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00-05075NM
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW GREGORY LYNN WILLIAMS, II Plaintiff vs. PATRICE 0. MENEAR f /k /a PATRICE OLIVIA SPANGLER -WELLS Defendant No. 00 -5075 Petition for Waiver of Costs 1. I am the Plaintiff in the above matter and because of my financial condition, I am unable to pay the fees and costs of prosecuting or defending this action or proceeding. 2. I am unable to obtain funds from anyone, including my family and associates, to pay the costs of litigation. I represent that the information below relating to my ability to pay the fees and costs is true and correct: (A) NAME: PATRICE O. MENEAR ADDRESS: 126 Center Street, Duncannon, Pa 17020 (B) EMPLOYMENT: If you are presently employed, state: EMPLOYER: (Not applicable) ADDRESS: SALARY OR WAGES PER MONTH: TYPE OF WORK: If you are presently unemployed, state: DA'Z'E OF LAST EMPLOYMENT: 5/2013 SALARY OR WAGES PER MONTH: $ 240 TYPE OF WORK: Direct Care Worker (C) OTHER MONTHLY INCOME WITHIN THE LAST TWELVE (12) MONTHS: BUSINESS OR SELF - EMPLOYMENT: $ 0 INTEREST OR DIVIDENDS: $ 0 Petition for Waiver of Costs Page 2 of 4 (D) (E) (F) PENSION OR ANNUITIES: $ 0 SOCIAL SECURITY OR S.S.I.: $ 0 SUPPORT: $ 700 ( ) UNEMPLOYMENT COMPENSATION: $ 0 WORKER'S COMPENSATION: $ 0 WELFARE: $ 361 OTHER (Please specify): $ 0 OTHER MONTHLY CONTRIBUTIONS TO HOUSEHOLD SUPPORT: SPOUSE'S NAME (if living together): Eugene D. Menear If your spouse is employed, state: EMPLOYER: Broder Bros SALARY OR WAGES PER MONTH: $ 2,365 TYPE OF WORK: Material Handler CONTRIBUTIONS FROM CHILDREN: (None) CONTRIBUTIONS FROM PARENTS: (None) OTHER CONTRIBUTIONS: (None) PROPERTY OWNED: CASH: $ 20 CHECKING ACCOUNT: $ 40 SAVINGS ACCOUNT: $ 200 CERI'lr'ICATES OF DEPOSIT, STOCKS, BONDS: (None) REAL ESTATE / HOME: (None) MOTOR VEHICLE: Year Make and model Cost Amount still owed 1990 Ford F150 $ 800 $ 0 1991 Chevy Caprice $ 1,000 $ 0 OTHER: (None) DEBTS AND OBLIGATIONS PER MONTH: MORTGAGE/RENT: $ 875 WATER/SEWER: $ 0 ELECTRIC: $ 100 TELEPHONE: $ 50 OIL /GAS/HEAT: $ 300 CABLE: $ 60 FOOD: $ 400 CLOTHING: $ 50 CHILD SUPPORT: $ 59 CHILD CARE: $ 168 Petition for Waiver of Costs Page 3 of 4 TRANSPORTATION: $ 240 MEDICAL EXPENSES: $ 0 LOAN PAYMENTS: $ 0 CREDIT CARD PAYMENTS: $ 300 INSURANCE: $ 160 MISCELLANEOUS: $ 0 (G) PERSONS DEPENDENT UPON YOU FOR SUPPORT: CHILDREN (STATE NAMES AND AGES): Name Age Gregory L. Williams, III 16 years Cassandra J. Williams 15 years Eugene D. Menear, Jr 10 years Zachary W. Menear 8 years Lily L. Rabuck 3 years Matthew R. Spangler 17 years OTHERS (STATE NAME, AGE AND RELATIONSHIP): Name Age Relationship (None) 3. I understand that I have a continuing obligation to inform the court of any improvement in my financial circumstances which would permit me to pay the cost incurred with this case. 4. I verify that the facts stated in the foregoing Petition are true and correct to the best of my knowledge, information and belief. Petitioner understands that false statements therein are subject to the penalties of 18 Pa. C.S.A. §4904 relating to unworn falsification to authorities. Date: 3 cQ(-1 ILI e c.(-1039Aviv PATRICE O. MENEAR, Plaintiff Ci 11)910- (cm Z Petition for Waiver of Costs Page 4 of 4 COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW GREGORY LYNN WILLIAMS, II Plaintiff vs. PATRICE O. MENEAR f /k /a PATRICE OLIVIA SPANGLER -WELLS Defendant No. 00 -5075 Petition for Modification N) 1. Petitioner is Plaintiff, PATRICE O. MENEAR, who currently resides at 126 Center Street, Duncannon, Cumberland County, PA 17020. 2. Respondent is Defendant, GREGORY L. WILLIAMS, II, who currently resides at 22 E Columbia Rd, Enola, Cumberland County, PA 17025. 3. Petitioner and Respondent are the natural parents of the following children: Name Age GREGORY L. WILLIAMS, III 16 years CASSANDRA J. WILLIAMS 15 years 4. A custody order was entered on 9/5/2000, in the Cumberland County Court of Common Pleas. A copy of the custody order is attached. 5. Petitioner seeks to modify the custody order because: Gregory L. Williams III wants to move in to my residence in Duncannon, PA. I have been talking with our son on Facebook, KIK and in person. Gregory and Cassandra have been living with their father since this order was made in 2000. They have moved numerous times in their lives. Gregory III has addressed concerns to me about wanting to be in one place and graduate from school in 2 years. I have lived at my present address for 4 years. I live here with my husband, grand daughter and 2 sons. I also have a son that is 17 years old that lives between my house and my grandmothers. I feel that my husband and I can give Gregory III the stability that he is looking for. I am asking for visitation with Cassandra. She wants to stay with her father and go to a city school. If at any point Petition for Modification Page 3 of 5 she would change her mind, she is more than welcomed to live with us. . 6. Petitioner believes the custody order should be changed as follows: I would like to obtain primary physical custody of Gregory L. Williams III and partial custody of Cassandra J. Williams. I am asking for shared legal custody of both our children. I would like to have Cassandra on weekends and during the summer. I do not want to stop Mr. Williams from moving to accommodate our children and his career within reason. . WHEREFORE, Petitioner respectfully requests that this Court modify the Order as requested. Date: 3101,4 I it-1 PATRICE O. MENEAR, Plaintiff Verification tiL/k'14 I, PATRICE O. MENEAR, Plaintiff, verify that the facts stated in the foregoing Petition are true and correct to the best of my knowledge, information and belief. Petitioner understands that false statements therein are subject to the penalties of 18 Pa. C.S.A. ' 4904 relating to unswom falsification to authorities. 0.t.:4j41 i 4 PATRICE O. MENEAR, Plaintiff Petition for Modification Page 4 of 5 GREGORY LYNN WILLIAMS, II :IN THE COURT OF COMMON PLEAS OF Plaintiff, :CUMBERLAND COUNTY, PENNSYLVANIA v. No. 00 -5075 Civil Action - Law PATRICE OLIVIA SPANGER WELLS, Defendant. IN CUSTODY ORDER OF COURT AND NOW, this r' g day of , 2000, upon consideration of the attached Custody Conciliation Report, it is ordered and directed as follows: 1. The Father shall have primary legal custody and primary physical custody of the minor children, Cassandra Jean Williams born February 16, 1999 and Gregory Lynn Williams, born September 26, 1997. 2. Father's primary physical custody shall be subject to periods of visitation with Mother at such time and places as the parties shall agree. 3. This Order is temporary in nature. Either party seek modification upon proper petition to the Court. 4. Counsel for Plaintiff shall continue to attempt to serve Defendant with the Complaint and with this Order and shall file an affidavit of service upon completion of service. BY THE COURT, Mary Ann Murphy, Esquire Patrice Olivia Spanger -Wells 2435 North 6'h Street Harrisburg, PA 17110 J. ATRICE O. WELLS :IN THE COURT OF COMMON PLEAS :OF THE 41ST JUDICIAL DISTRICT V. :OF PENNSYLVANIA - :PERRY COUNTY BRANCH GREGORY L. WILLIAMS, II :NO. 98 -208 :P.F.A. ORY L. WILLIAMS, II V. PATRICE O. SPANGLER a /k /a WELLS :IN THE COURT OF COMMON PLEAS :OF THE 41ST JUDICIAL DISTRICT :OF PENNSYLVANIA - :PERRY COUNTY BRANCH :NO. 98 -238 :P.F.A. O R D E R AND-NOW, March 27, 1998, the parties having appeared in a companion Protection From Abuse action and the Court having entered an Order as will more fully appear in the above captioned matters, but the parties also having agreed concerning custody of their child, it is Directed that the Prothonotary ccept this Order as a custody action separate and apart from he aforesaid Protection From Abuse actions. The parties having addressed the issue of custody and having mutually agreed, it is ORDERED AND DIRECTED as follows: The child shall be with Mother for a period of two (2) weeks and the Father for a period of two (2) weeks,. with those wo (2) week periods alternating generally. The first exchange will take place today and the next xchange will-be on April 11 and on each two (2) week periods thereafter. Mr. Williams' Grandmother or Mother will be present at the exchange which will take place at the Eat --n -Park in Summerda other shall phone Father upon leaving to go to the transfer oint so as to noti£ .him.and enable -the parties to accommodate ach other. • The parties shall mutually advise each other concerning medical concerns such as doctors appointments and the party having custody at the time of the appointment shall make certain that the child keep said appointment or any other procedure that may be appropriate. The actual time, places and circumstances of the pick -ups and deliveries shall be arranged by the parties. The parties are free to modify the terms of the above Order, but only by mutual agreement. The effect of this Order is a joint custody Order. cc: Plaintiff Defendant File BY Y, P.J. GREGORY LYNN WILLIAMS, II Plaintiff vs. PATRICE 0. MENEAR f/k/a PATRICE OLIVIA SPANGLER-WELLS Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PA No. CD - 5Y75 CIVIL TERM : CIVIL ACTION - LAW IN CUSTODY CRIMINAL RECORD / ABUSE HISTORY VERIFICATION OAT 1 re . e.flearhereby swear or affirm, subject to penalties of law including 18 Pa. C.S. § 4904 relating to unsworn falsification to authorities that: Check all that apply Unless indicated by my checking the box next to a crime below, neither I nor any other member of my household have been convicted or pled guilty or pled no contest or was adjudicated delinquent where the record is publicly available pursuant to the Juvenile Act 42 Pa.C.S. § 6307 to any of the following crimes in Pennsylvania or a substantially equivalent crime in any other jurisdiction, including pending charges: Crime .17 18 Pa.C.S. Ch. 25 (relating to criminal homicide) Self Other Date of Sentence household conviction, member guilty plea, no contest plea or pending charges 18 Pa.C.S. §2702 17.1 (relating to aggravated assault) 18 Pa.C.S. §2706 ET1 (relating to terroristic threats) Fri 18 Pa.C.S. §2709.1 (relating to stalking) FT 18 Pa.C.S. §2901 I fl (relating to kidnapping) • t• fl 18 Pa.C.S. §2902 IT E (relating to unlawful restraint) FT 18 Pa.C.S. §2903 (relating to false imprisonment) El 18 Pa.C.S. §2910 r- E (relating to luring a child into a motor vehicle or structure) 18 Pa.C.S. §3121 JT (relating to rape} fl 18 Pa.C.S. §3122.1 relating to statutory sexual assault) 18 Pa.C.S. §3123 (relating to involuntary deviate sexual intercourse} fl 18 Pa.C.S. §3124.1 (relating to sexual assault) 18 Pa.C.S. §3125 FT E (relating to aggravated indecent assault} IT 18 Pa.C.S. §3126 IT (relating to indecent assault) 18 Pa.C.S. §3127 fl (relating to indecent exposure) 7 18 Pa.C.S. §3129 fl (relating to sexual intercourse with animals) r- 18 Pa.C.S. §3130 (relating to conduct relating to sex offenders) fl 18 Pa.C.S. §3301 (relating to arson and related offenses1 18 Pa.C.S. §4302 E fl (relating to incest) E 18 Pa.C.S. §4303 fl. fl (relating to concealing death of child) 18 Pa.C.S. §4304 (relating to endangering welfare of children) 18 Pa.C.S. §4305 (relating to dealing in infant children) 117( 18 Pa.C.S. §5902(b) (relating to prostitution