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HomeMy WebLinkAbout13-1697 s a � Supreme Ca nnsylvania COU leas For Prothonotary Use Only: H Docket No: Cu County The information collected on this form is used solely for court administration purposes. This form does not supplement or replace the filing and sen ice of ple adings or other papers as required by law or rul es of court. Commencement of Action: Complaint 0 Writ of Summons 0 Petition Transfer from Another Jurisdiction Declaration of Taking E Lead Plaintiffs Name: Lead Defendant's Name: R.H. DONNELLEY, INC. D /B /A DEX ONE SUCCESSOPd JOHN KERR LAW, P.C. Are money damages requested? D Yes No Dollar Amount Requested: Elwithin arbitration limits I (check one) Doutside arbitration limits Q_ N Is this a Class Action Suit? ❑ Yes IM No Is this an MDJAppeal? ❑ Yes 0 No A Name of Plaintiff /Appellant's Attorney: JAMES P. VALECKO, ESQ. PA ID #79596 Check here if you have no attorney (area Self-Represented jPro Se( Litigant) 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) CONTRACT (do not include Judgments) CIVIL APPEALS 0 Intentional 0 Buyer Plaintiff Administrative Agencies 0 Malicious Prosecution 0 Debt Collection: Credit Card 0 Board of Assessment 0 Motor Vehicle Ox Debt Collection: Other 0 Board of Elections Nuisance ADVERTISING SERVICES Dept. of Transportation Premises Liability 8 Statutory Appeal: Other 0 Product Liability (does not include ❑Employment Dispute: mass tort) 0 Slander/Libel/ Defamation Discrimination C; 0 Other: ❑Employment Dispute: Other ❑Zoning Board T 0 Other: I 0 Other: MASS TORT 0 Asbestos 0 Tobacco 0 Toxic Tort - DES 0 Toxic Tort - Implant REAL PROPERTY MISCELLANEOUS 0 Toxic Waste 0 Other: 0 Ejectment 0 Common Law /Statutory Arbitration 0 Eminent Domain/Condemnation 0 Declaratory Judgment 0 Ground Rent Mandamus [3 0 Landlord/Tenant Dispute Non - Domestic Relations 0 Mortgage Foreclosure: Residential Restraining Order PROFESSIONAL LIABLITY ❑ Mortgage Foreclosure: Commercial 0 Quo Warranto 0 Dental 0 Partition 0 Replevin 0 Legal 0 Quiet Title ❑ Other: 0 Medical 0 Other: 0 Other Professional: Updated 1/1/2011 WELTMAN, WEINBERG & REIS CO., L.P.A. r~ Attorney for Plaintiffs) BY: James P. Valecko, Esquire r `" IJ I.D. No.79596 I.D. ' E P :r 436 Seventh Avenue, Suite 1400 p 3 �J Pittsburgh, PA 15219 Phone: 412.434.7955 Fax: 412.434.7959 File # 9814072 IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION R.H. DONNELLEY, INC. D /B /A DEX ONE SUCCESSOR IN INTEREST BY MERGER TO R.H. DONNELLY PUBLISHING & ADVERTISING, INC. Plaintiff vs. Civil Action No. J .3- JOHN KERR LAW, P.C. Defendant(s) COMPLAINT AND NOTICE TO DEFEND 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 an 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 BAR ASSOCIATION 32 SOUTH BEDFORD STREET CARLISLE, PA 17013 (717) 249 -3166 - PA a' C1- #f»6ad9a? t COMPLAINT 1. Plaintiff is a corporation with offices located at 5000 College Blvd, 2nd Floor, Overland Park, KS 66211. 2. Defendant, John Kerr Law, P.C., is a professional corporation with a last known address of 5020 Ritter Road, Mechanicsburg, PA 17055. 3. Defendant entered into a Billing Agreement, hereinafter referred to as "Agreement ", as more specifically shown by Plaintiff s Agreement. A true and correct copy of the Agreement, and the terms and conditions of which were agreed upon by the parties, are attached hereto, marked as Exhibits " 1 " and "2" and made a part hereof. 4. Pursuant to Plaintiff's Account History dated June 2008 through October 2012, and at the specific instance and request of Defendant, Plaintiff provided professional advertising services to Defendant, as more specifically shown by Plaintiff's Account History. A true and correct copy of Plaintiff's Account History is attached hereto, marked Exhibit "3" and made a part hereof. 5. Defendant received and accepted the aforementioned professional advertising services which were provided by Plaintiff. 6. The prices charged by Plaintiff were fair and reasonable and were the market prices that prevailed at the time of the transactions at issue. 7. The prices charged by Plaintiff were the prices that Defendant agreed to pay. 8. Plaintiff avers that there is a balance due and owing from Defendant in the amount of $16,388.67, as is shown by Plaintiff's Account History attached hereto as aforementioned Exhibit "3" and made a part hereof. •t 9. Plaintiff avers that the Agreement between the parties provides that Defendant will pay Plaintiff's reasonable attorneys' fees. 10. Plaintiff avers that such attorneys' fees amount to $1,500.00. 11. Although repeatedly requested to do so by Plaintiff, Defendant has willfully failed and /or refused to pay the aforementioned balance, attorneys' fees or any part thereof to Plaintiff. WHEREFORE, Plaintiff demands Judgment in its favor and against Defendant John Kerr Law, P.C., in the amount of $16,388.67 with interest at the statutory rate of 6.00% per annum from the date of Judgment, plus attorneys' fees of $1,500.00 and costs. WELTMAN, WEINBERG & REIS, CO., L.P.A. - (::, V"- James P. f alecko, Esquire I.D. No.79596 436 Seventh Avenue, Suite 1400 Pittsburgh, PA 15219 Phone: 412.434.7955 Fax: 412.434.7959 File # 9814072 Jon K JQWV Fignirg Q Page,. I of C A uawtw lW is i 1 3 o -i Print Date: 09n B" ILAN t , a Customer Billing Info I@ 600153490 John M. Ken Esquire 717-766 -4006 5000 Ritter Rd Ste 202 Mm wnicsburg PA 1705 0922 f . Moatl;ly Total r Monthly Total CbtunbetsbttcgPltts CBS mntl MvatWy A Mwtc�lr -VA Value of AdvemsuV Program: /V/ $38.50 Fu , ah►eof Advow sing loam: $385.00 Mootdly Total Monthly Total Cutn6erimd C ^Ub*Vidr C54B "10 410061y Ctt ht:tiawd COOV409 Plug CMP "10 %UM W} �^7 Full Valucof Advertising Program: $383.00 1 . y F404mof Advgois" PWIMD: 538.E SALES OFFICE TELEPHONE. 717 -243- ,6931 SALES OFFICE FAX NUMBER.: SALES OFFICE ADDRESS: JU2 "mmcrcg Avenue lisle PA 11015 SALES REP: MICHAEL SGRIGNOL t HAVE RWOM A CUPY OF THE 7UM AM LM YET'1ObS WHM WEMMMUMMTOMA AU t7wptlt W WM AG UDY TJI#is - YOI; lI�67ilCA[ �tOyM1�DGFAt�ATHA� 'It1YOGHAV$�AI�It�'FJiBf.�!' Q1FY�1R .: #BOYR.[2tYttt%iLIFT I�ADM1D1�i, T .>AEIAGIVIIaY'f7i>�TfRA1pAMCgp� 11�. Y ld 11iBfi8lCgltB�f' 11R�A' 1• t1�llR, �f�," df�TPL '4#1111dGES.IA!lt.#SS11IiRl�: ..: �Al�t��'� T�,rA19Qttl��8�t'��'>��1tiAir j 111tIiIII'J1��- UiB LIAit1.[ t1' 7ib1'# 1Rr# a�Ml `WtGI"A>�PRHI'4��'�.�1>f,RFt' Customer AtBhotatjlop ^. y{ Custowr lt3ttte >wd " n � Icar3tt ar 2aipukeatat YMI*UJ.N9 717. f 11N AI<" i+1 iAwo."a, -.41 II I AP . SpI (w JBJ AMQtloWiUS+ tn"}> 1tp'A a1�1 I 'IG h f"Ik` �. 7AOt t'► !� Ml 1i�1(4,i53 7�M. t Dex Media de Customer Authorization And Summary Form Customer Billing Information : ('10 J Billing Account Number: ( L) - > 1 ?> q( Billing Telephone Number: 7I � 7 Billing Account Name: i� 3 t 5, -, Billing Address: PRODUCT NAME PRODUCT CODE ISSUE DATE MONTHLY BILLING PRODUCT NAME PRODUCT CODE START i END MONTHLY BILLING TOTAL MONTHLY BILLING V I HAVE RECEIVED A COPY OF THE TERMS AND CONDITIONS WHICH WERE PROVIDED TO ME AND ARE INCORPORATED INTO THIS AGREEM CENTIRE THIS REFERENCE. YOU HEREBY ACKNOWLEDGE AND AGREE THAT (1) YOU HAVE REVIEWED AND ACCEPTED THE DETAILED COMPONENTS OF YO ere ADVERTISIN G PROGRAM, WHICH ARE SUMMARIZED ABOVE, (2) YOU HAVE READ AND WILL BE BOUND BY THE TERMS AND CONDITIONS TO YOU, (3) WE MAY PUBLISH YOUR ADVERTISING PROGRAM 1N FUTURE EDITIONS OF THESE DIRECTORIES AT OUR THEN CURRENT UNLESS WE RECEIVE WRITTEN NOTICE FROM YOU TO NOT RENEW THIS PROGRAM, (4) THIS AGREEMENT TOGETHER WITH THE TERMS AND CONDITIONS REFLECTS THE ENTIRE AGREEMENT BETWEEN YOU AND US, AND (5) THIS AGREEMENT CONTAINS A LIMITATION OF LIABILITY PROVISION THAT LIMITS OUR UABIUTY TO THE AMOUNT YOU PAID FOR THE PARTICULAR ADVERTISEMENT OR SERVICE TO WHICH YOUR CLAIM RELATES, YOU WILL PROMPTLY RECEIVE IN THE MAIL AT THE ABOVE ADDRESS A WRITTEN CONFIRMATION OF THE DETAILED COMPONENTS OF YOUR ADVERTISING PROGRAM, IF YOU HAVE ANY QUESTIONS ABOUT THOSE DETAILS, DO NOT BELIEVE THEY REFLECT YOUR REQUESTED ADVERTISING j PROGRAM, OR DO NOT RECEIVE YOUR WRITTEN CONFIRMATION WITHIN A REASONABLE TIME, PLEASE CALL CUSTOMER CARE AT 80 422.1234 Aut razed Customer Signature Signature Date i .�- -yZmv ) Print Name Title Email 69 u` � r i I x t itstoo tizd S ;� d � an e �.. ? £ 3 % ,t w rAy— �'•b , m ±b wR, ... S , kids E.. ,1,. 3 sr � � �4d:. �•. .1 fie. e,, £ Y; & f fib. M Y R ° ja- .w ... h- slyps Qq 11, j 777,7 ae M I. 3 mat gym Y K - �Y AM z Min a � , b F � . �¢r 8 0 PA#015 eft r " r g �, ... Y ex: u 9 8tgrr�er Author�iation:Andummay 4004459818' 'x bpi +���Fk,o- .�• ;.i ..t a ' -� .;. +k., ice' � ` �� u,�.'�3,, �' �`*', + E ITW �12i ,ue tt gi f• Y'b . , t§ 1 ,y1 T ri ? x' F. ` K• E< ` d r AY a {�< � rr. / ✓' ' r � r�f <:. &!ice EwtX°e'.'° d�E 3 d� _ �✓" ,xt s . K.