Loading...
HomeMy WebLinkAbout11-5357SHERIFF'S OFFICE OF CUMBERLAND COUNTY Ronny R Anderson Sheriff Jody S Smith Chief Deputy Richard W Stewart Solicitor FILED-OFFICE THE PROTHONOTARY 2011 JUL i i AM 11: 21 CUMBERLAND COUNTY PENNSYLVANIA Metro Bank Case Number vs. Dusan Bratic 2011-5357 SHERIFF'S RETURN OF SERVICE 07/05/2011 08:15 PM - Amanda Cobaugh, Deputy Sheriff, who being duly sworn according to law, states that on July 5, 2011 at 2015 hours, she served a true copy of the within Complaint in Confession of Judgment and Notice, upon the within named defendant, to wit: Dusan Bratic, by making known unto Kathleen Bratic, Wife of Defendant at 5609 Pinehurst Way, Mechanicsburg, Cumberland County, Pennsylvania 17050 its contents and at the same time handing to her personally the said true and correct copy of the same. AMANDA COBAUGH, DEPUTIJ SHERIFF COST: $38.44 July 06, 2011 (c; Cnu^ryS,iit?. Hher:fl Tei,-, ?c t In, SO ANSWERS, RONI'TY R ANDERSON, SHERIFF :74- EU -OFFICE TQ.1F PPQTHDI:tDi.' tIIAUG-4 PM 4:C5 GUMBERLAt D Co D dT` PEN116YLVAMA, Dusan Bratic, Esq. Bratic & Portko 101 South US Route 15 Dillsburg, PA 17019 (717) 432-9706 (717) 432-9220 Fax METRO BANK, f/k/a Commerce Bank/Harrisburg, N.A. Plaintiff V. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA DUSAN BRATIC Defendant DOCKET NO. 11-5357 CIVIL PETITION TO OPEN JUDGMENT AND REQUEST FOR STAY OF PROCEEDINGS AND NOW, comes the Petitioner/Defendant, Dusan Bratic ("Petitioner"), by and through his counsel, Bratic and Portko, and submits this Petition to Open Judgment and Request for Stay of Proceedings and in support thereof avers as follows: 1. BACKGROUND 1. Petitioner Dusan Bratic is an adult individual with an address of 5609 Pinehurst Way, Mechanicsburg, PA 17050. Dusan Bratic is the Defendant in the above captioned matter. 2. Respondent is Metro Bank ("Respondent"), a Pennsylvania Financial Institution organized and existing under the laws of Commonwealth of Pennsylvania, and maintaining a principal place of business at 3801 Paxton Street, Harrisburg, PA 17111. The Respondent is the Plaintiff in the above-captioned matter. 3. Petitioner seeks to evoke the equitable and discretionary powers of this Honorable Court to open that certain Judgment entered in this Court on or about June 30, 2011 at docket number 11-5357 Civil (the "Judgment"). 4. On or about June 30, 2011, Respondent filed a Complaint in Confession of Judgment under Pa.R.C.P. 2951 (the "Complaint") in addition to a Praecipe for Assessment of Damages in the amount of $77,695.89 with this Honorable Court against Petitioner. 5. The basis for the Complaint is the purported breach by Petitioner of a promissory mortgage note (the "Contract") signed on behalf of Petitioner alleging that the sum of $59,343.47 in principal remains outstanding from Petitioner to Respondent. The Contract contains a clause which purports to authorize Respondent to confess judgment against the signing party in the event of a breach thereof. 6. Petitioner believes, and therefore avers, that certain payments have been made under the Contract that have not been credited against the alleged liability of the Petitioner. Therefore, Petitioner submits there is a bona fide dispute as to the amounts owed under the Contract by Petitioner. 7. Petitioner believes, and therefore avers, that late charges assessed by Respondent are not due or overcharged. Therefore, Petitioner submits there is a bona fide dispute as to the amounts owed by Petitioner. 8. Petitioner believes, and therefore avers, that certain interest charges were overstated and that a credit may be due. 9. Furthermore, Petitioner believes, and therefore avers, that the attorney's collection fee is unreasonable as a matter of law, and that Respondent is not entitled to such a fee. 10. For the aforementioned reasons, Petitioner has meritorious defenses to the Complaint. II. PETITION TO OPEN JUDGMENT 11. Defendant hereby incorporates Paragraphs 1 through 10 as if fully set forth herein. 12.A Petition to Open Judgment is addressed to the equitable powers of the Court and is a matter of judicial discretion. The Court will exercise this discretion when the Petition has been promptly filed and a meritorious defense can be shown. See generally Schultz v. Erie Ins Exchange 505 Pa. 90, 93, 477 A.2d 471, 472 (1984) citing Balk v. Ford Motor Co. 446 Pa. 137, 140, 285 A.2d 182 (1971). 