HomeMy WebLinkAbout13-1386 IN THE COURT OF COMMON PLEAS, CUNIBERLAND COUNTY, PENNSYLVANIA
PPI. ELECTRIC l_`TILITiES C'ORPORATION
Civil Action - In Law
Plaintiff, No
ARBITRATION
.IARREN 1 SHIELDS and
LET'S MOV'E IT. INC .
Defendants
C"I
COMPLAINT'
NOTICE
You have been sued in Court. It 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 writinq with the Court,
your defenses or objections t:: 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 ' -ae Court *.without
further notice for any money -_aimed >n the
complaint or for any other clam 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
OFFICE SET FORTH BELOW TO FIND OUT WHERE
YOU CAN GET LEGAL HELP.
CUMBERLAND COUNTY BAR ASSOCIATION
2 Liberty ,,venue
Carlisle, PA 17013-3W
(717)249 -3160
(800) 990 -91 il8
X316 Ia
IN THE COURT OF CONIMON PLEAS, CUMBERLAND COUNTY, PENNSYLVANIA
API, ELECTRIC UTILITIES CORPORATION.
Civil Action - In Law
Plaintiff, No.
S
ARBITRATION
JARREN L. SHIELDS and
LL.T'S MOVE IT, INC_
Defendant
COMPLAINT
1 . This is an action by Plaintiff, PPL ELECTRIC UTILITIES CORPORATION, to
recover dama«es from Defendant arising out 01'a vehicular collision which caused damage to
property owned by Plaintiff.
?. PPL ELECTRIC UTILITIES CORPORATION is a Pennsylvania corporation
duly organized and existing and licensed to do business as a public utility under the laws of the
Commonwealth of Pennsvlvania with a principal place of business at Two North Ninth Street,
Allentown, Pennsvlvania, 18101.
Defendant, JARREN L_ SHIELDS. is �m adult individual residing at I ;5 N.
Hanover Stree°t..ypt -t. Carlisle. Pennsylvania, IM
4 Defendant, LET'S MOVE, IT, I \C_ Pennsvlvania corporation ��vlth a
principle place of business at 401 E. Loather Street. Carlisle, Pennsylvania, 17013
5 At all times relevant hereto, Plaintiff was en in the business of furnishing,
supplying and distributing utility service to persons and businesses who requested utility service
in accordance with the Rate Schedules and General [Wle�; and Regulations of Plaintiff s Tariff
presently on file with the Public Utility Commission_
COINT I
PPL ELECTRIC UTILITIES CORPORATION VS.
JARREN L. SHIELDS
i� Defendant. JARREN L. SHIELDS, Mille operating a vehicle, collided with and
damaged property o%\ lied by Plaintiff.
Defendant negli <gently operated the v,ehicic in that he /she:
1) operated said vehicle and/or equipment at an excessive rate of speed under
the circumstances:
b) failed to have said vehicle and /K equipment under proper and adequate
control;
t1liled to keep a proper lookout.
(1) operated said vehicle and or equipment in a reckless and careless manner,
e) tailed to keep vehicle and /or equipment in the proper lane of travel,
f) failed to operate the vehicle ind/or equipment within the posted speed
limit or failed to operate tic v chicic and /or equipment at a reasonable
speed under the circumstances_
U failed to remain alert and attentive under the circumstances_
h) operated the vehicle and /or equipment without due regard for the rights,
safety and position of the plaintiff_
i) operated the vehicle and/or equipment in a manner violating the statutes of
the Commonwealth of Pcnnsvi\ ania governing the operation of vehicles
and /or equipment on public streets_ highways and roadways;
j i being negli-ent at the lair_ and
k I such other acts or omissions constituting carelessness, negligence and
recklessness may be ascertained duringy discovery or developed at the time
o tnal
Defendant, on or about .lune 25.'f> i I. <truck and damaged a utility pole and
overhead facilities owned and operated by PPL ELECTRIC UTILITIES CORPORATION at the
vicinity of Willow and Hanover Street.. Carlisle. CLImI)erlatld County, Pennsylvania.