� _ , < �' � , . •,4 "art'` i y i✓�3�Yn `" aSe X 3 F 11}All A COPY OF THE.TERMS CONDITIONS WHICH WERE PROVIDED TOME AND ARE iNGORPORATEDv /y am �Y THIS P ,N ADD n , THAT (I) YOU NAVE: RlVtE1N D AND h PMRI�AM�Wi ARE AEOVE, (2) YOU wVE READ AND WIU r V ! W MY PU PROGAI1j4 IN USRE EDITIONS OF � � YOU TQ RENELN� I5 PIIOCiRIIM (M1j a a w�. k!lTW�I YOU;ANp THAT OtIR TO EAMOUNTYOUPAIp' FORTHE'PANTICUUIR'%10VERTiSII�I ~ O 1 <.- `u� 4' WriLaP�ROOF" RECEIVE III M MI�IIL AT THE ANOYE ADDRM A- WRITTEN CON tN$ PR0GRJ4N �I IAA Ji ..m.,� • 11F AJ/1fN�M1yON . E01fTTNOS@ AILS, DO NOT rs3Y h PROGRAM, OR DO. RECEII�E , WR&ft CONFIRMATION WITHIN A N/}ELE' CALL CUSTOMER e • E!d GK Signature 14" � s Prtn FIa '— Title all Ids MN0�1�:00111 ,7 �s� i' �� � 1532 °.Carintro+�`IW�uRC�N PA 17016 � � s , r . S Advertiser Terms & Conditions 1. Definitions. These defined terms shall have the following meaning in this questions or concerns about this Order, please comact us at the toll -free IN WHICH THE ERROR OCCURREDAND IN NOWAY AFFECTS YOUR Agreement: number for our Customer Care Center on your bill or at 1- 800 - 251 -7056. PAYMENT OBLIGATION FOR ANY OTHER PRODUCTS (EVEN IF THE a. "Ads" shall mean all prim advertisements, including without limitation 6. Binding Arbitration. If Dex and Advertiser are unable no resolve any PRICE FOR THAT PRODUCT IS "BUNDLED" OR COMBINED WITH those replicated on CD -ROM, but shall not include Listings. controversy or claim related to this Agreement (each a "Dispute'), the OTHER PRODUCTS). FOR SERVICES, YOU AGREE THAT YOUR SOLE b. "Advertiser," "you," and'yrour shall mean the parry, not Dex, executing parties agree that, except for those Disputes expressly excluded below, such AND EXCLUSIVE REMEDY IS FOR US TO CORRECT THE ERROR. this Agreement. Dispute shall be finally and exclusively resolved by binding arbitration. YOU FOR PRINT ADS YOU AGREE THAT YOUR SOLE AND EXCLUSIVE a "Advertiser Content" shall mean any and ail content you provide to UNDERSTAND THAT ABSENT THIS PROVISION, YOU WOULD HAVE REMEDY FOR ANY ERROR SHALL NOT EXCEED THE FOLLOWING us, including without limitation text, names, domain names, addresses, THE R( GHTTO SUE IN COURT AND HAVE A JURY TRIAL. The arbitration DISCOUNT ON THE PRICE FOR THAT INDIVIDUAL AD: trade names, trademarks, pictures, animations, likenesses, reproductions, shall be commenced and conducted under the Commercial Arbitration Rules endorsements, data, links, graphics, software, video, music and sound. of the American Arbitration Association ("AAA "). The Arbitration shall ERROR MAX DISCOUNT d. "Agreement" shall mean the Order, that Terms and Conditions and all occur in the state in which such Ad, Listing or Service is provided unless we Ad Omitted From Print Publication IOD% exhibits, schedules, addenda and amendments attached to or executed mutually agree to another location. All Products served over the internet to Wrong Phone 8 up to 100% pursuant to. viewers in more than one state shall be deemed to have been provided in North (prorated based on how many numbers are in the Ad) e "Dex." "we." "us," and "our shall mean R.H. Donnelley Publishing Carolina. The Arbitrator shall apply the substantive law of North Carolina to Business Name Omitted up to 50% & Advertising, Inc., Publisher of the EMBARQa Yellow Pages, R.H. all arbitrations hereunder and any award may be challenged if the arbitrator Business Name Incorrect up to 25% Donnelley Publishing & Advertising of Illinois Partnership, Publisher fails to orb so. The Arbitrator shall limit any remedies to those provided in this Business Address Incorrect up to 25% of the AT &T Real Yellow Pages in Illinois and Northwest Indiana. The Agreement, including Section 7 and 9. Any party who successfully enforces Placemenv'Position (print only) up to 25% preceding publishing entities are d/W Den. this provision in court is entitled to recover attorneys' fees and costs spent. f. "Listing" means all white or yellow pages alphabetical listings of name, Dex and Advertiser agree that any arbitration shall be limited to the Dispute address and telephone numbers but does not include graphics, photos or between Dex and Advertise only. To the full extent permitted by law: (1) NO 10. INDEMNIFICATION. YOU AGREE TO INDEMNIFY, DEFEND AND lengthy descriptions. ARBITRATION SHALL BE JOINED WITH ANY OTHER: (2) THERE iS HOLD DE.X, ITS SUBSIDIARIES, AFFILIATES, OFFICERS, AGENTS, g "Order" shall mean the order for Products executed by the parties to which NO RIGHT OR AUTHORITY FOR ANY DISPUTE TO BE ARBITRATED SERVICE PROVIDERS, CO- BRANDERS, AND OTHER PARTNERS AND these Advertiser Terms arid Conditions am incorporated. ON A CLASS- ACTION BASIS OR TO UTILIZE CLASS ACTION EMPLOYEES, HARMLESS FROM ANY LOSS, LIABILITY, CLAIM OR h. "Products" shall mean, collectively, the Ads, Listings and Service. PROCEDURES; AND (3) THERE IS NO RIGHT OR AUTHORITY FOR DEMAND, INCLUDING REASONABLE ATTORNEYS' FEES, MADE BY i. "Publication" shall mean any Dex print or online directory in which a ANY DISPUTE TO BE BROUGHT IN A PURPORTED REPRESENTATIVE ANY THIRD PARTY DUE TO OR ARISING OUT OF (a) ANY CONTENT Product appears. CAPACITY ON BEHALF OF THE GENERAL PUBLIC OR ANY OTHER YOU SUBMIT, MAKE AVAILABLE OR IDENTIFY TO DEX; (b) YOUR j. "Services" shall mean all products and services furnished pursuant to this PERSONS. You and we agree that the following Disputes are not subject to VIOLATION OFTHIS AGREEMENT, ANY APPLICABLE LAWS, OR THE Agreement other than Listings and Ads. the above provisions concerning binding arbitration: (1) any Disputes seeking RIGHTS OFANY THIRD PARTY; (c)ANY ACTOR OMMISSION OFYOU 2. Scope. This Agreement applies to any and all Products to enforce or protect, or concerning the validity of, any of Dex's intellectual OR YOUR EMPLOYEES, AGENTS OR CONTRACTS iN CONNECTION requested by or furnished to Advertiser pursuant to the Order. property rights (including without limitation patents, trademarks, trade secrets WITH THIS AGREEMENT OR THE PRODUCTS. and copyrights); (2) any claims Dex may have to collect amounts owed by 11. Domain Registration. We will register, own and maintain any Uniform 3. Automatic Renewal. We may automatically renew your Products listed on Advertiser: and (3) arty claim for injunctive relief. Resource Locator ( "URL" ), website or domain that we provide pursuant to this the Order for successive Terms unless you notify us in writing at least thirty 7. LIMITATION OF LIABILITY. TO THE MAXIMUM EXTENT Agreement. We canna guarantee that any URLs or domain names you request (30) days before: (1) the sales close date of the next issue of the Publication PERMITTED BY LAW, DEX DISCLAIMS ALL LIABILITY, WHETHER are available for your use. If you request that we use your existing domain, you for Ads or (2) the anniversary of the start date of your Services. The sales close BASED IN CONTRACT, TORT (INCLUDING NEGLIGENCE), STRICT agree to transfer management of the domain to a registrar or hosting service date for each Publication and the start date of your Service are available from LIABILITY OR OTHERW iSE,AND FURTHER DISCLAIMS ALL LOSSES. we designate. if the URL cannot be transferred or you fail to take the action we your sales representative or by calling our Customer Care Center. The cost of INCLUDING WITHOUT LIMITATION INDIRECT. INCIDENTAL. request to cause the transfer, then we may choose a URL or detrain name on any automatically renewed Ad or Service will be our then- current standard CONSEQUENTIAL, SPECIAL OR EXEMPLARY DAMAGES ARISING your behalf. In the event a third party disputes your use of a domain name, we published rates unless otherwise agreed in writing. OUT OF OR iN ANY WAY CONNECTED WITH THIS AGREEMENT may in our sole discretion transfer the domain tame to the third party, to you 4. Term. Subject to automatic renewal as defined in Section 3, the initial term AND /OR THE PRODUCTS, EVEN IF DEX HAS BEEN ADVISED OF or to an escrow account. of an Ad under This Order covers one issue of a Publication. For Services, THE POSSIBILITY OF SUCH DAMAGES. WITHOUT LIMITING THE 12. Payment Tetras. We may require advance payment in full or in part prior to the initial term is one year from when we provide the Service or as otherwise ABOVE. DEX'S AGGREGATE LIABILITY ARISING OUT OF OR IN providing any Products, and you authorize us to review your credit history to agreed to on the Order Charges are not pro - rated: if you cancel a Product or CONNECTION WITH THIS AGREEMENT AND/OR THE PRODUCTS determine whether advance payment is required. Payment, including taxes, is we suspend a Product as a result of your breach of this Agreement, you must SHALL IN NO EVENT EXCEED, THE AMOUNT YOU AGREED TO PAY due upon receipt of an invoice. Payments received more than thirty (30) clays still pay for that Product until the end of the Term of the corresponding Order. FOR THE PRODUCT GIVING RISE TO THE LIABILITY. after the invoice date will incur interest charges from the invoice date at the We may extend or reduce by top to six months the issue period of a Publication. 