HomeMy WebLinkAbout12-6093Christopher E. Rice, Esquire
I.D. No. 990916
MARTSON DEARDORFF WILLIAMS OTTO GILROY
MARTSON LAW OFFICES
10 East High Street
Carlisle, PA 17013
(717) 243-3341
Attorneys for Plaintiff
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JOHN GROSS & COMPANY,
Plaintiff
v.
JEG CORP., d/b/a JOHN'S DINER
FAMILY RESTAURANT,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 12 -(p(~3CIVIL TERM
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 judgment 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 Plaintiffs. 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 South Bedford Street
Carlisle, PA 17013
(717) 249-3166
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F:\FII,ES\Clients\8369 John Gross & Co\8369.52 John's Diner\8369.52.com
Christopher E. Rice, Esquire
I.D. No. 990916
MARTSON DEARDORFF WILLIAMS OTTO GILROY & FALLER
MARTSON LAW OFFICES
10 East High Street
Carlisle, PA 17013
(717) 243-3341
Attorneys for Plaintiff
JOHN GROSS & COMPANY, IN THE COURT OF COMMON PLEAS OF
Plaintiff :CUMBERLAND COUNTY, PENNSYLVANIA
v. NO. 12 - CIVIL TERM
JEG CORP., d/b/a JOHN'S DINER
FAMILY RESTAURANT,
Defendant
COMPLAINT
AND NOW, comes the Plaintiff, John Gross & Company, by and through its attorneys,
MARTSON DEARDORFF WILLIAMS OTTO GILROY & FALLER, and hereby avers the
following:
1. Plaintiff, John Gross & Company, is a food service distributor with a business address
at 400 Cheryl Avenue, P.O. Box 1189, Mechanicsburg, Cumberland County, Pennsylvania,17055.
2. Defendant JEG Corp., d/b/a John's Diner Family Restaurant, is a Pennsylvania
corporation with a business address of 146 Sheraton Drive, New Cumberland, York County,
Pennsylvania 17070 ("Defendant JEG").
COUNT I- BREACH OF CONTRACT
3. Plaintiff hereby incorporates pazagraphs 1 and 2 as though fully set forth.
4. Plaintiff and Defendant JEG began a course of dealings in which Plaintiff would
deliver food service items to Defendant JEG's business, John's Diner Family Restaurant's, location
at 146 Sheraton Drive, New Cumberland, York County, Pennsylvania 17070.
5. As a result of the course of dealings, Plaintiff and Defendant JEG reached an
agreement on how services would be provided and goods would be paid for.
6. The terms of the agreement were further outlined in a written Credit Agreement
executed on October 10, 2010, by Defendant and re-affirmed in the form of an invoice for each
delivery of Goods (collectively, the "Invoices"). A copy of the Credit Agreement is attached hereto
as Exhibit "A". A copy of the invoice is attached hereto as Exhibit "B"
7. By accepting the Goods, Defendant JEG accepted the terms of the invoices.
8. As a result of such agreement, Defendant JEG would be billed for the Goods and
would then pay them per the terms of the invoices.
9. Defendant JEG has refused and otherwise failed to make any payment of the
outstanding invoices during the period as set forth on the invoices between January 2012 and May
2012.
10. Defendant JEG has breached its contractual duty to make payment for the Goods
received.
11. As a direct and proximate result of Defendant JEG's breach, Plaintiff has suffered an
economic loss in excess of $5,304.87.
12. Plaintiff has contacted Defendant JEG on several occasions about its failure to pay
as evidenced by letters dated May 21, 2012, and August 10, 2012. True and correct copies of the
letters are attached hereto as Exhibit "C."
WHEREFORE, based on the foregoing, Plaintiff respectfully demands judgment in its favor
in the amount of $5,304.87, as of May 21, 2012, 2012, together with interest at 18% per annum,
finance charges, costs, attorney fees of $1,000.00, and any other remedy this Court may deem
appropriate.
