HomeMy WebLinkAbout10-7706COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
lp ~- 7 706 ~;~,~
Notice of Judgment/Transcript
Residential Lease
Mag. Dist. No: MDJ-09-3-02
MDJ Name: Honorable Vivian Cohick
Address: 55 Penn Drive
Newville, PA 17241
Telephone: 717-776-3187
Ilgenfritz Properties
P.O. Box 276
Minnie Ilgenfritz
Plainfield, PA 17081
Disposition Details
Grant possession.
Grant possession if money judgment is not satisfied by the time of eviction.
Bryan Rodgers
Wage attachment is prohibited due to lack of personal service.
Wage attachment is prohibited under Title 42 Section 8127.
Ilgenfritz Properties
Wage attachment is prohibited due to lack of personal service.
Wage attachment is prohibited under Title 42 Section 8127.
Disposition Summary
Docket No Plaintiff Defendant
MJ-09302-LT-0000173-2010 Ilgenfritz Properties Bryan Rodgers
Judgment Summary Joint/Several Liability Individual Liability
Participant
Bryan Rodgers $0.00 $3,568.58
Ilgenfritz Properties $0.00 $0.00
Judgment Detail ~*Post Judgment)
Ilgenfritz Properties
v.
Bryan Rodgers
Docket No: MJ-09302-LT-0000173-2010
Case Filed: 11/1/2010
Yes
No
No
No
No
No
Disposition Disposition Date
Judgment for Plaintiff 11 /10/2010
Amount
$3,568.58
$0.00
In the matter of Ilgenfritz Properties vs. Bryan Rodgers on 11/10/2010 the disposition is Judgment for Plaintiff and judgment
was awarded as follows:
The amount of rent per month, as established by the Magisterial District Judge, is $520.00
Judgment Component Joint/Several Liability Individual Liability Deposit Applied Amount
Costs $0.00 $133.00 S133.00
Physical Damages to Property $0.00 $656.00 S656.00
Rent in Arrears $0.00 $2,779.58 52.779.58
Grand Total: 53,568.58
MDJS 315A Page 1 of 2 Printed: 11 /10/2010 3:10:OOPM
Ilgenfritz Properties
v.
Bryan Rodgers
Docket No.: MJ-09302-LT-0000173-2010
IN AN ACTION INVOLVING A RESIDENTIAL LEASE, ANY PARTY HAS THE RIGHT TO APPEAL FROM A JUDGMENT FOR POSSESSION
WITHIN TEN DAYS AFTER THE DATE OF ENTRY OF JUDGMENT BY FILING A NOTICE OF APPEAL WITH THE PROTHONOTARY/CLERK OF
COURT OF THE COURT OF COMMON PLEAS, CIVIL DIVISION. THIS APPEAL WILL INCLUDE AN APPEAL OF THE MONEY JUDGMENT, IF ANY.
IN ORDER TO OBTAIN A SUPERSEDERS, THE APPELLANT MUST DEPOSIT WITH THE PROTHONOTARY/CLERK OF COURTS THE LESSER OF
THREE MONTHS RENT OR THE RENT ACTUALLY IN ARREARS ON THE DATE THE APPEAL IS FILED. HOWEVER, LOW-INCOME ANDIOR
SECTION 8 TENANTS SHOULD REFER TO Pa.R.C.P.M.D.J. NO. 1008 OR 1013 FOR DIFFERENT PROCEDURES REGARDING THIS DEPOSIT.
IF A PARTY WISHES ONLY TO APPEAL THE MONEY PORTION OF A JUDGMENT INVOLVING A RESIDENTIAL LEASE, THE PARTY HAS 30
DAYS AFTER THE DATE OF ENTRY OF JUDGMENT IN WHICH TO FILE A NOTICE OF APPEAL WITH THE PROTHONOTARY/CLERK OF COURTS
OF THE COURT OF COMMON PLEAS, CIVIL DIVISION.
THE PARTY FILING AN APPEAL MUST INCLUDE A COPY OF THIS NOTICE OF JUDGMENT/TRANSCRIPT FORM WITH THE 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 COMMON PLEAS AND NO FURTHER 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.
