HomeMy WebLinkAbout13-4450 Supreme Court of Pennsylvania
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Courtiof Common Pleas
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C >lvilk& ef , Sheet For Prothonotary Use Only:
C � ;IVIBERUANDj1, County Docket No:
The, information collected on this form is used solely for court administration purposes. .This form does not
supplement or replace the filing and service ofpleadings or other papers as required by law or rules of court.
Commencement of Action:
S ® Complaint ❑ Writ of Summons ❑ Petition
❑ Transfer from Another Jurisdiction ❑ Declaration of Taking
E Lead Plaintiffs Name: US Bank National Association, as Trustee Lead Defendant's Name: Stephen B. Norford
C for J.P. Morgan Mortgage Acquisition Trust 2006 -WFi
T Are money damages requested ?: E] Yes ®No Dollar Amount Requested: within arbitration limits
I (Check one)
x outside arbitration limits
O
N Is this a Class Action Suit? ❑ Yes Z No Is this an MDJ Appeal? ❑ Yes ® No
Name of Plaintiff /Appellant's Attorney: Scott A. Dietterick, Esq. c/o Zucker, Goldberg & Ackerman, LLC
A ❑ Check here if you have no attorney (are a Self - Represented [Pro Se] Litigant)
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Updated 1/1//2011
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
062 -PA -V3
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
US BANK NATIONAL ASSOCIATION, AS TRUSTEE CIVIL DIVISION
FOR J.P. MORGAN MORTGAGE ACQUISITION NO.: wn C TRUST 2006 -WF1, ,
Plaintiff, TYPE OF PLEADING
VS.
CIVIL ACTION - COMPLAINT
Stephen B. Norford; Gail Norford; IN MORTGAGE FORECLOSURE
Defendants. FILED ON BEHALF OF:
US Bank National Association, as Trustee for
TO: DEFENDANTS J P Morgan Mortgage Acquisition Trust
YOU ARE HEREBY NOTIFIED TO PLEAD TO THE 2006 -WF1
ENCLOSED COMPLAINT WITHIN TWENTY (20) DAYS
FROM SERVICE HEREOF OR A DEFAULT JUDGMENT MAY BE
ENTERED AGAINST YOU. COUNSEL OF RECORD FOR THIS PARTY:
I HEREBY CERTIFY THAT THE ADDRESS
OFTHE PLAINTIFF IS: ZUCKER, GOLDBERG & ACKERMAN, LLC
3476 Stateview Blvd.
Ft. Mill, sc 29715 Scott A. Dietterick, Esquire c a C''
AND THE DEFENDANT: Pa. I.D. #55650 -" a -ws
�^
204 Clearview Road Kimberly A. Bonner, Esquire M ice;
New Cumberland, PA 17070 -2803 Pa. I.D. #89705'
Joel A. Ackerman, Esquire?_'
Pa I.D. #202729 - `"
--•? 1
Ashleigh Levy Marin, Esquire �� - �
CERTIFICATE OF LOCATION
I HEREBY CERTIFY THAT THE LOCATION OF
THE REAL ESTATE AFFECTED BY THIS LIEN IS Pa I.D. #306799
319 9th Street New Cumberland PA 17070 -1305 Ralph M. Salvia, Esquire
T s °�
Municipality: New Berland Pa I.D. #202946
Jaime R. Ackerman, Esquir --
Pa I.D. #311032
ATTO Y INT
,
ATTY ENO.: XCP 177964 200 Sheffield Street, Suite 101
Mountainside, NJ 07092
(908) 233 -8500
(908) 233 -1390 FAX
office@zuckergoldberg.com
File No.: XCP- 177964/rbo
0
C k fs�3�
IF THIS IS THE FIRST NOTICE THAT YOU HAVE RECEIVED FROM THIS OFFICE, BE ADVISED THAT:
PURSUANT TO THE FAIR DEBT COLLECTION PRACTICES ACT, 15 U.S.C. §1692 ET SEQ. (1977),
DEFENDANT(S) MAY DISPUTE THE VALIDITY OF THE DEBT OR ANY PORTION THEREOF, IF
DEFENDANT(S) DO SO IN WRITING WITHIN THIRTY (30) DAYS OF RECEIPT OF THIS PLEADING,
COUNSEL FOR PLAINTIFF WILL OBTAIN AND PROVIDE DEFENDANT(S) WITH WRITTEN VERIFICATION
THEREOF; OTHERWISE, THE DEBT WILL BE ASSUMED TO BE VALID. LIKEWISE, IF REQUESTED WITHIN
THIRTY (30) DAYS OF RECEIPT OF THIS PLEADING, COUNSEL FOR PLAINTIFF WILL SEND DEFENDANT(S)
THE NAME AND ADDRESS OF THE ORIGINAL CREDITOR, IF DIFFERENT FROM ABOVE.