13. In the current matter, the Instant Petition to Open was filed with this Court promptly after receiving Notice of entry of Judgment. 14.A meritorious defense to the Complaint can be shown, as more fully set forth in this Petition, primarily that interest credits, late charges and attorney's collection fee purported to be due and owing is meritoriously disputed. 15. The Petitioner has significant equity in the property and continues to make payments on the loan. 16. This Court should exercise its equitable discretion to open the Judgment so as to allow Petitioner's meritorious defenses to be heard. III. REQUEST FOR STAY OF PROCEEDINGS 17. Defendant hereby incorporates Paragraphs 1 through 16 as if fully set forth herein. 18. Respondent has obtained the Judgment by confession. 19. The Judgment, for reasons stated above, should be opened to allow the Court to determine the meritorious defenses of the Petitioner. 20. Failure to stay all matters, including without limitation, any levy or attachment, would cause the Petitioner to incur unnecessary expense and unnecessary harm when in fact the Petitioner has significant and substantial equity in the property. 21. The harm that Petitioner would sustain far outweighs any potential injury that would be incurred by the Respondent as a result of this stay of all proceedings until this Petition is heard. WHEREFORE, Petitioner Progress Avenue Limited Partnership hereby respectfully requests this Honorable Court open the judgment docketed to 11-5357 Civil so as to permit Petitioner's meritorious defenses to be heard, and that this Honorable Court stay all proceedings in the interim. Furthermore, Petitioner respectfully requests this Honorable Court grant it such further relief as is just and proper. Date: 9 -7 Bratic & Portko 101 South US Route 15 Dillsburg, PA 17019 (717) 432-9706 Attorney for Petitioner/Defendant Dusan Bratic, Esq., ID 19249 VERIFICATION I, Dusan Bratic, hereby acknowledge that I am the Petitioner in the foregoing Petition, that I have read the foregoing, and the facts stated therein are true and correct to the best of my knowledge, information and belief. I understand that any false statements herein are made subject to penalties of 18 Pa.C.S. Section 4904, relating to unsworn falsification to authorities. Date: 2? t? Dusan Bratic, Esq. Bratic & Portko 101 South US Route 15 Dillsburg, PA 17019 (717) 432-9706 (717) 432-9220 Fax METRO BANK, f/k/a Commerce Bank/Harrisburg, N.A. Plaintiff V. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA DUSAN BRATIC Defendant DOCKET NO. 11-5357 CIVIL CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the above Petition to Open Judgment and Request to Stay Proceedings was furnished by first class mail, postage prepaid on this 4th day of August 2011, to: Heather Z. Kelly, Esq. Mette, Evans & Woodside 3401 North Front St. P.O. Box 5950 Harrisburg, PA 17110-0950 BRATIJ?/& PORTKO Dated: 9 T ? Djfsan Bratic, Esq. ID # 19249 101 South U.S. Route 15 Dillsburg, PA 17019 (717) 432-9706 Attorney for Defendant/Petitioner M 4 METRO BANK, f/k/a Commerce Bank/Harrisburg, N.A. Plaintiff V. DUSAN BRATIC Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA DOCKET NO. 11-5357 CIVIL RULE TO SHOW CAUSE AND NOW, this /lpt4 day of 2011, it is hereby ORDERED that: 1. A Rule is issued upon Respondent to show cause, if any it has, why the M r? f °, Cry ,. _--? -:x C71 CJ C3 z- ?. -- ,';cam Judgment entered in the above-captioned matter should not be opened and the defenses of the Petitioner be permitted; 2. The Respondent shall file an Answer to the Petition to Open Judgment within days from the days of service upon the Respondent; 3. The Petition shall be decided under Pa.R.C.P. 206.7; 4. Depositions shall be completed within days of this date; 5. Argument shall be held on __& , 20 // in Courtroom No. of the C unty ourthouse; a,-t- d / 49d1,0, i'YI "At4 1W1_ 6. Notice of the entry of this Order shall be provided to all parties by the Petitioner; and 7. All proceedings, including all executions on the judgment docketed hereto are stayed pending this Court's review and determination of the Petition to Open Judgment and rulings thereon and the entry of an Order dissolving such Stay. Distribution List: Prothonotary r/ Dusan Bratic, Esq. 101 South US Route 15, Dillsburg, PA 17019 1/ Heather Kelly, Esq. Mette, Evans & Woodside, 3401 N. Front St., PO Box 5950, Harrisburg, PA 17110-0950 c? r i P"' f .. 