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Date Magisterial District Judge Vivian Cohick ~ ~ ~'
I certify that this is a true and correct copy of the record of the proceedings containin the judgment.
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Date Magisterial District Judg ivian Cohick
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MDJS 315A Page 2 of 2
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Printed' 11/10/2010 3:10:OOPM
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# 65184
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1 Irvine Row 4{
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Carlisle, PA 17013
(717) 249-7780
ILGENFRITZ PROPERTIES,
PLAINTIFF
vs.
BRYAN RODGERS,
DEFENDANT
Attorney for Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
NO. 2010-07706
Praecipe for Notice of Intent to Attach Wages
To The Prothonotary:
Issue a Notice of Intent to Attach Wages in the above matter
(1) against BRYAN RODGERS, defendant
(2) against BLUE BEACON OF CARLISLE., employer of the defendant.
Dated: January 1 2011
Susan J. ? Esquire
Attorney for udgment Creditor-
Landlord
1 Irvine Row, Carlisle, PA 17013
717-249-7780
0 '2 1/. 00 rd, 44
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Susan J. Hartman
I.D. # 65184
1 Irvine Row
Carlisle, PA 17013
(717) 249-7780
ILGENFRITZ PROPERTIES,
PLAINTIFF
VS.
BRYAN RODGERS,
DEFENDANT
Attorney for Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
NO. 2010-07706
Certification by Judgment Creditor-Landlord
I certify that
1. The plaintiff judgment-creditor is ILGENFRITZ PROPERTIES, P.O. Box 276, Plainfield, PA
17015
2. The defendant judgment-debtor is BRYAN RODGERS, 2113 Newville Road, Carlisle, PA
17013.
3. The employer garnishee is BLUE BEACON OF CARLISLE, 40 Clinton Avenue,
Carlisle, PA 17013.
4. The judgment arises out of a residential lease for the premises at 26 E. Main Street, Apt. #4,
Newville, Cumberland County, Pennsylvania 17241.
5. (a) The amount of the judgment is $3,568.58.
(b) A security deposit in the amount of $575.00 was held by the judgment creditor-landlord.
The entire amount was retained and attributed towards cleaning, removal of junk, pet fumigation,
water bill for Sept.- December, early termination fee as per lease. No letter was sent to debtor-
tenant as he did not furnish judgment creditor-landlord with a forwarding address.
(c) No money has been paid toward satisfaction of the judgment.
6. This praecipe is filed within five years of the date of the original judgment upon which
execution is sought.
7. The judgment was entered in an action brought before a magisterial district judge.
8. Check the appropriate paragraph and attach the required documents:
X (a) If the judgment was entered in a civil action (Pa.R.C.P.M.D.J. 301 et seq.) before
magisterial district judge, a copy of the complaint filed with the magisterial district judge is
attached to this Notice, showing that the action arose from a residential lease.
(b) If the judgment was entered in an action for the recovery of possession of real
property (Pa.R.C.P.M.D.J. 501 et seq.) before a magisterial district judge, copies of the
appropriate magisterial district judge records are attached showing that the action arose from a
residential lease and that the defendant appeared or filed papers in the action or that the
complaint was served by handing a copy to the defendant.
(c) If the judgment was entered in an action in the Philadelphia Municipal Court in
which the defendant was served pursuant to Phila. M.C.R.Civ. P.No. 111(A) or (D), a copy of the
complaint filed with the Philadelphia Municipal Court is attached to this Notice, showing that the
action arose from a residential lease.
(d) If the judgment was entered in an action in the Philadelphia Municipal Courtin
which the defendant was served pursuant to Phila. M.C.R.Civ.P. No. I I I(B), copies of the
appropriate Philadelphia Municipal Court records are attached showing that the action arose from
a residential lease and that the defendant appeared or filed papers in the action.
I certify that the statements made in this Certification are true and correct. I understand that
false statements herein are made subject to the penalties of 18. Pa.C.S.section 4904 relating to
unsworn falsification to authorities.