and related offenses) E 18 Pa.C.S. §5903 (c) or (d) (relating to obscene and other sexual materials and performances) 7 18 Pa.C.S. §6301 (relating to corruption of minors) 18 Pa.C.S. §6312 (relating to sexual abuse of children) E 18 Pa.C.S. §6318 'relating to unlawful contact with minor) fl 18 Pa.C.S. §6320 (relating to sexual exploitation of children) 23 Pa.C.S. §6114 IT (relating to contempt for violation of Protection order or agreement) 7 Driving under the fl influence of drugs or alcohol Manufacture, sale, delivery, holding, offering for sale or possession of any controlled substance or other drug or device 2. Unless indicated by my checking the box next to an item below, neither I nor any other member of my household have a history of violent or abusive conduct including the following: Check all that apply Self Other household member A finding of abuse by a Children & Youth E Agency or similar agency in Pennsylvania or similar statute in another jurisdiction Abusive conduct as defined under the JT Protection from Abuse Act in Pennsylvania or similar statute in Date another jurisdiction Other: • Please list any evaluation, counseling or other treatment received following conviction or finding of abuse: 4. If any conviction above applies to a household member, not a party, state that person's name, date of birth and relationship to the child : 5. If you are aware that the other party or members of the party's household has or have a criminal / abuse history, please explain: I verify that the information above is true and correct to the best of my knowledge information or belief. I understand that false statements herein are made subject to the penalties of 18 Pa.C.S. § 4904 relating to unsworn falsification to authorities. tk )-6 O1Q/S\0467 A Signature RaA--cAce fT1(0)(\eax-- Printed Name li COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,PENNSYLVANIA CIVIL ACTION- LAW GREGORY LYNN WILLIAMS, II ) Plaintiff PATRICE vs. } O. MENEAR No. 00-5075 f/k/a ) PATRICE OLIVIA SPANGLER-WELLS ) Defendant ) ORDER OF COURT AND NOW,this n 116 day of / / 4J) ,20/$1 it is hereby ORDERED that PATRICE O.MENEAR,the above-named Plaintiff,be GRANTED leave to proceed in forma pauper is in the above action. At this time,Plaintiff is relieved from paying the initial filing fees and costs only. Plaintiff shall promptly notify the Court of any material change in income or financial condition during the pendency of this action. BY 1; •URT: ff J. ,, --,r1 7-'m Lck r2-1 CO ry 3/a8//Y fyl Petition for Waiver of Costs Page 1 of 4 GREGORY LYNN WILLIAMS, II PLAINTIFF V. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA 2000 -5075 CIVIL ACTION LAW =rr PATRICE O. MENEAR DEFENDANT � c C'7 ORDER OF COURT. AND NOW, Tuesday, April 01, 2014 , upon consideration of the attached Complaint, it is IN CUSTODY (:1 —4 hereby directed that parties and their respective counsel appear before Dawn S. Sunday, Esq. , the conciliator, at 39 West Main Street, Mechanicsburg, PA 17055 on Wednesday, April 30, 2014 11:30 AM for a Pre - Hearing Custody Conference. At such conference, an effort will be made to resolve the issues in dispute; or if this cannot be accomplished, to define and narrow the issues to be heard by the court, and to enter into a temporary order. Failure to appear at the conference may provide grounds for entry of a temporary or permanent order. The court hereby directs the parties to furnish any and all existing Protection from Abuse orders, Special Relief orders, and Custody orders to the conciliator 48 hours prior to scheduled hearing. You must file with the Court a verification regarding any criminal record or abuse history regarding you and anyone living in your household on or before the initial in- person contact with the court (including, but not limited to, a conference with a Judge or custody conciliator) but not later than 30 days after service of the complaint or petition. No party may make a change in the residence of any child which significantly impairs the ability of the other party to exercise custodial rights without first complying with all of the applicable provisions of 23 Pa.C.S. §5337 and Pa.R.C.P. No. 1915.17 regarding relocation. FOR THE COURT, By: /s/ Dawn S. Sunday, Esq.J q.. Custody Conciliator The Court of Common Pleas of Cumberland County is required by law to comply with the Americans with Disabilites Act of 1990. For information about accessible facilities and reasonable accommodations available to disabled individuals having business before the court, please contact our office. All arrangements must be made at least 72 hours prior to any hearing or business before the court. You must attend the scheduled conference or hearing. YOU SHOULD TAKE THIS PAPER TO YOUR ATTORNEY AT ONCE. IF YOU DO NOT HAVE AN ATTORNEY OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP. i _s /12u t. L. to; Ltsu-ms Cumberland County Bar .Association 32 South Bedford Street Carlisle, Pennsylvania 17013 Telephone (717) 249 -3166 GREGORY LYNN WILLIAMS, II IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA vs. 2000-5075 CIVIL ACTION LAW Defendant IN CUSTODY ORDER OF /COURT� /WI! AND NOW, this / rA day of /, 2014, upon consideration of the attached Custody Conciliation Report, it is ordered and directed as follows: PATRICE O. MENEAR 1. A hearing is scheduled in Courtroom Numb r 3 of the Cumberland County Court House on the ILA. day of , 2014, at 1:10 A.m., at which time testimony will be taken. For purposes of the Learing, the Mother shall be deemed to be the moving party and shall proceed initially with testimony. Counsel for the parties, or a party pro se shall file with the Court and the other party a Memorandum setting forth each party's position on custody, a list of witnesses who are expected to testify at the hearing, and a summary of the anticipated testimony of each witness. These Memoranda shall be filed at least seven days prior to the hearing. 2. Pending the hearing and further Order of Court or agreement of the parties, the prior Order of this Court dated September 5, 2000 shall continue in effect. cc: VregoryL. Williams II — Father Patrice O. Menear — Mother 'es 02,1sieci1/4._ Edward E. Guido J. ' :. 3 GREGORY LYNN WILLIAMS, II IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA vs. PATRICE O. MENEAR Defendant Prior Judge: Edward E. Guido 2000-5075 CIVIL ACTION LAW IN CUSTODY CUSTODY CONCILIATION SUMMARY REPORT IN ACCORDANCE WITH CUMBERLAND COUNTY RULE OF CIVIL PROCEDURE 1915.3-8, the undersigned Custody Conciliator submits the following report: 1. The pertinent information concerning the Children who are the subjects of this litigation is as follows: NAME BIRTH YEAR CURRENTLY IN CUSTODY OF Gregory Williams III 1997 Father Cassandra Williams 1999 Father 2. A custody conciliation conference was initially set for April 30, 2014 although the conference had to be reset for May 6 after it was determined that the Father, who had not been served with the Mother's Petition or Notice of conciliation was not available to participate in the conference by telephone from his home in South Carolina for sufficient time on the original date. Accordingly, the custody conciliation conference was reconvened on May 6, 2014 with the Father participating by telephone from South Carolina. Neither the Mother, Patrice O. Menear, nor the Father, Gregory Lynn Williams II, are represented by counsel in this matter. 3. This Court previously entered an Order on September 5, 2000 under which the Father has primary physical custody and sole legal custody of the Children subject to the Mother's periods of visitation which were to be scheduled by agreement between the parties. 4. The Mother filed this Petition for Modification seeking primary physical custody of Gregory and partial physical custody of Cassandra. 5. This is a highly contentious case in which the Mother has had only minimal contact with the Children since at least entry of the prior Order in 2000 (for reasons which are disputed by the parties) and the Father has moved several times to various states including New Jersey, Michigan, Maryland, Pennsylvania and now South Carolina making contact between the Mother and Children more difficult. Most recently, the Father and the Children lived in Pennsylvania from August 2013 through April 2014. The Father moved to South Carolina at the time of the initial conference (April 30) and the Children have been enrolled in their new school since then. The Father did not provide notice of his move to South Carolina to the Mother in advance. 6. There is a high level of animosity between the parties and, especially with the Father participating in the conference by telephone, the parties were not able to reach an agreement as to the ongoing custodial schedule. It will be necessary to schedule a hearing. The conciliator recommended to the parties that they each make an effort to obtain legal counsel for the hearing. 7. The Mother's position on custody is as follows: The Mother seeks primary physical custody of Gregory and partial physical custody of Cassandra during the summer and shared holidays. The Mother believes that Gregory wants to come to live with her so that he can live in a stable place for the remainder of his last two years of high school. The Mother acknowledges that Cassandra does not want to live with her but the Mother hopes to establish or maintain a relationship with her through regular periods of partial custody. According to the Mother, the Father has prevented her from having significant contact with the Children for the last 14 or 15 years and the Mother believes that the Father moved to South Carolina to prevent the Children from seeing her. The Mother stated that the Father hid the fact that he was in Pennsylvania in 2013-2014 and that she only became aware that he and the Children were in Pennsylvania last year due to a telephone call from Children and Youth Services which was investigating a complaint involving the Father and Son (unfounded). The Mother believes it is detrimental to the Children to continuously move around from state to state with the Father. Finally, the Mother indicated that the Children are representing to her that they are living in churches and a car at times and the Mother does not believe that the Children have an established residence in South Carolina. 8. The Father's position on custody is as follows: The Father adamantly opposes the Mother's request for primary physical custody of Gregory and for extended partial physical custody with Cassandra. The Father indicated that neither Child wants to live with the Mother or have substantial contact with her without the Father being present. The Father indicated that he has had to move several times in the past because the Mother was not willing or able to help support the Children financially. The Father indicated that he moved to South Carolina in order to improve his earning capacity and because he felt the Children needed a change as the parties' son was having significant emotional difficulties at the loss of his grandmother. The Father indicated that he has always been the one to bring the Children from Michigan and other states to visit with the Mother and that he has borne all of the costs associated with those efforts. The Father does not believe that the Mother has made a serious effort to maintain a relationship with the Children and he believes that there is no relationship at this point. The Father stated that the Children love South Pointe, South Carolina where they are currently residing and that they are both becoming involved in school and school activities. The Father proposed that he could bring the Children to Maryland to meet with the Mother and spend some time with her while the Father is present until such time as trust has been rebuilt between the parties. The Father is opposed to the Mother taking the Children to Perry County where she resides as he does not know her family. The Father believes that the Mother needs to rebuild her relationship with the Children before expanding any type of custodial contact. 