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HomeMy WebLinkAbout13-1668 KML LAW GROUP, P.C. is r SUITE 5000 - BNY MELLON INDEPENDENCE CENTER r 701 MARKET STREET PHILADELPHIA, PA 19106 (866) 413 -2311 J WWW.KMI.1,AWGROIIP. r r r NATIONSTAR MORTGAGE LLC NNS �'4 MWRT OF COMMON PLEAS 350 Highland Drive Lewisville, TX 75067 OF CUMBERLAND COUNTY Plaintiff vs. CIVIL ACTION - LAW PATRICIA L. JORDAN Mortgagor and Record Owner ACTION OF MORTGAGE FORECLOSURE 18 South Chestnut Street CPAL ACTION: MORTQoAm Mechanicsburg, PA 17055 WRBCL0�4U�E Defendant � � ' / l � dkv NOTICE �6 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 the Complaint and notice are served, by entering a written appearance personally or by attorney and filing in writing with the court your defenses or objections to the claims set forth against you. You are warned that if you fail to do so the case may proceed without you and a judgment may be entered against you by the Court without further notice for any money claim in the Complaint of for any other claim or relief requested by the Plaintiff. You may lose money or property or other rights important to you. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE 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 2 Liberty Avenue Carlisle, PA 17013 LEGAL SERVICES INC 8 Irvine Row Carlisle, PA 17013 717 - 243 -9400 AVISO Le han demandado a usted en la corte. Si usted quiere defenderse de estas demandas expuestas en las paginas siguientes, usted tiene veinte (20) dias de plazo al partir de la fecha de la demanda y la notificacion. Hace falta ascentar una comparencia escrita o en persona o con un abogado y entregar a la corte en forma escrita sus defensas o sus objeciones a las demandas en contra de su persona. Sea avisado que si usted no se defiende, la corte tomara medidas y puede continuar la demanda en contra suya sin previo aviso o notificacion. Ademas, la corte puede decider a favor del demandante y requiere que usted cumpla con todas las provisiones de esta demanda. Usted puede perder dinero o sus propiedades u otros derechos importantes para usted. LLEVE ESTA DEMANDA A UN ABOGADO IMMEDIATAMENTE. SI NO TIENE ABOGADO O SI NO TIENE EL DINERO SUFICIENTE DE PAGAR TAL SERVICO. VAYA EN PERSONA O LLAME POR TELEFONO A LA OFICINA CUYA DIRECCION SE ENCUENTRA ESCRITA ABAJO PARA AVERIGUAR DONDE SE PUEDE CONSEGUIR ASISTENCIA LEGAL. S USTED NO PUEDE PAGARLE A UN ABOGADO, ESTA OFICINA PUEDE PROVEERE INFORMACION ACERCA AGENCIAS QUE PUEDAN OFRECER SERVICIOS LEGAL A PERSONAS ELIGIBLE AQ UN HONORARIO REDUCIDO O GRATIS. CUMBERLAND COUNTY BAR ASSOCIATION 2 Liberty Avenue Carlisle, PA 17013 LEGAL SERVICES INC 8 Irvine Row Carlisle, PA 17013 717- 243 -9400 THIS FIRM IS A DEBT COLLECTOR AND WE ARE ATTEMPTING TO COLLECT A DEBT OWED TO OUR CLIENT. ANY INFORMATION OBTAINED FROM YOU WILL BE USED FOR THE PURPOSE OF COLLECTING THE DEBT. RESOURCES AVAILABLE FOR HOMEOWNERS IN FORECLOSURE ACT NOW! Even though your lender (and our client) has filed an Action of Mortgage Foreclosure against you, you still may be able to SAVE YOUR HOME FROM FORECLOSURE. 1). Call an attorney. For referrals to a qualified attorney call either of the following numbers: or 717- 243 -9400. 2). Call the Consumer Credit Counseling Agency at 1- 800 - 989 -2227 for free counseling. 3). Visit HUD's website www.hud.gov for Help for Homeowners Facing the Loss of Their Homes. 4). Pennsylvania Housing Finance Agency also offers other loan programs that may assist homeowners in default. Please See the PHFA website http://www.phfa.orgi'conSLiniers/liomeowners/real.aspx. 5). Call the Plaintiff (your lender) and ask to speak to someone about Loss Mitigation or Home Retention options. 6). Foreclosure Resource Center: htth: / /www.pliiladeipliiafed.org /foreclosure/ 7). Call or contact our office to request the amount to bring the account current, or payoff the mortgage or request a Loan Workout / Home Retention Package. Call our toll free number at 1- 866 -413 -2311 or via email at homeretention<«kmllaw�, Call Seth at 215- 825 -6329 or fax 215- 825 -6429. The figure and /or package you requested will be mailed to the address that you request or faxed if you leave a message with that information. The attorney in charge of our firm's Homeowner Retention Department is David Fein who can be reached at 215- 825 -6318 or Fax: 215- 825 -6418. Please reference our Attorney File Number of 116434FC. Para informacion en espanol puede communicarse con Loretta al 215 -825 -6344. This Action of Mortgage Foreclosure will continue unless you take action to stop it. COMPLAINT IN MORTGAGE FORECLOSURE 1. Plaintiff is NATIONSTAR MORTGAGE LLC, 350 Highland Drive, Lewisville, TX 75067. 2. The name and address of the Defendant is PATRICIA L. JORDAN, 18 South Chestnut Street, Mechanicsburg, PA 17055, who is the mortgagor and record owner of the mortgaged premises hereinafter described. 3. On July 02, 2009 mortgagor made, executed and delivered a mortgage upon the Property hereinafter described to MORTGAGE ELECTRONIC REGISTRATION SYSTEMS, INC., AS NOMINEE FOR BANK OF AMERICA, N.A., which mortgage is recorded in the Office of the Recorder of Deeds of Cumberland County on July 10, 2009 as Instrument # 200923995. The mortgage has been assigned to: NATIONSTAR MORTGAGE LLC by assignment of Mortgage recorded on January 23, 2013 as Instrument # 201302375. The Mortgage and Assignment(s) (if any) are matters of public record and are incorporated by this reference in accordance with Pennsylvania Rule of Civil Procedure 1019(g); which Rule relieves the Plaintiff from its obligation to attach documents to pleadings if those documents are matters of public record. 4. The Property subject to the Mortgage is more fully described in the legal description set forth as Exhibit "A" ( "Property "). 5. The mortgage is in default because the monthly payments of principal and interest are due and unpaid for September 01, 2011 and each month thereafter and by the terms of the Mortgage, upon default in such payments for a period of one month or more, the entire principal balance and all interest due and other charges are due and collectible. 6. The following amounts are due to Plaintiff on the Mortgage: Principal Balance ............................... ............................... ....................$131,281.38 Interest from 08/01/2011 through 03/18/2013 at 5.5000% .....................$12,034.20 Monthly interest $601.71 EscrowAdvance .................................. ............................... ......................$3,898.71 Corporate Advance ................................ ............................... .........................