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HomeMy WebLinkAbout13-1136COfl1/'ON~J'JI_ALT~ OF PENNSYLVANIA COI.IFZT O'r COMMON P.EA:; Judicial District, County Of NOTICE OF APPEAL FROM MAGISTERIAL DISTRICT JUDGE JUDGMENT !// / COMMON PLEAS No. ~~ '~ ~~~ 6 L NOTICE OF APPEAL cis Notice is given that the appellant has filed in the above Court of Common Pleas an appeal from the judgment rendered by the Magisterial District Judge on the date and in the case referenced below. _ui ~ cu ~ ~c.~- ~,. ~-I E~-- I ,.~q,- ~ ^ ~ ~l ~ Nl v Via, /~ Corr a ADDRESS OF ArPE Lr.NT STATE G-~ Vl'1 -J Q IW~I~ G ITM ~+~ l ~Z~qo~ DATE GF JU G+Ac.NT IN TH C SE F (P/aintiif) (Defendant)' DOCKET Na SIGNATURE OF APPELLANT OR ATTORNEY OR AGENT M~ ag3o~-~~-oocbal5 -~.c-/3 ~ ~.^ 1-~ ~-~ This block will be signed ONLY when this notation is required under Pa. R.C.P. D.J. No. 10088. This Notice of Appeal, when received by the Magisterial District Judge, will operate as a SUPERSEDERS to the judgment for possession in this case. Signature ofProthorotary or Deputy was Claimant (see Pa. R. C. P. D.J. No. 1001(6) in action before a Magisferia/ District Judge, A COMPLAINT MUST BE FILED within twenty (20) days after frling fhe NOTfCE of APPEAL. PRAECIPE TO ENTER RULE TO FILE COMPLAINT AND RULE TO FILE (This section of form to be used ONLY when appellant was DEFENDANT (see Pa.R.C.P.D.J. No. 1001(7) in action before Magisterial District Judge. IF NOT USED, detach from copy of notice of appeal to be served upon appe/lee. PRAECIPE: To Prothonotary Enter rule upon k~-~ ;-~-^~~ ~ ~ ~.,,p m 0~'t y ~ ~ ~ ~ t ~~ appellee(s), to file a complaint in this appeal Name of appe!!ee(s) (Common Pleas No. '~ ~ t ~ ~~ / ~~ L1 ~ )within twenty (20) days after service of rule or suffer entry of judgment of non pros. v~/-n r~ i ~~ r /~ . , ~~ 0 ~ ~ ,~ Signature of appellant iforney or agent RULE: /~-~~J appellees) Name of appel/ee(s) (1) You are notified that a rule is hereby entered upon you to file a complaint in this appeal within twenty (20) days after the date of service of this rule upon you by personal service or by certified or registered mail. (2) If you do not file a complaint within this time, a JUDGMENT OF NON PROS MAY BE ENTERED AGAINST YOU. (3) The date of22service of this rule if service was by mail is the date of the mailing. f ~ r ~ ~~~ / Date: ~ 20 ~J ~~N~~1,~~~ '~P~.~~ ~~~ ~1. StgnatureofProth aryorDeputy ~ t ~ yd 1- ~~N ~ I Ot ~- YOU MUST INCLUDE A COPY OF THE NOTICE OF JU MENT/TRANSCRIPT FORM WITH HIS NOTICE OF APPEAL. 3~I.~~C~-~~~15~ AOPC 312-05 COMMONWEALTH OF PENNSYLVANIA Notice of Judgment/Transcript Civil COUNTY OF CUMBERLAND Case Mag. Dist. No: MDJ-09-3-04 MDJ Name: Honorable Paula P. Correal Address: 5275 East Trindle Road Suite 110 Mechanicsburg, PA 17050 Telephone: 717-697-2201 Michelle Lynne Heh 2145 Lambs Gap Road Enola, PA 17025 Dtsposltton Summary Docket No Kreitzer's Automotive Service v. Michelle Lynne Heh Docket No: MJ-09304-CV-0000015-2013 Case Filed: 1/17/2013 MJ-09304-CV-0000015-2013 Kreitzer's Automotive Service Michelle Lynne Heh Judgment for Plaintiff 02/21/2013 Judgment Summary Participant Joint/Several Liability Individual Liability Amount Kreitzer's Automotive Service $0.00 $0.00 $0.00 Michelle Lynne Heh $0.00 $549.25 $549.25 Judgment Detail {"Post Judgment) In the matter of Kreitzer's Automotive Service vs. Michelle Lynne Heh on 2/21/2013 the judgment was awarded as follows: Judgment Component Joint/Several Liability Individual Liability Deposit An~lied Amount Civil Judgment $0.00 $469.25 $469.25 Filing Fees $0.00 $73.00 $73.00 Costs $0.00 $7.00 $7.00 Grand Total: $549.25 ANY PARTY HAS THE RIGHT TO APPEAL WITHIN 30 DAYS AFTER THE ENTRY OF JUDGMENT BY FILING A NOTICE OF APPEAL WITH THE PROTHONOTARY/CLERK OF COURT OF COMMON PLEAS, CIVIL DIVISION. YOU MUST INCLUDE A COPY OF THIS NOTICE OF JUDGMENT/TRANSCRIPT FORM WITH YOUR NOTICE OF APPEAL. EXCEPT AS OTHERWISE PROVIDED IN THE RULES OF CIVIL PROCEDURE FOR MAGISTERIAL DISTRICT JUDGES, IF THE JUDGMENT HOLDER ELECTS TO ENTER THE JUDGMENT IN THE COURT OF COMMON PLEAS, ALL FURTHER PROCESS MUST COME FROM THE COURT OF COMMON PLEAS AND NO FURTHER PROCESS MAY BE ISSUED BY THE MAGISTERIAL DISTRICT JUDGE. UNLESS THE JUDGMENT IS ENTERED IN THE COURT OF COMMON PLEAS, ANYONE INTERESTED IN THE JUDGMENT MAY FILE A REQUEST FOR ENTRY OF SATISFACTION WITH THE MAGISTERIAL DISTRICT JUDGE IF THE JUDGMENT DEBTOR PAYS IN FULL, SETTLES, OR OTHERWISE COMPLIES WITH THE JUDGMENT. ' may„ " .. ~ pr FFi°~ ~°4s'~ n_ y ~ ~ f ~ V Date M~ag1'sferial ' trio ' e ~ _~^ -•'' °'" ''~ ~,; ;' .a,,.w certi t at t is is a true an correct copy o t e recur o t e procee ings con arrnng a lu gmen . , Jf, Date Magisterial District Judge MDJS 315 Page 1 of 2 Printed: 02/21/2013 1:32:31 PM Kreitzer's Automotive Service v. Michelle Lynne Heh Plaintiff(s) Kreitzer's Automotive Service 2385 Wertz Lane Enola, PA 17025 Defendant(s) Participant List Michelle Lyrine Heh 2145I~ambs~ap Road .~_ __ - t- _ _ Enola, PA 17025 __~ ~ -~ ~ ~ 3Z , ~ q 5~ Docket No.: MJ-09304-CV-0000015-2013 MDJS 315 Page 2 of 2 Printed: 02/21/2013 1:32:31PM COMMONWEALTH OF PENNSYLVANIA Civil Action Hearing Notice COUNTY OF CUMBERLAND Mag. Dist. No: MDJ-09-3-04 MDJ Name: Honorable Paula P. Correal Address: 5275 East Trindle Road Suite 110 Mechanicsburg, PA 17050 Telephone: 717-697-2201 Michelle Lynne Heh 2145 Lambs Gap Road Enola, PA 17025 A civil complaint has been filed against you in the above captioned case. A Civil Action Hearing has been scheduled to be held on/at: Kreitzer's Automotive Service V. Michelle Lynne Heh Docket No: MJ-09304-CV-0000015-2013 Case Filed: 1/17/2013 Date: Monday, March 11, 2013 Place: Magisterial District Court 09-3-04 5275 East Trindle Road Suite 110 Time: 8:45 AM Mechanicsburg, PA 17050 717-697-2201 Notice To Defendant If you intend to enter a defense to this complaint, you should so notify this office immediately at the above telephone number You must appear at the hearing and present your defense. Unless you do, judgment may be entered against you by default. If you have a claim against the plaintiff which is within magisterial district judge jurisdiction and which you intend to assert at the hearing, you must file it on a complaint form at this office at least five days before the date set for the hearing. Pursuant to Pa.R.C.P.D.J. No. 342(8)(2), no claim by the defendant will be permitted in a supplementary action filed for failure of judgment creditor to enter satisfaction. Notice To Plaintiff Pursuant to Pa.R.C.P.D.J. No. 318, you or your attorney will be notified if the defendant gives notice of his/her intention to defend. If you are disabled and require a reasonable accommodation to gain access to the Magisterial District Court and its services, please contact the Magisterial District Court at the above address or telephone number. We are unable to provide transportation. You can make case payments online through Pennsylvania's Unified Judicial System web portal. Visit the portal at http:~uJsportal.pacourfs.us to make a payment. MDJS 308 t Printed: 02/06/2013 8:35:03AM COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND ~~ Mag. Dist. No: MDJ-09-3-04 MDJ Name: Honorable