COUNT II- QUANTUM MERUIT
13. Plaintiff hereby incorporates paragraphs 1 through 12 as though fully set forth.
14. Defendant is are liable to the Plaintiff and/or has been unjustly enriched in excess of
$5,304.87.
WHEREFORE, based on the foregoing, Plaintiffrespectfully demands judgment in its favor
in the amount of $5,304.87, as of May 21, 2012, together with interest at 18% per annum, finance
charges, costs, attorney fees of $1,000.00, and any other remedy this Court may deem appropriate.
MARTSON LAW OFFICES
By ~~ ~ s ~
Date: ~~~ $r /~
Christopher E. Rice, Esquire
Attorney I.D. No. 90916
10 East High Street
Carlisle, PA 17013
(717) 243-3341
Attorneys for Plaintiff
EXHIBIT "A"
;NY NAME
c (DBA)
ROPRIETOR
~R
aeck one of the following: ~te Corporation registered to do business in ~C1 Sole Proprietorship C:! Partnership
of Trme.Operating/Owning this Establishme t ~ m° Do you: C] Own tent J Currently purchasing property
IXIMATE CREDIT REQUIREMENTS ~ ~ NO.OF EMPLOYEES ~~
IYLVANIA SALES TAX EXEMPTION NUMBER: If you hold a valid Pennsylvania Blanket Sales Tax Exemption Certificate
atxach executed form Rev 1220: Exemption certificate
BUSINESS ADDRESS
/ ~~ SHIPPING
Address ~ 4t~ -~C(., n ~i -1~-2 Contact Name:
City, St to
Zip n~ D Bus. Phone# (~ ~~V`i'
BILLING
Address:
P.O. Box #
City, State
FAX# (`~ Zip Bus. Phone# ( }
Merchandise receiving hours~,~g Q_f~. `I~L^n FAX# (_)
Special delivery instructions: EMAIL `~'~ C-GF~r~~ ~,~~,~OYY~
VAME, ADDRESSES, PHONE NUMBERS O)F~A~LL OWNERSIPARTNERS: ;~
Vame ~- b~.a 51 nS m i hfi~$ts~tal Security # _ Drivers l,Rc,,pnse State~~r7
come
low long have you resided at this location? ~Hc~e Phone
fame ' ~ Isl. 1S ~~ ~~.~ 'Social Security # t! unvers License State /`'~'~
tome Address ~ 5 ~ ~ Email .,~1°1~(1 1'~S~y~ctr nom. '~"G/ct0l.trc71
low long have you resided at this location? Home Phone 1 ~ ~ - U
ame ~; t~,~,~ ~<<~~G~~LaS Social Sec{urity # ~ :~~ ~~....,,~e State
ame Address_ ~~.,~ ~ c.~!~ ~~N ~ UJnr-~° t ~T~~" r' ~ ~ "'Email r~°~(g rdfllil.~tt4..C7Q~ Chi
ow long have you resided at this location? ~_,~((~Home Phone ~~ ~~1~ ~D (''~
ame Social Security # Drivers License State
ame Address Email
~w long have you resided at this location? Home Phone
lSINESS BANK
.me, Address, Ph
ntact Account #
RSONAL BANK
me, Address, Ph
itact Account #
1. Name ,
Address
2.~ Name _
Address
3. Name
~(~lL~~ ~~ ~- ~ 7 ~~
Address
TERMS AND CONDITIONS
In consideration for the extension of credit and intending to be legally bound hereby, the undersigned Buyer hereby agrees that the following terms will
govern any charge account established by John Gross & Co. (Seller) for Buyers benefit.
1. Payment. Buyer hereby agrees to pay the Tlme Sale Price of purchases charged to Buyers account. The Time Saie Price shall consist of the cash
sale price including applicable sales tax and delivery charges, if any, plus service charges and any finance charge which may accrue pursuant to paragraph
two (2) hereunder.
2. Pasf Due Accounts. Payment is due upon receipt. Failure to pay within 30 days of receipt ("the billing date's constitutes a default. Buyer hereby agrees
that Interest charges of 1'R96 per month or 189b per annum will be assessed ~n any account balance which is not satisfied within 30 days of the Blll(ng pate.
