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HomeMy WebLinkAbout13-6120 Supreme Court of Pemisylvania Cou l �tom { n Pleas -- -- - ° 1-or Prothonotan,- Use Onh ^_ CU a and County an 1 S'T,I�fp 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: ® Complaint ❑ Writ of Summons ❑ Petition S ❑ Transfer from another Jurisdiction ❑ Declaration of Takin E Lead Plaintiff Name: Lead Defendant's Name: C U.S. BANK NATIONAL ASSOCIATION, AS TRUSTEE JAMES E. JOHANSEN, JR. OF THE SECURITY NATIONAL MORTGAGE LOAN T TRUST 2005 -1 I Dollar Amount Requested within arbitration limits p Are money Damages requested ?: ❑ Yes ® No (Check one) outside arbitration limits Is this a Class Action Suit? ❑ Yes ® NO Is this an MDJ Appeal? ❑ Yes ® NO A Name of Plaintifflappellant's Attorney: KML LAW GROUP, P.C. ❑ Check here if you 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. TORT (do not include Mass Tort) CONTRACT (do not include Judgments) CIVIL APPEAL ❑ Intentional ❑ Buyer Plaintiff Administrative Agencies ❑ Malicious Prosecution ❑ Debt Collection: Credit Card ❑ Board of Assessment ❑ Motor Vehicle ❑ Debt Collection: Other ❑ Board of Elections ❑ Nuisance ❑ Dept. of Transportation ❑ Premises Liability ❑ Zoning Board ❑ Product Liability (does not include ❑ Statutory Appeal: Other E. mass tort) ❑ Employment dispute: c ❑ Slander /Libel Defamation Discrimination ❑ Other ❑ Employment Dispute: Other T ❑ Other: Q MASS TORT ❑ Other N ❑ Asbestos ❑ Tobacco ❑ Toxic Tort -DES REAL PROPERTY MISCELLANEOUS ❑ Toxic Tort - Implant © Ejectment ❑Common Law /Statutory ❑ Toxic Waste B ❑ Other ❑ Eminent Domain /Condemnation Arbitration • Ground Rent ❑ Declaratory Judgment • Landlord/Tenant Dispute ❑ Mandamus • Mortgage Foreclosure: Residential ❑ Non- Domestic Relations PROFESSIONAL LIABILITY ❑ Mortgage Foreclosure: Commercial Restraining Order ❑ Dental ❑ Partition ❑ Quo Warranto ❑ Legal ❑ Quiet title ❑ Replevin ❑ Medical ❑ Other Professional: ❑ Other ❑ Other Pa.RC.P. 205.5 Updated 1/1/2011 IN PRO] 7313 OCT 18 AH 11: 06 KML LAW GROUP, P.C. CUMBERLAND COUNTY Suite 5000 BNY Independence Center PENNSYLVANIA 701 Market Street Philadelphia, PA 19106 (215) 825 -6319 Attorney for Plaintiff U.S. BANK NATIONAL ASSOCIATION, AS TRUSTEE OF THE SECURITY NATIONAL MORTGAGE LOAN TRUST 2005 -1 323 5th Street PO Box 35 Eureka, CA 95502 Plaintiff IN THE COURT OF COMMON PLEAS OF Cumberland COUNTY vs. CIVIL ACTION - LAW JAMES E. JOHANSEN, JR. and OCCUPANTS ACTION OF EJECTMENT 407 East Main Street Mechanicsburg, PA 17055 Term Defendants N 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 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 TO FIND OUT WHERE YOU CAN GET LEGAL HELP. CUMBERLAND COUNTY BAR ASSOCIATION 2 Liberty Avenue, Carlisle, PA 17013 C� LEGAL SERVICES INC aV�� \b31S7 8 Irvine Row, Carlisle, PA 17013 717-243-9400 ^ 1 U g S� AVISO LE HAN DEMANDADO A USTED EN LA CORTE. SI DESEA DEFENDERSE CONTRA LAS QUEJAS PERESENTADAS, ES ABSOLUTAMENTE NECESSARIO QUE USTED RESPONDA DENTRO DE 20 DIAS DESPUES DE SER SERVIDO CON ESTA DEMANDA Y AVISO. PARA DEFENDERSE ES NECESSARIO QUE USTED, O SU ABOGADO, REGISTRE CON LA CORTE EN FORMA ESCRITA, EL PUNTO DE VISTA DE USTED Y CUALQUIER