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~ ~ ~ Andrew Sklar, Esquire (ID#65332) ' Sklar - Markind 102 Browning Ln, Bldg B, Ste 1 ~ w ~,, ~,~ Cherry Hil( NJ 08003 °. ' ~~~ ~' '`'~- 4 - ~ ry ~ ~~-~ 1 856/616-8710 ~ ` ~ `' ~ F:. „~~'~~ '.'~~ FILE NO.: F 1100696 .,- t ~ , ~. z, Attorneys for Plaintiff "~ ' ' `' ~~~' ~ ~ ~` ~~ ~` ~ IN THE COURT OF COMMON PLEAS OF CUMBERLAND ~~~~~~~~ ANIA CIVIL ACTION -LAW FORD MOTOR CREDIT COMPANY LLC Plaintiff(s) v. JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and M,~RIAN K. SCHULZ a/k/a MARIAN SCHULTZ Defendant(s) 1 No. ~~j -~~~ ~I~~~ I ~ Term I I ~ CIVIL ACTION I I I I I I PRAECIPE TO ENTER JUDGMENT TO THE PROTHONOTARY: Please issue judgment in the above matter against JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARIAN SCHULTZ ,Defendant(s) and in favor of FORD MOTOR CREDIT COMPANY LLC ,Plaintiff, in the amount of $11,603.28 plus interest from SEPTEMBER 21, 2012. ~--~~ Date: December 26, 2012 Lloyd S Markind, Esquire (ID#52507) 102 Browning Ln, Bldg B, Ste 1 Cherry Hill NJ 08003 856/616-8710 Ck ~ ~~a~ ~~ags~a~ i~loh~ n~.le ~ s + ~ Lloyd S Markind, Esquire (ID#52507) Sklar -Markind 102 Browning Ln, Bldg B, Ste 1 Cherry Hill NJ 080~~3 856/616-8710 FILE NO.: F 11006!x6 Attorneys for Plaintiff IN THE COU1tT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION -LAW FORD MOTOR CREDIT COMPANY LLC Plaintiff(s) X10. ,~ -,d~ l~~V~ v. JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARIAN SCHULTZ Defendant(s) Term CIVIL ACTION CERTIFICATION OF JUDGMENT/ADDRESSES Lloyd S Markind, hereby certifies: 1. That he is the att,~rney for the Plaintiff in the above matter. 2. That the Defendant(s) is/are JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARIAN SCHULTZ 3. That the last known address of the Defendant(s) is/are 501 WINDY HILL, ROAD, LOT 21 PO BOX 439 SHERMANS DALE PA 17090. 4. The Plaintiff is FORD MOTOR CREDIT COMPANY LLC and their address is 1335 S. Clearview Avenue Mesa, AZ 85209. 5. That the foreign judgment entered by the Plaintiff, FORD MOTOR CREDIT COMPANY LLC ,and against the Defendant(s), JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARIAN SCHULTZ , in the PERRY COUNTY COURT OF COMMON PLEAS, in the sum of $11,603.28 is valid, enforceable and unsatisfied. I hereby certify that the above statements are true false, I am subject tf ~ punishment. Date: December 26, 2012 I am aware ' y of the above statements are willfully ~ T I Lloyd S Markind, Esquire ~~ Andrew Sklar, Esquire (ID#65332) Sklar - Markind 102 Browning Ln, Bldg B, Ste 1 Cherry Hill NJ 08003 856/616-8710 FILE NO.: F 1100696 Attorneys for Plaintiff 1N THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION -LAW FORD MOTOR CREDIT COMPANY LLC I ' ~ _ 1 ~ ~ ~ II I No. ` U l l Plaintiff(s) I I Term I v. I I CIVIL ACTION JAY HUSTON SCHULZ a/k/a JAY I SCHULTZ and MARIAN K. SCHULZ I a/k/a MARIAN SCHULTZ I I Defendant(s) I (Applicable to real estate and personal property) 236 NOTICE OF FILING JUDGMENT ( )Notice is given that a judgment in the above captioned matter has been. entered against you in the amount of $ ~~ ~~ on ~--' 20~. ( ) A copy of all documents filed with the Prothonotary in support of the within judgment is/are enclosed. Clerk of Courts/ thon Date: December 26, 2012 gy: 'A Deputy If you have any questions regarding this Notice, please contact the filing party: Lloyd S Markind, Esquire (ID#52507) 102 Browning Ln, Bldg B, Ste 1 Cherry Hill NJ 08003 856/616-8710 (This Notice is given in accordance with Pa.R.C.P. No. 236) IN THE COURT OF COMMON PLEAS OF PERRY COUNTY, PENNSYLVANIA OFFICE OF PROTHONOTARY CV-CV-2012-00600 FORD MOTOR CREDIT COMPANY LLC, plaintiff VS JAY HUSTON SCHULZ & MARIAN K. SCHULZ defendants EXEMPLIFIED RECORD OF JUDGMENT RECORDED I, BRENDA J. ALBRIGHT, PROTHONOTARY OF THE COURT OF COMMON PLEAS OF PERRY COUNTY, PENNSYLVANIA, DO HEREBY CERTIFY THAT THE FOLLOWING IS A TRUE, CORRECT AND FULL COPY OF THE DOCKET ENTRIES IN THE ABOVE CAPTIONED CASE. FURTHER, I DO HEREBY CERTIFY THAT JUDGMENT WAS ENTERED BY PRAECIPE AGAINST THE DEFENDANTS, JAY HUSTON SCHULZ & MARIAN K. SCHULZ ON SEPTEMBER 21, 2012 IN THE AMOUNT OF 11 603.28 PLUS COSTS PLUS INTEREST, AND IN FAVOR OF PLAINTIFF, FORD MOTOR CREDIT COMPANY LLC. IN TESTIMONY WHEREOF, I HAVE HEREUNTO SET MY HAND AND OFFICIAL SEAL OF THE SAID COURT ON THE 15T" DAY OF NOVEMBER A.D. 2012 SEAL /S/ BREND J. ALB (RIGHT, P OTHONOTARY BY RU H HOWER, DEPUTY 4 CERTIFICATION I, Honorable Kathy A. Morrow, President Judge of the 41St Judical District of Pennsylvania, composed of the County of Perry, in the said Commonwealth of Pennsylvania, do hereby certify that Brenda J. Albright whose name is subscribed to the annexed instrument and thereon written, and who in her own handwriting thereunto subscribed her his name and affixed the seal of the Prothonotary/Clerk of Court of Perry County, was at the time of so doing and now is the Prothonotary/Clerk of Court in and for the said County of Perry in the Commonwealth of Pennsylvania, duly qualified and commissioned to all of whose acts as such full faith and credit are and ought to be given, as well in Court of Judicature as elsewhere, and that the said oath or acknowledgment are in due form of law and made by the proper officer. II l ll~ - Date COMMONWEALTH OF PENNSYLVANIA COUNTY OF PERRY SS ~~. ~ / /f: President dge I, Brenda J. Albrieht, Prothonotory and Clerk of Court in the Court of Common Pleas, in and for the County of Perry, 41St Judical District, in the State of Pennsylvania, do hereby certify that the Honorable Kathy A. Morrow, President Judge, by whom the foregoing attestation was made, and who has thereunto subscribed her his name, was at the time of making thereof and still is President Judge of the Court of Common Please, 41St Judical District, in and for the County of Perry, duly commissioned and qualified to all whose acts as such, full faith and credit are and ought to be given, as well in Courts of Judicature as elsewhere. In testimony whereof I have hereunto set my hand and affixed the seal of said Court this day of ~ /JU~iir r , 20 Prothonotary .Jerk of Cou Perry County r User: RUTH S Date: 11/15/2012 41st Judicial District of PA, Perry County Branch Time: 11:07 AM CIVIL CASE JUDGMENTS REPORT Page 1 of 1 Case: CV-CV-2012-00600 FORD MOTOR CREDIT COMPANY, LLC vs. JAY HUSTON SCHULZ, etal. Filin date In Favor Of Jud ment Jud ment 09/21/2012 Plaintiff 00/00/0000 Def. Judgment Judgment amount or comment: Plaintiff: FORD MOTOR CREDIT COMPANY, LLC, 11,603.28+costs+interest Defendant: SCHULZ, JAY HUSTON SCHULZ, MARIAN K. ~;:'4"~-T1FiLC3 ~, ~a"tl; CO~'Y F -:R. .. L ,e _ i Date: 11 /15/2012 Time: 11:07 AM Page 1 of 2 Filed: Subtype: Comment: 41st Judicial District of PA, Perry County Branch User: RUTH S Complete Case History Case: CV-CV-2012-00600 FORD MOTOR CREDIT COMPANY, LLC vs. JAY HUSTON SCHULZ, etal. 7/5/2012 COMPLAINT Physical File: Y Status History Pending DEFAULT JUDGMENT Judge History Date Judge 7/6/2012 MORROW, KATHY A. Plaintiff 7/6/2012 9/21/2012 Name: FORD MOTOR CREDIT COMPANY, LLC, Address: 1335 S. CLEARVIEW AVENUE MESA AZ 85209 Phone: Home: Work: Employer: Litigant Type: Comment: Attorneys SKLAR, ANDREW ESQ (Primary attorney) Defendant Name: SCHULZ, JAY HUSTON Address: PO BOX 439 SHERMANS DALE PA 17090 Phone: Home: Work: Employer: Litigant Type: Comment: Defendant Name: SCHULZ, MARIAN K. Address: PO BOX 439 SHERMANS DALE PA 17090 Phone: Home: Work: Employer: Litigant Type: Comment: Register of Actions 7/5/2012 Complaint filed .Exit cc and time stamp copy to Atty. EXIT CC TO SHERIFF WITH CHECK FOR SERVICE Appealed: N CERTIFIED A TRU COPY t Gt'-t~v~f~'Y f'RO'T~-ti?N~TARY Reason for Removal Current SSN: DOB: Sex: Send notices: Y Send Notices SSN: DOB: Sex: Send notices: Y SSN: DOB: Sex: Send notices: Y MORROW, KATHY A. 11%15/2012 t 41st Judicial District of PA, Perry County Branch User: RUTH S e: Da Time: 11:07 AM Complete Case History Page 2 of 2 Case: CV-CV-2012-00600 FORD MOTOR CREDIT COMPANY, LLC vs. JAY HUSTON SCHULZ, etal. Register of Actions 7/5/2012 Filing: Complaint Paid by: LAW MORROW, KATHY A. OFFICE OF ANDREW SKLAR, PC Receipt number: 0049672 Dated: 7/6/2012 Amount: $68.75 (Check) For: CONTRACT DEBT COLLECTION : MORROW, KATHY A. cFPr~FIEa A TRr,~ co~~r' 7/11/2012 OTHER Sheriffs Return served upon Jay H. f l d lt h UNASSIGNED, ~ ~ ' ~~ ~° ~' J = i e . z, Sc u , ~~f, ,.- 6~ Sheriffs Retum served upon Marian K. UNASSIGNED, r~~~u~Y P~o~r~~t~r~`=~°{aY Schultz, filed. 9/5/2012 Answer of Defendants filed. Exit is copy MORROW, KATHY A. to defendants, file. 9/21/2012 Praecipe for Entry of Judgement by MORROW, KATHY A. Default for Failure to Plead dated 09/17/2012 filed. Exit is to Atty Markind, file. Judgment entered by praecipe in the MORROW, KATHY A. amount of : $11,603.28+costs+interest Exit 236 notice to defendant. DEFAULT JUDGMENTS MORROW, KATHY A. 10/2/2012 Filing: Default Judgment Paid by: LAW MORROW, KATHY A. OFFICES ANDREW SKLAR PC Receipt number: 0050776 Dated: 10/2/2012 Amount: $19.81 (Check) For: FORD MOTOR CREDIT COMPANY, LLC, (plaintiff) DEFAULT JUDGMENTS MORROW, KATHY A. 11/15/2012 Filing: Exemplified Record Paid by: LAW MORROW, KATHY A. OFFICES ANDREW SKLAR PC Receipt number: 0051281 Dated: 11/15/2012 Amount: $20.90 (Check) For: FORD MOTOR CREDIT COMPANY, LLC, (plaintiff) Request for Exemplified Record filed. MORROW, KATHY A. Exit exemplified record to atty, file. Judgment Order date In Favor Of Disposition Judgment 09/21/2012 Plaintiff 00/00/0000 Def. Judgment Comment: 11,603.28+costs+interest Plaintiff: FORD MOTOR CREDIT COMPANY, LLC, Defendant: SCHULZ, JAY HUSTON SCHULZ, MARIAN K. P v s Andrew Sklar, Esquire (ID #65332) Lloyd S. Markind, Esquire (ID #52507) Sklar ~ Markind 102 Browning Lane, Building B, Suite 1 Cherry Hill, NJ 08003 856-616-8710 Attorneys for Plaintiff FILE NO.: F1100696 IN THE COURT OF COMMON PLEAS dF PERRY COUNTY, PENNSYLVANIA CIVIL ACTION -LAW FORD MOTOR CREDIT COMPANY LLC Plaintiff vs. JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCH[.TLZ a/k/a MARIAN 5CHULTZ Defendant T0: No. CV-2012-600 . TERM = : CIVIL ACTION ~- JAY HUSTON SCHULZ AKA JAY SCHULTZ 501 WINDY HILL ROAD, LOT 21 PO BOX 439 SHERMANS DALE PA 17090 MARIAN K. SCHULZ AKA MARIAN SCHULTZ 501 WINDY HILL ROAD, LOT 21 PO BOX 439 SHERMANS DALE PA 17090 Date: September 8, 2012 NOTICE Pursuant to Rule 236 of the Supreme Court of Pennsylvania, you are hereby notified that a Judgment has been entered against you in the above proceeding as indicated below. X Judgment by Default Money Judgment Judgment in Replevin Confession of Judgment for Possession Judgment on Award of Arbitration Judgment on Court Findings IF YOU HAVE ANY QUESTIONS CONCERNING THIS NOTICE, PLEASE CALL: ATTORNEY: Sklar ~ Markind Andrew Sklar, Esquire Lloyd S. Markind, Esquire at this telephone number: 856-616-8710 Lloyd S. Markind, Esquire {ID #52507) Sklar ~ Markind l02 Browning Lane, Building B, Suite 1 Cherry Hill, NJ 08003 856-b16-8710 Attorneys for Plaintiff F1LE NO.: F1100696 IN THE COURT OF COMMON PLEAS OF PERRY COUNTY, PENNSYLVANIA CIVIL ACTION -LAW (Rule of Civil Procedure No. 236) Revised - FORD MOTOR CREDIT COMPANY LLC Plaintiff No. CV-2012-600 TERM vs. JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARIAN SCHULTZ Defendant . ,_._. c.. , CIVIL ACTION CERTIFICATION OF NON-MILITARY SERVICE Lloyd S. Markind, Esquire, hereby certifies and says that he is the attorney for the plaintiff; that he is authorized to make this certification on behalf of plaintiff; that the above-named defendants JAY HUSTON SCHULZ alk/a JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARIAN SCHULTZ resides} at 501 WINDY HILL ROAD, LOT 21 PO BOX 439, SHERMANS DALE PA 17090; and that the defendant(s) JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ a1k/a 1VIARIAN SCHULTZ is/are not in the Military Service of the United States, nor any State or Territory thereof or its allies as defined in the Soldiers' and Sailors' Civil Relief Act of 1940 and the amendments thereto. Affidavit also certifies that the address of the plaintiff is 1335 S. Clearview Avenue, Mesa, AZ, 85209. I verify that the foregoing statement of facts are true and correct to the best of my knowledge, information and belief. I understand that false statements herein are made subject to the penalties of 18 PA. C.S.A. 4904 relating to unsworn falsifications to authorities. SKLAR ~ MARKIND Lloyd S. Mar nd, Esquire (ID #52507) f I~ ~ ATTORNEY FOR PLAINTIFF Date: I /J Reauik as q : Aug•2629120a:13:21 Department of Defense Manpower Data Center 9DRA 2.9 ..'t~ f' - '" Si$iUSlt~pi}rL :~ Pur~u~ttt to 5~uicerncmbers Civil ReliefA~t Last Name: SCHULZ First Name: JAY HUSTON Middie Name: Active Duty Status As Of: Aug-20-2012_ ~- NA I t1h Ho NA Tltb respmserelegs the MtdWiduab' actlve tluty status bead on the Aodve Duty Blatus Date NA NA No ~ Thb response repegs where fie IntlMdlet le8 adtve dory sle0is wltliNt 387 days Dmceding fie Adlve Duty SIaWf Date NA IJA NO NA Thb response re8ecls vAietl>er !r indMAtlual or hkAier un! hes rceeNed early nolllm9on b repoA br egive duty upon seamJting the data banks of the Department of Defense Manpower Date Cenler, based on the Information that you provitled, the above is the status of the itWividual On tote acilve duty status data as to alt branaltea of the llNformetl Servioea {Army, Navy, Marine Corps, Air Fnroa, NOAA, Public fieatth, and Coast Guard). This status includes information on a Servioemember or hishter unit receiving notification of tuwre orders to report for Active Duty. Mary M. SnavelyDlxon, D(rertar Department of Defense • Manpower Data Center 4800 Mack CernerDrHe, Suite 04E25 Arlington, VA 22350 The Defense Manpower Data Center (DMDC) is en organization of the Depenment of Defense (DOD) that maintalna the Defense Enrollment end Edglbidy Reportutg System (DEERS} database which is the offiaal source of data on eligibllSty for midtary medical Data and other ekigibiYty systems. The DoD stfangly supports the enforcement of tho Serviaemembers CIvY Rellef Act (50 USC App. § 501 et saq, as emended) (SCRA} (fonneny known es the Soldiers' and Sailors' Civil Relief Act of 1940). OMOC has issued hundreds of thousands of "does not possess any information indicating that the individual is currently on acllve duty" responses, end has expeAenced only a small error rate. In the event the individual referenced above, a any family member, friend, or representative asserts in any manner that the Individual was on active duty forthe active duty status date, or is otherwise entitled to the protections of the 8CRA, you are strongly enoouregad to obtain further verification of the person's status by contecting that person's Service via the 'defenselink.mil" URL: bhp:!lwww.defeneellnk.miUfagfpis1PC09SLD R.html. If you have evidence the person wsa on emlve dutyfor Ute aciive duty status date and you felt to obtain ibis additional Service verification, punitive provisions of the SCRA may be invoked against you. See 50 USC App. § 521(c). This response retleds the folowkng information: (1}The individuara Active Outy status on U1e Active Duty Status Date (2) Whether the individual left Active Duty statue within 367 days preceding the Active Duty Statue Date (3} Whetfter the individual or his/her unit received early notification to report for active duty on the Active Duty Status ^ate. More information on "Active Duty Status" Active duty status sa reported in this aertifioate is dented in accordance with 10 USC § 101(d) (1 ). Pdor to 2010 only some of the active duty periods less than 30 consecutive days in length were available. In the case of a member of the National Guard, this includes service under a call to active service authorized by the President or the Secretary of Defense antler 32 USC § 502(f) for purposes of respantling to a national emergency declared by the President and supported by Federal furxts. All Active Guard Reserve (AGR) members must be assigned against an authorized mabiNzation positbn in the unit they support. This includes Navy Training and Administration of the Reserves (rARs), Marine Carps Active Reserve (ARs) and Coast Guard Reserve Progrem Administrator (RPAs}. Active Duty slaws also applies to a Unffarmed Service member wlto is an active duty commissioned officer of the U.S. Public Health Service or the Natonal OceaNc end Atmospheric Atlmirwstration (NOAA Commissioned Corps). Coverage Under the SCRA is Broader in Some Cases Coverage under the SCRA is broader in some cases and Includes some categories of persona on saliva duty for purpasea of the SCRA who would net be reported es an Active Duty under this certificate. SCRA protections are for Title 10 end Tide 14 active duty retards for all the Uni(anned Services periods. Title 32 periods of Active Duty era not covered by SCRA, as dertned in accordance wkh 10 USC g 101(d}(1). Many times orders ere amended to extend the padod of active duly, which xrouid extend SCRA protections. Persons seeking 1o rely on thla website cenlflcadon should ohedt W make sure the orders on which SCRA protections are based have not been amended to extend the inclusive dates of service. Furthermore, sumo protections of the SCRA may extend to persons who have received orders to report for adive duty or to be inducted, but who have not actually begun active duty or actually reported for induction. The Last Date on Active Duty entry is imponam because a number of protections of the SCRA extend beyond the last dates of active duty. Those who could rely on this certfficate are urged to seek qualified legal counsel to ensure that all rights guaranteed to 3ervica members trader the SCRA are protected WARNING: This certificate was provided based on a last name, SSNldate of birth, end aciive duty status date provided bythe requester, Providing erroneous informaton will cause en erroneous Genificete to be provided. Certificate ID. UG8K9D2QT8 Department of Defense Manpower Data Center • ~~+ " $t$t~15 IZCpQrI- Pursuant to ~rvicerncntb~ Civil Reli~if Apt Last Name: SCHULZ First Name: MARIAN K, Middls Name: Results as d : Aup-20.2012 6& 13;22 SCRA2.3 ~ NA No ~ The resPOnse relleols where tie Irdisiduel left scive duly sWWa wlhln 367 drys Pn:ooding Me Actve Duty aleWS Lek r~ r~ ,cry-~- Mary M. Snavely-0ixon, Director Department of Defense -Manpower Data Garner 4800 Merk Conter Drive, Suite 04E25 Arlington, VA 22350 Active Duty Status As Of: Aua-20-2012 Upon searching the data banks of the Department of Defense Manpower Data Center, based on the information that you provided, the above is the status of the individual on the eGive duly status date as to all txanches of the Unifartned Services (Army, Navy, Marine Corps, Air Force, NOAA, PubQc Health, and Coast Guard). This status includes Information on a 9ervicemember or hislher unit receiving notification of tutors orders to report for Active Dury. The Defense Manpower Data Center (DMOC) is an txganizadon of the Departmem of Defame (DOD) that maintains the Defense Enrollment and Eligibility Reporting System (DEERS) database which is the offidal source of date on eligibiNty for military medics[ Care and other eligt'bt'lity systems. me Do0 strongly supports the enforcement of the Servlcernembers Civil Relict Act (50 USC App. § 501 et seq, es amended) (SCRA) (farmedy krrown as the Soldiers' and Sailors' Gvil Refaf Act of 1840}, DMOC hea issued hundreds of thousands of "does not possess any information indicating that the individual is currently on active duty' responses, and has experienced oMy a smell error rate. In the event the individual referenced above, or any family member, friend, or representative asserts in any mannerthat the Individual was on active duty forthe active duty status date, or Is otherwise entitled to the protections of the SCRA, you are strongly encouraged to obtain further verification of the person's status by contacting that person's Service vie the "defenselink.mil' URt.: http l/www.defenselink.miUfaglpls1PC09SLDR.html. If you have evidence the parson was on active duty for the active duty stews date and you fall to obtain this adtlidonel Service verification, ptxtitive provisions of the SCRA maybe invoked against you. See 50 USC App. § 521 (c}. This response reflects the folawing information: (1) The Indivklual's Active Duty status on the Active Duty Status Dete (2) Whether the Individual IeftActive Duty status within 967 days preceding the Active Duty 6tatus Date (3) Whether the individual or his/her urtit received early notlflca2ion to report for active duty on the Active Duty Status ]ate. More information on "Active Duty Status" Active duty status as reported in this cerdficate is defined in accordance with 10 USC § 101(4) (1). Prier to 2010 only soma of the active duty periods less than 30 consecutive days in length were evallade. In the case of a member of the National Guard, this includes service under a cell to acive service authodzed by the President or the Secretary of Defense tinder 32 USC § 502(f) for purposes of responding to a netlonel emergency declared bythe President and supported by Federal [rinds. All Active Guard Reserve (AGR) members must be assigned against an authorized mobilizatien position in the unit they support. This includes Navy Training and Administration of the Reserves (fARs), Marine Corps Active Reserve (ARa) end Coast Guard Reserve Program Administrotor (RPAS). Active Duty status also applies to a Uniformed Service member who is an active duty commissioned officer of the U.S. Public Health Service or the National Oceanic end Atmospheric Administration (NOAA Commissioned Corps). Coverage Under the SCRA Is Broader In Some Cases Coverage under the SCRA is broader in some cases and indudea soma categories of persona on active duty for purposes of the SCRA who wotAtl not he reported as on Active Duty underthis ceniicato. SCRA protedlons are for Title 10 end Title 14 active duty records for all the Unifanned Services periods. Title 32 periods of Active Duty are not covered by SCRA, as defined in acoor'dartce with 10 USC § 101(dx1). Many times orders are amended to extend the period of active duty, which would extend SCRA protections. Parsons seeking to rely on this webshe cerlificatlan should check to make sure the orders on which SCRA protections are based have not been amended to extend the Irtdueive dates of service. Furthermore, some protections of the SCRA may extend to persona who have received orders to report for active duty or to be inducted, but who have not actually begun active duty or aOtually reported for induction. The Last Date on Active Duty entry is important because a number of protections of the SCRA extend beyond the last dates of active duty. Those who could rely an this certitlceie are txged to seek qualified legal counsel to ensure that all rights guaronteed to Service members underthe SCRA are protected WARNING: This certificate was provided based on a fast name, SS Wdate of birth, and acdve duty status dale provided by the requester. Providing erroneous infomation will cause en erroneous certificate to be provided. Certificate ID. FOIBNQ6IBT Andrew Sklar, Esquire (ID #65332} Lloyd S. Markind, Esquire {ID #52507) Sklar ~ Markind 102 Browning Lane, Building B, Suite I Cherry Hill, NJ 08003 856-b16-8710 Attorneys for Plaintiff FILE NO.: F1100696 IN THE COURT OF COMMON PLEAS OF PERRY COUNTY, PENNSYLVANIA CNIL ACTION -LAW FORD MOTOR CREDIT COMPANY LLC : No. CV-2012-600 Plaintiff TERM vs. CIVIL ACTION JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARIAN CERTIFIED A TRU COPY SCHULTZ ~ Defendant ~~~,~r PRAECIPE TO ENTER DEFAULT JUDGMENT D DUTY pROTRt?NC~ TARY TO THE PROTHONOTARY; Please enter a default judgment in favor of Plaintiff, FORD MOTOR CREDIT COMPANY LLC and against Defendant, JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARIAN SCHULTZ ,for failure to answer or otherwise respond to the Complaint. I . The Complaint was served upon defendant on July 11, 2012 by Sheriff. A copy of the Proof of Service is attached hereto as Exhibit A. 2. A Notice Praecipe to Enter Default Judgment was served upon Defendant by regular mail on August 15, 2012. 