HomeMy WebLinkAbout11-8639No, / J- R& 3 41 cti:l fermi
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
Notice of Judgment/Transcript
Residential Lease
Mag. Dist. No: MDJ-09-3-05
MDJ Name: Honorable Mark Martin
Address: 507 North York Street
Mechanicsburg, PA 17055
Telephone: 717-766-4575
M C Walker Realty
14 N Walnut Street
Mechanicsburg, PA 17055
M C Walker Realty
V.
Karen Hockenberry
O / /?` /I LLr'N S7
joti 17 0 55-
ecti 6 y
Docket No: MJ-09305-LT-0000041-2011
Case Filed: 4/18/2011
Disposition Details
Grant possession. Yes
Grant possession if money judgment is not satisfied by the time of eviction. No
Karen Hockenberry
Wage attachment is prohibited due to lack of personal service. No
Wage attachment is prohibited under Title 42 Section 8127. No
Disposition Summary
Docket No Plaintiff Defendant Disposition
MJ-09305-LT-0000041-2011 M C Walker Realty Karen Hockenberry Judgment for Plaintiff
Judgment Summary Joint/Several Liability Individual Liability
Participant
Karen Hockenberry $0.00 $1,662.55
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Disposition Date
05/03/2011
Amount
$1,662.55
Judgment Detail ("Post Judgment)
In the matter of M C Walker Realty vs. Karen Hockenberry on 5/03/2011 the disposition is Judgment for Plaintiff and judgment was
awarded as follows:
Judgment Component Joint/Several Liability Individual Liability Deposit Applied Amount
Filing Fees $0.00 $120.00 $120.00
Rent in Arrears $0.00 $1,542.55 $1,542.55
Grand Total: $1,662.55
Porticn of judment for physical damages arising out of residential lease: $0.00
Amount of judgment subject to attachment 42 PA C.S. 8127: $0.00
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 SUPERSEDEAS, 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
AND/OR 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.
MDJS 315A Page 1 of 2 Printed: 05/03/2011 2:06:16PM
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M C Walker Realty
V.
Karen Hockenberry
Docket No.: MJ-09305-LT-0000041-2011
Date Magisterial District Judge Mark Martin
I certify that this is a true and correct copy of the record of the proceedings containing ju 97
Date Magisterial District Judge Mark Martin
MDJS 315A
Page 2 of 2
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Printed: 05/03/2011 2:06:16PM
M. C. WALKER REALTY,
Plaintiff
V.
KAREN HOCKENBERRY,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 11-8639
CIVIL ACTION
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 KAREN HOCKENBERRY, Defendant, and
(2) the B & S Transportation, Inc., Employer of Defendant
KAREN HOCKENBERRY.
Date: February 7, 2012
F R B. IPP, ESQUIRE
1 West Main Street
Shirem nstown, PA 17011
Telephone: (717)737-8761
ID No. 86556
Attorney for Plaintiff
M.C. Walker Realty,
Judgment Creditor-Landlord
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M. C. WALKER REALTY, IN THE COURT OF COMMON PLEAS OF
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
V. NO. 11-8639
KAREN HOCKENBERRY, CIVIL ACTION
Defendant
CERTIFICATION BY JODGHM CREDITOR - LANDLORD
I certify that:
The plaintiff judgment-creditor is M. C. Walker Realty,
14 North Walnut Street, Mechanicsburg, Pennsylvania
17055.
2. The defendant judgment-debtor is Karen Hockenberry,
whose address is 101 East Allen Street, Mechanicsburg,
Pennsylvania 17055.
3. The employer garnishee is B & S Transportation, Inc.,
148 Salem Church Road, Mechanicsburg, Pennsylvania,
Pennsylvania 17050, employer of Defendant Karen
Hockenberry.
4. The judgment arises out of a residential lease for the
premises at 106 North Arch Street, Mechanicsburg,
Pennsylvania 17055.
5. (a) The amount of the judgment is $1,662.55.
(b) A security deposit in the amount of $495.00 was
being held by the judgment creditor-landlord.
This security deposit has been applied to payment
of rent due on the same premises for which the
judgment has been entered. The amount of the
judgment once the security deposit was applied is
$1,662.55.
(c) The Defendant has not paid any money towards the
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. The judgment was entered in a civil action
(Pa.R.C.P.M.D.J. 301 et. seq.) before a magisterial
district judge, a copy of the complaint filed with the
magisterial district judge is attached to th's Notice
as Exhibit "A", showing that the action arose -mom a
residential lease.
