HomeMy WebLinkAbout11-01-05
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IN RE: ESTATE OF MILDRED
MILDRED J. GERBER
an Incapacitated person
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYL ANIA
ORPHANS' COURT DIVISION
NO. 21-01-92
IN RE: MILDRED J GERBER
TRUST UNDER AGREEMENT
DATED,DECEMBER 19,1997
NO. 21-2002-0540
IN RE; FRED E. GERBER, SA.
TRUST UNDER AGREEMENT,
DATED, JULY 29,1994
NO. 21-1998-0195
IN RE: ESTATE OF FRED E.
GERBER,SA.
NO. 21-1998-0195
FREDERICK E. GERBER,I\
EXECUTOR OF MILDRED J.
GERBER ESTATE
NO. 21-01-92
FREDERICK E. GERBER, II
TRUSTEE OF FRED E. GERBER,
SA. TRUST
NO. 21-1998-0195
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FREDERICK E. GERBER,II
EXECUTOR OF FRED E. GERBER,
SA. ESTATE NO. 21-1998-0195
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Jane N. Heflin, Beneficiary of
MILDRED J. GERBER ESTATE,
TRUST AND FRED E. GERBER,SR.
ESTATE AND TRUST
AMANDA N. HEFLIN, SEAN M
HEFLIN, FREDERICK S. GERBER,
ADRIAN M GERBER, ISSUES OF
THE ABOVE ESTATES AND TRUSTS
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PNC BANK, TRUSTEE OF
MILDRED J. GERBER TRUST
NO. 21-2002-1'540
EMERGENCY PETITION TO ENFORCE AND STAY THE
PERSONAL PROPERTY OF MARILYN J. GERBER AND
PROPERTY FROM THE MILDRED J. GERBER ESTATE
PETITION TO ENFORCE THE GERBER FAMILY SETTLEMENT
AGREEMENT, DATED, SEPTEMBER 9,2005 AND TO STAY
THE DISPOSITION OF ALL THE TANGIBLE PROPERTY OF
MILDRED J. GERBER AND FRED E. GERBER,SR. UNTIL
THE PERSONAL PROPERTY OF MARILYN J. GERBER AND
THE AGREED PROPERTY FROM THE STATED ESTATES
IS VERIFIED BY PETITIONER WITH A THIRD PARTY WITNESS
PETITION THAT ALL THE REMAINING AND STATED UNWANTED
TANGIBLE PROPERTY OF THE MILDRED J. GERBER ESTATE
BE AWARDED TO MARILYN J. GERBER AS DAMAGES FOR
VIOLA TION OF THE GERBER FAMIL V AGREEMENT
AND NOW, comes Marilyn Gerber, Pro Se, beneficiary of the above~t~ted
Estates and Trusts of Fred E. Gerber,Sr. and Mildred J. Gerber, in support of th~
above Petition as follows;
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1.
The Gerber Family Settlement Agreement signed by all parties on
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September 9,2005 was filed in this Court on September 23,2005.
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2. Under the terms of the Gerber Family Agreement, all the parties have
transferred all the assets and the personal tangible property unto the Executor for final
disposition under the terms of the agreement.
3. The financial terms of the Gerber Family Agreement was disperSed to
Marilyn Gerber in two parts and completed by October 5,2005.
4. The tangible property was identified in the Gerber Family Agreement
as Personal Property of Marilyn J. Gerber which has been in the home of Fred E. Gerb r,
Sr. and Mildred J. Gerber since 1968 and the tangible property of Mildred J. Gerber.
5. Jane N. Heflin and Frederick E. Gerber,lI siblings of Marilyn Gerber and
beneficiaries of the above stated Trusts and Estates would NOT ALLOW Marilyn Gerb r
to witness her personal property that resided in the home of Mildred J. Gerber since
1968 nor would they allow Marilyn Gerber to witness the property of Mildred J. Gerber
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prior to the settlement agreement on September 9,2005.
6. The terms of the Gerber Family Settlement Agreement stipulated that
Marilyn Gerber would turn over to Frederic~ E. Gerber,lI specific items on Septembe
26,2005 to the offices of Richard Rupp,Esquire.
Marilyn Gerber met the terms of this agreement by personally appearing at th '
offices of Richard Rupp,Esquire and all items were photographed, itemized and an
agreement acknowledging this turnover was signed by Richard Rupp, Esquire, his
legal assistant, Bambi and Etta. A copy was provided to Richard Rupp.
Several items were bubble wrapped and taped and marked so that only
Frederick E. Gerber,11 would access this property.
Marilyn Gerber conferred with Joanne Book, Esquire of Rhoades & Sinon and tan
Laskowski, Esquire about the format of turning over this property. EXHIBIT
7. Marilyn Gerber was asked to wait until October 29,2005 to receive her
personal property and that of Mildred J. Gerber based on the fact that the tangible
property of Mildred J. Gerber and the personal property of Marilyn Gerber was packe
and removed by Harrisburg Storage Company by the authority of PNC Bank on
October 1,2002. The packing of the tangible property at 623 Hilltop Drive, New
Cumberland on October 1,2002 involved two 24 foot moving trucks, a team of 5
personnel from Harrisburg Storage, a Security Guard, David Brown of PNC Bank, De ise
Sullenberger of PNC Bank, AJ Mendosohn, Esquire of Rhoades & Sinon along with
her assistant who was never identified, Marilyn Gerber, and Chief of Police, Orin
Kauffman of New Cumberland.
The packing of the tangible personal property at 623 Hilltop Drive, New
Cumberland, was the entire contents of a three story home, 5 bedroom which had bee
the family home of the Gerber parents and their three children from 1968 to 2003.
8. The tangible property of Mildred J. Gerber and Marilyn Gerber has been
in storage at Harrisburg Storage which is climatized and is located at the bottom of the
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hill (Beacon Hill) of the residence of Marilyn Gerber.
This property has been stored and paid for by PNC Bank from October 1,20 2
to last week, October 27,2005.
9. Marilyn Gerber called Harrisburg Storage Company in early October 2 05
informing the owner, Rick Uddell, that Frederick E. Gerber, " and Jane N Heflin would
accessing the container that stored the above stated property. Mr. Udell shared with
Marilyn Gerber that he had NOT been contacted by Frederick E. Gerber,1I between
September 9 and October 13,2005 nor had he been contacted by PNC Bank.
10. Marilyn Gerber also contacted Richard Rupp,Esquire on numerous
occasions from early October 2005 to inform him of the manner that the turnover of th~
property would occur.
In several letters to Rupp, Marilyn Gerber stated that Harrisburg Storage
Company would make available a separate room at their storage facility for Fred and J ne
to unwrap and separate the property that was to be given to Marilyn Gerber. Althou$h
October 29 was a Saturday, Mr. Uddell stated that he would make his storage facility
OPEN for this turnover.
Mr. Rick Uddell also requested that PNC Bank contact him and provide him
with legal papers releasing this property from their custody as Guardian of Estate of the
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tangible property of Mildred J. Gerber.
Mr. Rick Uddell also stated that he had an original inventory list that was comple
by his packing team on October 1,2002 and that he would have two personnel presel1
at the unwrapping of the tangible property of Mildred Gerber.
Marilyn Gerber made arrangements to hire one individual from Harrisburg Stora9
to act as a neutral independent witness as she received the tangible property.
Marilyn Gerber also made arrangements with Mr. Liddell to have her turned over
property to be rewrapped and stored at Harrisburg Storage on October 29,2005.