Date: / 3
laz
J dgment Creditor-La d
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: C1D1lsgERL Nn
Mag. Dist. No.:
MDJ Name: Hon.
09-3-02
VIVIAN COHICR
Address: 55 PENN DR
NEVMLLE, PA
Telephone: (717 ) 776 - 3187
LANDLORD AND
PLAINTIF TENANT COMPLAINT
r I t?? NAME and ADDRESS
?I1 I? '1?-
P o d L (o
L P),t Xe Id f t? A (_70 F
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17241 DEFENDANT: VS NAME and ADDRESS
Filing Costs $ /07. $b / /gyp/11
Postage $
Service Costs $ --7-7-
Total table Ed. $
Pa.R.C.P.D.J. No. 206 sets forth those costs recoverable by
the prevailing party.
r _B ryas ?mod. l?rS1 7
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Docket No.: - ??
Date Filed:
Nov, o
TO THE DEFENDANT: The above named plaintiff(s)
asks judgment together with costs against you for
the possession of real property and for:
Lease is (9 Residential FINonresidential.
Damages for injury to the real property, to wit:
in the amount of: $ tiS7o p(?
Damages for the unjust detention of the real property in the amount of
Rent remaining due and unpaid on filing date in the amount of
® And additional rent remaining due and unpaid on hearing date
Attorney fees in the amount of
$ 126`9 ?
$ I s7. &v
THE PLAINTIFF FURTHER ALLEGES THAT: n? (?yy Total: $ 34135, aS
1. The location and the address, if any, of the real property is: A& t7`Yd 117 J71*J4 / Aollrli,,44
2. The plaintiff is the landlord of that property. I!.?-y/
3. He leased or rented the property to you or to 4 V S under whom you claim.
4. ? Notice to quit was given in accordance with law, or
F]No notice is required under the terms of the lease.
5. [ ] The term for which the property was leased or rented is fully ended, or
FIA forfeiture has resulted by reason of a breach of the conditions of the lease, to wit:
KRent reserved and due has, upon demand, remained unsatisfied.
or,
6. You retain the real property and refuse to give up its possession.
I, RI? V-111
verify that the facts set forth in this comp) 'nt
are true and correct to the best 61 my knowled e, information and lief. This tatement is made subject t t e
penalties of Section 4904 of the Crimes Code (18 PA. C. S. § 49 relatin unswgrn f fi t au rities.
_7I7-39 ignatureo P1d1nffffT
(Plaintiff's Attorney) (Address) (Phone)
IF YOU HAVE A DEFENSE to this complaint you may present it at the hearing. IF YOU HAVE A CLAIM against the plaintiff arising out of the occupancy of the premises,
which is in the magisterial district judge jurisdiction and which you intend to assert at the hearing, YOU MUST FILE it on a complaint form at this office BEFORE THE TIME set for the
hearing. IF YOU DO NOT APPEAR AT THE HEARING, a judgment for possession and costs, and for damages and rent if claimed, may nevertheless be entered against you.
A judgment against you for possession may result in your EVICTION from the premises.
If you are disabled and require a reasonable accommodation to gain access to the Magisterial District Court and its services,
please contact the Magisterial District Court at the above addraian nr tafanhnna nammill- w.
may no recorded on revarsa
Landlord and Tenant Complaint to be filed against Bryan Rodgers
Damages for injury to the real property:
Clean all carpets as per lease agreement $130.00
Remove Junk and debris (if left abandoned) $300.00
Replace 2 original keys (if not returned) $6.00
Rekey 2 deadbolt and 2 door knobs (if keys not returned) $80.00
Cleaning charges if house is not cleaned $140.00
approx 8 hours @ $17.50/hour
Subtotal $656.00
Rent remaining due and unpaid
Rent July 1-31, 2010 $103.98
Rent August 1-31, 2010 $520.00
Unpaid Administrative fees for August 2010 $85.00
Rent September 1-30, 2010 $520.00
Returned check charge 9/8 $39.00
Unpaid Administrative fees October 2010 $85.00
Rent October 1-31, 2010 $520.00
Unpaid Administrative fees November 2010 $85.00
Trip charges 10/8, 10/10 $40.00
Returned check charge 10/13 $39.00
Rent November 1-30, 2010 $520.00
Unpaid Administrative fees November 2010 $15.00
Trip charge 11/1 $20.00
Subtotal $2,591.98
Additional Rent remaining due and unpaid on hearing date
Water/Sewer charges 6/30/10-9/30/10 due 11/19/2010 $112.56
Water/Sewer charges 9/30/10-11 /1 /10 $75.04
Subtotal $187.60
Total $31435.58
Plus filing fees
Susan J. Hartman
I.D. # 65184
1 Irvine Row
Carlisle, PA 17013
(717) 249-7780
ILGENFRITZ PROPERTIES,
PLAINTIFF
vs.