3. Seller's Remedies. In the cslse of Buyer's Default, Buyer's entire atxount balance shall become due and payable. Seller's waiver of any Default shall
not operate as a waiver of any other Default. If Buyer's account Is referred for coUecdon to an attomey, Buyer will pay, to the extent permitted by law,
reasonable attorney's fees and court costs incurred. ~ ".
'4. Seller's Dfscrefion. The extension of temporery credit pursuant to this Agreement is within Seller's sole discretion and Seller may terminate this
Agreement any time and for any reason.
5. Credit Check. Buyer hereby authorizes the firma and banking insUtutkxis listed above to fum~h any information requested by Seller to process this
application; and Buyer agrees that neither those Sims nor their employees shall be liable for any claim of damages as a. result of furnishing the requested
information.
6. 8uyr3r shall pay Seller a service charge of $25.00 for each check returned by the Buyer's bank, unless said service charge would result in the
violation of the usury taws of the applicable Jurisdiction.
7. Buyer shall notify Seller by certified mail immediately upon any change of ownership or change of Address of Buyer.
8. Buyer shall completely fill out all sections of the Crsdlt Application before credlt can be extended.
' CONFESSION OF JUDGEMENT
I/We hereby irrevocably authorize and empower any prothonotary, clerk, or attomey of any court of record within the Untied States or elsewhere to appear for
melus and, with or without declaration, to confess judgement at any time or times against each, any or ail of us and in favor of the Seiler for the amount
demanded by Seller to any Past Oue Account under this Credit Application and Agreement, plus irrterest, coats of coliecdon, and attorneys fees provided
thereto; and for so doing, this Agreement or a copy thereof, verified by affidavit shall be suflicient warrant. i/we hereby release all errors and expnssely waive
all rights to any stay of execution under any law or rule of court now in force or hereafter enacted. All of the foregoing promises are the joint and several
promises of melus and shat(bind me/us, my/our heir, succession end assigns. i/we waive protest, demand and notit~ of nonpayment. The authority granted
herein to confess Judgment against me/us shall not be exhausted by any exercise of that authority, but shall continue from time th time and at all times until
payment in full of alt amounts hereunder. Initial Initial
DISCLOSURE
A.1/we understand that the above consStutes a Ganfesslon of Judgment provision that would permit the Seller to enter judgment against me/us in court, after
a failure to pay on demand any Past Due Account, without advance nOtfcce to me/ua and without offering me/us an opportunity to defend against the entry of
judgment. in executing the Agreement, being fully aware of my/our rights to advance notice and to a hearing to contest the valkfity of any judgment or other
claims that the Seller may assert against me/us. I/we am knowingly, Intelligently and voluntarily waiving these rights, lrxduding any right to advance notice of
the entry of judgment, and Uwe expressly agree and consent to the Seller's entering judgment against ma/us by confession as provided for in this Confession
of Judgment provision.
B. I/we further understand that in addition to giving the Setter the right to enter Judgment against me/us without advance notice or a hearing, this Confession
of Judgment silo contains language that would permit the Seller, after entry of judgment, to execute on the Judgment by foreclosing upon, attaching, levying
on, taking possession of or otherwise seizing mylour property, in full or partial payment of the judgmem. Being fully aware of my rights to advance notice and
a hearing after judgment is entered and before execution .bn the judgment, I/we am knowingly, intelligently and voluntarily waiving these rights, and I/we
expressly agree and consent to the Seller's executing on the judgment; in any manner permitted by applicable state and federal law.
C. i/we certify that a representative of the Seller speclflcalty called this Confession of Judgment to my/our attention.
D. l/we hereby certify that my/our annual income exceeds $10,000; that Ihve received a copy hereof at the time of signing. Initial Initial
Business name
Signature Idle
Print Signed Name 1 Date ~
I certify the information provided in this credit Application and agreement is true and correct. I authorize JOHN GROSS to verify the information provided and
to contact the references listed.