8. CONTENT REVIEW WARRANTY. YOU WARRANT THAT YOU lesser of 1.5% per month or the maximum legal rate. We may apply payments If the issue period of a Publication is extended, charges for the Products will WILL REVIEW ALL PRODUCTS IMMEDIATELY UPON THE EARLIER from you, or monies owed to you, toward amounts owed under this Agreement continue though the extended period. If the issue period is reduced, charges OF (A) WHEN PRESENTED TO YOU BY DEX FOR REVIEW; OR (B) or any other agreement you have with us. will stop at the end of the reduced perks!. IMMEDIATELY AFTER PUBLICATION- AND TO NOTIFY US IN 13. Dex's Remedies. If you fail to meet any obligation set forth in this Agreement S. Termination. WRITING OFANY ERROR IMMEDIATELY UPON DISCOVERY. or any other agreement with us, fail to make a payment when due, or breach a. L_ igjW. Listings can only be revised or terminated by contacting your 9. ERRORS; EXCLUSIVE REMEDY. YOU UNDERSTAND AND AGREE any representation or warranty, we may (i) declare the remaining balance local telephone company. Dex is not responsible for the content of THAT ERRORS MAY OCCUR IN THE PROVISION OF A PRODUCT'. of any or all Orders immediately due and payable: (ii) stop providing the Listings. ONCE PRINT PUBLICATION IS PUBLISHED, IT IS PROHIBITIVELY Pnxlucts; (iii) retroactively revoke any discounts extended to you under any b- Ads and Services To cancel art Ad, your notice must be in writing and EXPENSIVE TO CORRECT AN ERROR, AND YOU HEREBY WAIVE Order or any other agreement. (iv) recover our costs in pursuing the remedies q received by us at least thirty (30) days before the sales close date of the ANY RIGHT TO RETRACTION, CORRECTION AND /OR RE. provided herein, including agency and attorneys fees; (v) terminate Publication listed on the Order. To cancel a Service, your notice must be PUBLICATION. THE PRICE FORTHE PRODUCTS PROVIDED ASSUMES this Agreement without liability: and/or (vi) pursue any other available legal in writing and received by us at least thirty (30) clays before the start date THE ENFORCEABILITY OF THIS PROVISION AND REFLECTS A or equitable remedies. If we receive notice from another party contesting your of the Service listed on your Order. REASONABLE ALLOCATION OF RISK BETWEEN THE PARTIES. right to use or display a name, trademark, service mark or other content, in tHltast C. Nofi arrow To Contactw All notices, including tennination notices to IF AN ERROR OCCURS THAT SUBSTANTIALLY DIMINISHES THE addition to the remedies above. we may, without liability to you, cancel or us, must be in writing and mailed by U.S. mail or overnight carrier to: VALUE OF AN AD. LISTING OR SERVICE. YOU AGREE THAT THE reject the Products until you have resolved the dispute with the other party to RHD, Customer Care, t615 Bluff City Highway, Bristol. TN 37620. For ERROR ONLY AFFECTS THE VALUE OF THE INDIVIDUAL PRODUCT our satisfaction. Feb 2009 14. No Limiting Endorsements. You agree not to include any limiting display the Products. or other information about your business, in publications, ANY ERRORS IN THE PRODUCTS, OR FOR ANY ACTIONS TAKEN endorsement on a check or other form of payment. We may cash a check promotional materials and internet media nor otherwise referenced in the IN RELIANCE THEREON. DEX DOES NOT WARRANT THAT THE containing a limiting endorsement without affecting your obligations or our Order. You are solely responsible toregisterandpnxect anycopyrightsorother PRODUCTS WILL BE AVAILABLE, UNINTERRUPTED, OR ERROR - rights. rights you may have in the Advertiser Content. You acknowledge that you have FREE. 15. Editorial Control. We reserve the sole right to determine the design. content, directed us to other resources that provide information about your business and 2$. Privacy Policy. You agree to post a Privacy Policy on your website that size, geographic coverage and appearance of our Publications and how. where, we may use that information for the purposes of providing the Products. You discloses the personally identifiable and other information you collect, how how many and when they are published, provided. reissued and displayed. We agree that Dex may copy all or portions of your website at any time during the you use this information, who you share this information with, and how you reserve the right, but do not assume the obligation, to review the content you term of this Agreement for purposes of creating and/or delivering a Product safeguard this information. submit, make available or identify to Der. Any content you provide, make hereunder, including without limitation gathering information and content for 26. Miscellaneous. available or identify to Des shall comply with our Privacy Policy, Website inclusion in any Product. a. Governing Law. Subject to Section 6, this Agreement shall be governed Terms of Use. Code of Conduct, and Editorial Guidelines which may be 22. Usage Information, For the purpose of collecting information related to the by the laws of the State of North Carolina without reference to conflicts updated from time to time and other policies we may develop that are posted usage of your Ads and Services, we reserve the right to place one or more of laws rule& if any portion of Satan 6 is for any reason deemed on www.dexknows.com. we reserve the right to modify, cancel or reject an Ad tracking telephone numbers and tracking URLs in your Ads and Services unenforceable, or if a particular dispute is excluded by Section 6, you or Service or any portion thereof at any time for any reason or no reason. even (the ' Tracking Number(sl and ' Tracking URUO respectively). The agree that any and all legal actions or proceedings arising out ofor relating if the content was previously accepted. Tracking Number(s) will replace any other telephone number(s) in the Ads to this Agreement shall be brought exclusively in a federal or state court of 16. Ad and Service Placement. We do not guarantee the placement or positioning and Services. We will select the Tracking Number(s) and Tracking URL(s) competent jurisdiction located in Wake County. North Carolina, and you of any Product or other content on any page, heading or website and will in our sole discretion, and we do not guarantee a specific telephone number expressly consent to thejurisdiction of those courts. not provide any adjustments. We reserve the right to determine in our sole or URL. You acknowledge that the Tracking Numbers and Tracking URLs b. Force Majeure. Dex shall not be liable for any delay or failure to perform discretion the placement and positioning of any Product or other content. The may not be free of error at all times, and notwithstanding any other provision resulting from causes outside the reasonable control of Der such as acts of placement and position of a Product or other content may be altered by service in the Agreement, you release us from all liability of any kind related to an God, war, terrorism, riots, embargoes, acts of civil or military authorities, providers, search engines or the operation of the interact error in a Tracking Number or Tracking URL. You agree our to use, or allow fire, floods, accidents, strikes, or shortages oftransportation facilities, fuel, 17. Product Availability. Our acceptance of an Order for any limited inventory the use of, the Tracking Number(s) and Tracking URL(s) in any advertisement energy, labor or materials. product such as covers, tabs, tiles and banners is subject to availability of that or for any purpose other than in the Ads and Services. We also may collect c. Severability. If any provision of this Agreement is found by a court of product. If a Product is discontinued by us or otherwise becomes unavailable, information related to the usage of your Ads and Services without the use of a competent jurisdiction to be invalid, the court shall try to give effect to the then at our sole discretion we may substitute a Product of comparable value or Tracking Number or Tracking URL. We are the sine owner of all of the usage parties' intentions as reflected in such provision, and all other provisions refund any advance payments. information generated by the Tracking Number(s). Tracking URL(s), and other of this Agreement shall remain in full force and effect 18. Proofs. We do not guarantee that we will provide you advance copy sheets or methods (the " Usaee Information "), including without limitation the source d. Assignment. You may not assign any of your rights or obligations without proofs of a Product prior to publication. However, if they are provided in time and number of calls and Internet traffic. We may use the Usage Information our prior written consent; provided however, that such consent shall not be for modifications, you must notify us in writing immediately of any changes/ for research and promotional purposes. We do not guarantee any specific required in connection with the sale of all your assets or shares of capital errors. Colors, pho ms, typeface or graphics may appear differently in proofs results from the Ads and Services, including