THE LAW DOES NOT REQUIRE US TO WAIT UNTIL THE END OF THE THIRTY (30) DAY PERIOD
FOLLOWING FIRST CONTACT WITH YOU BEFORE SUING YOU TO COLLECT THIS DEBT. EVEN THOUGH
THE LAW PROVIDES THAT YOUR ANSWER TO THIS COMPLAINT IS TO BE FILED IN THIS ACTION
WITHIN TWENTY (20) DAYS, YOU MAY OBTAIN AN EXTENSION OF THAT TIME. FURTHERMORE, NO
REQUEST WILL BE MADE TO THE COURT FOR A JUDGMENT UNTIL THE EXPIRATION OF THIRTY (30)
DAYS AFTER YOU HAVE RECEIVED THIS COMPLAINT. HOWEVER, IF YOU REQUEST PROOF OF THE
DEBT OR THE NAME AND ADDRESS OF THE ORIGINAL CREDITOR WITHIN THE THIRTY (30) DAY PERIOD
THAT BEGINS UPON YOUR RECEIPT OF THIS COMPLAINT, THE LAW REQUIRES US TO CEASE OUR
EFFORTS (THROUGH LITIGATION OR OTHERWISE) TO COLLECT THE DEBT UNTIL WE MAIL THE
REQUESTED INFORMATION TO YOU. YOU SHOULD CONSULT AN ATTORNEY FOR ADVICE
CONCERNING YOUR RIGHTS AND OBLIGATIONS IN THIS SUIT.
IF YOU HAVE FILED BANKRUPTCY AND RECEIVED A DISCHARGE, THIS IS NOT AN ATTEMPT TO
COLLECT A DEBT. IT IS AN ACTION TO ENFORCE A LIEN ON REAL ESTATE.
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
US Bank National Association, as Trustee for J.P. CIVIL DIVISION
Morgan Mortgage Acquisition Trust 2006 -WF1
Plaintiff,
NO.:
VS.
Stephen B. Norford; Gail Norford;
Defendants.
NOTICE TO DEFEND
You have been sued in court. If you wish to defend against the claim set forth in the following pages,
you must take action within twenty (20) days after this complaint and notice are served, by entering a
written appearance personally or by attorney and filing in writing with the court your defenses or
objections to the claims set forth against you. You are warned that if you fail to do so the case may
proceed without you and a judgment may be entered against you by the court without further notice
for any money claimed in the complaint or for any other claim or relief requested by the plaintiff.
You may lose money or property or other rights important to you. YOU SHOULD TAKE THIS PAPER TO
YOUR LAWYER AT ONCE. IF YOU SHOULD NOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR
TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
NOTICE TO DEFEND & LAWYER REFERRAL SERVICE
NOTICE TO DEFEND LAWYER REFERRAL
Cumberland County Bar Association Cumberland County Bar Association
32 S. Bedford Street 32 S. Bedford Street
Carlisle, PA 17013 Carlisle, PA 17013
Phone (800) 990 -9108 Phone (800) 990 -9108
(717) 249 -3166 (717) 249 -3166
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
US Bank National Association, as Trustee for J.P. CIVIL DIVISION
Morgan Mortgage Acquisition Trust 2006 -WF1
Plaintiff, NO.:
vs.
Stephen B. Norford; Gail Norford;
Defendants.
AVISO
USTED HA SIDO DEMANDADO /A EN CORTE. Si usted desea defenderse de la demands establecida en
las siguientes paginas, debe tomar accion dentro de los proximos veinte (20) dias despues de la
notificacion de esta Demanda y Aviso respondiendo personalmente o por medio de un abogado una
comparecencia esc rita y radicando en la Corte por escrito sus defensas y objeciones a las demandas
establecidas en su contra. Se le advierte de que si usted falla en tomar accion como se describe
anteriormente, el caso puede proceder sin usted sin previo aviso y un fallo por cualquier suma de
dinero reclamada en la demanda 0 cua Iquier otra reclamacion o remedio solicitado por el
demandante, puede ser dictado en contra suva por la .Corte. Usted puede perder dinero o
propiedades u otros derechos importantes para usted.
USTED DEBE LLEVAR ESTE DOCUMENTO A SU ABOGADO INMEDIATAMENTE. SI LISTED NO TIENE UN
ABOGADO 0 NO PUEDE PAGAR UNO, LLAME 0 VAVA A LA SIGUEINTE OFICINA PARA AVERIGUAR
DONDE PUEDE ENCONTRAR ASISTENCIA LEGAL.