$36.00 $147,250.29 7. Plaintiff is not seeking a judgment of personal liability (or an "in personam" judgment) against the Defendants in this Action but reserves its right to bring a separ Action to establish that right, if such right exists. If Defendants have received a discharge of their personal liability in a Bankruptcy proceeding, this Action of Mortgage Foreclosure is, in no way, an attempt to re- establish the personal liability that was discharged in Bankruptcy, but only to foreclose the Mortgage and sell the Property pursuant to Pennsylvania law. 8. Notice of Intention to Foreclose has been sent to Defendants by certified mail, as required by Act 6 of 1974 of the Commonwealth of Pennsylvania, on the date set forth in the true and correct copy of such Notice attached and incorporated as Exhibit "B". WHEREFORE, Plaintiff demands a de terris judgment in mortgage foreclosure in the sum of $146,250.29, together with monthly interest of $601.71 and other expenses, costs and charges incurred by the Plaintiff which are properly chargeable in accordance with the terms of the Note and Mortgage and Pennsylvania law, including but not limited to attorney fees and costs, until the Mortgage is paid in full, and for the foreclosure of the Mortgage and Sheriff's Sale of the Property. B G% ` KML LAW GROUP, Rk. Michael McKeever Pa. ID 56129 Jay E. Kivitz Pa. ID 26769 Lisa Lee Pa. ID 78020 Kristina Murtha Pa. ID 61858 David Fein Pa. ID 82628 Thomas Puleo Pa. ID 27615 Joshua I. Goldman Pa. ID 205047 - ill P. Jenkins Pa. ID 306588 Alyk L. Oflazian Pa. ID 312912 Salvatore Filippello Pa. ID 313897 Attorneys for Plaintiff VERIFICATION Jerrell Menyweather , hereby states that he /she is Assistant Secretary of Nationstar Mortgage, LLC, Plaintiff in this matter, that he /she is authorized to and do make this Verification, and verify that the statements made in the foregoing Civil Action in Mortgage Foreclosure are true and correct to the best of his/her information and belief. The undersigned understands that this statement is made subject to the penalties of 18 Pa. C.S. Sec. 4904 relating to unsworn falsification to authorities. Date: '3 -13 IMA A54� -RD --t3 Jerrell Menyweather Assistant Secretary #I 16434FC - PATRICIA L. JORDAN 18 South Chestnut Street Mechanicsburg, PA 17055 Ey ALL THAT CERTAIN house and lot of ground situate on the West side of South Chestnut Street, In the Second Ward of the Borough of Mechanicsburg, County of Cumberland and State of Pennsylvanie, bounded and described as follows, to wit: BEGINNING at a point in the Western line of South Chestnut Street, at comer of Lot formerly of John Geiger, later of Harry W. Mountz, and now of Robert Mumma; thence extending along the Western line of South Chestnut Street in a Southwardly direction a distance of 64 feet, more or less, to a point at comer of tot formerly of Frank L. Mountz, now of H.B. Groff; thence along the line of said Lot formerly of Frank L. Mountz, now of H.B. Groff in a Westwardly direction, a distance of 147 feet to a point in the Eastem line of public alley; thence extending along the Eastern line of said public alley in a Northwardiy direction, a distance of 64 feet, more or less, to a point at comer of Lot formerly of Harry W. Mountz, now of Robert Mumma, aforementioned; thence along the line of said Lot now of Robert Mumma in an Eastwardly directlon, a distance of 147 feet to a point in the Western line of South Chestnut Street, aforementioned, at the point and piece of BEGINNING. HAVING THEREON ERECTED a frame dwelling house known and numbered as 18 South Chestnut Street (formerly numbered 16-18 South Chestnut Street), Mechanicsburg, Pennsylvania. BEING FURTHER identified as Tax Parcel #17 -23 -0565 -245. BEING THE SAME premises which Justin A. Szurgot, by his deed dated July 2, 2009 and Intended to be recorded herewith, granted and conveyed unto Patricia L. Jordan, owner /mortgagor herein: EY, hibit ,. *Exhibit has been redacted to remove all personally identifiable information or non-public information BadrofAtaetica PRESORT Flrst R ESO Mail Illomar Lomas PO Box 9048 U.S. Postage and Temecula, CA 92589.9048 Fees Paid WSO 2256587472 Send Payments to: P.O. Box 15222 Wilmington, OE 19886.5222 Send Correspondence to: PO Box 5170, MS SV3143 20111101.7 Simi Valley, CA 93065 11111111 11 i ii111- rnilrl4l-'II -II °ililltt - lrhtt Patricia L Jordan 18 S Chestnut St Mechanicsburg, PA 17055 -6549 BLOPA2 12872 1212Y2010 BaskofAmerica Send Payments to: Noone Loans P.O. Box 15222 P.O. Box 942073 Wilmington, DE 198865222 Simi Valley, CA 93094 -1288 November 1, 2011 Account No.ANJ�540 Patricia L Jordan Property Address: 18 S Chestnut St 18 S Chestnut St Mechanicsburg, PA Mechanicsburg, PA 17055 -6549 Current Servicer: Bank of America, N.A. NOTICE OF INTENT TO FORECLOSE MORTGAGE Este es un aviso importante respecto a su derecho de ocupar su case. Favor de trasladar de inmediato. (This is an important notice concerning your right to live in your home. Have it translated at once.) Our records indicate that you transferred all or a part of your interest in the above referenced property and /or allowed your mortgage loan to be assumed; however, you were not released from contractual liability for the loan. Therefore, you are still contractually responsible for repayment of this debt. We regret to advise you that this loan is in default, and we are prepared to initiate foreclosure proceedings. The following letter was sent to the current owner of the property: The MORTGAGE held by Bank of America, N.A., on behalf of the Noteholder, (hereinafter we, us or ours) on your property located at 18 S Chestnut St Mechanicsburg, PA IS IN SERIOUS DEFAULT because you have not made the monthly payments for the months of,• Monthly Charges: 09/01/2011 $3,293.01 Late charges and other charges have also accrued to this date in the amount of $87.82 Late Charaes: 09/01/2011 $87.82 Other Charaes: Uncollected Late Charges: $43.91 Uncollected Costs: $0.00 Partial Payment Balance: ( $0.001 TOTAL DUE: $3,424.74 The total amount now required to cure this default, or in other words, get caught up in your payments, as of the date of this letter, is $3,424.74. You may cure this default within THIRTY (30) DAYS of the date of this letter, by paying to us the above amount of $3,424.74, plus any additional monthly payments and late charge which may fall due during this period. Such payment must be made either by cash, cashier's check, certified check or money order, and made at Bank of America, N.A. at P.O. Box 15222, Wilmington, DE 19886 -5222. If you do not cure the default within THIRTY (30) DAYS, we intend to exercise our right to accelerate the mortgage payments. This means that whatever is owing on the original amount borrowed will be considered due immediately and you may lose the chance to pay off the original mortgage in monthly installments. If full