9. The conciliator recommends an Order in the form as attached scheduling a hearing on the Mother's Petition for Modification. It is anticipated that the hearing will require up to one-half day. As the Mother has requested that the Children be present for the hearing (ages 15 and 16) and the Father opposes this request, two alternative Orders are attached for the Court's consideration. Date Dawn S. Sunday, Esquire Custody Conciliator GREGORY LYNN WILLIAMS, II Plaintiff vs. PATRICE 0. MENEAR Defendant 1N THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA 2000-5075 CIVIL ACTION LAW IN CUSTODY MOTION FOR CONTINUATION :r; T-1 AND NOW COMES Gregory Lynn Williams. II who files this Motion for Continuanced alleges as follows: `'y - y 1. A hearing is scheduled before the Honorable Edward E. Guido on the 23rd day of June, 2014 at 9:30AM in Courtroom Number 3 of the Cumberland County Courthouse. 2. I request that the hearing be continued and rescheduled for the following reasons: It is expressed to the court that because of the lack of financial resources available, the Father, Gregory L. Williams, II can not attend the hearing scheduled for the 23rd of June, 2014. The Father would have to travel from Charlotte, North Carolina where he resides with his two minor children, who are in his custody, to Carlisle, Pennsylvania to attend the hearing, and at this time does not have enough financial resources to cover the expense of travel to the hearing or lodging arrangements for the time he would have to be present for the hearing. Let is also be noted that the hearing date is creating a scheduling conflict with his employer. The Father has recently been promoted effective Monday, June 16, 2014 to take over a business location as Business Manager and can not find suitable managing coverage to cover the three days he would need to take time off in order to make the trip to the hearing. It is requested that the court issue a Continuance of the hearing at a later date to allow more time for staff training to be completed so that necessary assets can be utilized for coverage at work to be secured and to obtain the financial resources to make the trip to attend the hearing. unab1,f. v.,, 44_ Woo T1s ( a �O r,04-lhaq\v-f kms¢/ C.cv✓-Cd- C-ptoG-COSY, Wherefore, I request the court to grant this motion for continuance and reschedule the matter. I verify that the statements made in the Motion for Continuance are true and correct. I understand that false statements herein are made subject to the penalties of 18 Pa.C.S. § 4904 relating to unsworn falsification to authorities. DATE r)Lgill-Pq CC: Gregory L. Williams, II — Father Patrice 0. Menear - Mother TELEPHONE NUMBER GREGORY LYNN WILLIAMS, II , IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA v. NO. 00-5075 CIVIL TERM PATRICE O. MENEAR, CIVIL ACTION - LAW Defendant IN CUSTODY ORDER OF COURT AND NOW, this 23rd day of June, 2014 , the Plaintiff ' s Request for a Continuance is reluctantly granted. He is directed to appear on July 11, 2014 , at 10 : 00 a.m. , for a hearing in this matter. He is directed to bring the children so that we may interview them in chambers . By the Court, Edward E . Guido, J. 6, Gregory L. Williams, II 523 Nelson Avenue Unit 3 Charlotte, NC 28216 trice O. Menear 126 Center Street Duncannon, PA 17020 srs eSrrtw rn 6/2.4/1Y ter`' 1,,'1 IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PA Vs No. 00000 -50-75 0-7 CIVIL TERM 2011CICC.ter- weJ : CIVIL ACTION - LAW efe�t : IN CUSTODY ©u) 1L1O) (N as V0A-{' k ee en. ear CRIMINAL RECORD / ABUSE/HISTORY VERIFICATION 1, Ce men e C, hereby swear or affirm, subject to penalties of law including 18 Pa. C.S. § 4904 relating to unsworn falsification to authorities that: 1. Unless indicated by my checking the box next to a crime below, neither I nor any other member of my household have been convicted or pled guilty or pled no contest or was adjudicated delinquent where the record is publicly available pursuant to the Juvenile Act 42 Pa.C.S. § 6307 to any of the following crimes in Pennsylvania or a substantially equivalent crime in any other jurisdiction, including pending charges: Check Crime all that apply 18 Pa.C.S. Ch. 25 (relating to criminal homicide) 18 Pa.C.S. §2702 (relating to aggravated assault) 18 Pa.C.S. • 2706 (relating to terroristic threats) Self Other Date of Sentence household conviction, member guilty plea, no contest plea or pending charges EJ r 1 18 Pa.C.S. §2709.1 f I f f (relating to stalking) 18 Pa.C.S. §2901 r E (relating to kidnapping) r 18 Pa.C.S. §2902 (relating to unlawful restraint) E 18 Pa.C.S. §2903 717 r - (relating to false imprisonment) 18 Pa.C.S. §2910 fl (relating to luring a child into a motor vehicle or structure) 18 Pa.C.S. §3121 FT E (relating to rape) 18 Pa.C.S. §3122.1 E f I relating to statutory sexual assault) 18 Pa.C.S. §3123 IEi (relating to involuntary deviate sexual intercourse) �I 18 Pa.C.S. §3124.1 (relating to sexual assault) 18 Pa.C.S: §3125 �l (relating to aggravated indecent assault). (relating to indecent assault) LT 18 Pa.C.S. §3127 (relating to indecent exposure) 18 Pa.C.S. §3129 JT (relating to sexual intercourse with animals) 18 Pa.C.S. §3130 El (relating to conduct relating to sex offenders1 117 18 Pa.C.S. §3301 (relating to arson and related offenses1 fl 18 Pa.C.S. §4302 fl (relating to incest) fl 18 Pa.C.S. §4303 (relating to concealing death of child) 18 Pa.C.S. §4304 IT fl (relating to endangering welfare of children) FT 18 Pa.C.S. §4305 fl (relating to dealing in infant children) 13(1 18 Pa.C.S. §5902(b) ?POO (relating to prostitution and related offenses) El 18 Pa.C.S. §5903 fl EJ (c) or (d) (relating to obscene and other sexual materials and performances) 18 Pa.C.S. §6301 (relating to corruption of minors) 7 18 Pa.C.S. §6312 r—f (relating to sexual abuse of children) F.7 18 Pa.C.S. §6318 FT (relating to unlawful contact with minor) 18 Pa.C.S. §6320 (relating to sexual exploitation of children) 23 Pa.C.S. §6114 (relating to contempt for violation of Protection order or agreement) Driving under the influence of drugs or alcohol rTh Manufacture, sale, delivery, holding, offering for sale or possession of any controlled substance or other drug or device fl 2. Unless indicated by my checking the box next to an item below, neither I nor any other member of my household have a history of violent or abusive conduct including the following: Check Self Other all that household memberapplv A finding of abuse by a Children & Youth E E Agency or similar agency in Pennsylvania or similar statute in another jurisdiction r- Abusive conduct as defined under the Protection from Abuse Act in Pennsylvania or similar statute in Date ti another jurisdiction Other: E n 3. Please list any evaluation, counseling or other treatment received following conviction or finding of abuse: 4. If any conviction above applies to a household member, not a party, state that person's name, date of birth and relationship to the child : 5. If you are aware that the other party or members of the party's household has or have a criminal / abuse history, please explain: I verify that the information above is true and correct to the best of my knowledge information or belief. I understand that false statements herein are made subject to the penalties of 18 Pa.C.S. § 4904 relating to unsworn falsification to authorities. QA:AL94 Signature -336 Printed Name 1 GREGORY LYNN WILLIAMS, II,: IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA r) v. NO. 00-5075 CIVIL TERM cz -103 PATRICE O. MENEAR, CIVIL ACTION - LAW m p Defendant IN CUSTODY -,- r- `z < C C ORDER OF COURT AND NOW, this llth day of July, 2014, all ry r—te_7)F :... CD 1L 767 fy.. e �a prior custody orders are vacated and replaced with the following: 1. The parties shall have joint legal custody of their children, Gregory Lynn Williams, III, born September 26, 1997, and Cassandra Jane Williams, born February 16, 1999. 2. Father shall have primary physical custody of the children subject to periods of visitation with Mother as follows: A. With regard to Gregory, visitation shall commence immediately and shall continue until the next court hearing in this matter on August 21, 2014, at 11:00 a.m. B. With regard to Cassandra, at such time and places that the parties agree. 3. Each party shall keep the other apprised of a valid address and phone number at which they can be reached at all times. 4. Father shall see to it that daughter has telephone contact with Mother at least three times per week for 15 minutes per call. 5. When the children are in Mother's custody for periods of visitation or partial custody, she shall see that they contact their Father at least every other day by phone. 6. No party shall be permitted to relocate the residence of the children which significantly impairs the ability to exercise custody unless every individual who has custodial rights to the children consents to the proposed , relocation. A person proposing to relocate must comply with. 23 Pa. C.S. Section 5337. 7. We will review this matter again on August 21, 2014, at 11:00 a.m. By the Court, Edward E. Guido, Primrose, Esquire 325 South Hanover Street Carlisle, PA 17013 .0.4regory L. Williams, 11 532 Nelson Avenue, Suite 3 Charlotte, NC 28216 srs is -Ay GREGORY LYNN WILLIAMS, II,: IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA V. PATRICE 0. MENEAR, CIVIL ACTION - LAW Defendant NO. 00-5075 CIVIL TERM IN RE: CUSTODY ORDER OF COURT AND NOW, this 21st day of August, 2014, after hearing, all prior custody orders are vacated and replaced with the following: 1. The parties shall have joint legal custody of their children, Gregory Lynn Williams, III, born September 26th, 1997, and Cassandra Jane Williams, born February 16, 1999. 2. Father shall have primary physical custody of the children subject to periods of partial physical custody with mother as follows: A. Each summer from the Saturday after school ends until the first Saturday in August. B. In odd -numbered years from the day after Thanksgiving at 5:00 p.m. until the day before school starts back at 5:00 p.m. In even -numbered years from 5:00 p.m. the day before Thanksgiving until 5:00 p.m. the Sunday after Thanksgiving. C. In odd -numbered years from 5:00 p.m. on December 23 until 5:00 p.m. on December 30. In even -numbered years from 5:00 p.m. on December 26 until 5:00 p.m. two days before the start of school. D. Each year from the first day of spring break at 5:00 p.m. until the last day of spring break at 5:00 p.m. E. Up to five days each September, October, February, March, and May to be exercised in North Carolina upon seven days notice to father. It shall be mother's responsibility to see that the children attend school during said periods. F. Such other times as the parties agree. 