3. A copy of the Notice is attached hereto as Exhibit B. A copy of the Certification of Service of the Notice is attached hereto as Exhibit C. Pursuant to the Notice, Defendant had 10 days in which to answer the Complaint. The ten {10) days expired on August 25, 201 Z. Pursuant to Rule 236 of the Supreme Court of Pennsylvania, you are hereby notified that a Judgment has been entered against you in the above proceeding as indicated below. Assess damages in the principal amount of $8,748.85, being the amount demanded in the Complaint, together with contractual attorney fees of $2,187.21 and interest of $667,22 for a total of $11,603.28, together with costs of this action. Date: ' ~' 1 / KL ~~~~ Andrew Sklar, Esquire {ID #65332) Lloyd S. Markind, Esquire (ID #52507) ATTORNEY FOR PLAINTIFF Exhibit A a ~1 f ~0(o°t ~ Ford Motor Credit Company IN THE COURT OF COMMON PLEAS OF THE 41st JUDICIAL DISTRICT OF PENNSYLVANIA, PERRY COUNTY BRANCH Versus Jay H. Schultz ~' '~ Merian K. Schultz No• 20 ,~ ~ ~ ~ n ~ u SHERIFF'S RETURN And now July 11 , 2012: Served the within name Jay H. Schultz the defendant(s) named herin, personally at his place of residence in Carroll Twp-501 Windy Hili Rd Lot 21 Shermans Dale Pent' County, PA, on July 11, 2012 at by handing to Jay H. Schultz, defendant copy(ies) of the within Contpis~t and made known to him the contents thereof 10;43 o'clock AM 1 Swom and subscribed to before me this day of , Prothonotary true and attested So answers _ .. ~,~teJ• Y~ • }~cy,,oG~ Deputy Sheriff of Perry County r Ford Motor Credit Company IN THE COURT OF COMMON PLEAS OF THE 41st JUDICIAL DISTRICT OF PENNSYLVANIA, PERRY COUNTY BRANCH Versus Jay H. Schultz ,-~.~ Marian K. Schultz No. 201200 ~, _ ' :~~ ~~ \ 7 SHERIFF'S RETURN And now July 11 , 2012: Served the within name Marian K. Schultz the defendant(s) named herin, personally at herpiaCe of residence in Carroll7wp-501 Windy Hill Rd Lot 21 Shermans Daie Peny County, PA, on July 11, 2012 at 10:43 o'clock AM by handing to Jay H. Schultz, defendant's husband 1 true and attested copy(ies) of the within Complaint and made known to him the contents thereof , Swam and subscribed to before me this day of So answers Prothonotary Deputy Sheriff of Perry County Exhibit B ~~ Andrew Sklar, Esquire (1:D #65332} Lloyd S. Markiad, Esquire {ID#52507) Sklar - Harland l02 Bmwning Ln, Bldg B, Ste 1 Cherry Hill NJ 08003 1856)616-8710 Attorney for Plaintiff File No.: F110069b IN THE COURT OF COMMON PLEAS OF PERRY COUNTY, PENNSYLVANIA CIVII. ACTION -LAW (Rule of Civil Procedure No. 23b) Revised FORD MOTOR CREDTf COMPANY LLC : No. CV-2012-600 Plaintiff : TERM va. CIVII.. AC'I'lON JAY HUSTON SCHULZ a/k/a JAY SCHULTZ sad MARIAN K, SCHULZ aJ1da MARIAN SCHULTZ Defendant NOTICE OF >riTENTjiON TO TAIL DEFAULT TO: JAY HUSTON SCHUI.,Z AKA JAY SCHULTZ 501 WINDY HILL ROAD, LOT 2l PO SOX 439 SHERMANS DALE PA 17090 MARIAN K. SCfiUIZ AKA MARIAN SCHULTZ 501 WINDY HII,I, ROAD, LOT 21 PO BOX 439 SHERMANS DALE PA 17090 DATE OF NOTICE: August 13, 2012 IMPORTANT NOTICE You arc in default because you have failed to anter s written appearance personally or by attorney and file 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 as set forth above, a judgment tr>sy be entered against you without a hearing and you may lose your property or other important rights. You should take this notice to a lawyer at once. If you do not have a lawyer or cannot afford one, go to or telephone the following office to find out where you can get legal help: CENTRAL PENNSYLVANIA LEGAL SERVICES NORTH CARLISLE STREET NEW BLOOMFIELD, PA 17068 717!582-2171 Sklar, Esquire Lloyd S, Mankind, Esquire Attorneys for Plaintiff asure You are hereby advised, pursuant to the Fair Debt Collection Practices Act, that this tlrm is deemed to be a debt collector attempting tv coikct a debt and any information obtained wW be used for that purposes SKLAR ~- MARKIND 102 BROWNING LANE BUILDINCt 8, SUITE i CHERRY HILL, N.J. 08003 SKLAR -MARKIND 102 BROWNING LANE BUILDING B, SUITE 1 CHERRY HILL, N.J. 08003 ~• O~P~ ~~ ''~v .~ir•~~ -rtw[v ww[s oz ,P $ OD0.45° 00031555~a AUG 152012 11At~ED FROM ZI?COC'c OH^3~ lu~lllr~rlllat,i~lt~ll,rtrrlirl JAY HUSTON SCHULZ AKA JAY SCHULTZ 501 WINDY HILL ROAD, LOT 21 PO BOX 439 SHERMANS DALE PA 17090 ~~P4A ~~ . ~ ~ ~~'~ -rTw[r py1a8 02 , P $ 000.45° 00031 55575 AUG , 5 201 2 MAILED FROM 2IP CDDE OdC?a i~ulllu~illu~lrlnlirunti~i MARIAN K. SCHULZ AKA MARIAN SCHULTZ 501 WINDY HILL RQAD, LOT 21 PO BOX 438 SHERMANS DALE PA 17090 Exhibit C Andrew Sklar, Esquire (ID #65332) Lloyd S, Markind, Esquire (ID #52507) Sklar ~ Markind 102 Browning Lane, Building B, Suite 1 Cherry Hill, NJ 08003 856-616-8710 Attorneys for Plaintiff FILE NO.: F1100696 IN THE COURT OF COMMON PLEAS OF PERRY COUNTY, PENNSYLVANIA CNIL ACTION -LAW (Rule of Civil Procedure No. 236) Revised FORD MOTOR CREDIT COMPANY LLC : No. CV-2012-600 Plaintiff TERM vs. CIVIL ACTION JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARTAN SCHULTZ Defendant CERTIFICATION PURSUANT TO Pa. R.C.P. 237 The undersigned hereby certifies that on August 15, 2012 I mailed a true and correct copy ,by regular mail, of NOTICE OF INTENTION TO TAKE DEFAULT to: JAY HUSTON SCHULZ 501 WINDY HILL ROAD, LOT 21 PO BOX 439 SHERMANS DALE PA 17090 MARIAN K. SCHULZ 501 WINDY HILL ROAD, LOT 2I PO BOX 439 SHERMANS DALE PA 17090 I certify that the foregoing statements made by me are true. I am aware that if any of the foregoing statements made by me are willfully false, I am subject to punishment. LAR ~ MARKIND Andrew S ,Esquire (ID #65332) Lloyd S. Markind, Esquire (ID #52507) ATTORNEY FOR PLAINTIFF i DISTRICT COURT OF PERRY COUNTY, PENNSYLVANIA Ford Motor Credit Company, LLC Plaintiff, vs. Jay Huston Schulz a/aka Jay Schultz and Marian K. Schulz a/ka/a Marian Schultz Defendant > Case No.: CV-2012-600 l ~ ANSWER _. ~ - f ,F ~. ~~-•, ~___.. COMES NOw t-he Defendants Jay Huston Schulz a/k/a Jay Schultz and Marian K. Schulz a/k/a Marian Schultz in answering the allegations of the Complaint on file herein, affirms, denies and alleges as follows: Answering the allegations of Paragraph 1-5 of the Complaint herein, Defendants affirms all facts. Answering the allegations o£ Paragraph 6 of the Complaint herein, Defendants affirms in part based on his knowledge of the contract. Due to transmission issues on the new car was unable to make monthly payments. Ford Motor Company did not replace transmissions that clearly were not due to use of the vehicle. Answering the allegations of Paragraph 7 of the Complaint herein, Defendants affirms that the car was reposed. The Defendants did try to make an arrangement with Ford Motor Credit Company without success. Answering the allegations of Paragraph 8, the Defendants affirm that they did not redeem the vehicle in question due to the transmission issues with the vehicle that Ford Motor Credit Company was aware of. Answering the allegations of Paragraph 9, the Defendants deny the claim. Answering the allegations of Paragraph 10, the Defendants deny the claim. Answering the allegations of Paragraph 11, the Defendants deny the claim. j Answering the allegatio~as of Paragraph 12, the Defendants deny the claim. WHEREFORE, Defendants prays that the Plaintiff take nothing and the Defendant have judgment against the Plaintiff and recover the costs of suit herein, and such other relief the court may deem proper. Dated this 31St day of August, 2012 ~~. ~-- i J t .ct .:Lem 7 ii--~-e.~Z.t-r~ Jay Huston Schulz Marian K. Schulz 501 windy Hill Road Lot 21, P. O. Box 439 Shermans Dale, PA 17090 IN THE COURT OF COMMON PLEAS OF Ford Motor Credit Company THE 41st JUDICIAL DISTRICT OF PENNSYLVANIA, PERRY COUNTY BRANCH ~, _ Versus - r-: Jay H. Schultz ~ - Marian K. Schultz No. 2012-600 ~ _ SHERIFF'S RETURN ~~•' ~~-: And now July 11 , 2012: Served the within name Marian K. Schultz the defendant(s) named herin, personally at her place of residence in Carroll Twp-501 Windy Hill Rd Lot 21 Shermans Dale Perry County, PA, on July 11, 2012 at 10:43 o'clock AM by handing to Jay H. Schultz, defendant's husband 1 true and attested copy(ies) of the within Complaint and made known to him the contents thereof Sworn and subscribed to before me this ~. l ~ ~" day of ~v,~ ~a~a Prothof5otary So answers I Deputy Sheriff of Perry County Prothonotary Brenda J. Albright BEoomfield eoro., Perry Co., PA My Commission F~cplres Jan. 4, 2016 Ford Motor Credit Company IN THE COURT OF COMMON PLEAS OF THE 41st JUDICIAL DISTRICT OF PENNSYLVANIA, PERRY COUNTY BRANCH c-; ; ~., ;~ versus _ ~ .. - Jay H. Schultz --- _ Marian K. Schultz No. 2012-600 ,~ .'~ SHERIFF'S RETURN ~~ And now July 11 , 2012: Served the within name Jay H. Schultz the defendant(s) named herin, personally at his place of residence in Carroll Twp-501 Windy Hill Rd Lot 21 Shermans Dale Perry County, PA, on July 11, 2012 at 10:43 o'clock AM by handing to Jay H. Schultz, defendant 1 true and attested copy{ies) of the within Complaint and made known to him the contents thereof Sworn and subscribed to before me this~~~ day of ~/~ So answers _..... . ffl~ ~. l~cf,yt<,~ Prothonotary Deputy Sheriff of Perry County Prothonotary Brenda J. Albright Bloomfield Boro., Perry Co., PA My Commission Expires Jan, 4, 2016 Supreme C Cour. For Prothonotary Use Only: ~._~ ~'4 -• < . - Docket No: _ _ _"- .. • ~; ~„ ._ The irrlotrnation collected nn this farrrt as tcsed .solely for court udrniriisirutiata putpose.s- ?'his r<ii'rrr d~x,:r rtut co~m~lnenvnf nr ranl~tr.P flip 1i1112S> [Ind SPT'VLC[' r7fD1L[t[12ttS.S Or (.>ther 1)[t7.)Grs' a,5 1'EgtflrB[l l)V 1a1N or rules o([:bitr•t. ~l ., ,.t..._...-.