SUPPLIER REFERENCES
EXHIBTT "B"
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EXHIBIT `~C"
Iol-nv Gizo~s~Coiv~Aly~
FooaSBxvicsDisrniavroa
~:_:.
May 21, 2012
Johns Diner
JEG Corp
146 Sheraton Drive
New Cumberland, PA 17070
To Whom It May Concern:
Please be advised by this letter that unless we receive payment for your account
balance in the amount of $5,304.87 within 10 days from the receipt of this letter,
we will be forced to take immediate action to collect the outstanding balance.
Please remit $5,304.87 payable to John Gross 8~ Company. We have enclosed a
copy of your statement showing the outstanding balance. If you have any
questions please feet free to contact John Gross 8~ Company of 717-766-2508.
Please take care of this irftmediately to avoid such action. At. this time we would
consider taking a credit card to pay for this balance.
Regretfully,
~~~~~~
Brook Shatzer
Credit Department
400 Cheryl Ave. Mechanicsburg, PA 17055 • 717-766-2508 ^ 800-368-6800 ^ tax 717-790-9642
,o FAMILY OWNED AND OPERATED FOR OVER 60 YEARS
w w w. j g r o s s c a c o m
August 10, 2012
Johns Diner
Attention: Anna
146 Sheraton Drive
New Cumberland, PA 17070
Dear Anna,
)oi-wGROS~s~CoNm~
FOODSEAVICEDISTRIB VIOA
I received your message on August 1, 2012 in regards to the balance in the
amount of $5,455.79. Your message stated that the balance would be paid
in full by August 31, 2012. We would like to extend you this time without
taking further action on the delinquent account. At the end of day, August
31, 2012 if balance is not paid in full, we will proceed with court filings to
collect the balance.
If you have any questions please let me know. You can contact me at 717-
766-2508.
Sincerely,
~~
Brook Shatzer
Credit Manager
John Gross and Company, Inc.
400 Cheryl Ave. Mechaniaburg, PA 17055 ^ 717-766-2508 ^ 800-368-6800 ^ fax 717-790-9642
.o~_ FAMILYVOWN~D AN g0' E~RATED C OR O CER~ bm YEARS
VERIFICATION
I, Brian Gross, President of John Gross & Company, acknowledge I have the authority to
execute this Verification on behalf of John Gross & Company and certify the foregoing Complaint
is based upon information which has been gathered by my counsel in the prepazation of the lawsuit.
The language of this Complaint is that of counsel and not my own. I have read the document and
to the extent the Complaint is based upon information which I have given to my counsel, it is true
and correct to the best of my knowledge, information and belief. To the extent the content of the
Complaint is that of counsel, I have relied upon counsel in making this Verification.
This statement and Verification aze made subject to the penalties of 18 Pa. C.S. § 4904 relating
to unsworn falsification to authorities, which provides that if I knowingly make false averments, I
may be subject to criminal penalties.
JOHN GROSS & COMPANY
By:
SHERIFF'S OFFICE OF CUMBERLAND COUNTY
Ronny R Anderson
Sheriff
Jody S Smith
Chief Deputy
Richard W Stewart
Solicitor
John Gross & Company
vs.
JEG Corp.
,~,~~ ~ ° ``' ~ ~ ~~ ~~r,
u ' ~~
_.. 1;,;~~_~- ,,
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Case Number
2012-6093
SHERIFF'S RETURN OF SERVICE
10/01/2012 Ronny R. Anderson, Sheriff who being duly sworn according to law states that he rrrade a diligent search
and inquiry for the within named defendant, to wit: JEG Corp. d/b/a John's Diner Family Restaurant, but
was unable to locate them in his bailiwick. He therefore deputized the Sheriff of York Caunty
Pennsylvania to serve the within Complaint and Notice according to law.