Paula P. Correal Address: 5275 East Trindle Road Suite 110 Mechanicsburg, PA 17050 Telephone: 717-697-2201 Notice of Intent to Defend vs. ~~V~~ l~G ,he~~>o~ Docket No: C v' G ~ '` Case Filed: ~~~ ~ ~3 Date: Place: ~ r~y./'y D~ r ~ ll ~r Del-3 D~ Time: PLAINTIFF: You are hereby notified that the defendant named below has given notice of his/her intent to present a defense at the hearing in the above case. DEFENDANT(S) November 26, 2012 Date W~R`A/ Senior Magisterial Distr' 1 ~wl~h ul Fe q~r~ e«~1 q, 6 ' w j.p' q W .rp3' ~> `Y"til pEn T~ tct Judge Paula P. Correal ~~~-»~ Printed: 11 /26/2012 3:02:41 PM ,,~~' I~I~a-oil: icy )F THE ~'R~THfltdOTi,", 20 i 3 MAR -1 PM !~: ~ 5 ~~~RLAND Ct7T ~' PEt~N~YLYANIA PROOF OF SERVICE OF NOTICE OF APPEAL AND RULE TO FILE COMPLAINT (This proof of service MUST BE F1LED WITHIN TEN (10) DAYS AFTER filing of the notice of appeal. Check applicable boxes.) COMMONWEALTH OF PENNSYLVANIA COUNTY OF AFFIDAVIT: I hereby (swear) (affirm) that f served a copy of the Notice of Appeal, Common Pleas No.j3" ~ ~on'the Magisterial District Judge designated therein on (date of service, 20 1 ^ by p rsonal service bLy (certi ed) (registered) mail, sender's receipt attached hereto, and upon the appellee, (r~~rr~e)~~~~on ~'a~~~y~ ,'Z~ t , 20 ^by personal service by (certified) (registered) mail, sender's receipt attached hereto. (SWORN) (AFFIRMED) AND SUB CRIBED BEFORE ME THIS 1 ~ DAY OF, 20 l~ Sig u official be re w a idavit was made Title o o icral ~1y commission expires on , 20 Prothonotary, Gae~erlsnd CowNy, CarQsk, PA MY Compassion Expies the fist Maxly of Nn. 7014 AOPC 312A - 05 /~' Sign ture of affiant / '• . ~ • • . .•. or' .. • , ~ t rl ~ \ .~. ..n ;' ~ f`- Postage $ 63.10 -- -.~ -~~ ```, ~ 1,oi ' Certified Fee , P~,,, , ~ ~~ ' ~ O Retum Receipt Fee :Q.~ ' ~ ! ~ ! ~ s t ' ' p ~ (Endorsement Required) ~ f0 ;` ''. ~ ~ Restricted Delivery Fee (Endorsement Requred) . 56 ,''~..~,,,.,.- . ,-,~~ ~~~~ , ,- ~ ~ es F 63. f1J e Total Postage 8 tU _ -- N Sent 70 - -°----°- ri ~ --° --- - - -------°°-°-------- Street, Apt No.; --------° "--"' - or pp Box No. ILED`OF 1=ICE rig T"� PROTHONo a� RY 2013 MAR 19 AN 10: 52 CUMBERLAND COUF4 T y PENNSYLVANIA Bryan W.Shook,Esquire ID#203250 2132 Market Street Camp Hill,Pennsylvania 17011 Telephone—(717)975-9446 Fax—(717)975-2309 Attorney for Kreitzer's Automotive Service KREI I ZER'S AUTOMOTIVE SERVICE, : IN THE COURT OF COMM" PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA V. CIVIL ACTION — LAW MICHELLE L. HEH, No.: 13-1136-CIVIL TERM Defendants NOTICE YOU HAVE BEEN SUED IN COURT. If you wish to defend against the claims set forth in the following pages, you must take action within twenty (20) days after this Complaint and Notice are served, by entering a written appearance personally or by attorney and filing in writing with the Court your defenses or objections to the claims set forth against you. You are warned that if you fail to do so the case may proceed without you and a judgment may be entered against you by the Court without further notice for any money claimed in the Complaint or for any other claim or relief requested by the 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, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER. IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE. CUMBERLAND COUNTY LAWYER REFERRAL SERVICE 2 LIBERTY AVENUE CARLISLE, PA 17013 (717) 249-3166 I Bryan W.Shook,Esquire ID#203250 2132 Market Street Camp Hill,Pennsylvania 17011 Telephone—(717)975-9446 Fax—(717)975-2309 Attorney for Kreitter's ive Service KRE R'S AUTOMOTIVE SERVICE,: IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA V. : CIVIL ACTION — LAW MICHELLE L. HEH, : No.: 13-1136-CIVIL TERM Defendants COMPLAINT AND NOW comes the Plaintiff, Kreitzer's Automotive Service by and through its counsel the Dethiefs-Pykosh Law Group, LLC, by Bryant W. Shook, Esquire who brings for the within Complaint against Michelle L. Heh and in support thereof avers as follows: 1. Plaintiff, Kreitzer's Automotive Service is a registered subsidiary of Cumberland Auto Salvage, Inc. whose principal place of business is 2385 Wertz Lane, Enola, Cumberland County, Pennsylvania 17025-1144. 2. Defendant, Michelle L. Heh is an adult individual currently residing at 2145 Lambs Gap Road, Enola, Cumberland County, Pennsylvania 17025. 3. On or about May 10, 2012, Defendant brought her 2007 Toyota Prius (VIN JTDKB20U473267149) to Plaintiffs automotive repair facility after Defendant's car door was bent due to catching on the garage frame while open. 4. Also during the summer of 2012 Defendant brought her vehicle to Plaintiffs facility for a lube, oil and filter change and a Pennsylvania state safety inspection and annual emissions inspection. 5. Plaintiff's hourly rate and its rates for Pennsylvania state safety inspection and annual emissions inspection are conspicuously posted present within the office of Plaintiffs repair facility. 6. Further, Defendant was a customer of Plaintiffs for more than a year prior to accruing her current balance and paid Plaintiffs bills at Plaintiffs customary rates. 7. Despite demand, Defendant has failed to pay her outstanding bill with Plaintiff. 8. Plaintiffs charges were reasonable and customary and Plaintiffs work was performed at the specific insistence and without objection of Defendant. (A true and correct copy of Plaintiffs Invoice #2962 dated 9/12/2012 is attached hereto, made part hereof and marked as Exhibit "A"). 9. Defendant did not dispute Plaintiffs invoice. 10.Defendant's nonpayment of Plaintiffs invoice constitutes a breach of Defendant's obligation to pay Plaintiff for services rendered by Plaintiff at the special instance of Defendant. 11.As a result of Defendant's nonpayment, Plaintiff has incurred damages in the amount of the unpaid invoice amount ($469.25) plus costs of suit (currently $81.00). WHEREFORE, Plaintiff, Kreitzer's Automotive Service, respectfully requests that this Honorable Court enter judgment in favor of Plaintiff, Kreitzer's Automotive Service, and against Defendant, Michelle Heh, in the amount of$549.25 together with interest and costs of suit and any other relief that this Honorable Court deems necessary and just. Respec lly Submi Date: M A#t J / 9, a D/3 Bria-AV. Shook, Esquire ID # 203250 Dethlefs-Pykosh Law Group, LLC 2132 Market Street Camp Hill, Pennsylvania 17011 Telephone: (717) 975-9446 BShook dplglaw.com VERIMPATION I hereby verify-that the.statements of fadt in the rtoregoing:doc�uments are true and correct to the best of my knowledge, information and belief-. I understand that any false statements therein are subject to the criminal penalties contained in 18 Pa C. S. Section 4904, relating to unsworn falsification to authorities. Date D1.3 BTLI T. s Zis Automotive Service 2385 Wertz Lane I�VOICE Enota, Pa. 17025-1144 2962 Phone-71 7-732-3556 Fax-717-732-2947 strive for I OMA Paion,let us know how we dill! y INVOICE `�� � dy U- Work Completed Date: 09121/2012 Print Date: 09121J2012 He h,Michells, X 2007 Toyota-Prius-1.5L, In-Line* 1 2145.Lambs Gap Rd Lic#: 14WJ7445-FAA Odometer In: 40186 Enola, PA 17025 Unit#: Odometer Out: 39377 Home 7177321856 --Cellular 717-514-8879 Vin#: JTDK92OU473287149 Cust ID: 495 Hot#: Ref#: DOOR HINGE-Front,Left Customer states that drivers side door we4 240.00. 