11 . The Gerber Family Settlement agreement was negotiated by five
attorneys from August 23,2005 to September 9,2005. Frederick E. Gerber,lI had
three attorneys to represent him known as Jackie Verney, Undsay Baird Richard
Rupp. Stan Laskowski represented Marilyn Gerber and Joanne Book represented
PNC Bank.
During the negotiations, it was discussed and agreed that the turnover of the
personal property to Marilyn Gerber would be discussed and arranged by Marilyn G rber
and Frederick E. Gerber,1I 's attorneys. All the details of this turnover were NEVER
stipulated in fine detail in the signed Gerber Family Settlement of September 9,20051 as
the final terms and events of this property turnover could not be stipulated due to the
required necessity of the parties known as PNC Bank and Harrisburg Storage Comp ny to
arrange for this turnover on October 29,2005. It was understood that Marilyn Gerber
would inform Frederick E. Gerber," through his attorney, Richard Rupp the method a
manner of the turnover.
On September 9,2005. at the signing of this Gerber Family Agreement, it was
stated before William A. Duncan, auditor and Jackie Verney and Stan Laskowski that
Marilyn Gerber would require a third party witness to be present as well as each piece
of property would be identified, photographed and authenticated as the agreed upon
property that was to be turnover to her. These terms were discussed in great detail
between Jackie Verney, Stan Laskowski, and Joanne Book from August 23,2005 and
September 9,2005.
It must be noted that Jackie Verney acted as the negotiator between the Gerber
family siblings and Marilyn Gerber was represented by Stan Laskowski. All terms wer
related to Richard Rupp and Undsay Baird by Jackie Verney.
These terms were requested by Marilyn Gerber and her attorney due to the fact
that her personal property and that of Mildred J Gerber's property had been accessed
by her siblings from 1998 to January 2003 and it was fully known that much of the
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tangible property of Mildred J. Gerber had been removed by Jane Heflin and Frede ick
E. Gerber,1I between February 1998 and January 2003 as well as after June 2001 en
PNC Bank completed an inventory list of the tangible property that was located at
623 Hilltop Drive,New Cumberland as Guardian of Estate.
Dusty Chapman, the official appraiser for PNC Bank also testified under oath
at his deposition on May 20,2002 that the family silver, the crystal and the china was
not present in the home of Mildred J. Gerber when he conducted his inventory appral al
and he also stated under oath that he was informed that there was personal property f
Marilyn Gerber in the home of Mildred J. Gerber at 623 Hilltop Drive.
On October 1,2002, Harrisburg Storage performed a very detailed inventory .
list of what they packed that was more extensive that the inventory made by PNC Sa k
in June 2001 when they were appointed as Guardian of Estate by this Court in March
2001.
It was stipulated and agreed that Marilyn Gerber would receive ALL of her
personal property and since Fred and Jane had REFUSED for Marilyn Gerber to
assist in the unpacking of Mildred J. Gerber's home nor would they allow her to
WITNESS her personal property until October 29,2005, Marilyn Gerber stated very
clearly that she would photograph and identify each item with a third party present on
October 29,2005.
This request was not unusual especially due to the long eight years of acrimony
that was displayed by Frederick E. Gerber,1J and Jane Heflin for their sibling Marilyn
Gerber.
12. On October 20,2005, Marilyn Gerber left a message for Joanne Book,
Esquire of Rhoads & Sinon followed by a fax on October 21,2005 informing her that P C
Bank had FAILED to send a legal document to Harrisburg Storage informing them that
Frederick E. Gerber," was the legal Executor and would be removing the property and
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giving agreed upon property to Marilyn Gerber.
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PNC Bank did not provide Mr. Liddell of Harrisburg Storage the official legal
document of said above stated terms until Friday, October 23,2005 at 5 PM which
essentially created a LAST MINUTE release when PNC Bank was aware of the
Gerber Family Settlement Agreement on September 9,2005 and again waited until
September 23,2005 to enter their language and release their responsibility by PetitiQ
with this Court. PNC Bank has essentially DELIBERATELY conspired with Frederick
E. Gerber, II the Executor to SABOTAGE this turn over of property knowing that it
would take days to unpack and authenticate and identity this property.
13. On October 10,2005 Marilyn Gerber concerned that there was no res nsa
from Richard Rupp regarding the unpacking of the tangible property at Harrisburg
Storage Company, faxed an offer to Rupp offering to give Fred and Jane until early
December to unpack and turn over the tangible property. Marilyn wanted to ensure
that all the agreed property would be unwrapped, identified, turnover to Marilyn and
verified by her. Marilyn Gerber knew that this task would be enormous and long.
Marilyn Gerber induded in this letter detailed items that were her personal
property in an attempt to assist Fred and Jane to retrieve her personal property. Sin
Fred and Jane REFUSED Marilyn from viewing her property, it was difficult for her to
believe that Fred who had no knowledge of Marilyn's lifelong momentos or property
would adequately return ALL of her personal property. Jane who is the youngest child
of the Gerber siblings also had little knowledge of Marilyn'S lifelong personal property.
14. On October 11 ,2005. Richard Rupp responded to Marilyn Gerber that
Fred and Jane had REJECTED her offer.
15. On October 17,2005, Richard Rupp sent a fax to Marilyn Gerber stating
that she was violating the Gerber Settlement Agreement because she was communicati g
with him. Richard Rupp tried to make Marilyn believe that by communicating to him, she
was directly communicating with them. One has to ask then what role Richard Rupp pia
throughout the past eight years?
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Richard Rupp also admitted that he did not officially represent Jane Heflin as" r
attorney.
I informed Richard Rupp that he was harassing me.
16. On September 27,2005, Marilyn Gerber telephoned Harrisburg Stora e
Company to ask if Fred and Jane had accessed the storage container. Marilyn was
informed by Debbie that someone had appeared with legal papers and removed th
entire storage container. Debbie would not provide me with anymore specifics other'
than this occurred on Tuesday or Wednesday, October 25,26,2005. I was later
told by Mr. Rick Uddell on Monday, October 31,2005, that Fred had threatened his
staff with a law suit if they were to tell Marilyn Gerber any information on his removing ;
the container from their storage facility or the location that it was going to.
17. On Thursday, October 27,2005, Marilyn Gerber faxed Richard Rupp
informing him of this newfound knowledge and informed him that I was not available
from 15:00 Thursday, October 27,2005 to receive any faxes or telephone calls as I
would be involved in a conference all day Friday,October 28,2005. I was involved in:
a planned conference where I testified before a panel of Pennsylvania Judges from
Orphans' Court on the excesses of Guardianship and the elderly. I testified before
Pennsylvania Supreme Court, the Honorable Joseph D. O'Keefe, the Honorable
Stanley R. Ott, Common Pleas Court, 38th Judicial District, the Honorable Anne E. Laz rus
First District Court, the Honorable John W. Herron, Philadelphia Court of Common Pie '
as well as a distinguished panel of experts attorneys in elder law.
I informed Richard Rupp that I would not take possession of my personal
property without the presence of someone to represent and identify my property
by Fred and Jane and that I HAD NOT been informed by Rupp as to the time and
conditions at Harrisburg Storage and that at this point, I had NO idea where my persona
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property had been taken.tI informed Richard Rupp that at this late date, I could not arrange for a neutral
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party witness, arrange for a rented truck nor could I arrange for someone to move my I
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property. These arrangements and conditions would also require the expenditure ofl
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additional moneys. I
I informed Rupp that Fred and Jane's actions, constituted a BREACH of the
Family Agreement and was a direct hostile and acrimonious action by Fred and Jane.