wiihnut limitation the source and stock or other ownership interests (so long as you provide written notice of than in the actual Product. number of calls and Internet traffic. If any payments for Ads or Services are such sale to us). In the event of any assignment allowed by the preceding 19. Search Engine Service. If you ordered a search marketing Service ("Search conditioned upon one or more types of Usage Information. then we reserve the sentence both you and your assignee shall be jointly and severally liable Service') we will bill you in equal monthly installments during the term, right in our sole discretion to measure or calculate such Usage Information. fa the timely performance ofyour obligations. We shall have the sole right except as otherwise provided in the Order. Search Services are customized 23. Warranties. You represent and warrant-. (a) that you are authorized to advertise to assign our rights and obligations under this Agreement. Any purported and results can be inconsistent We do not guarantee (a) the identity of the and publicly display the requested business, product or service and all Advertiser assignment made in violation of this provision shall be null and void. search engine(s) or other vendors we will use to fulfill your Search Service; Content, (b) that the Advertiser Content is truthful and nth misleading, (c) that e. Entire Agreement. This Agreement constitutes the entire agreement (b) the source or quality of any leads, clicks, calls, search or other actium you are in compliance with all laws and licensing requirements relating in any between you and us and supersedes all prior agreements, whetter obtained through your Search Service ("Actions "); (c) that you will receive manner to the goods or services displayed or to your advertisement. (d) that express or implied, written or oral, with respect to the Products. This Actions consistently throughout the Term: or (dl the number of Actions you you have and will maintain all professional licenses, degrees or specialties Agreement may not be amended tax may any obligations be waived, will receive. If you disable your website or otherwise impair our ability to appearing in your Products; (e) that the Products. as reviewed by you. comply except in writing signed by you and ter. Our sales representatives are not provide the Actions, you still are responsible for payments for de term of the with the regulations for your business(profession: (f) that you have and will authorized to amend this Agreement. You warrant that you arc not relying Search Services set forth in the applicable Order. maintain all governmental licensing requirements tor the business advertised oil any oral or written representations or promises not included in this 20. License for Advertiser Content. 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You agree that telephone conversations between you and us posting, identification or making available of the Advertiser Content is in DEXMAKESNOWARRANTYASTOTHEACCURACY.COMPLETENESS may be monitored and recorded . compliance with this Agreement. You acknowledge that we do not verify. OR RELIABILITY OF ANY PRODUCTS. YOU ARE RESPONSIBLE FOR g Electronic Acceptance. If available, you may accept this Order by adopt, ratify, or sanction Advertiser Content, and you agree that you must VERIFYING AND REVIEWING YOUR PRODUCTS PRIOR TO AsNY electronic signature, including recorded oral acceptance, in accordance evaluate, and tear all risks associated with Advertiser Content PUBLICATION. NO STATEMENTS OR INFORMATION. WHETHER with our approved format. Such oral acceptance stall be deemed a 21. Other Rights. With the exception of any Advertiser Content, all tangible ORAL OR WRITTEN. OBTAINED BY YOU FROM DEX OR THROUGH signature pursuant to to ESIGN Act. and intangible works of any kind in whatever firm or media created by us in OR FROM THE DEXKNOWS.COM WESSITE SHALL CREATE ANY connection with this Agreement will be our sole and exclusive property. You WARRANTY NOT EXPRESSLY STATED HEREIN. NEITHER DEX NOR agree that we may, in our sole discretion and at no extra cost to you, publish or ANY OF ITS DATA OR CONTENT PROVIDERS SHALL BE LIABLE FOR Feb 2009 I e. �. Client Care 1615 Bluff City Highway Bristol, TN 37620 Name: John M. Kerr Esquire Phone: 800 - 251 -7056 Phone: 717-766-4008 Account: 600153490 Report Date: 1013112 Reporting Period: June 2008 - October -2012 Billing Cycle: 4 ACCOUNT HISTORY Activity June -20 08 Activity Date Directory Payment Detail Amount Beginning Balance $295.00 Advertising Charges 06104/2008 Cumberland Countywide- Apr -2008 $295.00 Payment 06/02/2008 CK# -1156 ($295.00) Closing Balance $295.00 Activity Amount July -2008 Activity Date Directory Payment Detail - Beginning Balance $295.00 Advertising Charges 07/02/2008 Cumberland Countywide - Apr -2008 $295.00 Late Charges 07/02/2008 $4.43 Closing Balance $594.43 x now You can now view and print your monthly invoices online with Dex e-Bill at www.Dex0neeBill.com ' The information in this account summary is provided for informational purposes only. Customers remain responsible for payment of the full amount specified on their monthly Dex billing statement(s). In the event of a discrepancy between your monthly billing statement and this account summary, please call 1- 800 - 251 -7058. Account # 600153490 Page 1 of 16 August -2008 Activity Activity Date Directory Payment Detail Amount - Beginning Balance $594A3 Advertising Charges 08/04/2008 Cumberland Countywide - Apr -2008 $295.00 Late Charges 08/04/2008 $4.50 Payment 07/14/2008 CK# -1185 ($295.00) Closin Bal $598.93 Activity September -2008 Activity Date Directory Payment Detail Amount Beginning Balance $598.93 Advertising Charges 09/04/2008 Cumberland Countywide - Apr -2008 $295.00 Late Charges 09/04/2008 $4.50 Payment 08129/2008 CK# -1221 ($299.43) Closing Balance $599.00 Activity October -2008 Activity Date Directory Payment Detail Amount Beginning Balance l- $599.00 Advertising Charges 10/04/2008 Cumberland Countywide - Apr -2008 $295.00 Late Charges 10/04/2008 $4.43 Payment 09/24/2008 CK# -1236 ($304.00) Closing Balance $594.43 Activity November -2008 Activity Date D irectory Payment Detail Amount Beginning Balance $594.43 Advertising Charges 11/04/2008 Cumberland Countywide - Apr -2008 $295.00 Late Charges 11/04/2008 $8.93 Closing Balance $898.38 ' You can now view and print your monthly invoices on -line with Dex e-Bill at www.DexOneeBill.com The information in this account summary is provided for informational purposes only. Customers remain responsible for payment of the full amount specified on their monthly Dex billing statement(s). In the event of a discrepancy between your monthly billing statement and this account summary, please call 1- 800 - 251 -7056. Account # 600153490 Page 2 of 16 Activity Amount December -2008 Activity Date Directory Payment Detail Beginning Balance $898.36 Advertising Charges 12/04/2008 Cumberland Countywide - Apr -2008 $295.00 Late Charges 12/0412008 $9 Payment 11/10/2008 CK# -1304 ($295.00) Closing Balance $907.42 Activity Jan Activ date Directory Payment Detail Amount Beginning Balance - y~ T $907.42 Advertising Charges 01/04/2009 Cumberland Countywide - Apr -2008 $295.00 Late Charges 01/04/2009 $13.63 Closing Bala $1,216.05 Activity February-2009 Activity Date Direct Payment Detail Amount Beginning Balance _- - $ 1,216.05 Advertising Charges 02!04 /2009 Cumberland Countywide - Apr -2008 $295.00 Late Charges 02/04/2009 $18.26 Clo sing Bal $1,529.31 Activity March -2009 Activity Date Directory Payment Detail Amount Beginning Balance $1,529.31 Advertising Charges 03/04/2009 Cumberland Countywide - Apr -2008 $295.00 Late Charges 03/04/2009 $9.33 Payment 02/23/2009 CK# -1368 ($907.42) Closing Balance $926.22 You can now view and print your monthly invoices on -line with Dex e-Bill at www.DexOneeSif.com The information in this account summary is provided for informational purposes only. Customers remain responsible for payment of the full amount specified on their monthly Dex billing statement(s). in the event of a discrepancy between your monthly billing statement and this account summary, please call 1 -800- 251 -7056. Account # 600153490 Page 3 of 16 April-2009 Activity Activity Date Directory Payment Detail Amount Beginning Balance $926.22 Advertising Charges 04/04/2009 Cumberland Crityvvide Plus - Apr-2009 $31.50 Advertising Charges 04104/2009 Cumberland Countywide - Apr-2009 $313.00 Late Charges 04/0412009 $4.57 Payment 03/16/2009 CK# -1388 ($621.89) Closing Balance $653.40 Activity May-2009 Activity Date Directory Paymeni Detail Amount Beginning Balance $653.40 Advertising Charges 05/04/2009 Cumberland CntyWde Plus - Apr-2009 $31.50 Advertising Charges 05/04/2009 Cumberland Countywide - Apr-2009 $313.00 Late Charges 05/0412009 $5.24 Payment 04123/2009 CK# -1432 ($304.33) — Closing wBalance - - -------- - $698.81 Activity June-2009 Activity Data Directory