-- - -~ ---- -,, a - Commencement of Action: ., Complaint ~ Writ of Summons ©Petition Transfer from Another Jurisdiction ~ Declaration of Taking Lead Plaintiff's Name: Lead Defendant's Name: FORD MOTOR CREDIT COMPANY LLC. JAY HUSTON SCHULZ et al. Are money damages requested? ~ Yes D No Dollar Amount Requested: (check one) Owithin arbitration limits Doutside arbitration limits Is this a Class Action Suit? [] Yes D No Is this an MD1 Appeal? [~ Yes ~ No Name of Plaintiff/Appellant's Attorney: LLOYD S, MARKIND, ESQUIRE andlor ANDREW SKLAR, ESQUIRE 0 C'heci;;ltcrt it'y°ott have do attorney (af•e a Self Iteprescrtted ~:1'ro S+: E 1..itil;itrat) Nature of the Case: Place an "X" to the left of the ONE case category that most accurately describes your PRIMARY CASE. If you are making more than one type of claim, check the one that you consider most important, TORT (do not include Mass Tort) Intentional Q Malicious Prosecution Q Motor Vehicle Nuisance Premises Liability Q Product Liability (does not include mass tort) Slander/Libe1/Defamation Other: leas CONTRACT (do not inctude Judgments) Buyer Plaintiff Debt Collection: Credit Card Debt Collection: Other CONTRACT Employment Dispute; Discrimination 0 Employment Dispute: Other County B REAL PROPERTY Ejectment ® Eminent Domain/Condemnation ® Ground Rent Landlord/TenantDtspute © Mortgage Foreclosure: Residential Mortgage Foreclosure: Commercial Partition © Quiet Title Other: Q Other; CIVIL APPEALS Administrative Agencies Board of Assessment ~ Board of Elections Dept. of Transportation Statutory Appeal; Other Zoning Board Other: MISCELLANEOUS Common Law/Statutory Arbitration Declaratory Judgment B Mandamus Non-Domestic Relations © Restraining Order Quo Warranto Replevin Other: Updated 1/1/2011 Sklar ~ Markind Andrew Sklar, Esquire (ID #65332} Lloyd S.Markind, Esquire (1D #52507) 102 Browning Ln, Bldg B, Ste 1 Cherry HiII NJ 08003 SS61616-8710 File Na.: F1100696 IN THE COURT OF COMMON PLEAS OF PERRY COUNTY, PENNSYLVANIA CIVIL ACTION -LAW FORD MOTOR CREDIT COMPANY LLC Plaintiff vs. JAY HUSTON SCHULZ a/k!a JAY SCHULTZ and MARIAN K. SCHULZ a/kJa MARIAN SCHULTZ Defendant No. li~ ~,UI~ ~ja~ CIVIL ACTION NOTICE ~--~ - r, r-J .. ~,_ ~- s -" . ~ ..- .~ _- ~= 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 maybe 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 OFFICES SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP. Central Pennsylvania Legal Services North Carlisle Sk. New Bloomfield, PA 17068 (717)582-2171 AVISO Le hen demandado a usted en la corte. Si usted quiere defenderse de ester demandas expuestas en las paginas siguientas, usted tiene veinte (2) dies de plazo al partir de la fecha de 1a demands y la notificaion. Hace felts asentar una comparencia escrita o en persona o con un abogado y entregar a la corte en forma escrita sus defenses o sus objeciones a las demandas en contra de su persona. Sea avisado que si usted no se defiende, la corte tomara medidas y puede continuer la demands en contra sya sin previo aviso o notificaion. Ademas, la corte puede decidir a favor del demandante y requiere que usted cumpla con todas las provisioner de esta demands, Usted puede perder dinero o sus propiedades u otros derechos importantes pars arced. LLEVE ESTA DEMANDA A UN ABOGADO INMEDIATAMENTE SI NO TIENE ABOGADO 0 SI NO TIENE EL DINERO SUFICIENTE DE PAGAR TAL A LA OFICINA CUY A DIRECION SE ENCUENTRA ESCRITA ABAJO PARR AVERGUAR DONDE SE PUEDE CONSEGUIR ASISTENCIA LEGAL. Central Pennsylvania Legal Services North Carlisle St. New Bloomfield, PA 17068 (717) 582-2171 Andrew Sklar, Esquire (ID #65332} ti - Lloyd 5. Markind, Esquire (ID #52507) '~' _ -- Sklar - Markind - -- 102 Browning Ln, Bldg B, Ste 1 c Cherry Hill NJ 08003 `" 856/616-8710 -. FILENO.: F1100696 ` ` ~--~ Attorneys for Plaintiff ~:, IN THE COURT OF COMMON PLEAS OF PERRY COUNTY, PENNSYLVANIA CIVIL ACTION -LAW FORD MOTOR CREDIT COMPANY LLC 1335 S. Clearview Avenue Mesa, AZ 85209 Plaintiff(s) ~, JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARIAN SCHULTZ Defendant(s) I I Term i I I CIVIL. ACTION i f I I I I CIVIL ACTION COMPLAINT 1 2 3 Plaintiff, FORD MOTOR CREDIT COMPANY LLC is a Corporation with its place of business at 1335 S. Clearview Avenue Mesa, AZ 85209, Defendant, JAY HUSTON SCHULZ , is an individual who resides at 501 WINDY HILL ROAD, LOT 21 PO BOX 439, SHERMANS DALE PA 17090. Defendant, MARIAN K. SCHULZ , is an individual who resides at 501 WINDY HILL ROAD, LOT 21, SHERMANS DALE PA 17040. At all times relevant hereto, the Plaintiff was in the business of loaning money on motor vehicle installment sales contracts, including but not limited to the note signed by Defendant(s), hereinafter more fully described (the Contract as hereafter defined). 4. 4n or about June 29, 2006, the Defendants} entered. into a written Motor Vehicle Retail Installment Contract, Account Number 48063000000040996455, (hereinafter referred to as the "Contract"), for the purpose of obtaining financing in the amount of $30,077.38 at an annual percentage rate of 3.9%, in order to purchase a certain motor vehicle, 2006 Ford Five Hundred, more particularly described in the Contract (hereinafter referred to as the "Vehicle"}. A copy of the Contract is attached and marked as Exhibit A. 5. Pursuant to the Contract, Defendant(s) was required to make monthly payments in the amount of $553.43 for a period of 60 months until the Ioan was paid in full all as is more fully set forth in the Contract. 6. Defendant(s) made monthly payments until December 30, 2010, but has failed to make any further payments thereafter, and are therefore in default of the Contract. 7. As a result of the default by Defendant(s), and pursuant to the terms of the Contract, the above- mentioned vehicle was repossessed and a notice of repossession was sent to the Defendant(s) giving the Defendants} the opportunity to redeem the Vehicle as well as notice of the sale date, A copy of the notice of repossession and notice of sale date are attached and marked as Exhibit B. 8. The Defendant(s) failed to redeem the Vehicle and the Vehicle was sold at auction with a credit given to the Defendant(s) in the amount of $5,700.00, however a balance of $8,748.85 is still due and owing, and a notice of the deficiency balance was sent to the Defendant(s). See copy of the notice of the deficiency balance attached and marked as Exhibit C. 9. Pursuant to the terms of the contract, Defendant(s) is required to pay all amounts due and owing, including any balance that may remain after the sale of the vehicle, and the Defendant(s) failed to do so, thereby in default of the Contract. 10. In addition to the foregoing, there is interest due and owing on the deficiency balance which at this time amounts to $558.55 and which will continue to accrue. 11. Tn addition to the foregoing, there is due from the Defendant(s), reasonable attorneys fees in the amount of $2,187.21. 12. The total amount due and owing at the date of this complaint is $11,494.61. WHEREFORE, Plaintiff, requests judgment in its favor and against the Defendant(s), jointly and severally, if more than one, in the amount of $11,494.61, well as any additional interest and costs that may accrue and such other and further relief as this Court may deem equitable and just. S ~ MARKIND Date: 3une 7, 2012 __. Andrew Sklar, Esquire (ID #65332) Lloyd S. Markind, Esquire {ID #52507) Attorneys for Plaintiff 102 Browning Ln, Bldg B, Ste 1 Cherry Hil] NJ 08003 856/616-8710 VERIFICATION I 2.0171@ ~8 ,verify that am an Authorized Representative for the Plaintiff, FORD MOTOR CREDIT COMPANY LLC ,and are duly authorized to take this verification on its behalf; that statements made in the foregoing Complaint are true and correct to the best of my lrnowledge, information and belief, These statements are made subject to the penalties of 1$ Pa.C.S.A, §4904 relating to unsworn falsification to authorities. `~ I" BY: +..o17ie ROwe Representative of Plaintiff, FORD MOTOR CREDIT COMPANY LLC JUN 1 5 2011 DATE; 480630000D004099b455 Our Fik No.' F-1U0696 JAY HUSTON SCIJllLZ Nkla JAY SCHULTZ and MARIAN K SCHUIZ a/k/a MARIAN SCHULTZ E~ibit A i° .~ ~_ ~ II ~ ~~ i ~ ~`~I~ ~~ f=I ~ ~ I _; ~ ~ ~ ~ a .. ~ ~ ~ :$ o ^ =s ~ s ~ ~~ ~~ ~~ ~ ~~,._ L~ f ~~ ~ 9A~~ ~ 134 ~~~ ~~ , ^ ~- e.~ a x~ ~ 4 as s s FRS r p !! 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A. Payments and Stitmmary Notlce; You moat make all pay encore In U.5. funds xtten tlwy are due. You may prepay your debt at arty fima without penalty. This is a sirnpfa interestcontrarx. The actual finance dtarge you agree W ~y wIU depend on year payment patterns. The aattml ttrratxte charge may exceed the disdased Finance f~harge if you make your payments later than the sdteduled dates or in less than the scttedulod amount Your payment wtl! bn applied tlrst to the earned and unpaid part of the Fnanca Charge and than to the unpaid Arrtounf Fhtanced. The FrnflltCfi Ctterge is named bbyy applying the Annuef Perosntage Rata to the unpaid Atttoutu Financed for the actual tim0 that the unpaid Amotu)t finagcod is outaterxfing, !f rho valtkae .ls ~e~~~~ sassed, you xtll nottsave the right to reinstate the oorttract unless the Seller agrees. B. Balloon Paymsrrt Contracts: It your last insiaflrrtarrt payment under this mouser is a balloon payment as indicated on the front of the atntrtara, you may handle the last instafimeM payment in one of tltree ways. - Ar9t, you may pay ad that you owe when the last insbtlment paymr;rrt is due arxf keep your motor vehicle. Second, you may refinance the (abt inatallmont paymettf unless you era In defeurN under this contract. ff Ute Seller has advanced lands tp cure any detaull, You moat pay back the Seller helots the rettnancing, You also must provide grant of Insurance acoepi• able m Seder before the refinandn¢. The Annual Persertiage Rata AP for )g.rsfinanonar It hp rho r~„~r..ot.lhaAPRapreod.io_...... by you and the Sailer at •tho tlme of the retlnarrsdrlg or the maximum rate permitted by law. The warm of the refirtancptg wld be based on the amount refinanced, the rate, antl the amount of the morrdtty payment, The ratinancad mardhly payment shelf be rho same as in this ooMraot if the refinanced amount wiU be fully paid within 36 ntorrdts of the due oats of the last Instatlment payment. OthenNise, ilia rnanthly paymerrl amount shag bo the amount needed >o tufty pay the re nanced amount wkltin S8 months of the due date of the last installment payment. 11 you wish to reftrtartae, you moat notHy lire Seller in wnbng. t_xCept as discussed to flits eAClion, lire notice trust ba received nc later titan 3a days prier to the dos dale of the fast Installment payment. Third .Ypu-rosy..eeft.ah8.veHide.to.ilae.5oNgr for an amount agttal tot teal inatadmant payment Yet mast pay to the Ballet any oilier amount Awed antler this txvtfracl. AmaunW you owe wtl be based, in part' on the vehicle's mileage. You also must pay to the Seller Ute estirrraied costs of ad repairs. to the vehlole that are the retak of oxoess wear and use, as set Earth bebw. You must take the vehicle, to a place selected by the SeUar for inspection no later than tb days prior to the Iasi inslallmeM payment duo date. attar the inspedion, If you deeds to sell the vahlde to the Seiler; you mull give rho vahlde to the Bettor no !star than Ilia fast inslsllmertl payment due date, AI Mat tiros, you must also give the Boller a iitlse, rtrftictt slaws no ions other ittrrn the Seder's lien. tranaferring ovrneiahip4o'yie Serer or a person selected Ute Welter. After the hspettiort, it you decide not to sell vehicle to the Seller, you must immediately oaaract the Seller and irtfarm dte Seller whether you woof t0 Tefklarrae the last instatlrnenf pnyment. approve the type and amount of Ituurartce. !e the trehiale is lost, damaged or destroyed, you triuat pay tits Seller lethal f9 stld owed. . You agree that late Seder Dan make a claim under.dre insurarx~ police You authorize rho insurance tiamparry to protAde Seder any mformadort Salter baieves• neaessary to make a claim. You must use lnsurartctt proceeds to repair ilia vettide, unless lira damage to the vahlckt is oaneidered a total bav. dt the damage io the vehicle Is oortsidared a.totailoss, you moat use rite in~ur- ance proceeds to pay what you owe the Ballet. Jf your Insurance on the vehicle doesn't pay all you awe, ya~u must pay what is aril awed. . (?,.. Returned