3. The parties shall agree upon a mutually convenient location approximately one-half between mother and father's residence to exchange custody. In the event the parties cannot agree, it shall be the responsibility of the party receiving custody to pick the children up at the home of the party relinquishing custody. In said case, the exchange times will be 1:00 p.m. rather than 5:00 p.m. 4. Father shall make arrangements to start the children in family counseling within the next two weeks. Mother shall participate in said family counseling sessions as requested by the therapist and may participate by telephone. All counseling sessions to be arranged and paid for by father. 5. All communication between the parties regarding their children shall be by e-mail with copies to be retained and presented as an exhibit at the next custody hearing. The party with physical custody of the children shall initiate an e-mail each day to relate something about the children to the non-custodial parent. The non-custodial parent shall then respond. 6. Father shall make the children available to talk with mother by Skype at least once per month during the school year. Mother shall make the children available by Skype to talk to father at least once per month during the summer. 7. The custodial parent shall see to to it that the children contact the non-custodial parent at least three times per week by telephone. 8. Each party shall keep the other apprised of a valid address and phone number at which they can be reached at all times. 9. Neither party shall disparage the other party in the presence of the children nor do anything to alienate their love, affection, or respect for the other party. 10. No party shall be permitted to relocate the residence of the child which significantly impairs the ability to exercise custody unless every individual who has custodial rights to the child consents to the proposed relocation or the court approves the proposed relocation. A 1 person proposing to relocate must comply with 23 Pa. C.S. Section 5337. 11. Unless the parties otherwise agree, we will review this matter on Friday, June 12, 2015, at 1:30 p.m. 12. The father shall make arrangements to have Vonage available for the children and the parties shall share the cost of that. /Gregory Lynn Williams, II 523 Nelson Avenue, No. 3 Charlotte, NC 28216 �- Patrice 0. Menear 126 Center Street Duncannon, PA 17020 :lfh By the Court Edward E. Guido, J. Jo4`G'4' S/ 7 %`7 GREGORY LYNN WILLIAMS, II, IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, V. • PENNSYLVANIA <: c•) PATRICE O. MENEAR, •Defendant • CIVIL ACTION -LAW Sr rr • NO. 00-5075 CIVIL TERM u z3 IN RE: CUSTODY c i == r-3 PETITION FOR CHANGE OF VENUE r _ COMES NOW, this 21st day of October, 2014, the Petitioner/Father, Gregory Lynn Will II; x.23 states: �,r— P 1. That he is petitioner in the above-mentioned request for change of venue. t 2. That, since the original custody order dated 2001 until the 21st day of August, 2014,tlra =- Petitioner/Father has had primary legal and physical custody of the minor children in the--t: above entitled case, Gregory Lynn Williams, III, now age 17, and Cassandra Jean Williams, now age 15. During that time,the Petitioner/Father and his minor children have resided in the State of Pennsylvania no more than a total of 5 1/2 months. The Petitioner/Father lived in Maryland for a combined total of 8 1/2 years. Since March, 2014, the Father/Petitioner and his minor children have established permanent residence in the State of North Carolina. 3. That, when the original custody order was established in 2001, the Petitioner/Father obtained custody from the mother, Patrice O. Menear, due to domestic violence, criminal charges, incarceration, child abuse, and child neglect- all documented and on public record in Dauphin County, Cumberland County, and Perry County Courts in Pennsylvania. There was also a PFA order established in 2000-2001 protecting the Petitioner/Father and his minor children from further abuse from the mother. 4. That, since 1999, through the original custody proceedings and until around February, 2014, the mother, Patrice O. Menear, of the minor children in the above-mentioned custody case has had minimal to no contact with the children, although the mother has always had an updated address for the Petitioner/Father on file with Cumberland County Domestic Relations Section for the Child Support Order for the minor children. 5. That, after the custody hearing on the 21st day of August, 2014, the mother, Patrice O. Menear, called the Petitioner/Father before he began his return trip to North Carolina. The mother traveled to the home of Rodney C. Hart, the uncle of the Petitioner/Father and great uncle to meet the Petitioner/Father, stating that she could not keep or afford the custody visitation schedule because of financial hardship and upcoming potential incarceration created by charges filed against her regarding assault and harassment charges filed against her in Perry County Court in a case involving her and her oldest son, Matthew Spangler at his home he shares with his great-grandmother in Marysville, PA. 6. That,upon investigation into the mother's alleged assault incident, the Petitioner/Father discovered Pennsylvania State Police reports indicating that the mother did indeed enter the residence of Matthew Spangler, her oldest son on the 21st day of March, 2014 without permission. In the report, police state that she pushed her son Matthew throughout the house he shared with his great grandmother in Marysville.A copy of this public record is attached. 7. That the Petitioner/Father was unable to acquire the original townhome residence in the affluent southern neighborhoods of Charlotte,NC because of financial hardship created by the two court hearings scheduled in Pennsylvania in July and August. The money used to travel to Pennsylvania for court was taken out of the security deposit that was saved up for the move. Instead, the Petitioner/Father was forced to accept an available home with a substantially smaller security deposit in Gastonia, NC, 16 miles from the minor children's high school, West Charlotte High. In effect,because of the neighborhood change, the minor children were forced to transfer to Hunter Huss International Baccalaureate High School. They were originally slated to complete their high school studies at one of the nation's top performing academic high schools, South Mecklenburg High School with the original move to the townhome in South Charlotte. 8. That the Petitioner/Father's monthly expenses to care for and support his minor children of rent at $705,utilities of$120, fuel costs to commute to work of$200, laundry expenses of $80, food expenses of$400, car payment of$371 and insurance of$170 do not allow savings enough to travel to Pennsylvania or fulfill the original visitation requirements of meeting at a mutual halfway midpoint to exchange the children with the mother, and that the financial hardships created from the current court order will possibly threaten the Petitioner/Father's ability to maintain permanent housing without housing assistance, and maintain permanent employment with his employer. Since moving to Charlotte, the Petitioner/Father has been promoted twice and has received multiple outstanding performance awards and reviews, establishing job stability and securing possible further near future advancement. 9. That the Petitioner/Father has been forced to remove medical coverage for himself to afford to cover the costs of medical expenses for his children's medical care and co-pays. Copies of current medical expense statements are enclosed. The medical coverage pays a portion proportionate to the Petitioner/Father's income, but does not cover the cost of additional cost of counseling long distance with the minor children's mother as requested in the above- mentioned custody order.Father has from severe sleep apnea- long distance travel is dangerous. 10.That the children are receiving counseling through a school based liason and referral covered by the Medical Coverage provided to the children subject to co-pays, however, Cassandra Jean Williams, the Petitioner/Fathers daughter, is now receiving intensive in home and in school therapy due to her psychological difficulty in coping with her relationship with her mother. The mother does not give Cassandra the same equal treatment and attention as the mother provides her brother, Gregory Lynn Williams, III, and therefore, Cassandra has experienced a drop in her grades and performance at school. 11. That, travel to Pennsylvania for future court dates or in the event of an emergency in which the Petitioner/Father would be required to retrieve the children from Pennsylvania from visitation with their mother would not be possible because money would not be available to support the travel expenses incurred. 12. That the Petitioner/Father experiences further financial hardship because the mother, Patrice O. Menear, frequently neglects to pay her monthly support obligation, resulting in frequent charges of willful disobedience of an order of court by Cumberland County Court and the Domestic Relations Section. Copies of the recent violations are enclosed. THEREFORE, the Petitioner/Father respectfully requests that, in interest of physical and psychological safety and well-being of the minor children in his care, the Court recuse itself and the case be moved away from Pennsylvania to the State of North Carolina(Gastonia/Gaston County, Charlotte Metro)where the Petitioner/Father resides permanently with his minor children, Gregory Lynn Williams, III and Cassandra Jean Williams. The Petitioner/Father requests that all future court dates and hearings, including the hearing scheduled for the Summer of 2015, occur at the new venue in the State of North Carolina. ENCLOSURES: State Police Report, PENNLIVE 4/12/14 Medical Bills: Shelby Emergency Associates/Shelby Radiology Associates Medical Bills: Carolinas HealthCare System Greenview Meadows Rent Reciept Things Remembered Income Pay Statements Cumberland County Domestic Relations Order of Court Violations Gregory L. Williams, II 04 <„„ 1652 Greenview Drive Gastonia,NC 28054-0866 G 0,17 C . 1,J11444.1+ ' I1 Patrice O. Menear 126 Center Street Duncannon, PA 17020 State Police Report- April 12, 20141 PennLive.com Page 1 of 7 1 i. SLS LAS VEGAS' A ^ 4- 3 BE LEGENDARY b73385531525a487051414 $ ENJOY MORE.RATES STARTING Al 3109, ,� te {...... �� BOOK NOW (http://adclick.a.doubleclick.net/pcs/click?xai=AKAOisvQg5D-eHOvsRP13bLN4OextDvn E8YydU- Menu Set Weather AZyMGTIS41 CiGC3g3RtTGcY2gRZ2k2nwrhOlttleSRM- Subscribe v3rxdDeJ7p97mYladplUSTEif1Ad6WiECz6ZrEHIr68Y- Sign In Search i r J F u.LX-•-1 C•OArKJSzOb•'FTWSBES•Sadurl=htt.://ad.am•d•t.eom/ads/t%3Dc/s% htt•://ads..ennlive.com/Re 'L!,!1 l •-F/9U•v -.'.•62. 