BRYAN RODGERS,
DEFENDANT
Attorney for Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
: NO. 2010-07706
NOTICE OF INTENT TO ATTACH WAGES
SALARY OR COMMISSIONS
Date of service of this Notice: (Date to be inserted by the Sheriff)
A Judgment has been entered against you in court for nonpayment of rent for, or damage
to, residential property that you rented. The judgment creditor-landlord has begun proceedings to
attach 10% of your net wages, salary or commissions for each pay period until the judgment is
satisfied.
The following exception will prevent your wages from being attached:
Poverty Guidelines - Your wages may not be attached if your net income is below the
poverty income guidelines as provided annually by the Federal Department of Health and Human
Services or if the amount of the attachment would cause your net income to fall below the
poverty income guidelines. A copy of the guidelines is attached to this notice.
If this exemption is applicable to you, you must return the claim for exemption of wages
which is attached to the prothonotary within 30 days of the date of service of this notice upon
you. The date of service of this notice se set forth above. If you return the form claiming this
exemption within 30 days, your wages will not be attached without subsequent court
proceedings.
There may be other legal grounds for opposing the wage attachment that you may be able
to raise by filing a motion with the court. For example, your wages may not be attached if you an
abused person or victim as set forth in Section 8127(f) of the judicial Code when the attachment
is to satisfy a judgment for physical damages to the leased premises.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO
NOT HAVE A LWYER, 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 South Bedford Street
Carlisle, PA 17013
717-249-3166
Susan J. Hartman
I.D. # 65184
1 Irvine Row
Carlisle, PA 17013
(717) 249-7780
Attorney for Plaintiff
ILGENFRITZ PROPERTIES,
PLAINTIFF
vs.
BRYAN RODGERS,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
NO. 2010-07706
DEFENDANT
CLAIM FOR EXEMPTION FROM
WAGE ATTACHMENT
This Claim for Exemption must be filed with the Prothonotary of the Court within
30 days of service upon you of the Notice of Intent to Attach Wages.
To the Prothonotary:
I, the above-named defendant, claim exemption of my wages, salary or commissions from
attachment on the following ground:
My net monthly income is below the poverty income guidelines as provided by the
Federal Department of Health and Human Services.
The amount of wages to be attached would place my net income below the poverty
income guidelines as provided annually by the Federal Department of Health and Human
Services.
I have dependents.
My net monthly income is $
(Net monthly income is your total monthly wages less (1) any support payments made to
the court, (2) federal state and local income taxes, (3) FICA payments and nonvoluntary
retirement payments, (4) union dues and (5) health insurance premiums.)
I certify that the statements made in this Claim for Exemption are true and correct. I
understand that flse statements herein are made subject to the penalties of 18 Pa.C.S.section 4904
relating to unsworn falsification to authorities.