>. Defendant's actions or inactions as set F )rth above are the proximate cause of the
damages as set for above and herein.
Plaintiff made demand on Defendant to ret)fiy the sums then due and owing to
Plaintiff; but Defendant has refused to pay Plaintiff.
I 1 Plaintiff has been damaged in the amount of $2,537.35, includinu costs and
attorneys fees.
WHEREFORE. Plaintiff, PPL ELECTRIC UTILITIES CORPORATION. a'�.emands
judgment against the Defendant in an amount of ` _,. including pre- jud < -ment and post -
judgment interest, punitive damages and delay damages as the law may allo".
COUNT II
I'M ELECTRIC UTILITIES CORPORATION VS.
LET'S MOVE IT, INC.
i 2 Paragraphs 1 through 1 1 are incorporated as referenced as if fully set forth herein.
13 At all time relevant hereto. Defendant. IT FS HOVE IT_ INC., ,va� the owner of
the chicle driven by Defendant, JARREN L. SHIELDS_ that hit the an active utili'N pole and
ov erhead facilities_
14. Defendant, LET'S N IT, I NV_ i Vicariously responsible for the actions of
its employee, agent, and representative, JARI EIAl L. SI- IIELDS.
i The aforementioned damages were the direct and proximate result of the
ne <uliuence of Defendant. LET'S MOVE IT, INC , includin <-' ne -h-ent acts and /or o,;.nissions of
Defendant as performed individually and/or by and IIII others permitted to drive their
, ,ehicle more specifically described as follows:
aj negligently entrusting, the �iforesaid vehicle to Defendant, J ARREN L.
SHIELDS:
b) negligently and carelessly tailing, to properly and adequately supervise and/or
train Defendant, JARRh,N L. Sl IIELDS, in the operation of his /her vehicle;
C) negligently and carelessly tailing to properly supervise the operation and
control of said vehicle:
d) negligently and carelessly tailing to act with due care and regard for the
, �afety of others on the streets and hi«hways;
e) violating the ordinances aml the statutes of the Commonwealth of
Pennsvlvania governfflu sate operation of motor vehicles on the streets and
highways, and
f) otherwise failing to exercise reasonable care under the circumstances.
10 As a direct and proximate result ofthe negligence of Defendant, LET'S MOVE
IT, INC., Plaintiff sustained dama(yes as described abm e.
17 Plaintiff has been dama� -)ed in thk,� amo�.m= f)I S .� 7_ );, including, costs and
attorneys fees.
\VII .RF FORt._ Plaintiff PPL ELECTRIC` C`T11.1TIES CORPORATION, demands
jud?ument a , -ainst the Defendant in an amount of `t?,5 �% >>_ including pre - judgment and post -
judgment interest, punitive damages and delay damages as the law may allow.
Respectfully submitted,
KRZYWICKI & SSOCIAT'ES, P.C.
DATED March 11. 1'01;
\1 loll V Kr" 1. quire
P O ox 50
\C\4 Hope. A 189 8
( -� 15 ) 8612-4390
,Aitornev for Plaintiff
�.ttornev I D_ 23754
VERI>' ICATI0N
Pursuant to Rule 1024 (c), 1, ANTHONY P. KRZYWICKI_, ESQUIRE. verify that I am
the attorney for Plaintiff_ in the within case; that the appropriate officers of the plaintiff are not
available within the time for servin�o the f'ore oin�,, to prop ide their verification, that 1 am
sufficiently familiar %yith the facts set forth in the foreuoinu Pleadin(", to take this veI
and that such facts are true and correct to the best of mv knowledge, information and belief,
hased upon the company's business records and matters of public record. I Understand that the
statements herein are made subject to the penalties ol' 18 Pa, Consol. Stat. Ann. � 4904 relating
to i_nsV -vorn falsification to authorities.