OBJECCION CONTRA LAS QUEJAS EN ESTA DEMANDA. RECUERDE: SI USTED NO REPONDE A ESTA DEMANDA, SE PUEDE PROSEGUIR CON EL PROCESO SIN SU PARTICIPACION. ENTONCES, LA COUTE PUEDE, SIN NOTIFICARIO, DECIDIR A FAVOR DEL DEMANDANTE Y REQUERIRA QUE USTED CUMPLA CON TODAS LAS PROVISIONES DE ESTA DEMANDA. POR RAZON DE ESA DECISION, ES POSSIBLE QUE USTED PUEDA PERDER DINERO, PROPIEDAD U OTROS DERECHOS IMPORTANTES. LLEVE ESTA DEMANDA A UN ABOGADO IMMEDIATEAMENTE. SI NO CONOCE A UN ABOGADO, LLAME AL "LAWYER REFERENCE SERVICE" (SERVICIO DE REFERENCIA DE ABOGADOS), (215) 238 -6300. CUMBERLAND COUNTY BAR ASSOCIATION 2 Liberty Avenue, Carlisle, PA 17013 LEGAL SERVICES INC 8 Irvine Row, Carlisle, PA 17013 717- 243 -9400 COMPLAINT IN EJECTMENT 1. Plaintiff is U.S. BANK NATIONAL ASSOCIATION, AS TRUSTEE OF THE SECURITY NATIONAL MORTGAGE LOAN TRUST 2005 -1, with an address of 323 5th Street, PO Box 35, Eureka, CA 95502. 2. Defendants are JAMES E. JOHANSEN, JR., and OCCUPANTS. 3. The Defendants, JAMES E. JOHANSEN, JR. and OCCUPANTS, occupy the property located at 407 East Main Street, Mechanicsburg, PA 17055 ( "the Property ") and do so without right, and so far as the Plaintiff is informed, without claim of title. 4. Plaintiff is the owner of the Property by virtue of a Deed from the Sheriff of Cumberland County to Plaintiff that was recorded on 2/26/2013 at Instrument # 201306304 in the Recorder's Office of Cumberland County. A true and correct copy of the Sheriff s Deed containing the description of the Property is attached to this Complaint. 5. Plaintiff is entitled to immediate possession of the Property. 6. Plaintiff has demanded possession of the Property from the Defendants who have refused to deliver up possession. WHEREFORE, Plaintiff requests judgment for possession of the Property. By: KML LAW GROUP, Jay E. Kivitz .Pa. ID 2 Michael McKeever Pa. ID 56129 Lisa Lee Pa. 1D 78020 Kristina Murtha Pa. 1D 61858 David Fein Pa. ID 82628 Thomas Puleo Pa. ID 27615 Attorneys for Plaintiff 7 16 51391 VERIFICATION Audra Daniels herby states that she is a Asset Manager of SN Servicing Corporation servicing agent for the Plaintiff in this matter, U.S. BANK NATIONAL ASSOCIATION, AS TRUSTEE OF THE SECURITY NATIONAL MORTGAGE LOAN TRUST 2005 -1, and that all of the facts set forth in the attached Plaintiff s Complaint are true and correct to the best of his/her information and belief. The undersigned understands that statements herein are made subject to the penalties of 18 P.S. §4904. SN SERVICING C RATI N B Printed Name: /SgtW - 7�)6WI Title: i4 f,'ana FILE#: 118842EJ REO ID #: PROPERTY: 407 East Main Street Mechanicsburg PA 17055 DEFENDANT: JOHANSEN, JR., JAMES E. EXHIBIT "A" SHERIFF' S DEED FILE #: 118842EJ PROPERTY: 407 East Main Street Mechanicsburg PA 17055 i 002WZZ ' Tax Parcel No. 18 -23 -0565 -158 U 5 Know all Men by these Presents q That I, Ronny R. Anderson, Sheriff of the County of Cumberland, In the State of Pennsylvania, for and in consideration of the sum of S 1.00 (One Dollar) to me in hand paid, do hereby grant and convey to U.S. Bank National Association, As Trustee of The Security National Mortgage Loan Trust 2005 -1 Writ No. 2012 -610 Civil