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 la Pa.C.S. § 4904 relating to
unsworn falsification to authorities.
Date: ?( (7Y cA ZG Z 0 a e"'Ll
Mark C. Walker
M.C. Walker Realty
judgment Creditor-Landlord'
M.C.9IALKER REALTY
?c-rte-cui? Stu u4 J4 MDJ MARTIN 9805
CaMM0NVUEAL7H OF.PF-NNSYL,VANIA
CDUNTY OF, WMERLOD
Majnradal D16Yt= Nanbcr.
09'3-D5
MW PAW&: kan_ MARK W, MARTIN
Aaeras: 507 N. -101M STREET
ME17WICSPURG, FA 17055
I TdepAsnr. t; 71y 766-4575
AmnUM rata "M
Ron Costs 5 J
vvsta 4 / !
Senrioe Casts T J
Constable Ed, 5 I J
Total S orl J !
p&R.CYP D.J_ No, 2D5 sets forth those casts recvwerable by
the prevallirig party.
To THE DEFENDANT: The shove named plaintiff(s) asks judgment
toge-Tl+Qr with casts ag®inst ycw for the possession of real property and
for,
I-ease is?&Residential 0 N4rrresidenbal.
Fax:71?69?9d60 Fab 22 2012 05:50pm P002/002
FAQ( No. 71711662238 P-001
LANDLORD AND
TENANT COMPLAINT
PLAINTIFF_ "AMe and ADMAESS I
G W??GE?a 1?y ~1
V5.
DEFENDANT:
c?rLn
!oG Nq
Docitet No.: iFr q,
Date Filed: t Z r G
NAME,1nA AWFUS
R/ o_k a,,. ?4trr?
A } r- c ?% f T
P c_ y 7 ? .S` 3?
J
i_
- ln,-
] Darnages for injury to khq real properly, to Will:
in the amount of: s
] Damages for 1ha unjust detention of the real property In the amount of S
] Rent remaining due and unpaltl on filing date in the amount of
] And zddllional rent remaining due and unpaid on hearing date S
] Attorney bees in the arnnunt of S Trim. S LS'-X. 8 %
THE PLAINTIFF FLJ"ER AI,LEQES THAT:
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o
i ?y `
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n and address, ff any. of the real property
The iocad
2_ The plahtiff IS the landlord of that property.
3, He leased or mined thwpropefty to you or to under Whom you claim.
F ? t3 °`S
a, Nonce to Glril w.6 glen in acaoTdance MM law, or vi- v I r rr > t` ?
No nodes is requirwi under the terms ofthe lease. C 'Tr
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5 or
The I" fvr which the
ended
ro
rr was leased or re
ted is full ?k r- S
. ,
p
pe
n
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T m ?
A Torteiture has resulted by reason QT P breach of the conditions ai the lease, SC wll. C a- T, 17 a
Rent reserrveD and du¢ nas, Upon demand, remained unsatisfied. >
es T1 "tu
7
6. the real property and refuse to-give up its posses910n.
You re%ln
s b
AI
s
4* 2
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I ?r
m .1 r k G_ In/4', l l I<1 verify that Me farts setilmh in this Gdmplaint are true and cori>ito the
best ofmy nowleege,in o?rmaort end belief, This S ialnant IS maO% z-151 t to the penalties al Section 4904 of the Crlmw Cade (t A PA/.' C.S, § 9tM)
relating to unswom falsification to atid-MAtios. .1 n ` / /
IF YOU HAVEA DEFENSE to this complaint you may present it of the hearing. IF YOU HAVE A CLAIM against the plalntiff arising out of the occupancy
of the promises, Which lain the magisterial district judge jurtsdregon and which you intend to asssri al :he hearing, YOU MUST FILE it on a complatm form
at this offra4 BEFORE THE TIME SM for the rearms. IF YOU 00 NOT APPEAR AT THE HEARING, a jvdgmerd for pnsiseastvn and costa, end fvr
damages and rend If C14 nod, Tray nevertheless be entered against you. A i4dyment against yvu far possession hey result in your EvtCrION from th.
promises.
If you are disabled and requiro a r0W0r%vb)e aer-amrnodat)on to Bain access to the Magisterial Distrlc[ Court and Its ssrviees. please coromm tha
Ma Istarial DlStrlet Court at the above addrwa s or tale hone nurnber. We are unable to Drovrdp trans rSatiQn.
MwsA,? and umntey ac uafimony May Do FamrE+a an nwmv bda.
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APR 112011
AvPC 31 DL-05
M. C. WALKER REALTY,
Plaintiff
V.
