HomeMy WebLinkAbout13-5040 Supreme C « 'I ...,Pennsylvania
C:our . f Gem* n Pleas
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CLIMB County
The information collected on this form is used solely for court administration purposes. This form does not
supplement or replace the filing and service of leadin s or other a ers as required by law or rules of court.
s ; Commencement of Action:
® Complaint ❑ Writ of Summons ❑ Petition
❑ Transfer from Another Jurisdiction ❑ Declaration of Taking
Lead Plaintiffs Name: Lead Defendant's Name:
PORTFOLIO RECOVERY ASSOCIATES, LLC CHESTER J JUMPER
t
Are money damages requested? ® Yes ❑ No Dollar Amount Requested: X within arbitration limits
(Check one) —_ outside arbitration limits
Is this a Class Action Suit? ❑Yes ®No Is this an MDJAppeal? ❑Yes ®No
Name of Plaintiff /Appellant's Attorney: Robert N. Polas, Jr./ Carrie Brown/ Mark R. Garvey
\\ ❑ Check here if you have no attorney (are a Self - Represented [Pro Se] Litigant)
Nature of the Case Place an "X" to the left of the ONE case category that most accurately describes your
PRIMARY CASE. If you are making more than one type of claim, check the one that
you consider most important.
' z
•+ TORT (do not include Mass Tort) CONTRACT (do not include Judgments) CIVIL APPEALS
❑ Intentional ❑ Buyer Plaintiff Administrative Agencies
\g ,_ ❑
Malicious Prosecution ❑ Board of Assessment
¢5", ❑ Motor Vehicle C1 Debt Collection: Credit Card E] Board of Elections
❑ Nuisance ® Debt Collection: Other ❑ Dept. of Transportation
.>
❑ Premises Liability — _ —_ —__ _ ❑ Statutory Appeal: Other
❑ Product Liability (does not include
mass tort) ❑ Employment Dispute:
\� ❑ Slander/Libel /Defamation Discrimination ❑ Zoning Board
\�� ❑ Other: ❑ Employment Dispute: Other ❑ Other:
❑Other: ------ - - - - --
MASS TORT
❑ Asbestos
- 1 Tobacco REAL PROPERTY MISCELLANEOUS
F1 Toxic Tort - DES
❑ Ejectment ❑ Common Law /Statutory Arbitration
\ ❑ Toxic Tort - Implant
�\ ❑ Eminent Domain /Condemnation ❑Declaratory Judgment
❑
�\ Toxic Waste
\`
E] Other: El Ground Rent E] Mandamus
❑ Landlord /Tenant Dispute ❑ Non - Domestic Relations
t� —
��� � ❑Mortgage Foreclosure: Residential Restraining Order
- - -- ---- - - - - -- ❑ Mortgage Foreclosure: Commercial ❑ Quo Warranto
❑ Partition ❑ Replevin
\r \\ PROFESSIONAL LIABILITY ❑ Quiet Title ❑ Other:
❑ Dental ❑ Other:
❑Legal ----- - - - - -- -- -- - - - - -- F Medical
Medical - - - - - -- _ - --
❑ Other Professional:
al
13 -52369
Robert N. Polas, Jr., Esquire PA Bar # 201259
Carrie Brown, Esquire PA Bar # 94055
Mark R. Garvey, Esquire PA Bar # 312686 - f
Portfolio Recovery Associates, LLC
120 Corporate Blvd .• Ir i j;i it
;:
Norfolk, VA 23502 c t "' rr u .'- �;
TELE: 1- 866 - 428 -8102 F
FAX: (757) 518 -0860 . s , r , YL VC0 1UNTY 4 '
r, a�.
Attorneys for Plaintiff 5
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PA
CIVIL ACTION - LAW
PORTFOLIO RECOVERY ASSOCIATES, LLC
120 CORPORATE BLVD No �✓ C�l
NORFOLK, VA 23502 J 7 !�
Plaintiff,
V.
CHESTER J JUMPER
204 N PENN ST
SHIPPENSBURG PA 17257
Defendant.
NOTICE
You have been sued in Court. If you wish to defend against the claims set forth in the following pages,
you must take action withing twenty (20) days after this Complaint and Notice are served, by entering a
written appearance, personally or by an attorney, and filing in writing with the Court your defenses or
objections to the claims set forth against you. You are warned that if you fail to do so, the case may
proceed without you and a judgment may be entered against you by the Court without further notice of
any money claimed or any other claim or relief requested by the Plaintiff. You may lose money or
property rights important to you.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A
LAWYER, OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH
BELOW TO FIND OUT WHERE YOU CAN GET HELP. 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.