Date:
Defendant
This Claim shall be delivered to: Office of the Prothotary
Court of Common Pleas
One Courthouse Square
Carlisle, PA 17013
Telephone 717-240-6195
SHERIFF'S OFFICE OF CUMBERLAND COUNTY
Ronny R Anderson
Sheriff ,,,r f r FILED-OFFICE
OF THE PROTHONOTARY
Jody S Smith
Chief Deputy Z0t JAN 25 PM 12: 2$
Richard W Stewart Solicitor C'FA' ` - `-E "zF CUMBERLAND COUNTY
PENNSYLVANIA
Ilgenfritz Properties Case Number
vs. 2010-7706
Bryan Rodgers
SHERIFF'S RETURN OF SERVICE
01/21/2011 08:43 PM - Shawn Gutshall, Deputy Sheriff, who being duly sworn according to law, states that on Januan/
21, 2011 at 2043 hours, he served a true copy of the within Notice of Intent to Attach Wages, upon the
within named defendant, to wit: Bryan Rodgers, by making known unto Mona Rodgers, Mother of
defendant at 117 Walnut Street, Carlisle, Cumberland County, Pennsylvania 17013 its contents and at the
same time handing to her personally the said true and correct copy of th ame.
WN G ALL, DEPUTY
SHERIFF COST: $44.64
January 24, 2011
SO ANSWERS,
RON R ANDERSON, SHERIFF
Cpu I' T sa L, She! i - soft. (e,:
FIE
THE t
Susan J. Hartman
I.D. # 65184
1 Irvine Row
Carlisle, PA 17013
(717) 249-7780
X011 FEB 23 AM B: L-
PENNSYL` ANh' ,
Attorney for Plaintiff
ILGENFRITZ PROPERTIES,
PLAINTIFF
vs.
BRYAN RODGERS,
DEFENDANT
To the Prothonotary:
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
NO. 2010-07706
PRAECIPE
The Defendant having failed to timely file a claim for exemption of wages from
attachment in the above-captioned matter, please issue a writ for the attachment of wages
pursuant to Rule 3304 lµ 4t'\'e of X35'.", 5 S
Susan J. HartfEau/an esquire
Attorney for Ju ment Creditor-
Landlord
1 Irvine Row, Carlisle, PA 17013
717-249-7780
Dated: d XAY a a, .2-D I l
5 .' 41/, 64( ?c .
a 71 aS "
y
a?-00
4 . g,y
Susan J. Hartman
I.D. # 65184
1 Irvine Row
Carlisle, PA 17013
(717) 249-7780
Attorney for Plaintiff
ILGENFRITZ PROPERTIES,
PLAINTIFF
vs.
BRYAN RODGERS,
DEFENDANT
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL DIVISION
NO. 2010-07706
Writ of Attachment of Wages, Salary or Commissions
Commonwealth of Pennsylvania
County of Cumberland
To: BLUE BEACON OF CARLISLE., employer of Defendant BRYAN RODGERS
40 Clinton Avenue, Carlisle, PA 17013
You have been identified as the employer of the above-named defendant.
You are directed to withhold the wages, salary and commissions of the defendant in your
possession to satisfy the judgment against the defendant.
You are notified that
1. An attachment of wages, salary and commissions has been issued;
2. You are ordered to withhold from the wages, salary and commissions of the defendant
an amount per pay period which does not exceed ten (10) percent of the defendant's net wages,
salary and commissions;
Net wages are all wages paid less only the following items: (1) any support payments
made to the court, (2) federal, state and local income taxes, (3) F.I.C.A. payments and
nonvoluntary retirement payments, (4) union dues and (5) health insurance premiums.
The total amount attached is $3,568.58 and the withholding must continue until the
amount of the attachment is satisfied;
4. The attached wages shall be sent to the prothonotary of the court of common pleas
within fifteen (15) days from the close of the last pay period in each month. The check must
a. contain the name of the employee whose wages are being withheld,
b. be made payable to the Prothonotary, and
c. be sent to:
Prothonotary
Court of Common Pleas
Wage Attactment Remittance
1 Courthouse Square
Carlisle, PA 17013
Telephone 717-240-6195
5. You are entitled to deduct each pay period from the money collected from the
defendant employee the costs incurred from the extra bookkeeping necessary to record the
transaction, not exceeding $5.00 of the amount of money so collected.
6. By law, you may not take any adverse action against the defendant because his or her
wages, salary or commissions have been attached.
7. You shall send the following notice to the prothonotary if the defendant has never
been or is no longer an employee:
I have received a Writ of Attachment in the following case:
ILGENFRITZ PROPERTIES vs. BRYAN RODGERS, No.