NOTICE TO DEFEND & LAWYER REFERRAL SERVICE
NOTICE TO DEFEND LAWYER REFERRAL
Cumberland County Bar Association Cumberland County Bar Association
32 S. Bedford Street 32 S. Bedford Street
Carlisle, PA 17013 Carlisle, PA 17013
Phone (800) 990 -9108 Phone (800) 990 -9108
(717) 249 -3166 (717) 249 -3166
k
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
US Bank National Association, as Trustee for J.P. CIVIL DIVISION
Morgan Mortgage Acquisition Trust 2006 -WF1
Plaintiff,
NO.:
vs.
Stephen B. Norford; Gail Norford;
Defendants.
CIVIL ACTION - COMPLAINT IN MORTGAGE FORECLOSURE
And now comes US Bank National Association, as Trustee for J.P. Morgan Mortgage
Acquisition Trust 2006 -WF1, by its attorneys, Zucker, Goldberg & Ackerman, LLC, and files this
Complaint in Mortgage Foreclosure as follows:
1. The Plaintiff is US Bank National Association, as Trustee for J.P. Morgan Mortgage
Acquisition Trust 2006 -WF1, (hereinafter "plaintiff ") c/o Wells Fargo Bank, NA, with its place of
business located at 3476 Stateview Blvd., Ft. Mill, SC 29715.
2. The Defendant, Stephen B. Norford, is an individual whose last known address is 204
Clearview Road, New Cumberland, PA 17070 -2803.
3. The Defendant, Gail Norford, is an individual whose last known address is 204
Clearview Road,'New Cumberland, PA 17070 -2803.
4. US Bank National Association, as Trustee for J.P. Morgan Mortgage Acquisition Trust
2006 -WF1, directly or through an agent, has possession of the Promissory Note. US Bank National
Association, as Trustee for J.P. Morgan Mortgage Acquisition Trust 2006 -WF1 is either the original
payee of the Promissory Note or the Promissory Note has been duly indorsed. A true and correct
copy of said Promissory Note is marked Exhibit A, attached hereto and made a part hereof.
5. On or about April 4, 2006, Stephen B. Norford and Gail Norford, husband and wife
made, executed and delivered to Wells Fargo Bank, N.A. a Mortgage in the original principal amount
of $100,500.00 on the premises described in the legal description marked Exhibit B, attached hereto
and made a part hereof. Said mortgage being recorded in the Office of the Recorder of Deeds of
Cumberland County on April 19, 2006, in Mortgage Book \Volume 1947, Page 1641. The mortgage is a
matter of public record and is incorporated herein by reference in accordance with Pa.R.C.P. 1019(g),
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
062 -PA -V3
which rule relieves the Plaintiff from its obligation to attach documents to pleadings if those
documents are of public record.
6. Plaintiff is the current Mortgagee. By Assignment of Mortgage recorded May 4,
2012, the mortgage was assigned to U.S. Bank National Association, as Trustee for J.P. Morgan
Mortgage Acquisition Trust 2006 -WF1 which assignment is recorded in the Office of the Recorder of
Deeds for Cumberland County, Instrument #201213226. The Assignment is a matter of public record
and is incorporated herein by reference in accordance with Pa.R.C.P. 1019(g), which rule relieves the
Plaintiff from its obligation to attach documents to pleadings if those documents are of public record.
7. Stephen B. Norford and Gail Norford is the record and real owner of the aforesaid
mortgaged premises.
8. Defendants are in default under the terms of the aforesaid Mortgage for, inter alia,
failure to pay the monthly installments of principal and interest due November 1, 2012.
9. As of 06/25/2013 the amount due and owing Plaintiff by Defendant(s) is as follows:
Principal $93,571.90
Interest through 06/25/2013 $5,448.42
Escrow Advance $3,251.97
Late Charges $110.00
Inspection Fees $105.00
Total $102,487.39
plus interest and all other additional amounts authorized under the Mortgage and Pennsylvania Law,
actually and reasonably incurred by Plaintiff, including but not limited to, costs (including escrow
advances) and Plaintiff's attorneys' fees and expenses. Plaintiff reserves the right to file a motion in
the above - captioned action to add such additional sums authorized under the Mortgage and
Pennsylvania Law to the above amount due and owing when incurred.
10. Notice of Intention to Foreclose as set forth in Act 6 of 1974, Notice of Homeowner's
Emergency Mortgage Assistance Program pursuant to Act 91 of 1983, as amended in 2008, and /or
Notice of Default as required by the mortgage document, as applicable, have been sent to the
Defendant(s).