I \RZl , AV ICKI c ASSOCIATES, P.C.
DATED \larch I i. ?Ol;
VH -ION Z ' [C I. ESQUIRE
PPL ELECTRIC UTILITIES IN THE COURT OF COMMON PLEAS OF
CORPORATION CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
VS. CIVIL ACTION—LAW
NO. 13 - 1386 CIVIL TERM C?
JARREN L. SHIELDS and =l
LET'S MOVE IT, INC. ARBITRATION xm = rTy
Defendant
DEFENDANTS RESPONSE TO PLAINTIFFS COMPLAINT -
AND NOW comes the Defendant, Let's Move It, Inc., and responds as follows:
1) Agreed
2) Agreed
3) Agreed
4) Agreed
5) Agreed
6) Insufficient knowledge to confirm or deny
7) Insufficient knowledge to confirm or deny
8) Insufficient knowledge to confirm or deny
9) Insufficient knowledge to confirm or deny
10) Insufficient knowledge to confirm or deny
11) Insufficient knowledge to confirm or deny
12) Agreed
13) Agreed
14) Denied—Jarren Shields was not acting as an employee of Let's Move It, Inc. at
the time of the accident.
15) Denied
16) Denied
17) Insufficient knowledge to confirm or deny
NEW MATTER
18) Jarren Shields did not have a driver's license at the time of the accident. Let's
Move It, Inc. company policy strictly prohibits the operation of a company
vehicle by any unlicensed driver.
19) Let's Move It, Inc. company policy also prohibits the use of company vehicles
for personal use. The aforementioned accident occurred at approximately 4am.
Let's Move It, Inc. did not have any work activities occurring at that time.
20) Jarren Shields was found guilty of unauthorized use of an automobile and
driving under suspension in this incident by Cumberland County Court of
Common Pleas.
21) Let's Move It, Inc. did not give Jarren Shields permission to operate its'
vehicle.
WHEREFORE, defendant Let's Move It, Inc. requests that this complaint be
dismissed.
Respe lly subm' ed
Craig Schil 'ng, resident,UMove It, Inc.
ast
401 E& er Street
Carlisle, PA 17013
717.258.9033
Date
Vehicle use policy
1} The oil, water, and transmission fluid levels must be checked every day before the
start of the work day.
2) All vehicles are to be trash free at the end of the day.
3) All equipment is to be properly stored in all vehicles
4) The keys to all vehicles are to be returned to the office at the completion of the work
day.
5) All vehicles are to be parked in the appropriate parking spaces in the parking lot at the
completion of the day.
6) Company vehicles not to be used for personal business.
7) Any additional items other than company owned equipment are to be removed from
the company vehicle at the completion of the work day. Any items not removed will
be disposed of by the company and the crew last assigned to the vehicle before
removal of the items will be responsible for any and all expenses related to the
removal of the items.
8) Only employees with a valid drivers license are permitted to operate company
vehicles
9) The crew must check to assure, on a daily basis at the start of the day before leaving
the company office location,that a current registration and insurance card are in the
vehicle. The crew must also check to assure that the vehicle inspection sticker and
license plate sticker is valid.
10)Any and all vehicular accidents must be reported to office personnel immediately
following the incident. This includes any and all parking or moving violations.
11)Company vehicles are to be operated in accordance with all of the laws of the state of
operation. It is the responsibility of the driver of the vehicle to be familiar with the
laws and to observe them.