11YlN1']t1U /Y•L•.1A/•-`.er 7Jf �`-uUrc-t.:w_',I Urs ravu•i rs,cic a•u L .1. x1c2 • ! T • C.. i \TU'STYOLHB LDE2ND times/2014/04/state •ollce ••i•]1�T.'1!`n1.WflrlFl�4/If6FS[PMR4MI•➢l(alri.f��, �1 r�L �t'a7:1 1•'t[•PU'Yr�Z!rS?•�1•1F7.4Y47rlDI.ICfL'L't�•Ll LFA 3DBannerAdsp/926utm campaiqn%3DHotel) 0 State Police Report - April 12, 2014 comments - -. lhttp://ads.pennlive.com/RealMedia/ads/click Ix.ads/www.pennlive.com Print(http://bloa.pennlive.com/perrycounty-countycoup - entrv=/2014/04/state police report-april 12.htmll times/2014/04/state[atpoliceire7poorrt-april 12.html/1749651130/SecSpr thttp://connect.pennlive.com/user/pecotimes/index.htmll By Perry County Times "CO,`1 RUM.,,, Drops Ellen!" fhttp://connect.pennliye.com/useripecotimesiposts.html) on April 12,2014 at 7:00 AM,updated April 12,2014 at 7:13 AM .. •lam I1:.1 . 1 .1 • II•4k.1:. r, "a Karl Moyer,44,of Shermans left a path of mailbox destruction as he drove his 2006 Honda Ridgeline on roads in Carroll Twp.shortly after midnight on March 25. Ni^ .. According to state police,he was headed north on Windy Hill Road when his vehicle went off the road and struck a mailbox in the 300 block.Moyer continued on his way car"T and struck two mailboxes in the goo block. Ellen Feels Ashamed She Ued To Her Fans re For ea Turning around at Orchard Hill Trailer Park,Moyer headed south on Windy Hill Road. Yearsl Sea The Secret She Hid So Well He struck mailboxes in the 100 and first blocks. Next,while going east on Route 85o,Moyer's vehicle went off the road and struck two mailboxes at 12:10 a.m.One of the mailboxes got stuck under the vehicle. Police said Moyer continued to drive,turning north onto Richwine Road.While on a left curve,the vehicle went off the road,over an embankment and struck a utility pole. lli Moyer then left the scene without notifying anyone,police said. —1)2� pl....,045cMoyer was not using a seat belt and was not injured.Citations against him were filed Aw� through district court. ^LL (fJ^�- �r�JF ,^��/ More mailboxes in Carroll T .were leveled on March 31 at 1o:o5 p.m.by a vehicle in (\, the 200 block of Old State Road.The vehicle,thought to be a silver truck or SUV with front or left-side damage and missing paint,fled the scene. U OK /1E Jason Goshorn,28,of Millerstown was driving west on Route 849 when his 1993 KE t9/ r: Toytoa Tacoma went off the road and struck a tree at 12:51 a.m.,March 26.Police said he left the scene. ,c /' Goshorn was using a seat belt and was not injured.He was cited for traffic violations. v wM Newport Fire Company assisted at the scene.The vehicle was towed by Rudy's Towing. / t\)01 CO/3/,'n3 George Foster of Rye Twp.reported receiving a letter from the IRS regarding a tax return March 25.He had not filed a tax return and contacted the IRS,which found a tax return had been completed with his name and social security number. Robert Manning of Honey Grove was traveling east in the 7700 block of Fort Robinson Road in N.E.Madison Twp.when he lost control of his 2005 Ford Taurus on the slush- covered road at slight left curve at 10:3o a.m.,March 30.The car struck several large boulders. Manning was wearing a seat belt and was not injured. The vehicle was towed by Geedy's Towing. http://www.pennlive.com/perry-county-times/index.ssf/2014/04/state_police_report_-_apri... 11/4/2014 State Police Report- April 12, 2014 I PennLive.com Page 2 of 7 As Timothy Evans of New Bloomfield was driving west on Route 85o in Spring Twp.,a mirror on his 2008 Ford E-25o was struck by an eastbound vehicle which had crossed into his lane of travel at 8:15 a.m.,March 31,near Paige Hill Road.The offending vehicle did not stop. Evans was using a seat belt and was not injured. An air intake grille cover on a bus was reported stolen at Wolfington Body Shop in Watts Twp.,March 31-April 1. During a traffic stop by state police at 1:o7 p.m.,March 2,on Route 322 East in Howe Twp.,Kevin McCusker,21,of Ardmore,Pa.,was given a series of field sobriety tests.He was placed into custody for suspicion of DUI. One day earlier under similar circumstances,also on Route 322 East,Robert McKeen, 21,of Middletown was taken into custody on suspicion of DUI at 6:03 p.m.in Watts Twp. Arthur Lindsay of Liverpool reported the theft of several silver coins from his home between Jan.31 and March 29 on Cherry Road,Buffalo Twp. A mailbox,stop sign and wall along Route 85o in Landisburg at Venus Street were struck by a westbound GMC CK 1500 driven by a 17-year-old male at 3:32 a.m.,March 23. The teen was not wearing a seat belt and had minor injuries.He was charged with traffic violations,including DUI. Landisburg fire and EMS assisted at the scene. A New Bloomfield woman was taken into custody and arraigned for simple assault after she allegedly struck a New Bloomfield man on the face at a a.m.,March 3o,in the first block of Elijah Avenue,Wheatfield Twp. Bonnie Geesey of Loysville reportedly was defrauded by an individual who had made contact with her via the Internet between March 1 and 28. Simple assault charges were filed against a juvenile after a physical altercation between two students at West Perry High School,Elliottsburg,at 1:37 p.m.,April 1. Celtic Hospice and Home Health reported a theft from a motor vehicle between 2 and 2:3o p.m.,March 26,in the first block of Reigle Road,Carroll Twp.Police said a visiting nurse's laptop was stolen while the nurse was in a patient's home. Jeffrey Turner,54,of Newport struck a southbound 2014 Ford Fiesta on Market Street in Newport with his 1999 Ford F-15o at 1:o3 p.m.,April 3.Police said Turner had pulled from a stop sign on S.Third Street,attempting to cross to Market Street. Turner was using a seat belt and was not injured.He was cited for stop signs and yield signs. http://www.pennlive.com/perry-county-times/index.ssf/2014/04/state police_report_-_apri... 11/4/2014 State Police Report - April 12, 2014 I PennLive.com Page 3 of 7 The other driver and a passenger in the Fiesta were wearing seat belts.Both had minor injuries. Rudy's Towing assisted at the scene. Samantha Poust of Halifax wrecked her 2005 Volkswagen Beetle on a left curve in the 400 block of Kings Highway in Marysville at 7:47 p.m.,March 17.The car went off the road and struck a tree. Poust was wearing a seat belt and had minor injuries. Marysville fire and EMS assisted at the scene.The car was towed by Fuller and Son. Slush covered Route 11/15 in Watts Twp.when Quinn Whitenight of Sunbury lost control of his 2004 Isuzu Axiom on a right curve at 5:52 p.m.,March 3o.The vehicle slid into a concrete divider several times. Whitenight was using a seat belt and was not injured. As Robert Robinson of Trumansburg,N.Y.,was driving north on Route 11/15 in Watts Twp.,he hit a deer on the road at 2:12 a.m.,March 29,with his 2014 Jeep Grand Cherokee. Robinson and three passengers in the Jeep were using seat belts and all were OK. Fuller's Towing towed the vehicle. A Liverpool Twp.resident was involved in a one-vehicle crash at 7:58 p.m.,March 22, on Red Bridge Road in Liverpool Twp.Charges are pending against the driver for suspicion of driving while under the influence.State police said the driver showed signs of impairment at the scene. Another driver exhibited signs of intoxication after being stopped by police for multiple traffic violations on March 15 from Route 274 to Berger Lane on Dellville Road in Wheatfield Twp.The Duncannon resident was taken for further investigation. Ronald Sofranek of Newport reported the theft of a plastic mailbox from its post overnight,March 27-28,in the 10o block of Upper Bailey Road,Miller Twp.The mailbox was brown,numbered ioo and had a reflector on the side. Linda Loy,6o,of Loysville was driving west on Route 274 in N.E.Madison Twp.when her 1999 Chevrolet Silverado went into the eastbound lane on a right curve at 3:18 p.m., March 28,near Route 85o.Her truck sideswiped an eastbound 1995 Chevrolet 2600, which went off the road,struck an embankment and rolled onto its driver side. Both drivers and a passenger in the Silverado had on safety restraints and were not injured.Loy was cited for roadways laned for traffic. After being taken into custody by Pennsylvania state constables on an active warrant, William Hoke,26,of Enola was found to be in possession of marijuana at 3:03 p.m., March 28,on S.Carlisle Street,New Bloomfield.Criminal charges against him will be filed through district court,police said. http://www.pennlive.com/perry-county-times/index.ssf/2014/04/state police_report_-_apri... 11/4/2014 State Police Report- April 12, 2014 I PennLive.com Page 4 of 7 • John M.Himes,34,of Newport allegedly cut several items out their packaging and left the Newport Rite Aid in Howe Twp.with a Philips 8GB MP4 Player at 3:31 p.m.,March 24.He also was found to be in possession of drugs and drug paraphernalia when taken into custody.Charges were filed against him through district court. Patrice Menear,34,of Duncannon allegedly entered a residence in the 30o block of Kings Highway in Marysville without permission at 10:4o p.m.,March 21.Police said she pushed a Marysville man throughout the house. Citations against Menear for criminal trespass and harassment were filed through MDJ McGuire's office. A Newport resident allegedly tried to steal merchandise from the Weis Market in Newport at 11 a.m.,March 29. An Elliottsburg resident reported damage to a mailbox at 11:5o a.m.,March 29,in the 200 block of Laurel Lane,Saville Twp. Bradley Leisure of Blain reported his e-mail account was compromised at 8 a.m.,March 24.The account was used in an attempt to obtain money from financial institutions. A Shermans Dale man reported the theft of three,three-foot steel spiral well pilings and 10,two-foot rebar posts from his property in the first block of Pisgah Rest,Spring Twp., between 7 a.m.and 6 p.m.,March 27. A vehicle that failed to stop at a stop sign at the intersection of Spring and Valley roads in Carroll Twp.struck a 2004 Toyota Tacoma at 7:03 a.m.,March 28.The offending vehicle,which did not stop,was described as a turquoise sedan,possibly an older-style Cavalier.It would have front-end damage. Cody Gipe,18,of Newport was driving west on Lower Bailey Road in Miller Twp.when he swerved his 1999 Volkswagen Jetta to avoid hitting a deer on the road at 5:47 p.m., March 26.The car went off the road,down an embankment and struck a tree. Gipe was using a seat belt and had minor injuries. PLS Towing and Newport EMS assisted at the scene. Marlin Glick,22,of Elliottsburg was driving east in the 11oo block of Couchtown Road in S.W.Madison Twp.when he lost control of his red 1999 Dodge Durango on a downhill left curve at approximately 4 a.m.,March 3o.Police said he was going too fast for road conditions. The truck went into a farm field,spun,went into a ditch along the road and overturned onto its roof,finally coming to rest in the middle of the road. Police said Glick intially fled the scene and returned hours later.He told police he was using a seat belt at the time of the crash and was not injured.Charges are pending against him. Assisting at the scene were the Blain Fire Company and fire police.The truck was towed by J.T.Smith Towing. http://www.pennlive.com/perry-county-times/index.ssf/2014/04/state police_report_-_apri... 11/4/2014 State Police Report- April 12, 2014 I PennLive.com