I also received a telephone call from Stan Laskowski on October 27th,stating t at
Rupp had faxed him and stated that he REFUSED to communicate with me and that e
would ONLY communicate with Stan. Marilyn Gerber had communicated with all cou sel in
early September 2005 after the signing of the Gerber Family Settlement agreement
that Stan Laskowski NO LONGER represented me and that his services were
contracted SOLELY for the purpose of negotiating a settlement agreement.
It must be noted that Stan Laskowski ONL Y negotiated the Gerber Settlemen
Agreement under the terms that he would negotiate with Jackie Verney and not
Richard Rupp due to past incompetent communications between them from 2002 to
the present which led to this long and protracted waste of this Court's time over the
past four years. Laskowski, Verney and Book achieved settlement terms after one w, k
upon contacting all counsel on August 23,2005. Laskowski offered a five page compl te
settlement agreement which was satisfactory to Verney and Book. At the final hour,
Rupp declared that he was due approximately $60,000 which he did not declare
on August 7,2005 as ordered by Auditor Duncan and he produced a 28 page settlem nt
agreement on September 8,2005 for all counsel to try to get through for a settlement
meeting on September 9,2005.
On September 9,2005, Frederick E. Gerber,lI stated that if the settlement
agreement was NOT signed today, that there would be a $10,000 penalty to come fro
my $200,00 0 share and that I would have to pay all attorney fees. It took Fred from
09:00 AM to 15:00 PM with Verney,Baird and Rupp present walking back and forth
from the Old Courthouse to Verney's office to accomplish this task.
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Rupp stated that Fred was starting a new job in Iraq as a civilian and would be
leaving September 28 and returning on October 28,2005. This was their excuse for I
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asking for approximately two months for me to wait to receive my personal property!but
they DEMANDED that I turnover property to Fred on September 26,2005.
Jane Heflin lives in Chicago and New York City as well as works in New York nd
Chicago. She also had to return significant personal property as well as property fro '
Mildred J. Gerber that she removed in early 2001 prior to PNC Bank being awarded
Guardian of Estate.
18. On Friday, at 17:40 PM, I received a voice mail messagefromRupp.at
he DID NOT KNOW the location of my personal property nor when the turnover
would occur.
Richard Rupp stated that he would FAX me early Saturday morning, October
29,2005 at 06:00 AM as to where I would find my property.
19. On Saturday, October 29,2005, I finally received a fax that was timed
at 09:05 AM from Rupp's office stating to location of my personal property, the
combination on the padlock of the location and communicated an offer by Fred that I
could purchase the remaining UNWANTED property from our parents for the
sum of $12,000 BUT I had to accept this property SIGHT UNSEEN, AS IS and that
I had until November 1,2005, to tender a cashier's check or wire the amount from
Stan Laskowski's legal account.
Rupp further stated that there would be NO ONE present at the storage
location. The fax DID NOT provide a telephone number other than directions to
a storage location over 30 minutes from my home and it did not state whether this
storage location is climatized.
20. Marilyn Gerber affirms that she WILL NOT ACCESS this storage
location without the following conditions :
a A party be present to represent Fred and Jane to witness the opening of
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the storage location and to witness the identification of all the personal property and
the agreed property from the Mildred J. Gerber Estate that was agreed upon on
September 9,2005.
b. Marilyn Gerber shall have a third party present to witness the turnover f
the property that is to be returned to her.
e. All of the property at this storage location must be received unwrapped
so that it can be individually identified, photographed and verified by all parties and s' ned
off to this effect.
d. All of the property must be located in a CLlMA TIZED storage facility.
e. It HAS NOT been communicated to Marilyn Gerber WHO has paid for
this storage location and for how many months. Marilyn Gerber has NEVER
authorized this property to be stored at her financial expense.
f. The combination of the padlock on this storage location has been made
know to Rupp, Jane, Fred and to anyone else who has transmitted this fax and to my
fax receiving service who did not receive this fax and transmit it to me unti/12:30 PM
on October 29,2005. This represents NO SECURITY from the time that the padlock
was put on this storage unit and I have no guarantee as to who will access this
storage facility as many people have access to this lock combination and it also
DEMANDS that I must replace this lock with my own when I take possession ot this
storage or my property would be UNSECURED and require me to spend more
moneys. The terms of the settlement agreement stated that I would receive the
property secure and as is which was interpreted as the original condition and in the
condition as located at Harrisburg Storage as they were the company that packed up
our parents home and my personal property on October 1,2002. By removing the
property from Harrisburg Storage on October 25,2005, Fred has jeopardized the
security of this property as well as the condition of this property as it is no longer in
a climatized location and in an "AS IS" condition at Harrisburg Storage.
g. If I would access this storage unit without third party witnesses from
both parties, THERE WOULD BE NO way for me to make a claim of missing
property that Fred and Jane and their issued were responsible to return to me. TherJ
would also be no way for me to make a claim about the condition or any damages to
this property as Fred and Jane have removed it from Harrisburg Storage who made
a detailed and insured assessment of this property when they packed and stored it
at their facility on October 1,2005. This event was also witnessed by 12 people on
October 1 ,2005. Fred and Jane have NO WITNESSES when they unpacked the
container that was taken from Harrisburg Storage to the Old Forge Storage and Maril
Gerber believes this was done deliberately to cover up their intent to destroy and
damage the personal property as well as create confusion as to the presence of
Marilyn Gerber's personal property that was in the home of Mildred J Gerber from
19698 and especially during the time from 1998 to 2002.
h The retrieval of this property at Carlisle will require Marilyn Gerber to ren a
van, hire personnel to identify the property, personnel to rewrap it and personnel to ove
it back to Harrisburg Storage which is Climatized and is close to me home. This shall
not only take considerable time and days to accomplish but it shall cost Marilyn further
moneys as well as this shall occur in November when it is quite COLD. Marilyn Gerbe 's
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property risks being broken and cracked from the COLD weather especially in an
UNCUMA TIZED storage and at risk to be damaged by rodents, rain, snow, etc.
i. Marilyn Gerber makes a DEMAND that Fred and Jane pay all of the
costs for the hire of personnel, the truck and the removing of this property to a storage
facility of her choice as well as the rental of the storage unit for two months which is the
time it shall NOW take due to prior professional and personal commitments that Marilyn
Gerber has during the month of November and December which was conveyed to Freb
and Jane during the settlement negotiations and before Auditor Duncan. I
Marilyn Gerber made it perfectly clear before Auditor Duncan and Fred and
all counsel on September 9,2005 that October 29,2005 was the ONLY day that sh
had available as Fred and Jane demanded a date at the end of October for which to
turnover this property.
~ Marilyn Gerber has SURGERY scheduled on November 1,2005.
k Marilyn Gerber shall be OUT OF STATE from November 5,2005 until
November 11,2005.