Itrsttrtfnca Pramlums and Service Contract Charges: This contract may oontaln charges far insurance, 9erviCe contracts, or other aonlrecta, You .agree Thai the Seller can claim benefits under those contracts and unless prohibited by taw, torcninate them to obtain refunds of uneamad Charges to reduce what you owe. If the Boller gat6 a refund an insurance, service CaMriGtB, or other oonltaels, the Seger will subtract iiirom what you Dare, Once all amouafs owed under this contract are paid. arty remaining ltfunds wid be paid to you. H. t7eftMttt: You wtl fie in doiauft it: f, Yau do not make a payment when tt is duo; or 2. You gave Estee or ntlsleading Intortnadon on your credo applfcedion relating to this contras; or 3. Your velride.ia seized by any local, state, or fiederal atrdtodty-anct-ia~not=prompdy,and uncondlUanaUy ~dlurned' m you; ar a. You Ella a bankruptcy padtfan or one Is irTetl agtllnst you; or 5. You do not keep any other promise in tltla contract. If you daFauH, Sailer can exercise Seller's rights under this con• tract and Seller's other rights under the law. L Repoeseaston: If you default, the Seder may re;~'uire you to pay tit once tft6 unpaid Amount Financed, the eamod and unpaid part of the Finance Charge and alt other arnpunts due under this contract Seiermay repossess (take back) rho vehlcle,tno. 5etksr tray also talv3 goods found in ar on the vehicle when repossessed end hard tltem tot you, J• Your Right To•flsdaem: 1t the vahiole is taken laaadi. Seder wid send you a nodes, The notice w1ll say that you tray rtxteam (twy back} the vehicle and wiA explain stow to redeem the vehicle. You may fedeem the vehid® up to the time rite Salley sells Il or Agrees'la sell it t! you Cfo not redeem the vehicle, It will ba add. K. Dispoaitlon of stotor Vehicle: It the vehicle is taken back. and sold, the mortayr from the asks, less slowed expenses, will be used to pay the amount aid! owed on the corttraet. Allowed expenses include those paid as a direct resuk of having to retake rho vehicle, hold if, prepare it for sate, and sell it. Reasonable lawyers toes and legal tats are allowed, loo, if there .;s any money left a (surplus), t! will ire paid to )rou, !S thy, money froth the sale is not artough to pay off this contract and costs, you wit pay what is st1U owed to itle Seliar. If you do nolpay this amount when ihx Seller saict+, the Salter may charge you interest at the tdghesi lawful rate urtUT you pay. O. Damage Repair. If your lest instaNntent payment under flits ooreract. fs~ a tsaibar,..payrtaent• and you -sea efts vahlde back to the 5ekcr under tsaragraph 8, you are responsible for repairs of a!! damage to the vehicle that are not iho rosin! of normal wear and use. These regatta include, htrt are not limited to, those ~~Y ~ p) rapists any lire .ttotpa-t of a matching sal of that or arty Lira which hoe less titan 1,'8 inch of rflnrarnrng tread: (i} ropafr all medtanical detects; (Iii) repair or replace au dented, scratched, chipped, orated or mismatched body panels, paten or vehicle ktentfiictrtfon Hants; all dented, acratdtad, orated, pitted, broken a misalrsg trim and gn11 work; nil sarsmrittad, cracked, pined or broken grass; ell faulty window mechanisms; all broken or burned out lights; aA eleatronto malfunctions; aN intertor.ripa, stains, horns or worn areas; acrd all damage whbh would be covered try .. .. ~.. .-aodision°m~Y:ompahenshre-insararr'ce°wltather or not such insurenae is actually in farce. rf you (rave not made the repairs before ie~apecUon of the vahlde L CoHeatian Costs: Except as athervrise provided by taw, you must pay any and aN expenses related W omoreing this ootwact, Including Catlection expanses, lawyers' tees and other legal flxpaRSeS. M. Consumer iieparts: You authorize the Assignee ligtpd an the front of this contract 10 obtain consumer credit reports from Con- sumer reporting agencies (oredlt fwreaua} for any reason and at anytime in oomtoctiort wdh this mrnract rL Appticabla law: You agreethat this aorrtrectvritl ba governed by the laws of the state of Pennsylvania t7. t3etrerai: This oWrttrnct conteina the ends agreernem bedxean Sauer and you relating to the sale anq finar-cktg of ttto motor vefrida. If any part of this coniraof Is not valid, afl,.alher parrsstay . valid. tF SeHar doesn't enforce Sallar's righut every lime, Seller can sdtl antoroe trtem laser, Seller wilt exercise all of Sefar's rights in a lawful wav. ... . .. .,... ....,...... ~w,_. ,• . .. ~ .- . ~ ., ` .. ---- all electronic malitrttcdons; all inleAor .rips, stains, bums a wom a eas; and all datrtatge which would ba covered by colttsron or oorttprehanslva insurance whether or not such instrrance is eotually in force. 1f you have not made the ropairs betora inepedion OF Ufa vehicle ._... ..ynder...Faragraph~8; yawwiil~ow•a.tpe-oclimattsd.cASta; of sucYr~ repairs, even•.ii the repairs sae not'mads prior~O•your sale Oi•tha vehicle to the Seger. If yotird'isagree with the .estinsated oosit; of repairs, you stay have the•rspatra made.at.your oxpenae prtarto your sate.ot-the vebiCle•.ta the.Seller. O. Securky Interest: You pure the Seller a security irneresl~ln: ' 1, Tho vehide'anp ail parts or other:goads put on•ihe vefticle; 2. All manes or goods received lor•dte vehicle; and 3. Ail insurance premiums arxt SeMOe oontroCtE Unanced for you. This secures payment oiall amounts you owe undvrtta~ contract, It also secures your other agroerrientS in fltls corttrsct E rise ot•Vehiole -'iNattraaties:~•You must tpka care of-the vettiCle end Obey all Yaws In uairtfl it You may nol Boll or rRnl the vehicle: and you moat keep It free from #tai claims of others. You will •nol use or permtt die use of the vehicir: outside of the Unirod States, except for up to 90 days itt Canada or Mexico, without the prior written consent of ffie Setler, it ihtl vehicle is of a type normally used for personal use and the t3olkr, or the vehi- ale'a.menutacturer, ,exten4e a•~wrRten warranty or [service contract ootrerin9 the vehlole within 90 days from the date of this contrast, you gat Implied warranties of mereharitatWilty end tftness for a particular purpose covering the vehicle. Otherwise, you undaratand and agreetfist there are no sash implied vauraM(es, except es otherwise provided by law. Seller and you talatingto the t3ale.end~ttnutcing of the:rtwiar.`..,, velricla. If airy part of this oonlraol•is nol tralid, all oil~er.:parts sray .. °. valid: tF Seller doesn't amerce 8oller's rights suety ,Urns, Selfei .. can 8Uq eniorce them rater, SeNer wig exercise all OiSRUeCe •riplits .:• •. in a law[ul watt'. .at,~rOUt~lasi-irt8ic~gntorlt.paYmerrl'undef-#us•oonD°aal~:is a~ttRUoor'r•..:`. ,pa}mu;ntand you.t:eU'fihe molar .v®tttcckr•'6xclctO.Uit::Scilar ixtder:.a~ •Paragraph B, you are herebynolified that Gredilor•has assigned .:'. to'OI.Excttar-ge, in,ha«}YasCrsa>iara''squaliGod3ntermediay =~ Its~~ighta~{harrier.tio`oblipakione)with:respecrto:thapurchaseagd.; .: aafo ofthis •yehiole t+t~coMraCl :terrninadson. • --- - - N>yTIGE 'ANY HOl:DI»R OF 1'H!$ CONSUMER RREI?IT ~ . CONTR/r,G7 ~'iS ,SUBJECT 7'O ALI. CI,AiMS .AhtU: f)EiFENSES WHICH THE ClEl3TOli COUt.t1 A5SF,RT AQAIN$T THE SELLER OF -ti000S OR $f3RYICF.5. . oaTalNEa #tuRSUAN~r HEREfiO aR wiTH ° THI. -. RROCi:EDS HEREOF. RECQYERY HEREUNDFR~BY THE dE87'OR SHALT. NOT ERCl+ED AMOUNTS PAIp: BY THE DlwBTOIi li1:REUNOER.' Us®d 'Molar Vehlcfrs Buyers l3udde. ff you era buying a• used vehicle with this caMract, ls+deral re8ulat}ons may require a special Buyers Guide to be diapiayed ort fire window of the vehicle. TiiE INl=ORIJ}ATION YOU SEE ON THE WM1t10W FORM F'4R THIS VEHICLE dS PART OF . THI$ CONTRACT. INFORIiAAT10N Ot~l THE 1MNDOW FORM OYBRRIt~ES ANY CONTRARY PROYiSIQNS !N Ti1E CONTRACT t3F SALE, F. vehicle insurance: You moat inauro the vohidsr against loss •Dces not apply n ptrrrltasod for commordet or ogrloWlursl uao. iii or damage front c~dision.ll-e or theft. You must name Soper as that case, You tdatrtor} wnt sot aeeen spairtst any atseigsteo ar . the kiss payee under the insurance pdioy. The SRger moat aubwquanl larder ai this Contrxat any claims, deleruoe or setarta-- - - -~ --tivhlehyoumnytrovaagainattha5atlorormanufactrrorpf ovoiilcla, 7o catrseihe Seller to sell }txl vettiak described on the front of Utis oornraat W the payer on orexiit, each perrion who aisle below as s "Qunranior" guarantees the payment of lhia cantracl. This means that If the Bwyer falls to pair arty money that is ot+ued an this contract each person wire 8iqns,aa a guarantor wig ppsY U when asked. Each Gtiatartlor vsho atgns below a~ees that hrr volt bo liablelOr rho while arrwtmt awed even-ii arts ar mone aUtar parsers alca signs Ups t3uararitlr. EaOh Gustarnor a aJ o agrees to be liable even i! th4, Seller obes one or more of the following: a) gives itKt f3uyor ntorR tune m pay one or mars payments, ~ (h) gives a rdeas¢ In top or in part >p arty of the other ¢uerantora, or ~o) releases arty security. Each Ciuaranlor also elates chat h® has received a txxt+pleted copy of this Oantract and Uits Ottararrty Bt die Ume of signing. Ciuar7,ntor Addr¢ss Guarsnior ... A,ddntss Arbliration is a method of resolving arty claim, dtapule, or controversy {cagectively, a 'Claim`} vJrd-out flung x lawsuit in court. Eicher you or Seiler ("us' or "wa•) (each, a "Party's may d'tooao at any Umo, Inducing after a lawautt is fr7ad, to haul any Claim rcslated io this cantraot derided by arbiUetlort. Such Gatmslnclude but era not Iimttedto Ute filloowwrxn~~ 1) Claims in ooritract, fort, raguktory or atitorwlse; 2) Claims rr~egariling the iraerpratalion, soop¢, or valldlttyy of this clause, or arbltrabltUy of fury issue; 3} Ckllms between you and us. youdour err~toyaes, agents, auooessors, assigns. subakfari0.9, or affiilatee: 4) Clahrls artslrtg out OI or reladng to your,appgcegon !or credft, title Cttrdraot; or any reaMtirtg transaction ar ralatlorrshlp, Indudng that whh the denier, of any suct+ relatrpnship with third parties who d0 not sign this cM11aGt. Tf et~ier~RyyEEroou~u~~ib~eat a asm, then you ar-tf w~e agree IO waive the to11ow9rtg rights: RIC~iIH1' TTiD ART~7'IgPA~TE ASS A CL~A85 R~PRESENTATI~VE OR A CLASS MEMBER W AI~iY CLASS C1.Allul YOU IuIAY WAYS A13AINST U$ tMWE11•IER IN COUR! OR N+I ARl91TAAT10N BROAD FilLililT'S T9 DISCOVERY AS ARE AVAILABLE: IN A LAWSUIT • AICFtT TO APPEAL'l'HE flEp510N OF AN ARBITRATOR t~TttER RICiKrS THAT ARk AVAl1JtBt.E IN A LAWStAT iii Y u • M a Maim is arbitrated, you and uae will condnte to have the logowinp rights: v6tl'to-rt waiving tli a trabon•proisrort as 1o any m: 1} Hi~l to iHe barrkntptoy in Dour[; 2) FlIgM to enforce the aecuriltlyy~ real in the vehicle, i whether try repossession or through a court of lavr; S) t~igrtl to take regal tx:llon to entarte rite arbitrators derision; and +l} R1gM >D request that a court•ot law reyiety whether the arbitrator exceeded its au omy. EUhar Party moat corttatx ono al rite aasaciei6ons 1i3tod below and rho other Pant' to smrt arbitration. The appgceble rules (ttte'Ruies7 . may be obtained iron the assodaUOn. _ ), • National Arbiter Cr~O FoAsaocfadi n~~47d-237'x, o~ww.arb~ aroirm.eomadror9; Ii th¢re is a conflict behvaen the Rules and L:tis Conirect, this COrtlrart shall gov6rn. This oontraot is subject 1D the' F~skr, ti n ~t ~ l~~ § 1st seq.) and the federal Fwbs of lcvidence. The arbt+ralion decision shall be in x:•111ny wish s suppo tn9 optraon. e w,IT-pe`t' yourtodel reasonaae arbirrafion rasa and ~ertses {not indudrnp Attorr-e}r te¢s, except where apdicabia law otherwise provides) in excess of X125. Wo will pay the whole filing fee H we d¢rnartd abbitation first Any porlron Of this arbitration clause that is unenforceable shall bo severed, arxi the remaining pro+rbions dtrUl be ento:tced. Pc i 7W"7-SI Win. OG) rhatbu+ eutllonx they NOT oo urad.y 5.E O7NBR SIDE FOR ADDI710NAI. AGgElrttENTS rc ns7r•e~t+PC t»r.nCb Exhibit B Ford Motor Credit Company P.O. Box 17948 Greenville SC 29606-7948 877-805-7187 P18UMtWD020D894 JAY SCHULZ PO BOX 439 ASHWOOD ROAD LOT 21 SHERMANS DALE PA 17090 Date of Notice Account Number September 30, 2010 Description of Property Year Make Model 2006 FORD FIVE Vehicle fdenti lcanon Number: Date of Contraaf ~ Current Balance (Net to close and unpaid late charges) June 29, 2006 $14,494.09 CURE DATE: October 12, ZD10 NOTICE OF DEFAULT AND INTENT TO REPOSSESS This is your notice that you've broken your contract. Overdue Payment(s) Due Date Amcunt Due August 27, 2010 $ 334.90 September 27, 2010 $ 338.28 Late ChargeslOther t=ees Due $ 27•~ TOTAL AMOUNT NOW DUE $ 701.14 (Not including amounts that become due after the date of this notice) If you don't pay the TOTAL AMOUNT NOW DUE by the CURE DATE stated above, we plan to repossess the above described property, If we do, you'll have the following rights. ~~ ..fir _, I;t.': ,.:.