Payment Detail Amount Beginning Balance $698.81 Advertising Charges 06/0412009 Cumberland Cntywide Plus - Apr-2009 $31.50 Advertising Charges 06/04/2009 Cumberland Countywide - Apr-2009 $313.00 Late Charges 06/04/2009 $5.25 Payment 05/28/2009 CK# -1468 ($349.07) Closing Balance $699.49 You can now view and print your monthly Invoices on-line with Dex e-Bill at www.DexOneeBig.com The information in this account summary is provided for informational purposes only. Customers remain responsible for payment of the full amount specified on their monthly Dex billing statement(s). In the event of a discrepancy between your monthly billing statement and this account summary, please call 1-800.251-7056. Account # 600153490 Page 4 of 16 Activity July -20 Activ Date Directory Payment Detail Amount , Beginning Balance $699,49 Advertising Charges 07104/2009 Chambersburg - Jul -2009 $150.00 Advertising Charges 07/04/2009 Chambersburg Plus - Jul -2009 $15.00 Advertising Charges 07/04/2009 Cumberland Cntywide Plus - Apr -2009 $31.50 Advertising Charges 07/0412009 Cumberland Countywide - Apr -2009 $313.00 Late Charges 07/04/2009 $5.25 Payment 06/23 /2009 CK# -1494 ($349.74) Closing Balance $864.50 Activity August -2009 Activity D Directory Payment Detail Amount Beginning Balance $664,50 Advertising Charges 08/04/2009 Chambersburg - Jul -2009 $150.00 Advertising Charges 08/0412009 Chambersburg Plus - Jul -2009 $15.00 Advertising Charges 08/04/2009 Cumberland Cntywide Plus - Apr -2009 $31.50 Advertising Charges 08/04/2009 Cumberland Countywide - Apr - 2009 $313.00 Late Charges 08/04/2009 $12.98 Closing Balance $1,386.98 Activity September -2009 Activity Dat Di recto ry Payment Detail Amount Beginning Balance $1,386.98 Advertising Charges 09/04/2009 Chambersburg - Jul -2009 $150.00 Advertising Charges 09/04/2009 Chambersburg Plus - Jul -2009 $15.00 Advertising Charges 09/04/2009 Cumberland Cntywide Plus - Apr - 2009 $31.50 Advertising Charges 09/04/2009 Cumberland Countywide - Apr -2009 $313.00 Late Charges 09/04/2009 $10.40 Payment 08/25/2009 CK# -1533 ($693.49) Closing Balance $1,213.39 You can now view and print your monthly invoices on-line with Deft e-Bill at www.DexOneeBill.com The Information in this account summary is provided for informational purposes only. Customers remain responsible for payment of the full amount specified on their monthly Dex billing statement(s). In the event of a discrepancy between your monthly billing statement and this account summary, please call 1- 800 -251 -7056. Account # 600153490 Page 5 of 16 Activity October -2009 Activity Date Directory Payment Detail Amount Beginning Balance $1,213.39 Advertising Charges 10/04/2009 Chambersburg - Jul -2009 $150.00 Advertising Charges 10/04/2009 Chambersburg Plus - Jul -2009 $15.00 Advertising Charges 10/04/2009 Cumberland Cntywide Plus - Apr -2009 $31.50 Advertising Charges 10104/2009 Cumberland Countywide - Apr -2009 $313.00 Late Charges 10/04/2009 $18.21 Closing Balance $1,741.10 Activity Nov -2009 Activity Date Directory Payment Detail Amount Beginning Balance J� $1,741.10 Advertising Charges 11/04/2009 Chambersburg - Jul -2009 $150.00 Advertising Charges 11/04/2009 Chambersburg Plus - Jul-2009 $15.00 Advertising Charges 11104/2009 Cumberland Cntywide Plus - Apr -2009 $31.50 Advertising Charges 11/04/2009 Cumberland Countywide - Apr -2009 $313.00 Late Charges 11/04/2009 $26.13 Closing Balance $2,276.73 Activity December -2009 A ctivity Date Directory Payment Detail Amount Beginning Balance $2,276.73 Advertising Charges 12/04/2009 Chambersburg - Jul -2009 $150.00 Advertising Charges 12/04/2009 Chambersburg Plus - Jul -2009 $15.00 Advertising Charges 12/04/2009 Cumberland Cntywide Plus - Apr -2009 $31.50 Advertising Charges 12/04/2009 Cumberland Countywide - Apr -2009 $313.00 Late Charges 12/0412009 $23.77 Payment 11/1712009 CK# -1587 ($693.49) Closing Balance $2,116.51 You can now view and print your monthly invoices on-fine with Dex e-Bill at www.DexOneeB!11.com ' The information in this account summary is provided for informational purposes only. Customers remain responsible for payment of the full amount specified on their monthly Dex billing statement(s). In the event of a discrepancy between your monthly billing statement and this account summary. please call 1 -800- 251 -7056. Account # 600153490 Page 6 of 16 Activity January-2010 Activity Date Directory Payment Detail Amount Beginning Balance _ $2,116.51 Advertising Charges 01/04/2010 Chambersburg - Jul -2009 $150.00 Advertising Charges 01/04/2010 Chambersburg Plus -Jul -2009 $15.00 Advertising Charges 01/04/2010 Cumberland Cntywide Plus - Apr -2009 $31.50 Advertising Charges 01/04/2010 Cumberland Countywide - Apr -2009 $313.00 Late Charges 01/04/2010 $31.78 Closing Bal $2,657.79 Activity February Acti Da te Directory Payment Detail Amount Beginning Balance - - - -�� - $2,657.79 Advertising Charges 02/0412010 Chambersburg - Jul -2009 $150.00 Advertising Charges 02/0412010 Chambersburg Plus - Jul -2009 $15.00 Advertising Charges 02/04/2010 Cumberland Cntywide Plus - Apr -2009 $31.50 Advertising Charges 02/04/2010 Cumberland Countywide - Apr -2009 $313.00 Late Charges 02/04/2010 $39.91 Closing Balance $3,207.20 Activity March -2010 Activ Date Directo Payment Detail Amount Beginning Balance_ $3,207.20 Advertising Charges 03/04/2010 Chambersburg - Jul -2009 $150.00 Advertising Charges 03/04/2010 Chambersburg Plus - Jut -2009 $15.00 Advertising Charges 03/04/2010 Cumberland Cntywide Pius - Apr -2009 $31.50 Advertising Charges 03/04/2010 Cumberland Countywide - Apr -2009 $313.00 Late Charges 03/04/2010 $24.39 Payment 03/02/2010 CK# -1671 ($1,583.00) Closing Balance $2,158.09 You can now view and printyour monthly invoices on -line with Dex e-Bill at www.DexOneeBiR.com ` The information in this account summary is provided for informational purposes only. Customers remain responsible for payment of the full amount speed on their monthly Dex billing statement (s), In the event of a discrepancy between your monthly billing statement and this account summary. please call 1-800- 251 -7056. Account # 600153490 Page 7 of 16 Activity Ap -20 Activity D ate Directory Payment Detail Amount Beginning Balance _ ~ y M $2,158.09 Advertising Charges 04/0412010 Chambersburg - Jul -2009 $150.00 Advertising Charges 04 /04/2010 Chambersburg Plus - Jul -2009 $15.00 Advertising Charges 04/04/2010 Cumberland Cntywide Plus - Apr -2010 $56.00 Advertising Charges 04/04/2010 Cumberland Countywide - Apr -2010 $528.00 Late Charges 04/04/2010 $32.41 Closing Balance $2,939.50 Activity May -2010 Activity Date Directory Payment Detail Amount Beginning Balance $2,939.50 Advertising Charges 05/04/2010 Chambersburg - Jul -2009 $150.00 Advertising Charges 05/04/2010 Chambersburg Plus - Jul -2009 $15.00 Advertising Charges 05/04/2010 Cumberland Cntywide Plus - Apr -2010 $56.00 Advertising Charges 05/04/2010 Cumberland Countywide - Apr -2010 $528.00 Advertising Charges 05/04/2010 Perry County - May -2010 $164.00 Late Charges 05/04/2010 $36.13 Payment 04/09/2010 MC - 1692 ($533.51) Clos ing Balan $3,355.12 Activity June -2010 Activity Date Directory Payment Detail Amount Beginning Balance $3,355.12 Advertising Charges 06104 /2010 Chambersburg - Jut -2009 $150.00 Advertising Charges 06/04/2010 Chambersburg Plus - Jul -2009 $15.00 Advertising Charges 06 /04/2010 Cumberland Cntywide Plus - Apr -2010 $56.00 Advertising Charges 06/0412010 Cumberland Countywide - Apr -2010 $528.00 Advertising Charges 06104/2010 Perry County - May -2010 $164.00 Late Charges 06/04/2010 $50.37 Closing Balance $4,318.49 You can now view and print your monthly invoices on-line with Dex e•B81 at www.DexOneeBM.com ' The information in this account summary is provided for informational purposes only. Customers remain responsible for payment of the full amount specified on their monthly Dex billing statement(s). In the event of a discrepancy between your monthly billing statement and this account summary, please cap 1 -1300- 251 -7056. Account # 600153490 Page 8 of 16 July -2010 Activity Activity Amount Directory Payment Detail Amount Beginning Balance $4,318.49 Advertising Charges 07/04/2010 Cumberland Cntywide Plus - Apr -2010 $56.00 Advertising Charges 07104/2010 Cumberland Countywide - Apr -2010 $528.00 Advertising Charges 07/04/2010 Perry County - May -2010 $164.00 Late Charges 07/04/2010 $64.83 Closing Bal $5,131.32 Activity August -2010 Activity Date Directory Payment Detail Amount Beginning Balance $5,131.32 Advertising Charges 08/04/2010 Cumberland Cntywide Plus - Apr -2010 $56.00 Advertising Charges 08/04/2010 Cumberland Countywide - Apr -2010 $528.00 Advertising Charges 08/0412010 Perry County - May -2010 $164.00 Late Charges 08/04/2010 $77 Closing Balance $5,956.34 Activity September -2010 Activity D ate Directory Payment Detail Amount Beginning Balance $5,956.34 Advertising Charges 09/04/2010 Cumberland Cntywide Plus - Apr -2010 $56 -00 Advertising Charges 