11. This is an in rem action only against the aforesaid mortgaged premises. Plaintiff is
not seeking a judgment of personal liability against the Defendant(s), but reserves its right to do so in
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
062 -PA -V3
a separate legal action if such right exists. If Defendants) have received a discharge of personal
liability in a bankruptcy proceeding, this action is in no way an attempt to re- establish such liability.
WHEREFORE, Plaintiff demands an in rem judgment in mortgage foreclosure for the amount
due of $102,487.39 with interest thereon plus additional costs (including additional escrow
advances), additional attorneys' fees and costs and for foreclosure and sale of the mortgaged
premises.
ZUCKER, GOLDBERG C RMAN, LL
BY:
Dated: �`J Scott A. Dt t,.. 0 R , Esquire; PA I.D. #55650
J� Kimberly Bonner, Esquire; PA I.D. #89705
Joel A. Ackerman, Esquire; PA I.D. #202729
Ashleigh L. Marin, Esquire; PA I.D. #306799
Ralph M. Salvia, Esquire; PA I.D. #202946
Jaime R. Ackerman, Esquire; PA I.D. #311032—
Attorneys for Plaintiff
XCP- 177964/rbo
200 Sheffield Street, Suite 101
Mountainside, NJ 07092
(908) 233 -8500; (908) 233 -1390 FAX
Email: Office @zuckergoldberg.com
THIS IS AN ATTEMPT TO COLLECT A DEBT, AND ANY INFORMATION OBTAINED
WILL BE USED FO R THAT PURPOSE.
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
062 -PA -V3
EXHIBIT A
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
062 -PA -V3
FIXED RATE NOTE
APRIL 4. 2006 LEMOYNE PENNSYLVANIA
Da to c,ry stare
319 9TH STREET, NEW CUMBERLAND PA 17070
(Property Address)
1. BORROWER'S PROMISE TO PAY
In return for a loan that I have received, I promise to pay U.S. $ 100,500.00 (this amount is
called "Principal "), plus interest, to the order of the Lender. The Lender is
WELLS FARGO BANK, N.A.
I will make all payments under this Note in the form of cash, check or money order.
I understand that the Lender may transfer this Note. The Lender or anyone who takes this Note
by transfer and who is entitled to receive payments under this Note is called the "Note Holder."
2. INTEREST
Interest will be charged on unpaid principal until the full amount of Principal has been paid. I
will pay interest at a yearly rate of 7.950 %.
The interest rate required by this Section 2 is the rate I will pay both before and after any default
described in Section 6(B) of this Note.
3. PAYMENTS
(A) Time and Place of Payments
I will pay principal and interest by making a payment every month.
I will make my monthly payment on the first day of each month beginning on MAY 1, 2006
I will make these payments every month until I have paid all of the principal and interest and
any other charges described below that I may owe under this Note. Each monthly payment will be
applied as of its scheduled due date and will be applied to interest before Principal.
If, on APRIL 1, 2036 , 1 still owe amounts under this Note, I will pay those amounts in full
on that date, which is called the "Maturity Date."
I will make my monthly payments at WELLS FARGO BANK, N.A.
P.O. BOX 17339, BALTIMORE, MD 21297 -1339
or at a different place if required by the Note Holder.
(B) Amount of Monthly Payments
My monthly payment will be in the amount of U.S. $ 733.94
4. BORROWER'S RIGHT TO PREPAY
I have the right to make payments of Principal at any time before they are due. A payment of
Principal only is known as a "Prepayment." When I make a Prepayment, I will tell the Note Holder in
writing that I am doing so. I may not designate a payment as a Prepayment if I have not made all
the monthly payments due under the Note.
I may make a full Prepayment or partial Prepayments without paying a Prepayment charge. The
Note Holder will use all of my Prepayments to reduce the amount of Principal that I owe under this
Note. However, the Note Holder may apply my Prepayment to the accrued and unpaid interest on
the Prepayment amount, before applying my Prepayment to reduce the Principal amount of the
Note. If I make a partial Prepayment, there will be no changes in the due date or in the amount of
my monthly payment unless the Note Holder agrees in writing to those changes.
MULTISTATE FIXED NOTE • Single Family - FNMAIFHLMC UNIFORM INSTRUMENT FORM 3200 1101
1 of 3 EC011L REV. 04119102
J
5. LOAN CHARGES
If a law, which applies to this loan and which sets maximum loan charges, is finally interpreted so that
the interest or other loan charges collected or to be collected in connection with this loan exceed the
permitted limits, then: (a) any such loan charge shall be reduced by the amount necessary to reduce
the charge to the permitted limit; and (b) any sums already collected from me which exceeded
permitted limits will be refunded to me. The Note Holder may choose to make this refund by reducing
the Principal I owe under this Note or by making a direct payment to me. If a refund reduces Principal,
the reduction will be treated as a partial Prepayment.
