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HomeMy WebLinkAbout10-2157i ,- 2074626 THIS IS AN ARBITRATION MATTER. ASSESSMENT OF DAMAGES HEARING REQU `REDE ?? C GORDON & WEINBERG, P.C. BY: FREDERIC I. WEINBERG, ESQUIRE Identification No.: 41360 . aL -JOEL M. FLINK, ESQUIRE Identification No.: 41200 4_•< r?= 1001 E. Hector Street, Ste 220 N Conshohocken, PA 19428 484/351-0500 ARROW FINANCIAL SERVICES LLC COURT OF COMMON PLEAS 600 Broadhollow Road, CUMBERLAND COUNTY Melville NY 11747 VS. DOCKET NO. : Ip -41s7 ?? lT STEPHEN FROMMELL 96 HUMMEL AV LEMOYNE PA 17043 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 JUDGEMENT 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, 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. CUMBERLAND COUNTY BAR ASSOCIATION 32 S. BEDFORD STREET CARLISLE, PA 17013 O (717) 249-3166 9a•oo PQ Am ?? ItoS? ? a3gc?c?" I % COMPLAINT IN CIVIL-ACTION 1. Plaintiff, ARROW FINANCIAL SERVICES LLC a debt buyer and successor in interest to the original creditor, GE Money Bank. 2. At all times relevant hereto, the defendant (s) was the holder of a credit card, which at the request of the defendant(s) was issued to the defendant(s) by the original creditor under the terms of which the original creditor agreed to extend to defendant(s)the use of original creditor's credit facilities. 3. Defendant (s) accepted and used the aforesaid credit card so issued and by so doing agreed to perform the terms and conditions prescribed by the original creditor for the use of said credit card. 4. The defendant (s) received and accepted goods and merchand- ise and/or accepted services or cash advances through the use of the credit card issued by the original creditor. A true and correct copy of the Statement of Account or Affidavit of Account, if available, is attached hereto as Exhibit "A". 5. All the credits to which the defendant(s)is entitled have been applied and there remains a balance due as of February 22, 2010 in the amount of $2,449.88. 6. Plaintiff has made demand upon the defendant(s)for payment of the balance due but the defendant(s)has failed and refused and still refuses to pay the same or any part thereof. II 7. Defendant's last payment on account was made on 11/5/2008. WHEREFORE, plaintiff claims of the defendant(s) the sum of $2,449.88 plus applicable costs, interest and attorney's fees. GORDON & WEINBERG, P.C. BY: FREDERIC I. W NBE , ESQUIRE JOEL M. FLINK, IRE Attorney for Plaintiff POIP.DB 1 S 2074626 44522511 Arrow Financial Services, LLC STBPHZN FRCS LL 6019180907656520 yamriCATion 2 hereby state that I am the agent for the plaintiff herein, and that the facts set forth in the attached Affidavit which is incorporated by reference in the foregoing Complaint in Civil Action are true and correct to the best of my knowledge, information and belief and is based upon information which plaintiff has furnished to counsel. The language in the Complaint is that of counsel and not of plaintiff. To the extent that the contents of the Complaint are that of counsel, plaintiff has relied upon counsel in making this verification. This verification is made subject to 10 Pa.C.S. 54904 which provides for certain penalties for making false statements. xC(/llL4GCG1/{ JJ9?? EXHIBIT "A" 2074626 ARRow rimxcm SERVICES, LLC STSPSZN FRCmELL 6019180907656520 State of Illinois County of Cook Aff IDAVIT I, being duly served sworn accordin to law that: 9 deposes and say I an eWloysd as the legal outsourcing clerk for the Plaintiff herain and I have custody and control of the files relating to this account; 2. I have personal knowledge of the facts and circumstances in connection with.this case and bass this affidavit on Plaintiff's records, as well as the account information provided to Plaintiff by GZ Money sank when GZ Money sank sold the account to Arrow Financial Services, LLC. 3, Plaintiff's files are maintained in the usual and ordinary course of business; 4• This action is based on a claim for breach of contract and that damages are sought as a direct result of said breach; 5. There is now due and owing from defendant to plaintiff, the amount of 41,917,96 plus interest of $482,50 at the rate of 24.75% less credits in the amount of 4.00 totaling 42,400.46 as of January 15, 2010. 6. If called upon, affiant can testify at trial as to the facts pertaining to this natter. The above facts are true and cor at to the best of my knowledge' information and belief. AFFIAxT Sworn to and S7 bed before me this day of , 2010 otary Public "OFFICIAL SEAL" F Patricia Wallace My Notary Ez ress / a10?12 2074626 GORDON & WEINBERG, P.C. BY: FREDERIC I. WEINBERG, ESQUIRE Identification No.: 4:-360 JOEL M. FLINK, ESQUIRE Identification No.: 41200 1001 E. Hector Street, Ste 220 Conshohocken, PA 19428 484/351-0500 ?;F THE 0TH©N TA 2012 JUL -2 PH 2: 20 E AND CAUNTY YLVA A ARROW FINANCIAL SERVICES LLC VS. STEPHEN FROMMELL COURT OF COMMON PLEAS CUMBERLAND COUNTY DOCKET NO. : 10-2157 PRAECIPE TO WITHDRAW COMPLAINT TO THE PROTHONOTARY: Kindly withdraw the above-captioned action, without prejudice. GORDON & WEINBERG, P.C. BY: 6 - .?tINBERG, ESQUIRE FREDERIC IV JOEL M. FLI K., ESQUIRE Attorney for Plaintiff P006 CERTIFICATION OF SERVICE I, FREDERIC I. WEINBERG, ESQUIRE, hereby certify that I, on the date below, served a copy of the Praecipe to Withdraw Complaint to Pa.R.C.P. 1028(c)(1), via First Class Mail, postage pre-paid, to all other parties or their counsel of record. FREDtRk I. WEINBERG, ESQUIRE Dated ?; `? ??