09 104/2010 Cumberland Countywide - Apr -2010 $528.00 Advertising Charges 09104/2010 Perry County - May -2010 $164.00 Late Charges 09/04/2010 $89.40 Closing Balance $6,793.74 You can now view and print your monthly invoices on -line with Dex e-Bill at www.DexOneeSil.com The information in this account summary is provided for informational purposes only. Customers remain responsible for payment of the full amount specified on their monthly Dex billing statement(s). In the event of a discrepancy between your monthly billing statement and this account summary, please call 1- 800- 251 -7056, Account # 600153490 Page 9 of 16 Activity O cto b er - 2010 Acti Date Directory Payment Detail Amount Beginning Balance $6,793.74 Advertising Charges 10/04/2010 Cumberland Cntywide Plus - Apr -2010 $56.00 Advertising Charges 10/04/2010 Cumberland Countywide - Apr -2010 $528.00 Advertising Charges 10/04/2010 Perry County - May -2010 $164.00 Late Charges 10/04/2010 $101.96 Closing Balance $7,643.70 Activity November -2010 Activity Date Directory Payment Detail Amount Beginning Balance $7,643.70 Advertising Charges 11/04/2010 Cumberland Cntywide Plus - Apr -2010 $56.00 Advertising Charges 11/04/2010 Cumberland Countywide - Apr -2010 $528.00 Advertising Charges 11/0412010 Perry County - May -2010 $164.00 Late Charges 11/04/2010 $114.71 Closing Balance $8,506.41 Activity December-2010 Activity Date Directory Payment Detail Amount Beginning Balance $8,506.41 Advertising Charges 12/04/2010 Cumberland Cntywide Plus - Apr - 2010 $56.00 Advertising Charges 12/04/2010 Cumberland Countywide - Apr -2010 $528.00 Advertising Charges 12104/2010 Perry County - May -2010 $164.00 Late Charges 12/04/2010 $127.65 Closing Balance $9,382.06 You can now view and print your monthly invoices on -line with Dex e-Bill at www.DexOneeBill.com The information in this account summary is provided for informational purposes only. Customers remain responsible for payment of the full amount specified on their monthly Dex billing statement(s). In the event of a discrepancy between your monthly billing statement and this account summary, please call 1-800 -251 -7056. Account # 600153490 Page 10 of 16 Activity January-2011 Activity Date Direct Payment Detail Amount Beginning Balance �.�.._ ...._ ___. $9382.06 Advertising Charges 01104/2011 Cumberland Cntywide Plus - Apr -2010 $56.00 Advertising Charges 01/0412011 Cumberland Countywide - Apr -2010 $528.00 Advertising Charges 01/04/2011 Perry County - May -2010 $164.00 Late Charges 01/04/2011 $51.38 Payment 12/06/2010 CK# -1870 ($5,956.34) Closing Balance $4,225.10 Activity February-2011 Activity Date Directory Payment Detail Amount Beginning Balance — ;4,226.10 Advertising Charges 02/04/2011 Cumberland Cntyvvide Plus - Apr -2010 $56.00 Advertising Charges 02/04 /2011 Cumberland Countywide - Apr -2010 $528.00 Aivertising Charges 02/04/2011 Perry County - May -2010 $164.00 Late Charges 02/04/2011 $63.37 Closing Balance $5,036.47 Activity March -201 Acti vity Date Directory Payment Detail Amount Beginning Balance $5,036.47 Advertising Charges 03/04/2011 Cumberland Cntywide Plus - Apr -2010 $56.00 Advertising Charges 03/04 /2011 Cumberland Countywide - Apr -2010 $528.00 Advertising Charges 03/04/2011 Perry County - May -2010 $164.00 Late Charges 03/04/2011 $75.54 Closing Balance $5,860.01 . You can now view and print your monthly invoices on -line with Dex e-Bill at www.DexOneeWM.com The information in this account summary is provided for informational purposes only. Customers remain responsible for payment of the full amount specified on their monthly Dex Wiling statement(s). in the event of a discrepancy between your monthly billing statement and this account summary, please call 1-800- 251 -7056. Account # 600153490 Page 11 of 16 April -2011 Activity Activity Amount Date Directory Payment Detail Beginning Balance $5,860.01 Advertising Charges 04104 /2011 Cumberland Cntywide Plus - Apr -2011 $84.00 Advertising Charges 04/04/2011 Cumberland Countywide - Apr -2011 $804.00 Advertising Charges 04/04/2011 Perry County - May -2010 $164.00 Late Charges 04/04 /2011 $57,89 Payment 03/16/2011 CK# - 000000000063282 ($2,000.00) Closing Balance $4,969.90 Activity P Detail Amount ��'tAy -2011 Activity Date Directory y Beginning Balance _ ��- ...�...m_.. $4,969.90 Advertising Charges 05/04/2011 Cumberland Cntywide Plus - Apr -2011 $84.00 :advertising Charges 05/04/2011 Cumberland Countywide - Apr -2011 $804.00 Late Charges 05/04/2011 $74.54 Closing Balance $5,932.44 Activity .:tine -2011 Activity D ate Directory Payment Detail Amount Beginning Balance — - .•__ . _ _._. _.. �__W- .__.M..,._�._W. -_ .. - $5,932.44 Advertising Charges 06/04/2011 Cumberland Cntywide Plus - Apr -2011 $84.00 Advertising Charges 06/04/2011 Cumberland Countywide - Apr - 2011 $804.00 Late Charges 06/04/2011 $88.98 Closing Balance $6,909.42 *You can now view and print your rrwythly invoices on -fine with Dex e-Bill at www.DexOneeBill.com ' The information in this acoount summary is provided for informational purposes only. Customers remain responsible for payment of the full amount specified on their monthly Dex billing statement(s)- In the event of a discrepancy between your monthly billing statement and this account summary, please call 1- 800.251 -7056. Account # 600153490 Page 12 of 16 J uly -2011 Ac tivity Activity Date Directory Payment Detail Amount Beginning Balance $6,909.42 Advertising Charges 07/0412011 Cumberland Cntywide Plus - Apr -2011 $84.00 Advertising Charges 07/04/2011 Cumberland Countywide - Apr -2011 $804.00 Late Charges 07/04/2011 $103.63 Closing Balance $7,901.05 Activity ,'august -2011 Activity Date Direc Payment Detail Amount Beginning Balance $7,901.05 Advertising Charges 08/04/2011 Cumberland Cntywide Plus - Apr -2011 $84.00 Advertising Charges 08/04/2011 Cumberland Countywide - Apr -2011 $804.00 Late Charges 08/04/2011 $118.50 Closing Balance $8,907.55 Activity September -2011 Activity Date Directory Payment Detail Amount Beginning Balance $8,907.55 Advertising Charges 09104/2011 Cumberland Cntywide Plus - Apr -2011 $84.00 Advertising Charges 09/04/2011 Cumberland Countywide - Apr -2011 $804.00 Late Charges 09104/2011 $133.60 Closin Balance $9,929.15 Activity October -2011 Activity Date D irectory Payment Detail Amount Beginning Balance $9,929.15 Advertising Charges 10/04/2011 Cumberland Cntywide Plus - Apr -2011 $84.00 Advertising Charges 10/0412011 Cumberland Countywide - Apr -2011 $804.00 Late Charges 1010412011 $148.92 Closing Balance $ 10,966.07 You can now view and print your monthly invoices on -line with Dex e-Bill at www.DexOneeEMI.com The information in this account summary is provided for informational purposes only. Customers remain responsible for payment of the full amount specified on their monthly Dex Milling statement(s), In the event of a discrepancy between your monthly billing statement and this account summary. please call 1- 800 -251- 7066. Account # 600153490 Page 13 of 16 Activity November -2011 Ac ti v ity Date Directory Payment Detail Amount Beginning Balance T $10,966.07 Advertising Charges 11/04/2011 Cumberland Cntywide Plus -Apr- 2011 $84.00 Advertising Charges 11/0412011 Cumberland Countywide - Apr -2011 $804.00 Late Charges 11/04/2011 $164.47 Closing Balance $12,018.64 Activity December -2011 Activity D ate Directory Payment Detail Amount Beginning Balance $12,018.54 Advertising Charges 12/04/2011 Cumberland Cntywide Plus - Apr -2011 $84.00 Advertising Charges 12/0412011 Cumberland Countywide - Apr -2011 $804.00 Late Charges 12/04/2011 $180.26 Closing Balance $13,086.80 Activity January-2012 Activity Date Directory Payment Detail Amount Beginning Balance _u $13,086.80 Advertising Charges 01/04/2012 Cumberland Cntywide Plus - Apr -2011 $84.00 Advertising Charges 01/04/2012 Cumberland Countywide - Apr -2011 $804.00 Late Charges 01/04/2012 $196.28 Closing Balance $14,171.08 Activity Payment Detail Amount February -2012 Activity D Dire Pa Y Beginning Balance $14,171.08 Advertising Charges 02/04/2012 Cumberland Cntywide Plus - Apr -2011 $84.00 Advertising Charges 02/04/2012 Cumberland Countywide - Apr -2011 $804.00 Late Charges 02/04/2012 $212.54 Closing Balance $15,271.62 You can now view and print your monthly invoices on -line with Dex e-Bill at www.DexOneeBill.com The information in this account summary is provided for informational purposes only- Customers remain responsible for payment of the full amount specified on their monthly Dex billing statement(s). In the event of a discrepancy between your monthly billing statement and this account summary, please call 1 -800- 261 -7066. Account # 600153490 Page 14 of 16 � Activity March-2M Activity Date cxr�u�*� Payment Detail Amount _ Beginning Balance $iS,271.62 Advertising Charges 0304/2012 Cumberland cntyvwme Plus 'Apr-zu11 s8400 Advertising Ch arges 03104/2012 Cumberland Countywide 'Apr-2O11 $KAOO | Late Charges 0310*D012 mzzeoe Current Balmnmw $ 16,388 . 