Lawyer Referral Service - CUMBERLAND County Bar Association
Cumberland County Bar Association
32 South Bedford Street
Carlisle, PA 17013 . \
(717) 249 -3166 J 1 C
13 -52369 n 1 1�3 - S�
el' JL 3 31 ve
is from a debt collector and is an atte to collect a debt. agy�
This commun p
Any information obtained will be used for that purpose.
Robert N. Polas, Jr., Esquire PA Bar # 201259
Carrie Brown, Esquire PA Bar # 94055
Mark R. Garvey, Esquire PA Bar # 312686
Portfolio Recovery Associates, LLC
120 Corporate Blvd
Norfolk, VA 23502
TELE: 1- 866 - 428 -8102
FAX: (757) 518 -0860
Attorneys for Plaintiff
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PA
CIVIL ACTION - LAW
PORTFOLIO RECOVERY ASSOCIATES, LLC
120 CORPORATE BLVD
NORFOLK, VA 23502
Demandante, No.
V.
CHESTER J JUMPER
204 N PENN ST
SHIPPENSBURG PA 17257
Demandado.
NOTICIA
USTED HA SIDO DEMANDADO/ A EN LA CORTE. Si usted desea defender conta la demanda puestas
en las siguientes paginas, usted tienen que tomar accion dentro veinte (20) dias despues que esta Demanda
y Aviso es servido, con entrando por escrito una aparencia personalmente o por un abogado y archivando
por escrito con la Corte sus defensas o obejciones a las demandas puestas en esta contra usted. Usted es
advertido que si falla de hacerlo el caso puede proceder sin usted y un juzgamiento puede ser entrado conta
usted por la Corte sin mas aviso por cualquier dinero reclamdo en la Demanda o por cualquier otro reclamo
o alivio solicitado por Demandante. Usted puede perder dinero o propiedad o otros derechos importante para
usted.
USTED DEBE LLEVAR ESTE PAPEL A SU ABOGADO ENSGUIDA. SI USTED NO TIENE UN
ABOGADO, VAYA O LAMME POR TELEFONO LA OFICINA FIJADA AQUI ABAJO. ESTA OFICINA
PUEDE PROVEERE CON INFORMACION DE COMO CONSEGUIR UN ABOGADO.
SI USED NO PUEDE PAGARLE A UN ABOGADO, ESTA OFICINA PUEDE PROVEERE
INFORMACION ACERCA AGENCIAS. QUE PEUDAN OFRECER SERVICIOS LEGAL A PERSONAS
ELGIBLE UN HONORARIO REDUCIDO O GRATIS.
Lawyer Referral Service - CUMBERLAND County Bar Association
Cumberland County Bar Association
32 South Bedford Street
Carlisle, PA 17013
(717) 249 -3166
13 -52369
Esta co imicacion es de un cobrador de deudas y es tin intent do cobrar una deuda.
Cualquier infrornaci.on sera utilizada para ese proposito.
Robert N. Polas, Jr., Esquire PA Bar # 201259
Carrie Brown, Esquire PA Bar # 94055
Mark R. Garvey, Esquire PA Bar # 312686
Portfolio Recovery Associates, LLC
120 Corporate Blvd
Norfolk, VA 23502
TELE: 1- 866 - 428 -8102
FAX: (757) 518 -0860
Attorneys for Plaintiff
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PA
CIVIL ACTION - LAW
PORTFOLIO RECOVERY ASSOCIATES, LLC
120 CORPORATE BLVD
NORFOLK, VA 23502
Plaintiff, No.
V.
CHESTER J JUMPER
204 N PENN ST
SHIPPENSBURG PA 17257
Defendant.
COMPLAINT
1. Plaintiff, Portfolio Recovery Associates, LLC is a Delaware Limited Liability Company with
offices located at 120 Corporate Blvd, Norfolk, VA 23502.
2. Defendant, CHESTER J JUMPER, is an adult individual with last known address of 204 N PENN
ST, SHIPPENSBURG PA 17257.
3. It is averred that Defendant was indebted to HSBC BANK NEVADA, N.A. / SEARS on
September 1, 2009 with account number * * * * * * * * * ** *8331 (hereafter referred to as "Account ").