The following person, BRYAN RODGERS, has never been ( ) or
is no longer an employee ( ).
Date:
Employer
Prothonotary
Ilgenfritz Properties IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
VS CIVIL DIVISION
Bryan Rodgers, No. 2010-7706 Civil Term
Employee
TO: Blue Beacon of Carlisle
40 Clinton Ave.
Carlisle, PA 17013
RE: Writ of Attachment of Wages, Salary or Commissions
WRIT OF ATTACHMENT
The above employer shall attach and deduct from the wages of the above employee a sum not to
exceed ten (10%) of the net wages per pay period of said employee or a sum not to place employees net
income below poverty income guidelines as provided annually by the Federal Office of Management and
Budget, whichever is less. "Net wages" shall mean all wages paid, less only the following items:
1. Federal, State and Local income taxes;
2. F.I.C.A. payments and non-voluntary retirement payments;
3. Union dues; and,
4. Health insurance premiums
The amount wages to be attached shall total $3,568.58 (plus costs)
The employer shall send the attached wages to the Prothonotary, Cumberland County
Courthouse, One Courthouse Square, Carlisle, PA 17013, payable to Plaintiff-Creditor: Ilgenfritz
Properties within fifteen (15) days from the close of the last pay period in each month. The employer
shall be entitled to deduct from the wages collected from the employee pursuant hereto the costs incurred
from the extra bookkeeping necessary to implement the terms within the Writ of Attachment, not exceeding
$5.00 of the amount of the wages so deducted. If you, the employer, are served with more than one Writ of
Attachment for damages arising out of a residential lease against the same employee, then the wage
attachments shall be satisfied in the order in which said Writs of Attachment were served. Each prior wage
attachment shall be satisfied before any effect is given to a subsequent attachment.
You shall not take any adverse action against the employee solely because his wages, salaries or
commissions have been attached. Violations may result in (i) you being adjudged in contempt and
committed to jail or fined by the court and (ii) an action against you by the employee for damages.
Willful failure to comply with this Writ of Attachment may result in (i) you being adjudged in
contempt of court and committed to jail or fined by the court; (ii) you being held liable for any amount not
withheld, or withheld but not forwarded to the Prothonotary's office; and, (iii) attachment of your funds or
property.
This Writ of Attachment has been entered pursuant to 42 PA. C.S.A. 8127, as amended by House
Bill 908, Act 5 of 1996, effective February 15, 1996. A copy of this Writ of Attachment has been sent by
U.S. Mail, postage prepaid, to the employee's last known address at:
Bryan Rodgers
117 Walnut St.
Carlisle, PA 17013
Any questions should be directed to the Plaintiff-Creditor:
Susan J. Hartman, Esq., 1 Irvine Row, Carlisle, PA 17013 (717) -7780
Date: 02/23/2011 ?
David D. Bueli, Prothonotary
Costs: $95.89 By De
I have received a Writ of Attachment in the following case:
Plaintiff
No of Year
v. Defendant
David D. Buell, Prothonotary
You shall send the following notice to the Prothonotary if the defendant has never been or is on longer an
employee on company letterhead:
Date:
has never been (_ )
Signature of Employer
Print name of Employer
Address
Address
Telephone #
For Prothonotary use only
Date:
The following person,
Or is no longer and employee (_)
Deputy
(Seal of the Court)
Susan J. Hartman Attorney for Plaintiff
I.D. # 65184
1 Irvine Row
Carlisle, PA 17013
(717) 249-7780
ILGENFRITZ PROPERTIES, : IN THE COURT OF COMMON PLEAS OF
PLAINTIFF : CUMBERLAND COUNTY, PENNSYLVANIA
vs. : CIVIL DIVISION C)
c a
BRYAN RODGERS, : NO. 2010-07706 rn s5•
DEFENDANT == = ?rn
N 4
O'
PRAECIPE zCl) _ rt
,
DZ <,a orn
To the Prothonotary, c
Please re-issue a Writ of Attachment in the above-captioned matter to reflect the correct
company name and address for BLUE BEACON USA LP, PO Box 856, Saline, KS 67402-0856,
as per the letter attached hereto as Exhibit "A".