I. Marilyn Gerber has serious PROFESSIONAL COMMITMENTS that
require her complete dedication and responsibility from November 11 until Decembe
15,2005. There is little time to deal with this BREECH of the Gerber Family
Settlement without SERIOUS LONG TERM consequences for Marilyn Gerber
professionally and financially.
m. Marilyn Gerber asks for all costs and attorney fees if she will have to
hire an attorney if this matter cannot be settled.
n. Marilyn Gerber asks for all attorney fees which she paid to Stan Laskow ki
for the period of negotiation for the purpose of the Gerber Family Settlement as well
as 1 f3 of all of the other counsel's fees which were charged to the Estates and Trusts
which essentially DIMINISHED her share of the settlement moneys.
o. Marilyn Gerber asks as DAMAGES that she be awarded all the
UNWANTED tangible property of Mildred J. Gerber and Fred E. Gerber,Sr that
Fred and Jane made an attempt to extort $12,000 for property that was appraised
by Dusty Chapman at less than $11,000 including all of the jewels and jewelry and for
which PNC Bank also was paid fees based on this appraised value.
It must be noted that Fred and Jane took a large part of tangible property
and the most valuable property and jewels which would greatly reduce the value of this
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"UNWANTED PROPERTY" which they DEMAND MUST BE PAID FOR SIGHT
UNSEEN!
It must also be noted that of the $11,000 property, Marilyn Gerber's personal
property was valued by PNC Bank and they received fees for her personal
property under the guise of tangible property of the Mildred J. Gerber Estate!!
p. Marilyn Gerber requests that this Court STAY the disposition of the
remaining UNWANTED property which Fred and Jane request for the amount of
$12,000 as IT HAS NOT BEEN PROVEN THAT THERE MIGHT BE PERSONA
PROPERTY OF MARILYN GERBER'S IN THIS UNWANTED PROPERTY
which would constitute FRAUD on the part of Fred and Jane.
21. Marilyn Gerber entered into a GOOD FAITH negotiation and SETTLEM T
between Frederick E. Gerber, n and Jane Heflin and their issues as an attempt to bring
an end of this already long and acrimonious eight year Gerber drama in this Court.
Marilyn Gerber fully believes that the demonstration of current events by Fred
and Jane indicates that they NEVER HAD ANY INTENTION to comply with the Ger er
Family Settlement agreement as witnessed by their blatant waiting until the end of
to access a five bedroom home of their parents.
Marilyn Gerber believes that Fred and Jane DELIBERATELY REMOVED th
tangible property from Harrisburg Storage as they did not want Harrisburg Storage
to witness the inventory of what Harrisburg Storage had packed up on October 1,200
and it was testified by Dusty Chapman that there was substantial valuable property
removed from the Gerber home in early 2001 when he assessed the value of the
Gerber Estate BECAUSE Fred and Jane have not only removed valuable personal
property that they DO NOT INTEND TO give to Marilyn Gerber but it is known by
PNC Bank and Marilyn Gerber that Fred has DESTROYED much of Marilyn Gerber's
personal property.
Jane Heflin is in possession of personal property of Marilyn Gerber in
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the form of a gaming table and a three tier wooden shelf as well as Fred, Jane or one of)
their issues have taken a mantle clock, a long rectangular painting of fruit It is also entireJ
possible that their is other personal property taken from the basement by either Fred,
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Jane or their issues which needs to be returned from many different states.
It must also be noted that Frederick E. Gerber," is NOW currently empfoyed y
a large Federal Contractor and he is earning in excess of $200,000 and it is his INTE T
and MOTIVATION to financially harm Marilyn Gerber and prolong and punish her wit
on going litigation which he has NO INTENTION of being available for or to comply w tho
This Court must be reminded that Frederick E. Gerber,1I was found GUlL TV 0
CIVIL CONTEMPT of a Court Order by Judge Bayley in May 2003.
22. PNC Bank also waited until October 21,2005 to release this property
and inform Harrisburg Storage despite that they also signed the Gerber Family
Settlement agreement and WERE FULLY AWARE of what had to transpire for
October 29,2005. PNC Bank had in fact, 28 days to inform Harrisburg Storage and
facilitate the terms of the Gerber Family Agreement yet they more than likely
DELIBERATELY WAITED until October 21,2005 to provide legal papers releasing
the Mildred J. Gerber TANGIBLE PROPERTY.
While it may be argued that the EXECUTOR was responsible to accomplish
the full terms of the Gerber Family Agreement, Frederick E. Gerber," could not
draft the legal release papers that was required of PNC Bank.
Marilyn Gerber BELIEVES that the attorney fees that were charged the estate
to release this property should be awarded to Marilyn Gerber by the financial share
of Frederick E. Gerber,1I who can make his OWN CLAIM against PNC Bank if he
complains that it was PNC Bank's fault in not releasing this property until October 21,2 5.
23. The current events have caused CONTINUED financial, emotional
and physical damages Marilyn Gerber which is EXACTLY what Fred and Jane intend I
an attempt to further inflict damage upon Marilyn Gerber.
Marilyn Gerber has offered complete cooperation and complete satisfaction of
all of the terms of the Gerber Family Settlement. It is the position of Marilyn Gerber
that she has the right to retrieve her personal property in its entirely and that she did
not WAIVE any of her legal rights in signing the Gerber Family Agreement in terms
of seeking full legal restitution and financial damages. Any missing personal property I
must be fully accounted for and fully compensated at fully replacement value.
Any missing property as agreed upon from the Mildred J. Gerber estate mus
also be accounted for and returned to Marilyn Gerber or she must be fully compensat
by replacement value.
24. IN CONCLUSION, Marilyn Gerber upon the death of her father,Fred E.
Gerber,SR and her mother, Mildred J. Gerber, has ONLY EVER asked for her
one third share and the return of her personal property which her siblings, Fred and
Jane and PNC Bank have held hostage since 1998.
25. Marilyn Gerber asks this Court to find Frederick E. Gerber,lI in
CONTEMPT of the Gerber Family Settlement which was entered in this Court on
September 23,2005 and award Marilyn Gerber her requests as listed in paragraph
19 and all other damages as this Court sees fit. Marilyn Gerber HAS NO INTENTIO '
to drag this matter for a long protracted Court drama and begs of this Court to grant
the demands of this Petition and Stay in an URGENT FASHION.
Marilyn Gerber hopes that this Court will have lost its patience with the Executo
and award and restore Marilyn Gerber her personal property and Estate property
IMMEDIATELY.
POST SCRIPT: Monday, October 31,2005
26. Marilyn Gerber made contact with an employee at Iron Forge Storage ho
stated that she was aware of a large moving truck arriving on or about October 25,2005 and
that there are two very storage units, UNCUMATIZED rented for the Gerber Family
which she states run approximately $75,00 monthly. She also states that the owner is
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often NOT SEEN FOR UP TO 2 WEEKS at a time. Ms. Marlin Walters does not hav~
any authority or information further that what Marilyn Gerber has reported. I
27.
Mr. Rick Uddell has stated on Monday, October 31,2005 to Marilyn Gertr
I
II
I
that he will gladly, provide his personnel to witness Marilyn's personal property and I
estate property that is located at Old Forge Storage as well as transport ALL of the \
property that was taken from his facility as this matter is settled in Court. Mr. Uddell I
can provide a room for Fred and Jane to organize Marilyn's property. Marilyn dema s
that Fred pay for this expense to return this property to a CLlMA TIZeD facility and to
all of the expenses of wrapping and identifying her property.
WHEREFORE, Marilyn Gerber,Petitioner asks this Court to order an Emerger:l
order for a supervised audit of the property and to deliver this property at the expens
of the Executor to a storage facility and location selected by Marilyn Gerber which is
ClIMATIZED and secure. Marilyn Gerber requests that this be done IMMEDfATEL
in order to protect her property that is currently in an unclimatized facility and UNSECU
due to the nature of the padlock and common knowledge of the lock code.