Page 5 of 7 Thomas Gasper of New Bloomfield was traveling south on Route 74 in Saville Twp. when his 2002 Ford Ranger slid off the road due to ice at 11:10 a.m.,March 3o,at the intersection with Freeman Hollow Road.The vehicle struck an embankment and overturned. Gasper was using a seat belt and was not injured. New Bloomfield EMS and Ickesburg Fire Company assisted at the scene.The vehicle was towed. Stopped by state police for traffic violations at 2:02 a.m.,March 8,Russell Jumper,56, of Marysville subsequently was arrested for DUI. Sharon Truitt,47,of McAlisterville turned left into the path of a westbound 2014 Chrysler 200 on Route 322 in Reed Twp.,Dauphin County,at 8:21 a.m.,March 3o.Her 1999 Oldsmobile Intrigue was struck in the front bumper/quarter panel. Both drivers were using seat belts.Truitt was not injured.The other driver had minor injuries.Truitt was cited for vehicle turning left. Duncannon EMS assisted at the scene. Correction:State police allege that Melody Conklin of Duncannon drove her 2001 Ford Windstar from a private driveway onto Paradise Road in Wheatfield Twp.at 6:15 p.m. on March 6 into the path of a westbound 1995 Chevrolet Sport Van G2o,which slowed but did not stop after impact.The driver of the Chevrolet was subsequently identified as Cyrus Lewis of Shamokin. Conklin,police said,would be charged for failing to yield to approaching traffic when entering a roadway and Lewis for failing to remain at the scene of the crash and for driving with a suspended license and without insurance. A previous report on the incident confused the two drivers. Anyone with pertinent information about any of the incidents is asked to contact state police,567-311o,or Perry County Crime Stoppers,1-866-210-8477 or www.perrycountycrimestoppers.org.Crime Stoppers offers cash awards for tips that lead to arrests. FOR RENT FOR RENT PENN Real Estate Middletown,PA Enola,PA Tweet 0 Like 0 I Share 0 Reddit (http://www.facebook.com/sharer.php?u=httpNIA%2F% 2Fwww.pennlive.com%2FperrY-county-times%2Findex.ssf%2F2o14% 2F04%2Fstate police report - april 12.html)(http://twitter.com/share? url=http%iA%2F%2Fwww.pennlive.com%2Fperry-county-times% 2Findex.ssf%2F2o14%2Fo4%2Fstate police report - april 12.html) (mailto:) http://www.pennlive.com/perry-county-times/index.ssf/2014/04/state_police_report_-_apri... 11/4/2014 CARD TYPE: CARD EXPIRES: Shelby Emergency Associates P.O. BOX 950970 CARD NUMBER: • LAKE MARY, FL 32795 SECURITY CODE FROM BACK OF CARD: PERSONAL & CONFIDENTIAL PRINT CARD HOLDERS NAME: Zo ADDRESS SERVICE REQUESTED SIGNATURE xrl 'x 005178 11785d 4169 0117320 Upon Receipt .� �iE�t ; STMT DATE: 10/29/14 FOR BILLING INQUIRIES CALL 704-228-0080 OR 704-228-0081 M-F 8:30AM-4:OOPM GREGORY L WILLIAMS SHELBY EMERGENCY ASSOCIATES 1652 GREENVIEW DR PO BOX 550868 GASTONIA, NC 28054-0866 JACKSONVILLE FL 32255 I11111111111"1IIul111111IIIII1111111IIIIIuIIIIIIIIIIII111"II' 655256A(PC1) STAT EM NT; CHARGES APPEARING ON THIS STATEMENT ARE NOT INCLUDED ON ANY HOSPITAL BILL OR STATEMENT rJ,��i��� my�.{my�'� {� .y-mmi{ y> lye)�pq�pryl� {�rym 5y[,/�y�1q. et:k�¢y�#',� Y INOO COMON UMBER k�+r Y 4M$M-+Q4'�n.i ' �{'i44.'s;[;RN J'iP¢�YMAIO F tl ii)E /51 '� moi.� 4S^ :r+�re. ,W S« �6iNh"y. v.N. 1 10/29/14 Upon Receipt (855) 871-1117 0117320 $5.00 ^•+• r ,+ fg -.=T s k 'n"+r l+ Asa .:,, wa k.+,a:. rw!.:r "-- � T'Jx j , '1-'4'. v.✓ r "'•��,�m @ ;� wv'3�6'�•� m s ��«" '�� '"��� ii��' �� ��{{� , m, .-� *��,,.�x•;;e t §�,,���z � x � Yx .�. a :;.}+: xv 4: S'x..,.',4.C+'r S�ai'" 4x av3 � ' r:"Y (k r.''�. q't,fil":3 s+t 4, °..fir-.s�,�z,�� � '�� ��i � � E.S_ ��� � ',��'` S �a+x,�!=9.."�L"1✓�•.,��.1�+¢?, .� i�sY.i;rS <h:�S k`. '�Pi's to �' � � � �� a1.., 10/06/14 STEWART MD CPT:99283 EMERGENCY DEPT VISIT, INTE GREGORY L W, $305.00 10/15114 MEDICAID NORTH CAROLINA #402479 Filed 10/23/14 *PMT MEDICAID NORTH CAROLINc# 4024791 -$46.35 3$ 10/23/14 "W/0 MEDICAID NORTH CAROLINc# 4024791 -$253.65 SHELBY EMERGENGY ASSOC STAFF: KINGS MOUNTAIN&CLEVELAND REG HOSPITALS , " � �x' �J � I„ , . t ak§,t�-x*,�-'r F $ �-1eP4141•1,:tk . w yt ' 1. fi Vo" s' ' 142 at* „: .; MESSAGE: SEND INQUIRIES TO: Please call with insurance SHELBY EMERGENCY ASSOCIATES information or to set up a ® JACKSONVILLE FL 32255 payment plan. Agri IRS#:561928809 (855)871-1117 171 ti • 15860-ALLSCYC-81868.1046476648-P;5036820-1-494;352576 3-1;1 CARD TYPE: CARD EXPIRES: Shelby Emergency Associates P.O. BOX 950970 CARD NUMBER: • LAKE MARY, FL 32795 SECURITY CODE FROM BACK OF CARD: PERSONAL & CONFIDENTIAL PRINT CARD HOLDER'S NAME: SIGNATURE: ADDRESS SERVICE REQUESTED 005277 0116718 Upon Receipt ,� ,�f •fz0f: 0101 11785d 4169 0,0 #6 ., STMT DATE: 10/29/14 CASSANDRA WILLIAMS FOR BILLING INQUIRIES CALL 704-228-0080 OR 704-228-0081 M-F 8:30AM-4:OOPM GREGORY L WILLIAMS SHELBY EMERGENCY ASSOCIATES 1652 GREENVIEW DR PO BOX 550868 GASTONIA, NC 28054-0866 JACKSONVILLE FL 32255 II„'iiiIIIIII IIiiiiiIIIIIIII'i19liIiiillii111111nI1iliiu'I' 1- 655256A(PC1) STATEMENT CHARGES APPEARING ON THIS STATEMENT ARE NOT INCLUDED ON ANY HOSPITAL BILL OR STATEMENT '� wo Ia+' iv',' .,1 ,',:, „..,,4%.,,,, , ;®EI ct ii:a r �1 .r•r)i7(e 1 2.z f„,'5...%:,.'v ;c� sa �,.r '-V �yy�f �, , ,” €.:, -�v_ n ,. . ,✓` �� , �. ..__ rC* �� .u. L_�wy �,e�. , � ,�� � , �av� 'wS� ht#�. .� � „, 1 10/29/14 Upon Receipt (855) 871-1117 0116718 $305.00 s`l .p'. ; r . ^r. 4,, "'is 's �rayX 9 'ti ,: `' ,, we-i'!+, t g .� ,,e,r' v,li,k,� a' b '® Ci._ .7$,� " �`y.r,. ;v p� c `4 �, h§'. ��'(re ✓ „� .;�. , ,<., i p, � �'`"r ��E�y air.�r�� .�� � ," �,:; a. ,:z.� � �' � � �'�'+e,. t —',,:4`^ % 44 .,.r- `: ., `�i�ayyyaiNi,-. . '` "11.10' 2ro.ei'Y '�, - „ '4t'4n4,% ,r, dti,a lF x t,,,, �,,. �,.., t z ,,..,,: ,,e �`.1..i-,,,, :ii?; r;'..: 4,,,, ..`w` "� zr'a <"zr� ._ a} -�k ��� ._... .�. .-K";. dA�Y� ~" �� r r. � , , , .., r ,.,� �, a f+���.Yt �+n.���4x�-. �i`.� i� - �3� 09/23/14 DISSER MD CPT:99283 EMERGENCY DEPT VISIT,INTE CASSANDRA IN $305.00 SHELBY EMERGENGY ASSOC STAFF: KINGS MOUNTAIN&CLEVELAND REG HOSPITALS '' r is t '1 4• 2Se,;ti'r, ' `Bah 'fs a .. r :?. ?' { ^a`t,k` s s 'S,y ,�� �+f ��V ,k�� �a ��yy� es�'5��@.,{,�� �y„Y�.� `�' �0-','.;.,,,:'..-''. l �'r i �. t t(. '��;..°��rF��q ��',,`' ;. 4 r i�'` �rna�^,'��&'.,'� ^��`A v '�'�'� M"r Ir'^k ,.,`�. �r ', h }„r 7w sg i r7 a (t 4 a. 1;,; I r'. ' a i�,rt ' 'c�, SjFfr :'*,: +,y, ,,'�wk, y"':' r'”, '.., a s6 �r`7 t.ar 4 y s k da- 7 'E'��.; e t C.> r t I. ! P � ti, t t � ,�», 4", , ,r r, s4 + �n ��m� ,s �`��; x i r z '� s.,, °� ..,����.� � �� �a�'., � FPx h��� �r�" '�¢3 ��w: v= 1,, . .;,' f.; a r v .a { ",; N, is t t r t t x ti r F °-V: Mfg.' .w t si I'"V : t c. �'��e5 � re* Yr� � 'r. " r � �»� r � � � :ry�,�� �. �$ ��M°#''d'��,� &�'m 11�' `s��t fi' � t akt fi € e ��t°1 `t. � ', �..t sA `..u�•tr, 11 ae.,. ...-;.:4„,n...w.a'kei .uG.•i.11:..*Ya.. ?..r,.X_ __ ;..:•.r'a f,..", k1. .,,h>,r` , .Y.� '#, ..' 1,, '�"� T.:3: MESSAGE: SEND INQUIRIES TO: Please call with insurance SHELBY EMERGENCY ASSOCIATES information or to set up a ® PO BOX 550868 payment plan. JACKSONVILLE FL 32255 IRS#:561928809 (855)871-1117 IL61trrfIUr iillill 15860-ALLSCYC-81868.1046476646-P;5036820-1-493;35257673-1;1 Vos? Account Information Carolinas HealthCare System Carolinas Medical Center Statement Date: 10/17/14 Patient Name: GREGORY LYNN WILLIAMS III Account Number. C1424604007 09/03/14 Thank you for choosing Carolinas HealthCare System for Service Date(s): DEPARTMENT Service Location: EMERGENCY DEPARTMENT your healthcare needs. Primary Insurance: SELF PAY "` ''• Patient Statement Balance Due: $558.55 Online Account Services This is your account balance. Please pay this balance in full today. To pay your bill online Write your account number onour check to ensure proper credit. Go to: www.carolinashealthcare.o Partial payments will not prevent further collections. r9 If you have questions, please visit our website at Select Online Tools then click www.carolinashealthcare.org or con:act customer service Monday - Pay Your Bill, PIN: 9683 Thursday 8:00 am to 8:00 pm, Friday 8:00 am to 4:00 pm toll free at 866-208-8673 or 704-717-5564. , !LLnQrtanUprmat/on For credit card options, itemized bill, or list of providers, please see the back of this statement. DESCRIPTION I AMOUNT To view our Financial Assistance Policy TOTAL CHARGES 1,117.10 Go to: www.carolinashealthcare.org 09/10/14 SELF PAY-PAYMENTS & ADJUSTMENTS 558.55CR Select Patient Links, then click Financial Assistance. CURRENT AMOUNT DUE 558.55 Manage your health online from anywhere, anytime! As a Carolinas HealthCare System patient, you can now conveniently manage your health information at home or on the go by activating your MyCarolinas account. With MyCarolinas, you can send secure messages to your care team, access test results, schedule appointments, renew prescriptions and more. Visit My.CarolinasHealthCare.org to sign up today. You may pay your bill online,by phone or detach and return bottom portion with your payment. Carolinas Medical Center do Accu Doc Return Mail Processing –— — ---- PO Box 2090 ACCOUNT NUMBER STATEMENT DATE Morrisville, NC 27560 u C1424604007 10/17/14 IIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIINIUIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIIII Current Amount Amount Due $558.55 Enclosed Payment Due Date 11/07/14 1914246040072000005585555 Carolinas Medical Center 1* *********************AUTO**5-DIGIT 28054 PO Box 96072 o GREGORY LYNN WILLIAMS Charlotte, NC 28296-0072 w 1652 GREENVIEW DR - i iii iLmJ1ILI11.II1,II11.I1•11 11111II.11I.1l1iriii ti GASTONIA NC 28054-0866 I"III11JilI1111111111111111111111111111111I,IIIIIII,,III11111 Please return remit coupon with your payment • Facility: Patient Name: CMC FACULTY PHYSICIANS Gregory Lynn Williams III Account Number: 3-4374583 Carolinas HealthCare System Statement Date: 10/16/2014 Page 3 of 3 Date of Service Insurance Patient Current Description Charges ransaction Date Payments Payments Amount Adjustments Adjustments You Owe INVOICE NUMBER:61096745 FAC EMERGENCY MEDICINE Provider:Courtney K Jones PA Visit Date:09/03/2014 09/03/2014 EMER DEPT VISIT E&M HIGH SEVERITY $250.00 VISIT TOTAL CHARGES 5250.00 5250.00 O CD V Co O Z c G M Contact Information w Our Customer Service Representatives are available to provide personalized customer service and quick handling of all inquiries and questions at 704-512-4808 or 1-800-378-3947, Monday- Thursday 9am to 6pm and Fridays 9am to 4:30pm. Important Message Thank you for choosing Carolinas HealthCare System for your healthcare needs.Should you have any comments or questions regarding your statement,please contact us at the address on Carolinas HealthCare System the front of this statement or through one of the options below. To request a detailed list of charges,please contact us. CMC FACULTY PHYSICIANS Regarding Your Account PO.Box 70826 Please remit payment on or before the due date listed.Thank Charlotte, NC 28272-0826 you for choosing Carolinas HealthCare System for Your healthcare ne . ::: .. or en Es r - acturaL a 'on ',alio' eves de esta f Acc unt Summary Charge Summary Patient Nartie Gregory Lynn"YlliFiams III Total Charges through:10/16/2014 $250.00 Statement Date: 10/16/2014 Insurance Pending: $0.00 Account Number: 3-4374583 Total Insurance Pmts/Adjmts Since Last Stmt: $0.00 Due Date: 11/06/2014 Total