payment of the amount of default is not made within THIRTY (30) DAYS, we also intend to instruct our attorneys to start a lawsuit to foreclose your mortgaged property. If the mortgage is foreclosed your mortgaged property will be sold by the Sheriff to pay off the mortgage debt. If we refer your case to our attorneys, but you cure the default before they begin legal proceedings against you, you will still have to pay the reasonable attorney's fees, actually incurred, up to $50.00. However, if legal proceedings are started against you, you will have to pay the reasonable attorney's fees even if they are over $50.00. Any attorney's fees will be added to whatever you owe us, which may also Include our reasonable costs. If you cure the default within the thirty (30) day period, you will not be required to pay attomey's fees. We may also sue you personally for the unpaid principal balance and all other sums due under the mortgage. If you have not cured the default within the thirty (30) day period and foreclosure proceedings have begun, you still have the right to cure the default and prevent the sale at any time up to one hour before the SheritFs foreclosure sale. You may do so by paying the total amount of the unpaid monthly payments plus any late or other charges then due, as well as the reasonable attorney's fees and costs connected This communication is from Bank of America, NA., the servicer of your home loan. Please write your acceurt number on all checks and correspondence. We may charge you a fee (of up to $40.00) for any payment returned or rejected by your financial inslit tion, subject to applicable law. BLOPA21287212123010 Paymar[ Instructions: Account Number: 540 -2 • Make your check oayable to Bank of Patricia L Jordan Balance Due for charges listed above: $3,424.74 as of November 1, 2011. America, NA 18 Chestnut St Plsasaupdala email information on the reverse sidoofthismupon. • 13a0 send cash Please fndude coupon wilh your Mechanicsburg, PA Addtona payment Pdricipa' BLOPA2 For ell full month payment periods, Ad�iorra' Acc interest terest for all full months. ' I'I "11 111 "I'llllll'r " "Illllnlllll'I Illlll'lll'I f'�b• mcktdrg February, is calcWated as Bank of America, N.A. 301380 of annual interest, riespeirve of pp BOX 15222 O" the actual number d days in the month. 7dd For partal months, interest is calculated Wilmington, DE 19886 -5222 X daily on the basis of s 385 day year. 1 -800 -669 -0102 210545540200000342474000342474 $: 58 6 9 900 58 r: 2 10 5 L. 5 5 Is 01ia with the foreclosure sale [and perform any other requirements under the mortgage]. It is estimated that the earliest date that such a Sheriffs sale could be held would be approximately slot (6) months from the date of this Notice. A notice of the date of the Sheriff sale will be sent to you before the sale. Of course, the amount needed to cure the default will increase the longer you wait. You may find out at any time exactly what the required payment will be by calling us at the following number. 1- 800 - 669 -0102. This payment must he in cash, cashiers check, certified check or money order and made payable to us at the address stated above. You should realize that a Sheriffs sale will end your ownership of the mortgaged property and your right to remain in it. if you continue to live in the property after the Sheriffs sale, a lawsuit could be started to evict you. You have additional rights to help protect your interest in the property. YOU HAVE THE RIGHT TO SELL THE PROPERTY TO OBTAIN MONEY TO PAY OFF THE MORTGAGE DEBT, OR TO BORROW MONEY FROM ANOTHER LENDING INSTITUTION TO PAY OFF THIS DEBT. [YOU MAY HAVE THE RIGHT TO SELL OR TRANSFER THE PROPERTY SUBJECT TO THE MORTGAGE TO A BUYER OR TRANSFEREE WHO WILL ASSUME THE MORTGAGE DEBT, PROVIDED THAT ALL THE OUTSTANDING PAYMENTS, CHARGES AND ATTORNEY'S FEES AND COSTS ARE PAID PRIOR TO OR AT THE SALE, [AND THAT THE OTHER REQUIREMENTS UNDER THE MORTGAGE ARE SATISFIED]. CONTACT US TO DETERMINE UNDER WHAT CIRCUMSTANCES THIS RIGHT MIGHT EXIST]. YOU HAVE THE RIGHT TO HAVE THIS DEFAULT CURED BY ANY THIRD PARTY ACTING ON YOUR BEHALF. If you cure the default, the mortgage will be restored to the same position as if no default had occurred. However, you are not entitled to this right to cure your default more than three times in any calendar year. Bank of America, N.A., the servicer of your home loan, is required by law to inform you that this communication is from a debt collector. This communication is from Bank of America, N.A., the servicer of your home loan. E -mail use: Providing your e-mail address below will allow us to send you information on your account. How we post your payments: All accepted Account Number. 210545540 payments of principal and interest will be applied to Patricia L Jordan E -mail address: the longest outstanding installment due, unless otherwise expressly prohibited or limited by law. If you submit an amount in addition to your scheduled monthly amount, we will apply your payments as follows: (i) to outstanding monthly payments of principal and interest, (d) escrow deficiencies, (iii) late charges and other amounts you owe in connection with your loan and (iv) to reduce the outstanding principal balance of your loan. Please specify l you want an additional amount applied to future payments, rater than principal reduction. postdated checks: Postdated checks will be processed on the data received unless a loan counselor agrees to honor the data written on the check as a oondiGOn of a repayment plan. Options are Available to Help You Avoid Foreclosure Call the number on the enclosed notice to learn more. When you call, please have your income and expense information available so we can discuss which option(s) could work for you. Options to consider if your goal is to stay in your home ' �3�• i . ;ai,£,`:,.}::, "'c �` ::# ':yo- <}¢ ..3,^$' k.,: `•::i .: ..!f >..>i.t. :C.: ,. ..:.i:S�?''.b�.}.:::. .5kk: }:::9.•..xU.:. >. �,.. .K .: �E::, }k•`f:k�/C .