A copy of the account history is attached here to and collectively marked as Exhibit "A."
4. By using the Account, Defendant agreed to repay any incurred balances and/or charges made to
the Account pursuant to the terms and conditions governing said Account. Failure to pay
Defendant's incurred charges on the Account is considered a default.
5. At all relevant times material hereto, Defendant has used said Account for the purchase of
products, goods and/or for obtaining services.
"t'his ccnninwilcatio7i is from a debt collector and is an attempt to collect a debt.
Any information obtained will be used for that purpose.
6. Defendant was provided with copies of the Statements of Account showing all debits and credits
for transactions on the aforementioned Account to which there was no bonafide objection by
Defendant.
7. Defendant was in default with respect to that debt for failure to make the required payments on the
Account. The last payment made on this Account was on August 3, 2010.
8. Plaintiff is the purchaser, assignee and /or successor in interest HSBC BANK NEVADA, N.A. /
SEARS and Plaintiff is now the holder of the Account. A true and correct copy of the Plaintiffs
verification is attached hereto and collectively marked as Exhibit "A."
9. As of the date within Complaint, the remaining balance due, owing and unpaid on Defendant's
Account, as a result of Defendant and /or any authorized user's use of said Account is in the sum of
$797.10.
10. Despite reasonable and repeated demands for payment. Defendant has refused and continues to
refuse to pay all sums due and owing on the aforementioned Account, all to the damage and
detriment of the Plaintiff.
11. The amount in controversy is within the jurisdictional amount requiring compulsory arbitration.
WHEREFORE, Plaintiff respectfully requests this Honorable court enter Judgment in favor of
Plaintiff and against Defendant, CHESTER J JUMPER, in the amount 7. 10, plus c this
action and any other relief as the Court deems just and reasonab
Carrie A. Brown, Esquire, # 94055
Robert N. Polas, Jr., Esquire, # 201259
Mark R. Garvey, Esquire, # 312686
Attorneys for Plaintiff
13 -52369
't'his communication is from a debt collector and is an attenipt to collect a debt.
Any i.nformat:ion obtained will be used for that purpose.
VERIFICATION
The undersigned Custodian of Records for Portfolio Recovery Associates, LLC,
Dwayne E. Davis hereby states that he /she is authorized to take this verification on behalf of
said Plaintiff in the within action and verifies that the statements made in the foregoing Complaint are
true and correct to the best of his /her knowledge, information, and belief, based upon information
provided by the Plaintiff.
The undersigned understands that false statements herein are made subject to the penalties of 18
Pa. C.S. Section 4904, relating to unsworn falsification to authorities.
Date: AUG 0 2 2013 By: A e
Dwayne E. Davis
Custodian of Records
13 -52369
This communication is from a debt collector and is an attempt to collect a debt.
Any information obtained will be used for that purpose.
X IBIT A
This communication is from a debt collector and is an attempt to collect a debt.
Any information obtained will be used for that purpose.
PORTFOLIO RECOVERY ASSOCIATES,.LLC
120. Corporate Blvd
Norfolk, VA 23502
Telephone: 1- 866 - 428 -8102
Fax: (757) 518 -0860
Statement of Account
Account: * * * * * * * * * ** *8331
CHESTER J JUMPER
Account Holder:
CHESTER J JUMPER
204 N PENN ST
SHIPPENSBURG PA 17257
Consumer Account Product Code: MC
Issuer: HSBC BANK NEVADA, N.A. / SEARS
Assignee: Portfolio Recovery Associates, LLC
Account Number: * * * * * * * * * ** *8331
Date Account Opened: September 1, 2009
Date of Last Payment: August 3, 2010
Date of Charge Off. March 31, 2011
Balance at Purchase: $797.10
Purchase Date: September 27, 2011
Balance at Charge -Off: $797.10
Less Payments: $.00
Balance Due: $797.10
13 -52369
HSBM38
This communication is from a debt collector and is an attempt to collect a debt.
Any information obtained will be used for that purpose.
AFFIDAVIT
State of Virginia
City of Norfolk ss.