6. BORROWER'S FAILURE TO PAY AS REQUIRED
(A) Late Charge for Overdue Payments
If the Note Holder has not received the full amount of any monthly payment by the end of 15
calendar days after the date it is due, I will pay a late charge to the Note Holder. The
amount of the charge will be 5.000% of my overdue payment of principal and interest. I will
pay this late charge promptly but only once on each late payment.
(B) Default
If I do not pay the full amount of each monthly payment on the date it is due, I will be in default.
(C) Notice of Default
If I am in default, the Note Holder may send me a written notice telling me that if I do not pay the
overdue amount by a certain date, the Note Holder may require me to pay immediately the full
amount of Principal which has not been paid and all the interest that I owe on that amount. That
date must be at least 30 days after the date on which the notice is mailed to me or delivered by
other means.
(D) No Waiver By Note Holder
Even if, at a time when I am in default, the Note Holder does not require me to pay immediately in
full as described above, the Note Holder will still have the right to do so if I am in default at a later
time.
(E) Payment of Note Holder's Costs and Expenses
If the Note Holder has required me to pay immediately in full as described above, the Note
Holder will have the right to be paid back by me for all of its costs and expenses in enforcing
this Note to the extent not prohibited by applicable law. Those expenses include, for example,
reasonable attorney's fees.
7. GIVING OF NOTICES
Unless applicable law requires a different method, any notice that must be given to me under this
Note will be given by delivering it or by mailing It by first class mail to me at the Property
Address above or at a different address if I give the Note Holder a notice of my different address.
Any notice that must be given to the Note Holder under this Note will be given by delivering it or by
mailing it by first class mail to the Note Holder at the address stated in Section 3(A) above or at a
different address if I am given a notice of that different address.
8. OBLIGATIONS OF PERSONS UNDER THIS NOTE
If more than one person signs this Note, each person is fully and personally obligated to keep all of
the promises made in this Note, including the promise to pay the full amount owed. Any person who is
a guarantor, surety or endorser of this Note is also obligated to do these things. Any person who
takes over these obligations, including the obligations of a guarantor, surety or endorser of this
Note, is also obligated to keep all of the promises made in this Note. The Note Holder may enforce
its rights under this Note against each person individually or against all of us together. This
means that any one of us may be required to pay all of the amounts owed under this Note.
9. WAIVERS
I and any other person who has obligations under this Note waive the rights of Presentment
and Notice of Dishonor. "Presentment" means the right to require the Note Holder to demand
payment of amounts due. "Notice of Dishonor" means the right to require the Note Holder to
give notice to other persons that amounts due have not been paid.
MULTISTATE FIXED NOTE - Single F2MIly - FNMA.!FHLMC UNIFORM INSTRUMENT FORM 3200 1 ;01
2 of 3 EC0111. REV. 04 119102
10. UNIFORM SECURED NOTE
This Note is a uniform instrument with limited variations in some jurisdictions. In addition to the
protections given to the Note Holder under this Note, a Mortgage, Deed of Trust or Security Deed (the
"Security Instrument "), dated the same date as this Note, protects the Note Holder from possible losses
which might result if I do not keep the promises which I make in this Note. That Security Instrument
describes how and under what conditions I may be required to make immediate payment in full of all
amounts that I owe under this Note. Some of those conditions are described as follows:
If all or any part of the Property or any Interest in the Property is sold or transferred (or
if Borrower is not a natural person and a beneficial interest in Borrower is sold or
transferred) without Lender's prior written consent, lender may require immediate payment in
full of all sums secured by this Security Instrument. However, this option shall not be
exercised by Lender if such exercise is prohibited by Applicable Law.
If Lender exercises this option, Lender shall give Borrower notice of acceleration. The notice
shall provide a period of not less than 30 days from the date the notice is given in accordance
with Section 15 within which Borrower must pay all sums secured by this Security Instrument.
If Borrower fails to a thes su s rjor to the expiration of thi eriod, Lender may,
any remedies perm�tt�d by t ec�irity Instrument without furtUr notice or demand on
Borrower.
I
NAy rain
1iAP.a0 F3c�f;�', Af.