� } , x. >:: :�!;:. �: r,.c; ;.:a,:;kxo>: >: ; ,: : is:# .:ors;:.n. t:iiiio:kk#': /,R: kwi; >:•': » »; ».: Home A federal government program that allows you to repay the loan on newly agreed upon terms, which Affordable may include lowering the interest rate, placing past due amounts at the end of the loan, and /or Modification extending the term of the loan. You may be eligible for this program if you meet the following Program requirements: (RAMP) The home is your primary residence and you currently live in it. The amount you owe on the first mortgage is equal to or less than $729,750 for a single - family home, $934,200 for a 2 unit property, $1,129,250 for a 3 unit property or $1,403,400 for a 4 unit property You have experienced a hardship that has impacted your income. For example, a significant increase in your mortgage payment OR reduction in your income OR other hardship. • Your mortgage was obtained before Jan. 1, 2009. Your payment on your first mortgage (including principal, interest, taxes, insurance and homeowner's association dues, if applicable) is more than 31 % of your current gross income. To calculate this, divide your first mortgage payment by your gross income (income before taxes). Loan If you can bring your loan payments up to date, we will accept the funds needed to bring the loan up Reinstatement to date until the day of your foreclosure sale. Repayment A temporary agreement which allows for the repayment of the unpaid, past due amount along with Plan regular mortgage payments. This may include principal, interest, fees, and /or costs assessed to your loan. Temporary An agreement whereby we agree not to proceed with foreclosure and /or collection of payments for a Forbearance period of time, to allow you to re- establish your ability to make the required payments. Agreement Loan Repay the loan on newly agreed upon terms, which may include lowering the interest rate, placing Modification amounts past due at the end of the loan, and /or extending the term of the loan. (non -HAMP) Partial Claim If you have a Federal Housing Administration (FHA) loan and your payments are past due but you (FHA loans are now able to make your regular monthly mortgage payment, this program is designed to bring your Only) loan up to date by creating a second mortgage /lien on your property for the amount that is past due. Options to consider if you cannot or do not wish to stay in your home +,•�' >n; ;<n.L.o' :oti ;. >:: : ; <m» m ' ,"•> r.; xoxw. > :�';do "r.:c:,�'".w:•L�S:°£ii; • <co >:cxc <;co: ' <0;';9;:.r,:,o�` .:... .....o::..o... >. >• , xfo >: «;::c <;;k >:x::::v ». .. <...: ... ,. fo«.o.< ,M::.,x:.:wox ..;: vo,aex:. .. :: .:.. .:> x.# a: a�o:<...>:.:;: xr <c ;co: ;ar. :..x >.<.....f:`•r. #: •acxo: ;a <n xnkx<•:a..:. :. 6 » »R•>xo.<: #oii »xa: <co >::a. «o. .� :.ar;:a: x. <a;nx.r.:tit«. rxo'r:'''n:::�r: #b "2� ?':'•.$ , e. ^C'yc sit`!<# Y`: � is' do k�' s'.° F: yi ::k: "k:i # ? ?<' >:;kx: t`;: {::::: ...c.... ....Y.......x: :. ...<..vv..:.,, �::.,A..: >::•i f:,• >. •.: I N Home Designed to help borrowers who are eligible for the Home Affordable Modification Program (HAMP) Affordable but were unsuccessful in securing a permanent modification through the program. HAFA provides the Foreclosure option of a short sale and, if unsuccessful, a deed in lieu of foreclosure. A short sale is a transaction Alternatives in which you sell your property for less than the total amount owed on the loan (subject to agreement Program by your servicer /lender /investor), resulting in the release of our lien on your home and avoidance of (HAFA) foreclosure. A deed in lieu of foreclosure is a transaction in which you agree to voluntarily transfer ownership of your property to us in order to avoid foreclosure. Short Sale/ Offered to borrowers who are not eligible for HAMP or other home retention alternatives. With a short Preforectosure sale, you sell your property for less than the total amount owed on the loan (subject to agreement by Sale your servicer /lender /investor), resulting in the release of our lien on your home and avoidance of (non -HAFA) foreclosure. Deed in Lieu of Offered to borrowers not eligible for HAMP or other home retention alternatives, and who were not Foreclosure able to sell the property through a short sale. With a deed in lieu of foreclosure, you agree to (non -HAFA) voluntarily transfer ownership of your property to us in order to avoid foreclosure. We are here to help you. Please call us today. 2256587472 Hay Opciones Disponibles Para Ayudarle a Evitar la Ejecucion Hipotecaria Llame al n6mero que aparece en la notificaci& adjunta para obtener mAs informaci6n Cuando (lame, tenga la informaci6n de sus ingresos y gastos disponibles pare que podamos discutir cual opci6n(es) pueden funcionar para usted. Opciones a considerar si su objetivo es permanecer en su casa C:Y v :::idc one • ?ar.`try:;%r» %ti eti:3.3fiq };,:3:v } }ri: .. .::6:?.: i:C:t;::tr J} iL! Str:!•: i• FSi• e: F.: S. Yi} 5}; 3 Y:' �: n}: n:}}}: ti^}}}}: i. ritri :?.i }}:v':}:'i'..:'4' }� i .. �•:::.::v:�v: :: v,vv::. ? :.:: } }: v.v:::.v:. �: , :inv:v1:n }:•Y }} :•: i•: N}: is4.}' u. i. hi.. S. f2. N: fnY.. Fi} r2i. Y•: 2: ri: W, v, O:... F........... Y...., 4..}': �. ri: i.}\...:... n\. Sii.:: ii : ?.i:2:::8:22Srii:v'1..i:2J }: +} Fv;+}n: :::i nv: F... v .:::.......:..:. n•...................................,..............................................................................,...... ............................... Home Affordable Un programa del gobierno federal que le permite pager el pr6stamo bajo los nuevos Wminos Modification acordados, que pueden incluir la reducci6n de la Casa de inter6s, agregando la cantidad adeudada Program (HAMP) at final del pr6stamo, y / o extender el plazo del pr6stamo. Usted puede ser elegible pare este programa si cumple con los siguientes requisitos: • La casa es su residencia principal y actualmente vive an ella. • La cantidad adeudada en la primera hipoteca debe ser igual o menos que $729,750 d6lares pare una vivienda unifamiliar, $934,200 d6lares para una propiedad de 2 unidades, $1,129,250 d6lares para una propiedad de 3 unidades o $1,403,400 para una propiedad de 4 unidades • Ha experimentado una dificultad que he afectado sus ingresos. Por ejemplo, un aumento significative en su pago hipotecario O reducci6n de sus ingresos U otras dificultades. • Obtuvo su hipoteca antes del 01 de enero 2009. • Su pago de la primera hipoteca (incluyendo principal, inter6s, impuestos, seguro y cuotas de asociaci6n de propietarios, si se aplica) debe ser m6s del 31 % de sus ingresos brutos actuales. Para calcular esto, divide su pago hipotecario por sus ingresos brutos ( ingresos antes de impuestos). Restablecimiento Si usted puede traer sus pagos del pr6stamo hipotecario al dia, se le aceptartin los fondos del Pr6stamo necesarios para que el pr6stamo este al dia hasta la fecha de la venta judicial. Plan de Pago Un acuerdo temporal que permite el pago de la cantidad adeudada, cantidad del pago atrasado junto con los pagos regulares de la hipoteca. Esto puede incluir principal, inter6s, honorarios y/o costos aplicados a su pr6stamo. Acuerdo Un acuerdo por el cual nos comprometemos a no proceder con la ejecuci6n hipotecaria y/o Temporal de colecci6n de pagos por un periodo de tiempo, para permitirle que restablezea su habilidad de Tolerancia hater los pagos requeridos. Modificacion de Pagar el pr6stamo bajo los nuevos t6rminos acordados, que puede incluir la reducci6n de la tasa Pr6stamo de inter6s, agregando la cantidad adeudada al final del pr6stamo, y/o extender el plazo del (no por medio pr6stamo. de HAMP) E pr--tamos arcial Si usted tiene un pr6stamo de la Administraci6n Federal de Vivienda (FHA) y sus pagos est6n e vencidos, Pero ahora puede hacer sus pagos regulares mensuales de la hipoteca, este programa de Is est6 dise�iado pare que su pr6stamo este al dia mediante la creaci6n de una segunda hipoteca / gravamen sobre su propiedad por la cantidad adeudada. Opciones a considerar si no puede o no desea quedarse en su casa :tr qtr} i.: }:w[trotr;i;as}}vFSO:iv:: :ib •a: }'• ° : >::5• .i . xo @ .L is•3r` }:6. }k "9 ,.,°::'F.i ,Y 2 g� .r• •• 4� , x. }3:.'1..:.