9 i .- 1 . 1 l+ ! 29 rM10:42 1;4BERLANO COUNTY PENNSYLVANIA METTE, EVAN S &. WOODSIDE Heather Z. Kelly, Esquire Sup. Ct. ID No. 86291 3401 N. Front Street P.O. Box 5950 Harrisburg, PA 17110-0950 (717) 232-5000 - Phone (717) 236-1816 - Facsimile hzkelly_gmette.com Attorneys for Plaintiff METRO BANK, f/k/a COMMERCE IN THE COURT OF COMMON PLEAS OF BANK/HARRISBURG, N.A., CUMBERLAND COUNTY, PENNSYLVANIA Plaintiff, DOCKET NOS. 11-5357-CIVIL V. DUSAN BRATIC, Defendant MOTION FOR EXTENSION OF TIME Plaintiff, Metro Bank f/k/a Commerce Bank/Harrisburg, N.A., by their counsel, Mette, Evans & Woodside, files the following Motion for Extension of Time of the August 16, 2011 Rules to Show Cause and aver in support: 1. On August 16, 2011, the Honorable Court issued identical Rules to Show Cause with regard to both of the above-referenced matters. 2. Counsel for the parties are actively engaged in negotiations in an attempt to settle all of the above-referenced actions. 542069v1 3. In an effort to contain costs of litigation, counsel for the parties jointly request an extension of time of the deadlines contained in the August 16, 2011 Rules to Show Cause as follows: a. The deadline for Plaintiff to file Answers to the Petitions to Open Judgment is extended to September 30, 2011 b. The deadline for taking depositions, if sought, is October 16, 2011. C. As previously scheduled, argument shall be held on October 21, 2011, in Courtroom No. 4 of the Cumberland County Courthouse at 2:00 p.m. 4. Counsel for the Defendant, Dusan Bratic, does not oppose this Motion. WHEREFORE, Plaintiff, Metro Bank, f/k/a Commerce Bank/Harrisburg, N.A. respectfully requests this Honorable Court enter an Order extending the deadlines of the August 16, 2011 Rules to Show Cause. Respectfully submitted, METTE, EVANS & WOODSIDE By: ? 4?? HEATHER Z. LY, ES IRE Sup. Ct. I.D. No. 86291 3401 North Front Street P. O. Box 5950 Harrisburg, PA 17110-0950 (717) 232-5000 - Phone (717) 236-1816 - Fax Attorneys Plaintiff, Metro Bank f/k/a Commerce Bank/Harrisburg, N.A. Date: August 26, 2011 2 CERTIFICATE OF SERVICE I certify that I am this day serving a copy of the foregoing document upon the person(s) and in the manner indicated below, which service satisfies the requirements of the Pennsylvania Rules of Civil Procedure, by depositing a copy of same in the United States Mail at Harrisburg, Pennsylvania, with first-class postage, prepaid, as follows: Dusan Bratic, Esquire BRATIC and PORTKO 101 South Office Center, Suite A 101 South U.S. Route 15 Dillsburg, PA 17019 Respectfully submitted, METTE, EVANS & WOODSIDE By: ` ?- HEATHER Z. LY, ES IRE Sup. Ct. I.D. No. 86291 3401 North Front Street P. O. Box 5950 Harrisburg, PA 17110-0950 (717) 232-5000 - Phone (717) 236-1816 - Fax Attorneys Plaintiff, Metro Bank f/k/a Commerce Bank/Harrisburg, N.A. Date: August 26, 2011 METRO BANK, f/k/a COMMERCE IN THE COURT OF COMMON P12A§bF BANK/HARRISBURG, N.A., CUMBERLAND COUNTY, PETYLgAI, Plaintiff, : =;Q DOCKET NOS. 11-5357 - CIVIL?r, ca v. DUSAN BRATIC , Defendant C) .< U) ORDER AND NOW, this _ 31* day of August, 2011, upon Plaintiff's, Metro Bank, f/k/a Commerce Bank/Harrisburg, N.A. Motion for Extension of Time, IT IS HEREBY ORDERED that the following dates of the August 16, 2011 Rules to Show Cause filed in the above- referenced matters are extended as follows: The deadline for Plaintiff to file Answers to the Petitions to Open Judgment is extended to September 30, 2011. 2. The deadline for taking depositions, if sought, is October 16, 2011 3. As previously scheduled, argument shall be held on October 21, 2011, in Courtroom No.4 of the Cumberland County Courthouse at 2:00 p.m. The HoArable Kevin A. Hess Distribution List: / Prothonotary Heather Z. Kelly, Esquire, Mette, Evans & Woodside, 3401 N. Front Street, P.O. Box 5950, Harrisburg, PA 17110-0950; hzkellygmette.com; phone number (717) 232-5000 V Dusan Bratic, Esquire, Bratic and Portko, 101 Office Center, Suite A, 101 South U. S. Route 15, Dillsburg, PA 17019; phone number (717) 432-9706 a'p; ('5 ma I a/ ?--A/i , y Aek t 4