WITNESS THE HAND(S) AND SEAL(S) OF THE UNDERSIGNED. 13 Y �::, f1?; ✓�- A.
an M. vi ce Pres
i
(Seal)
OA6 - orrowe r
(Sign Original Only)
MULTISTATE FIXED NOTE - Single Family - FNMA)FHLMC UNIFORM INSTRUMENT FORM 3200 1101
3 of 3 EC011L REV. W24102
EXHIBIT B
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
062 -PA -V3
ALL THAT CERTAIN piece or parcel of land situate in the Borough of New Cumberland (formerly Lower
Allen Township), County of Cumberland and State of Pennsylvania, more partioularly bounded and described as
follows, to wit:
BEGINNING at a point on the northern side of Ninth Street at the dividing line between Lots Nos. 40 and 41 on
the hereinafter mentioned Plan of Lots; thence along said dividing line in a northwardly direction a distance of
one hundred (100) feet to a point; thence in a westwardly direction a distance of seventy-two (72) feet to the
dividing line between Lots Nos. 38 and 39 on the hereinafter mentioned Plan of Lots; thence by said dividing line
in a southwardly direction a distance of one hundred (100) feet to the northern side of Ninth Street; thence along
the northern side of Ninth Street a distance of seventy-two (72) feet in an outwardly direectton to the dividing
line between Lots Nos. 40 and 41 on the hereinafter mentioned Plan of Lots at the point or place of
BEGINNING.
BEING Lots Nos. 39 and 40 on the Plan of Elkwood as recorded in the Cumberland County Recorder's Office in
Deed Book' 11T', Volume 5, Page 498.
HAVING THERON ERECTED a one and one -half (1 ''/2) story block dwelling and garage known and
numbered as 319 Ninth Street, New Cumberland, Pennsylvania.
l 947?G 16.64
VERIFICATION
Steve DeFurio hereby states that e/ he is Vice President Loan Documentation of
WELLS FARGO BANK, N.A., mortgage servicing agent for plaintiff in this matter that ie he is
authorized to 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 is er 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.
Further, due to its mortgage servicing agency relationship with plaintiff, WELLS
FARGO BANK, N.A. is in possession and control of all documents and records supporting the
statements in the foregoing pleading and, therefore, the undersigned, rather than an officer or
employee of plaintiff, is the appropriate individual to make this Verification pursuant to
Pa.R.C.P. 1024(c).
r
ame: Steve DeFurio
Title: Vice President Loan Documentation
Company: Wells Fargo Bank N.A.
Date: 07 /17/2013
085 -PA -V2 File # 177964
A.
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
US Bank National Association, as Trustee for J.P. CIVIL DIVISION
Morgan Mortgage Acquisition Trust 2006 -WF1
Plaintiff, NO..
-.
Stephen B. Norford; Gail Norford;
Defendants.
: 4n
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 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.
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
IF YOU WISH TO SAVE YOUR HOME, YOU MUST ACT QUICKLY AND TAKE THE STEPS REQUIRED
BY THIS NOTICE. TIDS PROGRAM IS FREE.
ZUCKER, GOLDBERG & AC RMAN, LLC Af
By:
Dated: Julys, 2013 Scott A. Diette '.ck, PA I.D. #55650
Kimberly A. Bonner, Esquire; PA I.D. #89705
Joel A. Ackerman, Esquire; PA I.D. #202729
Ashleigh L. Marin, Esquire; PA I.D. #306799
Ralph M. Salvia, Esquire; PA I.D. #202946
Jaime R. Ackerman, Esquire; PA I.D. #311032
Attorneys for Plaintiff
XCP- 177964/emed
200 Sheffield Street, Suite 101
Mountainside, NJ 07092
(908) 233 -8500; (908) 233 -1390 FAX
Email: Office @zuckergoldberg.com
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
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 possible options while working with your
Please provide the following information to the best of your knowledge:
CUSTOMER/PRI
Borrower name(s):
Property Address:
City: State: Zip:
Is the property for sale? Yes ❑ 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?
CO-BORROWER
Mailing Address:
City: State: Zip:
Phone Numbers: Home: Office:
Cell: Other:
Email:
# of people in household: How long?
FINANCIAL INFORMATION
First Mortgage Lender:
Type of Loan:
Loan Number: Date you closed your loan:
Second Mortgage Lender:
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 ❑
If yes, provide names, location of court, case number & attorney:
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
Assets Amount Owed Value:
Home: $ $
Other Real Estate: $ $
Retirement Funds: $ $
Investments: $ $
Checking: $ $
Savings: $ $
Other: $ $
Automobile #1 : Model: Year:
Amount owed: Value:
Automobile #2 : Model: Year:
Amount owed: Value:
Monthly Income
Name of Employers:
1.
