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HomeMy WebLinkAbout05-0193n /AN , LOWERALLEN TOWNSH/P 1993 HUMMEL AVENUE • CAMPHILL, PENNSYL l1AN1A 17011-599,7 LOWER ALLEN TOWNSHIP Plaintiff V. Richard Rupp Defendant TO: Richard Rupp 22 Colgate Drive Camp Hill, PA 17011 IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW ,ds= N3 1 7t.- NO.CV0000535-04 CIVIL 2004 JFl,vun'zy J0-Svc' You are hereby notified that on Nove --Z9;:2804judgment in the ount of $106.90 was entered against you in the above-captioned action. Prothono ary Dated: January 5, 2005 I hereby certify that the name and address of the proper person(s) to receive this Notice under PA R. C. P. 236 is name and full address of the above. LOWER ALLEN TOWNSHIP By: Thomas G. Vernau, Assistant Manager Phone: (717) 975-7575 - Fax: (717) 737-4182 • http:llwww.lower-allen.pa.us COMMONWEALTH OF PENNSYLVANIA NOTICE OF JUDGMENT/TRANSCRIP T ? COUNTY OF: CUMBERLAND CIVIL CASE Mag. DISL No.: 09-1-01 PLAINTIFF: NAME and ADDRESS (LOWER ALLEN TOWNSHIP DJ Name. Hon. 1993 HUMMEL AVE. CHARLES A. CLEMENT, JR. CAMP HILL, PA 17011 Add,es5 400 BRIDGE STREET L OLDS TOWNE COMMONS -SUITE 3 VS: J NEW;,CUMBERLAND n= PA DEFENDANT NAMEa6dADDRESS " eMphone (71,7 774 5989 17070 JUPP, RICHARD 22 COLdATE"DRIVE- CAMP"HILL, PA 17011 LOWER ALLEN TOWNSHIP L J j 1993 HUMMEL AVE. Docket No.: CV-0000535-04 CAMP HILL, PA 17011 Date Filed: 9/27/04 THIS !S„TONOTIF „YOU T.NATs_ " " T T ent: DEFAU Jud gm L PUDGMBUTT PL". F Judgment was entered for: (Name) T.nwRR AT.T.ym TpWWCHTP, X? Judgment was entered against: (Name) RiTPP I RTcHARD in the amount of $ 1 or, _ gn on: (Date of Judgment) 1 1 /24/n4 Defendants are jointly and severally liable. (Date & Time) Damages will be assessed on: Amount'of judgment $ 23.90 Judgment Costs $ ` 83.00 Interest on Judgment $ 00 This case dismissed without prejudice. e 00 Attorney Fe s $ . ? Amount of Judgment Subject to Attachment/42 Pa.C.S. § 8127 $ ? Portion of Judgment for physical damages arising out of residential Total $ 106.90 Post Judgment Credits Post Judgment Costs lease $ I Certified Judgment Total $ 'ANY PARTY HAS THE RIGHT TO APPEAt. WITMIN!30 DAYS AFTER THE ENTRY OF JUDGMENT'BY'kING 4,NO*' E OF APPEAL WITH THE PROTHONOTARY/CLERK OF THE COURT OF COMMON PLEAS, CIVIL DIVISION. YOU MUST INCLUDE A COPY OF THIS NOTICE OF JUDGMENT/TRANSCRIPT FORM WITH YOUR NOTICE OF APPEAL. EXCEPT AS OTHERWISE PROVIDED IN THE. RULES OF CIVIL PROCEDURE FOR DISTRICT JUSTICES, IF THE JUDGMENT HOLDER ELECTS TO ENTER THE JUDGMENT IN THE COURT OF COMMON PLEAS, ALL FURTHER PROCESS MUST COME FROM THE COURT OF COMMON PLEAS AND NO FURTHER PROCESS MAY BE ISSUED BY THE DISTRICT JUSTIOE.. UNLESS THE JUDGMENT IS ENTERED IN THE COURT OF COMMON PLEAS, ANYONE INj?ERE?TED IN THE JUDGMENT MAY FILE A REQUEST FOR ENTRY OF SATISFACTION WITH THE. DISTRICT JUSTICE IF THE JUDGMFPIT'DEBTOR PAYS IN FULL, SETTLES, OR OTHERWISE COMPLIES WITH THE JUDGMENT. i - - 1 , Date °• pist'rlctJustice. ,. I certify that this is a true a correct (n?copy nnof t record of the proceedings caYi ni ' he,ludgment. EC 2 9 2004 Date District Justice My commission expires first Monday of January, 2008. SEAL AOPC 315-03 DATE PRINTED: 11/29/04 1:45:05 PM i W IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA MATTHEW HOCKENSMITH, : NO. 2004-193 CIVIL TERM Plaintiff V. : CIVIL ACTION - LAW BRANDIE MENTZER, Defendant : IN CUSTODY PETITION TO WITHDRAW AS LEGAL COUNSEL AND NOW, this day of March, 2005, comes the Petitioner, Diane G. Radcliff, Esquire and files the above referenced Petition and represents that: 1. Your Petitioner is Diane G. Radcliff, Esquire an Attorney duly authorized to practice law in the Commonwealth of Pennsylvania and having a principal place of business located at 3448 Trindle Road, Camp Hill, PA 17011. 