I, the undersigned Dwayne E. Davis , Custodian of Records, for Portfolio Recovery Associates, LLC hereby
depose, affirm and state as follows:
1. I am competent to testify to the matters contained herein.
2. 1 am an authorized employee of Portfolio Recovery Associates, LLC, ( "Account Assignee ") which is doing
business at Riverside Commerce Center, 120 Corporate Blvd, Norfolk, VA 23502. I am familiar with the policies and
practices, as well as the books and records of Account Assignee with respect to the matters stated herein. This affidavit
is based upon my personal knowledge of Account Assignee's record keeping system and my review of Account
Assignee's records, including a review of the business records transferred to Account Assignee from HSBC BANK
NEVADA, N.A. / SEARS ( "Account Seller "), which have become a part of and have integrated into Account Assignee's
business records, in the ordinary course of business.
3. According to the business records, which are maintained in the ordinary course of business, the account, and all
proceeds of the account are now owned by the Account Assignee, all of the Account Seller's interest in such account
having been sold, assigned and transferred by the Account Seller on September 27, 2011. Further, the Account Assignee
has been assigned all of the Account Seller's power and authority to do and perform all acts necessary for the settlement,
satisfaction, compromise, collection or adjustment of said account, and the Account Seller has retained no further interest
in said account or the proceeds thereof, for any purpose whatsoever.
4. According to the records transferred to the Account Assignee from Account Seller, and maintained in the
ordinary course of business by the Account Assignee, there was due and payable from CHESTER J JUMPER ( "Debtor ")
to the Account Seller the sum of $797.10 with the respect to account number ending in * * * * * * * * * ** *8331., as of March
31, 2011 with there being no known un- credited payments, counterclaims or offsets against the said debt as of the date of
the sale.
5. According to the records of said Account Assignee, after all known payments, counterclaims, and/or setoffs
occurring subsequent to the date of sale, Account Assignee claims the sum of $797.10 as due and owing as of the date of
this affidavit.
6. Plaintiff believes that the defendant is not a minor or an incompetent individual, and declares that the Defendant
is not on active military service of the United States.
Portfo 'o Recovery Associates, LLC
' B Dwayne E . Davis , Custodian of Records
�9 scribed and sworn o efore on A % 0 2 2013 , 2013
Notary Public I Tavane C, Uzzle
0
�. Commonwealth of Virginia
13 -52369 Notary Public
-,r ;x Commission No. 302460
"} My Commission Expires 113112017
This communication is from a debt collecto and is an. atte €aapt to collect a dent.
Any information obtained will be used for that pulq.)ose.
EXHIBIT B
ASSIGNMENT AND BILL OF SALE
HSBC Bank Nevada, N.A. and HSBC Bank USA, N.A., (hereinafter called
"Seller") has entered into a Purchase and Sale Agreement as of May 16, 2011
( "Agreement ") for the sale of Accounts and Account Documents described
therein to Portfolio Recovery Associates, LLC., (hereinafter called "Purchaser"),
upon the terms and conditions set forth in that Agreement..
NOW THEREFORE, for good and valuable consideration, Seller hereby
sells, assigns, and transfers to Purchaser, its successors and assigns, all of
Seller's rights, title, and interest in each and every one of the Accounts described
in the Agreement and in Exhibit A attached hereto.
Purchaser and Seller agree that the Purchase Price shall be as stated in
Paragraph 3 of the Agreement.
IN WITNESS WHEREOF, Seller has signed and delivered this instrument
on the 27 of September, 2011.
HSBC Bank Nevada, N.A.
Signed By:
By: Stua Austin
Title: Assistant Vice President
HSBC Bank USA, N.A.
Signed By:
P
By: Stuart Austin
Title: Vice President
. 1�IS M / o►
. � 3
� �' 2
EXHIBIT B (Continued)
ASSIGNMENT AND BILL OF SALE
HSBC Receivables Acquisition Company I, HSBC Receivables Acquisition
Corporation (USA) III, HSBC Receivables Acquisition Corporation (USA) IV
(hereinafter collectively called "Seller") has entered into a Purchase and Sale
Agreement as of May 16, 2011 ( "Agreement") for the sale of Receivables
described therein to Portfolio Recovery Associates, LLC., (hereinafter called
"Purchaser"), upon the terms and conditions set forth in that Agreement.
NOW THEREFORE, for good and valuable consideration, Seller hereby
sells, assigns, and transfers to Purchaser, its successors and assigns, all of
Seller's rights, title, and interest in each and every one of the Receivables
described in the Agreement and in Exhibit A attached hereto.
Purchaser and Seller agree that the Purchase Price shall be as stated in
Paragraph 3 of the Agreement.