10/04/2012 01:26 PM -York County Return: And now October 4, 2012 at 1326 hours I, Richard P. Keuerleber,
Sheriff of Yark County, Pennsylvania, do hereby certify and return that I served a true copy of the within
Complaint and Notice, upon the within named defendant, to wit: JEG Corp. d/b/a John's Diner Family
Restaurant by making known unto Anna Politzopoulos, Owner of JEG Corp. at 146 Sheraton Drive, New
Cumberland, Pennsylvania 17070 its contents and at the same time handing to her personally the said
true and correct copy of the same.
SHERIFF COST: $37.45
October 22, 2012
SO ANSWERS,
~/'~.7
RON ~ R ANDERSON. SHERIFF
SHERIFF'S OFFICE OF YORK COUNTY
Richard P Keuerleber PETER J. MANGAN, ESQ.
Sheriff ~ Solicitor
Reuben B Zeager Richard E Rice, II
Chief Deputy, Operations ;,. ' ~~ Chief Deputy, Administration
JOHN GROSS & COMPANY Case Number
vs. 12-6093
JEG CORP., d/b/a JOHN'S DINER FAMILY RESTAURANT
SHERIFF'S RETURN OF SERVICE
10/04/2012 01:26 PM -DEPUTY MICHAEL DONOVAN, BEING DULY SWORN ACCORDING TO LAW, SERVED
THE REQUESTED COMPLAINT IN CIVIL ACTION (CICA) AND NOTICE BY HANDING ATRUE COPY
TO A PERSON REPRESENTING THEMSELVES TO BE ANNA POLITZOPOULOS, OWNER, WHO
ACCEPTED AS "ADULT PERSON IN CHARGE" FOR JEG CORP., D/B/A JOHN'S DINER FAMILY
RESTAURANTA.T 146 SHERATON DRIVE, NEW CUMBERLAND, PA 17070.
MICHAEL NOVAN, DEPUTY
SHERIFF COST: $45.20
October 16, 2012
SO AN$iAI~RS,
( ,>
.~'
R C RD KE RLEBER, SHERIFF
Pva¢~ a >,rs
sr~cgeusUss~;+'E~ab~, tC:r::;aunty
c _y,n 5e i b E:x~ir~s Fee 1, ;2013
NOTARY
Affirmed and subscribed to before me this
16TH day of OCTOBER 2012
!,
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F.\FILES'~Clien[s\8369 John Gross & Co\8369.52 ]ohn's Diner\6369.52.pra default
hristopher E. Rice, Esquire -
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LD. No. 990916 rn~ ~=' ;~ -~~+
MARTSON DEARDORFF WILLIAMS OTTO GILROY & FALLER ~''`' "= ~~'-
MARTSON LAW OFFICES -c r' -- c}
10 East High Street `~ ~ _ ~-`
Carlisle, PA 17013 ~ ~ _ '~w~ -_'
~
(717) 243-3341 ~' ~
~.., ~ '`~}~
~
Attorneys for Plaintiff -" ° _ .
JOHN GROSS & COMPANY, IN THE COURT OF COMMON PLEAS OF
Plaintiff :CUMBERLAND COUNTY, PENNSYLV ANIA
v. NO. 12 - 6093 CIVIL TERM
JEG CORP., d/b/a JOHN'S DINER
FAMILY RESTAURANT,
Defendant
PRAECIPE
TO THE PROTHONOTARY:
Please enter default judgment in the above-captioned action in favor of Plaintiff and against
Defendant, JEG Corp., d/b/a John's Diner Family Restaurant, in the amount of $5,304.87, as of May
21, 2012, together with interest at 18% per annum, finance charges, costs, attorney fees of $1,000.00,
and any other remedy this Court may deem appropriate, for failure to file an Answer to Plaintiff s
Complaint.
I do hereby certify that written notice of intention to file this Praecipe was mailed to JEG
Corp., d/b/a John's Diner Family Restaurant, on November 5, 2012, which date is subsequent to the
date default occurred and at least ten (10) days prior to the date of this Praecipe.