~ ~. °o ~_ $s^ a _~ r:r ...r r.~r ~. m:.. ~. RIGHT TO GET YOUR PROPERTY BACK: You can get your property back by paying the net unpaid balance plus costs of repossession. Your balance now is stated above. If you do that before the property is sold, It will be yours. We'll have no further claim on it, This 1s called your right to "Redeem". Your property will not be sold until at least 15 days alter we repossess it. You can get It back by paying the balance plus costs any time before it's actually sold. The longer you wait, the more costs {including repairs] you may have to pay. RIGHT TO MONEY LEFT OVER FROM SALE; When your property is sold, the sale price minus expenses will be deducted from your debt. li any money is left over, it must be paid to you within 45 days after the sale. If you don't gel this money, you may have a right to sue for it, plus penalties, under state law. In some areas, we return repossessed property to the dealedorlginal creditor who sold the property. If we do that with yours, our agreement with your dealer/original creditor says that the dealer/original creditor is to sell it and pay you any money left over. INSURANCE RIGHTS: If we repossess your property, all insurance should be cancelled. You have a right io get credit for all premium refunds. REMAINING DEBT: The sale price rnlght not cover your debt and expenses. If that happens, you'll owe the difference to us or the dealer(original creditor. !f you want to know more about these matters, please call us Ford Motor Credit Company CUSTOMER SERVICES REPRESENTATIVE NOTICE: The acceptance by us of these or other late payments does NOT waive our right to repossess or take other appropriate action, WITHOUT NOTICE, If you fall to make future payments on time. YoU ARE REgUI RED TO MAKE ALL PAYMENTS ON TIME. fFna ties0-370dJ04 Pieviuus edliuis may NoT ba usetl. 18tttvMA_D02 EDD884.100058622 Ford Nbtor Credit Company A.O. Box 17948 Greenville SC 29606.7948 877.805-7187 P18UMM00200695 MARIAN SGHULTZ PO BOX 438 ASHWOOD ROAD LOT 21 SHERMANS DALE PA 17090 NOTICE OF DEFAULT AND INTENT TO REPOSSESS This is your notice that you've broken your contract. ~ Overdue Payment(s) Due Date August 27, 2010 September 27, 2010 Late Charges/Other Fees Due TOTAL AMOUNT NOW DUE (Not Including amounts that become due after the date of this notice) Date of Notice Account Number September 3d, 20t0 M pescription of Property Year Make Modef 2pOg FORD FIVE Ve r le dentr Gabon Number: Date of Contract urrent Balance (Net to close and unpald late charges) June 29, 2006 $ 94,494. CURE DATE: October t2, 2010 Amount Due $ 334.9D $ 33828 ... $ 27.96 $ 701,14 If you don't pay the TOTAL AMOUNT NOW DUE by the CURE DATE stated above, we plan to repossess the above described property. If we do, you'!I have the following rights. ~, ~o I. ~~ .~ ~~ .....^ RIGHT TO GET YOUR PROPERTY BACK; You can get your property back by paying the net unpald balance plus costs of repossession. Your balance now is stated above. If you do that before the property is sold, it will be yours. We'tl have no further claim on it. This is called your right to "Redeem". Your property will not be sold until at least 15 days after we repossess it. You can get it back by paying the balance plus costs any time before it's actually sold. The longer you wait, the more ousts (including repairs) you may have to pay. RIGHT TO MONEY LEFT OVER FROM SALE: When your property is sold, the sale price minus expenses will be deducted from your debt. if any money is left over, it must be paid to you within 45 days after the safe. If you don't get this money, you may have a right to sue for it, plus penalties, under state I aw. In some areas, we return repossessed property to the dealer/original credltorwho sold the property. If we do that with yours, our agreement with your dealerloriginal creditor says that the dealerloriginal creditor is to sell it and pay you any money Isft over. INSURANCE RIGHTS: If we repossess your property, alt insurance should be cancelled. You have a right to get credit for all premium refunds. REMAINING DEBT: The sale price might not cover your debt and expenses. If that happens, you'll owe the difference to us or the dealer/original aredltor. If you want to know more about these matters, please oall us. Ford Motor Credit Company CUSTOMER SERVICES REPRESENTATIVE NOTICE: The acceptance by us of these or other late payments does NOT waive our right to repossess or take other appropriate action, WITHOUT NOTICE, if you fall to make future payments on time. YOU ARE REQUIRED TO MAKE ALL PAYMENTS ON TIME. FFN4 ~ ifl8&37 08104 Frevrons editans may NOT hn uswf. 18UMM 002 E00695~t000688 212 "'PRN"' Ford Motor Credal Company P.O. aoz t 79aa GREENVIU.E, SC 29606.8946 (B77) 805-7167 PICK'' e20ne1B JAY SCNUIZ PO BOX d38 ASHWOOD ROAD LOT 21 SHERMANS DALE PA 17090 Dale d Rspasseesion 52.30.2(110 Dale d NrAkx Pate d Cmlrad 12-31-2010 0Cr29-1006 Account NumMr auger JAYSCHULZ MARIAN 3CHULTZ DESCRIPTION OF PROPERTY Year Make Q New 2008 fORD ^ Usad Vehble IdenlYfcation Nurra»t: Model easy FIVE 0.DR NOTICE OF OUR PLAN TO SELL PROPERTY We have your property tlesorfbad above because you btaNe promises in our agreamenl. s P= »~ aaaae ^x PRIVATE SALE: We wit aeN the property deecfibed ^PUBIJC SALE: We w1N sell the pnlpeAy deacAhed slxrve at publk: oak to Ihs Npheal bWdar m taw dNe bskrW (or any ad(ournment above a! prNefe esle eome9mo aRer 1d days from the Pale of Novice shown above mesa redeemed by you dMe}. The sek ova be hetl ea fdbwe: prior to ouch axle. Dale of Sak Thne of Sale Place or Sak You may attend the sak and brig lrklders it yw want. ~ NOTICE OF REPOSSESSION The money that we get from the sale (alter paying our costs, including reasonable etiomey's teas and legal expenses if permitted by law) wlli reduce the amount you owe. If we get less money than you owe, you will still owe lls the difference. li we get more money than you owe, you wilt get the extra money, unless we must pay it io somoone else. The property is prrtsently stored at: MANHEIM AUTD AUCTION 190 L MANHEM PA HOW TO GET YOUR PROPERTY BACK To tKt your proMlty badt, paY ue lhla arnaurA by cerlttred dick a rnawy cedar hafara the vdede is sold Unpaid Balance $ 13,t190.1t Plus Costa: Repo Expanses _ 5 3gD,QD You can ge[ the property back at any time before we sell it by paying us the lull amount you owe (not just the past due payrrlants), including our expenses. See How To Get Your Property Bad( for an ttemizatbn of amount owing. 70 learn the exact amount you must pay, call us at the telephone number above. It you need more infomratien aboLa the sale callus ai the telephone number above, orwrite us at the address above. If you want us to exptaln to you in writing how we have figured the amount that you owe us, yeu may call Lls at the telephone number' above, or write us at the add113as above and request a written explanation. We are sending this notice to the fotlwring people who have an interest in the property described above or who owe money ullde your agreement: 1) The buyer and any cobuyer named above; 2) Any dealerloriginal crroditor named below; 3) If them are other people, they are Hamad on an attachment sent with (his notice, a PlusLakChargea $ 48.18 Less FlnanwCnar9e Rebsk $ Less Iruuuranas PrenUum Rebels TorAL S 1a,32eze (Plus expenses incurred I(derauN of the time or reposseeswn exceeded 16 tlays arM Ess rebak received altar the dak d this nonce.) Your property woryl ba add un1N 1f days aRarthe data d lHa notice el the EARUEST. Aaer that you can saN Del t hack any lime before iYs aduelly sob. II you tlo, we'N have ro funkier claim on ik 811t the bnger you wok, the nrae wets (Indudng repairs) you may have to pay. h you have dry' queetlonc shout thrs, please oaN ra. ^ The property hoe been (M wiN he) rNUmed to: dealerlafDinal credNa) UrWer ou agre4merx oath your dealer/aigirnl crsdtor, ttw deskrhdginel aedifar is to aeN tlw properly and pay you any money IeR own Ir you owe nwney afkr the sak, y«, wit pay II to qre dueler/origird crerrilor. ^ PER30NAL PROPERTY: Any personal property found in thr vehkJe may he reCWlned by you within the neat 80 days or, n accordance with slak kw, by oattedinp thk; ottfoa. Ttmraafter, the psrwrra! properly shall be dkposed d aooordrngry. ^ Credsor Ivss assigned l0 Na qualilNd Inlertnedary (QI Exchange, LLC) Ik rights (bUI not Ns obsgaeone) with respect to the deb of eaah retrials listed above, PAYMENTS: AN peymenle to u9 must be by cenNkd check a money ader. MILFJ~GE DISCLD&URE: II you ere aware Ntel the mlleege relleGed on the vehicle's odometer Is not acclaae for any r®eon, please contact us so ttist ne can accueleq repel U1e vehicla'a mikaga. fNSURANCE RIGHTS: I(you don'1 want to gal your propady back. call the Insurance company a Ina dealer/original cratlaor to moire sure that any insurance nee been cancelled. You have a ripM to gel aeda ra all prendurn reTuncls. KYDUk S. EDWARD FFNe 11Po897Jan(e Rends neiYOra a+Y NOTM ord. CUSTOMERIGUSTOMER FILE Prmred in U.S A. "'PRN"' Fab MOWrCtedk Company P. D. BuK 1711<IB GREENVILLE. SG 29606-6948 (e~2)a05.71aT vtcKSUOOxaoot7 MARIAN SCHULTZ PO BOX 439 ASHWO00 ROAD LOT 29 SHERMANS DALE PA 17080 Dale of Repascesaion 12.30.201 D Dale of NdiCe Dale of Contract 12-31.2010 00-23-2006 AocouM Nulttber: B t JAY SCHULZ C MARIAN SCHULT2 DESCRIPTION OF PROPERTY Year Make ~ Nnv 2008 FORD ^ Used VehKde Idengfx+aWn Number: Model Body FIVE 4DR Ci' ,cm ~^ ~_ a~ NOTICE OF OUR PLAN TO SELL PROPERTY We have your property described above because you broke promises in our aareemenl. 