060 1.00 23.15 23.15 open and was pushed towards the from of Annual Inside Safety Sticker the vehicle. Al STICKER 1.00 2.00 200 DOOR HINGE-Remove&Replace-Front 80.00 upper Shop Supplies 15.00 15,00 Lube,oil,and filter. 33.95 Lubricate and check chassis. Change ail and oil fiter,up to 5 qt Check airf8ter and breatherfilteer,clean off`;cowl panel. Check and top off all fluid levels and tiro pressures.Including the spare tire. Rotate tires if needed,perform basic safety inspection.Check belts&hoses,Road best vehicle. Pennsylvania Stott Emission Test 23.59' Emission Tested Vehicle State Insp, Passenger Car 20.00' Emissions Sticker; IM2-2231452 EW 0812013 Safety Sticker: Al2-0$88983 F..xp;06/2013. ERIE INSURANCE EXCHANGE Policy. Q051708129H-Exp Cie: 1117/2012 Brakes; LF(6B)LR(4B)RF(BB)RR(3B) Tiros: LF(7)LR(9)RF(7)RR(8) Previous Odometer: 29437 Hazardous Materials Disposal 5.00 Ckg.Estarnrte $41!8.68 Revisions i 0.00 Current Estimate $49&46 Labor: 402.54 Parts: 40.15 Sublet. 00.00 Sttb: 442.0$ Taut: 26.66 TOW 469.25 i p due: $"9.25 I hereby authorises the above repair work to be dona along with the necessary material and hereby grant you andbr your employees permission to operate the car or truck herein described on street,highways or elsewhere for the purpose to testing andkx inspection. An express mechanic's lien is hereby acknowledged on above czar or truck to secure the amount of repairs thereto.Warranty on parts and labor is one years or 12,000 miles whichever cremes first. Warranty work has to be performed in our strap&cannot-exceed the original cast of repair. Signature Date Time written aS KreRCW,s>+xs-TeCnraciens:Kre1tzer,terries Page t oft �aayt�t tc)X12 Mrt�reiE t{epeir Mrormet�an eomaenv u.0 Itwhrs 03 filx��t JD KREITZER'S AUTOMOTIVE SERVICE,: IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA V. CIVIL ACTION — LAW MICHELLE L. HEH, No.: 13-1136-CIVIL TERM Defendants Certificate of Service I hereby certify that a copy of the foregoing Petition, was hereby served by depositing the same within the custody of the United States Postal Service, rirst Class, postage prepaid, addressed as follows: Michelle Heh 2145 Lambs Gap Road Enola, PA 17025 Respe Ily S mitte . Date: �1oa�� l �! d D i 3 Brya . Shook, squire ID # 203250 Dethlefs-Pykosh Law Group, LLC 2132 Market Street Camp Hill, Pennsylvania 17011 Telephone: (717) 975-9446 BShookAdplglaw.com it 1�!i Pir-\'OTHOIN'OT 1%1, 2013 APR 10 PM 1: 12 CUMBERLAND COUNTY Michelle L. Heh PENNSYLVANIA 2145 Lambs Gap Road Enola, PA 17025 Telephone—(717) 732-1956 hehmichelle@verizon.net IN THE COURT OF COMMON PLEAS KREITZER'S AUTOMOTIVE SERVICE, Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA V. CIVIL ACTION—LAW MICHELLE L. HEH, Defendant No.: 13-1136-CIVIL TERM ANSWER Answer to claims of Kreitzer's Automotive Service (Plaintiff)v. Michelle L. Heh (Defendant) Plaintiff is represented by: Bryan W.Shook,Esquire Defendant,Michelle L.Heh is proceeding ID#204250 PRO SE 2132 Market Street Camp Hill,PA 17011 Telephone—(717)975-9446 Fax -(717)975-2309 BShook@dplglaw.com 1. Defendant's answer to claims asserted in Plaintiffs complaint are set forth below 2. As defendant had been a customer of Kreitzer's Automotive, I did bring my Toyota Prius (VIN JTDKB20U473267149)to be looked at to see what my options for repair were. 3. During the summer of 2012, Defendant did take vehicle to Plaintiffs facility for a lube, oil and filter change, and for a Pennsylvania state safety inspection and an annual emissions inspection. 