MARTSON LAW OFFICES
By: ~~L~ ~ ` !~ --~
Christopher E. Rice, Esquire
I.D. Number 90916 ~,f` ~ nQ/~~
Ten East High Street #aG ~//
Carlisle, PA 17013 ~
(717) 243-3341 /I~o~833~'1'.2
Dated: ~~~1/~/~- Attorneys for Plaintiff
/I~~ ~ ~ /yla•`~°~
This is a debt collecting firm attempting to collect a debt for John Gross & Company. Any
information obtained will be used for that purpose.
F.\FILES1CIients~.8369 John Gross & Co\8369.52 John's Diner\8369.52.1 Odaynotice
Christopher E. Rice, Esquire
I.D. No. 990916
MARTSON DEARDORFF WILLIAMS OTTO GILROY & FALLER
MARTSON LAW OFFICES
10 East High Street
Carlisle, PA 17013
(717) 243-3341
Attorneys for Plaintiff
JOHN GROSS & COMPANY,
Plaintiff
v,
JEG CORP., d/b/a JOHN' S DINER
FAMILY RESTAURANT,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 12 - 6093 CIVIL TERM
NOTICE
TO: JEG CORP., d/b/a John's Diner DATE OF NOTICE: November 5, 2012
Family Restaurant,146Sheraton Drive
New Cumberland, PA 17070
YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN
APPEARANCE PERSONALLY OR BY ATTORNEY AND FILED IN WRITING WITH THE COURT
YOUR DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU. UNLESS YOU
ACT WITHIN TEN (10) DAYS FROM THE DATE OF THIS NOTICE, A JUDGMENT MAY BE
ENTERED AGAINST YOU WITHOUT A HEARING AND YOU MAY LOSE YOUR PROPERTY OR
OTHER IMPORTANT RIGHTS.
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 Lawyer Referral Service
Cumberland County Bar Association
32 South Bedford Street
Carlisle, PA 17013
Telephone:(717) 249-3166
MAR/TS~ON LAW OFFICES
Christopher E. Rice, Esquire
This is a debt collecting firm attempting to collect a debt for John Gross & Company.
Any information obtained will be used for that purpose.
CERTIFICATE OF SERVICE
I, Jacqueline A. Decker, an authorized agent of MARTSON DEARDORFF WILLIAMS
OTTO GILROY & FALLER, hereby certify that a copyof the foregoing Praecipe was served this
date by depositing same in the Post Office at Carlisle, PA, first class mail, postage prepaid, addressed
as follows:
JEG Corp., d/b/a John's Diner Family Restaurant
146 Sheraton Drive
New Cumberland, PA 17070
MARTSON LAW OFFICES
ac line A. Decker
10 st High Street
Carlisle, PA 17013
Dated: Novembero2,! 2012
This is a debt collecting firm attempting to collect a debt for John Gross & Company. Any
information obtained will be used for that purpose.
Christopher E. Rice, Esquire
I.D. Number 90916
MARTSON DEARDORFF WILLIAMS OTTO GILROY & FALLER
MARTSON LAW OFFICES
Ten East High Street
Carlisle, PA 17013
717-243-3341
Attorneys for Plaintiffs
JOHN GROSS & COMPANY,
Plaintiff
v.
JEG CORP., d/b/a JOHN'S DINER
FAMILY RESTAURANT,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 12 - 6093 CIVIL TERM
TO: JEG CORP., d/b/a JOHN'S DINER FAMILY RESTAURANT
NOTICE OF ENTRY OF DEFAULT JUDGMENT
You are hereby notified that on the 2 ~ f t day of November, 2012, the following Judgment
was entered against you in the above-captioned action: judgment in the amount of $5,304.87, as of
May 21, 2012, together with interest at 18% per annum, finance charges, costs, attorney fees of
$1,000.00, and any other remedy this Court may deem appropriate, for failure to file an Answer to
Plaintiff s Complaint.
Date: ~ a ~ v?~/-2
Pr r}~
I hereby certify that the name and address of the proper person to receive this notice under
Pa. R. Civ. P. 236 is:
JEG Corp., d/b/a John's Diner Family Restaurant
146 Sheraton Drive
New Cumberland, PA 17070