2. Plaintiff in this action is Matthew Hockensmith and is currently represented by Thomas Gleason, Esquire 3. Defendant in this action is Brandie Mentzer and is currently represented by Diane G. Radcliff, Esquire. 4. This is an action for or involving custody. 5. Since Diane G. Radcliff, Esquire has undertaken the representation of Defendant, Brandie Mentzer the following events have occurred which make it impossible or impractical for her to continue in this legal representation: A. Defendant has incurred a substantial balance in attorneys fees owed to Petitioner and has failed to pay the balance owed when due in accordance with the terms of her fee agreement with the Petitioner. B. There is no action currently pending in this case. 6. Petitioner has contacted Plaintiff's legal counsel regarding this Petition. Plaintiff's legal counsel has: A. [ ] not responded to the inquiry; B. [X] advised Petitioner that the requested relief is not opposed; See Exhibit "A" attached hereto and made a part hereof. C. [ ] advised Petitioner that the requested relief is opposed. 7. Petitioner has contacted the Defendant regarding this Petition. Defendant has: A. [X] not responded to the inquiry; B. [ ] advised Petitioner that the requested relief is not opposed; C. [ ] advised Petitioner that the requested relief is opposed; D. [ ] desires to represent herself in this action and has executed an entry of his appearance pro se in this matter which wilt be filed of record upon the granting of the relief requested in this Petition. 8. This case has previously been assigned to the Honorable Edgar E. Bayley. WHEREFORE, the Petitioner respectfully requests this Honorable Court to enter an Order granting her leave to withdraw as legal counsel for Defendant, Brandie Mentzer. Respectfully submitted, IANE R D IFF, ES UI E rindle d Camp Hill, PA 17011 Phone: (717) 737-0100 Fax: (717) 975-0697 Supreme Court ID # 32112 VERIFICATION I verify that the statements made in the foregoing document are true and correct. I understands that false statements herein are made subject to the penalties of 18 Pa.C.S. Section 4904, relating to unsworn falsification to authorities. THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA MATTHEW HOCKENSMITH, NO. 2004-193 CIVIL TERM Plaintiff V. : CIVIL ACTION - LAW BRANDIE MENTZER, Defendant : IN CUSTODY STATEMENT OF POSITION REGARDING PETITION TO WITHDRAW AS LEGAL COUNSEL I, Thomas P. Gleason, Esquire, Attorney for Plaintiff, Matthew Hockensmith, hereby state that the following is my position regarding the Petition to Withdraw as Legal Counsel: [ ] I oppose the Petition and state that Diane G. Radcliff, Esquire should not be granted leave to withdraw as legal counsel for the Defendant, Brandie Mentzer. [ I do not oppose the Petition and state that Diane G. Radcliff, Esquire should be granted leave to withdraw as legal counsel for the Defendant, Brandie Mentzer . JjLu? r ?