Term U.S. Sank National Association, As Trustee of The Security National Mortgage Loan Trust 2005 -1 Vs James E. Johansen, Jr. ALL that lot, piece or parcel of land situate in the Borough Of Mechanicsburg, County of Cumberland and Commonwealth of Pennsylvania, being more particularly described as follows. BEGINNING at a point on the Northern right of way line of East Main Street, which point is 11.00 feet North of the curb line of said East Main Street and which point is also 117.10 feet East Of the Eastern curb line of Chestnut Street, thence extending along land now or late of Emma L. Ritter and passing through the center of a partition wall, North 27 degree 30 minutes West 107.80 feet to a point in line of land of Penn Central Railroad Company, thence along the same North 72 degrees 41" 53" East 26.87 feet to a corner of land now or late of the Hellenberger Estate, thence along the same, South 25 degrees 35' 30" East, 103.10 feet to a point on the Northern right of way line of East Main Street aforesaid, thence along the same, South 62 degrees 30' West 23.00 feet to the point and place of beginning. TAX PARCEL K: 23 -0565 -0158 BEING KNOWN AS: 407 East Main Street, Mechanicsburg, PA 17055 Being the same premises by deed dated 9/28/89, given by William Clarence Ensminger and Ki Joyce Ensminger, his wife to James E. Johansen Jr. and recorded 9/28/89 in Book E34 Page 748. I i The same having been sold by me to the said grantee on the 5th day of December Anno Domini Two Thousand and Twelve (2012) after due advertisement according to law, under and by Virtue of a Writ of Execution issued on the 18th of July Anno Domini 2012 out of the Court of Common Pleas of Cumberland County, Pennsylvania, as of Civil Tenn, Two Thousand and Twelve (2012) Number 610 at the suit of U.S. Bank National Association, As Trustee of The Security National Mortgage Loan Trust 2005 -1 —vs- James E. Johansen, Jr. i In Witness Whereof, I have hereunto affixed my signature this 4 th d of February j Anno Domini Two Thousand and Thirteen (2013) y Anderson, Sheriff Commonwealth of Pennsylvania, ss. County of Cumberland Before the undersigned, David D. Buell, Prothonotary of the Court of Common Pleas of Cumberland County, Pennsylvania, personally appeared Ronny R. Anderson, Sheriff of Cumberland County aforesaid, and in due form of law declared that the facts Set forth in the foregoing Deed are true, and that he acknowledged the same in order that Said decd might be recorded. Witness my hand and seal of said Court, this 4th day Of February Anno Domini Two Thousand and Thirteen (2013) 1 ..r thonotaq,," ;'L t ..... .1 •.,, Vrothonota[x Cntr�rad d tY'' �Et dw My Commii3ia kpphes3h Qr ► X14 I hexaAy: cart .t t i�i�ri And Post. c d esS UK �. Within Crrantee� 7 ! j `;A 323 5 Street ��� P.O. Box 35 Eureka, CA 95502 Richard W. Stewart Solicitor ... . .. .. __...... .. I... •. ... ... : .._ . ....... .. _ . . ........ .. ...... ROBERT P. ZIEGLER RECORDER OF DEEDS . CUMBERLAND COUNTY 1 COURTHOUSE SQUARE' Q . CARLISLE, PA 17013 m a 717 -240 -6370_ ' Instrument Number - 201306304 Recorded On 2/26/2013 At 11:30:19 AM * Total Pages - 5 • Instrument Type - DEED - SHERIFF'S Invoice Number - 130263 User ID - SW • Grantor - U S BANK N A • Grantee - JOHANSEN, JAMES E JR • Customer - CUMBERLAND COUNTY SHERIFF * FEES STATE WRIT TAX $0.50 Certification Page STATE JCS /ACCESS TO $23.50 JUSTICE DO NOT DETACH RECORDING FEES - $12.50 RECORDER OF DEEDS This a e is now art PARCEL CERTIFICATION $10.00 P g P FEES of this legal document. AFFORDABLE HOUSING $11.50 COUNTY ARCHIVES FEE, $2.00 ROD ARCHIVES FEE $3.00 MECHANICSBURG SCHOOL $0.00 DISTRICT MECHANICSBURG BOROUGH $0.00 TOTAL PAID $63.00 I Certify this to be recorded in Cumberland County PA �y Of a Mel o RECORDER O 47EDS f750 * - Information denoted by an asterisk may change during i the verification process and may not be reflected on this page. i 002W2Z 111 lllllllllll ll111111111111 KML LAW GROUP,P.C. Suite 5000-BNY Independence Center ME 701 Market Street OF t E PROTHONQ jAW Philadelphia,PA 19106-1532 215-825-6319 20;1;3 DEC i I PM 3: 33 Attorney for Plaintiff U.S.BANK NATIONAL ASSOCIATION,AS TRUSTEE PENNSYLVANIA OF THE SECURITY NATIONAL MORTGAGE LOAN IN THE COURT OF COMMON TRUST 2005-1 PLEAS 323 5th Street PO Box 35 of Cumberland County Eureka,CA 95502 Plaintiff CIVIL ACTION-LAW vs. ACTION OF EJECTMENT JAMES E.JOHANSEN,JR. and OCCUPANTS 407 East Main Street Term Mechanicsburg,PA 17055 No. 13-6120 Civil Defendants PRAECIPE FOR CONSENT JUDGMENT IN EJECTMENT Kindly enter Judgment in Ejectment in favor of the Plaintiff,U.S. BANK NATIONAL ASSOCIATION,AS TRUSTEE OF THE SECURITY NATIONAL MORTGAGE LOAN TRUST 2005-1 and against the Defendants JAMES E. JOHANSEN,JR. and OCCUPANTS in accordance with the attached consent judgment dated September 11, 2013. I hereby certify that the above names are correct and that the precise residence address of the judgment creditor is U.S.BANK NATIONAL ASSOCIATION,AS TRUSTEE OF THE SECURITY NATIONAL MORTGAGE LOAN TRUST 2005-1, 323 5th Street,PO Box 35,Eureka, CA 95502 and that the names and last known address of the Defendants are JAMES E.JOHANSEN,JR. and OCCUPANTS 407 East Main Street,Mechanicsburg,PA 17055. ;-----� By: KML LAW GROUP, Jay E.Kivitz Pa.ID 2676 Michael McKeever Pa.ID 56129 Lisa Lee Pa.ID 78020 Kristina Murtha Pa.ID 61858 David Fein Pa.1D 82628 Thomas Puleo Pa.ID 27615 Salvatore Filippello Pa.ID 313897 Attorneys for Plaintiff Q�� P ti . KML Law Group,P.C. BY:Jay E.Kivitz,Esquire Attorney I.D.#26769 Suite 5000-BNY Independence Center 701 Market Street Philadelphia,PA 19106-1532 215-825-6318 Attorney for Plaintiff U.S.BANK NATIONAL ASSOCIATION,AS IN THE COURT OF COMMON PLEAS TRUSTEE OF THE SECURITY NATIONAL OF CUMBERLAND COUNTY MORTGAGE LOAN TRUST 2005-1 Plaintiff VS. No. James E Johansen Jr. and OCCUPANTS IN EJECTMENT Defendants STIPULATION FOR FINAL JUDGMENT BETWEEN PLAINTIFF AND DEFENDANTS Plaintiff,U.S.BANK NATIONAL ASSOCIATION,AS TRUSTEE OF THE SECURITY NATIONAL MORTGAGE LOAN TRUST 2005-1, ("Plaintiff'),and Defendants- Occupants,JAMES E.JOHANSEN,JR. ("Defendants"), state as follows: W TEREAS Plaintiff was the successful bidder at Sheriff's sale on the property located at 407 East Main Street Mechanicsburg,PA 17055 ("Property");and WHEREAS Defendants acknowledge that Plaintiff is the owner of the Property;and WHEREAS Defendants have vacated the Property and acknowledge that they have no right,title,interest,agreement or lease in or to the Property ;and WHEREAS Plaintiff and Defendants have reached a mutually agreeable time and date regarding possession of the Property; f r` NOW THEREFORE, IT IS IIEREBY STIPULATED,between Plaintiff and Defendants as follows: I. The recitals are incorporated herein and made a part hereof. 