2.
3.
Additional Income Description (not wages):
1• Monthly amount:
2• Monthly amount:
Borrower Pay Days: Co- Borrower Pay Days:
Monthly Expenses (Please only include expenses you are currently paying)
EXPENSE AMOUNT EXPENSE AMOUNT
Mortgage Food
2 "d Mortgage Utilities
Car Payment(s) Condo /Neigh. Fees
Auto Insurance Med. (not covered)
Auto fuel /repairs Other prop. payment
Install. Loan Payment Cable TV
Child Support/Alim. Spending Money
Day /Child Care /Tuft. Other Expenses
Amount Available for Monthly Mortgage Payments Based on Income & Expenses:
Have you been working with a Housing Counseling Agency?
Yes ❑ No ❑
If yes, please provide the following information:
Counseling Agency:
Counselor:
Phone (Office): Fax:
Email:
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
Have you made application for Homeowners Emergency Mortgage Assistance Program
(HEMAP) assistance?
Yes ❑ No ❑
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 ❑
If yes, please indicate the status of those negotiations:
Please provide the following information, if known, regarding your lender or lender's loan servicing
company:
Lender's Contact (Name): Phone:
Servicing Company (Name):
Contact: Phone:
AUTHORIZATION
I /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. I /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:
V Proof of Income
V Past 2 bank statements
V Proof of any expected income for the last 45 days
V Copy of current utility bill
V Letter explaining reason for delinquency and any supporting documentation (hardship letter)
V Listing agreement (if property is currently on the market)
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
US Bank National Association, as Trustee for J.P. CIVIL DIVISION
Morgan Mortgage Acquisition Trust 2006 -WF1
Plaintiff, NO.:
VS.
Stephen B. Norford; Gail Norford;
Defendants.
REQUEST FOR CONCILIATION CONFERENCE
Pursuant to the Administrative Order dated February 28, 2012 governing the Cumberland
County Residential Mortgage Foreclosure Diversion Program, the undersigned hereby certifies
as follows:
1. Defendant is the owner of the real property which is the subject of this mortgage
foreclosure action;
1. Defendant lives in the subject real property, which is defendant's primary residence;
2. Defendant has been served with a "Notice of Residential Mortgage Foreclosure Diversion
Program" and has taken all of the steps required in that Notice to be eligible to participate in
a court - supervised conciliation conference.
The undersigned verifies that the statements made herein are true and correct. I understand
that false statements are made subject to the penalties of 18 Pa.C.S. § 4904 relating to unworn
falsification to authorities.
Signature of Defendant's Counsel /Appointed Date
Legal Representative
Signature of Defendant Date
Signature of Defendant Date
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
US Bank National Association, as Trustee for J.P. CIVIL DIVISION
Morgan Mortgage Acquisition Trust 2006 -WF1
Plaintiff, NO.:
vs.
Stephen B. Norford; Gail Norford;
Defendants.
CASE MANAGEMENT ORDER
AND NOW, this day of ,20 ,the defendant /borrower in the above -
captioned residential mortgage foreclosure action having filed a Request for Conciliation Conference
verifying that the defendant /borrower has complied with the Administrative Rule requirements for the
scheduling of a Conciliation Conference, it is hereby ORDERED AND DECREED that:
1. The parties and their counsel are directed to participate in a court - supervised conciliation
Conference on at M. in at the
Cumberland County Courthouse, Carlisle, Pennsylvania.
1. At least twenty -one (21) days prior to the date of the Conciliation Conference, the
defendant /borrower must serve upon the plaintiff /lender and its counsel a copy of the
"Cumberland County Residential Mortgage Foreclosure Diversion Program Financial Worksheet"
(Form 2) which has been completed by the defendant /borrower. Upon agreement of the parties
in writing or at the discretion of the Court, the Conciliation Conference ordered may be
rescheduled to a later date and /or the date upon which service of the completed Form 2 is to be
made may be extended. Upon notice to the Court of the defendant /borrower's failure to serve
the completed Form 2 within the time frame set forth herein or such other date as agreed upon
by the parties in writing or ordered by the Court, the case shall be removed from the
Conciliation Conference schedule and the temporary stay of proceedings shall be terminated.