Patient Pmts/Adjmts'Since Last Stmt: $0.00 You Owe: $250.00 Insurance Information Contact Us Primary: On File,CAROLINA ACCESS Our Customer Service Representatives are available to provide personalized customer service and quick handling of all inquiries and questions at 704-512-4808 or 1-800-378-3947,Monday-Thursday 9am to bpm and Fridays 9am to 4:30pm. Online bill pay is now available! Inp:-lyyourbill online oto wt. .ca fiflCSFl aPIncare.org Select:Pay Your Bill,Online PIN:5340 Pursuant to NC General Statute 525-3-506,a processing fee of$25.00 will be assessed on all returned checks. P;—detach the bottom portion and return:atbyour-peymera.Keep the top portion fo:-yaur-ecocds,.. Carolinas Healthcare System ACCOUNT NUMBER STATEMENT DATE PO Box 2008 3-4374583 10/16/2014 Morrisville,NC 27560 PRIMARY INSURANCE POLICY NUMBER 111110111111IIII1IIIIIIIIII01l11111IIIIII11II111I111111111111111111 CAROLINA ACCESS On File Billing Inquiries.704-512-4808 or 1-800-378-3947 Current Amount Amount Due $250.00 Enclosed DUE DATE:11/06/2014 ***********************AUTO**3-DIGIT 280 Make Checks Payable To: GREGORY LYNN WILLIAMS CMC Faculty Physicians w 1652 GREENVIEW DR PO Box 70826 GASTONIA NC 28054-0866 Charlotte,NC 28272-0826 l,lhlllllll.llh1111IlhIlrlinlltlllllillllll.11llnl.Inlulllll PLEASE CHECI.THIS BOX IF YOUR ADDRESS OF INSURANCE INFORMATION 0030000043745833000002500031 HAS CHANGED.INDICATE THE CHANGES ON THE REVERSE SIDE. ro p PLEASE CHECK THIS BOX IFPAYING CREDIT CARD. INDI_ATE THE INFORMATIONNON THE REVERSE SIDE. SR A Shelby Important Information Radiologkal s Associates,PA This is your statement for reading& interpretation of x-rays by our ... s, Radiologists. Your Hospital will bill you separately for taking the films. Please call 704 482 3880 to discuss a payment plan to fit your budget, Patient Statement or if you have questions concerning this bill. Payments posted after this statement date will appear on your next Statement Date: 10/15/14 statement. Account Number: *****840001 Patient Name: CASSANDRA WILLIAMS Your X-Rays were taken at: KINGS MOUNTAIN HOSPITAL shelbyradiological.Com Description of Services Date Code Description Payments Charges 09/23/14 7313026 HAND 3+ VIEWS 46.00 IIIIIIIIIIIII $46.00 Signature on File/We Accept Assignment Shelby Radiological Associates, PA Physicians: Dr. William E. Campbell,Jr. Dr. James A. Stevens,Jr. For hours, phone numbers or to learn more about - -I this statement&your financial obligations, please - ---= see the back of this document. reE Dr. Raul S. de la Vega, Ill Dr. Charles 0.Tubbs Dr. Charles J. Girard, ll Dr. Karen Sennewald Dr. Michael D. Wehmueller PLEASE DETACH AND RETURN BOTTOM PORTION WITH YOUR PAYMENT Card Number Expiration Date SR A Shelby If paying by credit Signature Amount Charged Radiological card,complete form: tr 0 VISA ii Associates,PA = . ,\ Account Number Statement Date 112 r:MC *****840001 10/15/14 DO NOT MAIL CHECKS TO THIS ADDRESS Patient Name:CASSANDRA WILLIAMS c/o ACY Return Mail Processing PO Box 29 Mooresville,NC 28115-0029 .11.1111111P $46.00 SHOW AMOUNT PAID HERE $ 1:11 PLEASE MAKE CHECK OR MONEY ORDER PAYABLE TO: 11.1111111.111911111liiIIIIIIIIIIIIIIiipigilionvihrilsili IiiiiiiilligliiiiiiiiiiiiiIIIIIIIIIIIIIIIIIIIIIIIIiiihlitilly 01-A 20141016 P138 S 02977 SHELBY RADIOLOGICAL ASSOCIATES, PA 1MGREGORY LYNN WILLIAMS 222 N. LAFAYETTE STREET, SUITE 01 1652 GREENVIEW DR SHELBY NC 28150-4450 1 GASTONIA NC 28054-0866 DOC In:STMT Statements GREENVIEW MEADOWS RECEIPT OF PAYMENT Batch ID. 17000000546924 Page: 1 Deposit Date 10/3/2014 Date/Time: 10/3/2014 2:35:35 PM 3uilding Unit Resident Payment Type Number Payments 1 1652 WILLIAMS, GREGORY Money Order ;727104524 705.00 Current Balance: 0.00 o '� a t0.9a�a vaa9Ro Earnings Statement oo o4Q5 344a ... STRA 00069 700837 n _.',, THINGS Things Remembered Page 001 of 001 •. ' � 1-80C-874-2653 Period Ending: 10/04/2014 t REMEMBERED 5500 Avian Park Dr Advice Date: 10/10/2014 Highland Heights, OH 44143 Advice Number: 0000702548 Batch Number: 820 Employee ID: 533824 Tax Data Marital Status: Single GREGORY L WILLIAMS Allowances: 9 1652 GREENVIEW DR Additional Amount: GASTONIA NC 28054-0866 Additional Percent: Job Title: Store Manager III - Earnings Hours Current YTD • Deductions Continued Reg 79.03 1273.47 26529.21 LTD 60 9.38 168.84 PTO 5.37 86.53 570.10 barn 3270.94 Ovt-FWW 4.40 33.70 112.19 Total 3.84- 6160.51 GTL 5.32 93.48 Ovt 1849.26 064S:SS:ii'i:<1&`:.0' $:>; 'rizi:i9!?6b`._i`'' i:. Holiday 679.37 STAR/SPF 176.63 Paid Time Off Balance xih,.93i::::;1'£t�'>:>:::i:::>:::::`'::::::?: t:�t401 570:::>::::::::::':; l�:O::l ?i Z9i:ii::: PTO Balance .�...;.:::,�.:�:::..,:................:..::.:�::::::�� :-;::� � :�� 30.57 887 0 Employer Benefit Contribution YTD Tax Deductions Current YTD BasicLf .05 .90 NC W/H 42.00 682.00 EXP 143.20- 395.56- Fed Med 20.22 433.95 Fed SS 86.45 1855.51 Pay Rate/Salary 35360.0000 Fed W/H 97.57 Lal LS 16.00 PA Unemp 7.86 PA W/H 344.12 LAlen WH 112.09 Total 148.67 3549.10 Pretax Deductions Current YTD Sup Life 4.59 82.62 401K 13.94 1053.74 Total 18.53 4685.46 After Tax Deductions Current YTD Childspt 129.43 2710.83 Dep Life .55 9.90 ,V01,.',THINGS Things Remembered ''REMEMBERED 5500 Avian Park Dr Advice Number: 0000702548 Highland Heights OH 44143 Adffee Date: 10/1012014 Deposited to the account of = A&Glirit Number Transit ABA Amount GREGORY L WILLIAMS ='-aRecki1'CXXXXX9532 1087.14 s Crtecking XXXXXX9532 143.20 Total 1230.34 • , :;00 x::::> ;;:::::«::>::<:::«:::; #:,::::::::::::::::)::::::::::,::::::::,,,,,,,,,,,,,,*,,,,,,,,a,#;> :: Earnings Statement STRA 00069 697174 i" Thin Remembered Page 001 of 001 : • ,THINGS 1-80G-874.2553 :REMEMBERED 5500 Avion Park Dr Period Ending: 09j20/2014 Advice Data; 09/26/2014 Highland Heights, OH 44143 Advice Number: 0000698843 Batch Number: 815 Employee ID: 533824 Tax Data Marital Status: Single GREGORY L WILLIAMS Allowances: 9 1852 GREENVIEW DR Additional Amount: GASTONIA NC 28054-0888 Additional Percent: Job Title: Store Manager III - Earnings Hours Current YTD Deductions Continued Reg 86.38 1360.00 25255.74 LTD 60 9.38 159.46 STAR/SPF 72.10 176.63 Gam 3270.94 Ovt-FWW 6.38 50.39 78.49 Total 139.36 6021.15 GTI, 5.32 88.16 1849.26 '>E :s'.,'.>i3:z syr 1':rRi�QSiF:Sr:>i;i i:`'' i .�`it` tt::� ` Crit ,t.:::..: ::.. ..............._...............,•.,,..... .......... • Holiday 679.37 PTO 483.57 Paid Time Off Balance :;:::::z-.:;:F;:>;L';::%=:3;'rj,:::; :,;,;:::•::i:gi2aii:ii::; :>::'iSi''": i221.333485 $3CS$viiia!!':f2'i::a:?s;;>:'r;: C<: > :!iE$f,x;8:j;:::;::2::::::S::a:;y$, 3,;::;y.�O.si�3; PTO Balance Employer Benefit Contribution YTD Tax Deductions Current YTD BasicLf .05 .85 WC W/H 47.00 640.00 EXP 252.36- Fed Med 21.51 413.73 Fed SS 91.96 1769.06 Pay Rate/Salary 35360.0000 Fed W/H 17.97 97.57 Lal LS 16.00 PA Unemp 7.86 PA W/H 344.12 LAlen WH 112.09 Total 178.44 3400.43 Pretax Deductions Current YTD Sup Life 4.59 78.03 401K 14.10 1039.80 Total 18.69 4518.26 After Tax Deductions Current YTD Childspt 129.41 2581.40 Dep Life .55 9.35 ..nen a.n..t:.c.....s...fn:aa. ,ti* i ., Things Remembered REME Advice Number: 0000898843 ':REMEMBERED 350o Avion Park Dr Highland Heights OH 44143 _ .A,Jlce Date: 0912812014 Deposited to the account of _ ALiartit Number Transit ABA Amount GREGORY L WILLIAMS _-Iaieckit-'1XXXXX9532 1146.00 15 15 15 V5 Total 1146.00 In the Court of Common Pleas of CUMBERLAND County, Pennsylvania DOMESTIC RELATIONS SECTION GREGORY L. WILLIAMS II Docket Number: 00328 S 2000 Plaintiff v. PACSES Case Number:211102220 PATRICE O. MENEAR Defendant Other State ID Number: 200044499 C., -T ORDER OF COURT rr; Pry fYi f" -LJ f.' Legal proceedings have been brought against you allegJflg:yfou Make disobeyed an Order of Court for supporta; T; = -0 1. A critical issue in the contempt proceeding is your ability to pay'and coSttiply with the terms of the support order. If you wish to defend against the Nim set forth in the following pages, you may, but are not required to, file in writing with the Court your defenses or objections. 2. You, PATRICE O. MENEAR, Respondent, must appear in person in court on NOVEMBER 24, 2014, at 9:00AM in COURT ROOM 1, C/O CUMBERLAND CO COURTHOUSE, 4TH FLOOR, 1 COURTHOUSE SQUARE, CARLISLE, PA. 17013. IF YOU DO NOT APPEAR IN PERSON, THE COURT MAY ISSUE A WARRANT FOR YOUR ARREST AND YOU MAY BE COMMITTED TO JAIL. 3. If the Court finds that you have willfully failed to comply with its order for support, you may be found to be in contempt of court and committed to jail, fined, or both. You will have the opportunity to disclose income, other financial information and any relevant personal information at the conference/ hearing so that the Court can determine if you have the ability to pay. You may also tell the Court about any unusual expenses that may affect your ability to pay. You may fill out the enclosed Income Statement and Expense Statement forms and submit them to the court. At the conference/hearing, the contempt petition may be dismissed, new and/or modified purge conditions may be imposed, or the judge may order you to jail. If the obligee fails to appear, the court will proceed with the case and enter an appropriate order. Form EN-528 03/13 Service Type M Worker ID 21205 Yr In the Court of Common Pleas of CUMBERLAND County, Pennsylvania DOMESTIC RELATIONS SECTION GREGORY L. WILLIAMS II Docket Number: 00328 S 2000 Plaintiff v. PACSES Case Number:211102220 PATRICE 0. MENEAR Defendant Other State ID Number: 200044499 ORDER OF COURT Legal proceedings-have been brought against you-alleging you have disobeyed an Order of Court for support. 1. A critical issue in the contempt proceeding is your ability to pay and comply with the terms of the support order. If you wish to defend against the claim set forth in the following pages, you may, but are not required to, file in writing with the Court your defenses or objections. 