Marilyn Gerber further requests that this Court award damages to Marilyn Ger r
for the inconvenience of the current events and to grant Marilyn Gerber all the provision
in paragraph 19 of this Petition in order to effectuate an orderly transfer of her private an
property from the Mildred J.Gerber estate as well as Grant Marilyn Gerber all of the
unwanted property which was offered on Saturday, October 29,2005 for the $12,000
FREE OF CHARGE as a just award of damages. Marilyn Gerber requests that the
UNWANTED Property which was offered remain intact and secure and as offered on
Saturday, October 29,2005 and that none of this property be removed or diminished
as UNWANTED property since October 29,2005.
Marilyn Gerber requests that all fees, transport, hiring of personnel and storage
be charged to the executor and all the past attorney fees incurred by Stan Laskowski
for the negotiations for the period of late August 2005 until September 9,2005 and any
other legal fees that he may charge Marilyn Gerber if he should be ordered into Court
as a witness to these events of this Petition or to effect the orderly transfer of the above
mentioned property. I
Marilyn Gerber requests that one third of all the attorney fees that charged for t~e
settlement agreement be returned to her as this represents a wasting of her share of e
settlement moneys that were available to her.
Marilyn Gerber asks this Court to examine the financial responsibility that PNC
Bank has in waiting until the last minute to release this property thereby setting up a
series of events which the Executor manipulated in order to sabotage the return of
Marilyn Gerber's personal and estate property on October 29,2005. Marilyn Gerber
asks that the attorney fees which PNC Bank charged the Estate for the release of this
property and its surrounding issues be paid to Marilyn Gerber as she expended
time and expenses in having to chase down Joanne Book of Rhoads & Sinon to
release this property.
Marilyn Gerber requests any other damages as this Court finds equitable and
just
Respectfully submitted,
Date:
'l{w I; d-80S'
1,1
PROOF OF SERVICE
I ~ fk./certity that on the ;4- day of
~~AOO5. a lull and complete coy 01 the above Petition and Stay
was served on the stated parties by personal service or first class mail, postage
paid to :
Richard Rupp,Esquire
355 North 21 st Street
Camp HiII,PA 17011
Jacqueline Verney
44 South Hanover Street
Carlisle,PA 17103
Lindsay Baird,Esquire
3 South Hanover Street
Carlisle,PA 17103
Stanley Laskowski,Esquire
363 North Front Street
Harrisburg,PA 17110
William A Duncan, Esquire
One Irvine Row
Carlisle,PA 17103
Sascha Gerber, Mischa Gerber
clo Frederick E. Gerber,lI
4247 Kearney Lane
Fairfax, Virginia
Jane Heflin, Amanda Heflin, Sean Heflin
270 North Garfield
Lombard, Illinois 60148
Joanne Book, Esquire
Rhoades & Sinon
One South Market Square
Harrisburg, PA 17108
-L. ..
.
"
September 26,2005
TO: Frederick E. Gerber,1I
FROM: Marilyn Gerber I
RE: Tangible personal property per Gerber Settlement Agreement of Sept. 9,2005 I
Dear Fred:
I am giving today, September 26,2005 the following items to Richard Rupp
at his office at 355 North 21 st Street,Camp HiII,PA.
Per the settlement agreement, I am giving to you the following:
1. One stamp collection album from Carl Thilo, the spouse of Bessie Thilo,
your Godmother. I have wrapped it with bubble wrap and marked it. If th
seal is broken then someone other than I has tampered with this album.
2. One dark brown wooden silver box with the "G" silverware inside. Please
note that Mother had scattered her silver all over the house from the kitch n
to the dining room to her upstairs closet. I only took one bag that was in
her bedroom closet as the caregivers were going through her stuff with
mother when I was away and I became concerned about the silver. This
is the silver that was present.
3. One mahogany colored wooden double bed with the side boards, mattr ss
slats and the footboard. I only had this bed in my house as Mother was
complaining of hitting her thighs on the footboard and she asked me to
take it out of the bedroom. I brought my double bed metal set-up and
took your bed over to my house as my house is slab on grade and it wa
freezing with my mattress on the floor. , never intended to keep your bed.
4. Miscellaneous momentos of Dad's military stuff. Enclosed is the picture
that Mom made for Dad with his medals on the blue velvet as well as
miscellaneous pictures and the Egyptian album that you made for him.
of the other military stuff is in the house and PNC Bank packed it up on -p
October 1,2002. "3 P~AAA-l?"')e€S ,.e.V' r.e.~
~ (~c:..1~M.. ~~
I .. 1 ~ g~ do hereby verify that I have"receive
the following stated items as Ii t above on September 26,2005 from Marilyn Ge
per the ber settleroent agr ment.
do hereby verify that I turned over
d Rupp at his office on September 26,2005.
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FRC"I : Ru.pp So Meikle
FAXI'(].
1310 0214
~~~:1~ P1
Oct.
.
LA W OFFICES
RUPP AND MEIKL1C f7d, 161.14159 ,
HEJ'<BERT G. RUlJP. JI\.
RIOlARD C. RUP' ... J'IlClIIU:lJONAL COlU'OIlA'IUlk FAX: fl1 )) 730-0214
355 NOllnJ 21S'1' S'l'aUT --
...~ ~ iRlKSSON (m~82) SVITE ZOl /!-MAIL; 1WPf'lA WOFFICiOAOl,. XJM
CAMP' flILt.,I'A 17011
FAX TRANSMISSION SHEET
"
TO:
Narne: Mar,1 III VI ~lr L,._"
Company: I i
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Pax No.: t'J/7 -'737- "7/I/>
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No. of Paaesc ~- (Includ~ fax tralUm =,on _-= ~
ROM:
Nam.: 1< , 'cJ...Q ",.,l C eGt,.,,,, Es~,;'~
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Date: / () I ~q 2005
,,-
Pho"e No.: '17-761..3459
Fax No.: 717..730-0214
HARD COPY: ,
Will follow by ntQib Wi" f.llow by overnight Will not foUow: X
courier:
If there are any problems with the t..-ansmfuion of these p4 ges,
pJeClse ccdl.cllnbi Heckendorn or Etta Sill at (717) 761.3<4 '9.
rtUS FAX IS INtlNDID ONLY FOil THI usa OF 1M' INDIVIDUAl OR Qrnn "0 WHtc:H If IS ADDt EIIID, AIQ)" ..y
=ONTAIH IHIlORMATlON lMAT IS PlUVlLIGID, CONIIIlDINI1AL AND IXIMPf nOM DlSCI.OSUtI = API'U~ 1.1
..aw. fll YNl ~u Of' THIS JlAX IS NOT 'n& INT1!ND1D RlClJIIEMT. 0.1'111 rMPLOYEI 0* AGENT ..11lI I ~.
)W'VlANe 1HI 'AX TO THE INtINDlD IIC1P1INT, YOU ARE HI1liBY NOnfllO THAT ANY ~1NA1'ICl
xsnulUTION oa COPYING OJ THIS ~MMUNICAnoM IS SftIQl.Y PItOHlaI'nD. If 'YOU MAvi uerNm Tl =
~C4T'ON IN DtIlO", Pl.5ASl ..OTJ" us lMMIPIAlILYtJYTlU,MONf AND UNIIN 711. OM INAL FAX '1'0
~, ?HI UOVI ADDDSS VIA THI u.s. IlOSTAL SlMC!!. TUANJt you.