COMMONWEALTH IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
V CP-21-CR-2298-2011
CHARGE: (1)UNAUTHORIZED USE OF
AUTOMOBILE
(2)DUS (2nd or Subsequent) (SUM)
(3)ACCIDENT INVOLVING DAMAGE TO
UNATTENDED VEHICLE/PROPERTY (SUM)
JARREN LEVAR SHIELDS AFFIANT: PTL. MICHAEL W. STURM
OTN: T066675-0
IN RE: SENTENCING
ORDER OF COURT
AND NOW, this 17th day of April, 2012, the
defendant, Jarren Levar Shields, having previously appeared
in open court and tendered pleas, and now appearing for
sentence together with the Public Defender, Linda Hollinger,
Esquire, the court being in a receipt of a sentence report,
Sentence of the court on Count 1, Unauthorized Use
of an Automobile, is that the defendant pay the costs of
prosecution, and undergo probation with supervision for a
period of twenty-two months, to include at a minimum that he
complete twenty-five hours of community service, and that he
adhere to a schedule of the payments of making restitution
as shall hereinafter appear in this sentencing order, and
otherwise abide by the instructions and directions of his
probation officer.
Sentence of the court on Count 2, Driving Under
Suspension, a summary offense, is that the defendant pay the
costs of prosecution, a fine of $200 . 00, together with a CAT
Fund surcharge of $30 . 00, and an EMS assessment of $10 . 00 .
Sentence of the court on Count 3 , Accidents
Involving Damage to Unattended Vehicle or Property, a
summary offense, is that the defendant pay the costs of
COMMONWEALTH V. JARREN LEVAR SHIELDS
prosecution, and pay restitution in the amount of $1, 000 . 00
to the Borough of Carlisle, $33 , 731 . 38 in restitution to
Inservco, and $2, 972 . 37 in restitution to Let ' s Move It,
Inc .
By the Court,
Kevin . Hess, P.J.
Daniel Sodus, Esquire
Assistant District Attorney
Linda Hollinger, Esquire f
Assistant Public Defender
Probation
Victim Services
:bg
PPL ELECTRIC UTILITIES IN THE COURT OF COMMON PLEAS OF
CORPORATION CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
VS. CIVIL ACTION—LAW
NO. 13 - 1386 CIVIL TERM
JARREN L. SHIELDS and
LET'S MOVE IT, INC. ARBITRATION
Defendant
CERTIFICATE OF SERVICE
I, Craig Schilling, hereby certify t hat I did the day of
2013, cause a copy of Defendants Response To Plaintiffs Complaint
to be served upon Anthony P. Krzywicki, Esquire,by first class mail at the
following address:
P.O. Box 505
New Hope, PA 18938
Date 4 By: O&A
Craig S hil ng, Pro
401 East outher Street
Carlisle, PA 17013
717.258.9033
VERIFICATION
I, Craig Schilling,hereby swear and affirm that the facts set forth in this document
are true and correct to the best of my knowledge, information, and belief. I have
sufficient knowledge or information and belief as to the averments stated in these
pleadings, based upon my personal knowledge and information. This statement is made
subject to the penalties of 18 Pa.C.S. 4904 relating to unsworn falsification to authorities.
Date:
Craig S illin
Presiden
Let's Move It, Inc.
SHERIFF'S OFFICE OF CUMBERLAND COUNTY '
Ronny R Anderson 0.1
Sheri
ff :;a _
ktUn �tat�n6rl�, h ! }��
Jody S Smith `4 cat
Chief Deputy
a �.C-; —.
Richard W Stewart
Solicitor
PPL Electric Utilites Corporation
Case Number
vs.
Jarren Levar Shields (et al.) 2013-1386
SHERIFF'S RETURN OF SERVICE
03/21/2013 10:26 AM - Deputy William Cline, being duly sworn according to law, served the requested Complaint&
Notice by handing a true copy to a person representing themselves to be Dawn Quintero, Office
Manager,who accepted as"Adult Person in Charge"for Let's Move It, Inc. at 40 Louther Street,
Carlisle Borough, Carlisle, PA 17013.