4. Defendant maintains that the bent door of the 2007 Toyota Prius was not repaired, but merely, adjusted, and further that additional damage was done to the door during said adjustment that will cost additional monies to repair. 5. The window of the door that was worked on,which functioned properly prior to the car being worked on, no longer goes down and is stuck in the up position at all times. 6. The door now always falls shut and will not stay open if not being held open. 7. Several calls were made to Kreitzer's Automotive during the summer, during which the defendant spoke to Katy,Jim Kreitzer's daughter,to request pricing on repairing the door and also to request information as to if/when the repairs could be made. Calls were never returned. 8. None of the costs of any"work" done to the door was pre-approved by the defendant. I did not find out that I was being charged for anything related to the door until I received the invoice. it was my understanding that the door was being checked for whether or not Kreitzer's was capable of repairing the door and was going to give me an estimate on what said repairs would cost. 9. in looking at the door to provide an estimate, some minor adjustments were made to the door to bend it back, but the door was not repaired, additional damage was done, and those adjustments that were made were not preapproved and no cost was discussed with me prior to making those adjustments. 10. Anything done to the door in the process of evaluating it for repair was not specifically requested by me and was done so without my knowledge or awareness of any charges; therefore, defendant is not obligated to pay for costs I did not approve. 11.The cost of the requested lube, oil and filter change is being disputed because the previous year,the defendant had purchased two Car Care Coupons for$100 each from Kreitzer's that included free oil changes. Defendant was informed that the coupon would not be honored because it was in the glove compartment of the car being serviced instead of laying on the front seat when the car was dropped off for service. 12. Defendant does not dispute the charges related to the annual Pennsylvania safety inspection and emissions test. WHEREFORE, Defendant, Michelle L. Heh respectfully requests that this Honorable Court enter judgment dismissing complaint by Kreitzer's Automotive Service and in favor of Defendant Michelle L. Heh, in the amount of$549.25,together with interest and costs of suit, minus cost of annual Pennsylvania safety inspection and emissions test. Respectfully Submitted, Michelle L. Heh, PRO SE 2145 Lambs Gap Road Enola, PA 17025 Telephone (717) 732-1956 hehmichelle@verizon.net IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,PENNSYLVANIA KREITZER'S AUTOMOTIVE SERVICE : Plaintiff 13-1136 _ NO. CIVIL TERM , ` '; VS —' :E � r-n MICHELLE L. HEH : ter-' I ` Defendant RULE 1312-1 The Petition for Appointment of Arbitrators shall be substantially in theme C:) following form: p THE PETITION FOR APPOINTMENT OF ARBITRATORS TO THE HONORABLE,THE JUDGES OF SAID COURT: Bryan W. Shook, Esquire , counsel for the plaintiff/defendant in the above action(or actions),respectfully represents that: 1. The above-captioned action(or actions)is(are)at issue. 