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3Cl01S Sdfl 3Hl
'3HUELL lL
PE:~l ~ee~/6ZI01
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FJ.n RUJ:lp & Metkle
FAX NO. 730 21214
Oct.
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2Bli5 ~;.15AM P2
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LAW O~I='CE&
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RUFP AND MEIKLE
,;\ .N MEIKLE 6ftll($lJQN ('~)
A ~FES.IONAI. CORI"OAA'I'ION
US NOFrr... 21ST :fl'RE8T. SUITe lOI
CAMP HILI.. PA.17011 -.
.~ ~lltaERT G. RUPFl, JR.
I~ CIiARD C. R.UPP
October 29, 2005
M.. Marilyn J. Gerber
lox J17
717 Maricet Street
Lemorn.~ PA 17043
II: DEUVERY OF PERSONAL TANGIBLE PROPERtY
PURSUANT TO G_. FAMILY SmLEMEHI' AGRlIMI
Dear ... Gerber,
I have ..... yourrecenl faxaJ and heard your recent call to office
manag... I appl"eCicde your anxlovsn... about receiving JOUr pe I
property but you will receive what the Gerber family 5ettfem.nt rent
and Release pr'OYIcIes plus mote. You will receive your penonalla. ibl.
property today, latu,dcry I October 29, 2001.
I have also IHII your recent fax to PNe Bank's counsel. Flrstf You are
too aitkal vi the llank 0' thelr counsel. They have been fut., co.PfraK....
with your brother',.. Fred. Ev6ryoIte Is attempting to coo.... at. to ""fUn the
fulflll....nt and eo.npleflon 01 the G........ Pamdy ............ As . I
would urge you to exerclle potienca and calmness .. we can arnica ,
complete all necessary arrangements to fulRlI the Agreement.
llO 39\;td
3~lS Sdn 3Hl
9tlLLELL IL
~E:l! ~~0ll&llel
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FRJ' : Ru.pp 8. Meikle
FAX N:J. : 73E1 0214
Oct. 20B5 0SI 1~ P:J
Ms. Marilyn J. Gerber
October 2., 2005
Pag. 2
Second, r do appreciate JOUr unclentancllng of Fred'. p
HCltrisburg Storage could not CIISiat Fred CInd Jane with unpa
sorting to retrieve your tangible personCII prope..., by October
the Agreement. Your letfer' .... ..,." undentancllnCl of the
factors involved'n sonInglhrough all the personal tangiW.
into storage by PMC llank from your MotlMw's house.
Fortvnahtl" the Ae.......ent did not spedfy n.or require the
ttortder of ,...,.. personal tangible property had to actually occur
Hatriabul'g Storage nor involve the resources or peraonnol of H urg
5toI'age. Ii... there was no such ....iclt ....uirem.nt, Freel was
altle to relocate all of the personal _fill"" property 10 a new bae
storClge location to conduct the unpac:kittg and sorting Ihreugh orot the
peI'SOftCII ptepertr.
this relocation move plus th. sheer ameunt of personal pr I'f7 to
sort through required extensIYe time. Fred and Jane did not ftni until
frlclCIJ night.
Your patience and understanding is very much opp....OtH
YOUR PERSONAl TANGIBLE PROPERTY IS NOW LOCATlD
IRON POIGE STORAGI
WESTMlNSTiR slIEn
CARLI.LE. PA 17013
.
STOItAGE UNIT: II C:..28 II
DlIECTIONI;
INTIIS'rATI ., SOU1'H
HIGH ITlID' lXI' OFF .1
TURN RIGHT ONTO HIGH
TAU RIIST LEP1' ONTO 'AlRFlI;
ru.. un ONTO YO.
AT SECOND UGHT. TURN RIG
WISTMINSTIR 5'I'RIIT,
STORAGE MClurY IS A'f IND
WUTMlN5'fn .....Y (U
(#49)
ST.
ONTO \
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TURN)
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FAX t-lJ. : 7J0 0214
Oc't. 2El05 : 161=4M F'4
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M.. Martlp J. Gerber
October 28, 2005
Page 3
PADLOCK CODE:
liGHT 30
LEfT 0
RIGHI' 25
M8. Gerber, your bNIIww PNcI alto makes Ih. following
to :
You once told m. as did Atty. Stall ....OMki fhat If fNcI a lane
wanted to MI. JOU .... personal tangible property from your p rent.'
hc.Mne, you might be i~ in purcfIaIIng the same.
Having gene through all of the perwnal tClftgibl. property~ JrecI Q
IOf of properly stili g, atorage from 1M PNC storage of JOUI' paT hCtIM
which he and JClIM either were not fully interested l" or th.,. and their
famines could nOl really use.
... Freel offen to sell You all thiI remainder qf penona tangl"l
property on the fonowing .....,. and onl, on the following
- All it8ms In flU OIM storase unit would
be taken .., You ( ... .. the remainder); onel,
-the PurchaH Prfce would be $ 12,000. Ie
10 ........dc I. Gerber, II, and paid either ill a
ea.hier'!I c:Mc:k M CI we... trcmet.r from Any
To my IbIpp and Mlild. escrow account;
- Tha PurchcIM PrIce Is NON-NEGOTlABLI and
- The PurchaM Pltce is NON-RIPUNDAB and
- ~ NmCIIncIer of penonoI langiW.
would M sold Ie You .., in · AI .. 1$ M CONDIT ONp 0_
. this relltCll..... of personal tangible
would be ..ad Ie You 011 an UMSIIN BASIS, as it
too ti.... COhMJmlng to pull It out, unpack It, sort
Itc., etc., etc.,
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9~lLLELL1L PE:~1 to\3~/6~/01
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FRlII'I : Ru?p & Meikle:
FAX I'l). : "?30 0214
O~t. 29 2005
: 1f:iA1'1 PS
'I
Ms. Martlyn J. Gerber
October 28, 2005
Page 4
-'thIs oIfet .. similar to the ..... een
II1V85fon make when they bU)' .ntire ..tatw unseen;
... PapMnt of .... purchue price 01 S 1
Would hClve to be recei'tecI by my offtce befor
And .,...alion of this remainder of penoncaI
P....rty would be made avoilobl. to You;
- You would aIM have to e.x1KUle a
11ICIt rou acknewlecl.. .....pt 01 the perwonal
property delivered to You pursuamt to the
Settlement AgNement and Releuse and that
that CW,"" with no prob.... or complCllnta
againat your brether, ft'ed.
- Frecr. offer for the temah,cIer pr
To Yvu until 4:00 PM on Tuesday, November
PI... fax..lf)OU a..' F.....s .... to It....
Rema...... of .... penonaI taneib1e prope...,
Of fNd'. .... GIIIJIaIillCl in this leitei'.
.. ..rta., IMIt of socceu to you. pfease let m. from
You H Y'ou wIIIh to accept ......,. above stated .....
Very trul, yours,
913 39'i1d
~15 Sdll 3Hl
9HLLELLtL
>E'" "t""I&Z/",
i
November 1,2005
Richard Rupp,Esquire
355 North 21st Street
Camp HiII,PA 17011
Dear Richard:
Per the enclosed Petition, I have tiled for an Emergency Hearing and Stay on
the Removal or Disposal of all of the "Unwanted Property" which my brother and
sister offered to me for the sum of $12,000 to be accepted sight unseen and as is.