LLIA CLI E, D UTY
03/28/2013 08:45 PM - Deputy Shawn Gutshall, being duly sworn according to law, served the requested Complaint&
Notice by"personally" handing a true copy to a person representing themselves to be the Defendant, to
wit: Jarren Levar Shields at 1101 Claremont Rd, Carlisle, PA 17013.
QA ,W TSH PUTY
SHERIFF COST: $56.00 SO ANSWERS,
April 01, 2013 RbNW RANDERSON, SHERIFF
IN THE COURT OF COMMON PLEAS, CUMBERLAND COUNTY,,PENNSYLVANIA
PPL ELECTRIC UTILITIES CORPORATION,
Civil Action -In Law
Plaintiff, No. 13-1386 Civil C"' F-0 cm
vs. 'b
ARBITRATION xr -mac
JARREN L. SHIELDS and czrs� ::0C-j
LET'S MOVE IT, INC.,
D n = C)
Defendants. DC) N .
Cn .�
PRAECIPE TO SETTLE,DISCONTINUE,AND END
TO THE PROTHONOTARY:
Kindly mark this matter Settle, Discontinue, and End against the.Defendant, Let's Move It,
Inc., without prejudice upon payment of your costs only.
KRZYWICKI& ASSOCIATES,P.C.
DATED: April 30, 2013
BY:
hony R rzy c squire
.O. Bo 05
e ope, 93-8.
5)862-439
Attorney for Plaintiff
Attorney I.D. 23754
IN THE COURT OF COMMON PLEAS, CUMBERLAND COUNTY, PENNSYLVANIA
PPL ELECTRIC UTILITIES CORPORATION,
Civil Action - In Law
Plaintiff, No. 13-1386 Civil
vs.
ARBITRATION
JARREN L. SHIELDS and
LET'S MOVE IT, INC.,
Defendants,
C-
rn0:7
=M _
PRAECIPE FOR JUDGMENT AGAINST L
DEFENDANT FOR FAILURE TO PLEAD
:zc)
To the Prothonotary:
COUNT I
PPL Electric Utilities Corporation vs.
Jarren L. Shields
Kindly enter Default Judgment in favor of Plaintiff, PPL Electric Utilities Corporation,
and against Defendant, Jarren L. Shields, for failure to plead to Plaintiff's Complaint as follows:
Amount Due: $ 1,683.60
Court Fees: $ 103.75
Service Costs: $ 150.00
TOTAL: $ 1,937.35
together with interest thereon from the date of judgment forward and all costs of this action.
11.50 po ATT-/
AbUD
I hereby certify, to the best of my knowledge and belief, as follows:
1. The true and correct address of the Plaintiff, PPL Electric Utilities Corporation, is
Two North Ninth Street, Allentown, Pennsylvania, 18101.
2. The true and correct address of the Defendant, Jarren L. Shields, is 1101 Claremont
Road, Carlisle, Pennsylvania, 17013.
KRZYWICKI& ASSOCIATES, P.C.
Dated: May 5, 2013
6B
Antho icki, Esquire
49 rt n Roa
O. ox
New Hope, PA 18938
(215) 862-4390
Attorney for Plaintiff
Attorney I.D. No. 23754
IN THE COURT OF COMMON PLEAS, CUMBERLAND COUNTY, PENNSYLVANIA
PPL ELECTRIC UTILITIES CORPORATION,
Civil Action -In Law
Plaintiff, No. 13-1386 Civil
vs.
ARBITRATION
JARREN L. SHIELDS and
LET'S MOVE IT, INC.,
Defendants.
The undersigned hereby certifies that written notice of intention to file a Praecipe for Entry of
Judgment by default against the Defendant, Jarren L. Shields, in this matter was mailed to the
Defendant after the default occurred and at least ten (10) days prior to the filing of the Praecipe
for Entry of Judgment pursuant to PA. R.C.P.237.1. True and correct copies of those notices are
attached hereto and made a part of this Certification.
KRZYWICKI& ASSOCIATES, P.C.