0 PRIVATE GALE: We will se8 Ute propadydescribed ^ PUBLIC BALE: Waxltl~eell the ixol'redY deacdbed above at pubiw above d private eek eomennx after 16 dnye Irom lha oak to the hlghsN biddx at the dale below (« arty adpummatt Dak of Pbtice shown shove urrWSS redeemed by you dale). The •ale vA0 »e hdd ea lobrxva: prior to such ode. pate of Sak Time of Sale Place of Sale You may allerkl IM wb and ixig bidders it you ward. NOTICE OF REPOSSESSION The money that we get From the sale (after peyilig our costs, induding reasonable attorney's fees and legal expenses Ii permitted by law) will reduce the amount you owe. if we get less money than you owe, you will still owe us the difference. If we gat more money than you owe, you will get the extra money, unless we must pay It to someone else. You can getthe property bade at any time before we sell It by paying us the Lull Amount you owe (not Just the past due poylTieMS}, including our expenses, See Wow To Get Your Propetiy Back for an ttemizatton of amount owing. To learn the exact amount you must pay, call us at the telephone number above, If you need more information about the sale cast us at the telephone number above, or write us al the address shove. If you want us to explain to yoLl In writing how we have figured the amount that you owe us, you may call us at the telephone number above, orwrite us at the address shove and request a Wlitleri a%plenall0n. We are sanding this notice to the following people wtlo have an Interest in the property described above or who owe money unde your agreement: 1) The buyer and any cobuyer named above; 2) Any dealerlorigitial creditor named below; 3) If there are other people, they are named on an attachment sent wish this notice. The propeny is presently stored at MANHEMAUTOAUCTICN 1190 tv1ANHEIM PA HOW TO OET YOUR PROPERTY SACK To gel your property beck, pert' us Ihb amount by cent6ed cftacK or mormy «der before the vshick k sold. Unpakl Balance $ 13.690.11 Plus Costs: Repo Expenses _ $ 39o.cD $ $ Pius Leta Charges $ 48.16 Less Flntxrce Cllar9a Rebate $ Lem lneuraace Premium Kabala ~ TOTAL $ 14,328.29 (Plus axpensas incurred If default ai the 9me of repoaaeasbn exceeded 18 deysantl kaa rebate received enerHe date of INe nolrce.) Your propariy worr'f !» trdd urdit i8 days after tl» dale of Ibis rwgce al the EARLIEST. Ailer that you can da gd it back any Ime hrf«e ire atduary aoN. II you do, we'll nave no fudtmr clakn on R. out the Larger you wa16 the more cents (indudbp repots) You may have m Pay. II you here any queatiarta about This, please call ua. ^ The prgxdy hex been {« wA be) ralunatl toy (dalerlorlpirrel credNor) Under ow agraamani viilh your dealutoriyinel crettitor, Iha deakdorigind «edll« is to sag 0» properly and psy you any mdnay left over. Ii you owe money aner the ado, you will pay h to the dralarr«IpKral arrrN«. ^ PERSONAL PROPERTY: Arq' peraorwl properly f«sd in the vehkk may be rcJetned by yea tMlhin the next aD Wye «, In accoMance wYh elate law, by oa%ading info off)ca. 7heveaPtar. gta persarrel property shall ba disposed or accordlrgly. ^ CrediWr nos assigned b As quallied intermediary (OI Exdtanps, LLC) ks nghls (but not As Wp9Mbna) wiln raapecl W the wk d oath rehida haled above. PAYMENTS: All payment to u9 must be oY cedilbd chacKOr money order, MILEAGE DISCLOSURE: II you err aware fhal the mileage renecled on the udYde'e odometer is not accurate tar any reaaon, please cordecl us ao lhd we can accurately rep«t lhaverocle's mileage. INSURANCE ftIPHiS: If you dan'f want to gel Your properly tHCk, Cat Me insreark:e comparry ar the dealerM4glnel petlftnr W make sure that any Insurance has been cancelled. You have a r~hlto gel cretH la al premium refunds. KYDIA S. EDWARD FFw lteea~7 Jan 02 Fyekaa „dilioro r,ayNOT ~v,rue. CJSTOMERICUSTOM ER FILE Rinad n Ua./. Exhibit C 16-Feb-2011 04:23 AM Nashville Service Center 6153152809 ~c~rdCr~dlt GrasnwUa BusinOss Center P.O. Bux 178413 Caraensvlue, SC 7.9606 877.aD5~71 a7 DATE: February 16, 2011 JAY SCHULZ ~ PO f30X 439 9l-tERMANS DAl•E PA 17f196 Acoount Number: ~ The following propCrtY has been sold: Year; Make: 2008 FORD STAT~NIENT OF SALE Medal: Vehicle Iderdifioation Number: FIVE Gross balance owir7g cir Your contract deduct: Finance Charge f5obato (2) B 0-UO Balance owing pdorto solo Deduct: Gross prtrcaeds of the sale (4} ~ 5 ____,,7DD.D0 8slanco loss gross proaeed+; of the sale (3 - 4) Add: Gxponsori of ralakirtp arxf sforinp. and any a8ornoys' fees (8) $ ^_ , b02.t3U allowed by law, end oxpsnses of raoondifirxifng and selling. (1) $ 13,938.29 (3) $ 13,@311.2@ (5) $ 8,238,29 11/29 ^eduot: Insuranoa Premium Robate (7) $ 71.B4 Other; {(3) :~ 0.00 Detldency" {9) $ 8,748.86 surplus• (~lo) :a o.oo The SurplualDofici9ncywlll ehangr; based on monies reeolvod by ua (errxilla) or additional allowod oxponsos & tntarQSl acJded to your account (labile), Surplus' or Daficianoy"' If [he Sale /esulted in a surpLs, a rotund tar At9 dlffererrv~e wiU be m¢iled to you. °" !f the sale rosuli©d in a dsnclertay, you sirould immedlatoly rams[ the amount shown on line 9 to tho address fqr paymer~s shown hefow. For additional intarmation calf or write: Mail deflolency payment to f=ord Mofor Crodit Company Ford Motor Crodit Company P.O. Box Ob08 Dopt 1 il4ib1 Mesa, Rrtzona, tS521B-85p$ N.U. eox 55000 t3D0-732-2264 Deuclt, M1.18235~iB41 FFMA 'I 1880-PG O1IQa Prcvgw uUlMCntt~ may NOT be used. 16-Feb-2011 09:23 AM Nashville Service Center 6153152809 FcytrdCredit Greenville Business Center P.O. Box 17948 GreCrlsviNo, SC ?.8806 877-805-71 fl7 DATE: Fabnrary t5, 2011 rMARIAN SCNi1LTZ i PO BOX 439 SHERMANS DALE PA 17080 STATEMENT OF SALE Aeeount Nwnber, ~ Th9 follawine~ proporty has been Gold: Year: 2D00 Maka: Modsl; FORD GIVC Groan brtlOnr.A owing on your uor8ract Deduct: Finance Charge Rebate Balance rnving prior to sale peduct: Gross proceeds of tho sale Halance less gross proceods of tha sofa {3- 4) Add: Expcnsos of retaking and storing, arW any attorneys' tees allowed by four, and expenses of reconditionlny and ael[Ing. YchiclalclenrJficatlnn NunGer; (2} ~ a.nn (1) $ 7.29 (3} $ t3r938.23 (~) $ e.2aa.29 (t4} $ 582,50 Deduct: Insurance Premium Rebate (7) $ 71.94 other (a) t a.on Delicienoy<' (s) $ _ tt,74a.e5 12/29 Surplus" ('I O} x 0.00 The SurplusJDeflcianay will r;har>ge based on moues rocoivod by rrs (aradlls) ar additional allowed exponscc ~ intere6t added iA your accourn (dabits), . Surplus' a: Doficlenoy" ' If the sate resulted In a Rurplus, a rotund for the diffarcnco will be mailed to you. " If the Sale resulted in a deitciency, you should immadlaCely fandl fire amount shown on line 8 to the addfass for payme'rts sllown below. For additional inlormction call pr write: Mail deticiency payment to card Motor Credit Company Ford Motor Credit Company P.0,13ox G508 fJept 194101 Mesa, Arizona, $5216•&500 P.C. BOX tllit>a0 an0-730-zze~4 Dotroit, M148255-iarti FFtJA 11'3EO-FC Ot/cM Prr<woue euuone. may NOr Vu ir:E:rd, SKLAR - MARKIND A PROFESSIONAL, CORPORATION 102 Browning Lane, Building B, Suite Cherry Hill, New Jersey 08003 (856} 616-8710 Tel {856) 616-8716 Fax June 29, 2012 Perry County Sheriff Second Floor Courthouse One Courthouse Square New Bloomfield, PA 17068 Re: FORD MOTOR CREDIT COMPANY LLC vs. JAY HUSTON SCHULZ a/kla JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARIAN SCHULTZ SERVICE OF COMPLAINT NO.: OUR FILE NO.: F1100696 Dear Sir/Madam: Please serve the complaint upon the defendant(s) as follows: JAY HUSTON SCHULZ AKA JAY SCHULTZ 501 WII~FDY HILL ROAD, LOT 21 SHERMANS DALE PA 17090 MARIAN K. SCHULZ AKA MARIAN SCHULTZ 501 WINDY HILL ROAD, LOT 21 SHERMANS DALE PA 17090 We have attached a check in the amount of $100.00, which represents the fee for service. If you have any questions or require any further information, please do not hesitate to contact our office. Thank you in advance far your anticipated cooperation. Very truly yours, C~~eu~ C~ Andrew Sklar, Esquire AS/MM Enclosures SKLAR - MARKIND A PROFESSIONAL CORPORATION 102 Browning Lane, Building B, Suite 1 Cherry Hill, New Jersey 08003 (856) 616-8710 Tel ~~ (856) 616-8716 Fax `' `-- ~~ . -. June 29, 2012 ~--~' - - -- ui ._ Perry County Prothonotary Perry County __ -~ PO Box 325 .. New Bloomfield, PA 17068 _ '" Re: FORD MOTOR CREDIT COMPANY LLC vs. JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARIAN SCHULTZ DOCKET NO.: OUR FILE NO.: F1100696 Dear Sir or Madam: Enclosed please find an original and three (3) copies of Plaintiff's Complaint, Verification, Notice and Civil Cover Sheet with regard to the above referenced matter, along with a check in the amount of $68.?5 which represents the filing fee. Also find enclosed are two (2) copies of a Letter Request for Service to Sheriff and a check in the amount of $100.00, which represents the service fee in this matter. Please have the Prothonotary deliver a filed copy of the complaint, our Letter Request for Service and our check to the Sheriff for service upon the Defendant{s}. I am enclosing aself-addressed, stamped envelope for the return of service. Please f le same, returning a filed copy in the self-addressed, stamped envelope provided. Please contact our office if you should have any questions. Thank you. Very~trul~y yours, Andrew Sklar, Esquire ASIMM Enclosures Disclosure You are hereby advised, pursuant to the Fair Debt Collection Practices Act, that this lirm is deemed to be a debt collector attempting to collect a debt and any information obtained will be used for that purpose. I•N THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW FORD MOTOR CREDIT COMPANY LLC 1 1335 S. Clearview Avenue 1 No. 13-126 CIVIL Mesa, AZ, 85209 1 I Plaintiff(s) 1 V. 1 CIVIL ACTION JAY HUSTON SCHULZ a/k/a JAY 1 SCHULTZ and MARIAN K. SCHULZ ( PRAECIPE FOR WRIT OF EXECUTION a/k/a MARIAN SCHULTZ I (Money Judgment) 501 WINDY HILL ROAD, LOT 21 PO BOX I 439 I SHERMANS DALE PA 17090 I Defendant(s) I a .; MEMBERS FIRST FEDERAL CREDIT 1 _ UNION I w ' 1711 SPRING RD I CARLISLE, PA 17013 1 423 Garnishee(s) TO THE PROTHONATORY: (1) Issue writ of execution in the above matter, directed to the Sheriff of CUMBERLAND County, against JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARIAN SCHULTZ , defendant(s) (2) and against, MEMBERS FIRST FEDERAL CREDIT UNION, 1711 SPRING RD, CARLISLE, PA 17013 garnishee. AMOUNT DUE $11,603.28 INTEREST $346.53 from: September 21, 2012 PLUS COSTS Lt 1( (v � ) Sl d . Lloyd S. Markind, Esquire (ID 452507) Attorneys for Plaintiff Sklar—Markind 102 Browning Lane, Building B, Suite 1 Cherry Hill,New Jersey 08003 $x. 856) 616-8710 Dated: March 22, 2013 jr.SC4� FILE NO.: F 1100696 0" /P 107 � )r/ K 1-� I � r� � WRIT OF EXECUTION and/or ATTACHMENT COMMONWEALTH OF PENNSYLVANIA) NO 13-126 Civil COUNTY OF CUMBERLAND) CIVIL ACTION—LAW TO THE SHERIFF OF CUMBERLAND COUNTY: To satisfy the debt, interest and costs due FORD MOTOR CREDIT COMPANY LLC Plaintiff(s) From JAY HUSTON SCHULZ A/K/A JAY SCHULTZ AND MARIAN K.SCHULZ A/K/A MARIAN SCHULTZ,501 WINDY HILL ROAD,LOT 21,P.O.BOX 439,SHERMANS DALE,PA 17090 (1) You are directed to levy upon the property of the defendant(s)and to sell (2) You are also directed to attach the property of the defendant(s)not levied upon in the possession of GARNISHEE(S)as follows: MEMBERS FIRST FEDERAL CREDIT UNION, 1711 SPRING ROAD,CARLISLE,PA 17013 and to notify the garnishee(s)that: (a)an attachment has been issued; (b)the garnishee(s) is enjoined from paying any debt to or for the account of the defendant(s) and from delivering any property of the defendant(s)or otherwise disposing thereof; (3) If property of the defendant(s)not levied upon an subject to attachment is found in the possession of anyone other than a named garnishee,you are directed to notify him/her that he/she has been added as a garnishee and is enjoined as above stated. Amount Due$11,603.28 Plaintiff Paid$ Interest FROM SEPTEMBER 21,2012-$346.53 Attorney's Comm. % Law Library$30 Attorney Paid$151.06 Due Prothonotary$2.25 Other Costs$ Date:April 3,2013 David D.Buell,Prothonotary B 9;. dda2�-�e_ Deputy REQUESTING PARTY: Name : LLOYD S. MARKIND,ESQUIRE Address: SKLAR-MARKIND 102 BROWNING LANE,BUILDING B,SUITE 1 CHERRY HILL,NJ 08003 Attorney for: PLAINTIFF Telephone: 856-616-8710 Supreme Court ID No. 52507 SHERIFF'S OFFICE OF CUMBERLAND COUNTY Ronny R Anderson 0 Sheriff c nt ® IFIH�C!