��::3a•. . 4: 2 Y : .# , :. %Y' �v }�:. •. ta:#.. F.:r'Ss:.. :. }Y >. ' '$M r }.z�`'.''.F.. ^• &ii. .:.�:..'Eb,' c, :2:s . }..i''rtr }:w#.r.: ;. }.2II#::::. :: },. ': } ::z:x }:c•. }:.s: :.. }:.c.3v' }: :::.,, ;i's�t:. F ,: „ :'�`:'i .:s. :,:2...?s >.. �. #: };.fiar ins. :�:.: #.a,. >, }.3:.. <� %c�ii :. + :�::5:• .::.°.�•:...... ::;v�:x:,i;• .v:,..::...n..trnn.t...n..:.•: .. �• �t .i"�e�`.r..,:x >.:.�,a�..; >�:n :Y�i:r. ?:,�:,.•:ic#:;::: >.r 3 �...:; . «.:: Home Diserlado para ayudar a los prestatarios que son elegibles para el Programa de Home Affordable Affordable Modification (HAMP), pero no tuvieron 6xito en obtener una modificaci6n permanente a trav6s del Foreclosure programa. HAFA ofrece la posibilidad de una venta corta y, si no tiene 6xito, una entrega de Alternatives escritura para evitarjuicio hipotecario. Una venta corta as una transacci6n en la que usted vende su Program propiedad por menos de la cantidad adeudada en el pr6stamo (sujeto a previo acuerdo de su (HAFA) administrador / prestamista / inversionista), resultando an la liberaci6n de nuestro derecho de retenci6n sobre su propiedad y evitar la ejecuci6n hipotecaria. Una entrega de escritura pare evitar juicio hipotecario es una transacci6n an la que usted esti de acuerdo de transferir voluntariamente las escrituras de su propiedad a nosotros con el fin de evitar la ejecuci6n hipotecaria. Venta Corta/ Se ofrece a los prestatarios que no son elegibles para HAMP u otras alternativas de retenci6n de Venta antes de hogar. Con una vents corta, usted vende su propiedad por menos de la cantidad total adeudada en Ejecuc16n el pr6stamo (sujeto a un acuerdo por su administrador / prestamista / inversionista), resultando en la Hipotecaria (no liberaci6n de nuestro derecho de retenci6n sobre su propiedad y evitando la ejecuci6n hipotecaria. por medio de HAFA) Entrega de Se ofrece a los prestatarios que no son elegibles pare HAMP u otras alternatives de retenci6n de Escritura Para hogar, y que no pudieron vender la propiedad a trav6s de una vents corta. Con una entrega de Evitar Juicio escritura para evitar juicio hipotecario, usted est6 de acuerdo a transferir voluntariamente las Hipotecario escrituras de su propiedad a nosotros pare evitar la ejecuci6n hipotecaria. (no por medio de HAFA) Estamos aqui para ayudarle. Por favor llamenos hoy. IN THE COURT OF COMMON PLEAS (a 4 CUMBERLAND COUNTY, PENNSY �&NLt_-_ NATIONSTAR MORTGAGE LLC Plaintiff vs. Case No. V' PATRICIA L. JORDAN? y Defendant(s) NOTICE OF RESIDENTIAL MORTGAGE FORECLOSURE DIVERSION PROGRAM You have been served with a foreclosure complaint that could cause you to lose your home. If you own and live in the residential property which is the subject of this foreclosure action, you may be able to participate in a court - supervised conciliation conference in an effort to resolve this matter with your lender. If you do not have a lawyer, you must take the following steps to be eligible for a conciliation conference. First, within twenty (20) days of your receipt of this notice, you must contact MidPenn Legal Services at (717) 243 -9400 extension 2510 or (800) 822 -5288 extension 2510 and request appointment of a legal representative at no charge to you. Once you have been appointed a legal representative, you must promptly meet with that legal representative within twenty (20) days of the appointment date. During that meeting, you must provide the legal representative with all requested financial information so that a loan resolution proposal can be prepared on your behalf. If you and your legal representative complete a financial worksheet in the format attached hereto, the legal representative will prepare and file a Request for Conciliation Conference with the Court, which must be filed with the Court within sixty (60) days of the service upon you of the foreclosure complaint. If you do so and a conciliation conference is scheduled, you will have an opportunity to meet with a representative of your lender in an attempt to work out reasonable arrangements with your lender before the mortgage foreclosure suit proceeds forward. If you are represented by a lawyer, you and your lawyer must take the following steps to be eligible for a conciliation conference. It is not necessary for you to contact MidPenn Legal Service for the appointment of a legal representative. However, you must provide your lawyer with all requested financial information so that a loan resolution proposal can be prepared on your behalf. If you and your lawyer complete a financial worksheet in the format attached hereto, your lawyer will prepare and file a Request for Conciliation Conference with the Court, which must be filed within sixty (60) days of the service upon you of the foreclosure complaint. If you do so and a conciliation conference is scheduled, you will have an opportunity to meet with a representative of your lender in an attempt to work out reasonable arrangements with your lender before the mortgage foreclosure suit proceeds forward. IF YOU WISH TO SAVE YOUR HOME, YOU MUST ACT QUICKLY AND TAKE THE STEPS REQUIRED BY THIS NOTICE. THIS PROGRAM IS FREE. Respectfully submitted: Z �- -` i (Signature of Counsel 4 Plaintiff) 3/26/2013 _ Date Cumberland County Residential Mortgage Foreclosure Diversion Program Financial Worksheet Date Cumberland County Court of Common Pleas Docket # BORROWER REQUEST FOR HARDSHIP ASSISTANCE To complete-your request for hardship assistance, your lender must consider your circumstances to determine possiblo options while working with your Please provide the following information to the best of your knowledge: Borrower names): Property Address: City: State: Zip: Is the property for sale? Yes 0 No ❑ Listing date: Price. $� Realtor Name: Realtor Phone: Borrower Occupied? Yes No Mailing Address (if different): City; State Zip: Phone Numbers: Home: Office: Cell: Other, ---•--°- Email; - # of people in household: How long? Mailing Address; City: State: Zip: Phone Numbers: Home: Office: _ Cell: Other: Email: - # ofpeople in household: How long? First Mortgage Lender: Type of Loan: Loan. Number: Date You Closed Your Loan: Second Mortgage Tender: Type of Loan: Loan Number: Total Mortgage Payments Amount: $ Included Taxes & Insurance: Date of Last Payment: Primary Reason for Default: Is the loan in Bankruptcy? Yes ❑ No E] If yes, provide names, location of court, case number & attorney: Assets Amount Owed: Value:_ Dome: $ $ Other Real Estate: $ $ Retirement Funds: $ $ Investments: $ $ Checking: $ $ Savings: $ $ Other: $� $ Automobile #1: Model: Year: Amount owed: Value: _ Automobile #2 : Model Year: Amount owed: Value: Other transpartation (automobiles, boats, M2toreveles): Model: Year Amount owed: Value Monthly Income Name of Employers: I . 