2. You, PATRICE O. MENEAR, Respondent, must appear in person in court on SEPTEMBER 22, 2014, at 9:00AM in COURT ROOM 1, CIO CUMBERLAND CO COURTHOUSE, 4TH FLOOR, 1 COURTHOUSE SQUARE, CARLISLE, PA. 17013. IF YOU DO NOT APPEAR IN PERSON, THE COURT MAY ISSUE A WARRANT FOR YOUR ARREST AND YOU MAY BE COMMITTED TO JAIL. 3. If the Court finds that you have willfully failed to comply with its order for support, you may be found to be in contempt of court and committed to jail, fined, or both. You will-have the opportunity to disclose Income, other financial information and any relevant personal information at the conference/ hearing so that the Court can determine if you have the ability to pay. You may also tell the Court about any unusual expenses that may affect -Your ability to.pay. may fill out the enclosed Income Statement and Expense Statement forrns.and submit them to the court. At the conference/hearing, the contempt petition may be dismissed, new and/or modified purge conditions may be imposed, or the judge may order you to jail. If the obligee fails to appear, the court will proceed with the case and enter an appropriate order. Form EN-528 03/13 Service Type M Worker ID 21600 7 Borrower's Name(please print) GREGORY L WILLIAMS Social Security Number 303-82-0940 Section Cl:Education Loan Indebtedness-Loans You Want to Consolidate(continued from page 1) 13.Loan Code 14.Loan Holder/Servicer Name,Address,and Area Code/Telephone Number 15.Loan Account Number 16.Estimated Payoff Amount (See Instructions) (See Instructions) DEPT OF ED/SALLIE MAE (- PO BOX 740351 303820940 $24,030.00 ATLANTA GA 30348/800-722-1300 A P.O.BOX 963535DEPT OF ED/SALLIEMAE 303820940 $8,952.00 \VILKES-BARRE PA 18773/800.722-1300 DEPT OF ED/SALLIE MAE P.O.BOX 9635 303820940 $8,952.00 \VILKES-BARRE PA 18773/800-722-1300 ACS EDUCATION SERVICES C, P.O.BOX 7051 303820940 $3,213.00 UTICA NY 13504/800.835-4611 ACS EDUCATION P.O.BOX 705SERVICES A303820940 $3,200.00 UTICA NY 13504/800-835-4611 17.Grace Period End Date.If any of the loans you want to consolidate are in a grace period,you can have the processing of Expected Grace Period End your Direct Consolidation Loan delayed until the end of your grace period by entering your expected grace period end date in the space provided.If you leave this item blank,we will begin processing your Direct Consolidation Loan as soon as we receive Date(month/year): this Note and any other required documents and any loans listed in Section Cl that are in a grace period will enter repayment immediately upon consolidation.You wi I then lose the remaining portion of the grace period on these loans. Section C2:Education Loan Indebtedness-Loans You Do Not Want to Consolidate Read the instructions before completing this section.List all education loans that you are not consolidating,but want to have considered when your maximum repayment period is calculated.Remember to include any Direct Loan Program loans that you do not want to consolidate.If you need more space to list additional loans,use the Additional Loan Listing Sheet included with this Note.List each loan separately.Please print.IN THIS SECTION,LIST ONLY LOANS THAT YOU DO NOT WANT TO CONSOLIDATE. We will send you a notice before we consolidate your loans.This notice will(1)provide you with information about the loans and payoff amounts that we have verified,and(2)tell you the deadline by which you must notify us if you want to cancel the Direct Consolidation Loan,or if you do not want to consolidate one or more of the loans listed in the notice.The notice will not include information about any loans you listed in this section,and any loans listed in this section will not be consolidated.See the instructions for more information about the notice we will send. 18.Loan Code 19.Loan Holder/Servicer Name,Address,end Area Code/telephone Number 20.Loan Account Number 21.Current Balance (See Instructions) (See Instructions) Section D:Repayment Plan Selection To understand your repayment plan options,carefully read the repayment plan information in the Borrower's Rights and Responsibilities Statement on pages 5-8 of this Note and in any supplemental materials you receive with this Note.Then select a repayment plan for your Direct Consolidation Loan by completing the Repayment Plan Selection form that accompanies this Note. •If you select the Income Contingent Repayment(ICR)Plan or the Income-Based Repayment(IBR)Plan,you must also complete additional forms and/or provide additional documentation as explained on the Repayment Plan Selection form.Your selection of the ICR Plan or IBR Plan cannot be processed without the required additional forms or documentation. •You must select the ICR Plan or the IBR Plan for repayment of your Direct Consolidation Loan if(1)you want to consolidate a defaulted loan(s)and you have not made a satisfactory repayment arrangement with your current loan holder(s);or(2)you are consolidating a delinquent Federal Consolidation Loan that the lender has submitted to the guaranty agency for default aversion,and you are not consolidating any additional eligible loans. Submit pages 1,2,and 3 Page 2 of 9 Federal Direct Consolidation Loan OMB No.1845-0053 Form Approved Application and Promissory Note Exp.Date 02/28/2014 WARNING:Any person who knowingly makes a false statement or misrepresentation on this form or any accompanying documentation Is subject to penalties that may include lines,Imprisonment,or both,under the U.S.Criminal Code and 20 U.S.C.1097. Before You Begin Read the instructions for completing this Federal Direct onsolidation Loan Application and -romissory Note(Note).Print using blue or black ink or type.You must sign and date this form. if you cross out anything and write in new information,put your initials beside the change. NOTE: PAGES 1,2 and 3 OF THIS NOTE MUST BE SUBMITTED FOR YOUR LOAN REQUEST TO BE PROCESSED. Section A: Borrower Information 1.Last Name F,rst Name Middle Initial 2.Social Security Number WILLIAMS GREGORY L 303-82-0940 3.Permanent Address(if P.O.box or general delivery,see instructions) 4.Area Code/Telephone Number 1652 GREENVIEW DR 717-683-9010 GASTONIA NC 28054 C ty State Zip Code 5.E-Mail Address(Optional) GLWNEWYORK@LIVE.COM 6.Former Name(s) 7.Date of Birth(mm-dd-yyyy) 8.Driver's License State and Number 09/03/1977 State Number % 452, VtwYV/,t1 W/ iK t 9.Employer's Name Things Remembered 10.Employer's Address 53t01�v�� tcy9 - Irl I4.14L 00 h6-s1 d✓, 11.WorkArea bar Cry , P € O Zip Code ' 3 4Gr Section B:Reference Information 12. References: List two persons with different U.S.addresses who do not live with you and who have known you for at least three years. �gCt; r ` • 1 0 Ct'; r-r 4 • PrJ I [..�-, v, Read the InsfrucfTons before lef7n this sec1lon.C1st eac fe3eral educatiorI oar�th p p at'you wan[to'ctsrlst3lfoate;-rrrctuamg-anyrovunam v.-rvw rwrrre, ---_ Direct Loan(Direct Loan)Program loans that you want to include in your Direct Consolidation Loan.If you need more space to list additional loans,use the Additional Loan Listing Sheet included with this Note.List each loan separately.Please print.IN THIS SECTION,LIST ONLY LOANS THAT YOU WANT TO CONSOLIDATE. We will send you a notice before we consolidate your loans.This notice will(1)provide you with information about the loans and payoff amounts that we have verified,and(2)tell you the deadline by which you must notify us if you want to cancel the Direct Consolidation Loan,or if you do not want to consolidate one or more of the loans listed in the notice.The notice will include information about loans eligible for consolidation that you listed in this section.It will also include information about additional loans eligible for consolidation that you did not list In this section,if you have additional eligible loans with a holder of a loan that you listed in this section.See the Instructions for more information about the notice we will send. 13.Loan Code 14.Loan Holder/Senicer Name,Address,and Area Code/Telephone Number 15.Loan Account Number 16.Estimated Payoff Amount (See Instructions) (See Instructions) FERRIS STATE UNIVERSITY F 901 SOUTH STATE STREET 303820940 $1,386.00 BIG RAPIDS MI 49307/231.591-2000 MAEOF ED/SALLIE DEPT O BOX 7 351 0 303820940 $13,648.00 D ATLANTA GA 30348/800.722-1300 Submit pages 1,2,and 3 Page 1 of 9 GREGORY L. WILLIAMS, II, : IN THE COURT OF COMMON PLEAS OF Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA V. PATRICE O. MENEAR, Defendant : NO. 2000 — 5075 CIVIL : CIVIL ACTION — CUSTODY ORDER OF COURT AND NOW, this 2ND day of DECEMBER, 2014, a Rule is issued upon Defendant Patrice O. Menear to Show Cause why Plaintiff/Petitioner's request to transfer these proceedings to North Carolina should not be granted. Rule returnable twenty (20) days after service. ✓ Gre ory L. Williams Patrice O. Menear :sld I: es /12ru1irt) / Edward E. Guido, J. C) N `zq G3 CJ ri ti 4. Denied 5. Denied 6. After reasonable investigation the respondent is without knowledge or information sufficient to form a belief as to the truth of petitioner's averments. 7. After reasonable investigation the respondent is without knowledge or information sufficient to form a belief as to the truth of petitioner's averments. 8. After reasonable investigation the respondent is without knowledge or information sufficient to form a belief as to the truth of any of petitioner's multiple material allegations. 9. After reasonable investigation the respondent is without knowledge or information sufficient to form a belief as to the truth of petitioner's multiple material allegations. 10. Admitted to the extent that Custody Orders from July 11, 2014 forward do not provide mother with as much custodial time with daughter as is provided with son. Denied as to the remainder of petitioner's multiple material allegations. 11. After reasonable investigation the respondent is without knowledge or information sufficient to form a belief as to the truth of petitioner's averments. 12. After reasonable investigation the respondent is without knowledge or information sufficient to form a belief as to the truth of petitioner's averments regarding the source of petitioner's financial hardship. NEW MATTER 13. Mother has continued to be a resident of the Commonwealth of Pennsylvania, and therefore has a significant connection with this Commonwealth. 14. Both children have familial relationships in the Commonwealth of Pennsylvania. 15. Neither child has familial relationship with anyone, who is a resident of North Carolina, aside from father. 16. Father has resided in many states since 2000, including Maryland, Pennsylvania, Michigan, and North Carolina. 17. Both children have a significant relationship with this Commonwealth as periods of custody with respondent / mother will take place in this Commonwealth. 18. Courts of this Commonwealth have exercised jurisdiction over this custody matter since the year 2000. 19. Petitioner has not made any averments regarding the need to modify this Honorable Court's Custody Order dated August 21, 2014. 20. Respondent avers that petitioner has not followed this Honorable Court's Custody Order and that the Petition for Change of Venue,is a done by petitioner to avoid a Petition for Contempt by respondent. Wherefore, the Defendant / Respondent respectfully requests this Honorable Court DENY Plaintiffs Petition for Change of Venue. Respectfully submitted, Paul Primrose, Esquire ID No. 315016 325 South Hanover Street Carlisle, PA 17013 717-623-3104 Attorney for Defendant / Respondent VERIFICATION Paul Primrose states that he is the attorney in relation to the within matter; that he makes this affidavit as attorney because he has sufficient knowledge or information and belief, based upon his investigation of the matters averred or denied in the foregoing document; and that this statement is made subject to the penalties of 18 Pa. C.S. 4904, relating to unsworn falsification to authorities. Date: 12 22, x Paul Primrose GREGORY LYNN WILLIAMS, II, : IN THE COURT OF COMMON PLEAS Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA v. : NO. 00-5075 CIVIL ACTION - LAW PATRICE O. MENEAR, : IN CUSTODY Defendant CERTIFICATE OF SERVICE AND NOW, this 22th day of December, 2014, I, Paul Primrose, Esquire, hereby certify that I did serve a copy of the foregoing upon the Plaintiff by depositing, or causing to be deposited, same in the United State Mail, First-class mail, postage prepaid addressed to the following: Gregory L. Williams, II 1652 Greenview Drive Gastonia, NC 28054-0866 Respectfully submitted, ✓wZ Paul Primrose, Esquire ID No. 315016 325 South Hanover Street Carlisle, PA 17013 717-623-3104 Attorney for Defendant