Dated: May 5, 2013
By:
nth ny P icki, Es
Attor or aint'
orth S oa
P.O. Box 505
New Hope, PA 1
(215) 862-4390
Attorney I.D. No. 23754
IN THE COURT OF COMMON PLEAS, CUMBERLAND COUNTY, PENNSYLVANIA
PPL ELECTRIC UTILITIES CORPORATION,
Civil Action -In Law
Plaintiff, No. 13-1386 Civil
vs.
ARBITRATION
JARREN'L. SHIELDS and
LET'S MOVE IT, INC.,
Defendants,
NOTICE
TO: Mr. Jarren L. Shields
1101 Claremont Road
Carlisle, PA 17013
You are in default because you have failed to enter a written appearance personally or by
an 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, a judgment maybe
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:
CUMBERLAND COUNTY BAR ASSOCIATION
2 Liberty Avenue
Carlisle,PA 17013
(71.7) 249-3166
(800) 990-91,08
KRZYWICKI& OCIATES, P.C.
DATE: April 23, 2013
BY:
Anthony rzy s re
P. ox 505
"I e - e, PA 189)8
(215) 862-4390
Attorney I.D. 23754
Attorney for Plaintiff
IN THE COURT OF COMMON PLEAS, CUMBERLAND COUNTY, PENNSYLVANIA
PPL ELECTRIC UTILITIES CORPORATION,
Civil Action - In Law
Plaintiff, No. 13-1386 Civil
vs.
ARBITRATION
JARREN L. SHIELDS and
LET'S MOVE IT, INC.,
Defendants.
AFFIDAVIT OF SERVICE
STATE OF PENNSYLVANIA)
ss.:
COUNTY OF BUCKS )
I, ANTHONY P. KRZYWICKI, Attorney for Plaintiff, served a true and correct copy of
the Notice of Intention to Take Default pursuant to PA. R.C.P on Defendant(s), by first
class mail on April 23, 2013.
Anthony rzy , Esquire
Att ey tiff
RZYWIC
P.O. Box 5
New Hope, PA 18938
(215) 862-4390
PA Attorney ID 923754
Sworn to and subscribed before me
this W day of_ k 2013.
lT1 QCA 113
N ARY PUB�I IC
NOTARIAL SEAL
AMY M GLASGOW
Notary Public
NEW HOPE BORO.,BUCKS CO]2016
My Commission Expires Mar 14
IN THE COURT OF COMMON PLEAS, CUMBERLAND COUNTY,PENNSYLVANIA
PPL ELECTRIC UTILITIES CORPORATION,
Civil Action -In Law
Plaintiff, No. 13-1386 Civil.
vs.
ARBITRATION
JARREN L. SHIELDS and
LET'S MOVE IT, INC.,
Defendants.
AFFIDAVIT OF NON-MILITARY SERVICE
STATE OF PENNSYLVANIA )
ss.:
COUNTY OF BUCKS )
I, ANTHONY P. KRZYWICKI, being duly sworn, according to law, deposes and states
that I am a representatives of PPL Electric Utilities Corporation, the Plaintiff herein, and as such,
state the following:
1. The Defendant, Jarren L. Shields, is not, to my knowledge, in the military or naval
service of the United States or its allies, or otherwise within the provisions of the Soldiers' and
Sailors' Civil Relief Act of 1940, as amended.
1 The Defendant, Jarren L. Shields, is more than 18 years of age and currently resides at
1101 Claremont Road, Carlisle, Pennsylvania, 17013.
3. I have ascertained the above information by perso ves ation and make this
Affidavit with due authority.
Anthon ywic squire
Sworn to and subscribed before me
this 6�b day of 2013..