2. 3. Additional Income Description (not wages): 1. _ monthly amount: 2. - monthly amount: Borrower Pay Days: Co- Borrower Fay Days: Monthly Expenses: (Please only include expenses you are currently paying) EXPENSE AMOUNT EXPENSE AMOUNT Moqpge Food 2 M Utilities Car Pa on a Condo/N . Fees Auto Insurance Mad. not cov ered) Auto fuel/re irs Other prop. pay mont _ Install. Loan Payment Cable TV Child Sqp Spending Mone Da /Child Carefruit. Other Px es Amount Available for Monthly Mortgage Payments Based on Income & Expenses: Have you been working with a Dousing Counseling Agency? Yes 1:1 No El If yes, please provide the following information: Counseling Agency: Counselor: Phone (Office): Fax; Email: Have you made application for Homeowners Emergency Mortgage Assistance Program (HEMAP) assistance? Yes n No Q If yes, please indicate the, status of the application: Have you had any prior negotiations with your lender or lender's loan servicing company to resolve your delinquency? Yes ❑ No O if yes, please indicate the status of those negotiations: Please provide the following information, if know, regarding your lender or lender's loan servicing company: Lender's Contact (Name): � Phone: Servicing Company (Name): Contact. Phone: T/We, authorize the above named to use /refer this information to my lender /servicer for the sole purpose of evaluating my financial situation for possible mortgage options. We understand that I/we am/are under no obligation to use the services provided by the above named Borrower Signature Date Co- Borrower Signature Date Please forward this document along with the following information to lender and lender's counsel: Vff Proof of income V Past 2 bank statements Y Proof of any expected income for the last 45 days V Copy of a cur'r'ent utility bill Letter explaining reason for delinquency and any supporting documentation i r (hardship letter) Y Listing agreement (if property is currently on the market) SHERIFF'S OFFICE OF CUMBERLAND COUNTY Ronny R Anderson !L F W t Sheriff THE P RID `s Jody S Smith '` 7013 APR 10 AM 0: 45 Chief Deputy Richard W Stewart "" UMSERL �aUiJ i `' Solicitor Or`FIf E OF THE$HERIF� PENNSYLVANIA i Nationstar Mortgage, LLC Case Number V& Patricia L Jordan 2013-1668 SHERIFF'S RETURN OF SERVICE 04/03/2013 04:58 PM-Deputy Shawn Gutshall, being duly sworn according to law,served the requested Complaint in Mortgage Foreclosure by handing a true copy to a person representing themselves to be Jamie Jordan,daughter of defendant,who accepted as"Adult Person in Charge"for Patricia L Jordan at 18 South Chestnut Street, Mechanicsburg Borough, Mechanicsburg, PA 17055. 1 faziEC SHALL, D LITY SHERIFF COST: $38.00 SO ANSWERS, April 04, 2013 F;CONW R ANDERSON, SHERIFF tC}(;puYitq�Wt6 She3nff,TefHosof{.�nC. KML LAW GROUP,P.C. 116434FC Suite 5000 CF: 03/28/2013 BNY Mellon Independence Center °; ,r 3 L L 1;.F SD: 12/04/2013 p I.;I . �' j dt5(J .,,, ; $149,055.42 701 Market Street Philadelphia,PA 19106-1532 2{fl3 tKiill 19 AN 10: ; S. 215-627-1322 Attorney for Plaintiff C(H- BERLAND COUNTY NATIONSTAR MORTGAGE LLC DEN S Y liVitiltiA COURT OF COMMON PLEAS 350 Highland Drive Lewisville,TX 75067 of Cumberland County Plaintiff vs. CIVIL ACTION—LAW PATRICIA L. JORDAN ACTION OF MORTGAGE FORECLOSURE Mortgagor(s)and Record Owner(s) Term No. 13-1668-Civil 18 South Chestnut Street Mechanicsburg,PA 17055 Defendant(s) CERTIFICATE OF SERVICE PURSUANT TO Pa.R.C.P.3129.2 (c)(2) Veronica Cosme, an employee of KML Law Group,P.C., counsel of Plaintiff,hereby certifies that service on the Defendants of the Notice of Sheriff Sale was made by: ( ) Personal Service by the Sheriffs Office/competent adult(copy of return attached). (X) Certified mail by KML Law Group, P.C. (Postal return receipt attached). ( ) Certified mail by Sheriffs Office. ( ) Ordinary mail by KML Law Group,P.C.to Attorney for Defendant(s)of record(proof of mailing attached). ( ) Acknowledgment of Sheriffs Sale by Attorney for Defendant(s) (proof of acknowledgment attached). ( ) Ordinary mail by Sheriffs Office to Attorney for Defendant(s)of record. IF SERVICE WAS ACCOMPLISHED BY COURT ORDER. ( ) Premises was posted by Sheriffs Office/competent adult(copy of return attached). ( ) Certified Mail&ordinary mail by Sheriffs Office(copy of return attached). ( ) Certified Mail&ordinary mail by KML Law Group,P.C. (original receipt(s)for Certified Mail attached). ( ) Published in accordance with court order(copy of publication attached). Pursuant to the Affidavit under Rule 3129 (copy attached), service on all lienholders(if any)has been made by ordinary mail KML Law Group,P.C. (copies of proofs of mailing attached). The undersigned understands that the statements herein are subject to the penalties provided by 18 Pa. C.S.A. Section 4904. Respectfully submitted, 4111Aik 'CI l \J Y: Veronica Cosme Legal Assistant , I .! a `4 I° ��Iy per, 'tom IV 0-' O z � U gift.!1 ga � 03 u 'al �$0311NC1 C'0 re C ,` 0 cn }, r >. Z c U E T7 0. a CO o!t 'C d =U Z N0- ---• kl m a• N o o m e d ° 4 ... E °� `� a, U C 1 . 3 ct0i of N E�° if U N 5I xm"g `o:-c ,-n'.9). O� o '�E-a, om 'in-- V) Qao o``5 a❑ (n v aa' i y Z co 0 C co °' a al CD 0 w m m m E L a) U C 0 O I N °N 0 Q Z N d V U Z .y < 'L N 2 c2 N d } W w vNER a O :70 m W a)M o. OF ti J W O m c� �n ° ' aEi d ZW� ZW CO 0W t� � ! ' a <W < �L Z 1- Z V rn• N `>_ E, M S f� 2>- w`- lL O-0 i Z c .i O ° E U1- J O w S O O nm ,o c- a d 0 o Z R W(n0 11U rZ 1ti F- 1- Q4) a �'' -Z'•�'.. 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Orlf;....a?„,,..a 0°°°Tal 1 III Wil.c.41■ :"1* 0°1110**4 1:f•ra. -; 'S 0 0 0 a) G v G J N ea @ @ N ca E S cL 0 0000 @dag0a d N w @ N O O0 x0� Cl- vOO a.' 11110 ita % r T G � C O . o V N 2 a o i 0 N p •o m fa .c.