KAREN HOCKENBERRY,
Defendant
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
NO. 11-8639
CIVIL ACTION
NOTICE OF INTENT TO ATTACH WAGES SALARY OR COMMISSIONS
Date of service of this Notice:
(Date to be inserted by Sheriff)
A judgment has been entered against you in court for nonpayment
of rent for, or damages to, residential property that you rented.
The judgment creditor-landlord has begun proceedings to attach 100 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 guideline 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. 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 are 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 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
1-800-990-9108
Supreme Court of Pennsylvania
Civil Procedural Rules Committee
Poverty Income Guidelines
Pennsylvania Rule of Civil Procedure 3302(b) governs the attachment of wages,
salary and commissions under Section 8127(a)(3.1) of the Judicial Code. The rule requires
the prothonotary to attach to the Notice of Intent to Attach Wages "the most recent poverty
income guidelines issued by the Federal Department of Health and Human Services as
they appear on the web site of the Civil Procedural Rules Committee." The guidelines for
2011 are set forth in the following chart:
2011 HHS Poverty Income Guidelines
Expressed in Monthly Amounts
Size of
Family Unit Poverty Guideline
Monthly Amount
1 $907.50
2 1,225.83
3 1,544.16
4 1,862.50
5 2,180.83
6 2,499.16
7 2,817.50
8 3,135.83
For each additional
person, add 318.33
SHERIFF'S OFFICE OF CUMBERLAND COUNTY
Ronny R Anderson
Sheriff , , n r
i 1,
i ,t
Jody S Smith
Chief Deputy 112 MA.R Z? A : r'
Richard W Stewart
;U M31 'RLA
Solicitor 'ENNSYLVAI I A
M.C. Walker Realty
vs. Case Number
Karen Hockenberry 2011-8639
SHERIFF'S RETURN OF SERVICE
03/05/2012 05:20 PM - Shawn Harrison, Deputy Sheriff, who being duly sworn according to law, states that on March
5, 2012 at 1720 hours, he served a true copy of the within Notice of Intent to Attach Wages, upon the
within named defendant, to wit: Karen Hockenberry, by making known unto hers f ersonally, at 105 E.
Allen Street, Apartment 101, Mechanicsburg, Cumberland County, Pennsylva 17 55 its contents and at
the same time handing to her personally the said true and correct copy?f ?i? ame.
S
SHERIFF COST: $48.45
March 07, 2012
DEPUTY
SO ANSWERS,
RON R ANDERSON, SHERIFF
M. C. WALKER REALTY,
Plaintiff
V.
KAREN HOCKENBERRY,
Defendant
IN THE COURT OF COMMON
ASF ®?
CUMBERLAND COUNTY, PENN VA'tIA -'ra
-? >
NO. 11-8639 ?-`
CIVIL ACTION 5;c= 77
®r}
- _J r:a
PRAECIPE FOR ISSUANCE OF WRIT OF ATTACHMENT
OF WAGES UPON KAREN HOCKENBERRY
TO: DAVID D. BUELL, PROTHONOTARY:
A Notice of Judgment/Transcript Residential Lease has been filed
with the Cumberland County Prothonotary's Office against the Defendant,
KAREN HOCKENBERRY, in the amount of $1,662.55. Please issue a Writ of
Attachment of Wages, Salary or Commissions of Defendant, KAREN
HOCKENBERRY. Ms. Hockenberry's employer is B & S Transportation, Inc.,
of 148 Salem Church Road, Mechanicsburg, PA 17050. Ms. Hockenberry
was served with a Notice of Intent to Attach Wages by the Cumberland
County Deputy Sheriff on March 5, 2012. Defendant Hockenberry has not
timely filed a claim for Exemption of Wages from Attachment.
A copy of the Cumberland County Deputy Sheriff's Return of Service
is attached hereto as Exhibit "A".
DATE: X41 lcr?I Z
a?. So at
yg, qs C
120 p? 5 u
r
JENNjest DR B/ 1-1IPP, Esquire
Pa. D. No. 86556
One Main Street
Shir anstown, PA 17011
(717) 737-8761
.4b.SOLL-
SHERIFF'S OFFICE OF CUMBERLAND COUNTY
Ronny R Anderson r;! ED -- U I
Sheriff ' P
_ _ ?... .'' .'.
:4?ti??tr of ?iur??rrEre1 ? ?-; ;? , ,? ?