NO Y PUBLIC
NOTARIAL SEAL
AMY M GLASGOW
Notary Public
NEW HOPE BORO.,BUCKStOUNTY
My Commission Expires Mar 14.,2016
SHERIFF'S OFFICE OF CUMBERLAND COUNTY
ti Ronrty R Anderson
Sheriff
Jody S Smith ,�.ksti t#'of�trar:,c,��7r46
Chief Deputy
Richard W Stewart
Solicitor ? etww 4^=F?kry�kIF�
PPL Electric Utilities Corporation
vs. Case Number
Jarren Levar Shields(et al.) 2013-1386
SHERIFF'S RETURN OF SERVICE
03/21/2013 10:26 AM- Deputy William Cline, being duly sworn according to law, served the requested Complaint&
Notice by handing a true copy to a person representing themselves to be Dawn Quintero, Office
Manager,who accepted as"Adult Person in Charge"for Let's Move It, Inc. at 470E. Louther Street,
Carlisle Borough, Carlisle, PA 17013.
1X4
AILLUAWCLINE, DEPUTY
03/28/2013 08:45 PM- Deputy Shawn Gutshall, being duly sworn according to law, served the requested Complaint&
Notice by"personally"handing a true copy to a person representing themselves to be the Defendant, to
wit: Jarren Levar Shields at 1101 Claremont Rd, Carlisle, PA 1701i3.
AW TSH PUTY
SHERIFF COST: $56.00 SO ANSWERS,
April 01, 2013 RONNJ RANDERSON, SHERIFF
ici Countg5uito Sheriff,7cl_osofl.
OFFICE OF THE CLERK OF COURT
COUNTY OF COMMON PLEAS
CUMBERLAND COUNTY COURTHOUSE * CARLISLE,PA 17013
David D.Buell
Prothonotary
TO: Mr. Jarren L. Shields
1101 Claremont Road
Carlisle, PA 17013
IN THE COURT OF COMMON PLEAS, CUMBERLAND COUNTY, PENNSYLVANIA
PPL ELECTRIC UTILITIES CORPORATION,
Civil Action - In Law
Plaintiff, No. 13-1386 Civil
vs.
ARBITRATION
JARREN L. SHIELDS and
LET'S MOVE IT, INC.,
Defendants.
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.
David D.Buell
Prothonotary
(XX) Judgment by Default
( ) Money Judgment
( ) Judgment in Replevin
( ) Judgment for Possession ab
( ) Judgment on Award of Arbitration
( ) Judgment on Verdict
( ) Judgment on Court Findings
IF YOU HAVE ANY QUESTIONS CONCERNING THIS NOTICE, PLEASE
CALL ATTORNEY FOR THE FILING PARTY:
Anthony P. Krzywicki, Esquire
KRZYWICKI& ASSOCIATES, P.C.
49 North Sugan Road
P.O. Box 505
New Hope, PA 18938
(215) 862-4390
Attorney I.D. No. 23754
IN THE COURT OF COMMON PLEAS, CUMBERLAND COUNTY,PENNSYLVANIA
PPL ELECTRIC UTILITIES CORPORATION.
Civil Action - In Law
Plaintiff, No. 13-1386 Civil t'
_a
ARBITRATION
JARREN L. SHIELDS and
LET'S MOVE IT, INC., �-
Defendants.
AFFIDAVIT OF MOTOR VEHICLE JUDGMENT
STATE OF PENNSYLVANIA)
ss.:
COUNTY OF BUCKS )
I, ANTHONY P. KRZYWICKI, Attorney for Plaintiff, verify that the above referenced
caption is due to a motor vehicle accident.
nthon . Kr wicki quir
rney fo la'
KRZYWI & ASSO ATES,P.C.
P.O. Box 505
New Hope, PA 18938
(215) 862-4390
PA Attorney ID #23754
Sworn to and subscribed before me
this day of 6M U , 2013.
t nl
NOT . Y PUBLIC
NOTARIAL'SEAL
AMY M GLASGOW'
Notary Public',
NEW HOPE BORO..-BUCKS COUNTY
FMy Commission Expires M#.14,2016
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