-'N-d a) N 1 CI ` N �D°d v Is 1 0 CO <'r G Z. 7 Q _ z o � 0 C. so 0 V N 'O ; 4 0 N N 7 5 S N � O G S0 N ti v -9 L6 'O d 5 ; N 0 o r , 7 N a 5 a) 0 ' i 2? N Cl Z a) v 0 r-mot 6 0- U m3 ° d C m N 4:1 O { ; i �� �� n V -, i °' \ U j i a a�` sh t-- t. +, c J 5-a r - 'ly=3r 0 CO r O 2. Z 2) N cfl 0- 7 CO 2 r a• Sri N 2% °a` .S N UNITED STATES POSTAL SERVICE. Date: October 15, 2013 kalilah osei: The following is in response to your October 15, 2013 request for delivery information on your Certified MailTM item number 9171999991703332163893. The delivery record shows that this item was delivered on July 22, 2013 at 11:12 am in MECHANICSBURG, PA 17055. The scanned image of the recipient information is provided below. Signature of Recipient : it iriower, 0(0 11444 Address of Recipient : --_-------- � j: j i‘‘ 16 ill\ Vs- Thank you for selecting the Postal Service for your mailing needs. If you require additional assistance, please contact your local Post Office or postal representative. Sincerely, United States Postal Service KML LAW GROUP,P.C. Suite 5000—BNY Mellon Independence Center 701 Market Street Philadelphia,PA 19106 215-825-6320 Attorney for Plaintiff NATIONSTAR MORTGAGE LLC IN THE COURT OF COMMON PLEAS 350 Highland Drive Lewisville,TX 75067 of Cumberland County Plaintiff vs. CIVIL ACTION-LAW PATRICIA L.JORDAN Mortgagor(s)and Record Owners) ACTION OF MORTGAGE FORECLOSURE 18 South Chestnut Street Term Mechanicsburg,PA 17055 No. 13-1668-Civil Defendant(s) SUPPLEMENTAL AFFIDAVIT PURSUANT TO RULE 3129 NATIONSTAR MORTGAGE LLC,Plaintiff in the above action, by and through an authorized employee of its attorneys,KML Law Group,P.C., sets forth as of the date the praecipe for the writ of execution was filed the following information concerning the real property located at: 18 South Chestnut Street Mechanicsburg,PA 17055 1.Name and address of Owner(s)or Reputed Owner(s): PATRICIA L. JORDAN 18 South Chestnut Street Mechanicsburg,PA 17055 2.Name and address of Defendant(s)in the judgment: PATRICIA L. JORDAN 18 South Chestnut Street Mechanicsburg,PA 17055 3.Name and last known address of every judgment creditor whose judgment is a record lien on the property to be sold: DOMESTIC RELATIONS OF CUMBERLAND COUNTY PO Box 320 Carlisle,PA 17013 PA DEPARTMENT OF PUBLIC WELFARE-Bureau of Child Support Enforcement Health and Welfare Bldg. -Room 432 P.O.Box 2675 Harrisburg,PA 17105-2675 BOROUGH OF MECHANICSBURG 36 WEST ALLEN STREET MECHANICSBURG, PA 17055 BOROUGH OF MECHANICSBURG C/O LISA MARIE COYNE,ESQ/COYNE&COYNE PC 3901 MARKET STREET CAMP HILL,PA 17011 4.Name and address of the last recorded holder of every mortgage of record: 5.Name and address of every other person who has any record interest in or record lien on the property and whose interest may be affected by the sale: 6.Name and address of every other person of whom the plaintiff has knowledge who has any record interest in the property which may be affected by the sale. 7.Name and address of every other person of whom the plaintiff has knowledge who has any interest in the property which may be affected by the sale. TENANTS/OCCUPANTS 18 South Chestnut Street Mechanicsburg,PA 17055 PUGS 4075 Linglestown Rd #244 Harrisburg,PA 17112 PUGS c/o Jim Halkias 4075 Linglestown Rd,#244 Harrisburg,PA 17112 I verify that the statements made in this affidavit are true and correct to the best of my personal knowledge or information and belief I understand that false statements herein are made subject to the penalties of 18 Pa. C.S. Section 4904 relating to unsworn falsification to authorities. DATED: November 13, 2013 -�! -� �. KML Law Group,P.C. BY: Veronica Cosme Legal Assistant Ronny R Anderson Sheriff Jody S Smith Chief Deputy Richard W Stewart Solicitor SHERIFF'S OFFICE OF CUMBERLAND COUNTY 127 MAR 27 PH 2: 59 CUMBERLAND COUNTY PENNSYLVANIA Nationstar Mortgage, LLC vs. Patricia L Jordan Case Number 2013 -1668 SHERIFF'S RETURN OF SERVICE 09/20/2013 08:42 PM - Deputy Shawn Gutshall, being duly sworn according to law, states service was performed by posting a true copy of the requested Real Estate Writ, Notice and Description, and Sale Handbill in the above titled action, upon the property located at 18 South Chestnut Street, Mechanicsburg - Borough, Mechanicsburg, PA 17055, Cumberland County. 11/12/2013 Ron R. Anderson, Sheriff, being duly sworn according to law, states that he made a diligent search and inquiry for the within named Defendant, to wit: Patricia L. Jordon, but was unable to locate the Defendant in his bailiwick. He therefore returns the within Real Estate Writ, Notice and Description, in the above titled action, as "Not Found" at 18 South Chestnut Street, Mechanicsburg, PA 17055, defendant no longer resides at address stated, did not leave a forwarding address with the post office. 12/04/2013 Ronny R Anderson, Sheriff, being duly sworn according to law, states that after due and legal notice had been given according to law, he exposed the within described premises at public venue or outcry at the Cumberland County Courthouse, Carlisle, Cumberland County, Pennsylvania on December 04, 2013 at 10:00 AM. He sold the same for the sum of $40,000.00 to Attorney Nathan Wolf on behalf of Nationstar Mortgage LLC, being the buyer in this execution, paid to the Sheriff the sum of $ SHERIFF COST: $2,131.74 SO ANSWERS, January 16, 2014 RONO R ANDERSON, SHERIFF (c) CountySuite Sheriff, Teleosoft, Inc. d a. SZ7 d, /et* 203 &ate On August 23, 2013 the Sheriff levied upon the defendant's interest in the real property situated in Mechanicsburg Borough, Cumberland County, PA, Known and numbered as, 18 South Chestnut Street, Mechanicsburg, as Exhibit "A" filed with this writ and by this Reference incorporated herein. Date: August 23, 2013 By: Real Estate Coordinator le e NP y• E/Oi 4)1/4 LXII 41 CUMBERLAND LAW JOURNAL 10/11/13 Writ No. 2013 -1668 Civil Term NATIONSTAR MORTGAGE, LLC vs. PATRICIA L. JORDAN Atty.: Michael McKeever ALL THAT CERTAIN house and lot of ground situate on the West side of South Chestnut Street, in the Second Ward of the Borough of Mechanics- burg, County of Cumberland and State of Pennsylvania, bounded and described as follows, to wit: BEGINNING at a point in the Western line of South Chestnut Street, at corner of Lot formerly of John Geiger, later of Harry W. Mountz, and now of Robert Mumma; thence extending along the Western line of South Chestnut Street in a Southwardly direction a distance of 64 feet, more or less, to a point at corner of Lot formerly of Frank L Mountz, now of RB. Groff; thence along the line of said Lot formerly of Frank L. Mountz, now of H.B. Groff in a Westwardly direction, a distance of 147 feet to a point in the Eastern line of public alley; thence extending along the Eastern line of said public alley in a Northwardly direction, a distance of 64 feet, more or less, to a point at corner of Lot formerly of Harry W. Mountz, now of Robert Mumma, aforementioned; thence along the line of said Lot now of Robert Mumma in an Eastwardly direction, a distance of 147 feet to a point in the Western line of South Chestnut Street, aforementioned, at the point and place of BEGINNING. HAVING THEREON ERECTED a frame dwelling house known and numbered as 18 South Chestnut Street (formerly numbered 16 -18 South Chestnut Street), Mechanics- burg, Pennsylvania. BEING FURTHER identified as Tax Parcel #17 -23- 0565 -245. IMPROVEMENTS consist of a residential dwelling. 