Thank you.
usan J. Ha squire
Attorney for J ment Creditor-
Landlord
1 Irvine Row, Carlisle, PA 17013
717-249-7780
Dated: ?jj?y , 1707, 07.0 /l
March 3, 201 1
Susan Hartman, ESQ
1 IRVINE ROW
CARLISLE, PA 17013
RE: BRYAN RODGERS - Case #2010-7706 CIVIL TERM
To Whom It May Concern:
BLUE BEACON of CARLISLE does not employ BRYAN RODGERS . BLUE
BEACON USA LP, Federal ID #48-1069918, employs this employee. If you
wish to provide a corrected summons and order of garnishment we will
gladly comply with the corrected order.
We do process the payroll for BLUE BEACON USA LPand request that you
change the company name and address for all correspondence
regarding this order to PO Box 856, Salina, KS 67402-0856.
Thank you for your help in this matter.
Sincerely,
Meliss Douglas
Payroll Specialist
BLUE BEACON
P.O. BOX 856
SALINA, KANSAS 67402-0856
(785) 825-2221 /FAX (785) 825-0801
www. BlueBeacon.com
DELIVERIES TO. 500 GRAVES BOULEVARD/SALINA, KANSAS 67401
TRUCK WASHES
Ilgenfritz Properties IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
VS CIVIL DIVISION
Bryan Rodgers No. 2010-7706 Civil Term
Employee
TO: Blue Beacon USA LP
P. O. Box 856
Salina, KS 67402-0856
RE: Residential Lease between Plaintiff and Defendant
WRIT OF ATTACHMENT
The above employer shall attach and deduct from the wages of the above employee a sum not to
exceed ten (10%) of the net wages per pay period of said employee or a sum not to place employees net
income below poverty income guidelines as provided annually by the Federal Office of Management and
Budget, whichever is less. "Net wages" shall mean all wages paid, less only the following items:
1. Federal, State and Local income taxes;
2. F.I.C.A. payments and non-voluntary retirement payments;
3. Union dues; and,
4. Health insurance premiums
The amount wages to be attached shall total $3,568.58 (plus costs)
The employer shall send the attached wages to the Prothonotary, Cumberland County
Courthouse, One Courthouse Square, Carlisle,-PA 17013, payable to Plaintiff-Creditor: Ilgenfritz
Properties within fifteen (15) days from the close of the last pay period in each month. The employer shall
be entitled to deduct from the wages collected from the employee pursuant hereto the costs incurred from
the extra bookkeeping necessary to implement the terms within the Writ of Attachment, not exceeding
$5.00 of the amount of the wages so deducted. If you, the employer, are served with more than one Writ of
Attachment for damages arising out of a residential lease against the same employee, then the wage
attachments shall be satisfied in the order in which said Writs of Attachment were served. Each prior wage
attachment shall be satisfied before any effect is given to a subsequent attachment.
You shall not take any adverse action against the employee solely because his wages, salaries or
commissions have been attached. Violations may result in (i) you being adjudged in contempt and
committed to jail or fined by the court and (ii) an action against you by the employee for damages.
Willful failure to comply with this Writ of Attachment may result in (i) you being adjudged in
contempt of court and committed to jail or fined by the court; (ii) you being held liable for any amount not
withheld, or withheld but not forwarded to the Prothonotary's office; and, (iii) attachment of your funds or
property.
This Writ of Attachment has been entered pursuant to 42 PA. C.S.A. 8127, as amended by House
Bill 908, Act 5 of 1996, effective February 15, 1996. A copy of this Writ of Attachment has been sent by
U.S. Mail, postage prepaid, to the employee's last known address at:
Bryan Rodgers
117 Walnut St.
Carlisle, PA 17013
Any questions should be directed to the Plaintiff-Creditor:
Susan J. Hartman, Esq., 1 Irvine Row, Carlisle, PA 17013 (717) 249- 8
Date: 3/22/2011
David D. Buell, Prothor
Costs: $95.89 By Deputy:
You shall send the following notice to the Prothonotary if the defendant has never been or is on longer an
employee on company letterhead:
I have received a Writ of Attachment in the following case:
Plaintiff
v. Defendant
No of Year
The following person,
Or is no longer and employee (__)
Date:
has never been L?