2. The claim of plaintiff in the action is$549.25 The counterclaim of the defendant in the action is $0.00 The following attorneys are interested in the case(s)as counsel or are otherwise disqualified to sit as arbitrators: Michael J. Pykosh, Esquire WHEREFORE,your petitioner prays your Honorable Court to appoint three(3)arbitrators to whom the case shall be submitted. ?b Respec lly submitted, LL/ 1�-� 13�yAAJ C✓. / 7r�-9?S-9y'tb - (33Lo0 /A w. Corr• ORDER OF COURT ��dp(5 AND NOW, , 20 , in consideration of the foregoing petition, Esq.,and Esq.,and Esq.,are appointed arbitrators in the above captioned action(or actions)as prayed for. By the Court, KEVIN A.HESS,P.J. 4 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA KREITZER'S AUTOMOTIVE SERVICE : Plaintiff 13-1136 . NO. CIVIL TERM ....., VS .. _ ; MICHELLE L. HEH 1---- �`'` • (f) sJ , Defendant -<z c') -{r RULE 1312-1 The Petition for Appointment of Arbitrators shall be substantially in theme c-3 '" -w following form: .. --t` THE PETITION FOR APPOINTMENT OF ARBITRATORS TO THE HONORABLE,THE JUDGES OF SAID COURT: Bryan W. Shook, Esquire , counsel for the plaintiff/defendant in the above action(or actions),respectfully represents that: I. The above-captioned action(or actions)is(are)at issue. 2. The claim of plaintiff in the action is$549.25 The counterclaim of the defendant in the action is $0.00 The following attorneys are interested in the case(s)as counsel or are otherwise disqualified to sit as arbitrators: Michael J. Pykosh, Esquire WHEREFORE,your petitioner prays your Honorable Court to appoint three(3)arbitrators to dai.SO Va AtfA whom the case shall be submitted. 0r.f4 l y131) Respec lly submitted, g-"q O91P ` 134yAAJ (A. S1 oo , Esq. Covsact Peet- e13; 4-ia ORDER OF COURT 717.6175"44‘) - 2 31% 1441,1 aw.• Co' AND NOW, G1_4 /0 , 20/3 , in consideration of the foregoing petition, IrG � Esq.,and /' J :., Esq., �}1 Q1,�i8C Esq., L. :ry{ Es and �� Es are appointed arbitrators in*above-) _, captioned action(or actions)as prayed for. = C -p w r' — c: -< . C, By the Court, r— :_:�-_ , KEVIN A. S,P.J. 4/Aryan L .54 i' ('1pse5 Ata,l4ff 7/43 R- KREITZER'S AUTOMOTIVE : IN THE COURT OF COMMON PLEAS OF SERVICES, : CUMBERLAND COUNTY, PENNSYLVANIA: Plaintiff VS. CIVIL ACTION—LAW NO. 13-1136 CIVIL MICHELLE LYNNE HEN, Defendant ORDER AND NOW,this 3e` day of July, 2013,'the appointment of Marsha Sajer, Esquire, as a member of the Board of Arbitrators in the above-captioned case is VACATED. William W. Thompson,Esquire, is appointed in her place. BY THE COURT, '-K.Z4- K A, Hess, P. J. v"'Kathleen Shaulis, Esquire 7 Chairman Court Administrator :rIrn &Py Ma. leon _7/3413 C= CD C3 _0 co Kreitzer Automotive Services In the Court of Common Pleas of Cumberland Michelle L. Heh Plaintiff County,Pennsylvania No. 13 -1136 Defendant Civil Action—Law. Oath We do solemnly swear(or affirm)that we will support, obey and defend the Constitution of the United States and t 1p Constitution of his Commortw alth and that we will discharge the duties of our office with fi 'ty. Si nature Signature Signature Kathleen Shaulis Matthew Sembach William W. Thompson Name(Chairman) Name Name Shaulis Law Office Scaringi & Scaringi Salzsmann Hughes P. C. Law Firm Law Firm Law Firm P.O. BOX 1229 2000 Linglestown Road 354 Alexander Spring Road, Suite 1 Address Address Address Carlisle, PA 17013 Harrisburg,PA 17110 Carlisle, PA 17015 City, Zip City, Zip City, Zip Award We,the undersigned arbitrators,having been duly appointed and sworn(or affirmed),make the following award: (Note: If damages for delay are awarded,they shall be separately stated.) 3® Q t�s `n-lefi r� s S u .Arbitrator, dissents. (Insert name if applicable.) Date of Hearing: 9-20-13 Date of Award: 9-20-13 y (Chairman) Notice of Entry of Award Now,the c-20 day of 20 /3 , at / M.,the above award was entered upon the docket an notice thereof given by mail to the parties or their attorneys. Arbitrators' compensation to be paid upon appeal: $ ////p•.