IN WITNESS WHEREOF, Seller has signed and delivered this instrument
on the 27' of September, 2011.
HSBC Receivables Acquisition
Company I, HSBC Receivables
Acquisition Corporation (USA) III, and
HSBC Receivables Acquisition
Corporation (USA) IV
Signed 8 ���7 - �
y
By: Stuart Austin
Title: Assistant Vice President
kI S 814 31 2 ��
SHERIFF'S OFFICE OF CUMBERLAND COUNTY
Ronny R Anderson �}
Sherifft'd1., - � 4Rtt
Jody S Smith
Chief Deputy . SEP '"6 Pli
Richard W Stewart A CQ�K�Y
Solicitor OPFIcEOFTFI S1-,ER1Fr CU-C gER SYE�AN�A
4. PENN
Portfolio Recovery Associates, LLC
Case Number
vs.
2013-5040
Chester J. Jumper
SHERIFF'S RETURN OF SERtiensb
08/27/2013 08:58 PM- Deputy Shawn Harrison, being duly sworn according to ested Complaint
& Notice by"personally" handing a true copy to a person represene the Defendant,
to wit: Chester J. Jumper at 204 N. Penn Drive, Shippensburg Tow , PA 17257.
DEPUTY
SHERIFF COST: $50.60 SO ANSWERS,
August 28, 2013 RON ~ R ANDERSON, SHERIFF
(c)CountySuite Sheriff,Teleosoft,Inc.
Carrie A. Brown, Esquire FRO HONO TAR Y
1,11;111 I 1 N:-A 2 N c:1 :i°
Robert N. Polas Jr, Esquire
Mark R. Garvey, Esquire
Attorney ID#94055/201259/312686
Portfolio Recovery Associates, LLC PENNSYLVANIA
120 Corporate Blvd
Norfolk, VA 23502
Attorneys for Plaintiff
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,PA
CIVIL ACTION -LAW
PORTFOLIO RECOVERY ASSOCIATES, LLC
120 CORPORATE BLVD
NORFOLK,VA 23502
Plaintiff No. 13-5040 Civil
v.
CHESTER J JUMPER
204 N PENN ST
SHIPPENSBURG PA 17257
Defendant
PRAECIPE TO DISCONTINUE
To the Prothonotary:
Please mark the above-entitled case as discontinued 'thout prejudice.
Resp s rni ted
ROP7-ert N. Polas, Jr., Esquire PA Bar#201259
Carrie Brown, Esquire PA Bar#94055
Mark R. Garvey, Esquire PA Bar#312686
Portfolio Recovery Associates,LLC
120 Corporate Blvd
Norfolk,VA 23502
TELE: 1-866-428-8102
FAX: (757) 518-0860
Attorneys for Plaintiff
13-52369
This communication is from a debt collector and is an attempt to collect a debt.
Any information obtained will be used for that purpose.
Carrie A. Brown, Esquire
'Robert N. Polas Jr, Esquire
Mark R. Garvey, Esquire
Attorney ID#94055/201259/312686
Portfolio Recovery Associates, LLC
120 Corporate Blvd
Norfolk,VA 23502
Attorneys for Plaintiff
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PA
CIVIL ACTION- LAW
PORTFOLIO RECOVERY ASSOCIATES, LLC •
120 CORPORATE BLVD •
NORFOLK, VA 23502 •
Plaintiff : No. 13-5040 Civil
v.
•
CHESTER J JUMPER •
204 N PENN ST
SHIPPENSBURG PA 17257 •
Defendant •
CERTIFICATE OF SERVICE
The undersigned does hereby certify that I served a copy of the foregoing Praecipe to Discontinue
upon CHESTER J JUMPER,by First Class Mail, Postage Pre-Paid, a copy thereof on this day of
10-e l. 2/to:
CHESTER J JUMPER, 204 N PENN ST, SHIPPENSBUR C ' 17257
13-52369 Robert N. Polas, Jr., Esquire PA Bar#201259
Carrie Brown, Esquire PA Bar#94055
Mark R. Garvey, Esquire PA Bar#312686
Portfolio Recovery Associates, LLC
120 Corporate Blvd
Norfolk, VA 23502
TELE: 1-866-428-8102
FAX: (757) 518-0860
Attorneys for Plaintiff
This communication is from a debt collector and is an attempt to collect a debt.
Any information obtained will be used for that purpose.