HomeMy WebLinkAbout10-78472096939
THIS IS AN ARBITRATION MATTER.
DAMAGES HEARING REQUIRED.
GORDON & WEINBERG, P.C. FI( ED_O,FF/Cp
BY: FREDERIC I. WEINBERG, ESKIE PROT1.;0?j ,.At,,
Identification No.: 41360„ G-Alit
JOEL M. FLINK, ESQUIRE 1010 DEC 22
Identification No.: 4120? ?? 3' ,?13
3.
1001 E. Hector Street, Ste 220`U? RLAND Coo,; . a,
Conshohocken, PA 19428 NSYL'YAP. it
484/351-0500
ASSESSMENT OF
GE MONEY BANK
4125 Windward Plaza Drive
Alpharetta GA 30005
VS.
Nancy Shughart
111 Susan Ln
Carlisle PA 17013
COURT OF COMMON PLEAS
CUMBERLAND COUNTY
DOCKET NO. : /P- 6-01
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 OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO
FIND OUT WHERE YOU CAN GET LEGAL HELP.
CUMBERLAND COUNTY BAR ASSOCIATION
32 S. BEDFORD STREET
CARLISLE, PA 17013
(717) 249-3166
9
wllfiary
014 Asa -7qQ
COMPLAINT IN CIVIL-ACTION
1. 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 plaintiff under the terms of
which the plaintiff agreed to extend to defendant(s)the use of
plaintiff's credit facilities.
2. 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 plaintiff for the use of said credit card.
3. 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 Plaintiff. A true and correct copy of the
Statement of Account or Affidavit of Account, if available, is
attached hereto as Exhibit "A".
4. All the credits to which the defendant(s)is entitled have
been applied and there remains a balance due as of December 9, 2010
in the amount of $2,573.05.
5. 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.
6. Defendant's last payment on account was made on 2/28/2010.
WHEREFORE, plaintiff claims of the defendant(s) the sum of
$2,573.05 plus applicable costs, interest and attorney's fees.
GORDON & WEINBERG, P.C.
BY:
FREDERIC I. I:NB G, ESQUIRE
JOEL M. FLINK
SQUIRE
Attorney for Plaintiff
¦ 1, 1
2096939
10-40134-0
GE MNZY B "K
Nancy Shughart
6008890726385768
WRIFICATION
I 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 18 Pa.C.S. §4904 which provides
for certain penalties for *king false statements.
2244 2096939
10-40134-0
GM MURY BANK
Nancy 8hughart
6008890726388768
AFFIDAVIT
being duly served sworn according to
law, depose and say that:
1• I am the agent for the Plaintiff herein 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;
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 $2,573.05 plus interest of $.00 at the rate of 0% less credits in the
amount of $.00 totaling $2,573.05 as of November 15, 2010.
6. If called upon, affiant can testify at trial as to the facts
pertaining to this matter.
The above facts are true andl rrect to the best of my knowledge,
information and belief.
AFFI MT
Sworn to and Subscribed
before me
r
2096939
GORDON & WEINBERG, P. C. (,(f�. i 24 ply 2. �5
BY: IdeDtficationlNoERG41360UIRE psi CQf�Pa `�
JOEL M. FLINK, ESQUIRE LVANIA
Identification No. : 41200
1001 E. Hector Street, Ste 220
Conshohocken, PA 19428
484/351-0500
GE MONEY BANK COURT OF COMMON PLEAS
CUMBERLAND COUNTY
VS . DOCKET NO. : 10-7847
Nancy Shughart
°— PRAECIPE TO WITHDRAW COMPLAINT
TO THE PROTHONOTARY:
Kindly withdraw the above-captioned action, without
prejudice.
GORDON & WEINBERG, P. C.
(f—
BY:
FREDERIC I . WAZ,4BERGf ESQUIRE
JOEL M. FLINK, ESQUIRE
Attorney for Plaintiff
P006
w
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.
FREDERI I. WEINBERG, ESQUIRE
Dated 112-`111