2. Defendants represent and warrant that they enter this Stipulation on behalf all occupants of the Property. 3. Judgment in Ejectment is hereby entered as to all Defendants and Occupants. 4. Defendants agree that they have vacated the Property and that Plaintiff may take full and complete possession of the Property. 5. Defendants shall surrender the Property in broom swept condition,normal wear and tear excluded. If any personal property remains in or upon the Property, Defendants agree that they have relinquished any ownership or claim to said personal property,and Plaintiff may dispose the personal property as it may choose,without liability or responsibility to the Defendants.Defendants do hereby indemnify,remise,release and forever discharge Plaintiff, its successors and assigns,and any and all employees,agents or independent contractors working through,by or with them,her,him,its and/or their successors and assigns,of and from all manner of actions and causes of action,suits,debts,dues,accounts,bonds, covenants,contracts,agreements,judgment,claims and demands whatsoever in law or equity,from any and all liability,for any and all suits and claims relating to the personal property. 6. If Defendants have not vacated the property,then Plaintiff shall schedule a lockout to be performed on the Property by the Sheriff. Plaintiff may file all pleadings necessary to effectuate a lockout. 7. The Stipulation does not create a landlord-tenant relationship nor is it to be considered a lease between the parties. 118842EJ ' r i I. 8. The Stipulation represents the totality of the agreement between the parties. All modifications,retractions or revisions shall be in writing and signed by both parties. 9. The parties agree to enter this Stipulation as the final Order of the Court in this action. 10. This Stipulation may be executed in counterparts, each of which shall be considered an original. 11. A facsimile signature shall have the same effect as an original signature. 12. This Stipulation is effective upon execution. I have read this Stipulation and agree to the terms thereof Date:"--t 1,4 to Jay KIfitz,Esquire Attorney for Plaintiff' i Date: Jes iMn- E.Johanse ,Jr. individually j#d on behalf of all Occupants, Defendants 118842EJ A1 KML LAW GROUP,P.C. Suite 5000-BNY Independence Center 701 Market Street Philadelphia,PA 19106-1532 215-825-6319 Attorney for Plaintiff U.S.BANK NATIONAL ASSOCIATION,AS TRUSTEE IN THE COURT OF COMMON OF THE SECURITY NATIONAL MORTGAGE LOAN PLEAS TRUST 2005-1 323 5th Street of Cumberland County PO Box 35 Eureka,CA 95502 CIVIL ACTION-LAW Plaintiff vs. ACTION OF EJECTMENT JAMES E.JOHANSEN,JR. and OCCUPANTS Term 407 East Main Street No. 13-6120 Civil Mechanicsburg,PA 17055 Defendants CERTIFICATION PURSUANT