/ ffl Jody S Smith a y Chief Deputy Richard W Stewart Solicitor OFFICE OF THE SKERIFF .::,u'- t:: Ford Motor Credit Company LLC Case Number vs. Jay Huston Schulz (et al.) 2013-126 SHERIFF'S RETURN OF SERVICE 04/08/2013 12:57 PM -William Cline, Deputy,who being duly sworn according to law, attached as herein commanded all goods, chattels, rights, debts, credits, and monies of the Defendant, in the hands, possession, or control of the within named garnishee, Members 1711 Spring Road, North Middleton Township, Carlisle, PA 17013, Cumberland County, by handing to Connie Barrick, Teller, personally three copies of interrogatories together with three true and attested copies of the Writ of Execution and made the contents there of known to her. The writ of execution and notice to defendant was mailed on April 9, 2013 to Jay Huston Schultz AKA Jay Schultz at 501 Windy Hill Road, Lot 21, PO Box 439, Shermansdale PA 17090 and to Marian K. Schulz AKA Marian Schultz at 501 Windy Hill Road, Lot 21, PO Box 439, Sherman ale A 17090. WILLIAM CLINE, DLT19TTY SO ANSWERS, April 09, 2013 RONPrY R ANDERSON, SHERIFF (c)C;ountySu:ie Sheriff.'i'eloosoft,Inc. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,PENNSYLVANIA CIVIL ACTION-LAW FORD MOTOR CREDIT COMPANY : No. 13-126 CIVIL LLC Plaintiff VS. : CIVIL ACTION JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ a/k/a MARIAN SCHULTZ Defendant , V. o MEMBERS FIRST FEDERAL CREDIT UNION -9 -O 1711 SPRING RD CnnD N o° CARLISLE,PA 17013 �,_ _-n C) ' Garnishee(s) to uo x? INTERROGATORIES IN ATTACHMENT TO: MEMBERS FIRST FEDERAL CREDIT UNION , Garnishee: You are required to file answers to the following interrogatories within twenty(20)days after service upon you. Failure to do so may result in judgment against you. 1. At the time you were served or at any subsequent time did you owe the defendant(s)any money or were you liable to him(her/them)on any negotiable or other written instrument, or did he(she/they)claim that you owed him(her/them)any money or were liable to him (her/them)for any reason? 2. At the time you were served or at any subsequent time was there in your possession, custody or control or in the joint possession, custody or control of yourself and one or more persons any property of any nature owned solely or in part by the defendant? ►V v 3. At the time you were served or at any subsequent time did you hold legal title to any property of any nature owned solely or in part by the defendant or in which the defendant held or claimed any interest? ND 4. At the time you were served or at any subsequent time did you hold as fiduciary any property in which the defendant had any interest? tv 5. At any time before or after you were served did the defendant(s)transfer or deliver any property to you or to any person or place pursuant to your direction or consent and what was the consideration thereof? P ®g 6. At any time after you were served did you pay,transfer or deliver any money or property 1�J3 tot he defendant(s)or to any person or place pursuant to his(her/their)direction or otherwise discharge any claim of the defendant(s)against you? M) 7. If you are a bank or other financial institution,at the time you were served or any subsequent time did the defendant have funds on deposit in an account in which funds are deposited electronically on a recurring basis and which are identified as being funds that upon deposit are exempt from execution, levy or attachment under Pennsylvania or federal law? If so, identify each account and state the reason for the exemption,the amount being withheld under each exemption,the amount of funds in each account, and the entity electronically depositing those funds on a recurring basis. N"1 n 8. If you are a bank or other financial institution,at the time you were served or at any subsequent time did the defendant have funds on deposit in an account in which the funds on deposit,not including any otherwise exempt funds,did not exceed the amount of the general monetary exemption under 41 Pa.C.S § 8123?If so, identify each account. 9. How much is the value of any property in your possession belonging to the defendant(s)? N� k�"V-S- Date: March 22, 2013 Lloyd S. Markind,Esquire(ID#52507) Sklar—Markind 102 Browning Lane,Building B, Suite 1 Cherry Hill,NJ 08003 (856)616-8710 FILE NO.: F 1100696 Disclosure You are hereby advised,pursuant to the Fair Debt Collection Practices Act,that this firm is deemed to be a debt collector attempting to collect a debt and any information obtained will be used for that purpose. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW FORD MOTOR CREDIT COMPANY : No. 13-126 CIVIL LLC 4 Plaintiff vs. : CIVIL ACTION ,2 JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ �:, --+ a/k/a MARIAN SCHULTZ : rnp ? r �, Defendantr�. i°• v. _<> N C) , MEMBERS FIRST FEDERAL CREDIT ..<c:) s. a UNION C) --- 1711 SPRING RD — _ (D1 _ CARLISLE, PA 17013 - CA) D u, -<. • Garnishee(s) t r.-_A_. INTERROGATORIES IN ATTACHMENT v -, TO MEMBERS FIRST FEDERAL CREDIT UNION Garnishee: c-_.: _:? You are required to file answers to the following interrogatories within twenty(20) days after service upon you. Failure to do so may result in judgment against you. 1. At the time you were served or at any subsequent time did you owe the defendant(s)any money or were you liable to him(her/them) on any negotiable or other written instrument, or did he(she/they) claim that you owed him (her/them) any money or were liable to him (her/them) for any reason? M 2. At the time you were served or at any subsequent time was there in your possession, custody or control or in the joint possession, custody or control of yourself and one or more persons any property of any nature owned solely or in part by the defendant? Mi 3. At the time you were served or at any subsequent time did you hold legal title to any property of any nature owned solely or in part by the defendant or in which the defendant held or claimed any interest? 4. At the time you were served or at any subsequent time did you hold as fiduciary any property in which the defendant had any interest? 1\17 5. At any time before or after you were served did the defendant(s)transfer or deliver any property to you or to any person or place pursuant to your direction or consent and what was the consideration thereof? At 4p0' C/'c•6 ®g 6. At any time after you were served did you pay,transfer or deliver any money or property 467 tot he defendant(s)or to any person or place pursuant to his(her/their) direction or otherwise discharge any claim of the defendant(s)against you? 7. If you are a bank or other financial institution, at the time you were served or any subsequent time did the defendant have funds on deposit in an account in which funds are deposited electronically on a recurring basis and which are identified as being funds that SoGS_ _ S iv bIp upon deposit are exempt from execution, levy or attachment under Pennsylvania or federal J J��C:. law? If so, identify each account and state the reason for the exemption,the amount being coo S_cSe` , \S. -1 withheld under each exemption,the amount of funds in each account, and the entity electronically depositing those funds on a recurring basis. 7 i\T Q 8. If you are a bank or other financial institution, at the time you were served or at any subsequent time did the defendant have funds on deposit in an account in which the funds on deposit, not including any otherwise exempt funds, did not exceed the amount of the general monetary exemption under 41 Pa.C.S § 8123? If so, identify each account. 9. How much is the value of any property in your possession belonging to the defendant(s)? ti f S Date: March 22, 2013 e(-3 Lloyd S. Markind,Esquire(ID#52507) Sklar- Markind 102 Browning Lane,Building B, Suite 1 Cherry Hill,NJ 08003 (856) 616-8710 FILE NO.: F1100696 Disclosure You are hereby advised, pursuant to the Fair Debt Collection Practices Act,that this firm is deemed to be a debt collector attempting to collect a debt and any information obtained will be used for that purpose. Lloyd S. Markind, Esquire (ID #52507) Jordan W. Felzer, Esquire (ID#38670) SKLAR—MARKIND I"I L 0 F F K- 102 Browning Lane, Building B, Suite I EIr 'r H I P R 0 T H 0 N d)-A1R`( Cherry Hill,New Jersey 08003 2013 MAY 17 AM 11: 1 it (856) 616-8710 Attorney for Plaintiff(s) CUMBERLAND COUNTY Our File Number: F1100696 PENNSYLVANIA IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW FORD MOTOR CREDIT COMPANY LLC No. 13-126 CIVIL Plaintiff TERM vs. CIVIL ACTION JAY HUSTON SCHULZ a/k/a JAY SCHULTZ and MARIAN K. SCHULZ &Wa MARIAN SCHULTZ Defendant V. MEMBERS FIRST FEDERAL CREDIT UNION Garnishee(s) PRAECIPE TO DISSOLVE ATTACHMENT TO THE PROTHONOTARY: Please dissolve the attachment as to garnishee, Members I st Federal Credit Union, in the above captioned action. Date: ��7 ' Lloyd S. Markind,Esquire (ID #52507) Jordan W. Felzer, Esquire(ID #38670) Attorneys for Plaintiff Sklar—Markind 102 Browning Lane, Bldg B, Suite I Cherry Hill, NJ 08003 (856) 616-8710 phone (856) 616-8716 fax st 1 :3 SHERIFF'S OFFICE OF CUMBERLAND COUNTY R Anderson "SLED"OF flCE iff _r THE PRQTHONO !AR;s tt try 'Citfli rrrt ,ody S Smith 2013 NOV _6 rM IQ: 55 Chief Deputy Richard W Stewart CUMBERLAND COUNTY Solicitor OFP E"3ICT ESi.FpE = PENNSYLVANIA Ford Motor Credit Company LLC vs. Case Number Jay Huston Schulz (et al.) 2013-126 SHERIFF'S RETURN OF SERVICE 04/08/2013 12:57 PM-William Cline, Deputy, who being duly sworn according to law, attached as herein commanded all goods, chattels, rights, debts, credits, and monies of the Defendant, in the hands, possession, or control of the within named garnishee, Members 1711 Spring Road, North Middleton Township, Carlisle, PA 17013, Cumberland County, by handing to Connie Barrick, Teller, personally three copies of interrogatories together with three true and attested copies of the Writ of Execution and made the contents there of known to her. The writ of execution and notice to defendant was mailed on April 9, 2013 to Jay Huston Schultz AKA Jay Schultz at 501 Windy Hill Road, Lot 21, PO Box 439, Shermansdale PA 17090 and to Marian K. Schulz AKA Marian Schultz at 501 Windy Hill Road, Lot 21, PO Box 439, Shermansdale, PA 17090. 04/16/2013 Claim for exemption filed. Taken to Court Administration by Claudia Brewbaker. 04/18/2013 In Re: Claim for Exemption Order of Court And now, this 18th day of April 2013, upon review of the Claim for Exemption filed by Jay Schultz and Marian Schultz, claiming an exemption of their Social Security benefits in the aount of$ 1,048.00 and $ 537.00 respectively, that claim is GRANTED, without a hearing, subject to review on petition of Plaintiff alleging that Social Security benefits are not exempt. It is ordered and directed that Members First Federal Credit Union shall release for Defendants' use, on a monthly basis, the directly deposited Social Security benefits of the Defendants. All other accounts and/or deposits to Members First Federal Credit Union, other than the monthly Social Security benefits direct deposits, remain subject to the garnishment of 3 April 2013. By the Court, Thomas A. Placey, Judge 11/05/2013 Ronny R. Anderson, Sheriff, who being duly sworn according to law, states this writ of execution is returned as ABANDONED. No action on writ in over 6 months. SHERIFF COST: $99.07 SO ANSWERS, 9-eg November 05, 2013 RONNY ANDERSON, SHERIFF S Z� C,.-4 p c.37�S. ,.