named defendant, to wit: Steven R. Snyder and Ray G. Snyder, Jr., in the hands, possession, or control of the within named garnishee, Wachovia Bank, 3205 Trindle Road, Camp Hill, Cumberland County, Pennsylvania 17011, by handing to Sarah Fanelli, Customer Sales and 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 June 25, 2010 to Steven R. Snyder at 138 Linda Drive, Mechanicsburg, PA 17050 and also to Ray G. Snyder, Jr., at 138 Linda Drive, Mechanicsburg, PA 17050. 07/06/2010 Ronny R. Anderson, Sheriff, who being duly sworn according to law, states this writ of execution is returned SATISFIED. SHERIFF COST: $236.27 (PAID BY DEFENDANT) SO ANSWERS, -..._: July 06, 2010 RON R ANDERSON, SHEFj~FF Aron R. Lantz a •oo Pd , ~ . ~~ 7~ 9/~ ~~f~f7~~ (cj CountySuite Shenft. 'Peleosoft. Ina NEW CUMBERLAND FEDERAL CREDIT UNION, PLAINTIFF V. STEVEN R. SNYDER AND RAY G. SNYDER, JR., DEFENDANTS IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY PENNSYLVANIA CIVIL ACTION -LAW N0.2010-1988 c~ '~ .~, _ ~, ~~ ` m~ ~ ~ ~ z -- r - -;rr < u~ - . r _ = . - ~ ~ _ - - ~ __. - c..~ -~: PRAECIPE TO SATISFY JUDGMENT TO THE PROTHONOTARY: Please issue a praecipe that the Defendants Steven R. Snyder and Ray G. Snyder, Jr., have settled and paid in full the Judgment issued May 4, 2010. Respectfully submitted, By: Nowell Law Firm 619 Bridge Street New Cumberland, PA 17070 Supreme Court ID 62063 Date: July 14, 2010