TO PA R.C.P.NO.237 I, Bethany Stewart, an employee of KML LAW GROUP, P.C., counsel for Plaintiff, certify that a true and correct copy of the Praecipe for Consent Judgment was sent to the following parties,via first class mail,postage prepaid: JAMES E.JOHANSEN,JR. 6 E Simpson St Mechanicsburg,PA 17055 OCCUPANTS 407 East Main Street Mechanicsburg,PA 17055 By: KML LAW G ,P.C. Bethany Stewahr6gal Assistant 215-627-1322(Main Phone) DATED: /14/('AZ,p,[�3 OFFICE OF THE PROTHONOTARY COURT OF COMMON PLEAS Prothonotary of Cumberland County 1 Courthouse Square Carlisle,PA 1.7013 Curt Long -- Prothonotary U.S.BANK NATIONAL ASSOCIATION,AS TRUSTEE OF THE SECURITY NATIONAL MORTGAGE LOAN TRUST 2005-1 Term 323 5th Street No. 13-6120 Civil PO Box 35 Eureka,CA 95502 Plaintiff vs. JAMES E.JOHANSEN,JR. and OCCUPANTS 407 East Main Street Mechanicsburg,PA 17055 Defendants N O T I C E Pursuant to Rule 236 of the Supreme Court of Pennsylvania,you are hereby notified that a Judgment has been entered against you in the above proceeding as indicated below: Curt Long Prothonotary Judgment by Default Money Judgment Judgment in Replevin X Judgment for Possession Judgment on Aware of Arbitration Judgment on Verdict Judgment on Court Findings Confession of Judgment IF YOU HAVE ANY QUESTIONS CONCERNING THIS NOTICE, PLEASE CALL: KML Law Group, P.C. at the following telephone number: (215) 825-6319 5-60 (2) (Rev. 4/78)55 C.P. 109—P Praecipe for Writ of Possession (ACTION OF EJECTMENT) THE COMMONWEALTH OF PENNSYLVANIA COUNTY OF Cumberland U.S.BANK NATIONAL ASSOCIATION,AS TRUSTEE OF THE SECURITY NATIONAL IN THE COURT OF COMMON PLEAS MORTGAGE LOAN TRUST 2005-1 323 5th Street OF Cumberland COUNTY PO Box 35 Eureka,CA 95502 Plaintiff 13-6120 Civil vs. > JAMES E.JOHANSEN,JR. ' and OCCUPANTS W 407 East Main Street Cn r -- o Mechanicsburg,PA 17055 --4 C' Defendants t4l F'C-) =F; Z C) c) PRAECIPE FOR WRIT OF POSSESSION ' ,', TO THE PROTHONOTARY: Issue the Writ of Possession in the above matter,for possession of 407 East Main Street Mechanicsburiz,PA 17055 (describe property) SEE ATTACHED LEGAL DESCRIPTION a� . CL By: KML LAW GROUP,P. . tv/�~ 1 �• J "'' Jay E.Kivitz Pa.ID 267 1 l , !JO ► < <I Michael McKeever Pa.ID 56129 mot' Lisa Lee Pa.ID 78020 �, a David Murtha Pa.ID 61858 i David Fein Pa.a. D 27 "( Thomas Puleo Pa.ID 27615 Jill P.Jenkins Pa.ID 306588 Attorneys for Plaintiff Ejectment 313 '��' i t Quiet Title P� A. 5—116 (Rev. 10/76) 7S' L/ �►� c7� oss �l 1oi 2 WRIT OF POSSESSION (Ejectment Proceedings PRCP3160-3165 etc.) IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA U. S. BANK NATIONAL ASSOCIATION,AS TRUSTEE OF THE SECURITY NATIONAL MORTGAGE LOAN TRUST 2005-1 VS. No. 13-6120 Civil Term JAMES E. JOHANSEN, JR. AND OCCUPANTS 407 EAST MAIN STREET MECHANICSBURG,PA 17055 Costs Attorney's $ 148.75 Plaintiff's $ Prothonotary $ 2.25 COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND: To the Sheriff of Cumberland County,Pennsylvania (1)To satisfy the judgment for possession in the above matter you are directed to deliver possession of the following described property to: (Plaintiff(s)) U. S. BANK NATIONAL ASSOCIATION,AS TRUSTEE OF THE SECURITY NATIONAL MORTGAGE