I hereby counsel you that since there has been no formal verification or the
property which was to be given to me on October 29,2005 and especially since I hav
not taken possession or accessed this storage unit at Old Forge Storage, I advise
that you counsel your client NOT TO DISPOSE of any of the UNWANTED property
which Fred and Jane have set aside apart from the property that they have allegedly
turned over to me.
The reason for this is that there is NO GUARANTEE that there is not some
personal property that belongs to me or property that was on the list that Fred and Ja e
had to give me per the Gerber Family Settlement Agreement.
Please be advised that Fred removed on October 25,2005 all of the contents
of the property at 623 Hilltop Drive, New Cumberland,PA which had been carefully
wrapped and stored in a c1imatized environment at Harrisburg Storage.
I had made arrangements with Mr. Rick Liddell for personnel from his company 0
be present on October 29,2005 to witness and verify the hand over of all of my perso al
property as well as the property that was agreed to be provided to me per the Ger r
Family Settlement. Mr. Uddell confirmed that he would have made Saturday open a that
a room was set aside for Fred and Jane to unpack and prepare my property that was
to be given to me.
Mr. Uddell confirmed with me on Monday, October 31 ,2005, that Fred called h'
and ordered that the container be made available to him and Fred had a truck come and
pick up the container. He also informed me that Fred threatened his staff with a law suit
if they were to tell me his plans and the whereabouts of the container that he removed
from Harrisburg Storage.
There is NO reasonable explanation as to why Fred and Jane would remove
the contents of our parents property from a CLlMA TIZED storage facility that is locat
literally at the bottom of the hill where I have my home to an UNCLlMA TIZED storage
facility that is located over 35 minutes away from my home and whose storage fees ar
higher.
Your fax which I did not receive until 12:30PM on Saturday, October 29,2005
does not indicate the telephone number, who is responsible for the rental of this
storage unit where my alleged property is located and for how long this unit is rented fo .
The offer of $12,000 is also extortion as the combined value of our parents
property including the jewels and the jewelry was not appraised at even $11,000 and
)
when you remove the value of all of the personal property and the estate property gi en
to me minus what Fred and Jane took, the remaining property would not even come C ose
to $12,000. Please tell me who would take $12,000 which is an inflated extortioner pr
sight unseen. I am not an auctioneer, but a beneficiary who my brother and sister are
trying to punish.
Fred as Executor of the Estates waited until the very last minute to unpack this
property and obstructed every arrangement that I made as a deliberate and premedit ted
act. He had almost two months to arrange this and to work with me for the satisfactory
turnover of my personal property and the estate property per the settlement agreem nt.
By removing the container from Harrisburg Storage Company, Fred and Jane ave
set up a scenario that they cannot verify the contents of the container, the condition of t e
container, nor the condition upon its transportation to Old Forge Storage nor the conditi n in
which Fred and Jane handled the contents of the seven boxes which were stored for t ree
years by PNC Bank. I also have not been informed as to the condition of the prope , is it
wrapped up, is it unwrapped and where is the jewelry, somewhere at the bottom of
possibly 50 boxes, for me to find like a hide and seek horror story?
Fred has made the lock combination on the padlock public and essentially has
provided NO SECURITY for my property.
Please understand that I have refused to take possession ot this property and
will NOT access this storage facility until the Court makes a decision. I strongly advise
your client to remove this padlock and secure this storage facility as he is responsible
for providing me with a secure storage facility. By givi~ you the location and now
with this letter as an exhibit for the Court which is a public record, Fred has breached
the concept of secure.
Mr. Rick Uddell has confirmed with me on October 31 ,2005 that he is prepared to
take back all of the property to Harrisburg Storage and provide a room so that all of m
property can be identified, authenticatecf, and photographed. The reaming UNWAN ED
property also needs to be identified so that I can be sure that some of my personal
property does not exist.
I NEVER waived my legal rights to retrieve my personal property at any time
during the Gerber Family Settlement Agreement. Stan and Jackie negotiated that
arrangements for the turnover would involved witnessing of this property with third pa
witnesses. William Duncan was present during this settlement hearing on Septem
9,2005 and he heard my terms as well as the date that I could only agree to which was
Saturday, October 29,2005. Please tell me why my siblings asked me to wait 2 mon s
to get my property back when they could have done this in early September and sav d
our estate a month's rental at Harrisburg Storage. Please remember that I have alway
been willing to retrieve my personal property since 2001 and Fred and Jane's bittern ss
cost storage fees of our parents property and mine 3 YEARS OF STORAGE Fees hich
amounted to $13,000 which divided by three would have been an inheritance of $4,4
Fred's excesses and total disregard as well as his financial mismanagement of our par
estate only goes to show his utter incompetence and deliberate hatred and sibling
jealously which' do not believe will serve him in the future.
I caution you to advise Fred NOT to dispose of this unwanted property until'
have it certified that is does not contain any of my personal property and that my pro
which is now at Old Forge Storage is completely secure and safe from rodents, extra
cold, weather, rain, snow,etc.
,J
Please advise me as to when my brother or his representative shall be availab e for
the identification and authentication of my personal property.
As you shall read from my Petition, I have asked the Court to award me dama es
and expenses which Fred has cost me due to this recent performance of his.
I await your answer and please let me make it PERFECTL Y clear that I repres
myself as PRO SE and you are NOT AUTHORIZED to contact Stan Laskowski at an
time as this shall be viewed as violating my right to privacy and a deliberate attempt to
try to have legal fees accessed to me. You are to cease and desist contacting Stan.
has made it perfectly clear that the does not want any contact with you nor would he
negotiate with you during the settlement agreement.
I also strongly advise you against your persistent attempt to try to be "friendly" ith
me as you have stated since you state that this legal issues are completed. If you per ist in
writing slanderous and libelous characterizations about me as you did ot Stan on
ThursdaY,October 27,2005, I shall take appropriate legal action as well as file a compla t
with the Pennsylvania State Bar Association J'Disciplinary Committee.
I await your communication by fax, my cell phone or my pager all three of which
you have had for over six years.
Sincerely,
~
I'
Marilyn Gerber,Pro Se
Jackie Verney
Lindsay Baird
William Duncan
Joanne Book
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October 28,2005
Joanne Book, Esquire
Rhoades & Sinon
One South Market Square
Harrisburg, PA 17108
Dear Joanne:
This is to notify you and your client, PNC Bank that they are in violation of the
Gerber Family Settlement Agreement of September 9,2005 and PNC Bank's
subsequent agreement which they attached to the Gerber Family Settlement Agreem nt
on September 23,2005.
PNC Bank is in violation of deliberately not notifying Harrisburg Storage Comp ny
until late in October on the 21 st of the month that Frederick E. Gerber,1I was the legal
executor of the property that was stored at Harrisburg Storage by PNC Bank since
October 1,2002. By waiting until late last week, PNC Bank has prevented Harrisburg
Storage and my brother from entering and taking possession of this property thereby
creating a scenario that my siblings have not accessed this property until early this wee .
While you may argue that it was the responsibility of the Executor to contact
Harrisburg Storage Company, I do not see how he could have effected this without th
notification of PNC Bank that they were no longer the Guardian of Estate of Mildred J.
Gerber.
The result is that Fred has removed the entire contents of Mildred J. Gerber's
as well as my personal property. He has never had the intention of turning over my
property and at this point I have refused to accept this property on October 29,2005
unless he has a party present to represent him along with a third party present with me to
identify and photograph each and every item. I am sure that you can figure out that by
removing the property from Harrisburg Storage, Fred has willfully and spitefully incurr
additional expenses for me not to speak of the physical and emotional hardship of
retrieving this property. Fred has also removed the testimony of Harrisburg Storage of
what was actually present in their storage and what was actually packed on October 1, 2.