67 Activity Post Bill Activity Date Directory Payment Detail An`muru Beginning Balance Current Balance � You can now view and print your monthly invoices °p«=vommex a-Bill * The information mthis account summary aprovided for informational purposes only, Customers remain responsible for pa of the full amount specified on their monthly Dex Wiling statement(s). In the event of" discrepancy ueliNevo your monthly �unostatement and this account summary, please call ^mm-2s,-7oau Account #enu15u4sm Page 1svr1a Summary of Account Activity from June 2008 - October 2012 Beginning Balance $296.00 Activity Totals (Debits) (Credits) Advertising Charges $28,696.00 Payments ($15,480.71) Taxes $0.00 Adjustments $0.00 Late Charges $2,878.38 Subtotals: $16,093.67 Account Corrections Reversals $0.00 Advance Payments" $0.00 Refunds $0.00 Other Charges & Credits $0.00 Subtotals: $0.00 Unpaid Balance as of Report Date $16,388.67 " Advance payments are not included in the Closing /Current Balance total. " You can now view and print your monthly invoices on -line with Dex e-Bill at www.DexoneeBll.com The information in this mount summary is provided for informational purposes only. Customers remain responsible for payment of the full amount specified on their monthly Dex billing statement(s). in the event of a discrepancy between your monthly billing statement and this account summary, please call 1- 800 -251 -7056. Account # 600153490 Page 16 of 16 VERIFICATION The undersigned does hereby verify subject to the penalties of 18 PA. C. S. 4904 relating to unsworn falsifications to authorities, that he /she is Mark Perkins (NAME) Collections Supervisor of R H Donnelley Inc. , plaintiff (TITLE) (COMPANY) herein, that he /she is duly authorized to make this verification, and that the facts set forth in the foregoing Complaint in Civil Action are true and correct to the best of his /her knowledge, information and belief. (S GNAT ) WWR# 9814072 SHERIFF'S OFFICE OF CUMBERLAND COUNTY , Ronny R Anderson ,a a M m a. rri-- heriff atirlr at�:a rntr�r f j ., Jody S Smith rrb cni" f C- Chief Deputy Richard W Stewart z '„4 -0 r; Solicitor OFFICE CT TwE S�.ER Fr R.H. Donnelly, Inc. d/b/a Dex One Successor In Interest by Merger to Case Number vs. John Kerr Law, P.C. 2013-1697 SHERIFF'S RETURN OF SERVICE 04/03/2013 12:25 PM- Deputy William Cline, being duly sworn according to law, served the requested Complaint& Notice by"personally” handing a true copy to a person representing themselves be the Defendant, to wit: John Kerr Law, P.C. at 5020 Ritter Road, Suite 104, Lower Allen;zr ur g, PA 17055. *LLTXM CLINE, DEPUTY SHERIFF COST: $38.00 SO ANSWERS, April 04, 2013 RbNW R ANDERSON, SHERIFF IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY,PENNSYLVANIA CIVIL DIVISION R.H. DONNELLEY, INC. D/B/A IBEX ONE SUCCESSOR IN INTEREST BY MERGER TO R.H. DONNELLEY PUBLISHING&ADVERTISING, INC. Plaintiff VS. Civil Action No, 13-1697 CIVIL , -� at- JOHN r- KERR LAW, P.C. Defendant CJ _ PRAECIPE FOR JUDGMENT BY CONSENT TO THE PROTHONOTARY: Kindly enter Judgment against Defendant,John Kerr Law, P.C., in the amount of$16,388.67 plus costs, based upon the consent of the parties. CONSENTED TO: WELTMAN, WEINBERG&REIS CO.,L.P.A. By: Attorney for f laintiff (I(L a. 4VL" I JO KERR LAW, P.C. 5020 RITTER ROAD MECHANICSBURG, PA 17055 WWR#9814072 4 9 a IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY,PENNSYLVANIA CIVIL DIVISION R.H. DONNELLEY, INC. D/B/A DEX ONE SUCCESSOR IN INTEREST BY MERGER TO R.H. DONNELLEY PUBLISHING& ADVERTISING, INC. Plaintiff vs. Civil Action No 13-1697 CIVIL JOHN KERR LAW,P.C. Defendant STIPULATION OF THE PARTIES FOR PAYMENT AND FOR THE ENTRY OF JUDGMENT BY CONSENT TO THE PROTHONOTARY: Kindly enter Judgment in favor of Plaintiff and against the Defendant,John Kerr Law, P.C.,above- named, in the amount of$16,388.67 pursuant to the Stipulation of the Parties for Payment and for the Entry of Judgment by Consent,as follows: 1. Defendant admits indebtedness to Plaintiff in the amount of$16,388.67. 2. To secure the repayment of said indebtedness,Defendant agrees that Judgment by Consent will be entered in favor of the Plaintiff and against the Defendant,John Kerr Law,P.C.,in the amount of$16,388.67 plus continuing interest thereon at the statutory rate of 6.000%per annum from the date of judgment, and costs. 3. Defendant shall make an initial payment of$700.00 by May 30, 2013 and subsequent monthly payments at a rate of$700.00 commencing on June 30, 2013 and each month thereafter through January 30, 2014. 4. Defendant shall make a payment of$1,000.00 by February 28, 2014 and subsequent monthly payments at a rate of$1,000.00 commencing on March 30,2014 and each month thereafter until the balance is paid in full. 5. All payments are to be made payable to the order of"R.H. DONNELLEY, INC." 6. The first payment due under this agreement is to be received at the offices of Weltman, Weinberg &Reis, Co.,L.P.A.,436 Seventh Avenue 1400 Koppers Building,Pittsburgh,PA 15219. All future payments are to be mailed to the offices of Weltman, Weinberg&Reis, Co., P.O. Box 5430, Cleveland, OH 44101-0430. 7. In the event of default, each payment received shall be first attributed to costs, interest and then to principal. 8. Time is of the essence of this agreement and should the Defendant fails to have in the hands of Plaintiff or Plaintiff's counsel any payment in full within five(5) calendar days of the stated due date,then Plaintiff shall be immediately free to issue Execution as well as pursue all other remedies,in law or in equity,to collect the full balance of the Judgment entered hereunder plus appropriate additional interest and costs. 9. No act or omission of the Plaintiff,nor of anyone alleged to be acting on its behalf, shall constitute a waiver, estoppel, or any other excuse for non-performance of any duty undertaken by the Defendant in this Stipulation which the parties agree is final and complete. 10. Intending to be legally bound, the parties set their hands and seals this �' day Of -'20 13 WELTMAN, WEINBERG& REIS CO., L.P.A. B James .Val cko, Esquire PA I.D. #7 96 WELT MA , WEINBERG& REIS CO., L.P.A. 436 Seventh Avenue 1400 Koppers Building Pittsburgh, PA 15219 WWR# 9814072 E PIT TIC JO KERR LAW,P.C. 5010 RITTER ROAD MECHANICSBURG, PA 17055 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION R.H. DONNELLEY, INC. DB/A DEX ONE SUCCESSOR IN INTEREST BY MERGER TO R.H. DONNELLEY PUBLISHING&ADVERTISING, INC. Plaintiff VS. Civil Action No. 13-1697 CIVIL JOHN KERR LAW,P.C. Defendant NOTICE OF JUDGMENT OR ORDER TO: ( )Plaintiff (xx)Defendant ( )Garnishee You are hereby notified that the following Order or Judgment was entered against you onu j3j, aoi3 (xx) Assumpsit Judgment in the amount of$16,388.67 plus costs. ( ) Trespass Judgment in the amount of$ plus costs. { } If not satisfied within sixty(60) days,your motor vehicle operator's license and/or registration will be suspended by the Department of Transportation, Bureau of Traffic Safety, Harrisburg, PA. (xx) Entry of Judgment of { } Court Order { ) Non-Pros ( ) Confession ( } Default ( ) Verdict ( } Arbitration { ) Award (XX) By Consent Prothonotary JOHN KERR LAW, P.C. 5020 RITTER ROAD MECHANICSBURG, PA 17055 By. PROTHONOTARY(OR DEPUTY) IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION R.H. DONNELLEY INC. D /B /A DEX ONE SUCCESSOR BY MERGER TO R.H. DONNELLEY PUBLISHING & ADVERTISING, INC. Plaintiff vs. JOHN KERR LAW, Defendant(s) INTEGRITY BANK Garnishee(s) Civil Action No. 13-1697 CIVIL P.C. sot() R(. d , ske.1 \, trt:P foss 3 1 s !Mow Ir-t -� 9PRAEdIPEE FOR WRIT OF EXECUTION TO THE PROTHONOTARY: Kindly issue a Writ of Execution in the above matter... 