LOAN TRUST 2005-1 being: (Premises as follows): 407 EAST MAIN STREET, MECHANICSBURG, PA 17055 ***PLEASE SEE THE ATTACHED LEGAL DESCRIPTION*** (2)To satisfy the costs against the defendant(s)you are directed to levy upon any property of the defendant(s) and sell his/her(or their)interest therein. E David D.Buell,Prothonotary, Common Pleas Court of Cumberland County, PA r - Date 12111/1'3'-- r, ---- 2 of 2 No 13-6120 Civil Term M THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,PENNSYLVANIA U. S. BANK NATIONAL ASSOCIATION,AS TRUSTEE OF THE SECURITY NATIONAL MORTGAGE LOAN TRUST 2005-1 VS. JAMES E.JOHANSEN,JR.AND OCCUPANTS WRIT OF POSSESSION P.R.C.P. 3160-3165 ETC. Costs Att'y $ 148.75 Plff(s) $ Prothy $ 2.25 Sheriff $ Plaintiff(s)attorney name and address: SALVATORE FILIPPELLO,ESQUIRE-ID# 313897 KML LAW GROUP, P.C. SUITE 5000-BNY INDEPENDENCE CENTER 701 MARKET STREET PHILADELPHIA, PA 19106 215-825-6319 Attorney for Plaintiff(s) Where papers may be served By virtue of this writ, on the day of , . I caused the within named ,to have possession of the premises described with the appurtenances,and So Answers, Sworn and subscribed to before me this Day of , Sheriff By Prothonotary Deputy SHERIFF'S OFFICE OF CUMBERLAND COUNTY Ronny RAnderson 3I�'l'�i Sheriff �t tairatr i r ff, DEC 7/� � tk1k1,h filll k_ 3 C 1 PM 3: 1 2 Jody S Smith Chief Deputy K ' CUh ERLANOI.aOUNP,` Richard W Stewart PENNSYLVANIA Solicitor =.)Fr ICE-,,F c_yrc U.S. Bank National Association,As Trustee of the Security National Mo Case Number vs 2013-6120 James Eric Johansen, Jr. SHERIFF'S RETURN OF SERVICE 12/16/2013 05:30 PM- Deputy Ryan Burgett, being duly sworn according to law, served the requested Writ of Possession by"personally" handing a true and attested copy to a person representing themselves to be the Defendant, to wit: James Eric Johansen, Jr. at 60 E Simpson Street, Mechanicsburg Borough, Mechanicsburg, PA 17050, Cumberland County, informed Defendant of contents of same and posted Sheriff's Notice on premises. SO ANSWERS, December 17, 2013 RONNY R ANDERSON, SHERIFF (c)C.ountvSultc Sfienii,lefeosoti inr„ 1 - SHERIFF'S OFFICE OF CUMBERLAND COUNTY Ronny R Anderson Sheriff � yct�E, ut t ar�rr #Gf4 Jody S Smith Chief Deputy Richard W Stewart Solicitor PE HS r VAIII `; U.S. Bank National Association, As Trustee of the Security National Mo vs. Case Number James Eric Johansen, Jr. (et al.) 2013-6120 SHERIFF'S RETURN OF SERVICE 12/16/2013 05:30 PM - Deputy Ryan Burgett, being duly sworn according to law, served the requested Writ of Possession by"personally" handing a true and attested copy to a person representing themselves to be the Defendant, to wit: James Eric Johansen, Jr. at 60 E Simpson Street, Mechanicsburg Borough, Mechanicsburg, PA 17050, Cumberland County, informed Defendant of contents of same and posted Sheriffs Notice on premises. 01/09/2014 By virtue of this writ, Sheriff Ronny R. Anderson caused the within named Plaintiff to have possession of the premises described as 407 East Main Street, Mechanicsburg Borough, Mechanicsburg, PA 17055. SHERIFF COST: $64.57 SO ANSWERS, January 09, 2014 RON R ANDERSON, SHERIFF g.aS pal- 4 99S-41 ,4061' ge,ea