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HomeMy WebLinkAbout13-1304 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW EQUABLE ASCENT FINANCIAL, LLC 1 1120 W Lake Cook Rd,Ste B 1 No. 13-1304 CIVIL Buffalo Grove IL, 60089 1 Plaintiff(s) 1 V. I CIVIL ACTION TERRY SLAGLE 1 438 N HANOVER ST I PRAECIPE FOR WRIT OF EXECUTION CARLISLE PA 17013-1929 1 (Money Judgment) Defendant(s) ZZ V. 1 x" F&M TRUST 214A WESTMINSTER DR CARLISLE PA 17013 Garnishees) I -a TO THE PROTHONATORY: (1) Issue writ of execution in the above matter, directed to the Sheriff of CUMBERLAND County, against TERRY SLAGLE , defendant(s) (2) and against, F&M TRUST, 214A WESTMINSTER DR, CARLISLE PA 17013 garnishee. AMOUNT DUE $1,281.87 INTEREST $19.34 f from: December 10, 2012 PLUS COSTS C�� .` Lloyd S. Markind, Esquire (ID #52507) Attorneys for Plaintiff o� Sklar — Markind 102 Browning Lane, Building B, Suite 1 Cherry Hill,New Jersey 08003 (856) 616-8710 Dated: March 22, 2013 FILE NO.: H1019663 a. s 11iyy 6 WRIT OF EXECUTION and/or ATTACHMENT COMMONWEALTH OF PENNSYLVANIA) NO 13-1304 Civil COUNTY OF CUMBERLAND) CIVIL ACTION—LAW TO THE SHERIFF OF CUMBERLAND COUNTY: To satisfy the debt,interest and costs due EQUABLE ASCENT FINANCIAL,LLC Plaintiff(s) From TERRY SLAGLE,438 N.HANOVER STREET,CARLISLE,PA 17013 (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 GARNISHEES)as follows: F&M TRUST,214A WESTMINISTER DRIVE,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$1,281.87 Plaintiff Paid$ Interest FROM DECEMBER 10,2012-$19.34 Attorney's Comm. % Law Library$.50 Attorney Paid$60.25 Due Prothonotary$2.25 Other Costs$ Date:April 3,2013 David D.Buell,Prothonotary 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 2 M --0 rn Jody S Smith 01440 -c c,1 :-o Chief Deputy Richard W Stewart ~s Solicitor cMCE OF NE SKERIFF Equable Ascent Financial, LLC Case Number Terry vs.Slagle 2013-1304 SHERIFF'S RETURN OF SERVICE 04/08/2013 01:13 PM-William Cline, Deputy,who being duly swom 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, F&M Trust, 214A Westminster Drive, South Middleton Township, Carlisle, PA 17013, Cumberland County, by handing to Terry Glass, Security Officer, 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 T lagle at 438 N Hanover Street, Carlisle, PA 17013-1929. / E Wir LIAM CLINE, DEPUTY SO ANSWERS, April 09, 2013 RbN R ANDERSON, SHERIFF tc)County&a:e S'ierif..'Feleosot,!nc. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,PENNSYLVANIA CIVIL ACTION-LAW EQUABLE ASCENT FINANCIAL, LLC : No. 13-1304 CIVIL Plaintiff VS. CIVIL ACTION TERRY SLAGLE CD Defendant n * V. CAJ --� F&M TRUST � 370 ^' 214A WESTMINSTER DR t CARLISLE PA 17013 �D 6—n Garnishee(s) ? tv D X" INTERROGATORIES IN ATTACHMENT TO: F&M TRUST ,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? I e S, 4-he de f e�,I d a h+ h eq q 'q pe lsoyllo l 61ecK,H Mr( oU0t VVi+ i FA Tru S-}- 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? N0 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? N p 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? lU 0 6. At any time after you were served did you pay,transfer or deliver any money or property 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? N 0 . Ave GUStWep- _ex�mP-HDN - $ 3Do.OD 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 0 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. N�. 