1. directed to the Sheriff of CUMBERLAND County: 2. against JOHN KERR LAW, P.C. , Defendant 3. against INTEGRITY BANK, , , Garnishee 4. Judgment Amount $ $16,388.67 $ ID, 79k (01 $5,600.00 Less Payments /credits received Interest Costs SUBTOTAL: Costs (to be added by Prothonotary): 0,14 Sag, °°. _ SF.coo& la it Igo. Sa << <, \p-), $ $755.71 $ $11,544.38 WELTMAN, WEINBERG & REIS CO., L.P.A. By: James P. V lecko, Esquire PA I.D. #7 596 WELTMAN, WEINBERG & REIS CO., L.P.A. 436 7th Avenue, Suite 1400 Pittsburgh, PA 15219 (412) 434-7955 4. s s. 6_, 6/1# `OP /9 W /A)r( WR N o. 9814 72 t c ryJ IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION R.H. DONNELLEY INC. D /B /A DEX ONE SUCCESSOR BY MERGER TO R.H. DONNELLEY PUBLISHING & ADVERTISING, Plaintiff vs. JOHN KERR LAW, P.C. Defendant(s) INTEGRITY BANK Garnishee(s) INC. No. 13 -1697 CIVIL PRAECIPE FOR WRIT OF EXECUTION (BANK ATTACHMENT ONLY) FILED ON BEHALF OF Plaintiff COUNSEL OF RECORD OF THIS PARTY: James P. Valecko, Esquire PA I.D. #79596 WELTMAN, WEINBERG & REIS CO., L.P.A. 436 7th Avenue, Suite 1400 Pittsburgh, PA 15219 (412) 434-7955 WWR No. 9814072 THE COURT OF COMMON PLEAS CUMBERLAND COUNTY PA DAVID D. BUELL, PROTHONOTARY One Courthouse Square • Suite100 • Carlisle, PA • 17013 (717) 240 -6195 www.ccpa.net R. H. DONNELLEY INC. D /B /A DEX ONE SUCCESSOR BY MERGER TO R.H. DONNELLEY PUBLISHING & ADVERTISING, INC. Vs. NO 13 -1697 Civil Term CIVIL ACTION — LAW JOHN KERR LAW, P.C. WRIT OF EXECUTION (Pa R.C.P. 3252) TO THE SHERIFF OF CUMBERLAND COUNTY: To satisfy the judgment, interest and costs against JOHN KERR LAW, P.C., 5010 RITTER ROAD, SUITE 1, MECHANICSBURG, PA 17055 Defendant (s) (1) you are directed to levy upon the property of the defendant (s) and to sell the defendant (s) interest therein; (2) you are also directed to attach the property of the defendant (s) not levied upon in the possession of INTEGRITY BANK, 3345 MARKET STREET, CAMP HILL, PA 17011GARNISHEE(S), as garnishee, (Specifically describe property) and to notify the garnishee that (a) an attachment has been issued; (b) except as provided in paragraph (c), the garnishee 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; (c) the attachment shall not include (i) the first $10,000 of each account of the defendant (s) with a bank or other financial institution containing any funds which are deposited electronically on a recurring basis and are identified as being funds that upon deposit are exempt from execution, levy or attachment under Pennsylvania or federal law. (ii) each account of the defendant (s) with a bank or other financial institution in which funds on deposit exceed $10,000.00 at any time if all funds are deposited electronically on a recurring basis and are identified as being funds that upon deposit are exempt from execution, levy or attachment under Pennsylvania or federal law. (iii) any funds in an account of the defendant (s) with a bank or other financial institution that total $300 or less. If multiple accounts are attached, a total of $300 in all accounts shall not be subject to levy and attachment as determined by the executing officer. The funds shall be set aside pursuant to the defendant (s) general exemption provided in 42 Pa.C.S. § 8123. 1 (3) if property of the defendant (s) not levied upon and subject to attachment is found in the possession of anyone other than a named garnishee, you are directed to notify such other person that he or she has been added as a garnishee and is enjoined as above stated. Amount Due $10,788.67 Interest $755.71 Attorney's Comm. % Attorney Paid $187.25 Date: 4/23/14 (Sea) Plaintiff Paid Law Library $.50 Due Prothonotary $2.25 Other Costs David D. Buell, Prothonotary REQUESTING PARTY: Name : JAMES P. VALECKO, ESQUIRE Address: WELTMAN, WEINBERG & REIS CO., L.P.A. 436 7TH AVENUE, SUITE 1400 PITTSBURGH, PA 15219 Attorney for: PLAINTIFF Telephone: 412- 434 -7955 Supreme Court ID No. 79596 MAJOR EXEMPTIONS UNDER PENNSYLVANIA AND FEDERAL LAW 1. $300 statutory exemption 2. Bibles, school books, sewing machines, uniforms and equipment 3. Most wages and unemployment compensation 4. Social Security benefits 5. Certain retirement funds and accounts 6. Certain veteran and armed forces benefits 7. Certain insurance proceeds 8. Such other exemptions as may be provided by law 2 SHERIFF'S OFFICE -0,*F �UMB ERAN~ COUNTY TY Ronny RAnderson FILED-OFFICE Sheriff CF THE PRO — H ON�T�. v r �Cvn »*&^ ' �` . Jody SSmKh w Z014 MAY —5 PW 3; O7 Chief Deputy Richard VStewart Solicitor O��eOFmsmem�" CUMBERLAND" COUNTY ' ' PENNSYLVANIA R.H. Donnelly, Inc. d/b/a Dex One Successor In Interest by Merger to Case Number vs. 2O13'16Q7 John Kerr Law, P.C. SHERIFF'S RETURN OF SERVICE 04/30C2014 01:17 PM- Brian Grzyboski, 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, Integrity Bank, 3345 Market Street, Camp Hill Borough, Camp Hill, RA17D11. Cumberland County, by handing to Brooke White, Customer Service Representative , 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 him/her. ThawhtcfexecuUonandnpUcetodehandantwesmai|edonyNay2. 2O14toJohnKnnLaw. RC., 5010 Ritter Road, Suite 1, Mechanicsburg, PA 17055. / R|AN [�R�/cmSK . D ( /f )( • GOANSVVERS. May 02, 2014 RONNYRANDERSON. SHER|FF . WELTMAN, WEINBERG & REIS CO., L.P.A. BY: James P Valecko, Esquire I.D. No.79596 436 Seventh Avenue, Suite 1400 Pittsburgh, PA 15219 Phone: 412.434.7955 Fax: 412.434.7959 File # 9814072 R.H. DONNELLEY INC D/B/A DEX ONE SUCCESSOR BY MERGER TO R.H. DONNELLEY PUBLISHING & ADVERTISING INC vs. Attorney for Plaintiff(s CUMBERLAND County Court of Common Pleas JOHN KERR LAW, P.C. NO. 13-1697 CIVIL and INTEGRITY BANK Garnishee(s) PRAECIPE TO DISCONTINUE ATTACHMENT EXECUTION TO THE PROTHONOTARY: Kindly marked the above matter settled, discontinued, and ended as to Garnishee(s), INTEGRITY BANK, only. WELTMAN, WEINBERG & REIS CO., L.P.A. By a e P Valecko, Esquire Attor ey for Plaintiff O 4,q 3bpd Tsbi fisc/e9d-7-7 -ift3Os9s3 Ronny R Anderson Sheriff Jody S Smith Chief Deputy Richard W Stewart Solicitor SHERIFF'S OFFICE OF CUMBERLAND COUNTY 2015 !!l 12 r1, PENNSYLVANIA, R.H. Donnelly, Inc. d/b/a Dex One Successor In Interest by Merger to vs. John Kerr Law, P.C. Case Number 2013-1697 SHERIFF'S RETURN OF SERVICE 04/30/2014 01:17 PM - Brian Grzyboski, 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, Integrity Bank, 3345 Market Street, Camp Hill Borough, Camp Hill, PA 17011, Cumberland County, by handing to Brooke White, Customer Service Representative , 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 him/her. The writ of execution and notice to defendant was mailed on May 2, 2014 to John Kerr Law, P.C., 5010 Ritter Road, Suite 1, Mechanicsburg, PA 17055. 01/08/2015 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: $99.13 SO ANSWERS, January 08, 2015 RONNY R ANDERSON, SHERIFF 3f5- /00,;- (c) oO Z (c) CountySuito Sherif': Toleosoft, Inc. THE COURT OF COMMON PLEAS CUMBERLAND COUNTY PA DAVID D. BUELL, PROTHONOTARY One Courthouse Square • Suite100 • Carlisle, PA • 17013 (717) 240-6195 www.cepa.net R. H. DONNELLEY INC. D/B/A DEX ONE SUCCESSOR BY MERGER TO R.H. DONNELLEY PUBLISHING & ADVERTISING, INC. Vs. NO 13-1697 Civil Term CIVIL ACTION — LAW JOHN KERR LAW, P.C. WRIT OF EXECUTION (Pa R.C.P. 3252) TO THE SHERIFF OF CUMBERLAND COUNTY: To satisfy the judgment, interest and costs against JOHN KERR LAW, P.C., 5010 RITTER ROAD, SUITE 1, MECHANICSBURG, PA 17055 Defendant (s) (I) you are directed to levy upon the property of the defendant (s) and to sell the defendant (s) interest therein; (2) you are also directed to attach the property of the defendant (s) not levied upon in the possession of INTEGRITY BANK, 3345 MARKET STREET, CAMP HILL, PA 17011GARNISHEE(S), as garnishee, (Specifically describe property) and to notify the garnishee that (a) an attachment has been issued; (b) except as provided in paragraph (c), the garnishee 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; (c) the attachment shall not include (i) the first $10,000 of each account of the defendant (s) with a bank or other financial institution containing any funds which are deposited electronically on a recurring basis and are identified as being funds that upon deposit are exempt from execution; levy or attachment under Pennsylvania or federal law. (ii) each account of the defendant (s) with a bank or other financial institution in which funds on deposit exceed $10,000.00 at any time if all funds are deposited electronically on a recurring basis and are identified as being funds that upon deposit are exempt from execution, levy or attachment under Pennsylvania or federal law. (iii) any funds in an account of the defendant (s) with a bank or other financial institution that total $300 or less. If multiple accounts are attached, a total of $300 in all accounts shall not be subject to levy and attachment as determined by the executing officer. The funds shall be set aside pursuant to the defendant (s) general exemption provided in 42 Pa.C.S. § 8123. 1 (3) if property of the defendant (s) not levied upon and subject to attachment is found in the possession of anyone other than a named garnishee, you are directed to notify such other person that he or she has been added as a garnishee and is enjoined as above stated. Amount Due $10,788.67 Interest $755.71 Attorney's Comm. % Attorney Paid $187.25 Date: 4/23/14 (Sea l) Plaintiff Paid Law Library $.50 Due Prothonotary $2.25 Other Costs David D. Buell, Prothonotary REQUESTING PARTY: Name : JAMES P. VALECKO, ESQUIRE Address: WELTMAN, WEINBERG & REIS CO., L.P.A. 436 7TH AVENUE, SUITE 1400 PITTSBURGH, PA 15219 Attorney for: PLAINTIFF Telephone: 412-434-7955 Supreme Court ID No. 79596 MAJOR EXEMPTIONS UNDER PENNSYLVANIA AND FEDERAL LAW 1. $300 statutory exemption 2. Bibles, school books, sewing machines, uniforms and equipment 3. Most wages and unemployment compensation 4. Social Security benefits 5. Certain retirement funds and accounts 6. Certain veteran and armed forces benefits 7. Certain insurance proceeds 8. Such other exemptions as may be provided by law TRUE COPY FROM RECOPD In Testimony whereof, I here unto set my hand and the al of said Court at Carlisle, Pa. This 0y/3 day of/ , 20 / Prothonotary 2