� 124�- ]��— k, By: Prothonotary Deputy OF THE PROTHOr" O 6Aii,�, 2013 SEP 2Q AM 10: 34 CUMBERLAND COUNTY PENNSYLVANIA aryam G0•s400 �2dG�- KREITZER'S AUTOMOTIVE SERVICE, •▪ IN THE COURT OF COMMON PLEAS Plaintiff •▪ CUMBERLAND COUNTY, PENNSYLVANIA v. •▪ CIVIL ACTION — LAW MICHELLE L. HEH, •▪ No.: 13-1136-CIVIL TERM Defendants PRAECIPE TO ENTER JUDGMENT ON ARBITRATION AWARD To the Prothonotary: Kindly enter judgment in the above captioned matter, in favor of Plaintiff, Kreitzer's Automotive Service, and against Defendant, Michelle L. Heh, in the amount of$435.30 plus interest and costs of suit accordance with the arbitration award dated September 20, 2013. Respectfully Subm' r•.• Date: 1r-5-- /3 Bry-�W. Shoo , Esquire ID # 203250 Dethlefs-Pykosh Law Group, LLC 2132 Market Street Camp Hill, Pennsylvania 17011 Telephone: (717) 975-9446 BShook@dplglaw.com CZ) om ' l 0/07.2 / to Z977� 2 No4i. _ /nun/ /,(7/ Kreitzer Automotive Services In the Court of Common Pleas of Cumberland Plaintiff Michelle L. Heh County,Pennsylvania No. 13 -1136 Defendant Civil Action—Law. Oath We do solemnly swear(or affirm)that we will support,obey and defend the Constitution of the United States and t Constitution of his Commonw alth and that we will discharge the duties of our office with fid 'ty. J wt. e Si nature Signature Signature Kathleen Shaulis Matthew Sembach William W. Thompson Name(Chairman) Name Name Shaulis Law Office Scaringi & Scaringi Salzsmann Hughes P. C. Law Firm Law Firm Law Firm P.O. Box 1229 2000 Linglestown Road 354 Alexander Spring Road,Suite 1 Address Address Address Carlisle, PA 17013 Harrisburg,PA 17110 Carlisle, PA 17015 City, Zip City, Zip City, Zip Award We,the undersigned arbitrators,having been duly appointed and sworn(or affirmed),make the following award: (Note: If damages for delay are awarded,they shall be separately stated.) CYC p\a∎v it l oxwcrc of gq-3 3o PlNIs r fi ard_. c-ecNs SU1 �, .Arbitrator,dissents. (Insert name if applicable.) j „t )24i7v,...1„LAJ Date of Hearing: 9-20-13 Date of Award: 9-20-13 (Chairman) // L/ Notice of Entry of Award Now,the 020 day of ,ed4,;ti� ,20 13 ,at id:3 , A .M.,the above award was entered upon the docket an notice thereof given by mail to the parties or their attorneys. Arbitrators' compensation to be paid upon appeal: $ /6•V -Ault Q. k z. Q3Y: 2. onot Deputy PtAth az'y KREITZER'S AUTOMOTIVE SERVICE, •▪ IN THE COURT OF COMMON PLEAS Plaintiff •▪ CUMBERLAND COUNTY, PENNSYLVANIA v. •▪ CIVIL ACTION — LAW MICHELLE L. HEH, •▪ No.: 13-1136-CIVIL TERM Defendants To Michelle L. Heh You are hereby notified that on November 5, 2013, the following Judgment has been entered against you in the above-captioned case. Judgment for Plaintiff in the amount of$430.30 with interest and the costs of suit. DATE: / . l / O/3 Prothon r r 4 r* I hereby certify that the name and address of the proper person(s) to receive this notice is: Michelle L. Heh, 2145 Lambs Gap Road, Enola, PA 17025 A Michelle L. Heh Por este medio se le esta notificando que el November 5, 2013, el/la siguiente Fallo ha sido anotado en contra suya en el caso mencionado en el epigrafe. Judgment for Plaintiff in the amount of$430.30 with interest and the costs of suit FECHA: Protonotario Certifico que la siguiente direccion es la del defendido/a segun indicada en el certificado de residencia: Michelle L. Heh, 2145 Lambs Gap Road, Enola, PA 17025 Abogado del Demand ante Dethlefs-Pykosh Law Gro p, L C Date: /1-S- '3 By: -B W. Shook, Esquire I D# 203250