70 MUNICIPALITY BOROUGH OF MECHANICSBURG. BEING PREMISES: 18 South Chestnut Street, Mechanicsburg PA 17055 SOLD as the property of PATRICIA L. JORDAN. TAX PARCEL #17 -23- 0565 -245. PROOF OF PUBLICATION OF NOTICE IN CUMBERLAND LAW JOURNAL (Under Act No. 587, approved May 16, 1929), P. L.1784 COMMONWEALTH OF PENNSYLVANIA : ss. COUNTY OF CUMBERLAND : Lisa Marie Coyne, Esquire, Editor of the Cumberland Law Journal, of the County and State aforesaid, being duly sworn, according to law, deposes and says that the Cumberland Law Journal, a legal periodical published in the Borough of Carlisle in the County and State aforesaid, was established January 2, 1952, and designated by the local courts as the official legal periodical for the publication of all legal notices, and has, since January 2, 1952, been regularly issued weekly in the said County, and that the printed notice or publication attached hereto is exactly the same as was printed in the regular editions and issues of the said Cumberland Law Journal on the following dates, viz: October 11, October 18 and October 25, 2013 Affiant further deposes that he is authorized to verify this statement by the Cumberland Law Journal, a legal periodical of general circulation, and that he is not interested in the subject matter of the aforesaid notice or advertisement, and that all allegations in the foregoing statements as to time, place and character of publication are true. isa Marie Coy e, Editor SWORN TO AND SUBSCRIBED before me this 25 day of October, 2013 NOTARIAL SEAL DEBORAH A COLLINS Notary Public CARLISLE BOROUGH, CUMBERLAND COUNTY My Commission Expires Apr 28, 2014 :The Patriot -News Co. 2020 Technology Pkwy Suite 300 ' Mechanicsburg, PA 17050 Inquiries - 717 - 255 -8213 CUMBERLAND CO. SHERIFFS OFFICE CUMBERLAND COUNTY COURT HOUSE CARLISLE PA 17013 he atriot Now you know THE PATRIOT NEWS THE SUNDAY PATRIOT NEWS Proof of Publication Under Act No. 587, Approved May 16, 1929 Commonwealth of Pennsylvania, County of Dauphin} ss Marianne Miller, being duly sworn according to law, deposes and says: That she is the Assistant Controller of The Patriot News Co., a corporation organized and existing under the laws of the Commonwealth of Pennsylvania, with its principal office and place of business at 2020 Technology Pkwy, Suite 300, in the Township of Hampden, County of Cumberland, State of Pennsylvania, owner and publisher of The Patriot -News and The Sunday Patriot -News newspapers of general circulation, printed and published at 1900 Patriot Drive, in the City, County and State aforesaid; that The Patriot -News and The Sunday Patriot -News were established March 4th, 1854, and September 18th, 1949, respectively, and all have been continuously published ever since; That the printed notice or publication which is securely attached hereto is exactly as printed and published in their regular daily and /or Sunday/ Community Weekly editions which appeared on the date(s) indicated below. That neither she nor said Company is interested in the subject matter of said printed notice or advertising, and that all of the allegations of this statement as to the time, place and character of publication are true; and That she has personal knowledge of the facts aforesaid and is duly authorized and empowered to verify this statement on behalf of The Patriot -News Co. aforesaid by virtue and pursuant to a resolution unanimously passed and adopted severally by the stockholders and board of directors of the said Company and subsequently duly recorded in the office for the Recording of Deeds in and for said County of Dauphin in Miscellaneous Book "M ", Volume 14, Page 317. PSLICATION COPY 1 This ad ran on the date(s) shown below: 10/13/13 10/20/13 10/27/13 Swornto an subscribed before me is 11 day of Nove ber, 2013 A.D. ry Public COMMONWEALTH OF PENNSYLVANIA Notarial Seal Holly Lynn War'iol, Notary Public Washington Twp., Dauphin County My Commission Expires Dec. 12, 2016 MEMBER, PENNSYLVANIA ASSOCIAlin OF NOTARIES 2013-1668 Civil Term NMTIONSTAR MORTGAGE, LLC vs. PATRICIA L JORDAN Atty: Michael McKeever ALL THAT CERTAIN house and lot of ground situate on the West side of South _ Chestnut Street, in the Second Ward of the Borough of Mechanicsburg, County of Cumberland and State of Pennsylvania, bounded and described as follows, to wit: BEGINNING at a point in the Western line , of South Chestnut Street, at comer of Lot I formerly of John Geiger, later of Harry W. ' Mountz, and now of Robert Mumma; thence extending along the Western line of South Chestnut Street in a Souhwardly direction a ' distance of 64 feet, more or less, to a point at comer of Lot formerly of Frank L Mountz, now of RB. Groff; thence along the line of said Lot formerly of Frank L. Mountz, now of H.B. Groff in a Westwardly direction, a distance of 147 feet to a point in the Eastern line of public alley, thence extending along the Eastern line of said public alley in a Northwardly direction, a distance of 64 feet, more or Tess, 15- a point at corner of Lot formerly of Harry W. Mountz, now of Robert Mumma, aforementioned; thence along the line of said Lot now of Robert Mumma in an Eetwardly direction, a distance of 147 feet to a point in the Western line of South Chestnut Street, aforementioned, at the point and place of BEGINNING. HAVING THE/2EON ERECIED a frame dwelling house known and numbered as 18 South Chestnut Street (formerly numbered 16 -18 South Chestnut Street), Mechanicsburg, Pennsylvania. BEING FURTHER identified as 'Dix Parcel #17 -23 -0565 -245. IMPROVEMENTS consist of a residential MUNICIPALITY BOROUGH OF •MECHANICSBURG BEING PREMISES: 18 South Chestnut Street, Mechanicsburg PA 17055 ' SOLD as the- property of PATRICIA L. JORDAN TAX PARCEL #17 -23 -0565 -245 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND SS: I, Tammy Shearer, Recorder of Deeds in and for said County and State do hereby certify that the Sheriff's Deed in which Nationstar Mortgage LLc is the grantee the same having been sold to said grantee on the 4th day of December A.D., 2013, under and by virtue of a writ Execution issued on the 21st day of August, A.D., 2013, out of the Court of Common Pleas of said County as of Civil Term, 2013 Number 1668, at the suit of Nationstar Mortgage LLC against Patricia L. Jordan is duly recorded as Instrument Number 201406186. IN TESTIMONY WHEREOF, I have hereunto set my hand and seal of said office this day of , A.D. 0 Recorder of Deeds Recorder of Deeds, Cumberland County, Carlisle, PA My Commission Expires the First Monday of Jan. 2018