9. How`much is the value of any property in your possession belonging to the defendant(s)? ' � ►� 321� . �-1 Date: March 22,2013 Lloyd S.Markind,Esquire(ID 452507) Sklar—Markind 102 Browning Lane,Building B, Suite 1 Cherry Hill,NJ 08003 (856)616-8710 FILE NO.:,111019663 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. i 613 - 95 + 3A1AV1(t 0 Y y-x- 13 1 = 012 - 72 + P��R0�1 G1gOS1 f- q--17-13 _300 - 00 - eX�MptiON AMOW, + 1 = 326 - {z 7 '-o-I-A 10 Yl V1 D 101 �01i Lloyd S. Markind, Esquire (ID #52507) Jordan W. Felzer, Esquire (ID #38670) SKLAR—MARKIND 102 Browning Lane, Building B, Suite 1 Cherry Hill,New Jersey 08003 (856) 616-8710 Attorney for Plaintiff(s) Our File Number: H1019663 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW EQUABLE ASCENT FINANCIAL, LLC : No. 13-1304 CIVIL Plaintiff C= TERM M m cu �1 VS. 2 -t '-Qrtl CIVIL ACTION -<> TERRY SLAGLE c Defendant ; V. F & M TRUST --- Garnishee(s) PRAECIPE TO DISSOLVE ATTACHMENT TO THE PROTHONOTARY: Please dissolve the attachment as to garnishee, F & M TRUST, in the above captioned action. Date: ���/ Lloyd S. Markind, Esquire (ID #52507) Jordan W. Felzer, Esquire (ID #38670) Attorneys for Plaintiff Sklar—Markind 102 Browning Lane, Bldg B, Suite 1 Cherry Hill,NJ 08003 (856) 616-8710 phone Q.5O PQ �1T7'� (856) 616-8716 fax e►aq& � a9o13� T Andrew Sklar, Esquire (ID #65332) �r W r-nCV Lloyd S. Markind, Esquire (ID #52507) zM :c- Jordan W. Felzer, Esquire (ID #38670) Sklar-Markind 102 Browning Lane, Building B, Suite 1 Cherry Hill,NJ 08003 _CD 856-616-8710 " Attorneys for Plaintiff FILE NO.: H1019663 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW EQUABLE ASCENT FINANCIAL, LLC : No. 13-1304 CIVIL Plaintiff vs. CIVIL ACTION TERRY SLAGLE Defendant PRAECIPE TO MARK JUDGMENT AGAINST DEFENDANT SATISFIED TO THE PROTHONOTARY: Kindly mark the Judgment against the Defendant in the above matter satisfied. SKLAR-MARKIND Andrew Sklar, Esquire (ID #65332) Lloyd S. Markind, Esquire (ID #52507) Jordan W. Felzer, Esquire (ID #38670) ATTORNEYS FOR PLAINTIFF Date: SHERIFF'S OFFICE OF CUMBERLAND COUNt�� i Y L ,, ii3F"ttt_: R Anderson �. E PRO i iff FtQ1 i I , "t iody S Smith of ai�rat+cf 4,d a 3 N � Chief Deputy ; �: U PB RLANf3 CQUNTy Richard W Stewart �NNSY Solicitor =.)P�„_.,r TWE St-ERIF LVANIA Equable Ascent Financial, LLC Case Number vs. Terry Slagle 2013-1304 SHERIFF'S RETURN OF SERVICE 04/08/2013 01:13 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, F &M Trust, 214A Westminster Drive, South Middleton Township, Carlisle, PA 17013, Cumberland County, by handing to Terry Glass, Security Officer, 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 Terry Slagle at 438 N Hanover Street, Carlisle, PA 17013-1929. 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. Plaintiffs attorney was able to collect$ 1,326.67 from garnishee. Plaintiff did file a praecipe to mark judgment against defendant satisfied on May 6, 2013. SHERIFF COST: $112.30 SO ANSWERS, November 05, 2013 RONNY ANDERSON, SHERIFF �. . /C. -Sr i0' c37vf S3/2 ' Cau ui= f 1 c Oscf' nc.