Jody S Smith .' o
Chief Deputy 2'112 MAR 27 AM 8: 2i'
Richard W Stewart !..UMSERLAN "OUN j.`
Solicitor OFFICE CF THE SHERIFF PENNSYLVANIA.
M.C. Walker Realty Case Number
vs.
Karen Hockenberry 2011-8639
SHERIFF'S RETURN OF SERVICE
03/0512012 05:20 PM - Shawn Harrison, Deputy Sheriff, who being duly sworn according to law, states that on March
5, 2012 at 1720 hours, he served a true copy of the within Notice of Intent to Attach Wages, upon the
within named defendant, to wit: Karen Hockenberry, by making known unto her y ersonally, at 105 E.
Allen Street, Apartment 101, Mechanicsburg, Cumberland County, Pennsylva ' 17 55 its contents and at
the same time handing to her personally the said true and correct copy (I JJ(/ ?f yt( ame.
l
,DEPUTY
SHERIFF COST: $48.45
March 07, 2012
EXHIBIT
"A
SO ANSWERS,
RON R ANDERSON, SHERIFF
CERTIFICATE OF SERVICE
I, Jennifer B. Hipp, Esquire, hereby certify that I am this day
serving the foregoing PRAECIPE FOR ISSUANCE OF WRIT OF ATTACHMENT OF
WAGES UPON KAREN HOCKENBERRY upon the following named individuals this
day by depositing same in the United States Mail, First Class, postage
prepaid, at Shiremanstown, Pennsylvania, addressed as follows:
B & S Transportation, Inc.
148 Salem Church Road
Mechanicsburg, PA 17050
Karen Hockenberry
105 East Allen Street
Apartment 101
Mechanicsburg, PA 17055
Date: H I? %-112
Jenni et B : Hipp, Esquire
Pa. I. No. 86556
One We t Main Street
Shire nstown, PA 17011
(717) 737-8761
2
M.C. WALKER REALTY IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
VS CIVIL DIVISION
KAREN HOCKENBERRY No. 11-8639 Civil Term
Employee
TO: B & S TRANSPORATION, INC., 148 SALEM CHURCH ROAD, MECHANICSBURG, PA
17050
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:
I . 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 $1,662.55 (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: M.C.
WALKER REALTY 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:
Karen Hockenberry, 101 E. Allen Street, Mechanicsburg, PA 17055
Any questions should be directed to the Plaintiff-Creditor:
Jennifer B. Hipp, James D. Bogar Law Offices, 1 W. Main Street, Shiremanstown, PA 17011
(717)737-8761
Date: 4/19/2012 David D. Buell, Prothonotary
Costs: $108.20 pd atty By Deptoy- ?/?s.? C?'/02???•
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
No - of Year,
The following person,
Or is no longer and employee (__j
Date:
v. Defendant
Signature of Employer
Print name of Employer
Address
Address
Telephone #
For Prothonotary use only
Date:
David D. Buell, Prothonotary
has never been (_)
Deputy
(Seal of the Court)
M.C. WALKER REALTY IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
VS CIVIL DIVISION
KAREN HOCKENBERRY No. 11-8639 Civil Term
Employee
TO: B & S TRANSPORATION, INC., ?. U. anX oC -7 -7 MECHANICSBURG, PA
17050
RE: Residential Lease between Plaintiff nd 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
The employer shall send the attached wages to the Prothonotary, Cumberland County
Courthouse, One Courthouse Square, Carlisle, PA 17013, payable to Plaintiff-Creditor: M.C.
WALKER REALTY 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
contempt of court and committed to jail or fined by the court; (ii) you being held liable y Oyou being adjudged in
withheld, or withheld but not forwarded to the Prothonotary's office; and, (ii) atta hment 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:
Karen Hockenberry, 101 E. Allen Street, Mechanicsburg, PA 17055
Any questions should be directed to the Plaintiff-Creditor:
Jennifer B. Hipp, James D. Bogar Law Offices, I W. Main Street, Shiremanstown, PA 17011
(717)737-8761
Date: 4/19/2012
- ? RU-0-W
David D. Buell, Prothonotary
?
Costs: $108.20 pd arty By Deplx.._? ? _5 I _
You shall send the following notice to the Prothonotary if the defendant has never been or is on longer an
employee on company letterhead:
1 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 L-.)
Date:
has never been (___)
Signature of Employer
Print name of Employer
Address
Address
Telephone #
For Prothonotary use only
Date:
David D. Buell, Prothonotary
Deputy
(Sea] of the Court)
e '
M. C. WALKER REALTY,
Plaintiff
V.