Signature of Employer
Print name of Employer
Address
Address
Telephone #
For Prothonotary use only
Date:
David D. Buell, Prothonotary
Deputy
(Sea] of the Court)
69 c.v
You shall send the following notice to the Prothonotary if the defendant has never been or is on longcLan _? 'T
employee on company letterhead: -? `
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I have received a Writ of Attachment in the following case: =tom- tiM
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Plaintiff v. Defendant- ? Z CD
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No 2 C9 i b??( of Year ?f Ln i
The following person, ni has never been (_)
Or is no longer and employee xi
Date:
?-?
Signatu a of Employe
;Dtt L-P
A- ac-,loaca4
Print name of Employer
C.o-_qEd
Address
b7L)Cg- )8-96
Address
Telephone #
For Prothonotary use only
Date:
David D. Buell, Prothonotary
Deputy
(Seal of the Court)
Ilgenfritz Properties
VS
Bryan Rodgers
Employee
TO: Blue Beacon USA LP
P. O. Box 856
Salina, KS 67402-0856
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
k? No. 2010-7706 Civil Term
?2)
RE: Residential Lease between Plaintiff and Defendant
WRIT OF ATTACHMENT
The above employer shall attach and deduct from the wages of the above employee a sum not to
exceed ten (10%) of the net wages per pay period of said employee or a sum not to place employees net
income below poverty income guidelines as provided annually by the Federal Office of Management and
Budget, whichever is less. "Net wages" shall mean all wages paid, less only the following items:
1. Federal, State and Local income taxes;
2. F.I.C.A. payments and non-voluntary retirement payments;
3. Union dues; and,
4. Health insurance premiums
The swount wages to be attached shall total $3,568.+58 (plus costs)
it
The employer shall send the attached wages to
Courthouse, One Courthouse Square, Carlisle, PA 178K payable to Plaintiff Creditor: Ilgenfritz
Properties within fifteen (15) days from the close of the last pay period in each month. The employer shall
be entitled to deduct from the wages collected from the employee pursuant hereto the costs incurred from
the extra bookkeeping necessary to implement the terms within the Writ of Attachment, not exceeding
$5.00 of the amount of the wages so deducted. If you, the employer, are served with more than one Writ of
Attachment for damages arising out of a residential lease against the same employee, then the wage
attachments shall be satisfied in the order in which said Writs of Attachment were served. Each prior wage
attachment shall be satisfied before any effect is given to a subsequent attachment.
You shall not take any adverse action against the employee solely because his wages, salaries or
commissions have been attached. Violations may result in (i) you being adjudged in contempt and
committed to jail or fined by the court and (ii) an action against you by the employee for damages.
Willful failure to comply with this Writ of Attachment may result in (i) you being adjudged in
contempt of court and committed to jail or fined by the court; (ii) you being held liable for any amount not
withheld, or withheld but not forwarded to the Prothonotary's office; and, (iii) attachment of your funds or
property.
This Writ of Attachment has been entered pursuant to 42 PA. C.S.A. 8127, as amended by House
Bill 908, Act 5 of 1996, effective February 15, 1996. A copy of this Writ of Attachment has been sent by
U.S. Mail, postage prepaid, to the employee's last known address at:
laryan ]ors
117 Walnut St.
Carlisle, PA 17013
Any questions should be directed to the Plaintiff-Creditor-
Susan J. Hartman, Esq., 1 Irvine Row, Carlisle, PA 17013 (717) 249-77
Date: 3/22/2011
David D. Buell, Protho
Costs: $95.89 By Deputy: _
TRUE COPY FROM RECORD
In Testimony whereof. I hero unto set my hand
and tM a" of said Oouet at Cwlisle. Pa.
Tfft '90 dad/ of.- A&! ,t..,.. 20 //