=? Thomas P. Gleason, Esquire CERTIFICATE OF SERVICE AND NOW, this day of March, 2005, I, DIANE G. RADCLIFF, ESQUIRE, hereby certify that I have this day served a copy of the foregoing document upon the following named person(s), by mailing same by first class mail, postage prepaid, addressed as follows: Thomas P. Gleason, Esquire, 95 Airport Road, Shippensburg, PA 17257 AND Brandie Mentzer, 156 Newville Road, Newburg, PA 17240 Respectfully submitted, E Camp-Fri?PA 17011 Phone: (717) 737-0100 Fax: (717) 975-0697 Supreme Court ID # 32112 LOWER ALLEN TOWNSHIP In the Court of Common 'Pleas of -- ---------------------------------- --- - ------ Cumberland County, Pennsylvania vs. Judgment in favor of Plaintiff on _____________________ ---------------------------------------- ------ -------------------------------- for 5106 90 ---- Richard -Rupp__..___-_-_-__ 05-193 CIVIL ----------- No. -------- -------------- Term, 19------ ------------------------------ - -- -------------- --- 11 /24/04 Lntered ---------------------------------- ----- --------------------------------------------------- LOWER ALLEN TOWNSHIP ______________ Plaintiff ------------------------------------------------------------------------------------ in the above judgment, do app,.•ar and acknowledge that August 8, 2008 this day have had and received and Richard Rupp froni --------------------------------------------------------------------- - ------------------------------- the defendant in the above Judgment, full payment and saisfaction of the same. with interest and costs, and desired that satisfaction therefore shall be entered upon the records thereof. __ LONG --------------------------- And further, do hereby authorize and empower______ CURTIS __ R. ---- - ---------------------------------- -------------------- theProthonotary of said Court, to appear FOR US and in OUR name and stead to enter full satisfaction upon the record of said judgment, as fully and effectually, to all intents and purposes, as WE could were WE personally present in person to do so. And for so doing this shall be your sufficient warrant of authority. In testimony whereof, have hereunto set our hands and seals this ------------------------------------- day of ----------------------------------------------, A.D. ----- I ---------------- - - -- - - --------- (Seal) ---------------------------------------------- (Seal) State of Pennsylvania ----------------------------------------------- (Seal), County of Cumberland, Personally appeared before me, the subscriber, ----- R4RC-Y_ et--ti.1 ------------------------------------ •--------------------------------------------------Finance _RirsctQr ------------------------------ -------- Lower_ Allen Township- ___ __ _ .----------------------------------------- ------------ ----------- ---------------------------------------------------------------------------------------- the Plaintiff in the above judgment, and in due form of law acknowledged the within and foregoing Power of Attorney to satisfy the judg- ment set forth, to be act and deed, and desired that the saws shall be filed of record in the office of the Prothon- otary of the Court of Common Pleas of said County. f 44-1 I n ny whereof, I have hereunto set my hand and seal this _______'4 -------------------------------- day of `------------------------------- A. D. C MOONW ACf4H 6IFFPPENNSYLVANIA n y u ti r .?. Notaria-I _ ------KO - d __ ---------- (Sea]) Danna S. Lutes, Notary Public Lower Allen Twp., Curnberfartd W Corrur"m Expires May B. 2011 Member, Pennsylvania Association of Notaries ?-? C., ' -r? L ??. ? .„', .?. ' ? -. C..-- ? S 1 " "„3? ;?:.. ?? ??? i.,. ?? ?..r