2. The defendant /borrower and counsel for the parties must attend the Conciliation Conference in
person and an authorized representative of the plaintiff /lender must either attend the
Conciliation Conference in person or be available by telephone during the course of the
Conciliation Conference. The representative of the plaintiff /lender who participates in the
Conciliation Conference must possess the actual authority to reach a mutually acceptable
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
resolution, and counsel for the plaintiff /lender must discuss resolution proposals with the
authorized representative in advance of the Conciliation Conference. If the duly authorized
representative of the plaintiff /lender is not available by telephone during the Conciliation
Conference, the Court will schedule another Conciliation Conference and require the personal
attendance of the authorized representative of the plaintiff /lender at the rescheduled
Conciliation Conference. ,
3. At the Conciliation Conference, the parties and their counsel shall be prepared to discuss and
explore all available resolution options which shall include: bringing the mortgage current
through a reinstatement; paying off the mortgage; proposing a forbearance agreement or
repayment plan to bring the account current over time; agreeing to tender a monetary payment
and to vacate in the near future in exchange for not contesting the matter; offering the lender a
deed in lieu of foreclosure; entering into a loan modification or a reverse mortgage; paying the
mortgage default over sixty months; and the institution of bankruptcy proceedings.
4. All proceedings in this matter are stayed pending the completion of the scheduled conciliation
conference.
BY THE COURT,
J.
Zucker, Goldberg & Ackerman, LLC
XCP- 177964
SHERIFF'S OFFICE OF CUMBERLAND COUNTY
Ronny R Anderson 'S,n
Sheriff d n �7
Jody S Smith 0ti
4Saw t� OfUralfte , 4 Ur 1 (1� i',R
Chief Deputy C>-.
� 20!3 AUG 16 Ali 0, 0-1
Richard W Stewart �`���' "
Richard
OFFICE rr +MrIr- i"�.MBER�..r�ND COUKTY
US Bank National Association
vs Case Number
Stephen B Norford (et al.) 2013-4450
SHERIFF'S RETURN OF SERVICE
08/0712013 Ronny R Anderson, Sheriff, being duly sworn according to law, states he made diligent search and inquiry
for the within named Defendant to wit: Gail Norford, but was unable to locate the Defendant in his
bailiwick. The Sheriff therefore returns the within requested Notice of Residential Mortgage Foreclosure
Diversion Program and Complaint in Mortgage Foreclosure as"Not Found"at 319 9th Street, New
Cumberland Boro, New Cumberland, PA 17070. Defendant resides in York County.
08/1212013 05:55 PM- Deputy Amanda Cobaugh, being duly sworn according to law, served the requested Notice of
Residential Mortgage Foreclosure Diversion Program and Complaint in Mortgage Foreclosure by handing
a true copy to a person representing themselves to be Rebecca Adey, current tenant,who accepted as
"Adult Person in Charge"for Occupant at 319 9th Street, New Cumberland Boro, New Cumberland, PA
17070.
AMANDA COBAUGH, DEPUTvj
08/1212013 07:15 PM-Deputy Amanda Cobaugh, being duly sworn according to law, served the requested Notice of
Residential Mortgage Foreclosure Diversion Program and Complaint in Mortgage Foreclosure by handing
a true copy to a person representing themselves to be Pam LaBarre, wife,who accepted as"Adult
Person in Charge"for Stephen B Norford at 87 Oneida Road, Lower Allen, Camp Hill, PA 17011.
f
AMANDA COBAUGH, btPutj
SHERIFF COST: $96.16 SO ANSWERS,
August 14, 2013 RON WR ANDERSON, SHERIFF
{c?CountySu to Sheriff,Teteosott,Inc,
•
r r
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
US Bank National Association, as Trustee for J.P. CIVIL DIVISION
•
Morgan Mortgage Acquisition Trust 2006-WF1
•
Plaintiff, NO.: 2013-04450
vs. -c r_^
•
Stephen B. Norford; Gail Norford; ' `
(r) W
•
•
Defendants.
•
PRAECIPE TO SETTLE, DISCONTINUE AND END
TO THE PROTHONOTARY:
Please mark the case filed at the above-captioned term and number SETTLED, DISCONTINUED
and ENDED,without prejudice.
Respectfully Submitted:
ZUCKER,GOLDBERG &ACKE• A N, LLC
BY:
Scott A. Dietteri, , Esquire; PA I.D.#55650
Kimberly A. Bonner, Esquire; PA I.D. #89705
Joel A.Ackerman, Esquire; PA I.D.#202729
Ashleigh L. Marin, Esquire; PA I.D.#306799
Ralph M.Salvia, Esquire; PA I.D.#202946
Jaime R.Ackerman, Esquire; PA I.D.#311032•—
Jana Fridfinnsdottir, Esquire; PA I.D.#315944
Attorneys for Plaintiff
XCP-177964/dcr
200 Sheffield Street,Suite 101
Mountainside, NJ 07092
(908) 233-8500; (908) 233-1390 FAX