KAREN HOCKENBERRY,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 11-8639 `
€a3
CIVIL ACTION MM
to D W
< v
DC-)
PRAECIPE FOR CHANGE OF EMPLOYER'S ADDRESS
-? G
TO THE PROTHONOTARY:
Please change the employer's address in the above-captioned
wage attachment matter as follows:
1. B & S Transportation, Inc., Employer of Defendant Karen
Hockenberry, P.O. Box 2377, Mechanicsburg, PA 17055.
Date: `'gyp C 7
AANIAR]k B HIPP, ESQUIRE
1 West Main Street
Shirem nstown, PA 17011
Telephone: (717)737-8761
ID No. 86556
M
C)
5
72
Attorney for Plaintiff
M.C. Walker Realty,
Judgment Creditor-Landlord
•
CERTIFICATE OF SERVICE
I hereby certify that on the day of July, 2012, a tru
and correct copy of the within Praecipe for Change of Employer's
Address was served upon the following persons by first-class U.S
mail, postage prepaid, as follows:
Karen Hockenberry
105 East Allen Street
Apartment 101
Mechanicsburg, PA 17055
B & S Transportation, Inc.
P.O. Box 2377
Mechanicsburg, PA 17055
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Date:
JENNIFIR'B. HIPP, ESQUIRE
1 West Main Street
Shiremanstown, PA 17011
Telephone: (717)737-8761
ID No. 86556
Attorney for Plaintiff
M.C. Walker Realty,
Judgment Creditor-Landlord
M. C. WALKER REALTY, IN THE COURT OF COMMON PL@A?F '
Plaintiff CUMBERLAND COUNTY, PENNY I VANIA r...;._
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V. NO. 11-8639 w
KAREN HOCKENBERRY, CIVIL ACTION r
Defendant
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PRAECIPE FOR MODIFICATION OF WAGE ATTACHMENT AMOUNT
TO THE PROTHONOTARY:
Please modify the outstanding amount of wages to be attache
regarding the above-captioned wage attachment matter as follows:
1. The amount of wages to be attached shall total
$1,545.55 (plus costs).
Date
2. The modification in the amount of wages is to be
amended to reflect partial payments made by Defendant
Hockenberry.
JENNIF B. HIPP, ESQUIRE
1 West ain Street
Shiremanstown, PA 17011
Telephone: (717)737-8761
ID No. 86556
Attorney for Plaintiff
M.C. Walker Realty,
Judgment Creditor-Landlord
CERTIFICATE OF SERVICE
I hereby certify that on the 7UM day of July, 2012, a t
and correct copy of the within Praecipe for Modification of
Amount of Wage Attachment Amount was served upon the following
persons by first-class U.S. mail, postage prepaid, as follows:
Karen Hockenberry
105 East Allen Street
Apartment 101
Mechanicsburg, PA 17055
B & S Transportation, Inc.
P.O. Box 2377
Mechanicsburg, PA 17055
Date: 30 JE FER B. HIPP, ESQUIRE
1 We t Main Street
Shir anstown, PA 17011
Telephone: (717)737-8761
ID No. 86556
Attorney for Plaintiff
M.C. Walker Realty,
Judgment Creditor-Landlord
M.C. WALKER REALTY
VS
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
No. 11-8639 Civil Term
KAREN HOCKENBERRY
Employee
MECHANICSBURG, PA
TO: B & S TRANSPORATION, INC., '~. 0. ~nX oZ 31 ~
17050
1ZE: 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 '
The employer shall send the attached wages to the Prothonotary, Cumberland County
Courthouse, One Courthouse Square, Carlisle, PA 17013, payable to Plaintiff-Creditor: M.C.
WALKER REALTY 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 tt~employerhare sserved with moretthan
exceeding $5.00 of the amount of the wages so deducted. If you,
then the
one Writ of Attachment for damages arising out of a residential lease against the same employee,
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 empl ou beinelad'ud ed inicontempt andies or
commissions have been attached. Violations may result in (i) y g J g
committed to jail or fined by the court and (ii) an action against you by the emplo ou bein ad'uds ed in
Willful failure to comply with this Writ of Attachment may result in (i) y g J g
Cumberland County Prothonotary "~~ U.S. POSTAGE~~P
One Courthouse Square / ~ ~~j (p ~ / ~~_
Suite 100 ~~
Carlisle, PA 17013. zIP t X013 ~ Q
02 tYV
0001368848 JUI
~~~
Karen Hockenberry
101 E. Allen Street
Mechanicsburg pa 17n55
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