Somehow, I cannot be sure that PNC Bank and Fred did not conspire jointly on this
plan as PNC Bank is officially aware that Fred and Jane willfully removed property duri
PNC Bank's Guardian of Estate of my mother's tangible personal property as well as ,y
property. Since PNC Bank and my brother and sister have REFUSED me the
opportunity to view my personal property since 2001, I trust that you understand the I gal
implication that this will have in Court.
Please be advised that on Monday, October 31,2005, I shall ask the Court for f /I
restitution of all my personal property as well as damages to the full extent of the . law . I
shall name PNC Bank as responsible for gross negligence and violating the Settlemen
Agreement and their willfull intentions to harm me financially, emotionally and physically.
Please understand that by waiting until the last minute to realease this property you
essentially have made it impossible for my siblings to retrieve this property and they h ve
now jeopardized the settlement agreement.
There is no excuse for the tardiness on the part of your firm and PNC Bank by
i
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~
,
waiting until October 21,2005 to notify Harrisburg Storage not to speak of the fact that ou
waited to enter your agreement until September 23 when you were fully aware of the
negotiations when Stan Laskowski called you on August 23,2005.
1 shall be in conferences all day Friday and can only be contacted by my pager t
717 503-5280. Please understand that Stan Laskowski does not represent me on an
matters other than his role as negotiator for the settlement agreement.
I shall ask Judge Oler for an emergency hearing and ask that he order all of the 1 al
parties into Court to testify for their actions. You have threatened me that PNC Bank all
ask for attorney fees. I shall ask Judge Oler for an exception based on a conspiracy
between PNC Bank and my brother to defraud me of my personal property and the
agreed property from my parents estate.
Sincerely,
~
cc. Judge Wesley Oler
William A. Duncan
Jackie Verney
Lindsay Baird
Stan Laskowski
...
t
October 21,2005
Joanne Book,Esquire
Rhoades & Sinon
One South Market Square
Harrisburg,PA 17108
Dear Joanne:
I left you a telephone message yesterday, regarding the issue of the tangible
personal property from the Mildred J. Gerber Estate that has been stored at Harrisburg
Storage Company in New Cumberland since October 1,2002 by PNC Bank.
As you know, on September 9,2005, a setUement agreement was signed by all of
the interested parties. The settlement agreement stipulates that on October 29,2005, th
Executor must give me all of my personal property as well as personal Items from our
parents Estates which were agreed upon on September 9,2005.
On October 29,2005, the Executor must give me each and every individual
item with a third party present who will along with me identify, photograph and marl< as
received each item in a room set aside by Harrisburg Storage.
As of yesterday, NO ONE has showed up at Harrisburg Storage to unpack a 5
bedroom house which took two 24 foot storage trucks from Harrisburg Storage to pack d
store in large containers at their facility. I called them two weeks ago and they had no id
that anyone was going to unpack and take possession of the tangible personal property
that they have in storage. Jane apparently made arrangements last week to come to r
facility and NO ONE SHOWED UP!
Rick of Harrisburg Storage has Informed me that NO ONE wilt be able to access
facility without a release from PNC Bank and the appropriate legal papers that Indicates
that the as of October 29,2005, my personal property and the agreed upon items from
parents estate will be my rightful property.
Richard Rupp approached Stan Laskowski on September 23,2005 in his office
when he rushed over with the first $100.000 check and mentioned that unpacking this 5
bedroom house was going to be a Herculean job. I made an offer to extend the deadli
to my siblings if they woufd allow me to have some additional pieces of property. They
have refuseO my offer.
Alii know is that on October 29,2005 at 8 AM, I shall LEGALLY own all of the ite s
from my parents Estates as well as Harrisburg Storage shall be in possession of all of m
personal property and IF I am not able to access it and remove It all 0 n this day, they
shall be in violation as well as my siblings.
I have informed Richard Rupp and my siblings that there are very clear inventory
lists made by PNC Bank, Dusty Chapman under sworn oath and Harrisburg Storage a
that there wiIJ be no QUESTION as to what exists in storage or what was in my parents
home.
I have informed Rupp that if I do not receive ALL of my personal property that th s
shall constitute a violation of the setUement agreement I shall file papers with the Court n
October 31,2005 to seek relief.
I can only assume that PNC Bank does not want to expend any more moneys
especially since you have already forwarded over all of the moneys to the Executor.
I want this hand over of my personal property and my parents property to go
smoothly without any incidents or SURPRISES. My siblings have REFUSED me to s
my personal property and therefore they are setting up a scenario of trouble. My broth r
.
.....
has not essentially no contact with my personal property in over 30 years. My sister h
rarely been in the house and being the youngest has no knowledge of my personal
property. Frankly, I see nothing bu trouble ahead on October 29,2005. In the settleme t
agreement, they inserted a clause of IF it exists. I can assure you, I know what my per al
property is and after seven and half years of my siblings refusal to act as civil human
beinQs, I will have no patience if I do not receive my property. This behavior on the pa of
my SIblings in only more of the ongoing abusive behavior and hatred that they cannot
will not let go of.
In conclusion, I am asking that PNC Bank IMMEDIATELY forward the appropriat
legal papers by Monday, October 24.2005. IF PNC BANK thinks that they need to
present on October 29. Dave Brown is certainty welcome as he was present on Octob r
1.2005 alone with Denise Sullenberger, AJ Mendolsohn, a security guard. I have pictu_ s
of the events on October 1.2005. I am aski~ you to do whatever is possible to avert
everyone going back to Court. Any future actions regarding the violation of NOT receivi
my property win not be on dime and I shall seek fut( financial restitution. This is not a thre
but a promise.
Please let me reaffirm that Stan Laskowski is no longer involved in any further
representation other than that he would be a witness in any actions that would require his
presence in Court.
I might add that Harrisburg Storage is closed on Saturdays and they are going to
make a special exception upon my request so that Fred could not say that he didn't ki .
They are going to have two men present and identify each and every item that is un ed
by my sister and at the hand off. I have already arranged for a third party witness to be
present. J DO NOT HAVE any other day available other than this day for the rest of the
year.
Please page me Joanne If you have any questions as J hear my pager better. I
cannot have my cell phone on in the hospitals due to the monitors. My pager is 717 .
9418. I would appreciate a fax that you acknowledge receipt of this letter and your
intentions.
I thank you in advance for all your efforts,
Sincerely.
Marilyn Gerber.Pro Se
ce. Jackie Vemey,Esquire
Richard Rupp,Esquire
William Duncan, Esquire
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~ 10/22/2005 09:35
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7177377116
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THE UPS STORE
PAGE 01
LLP
Joanne: E. Book
ph (7]7) 237-6716
f.t (717) 2J}-6676 L
jbOOk@rbOads-sinon,cOr
I
1'11.61\10: :>547/05 I
I
October 21, 2005
Rt: Esta.te of Mildred J. Gerber
Mr. Rich Lidd~ J.7A FAX 7U00774
Harrisburg StorJ.ge .
Dear Mr. Liddel~:
We repJsent PNC Bank, which was fonnerly the Guardian of the Estate of Mil
Gerber and TrJtee of her Trust. As you are aware, PNC Bank removed the contents of s.
Gerber's fann Tesidence located at 623 Hilltop Drive, New Cumberland and has been sto,'ng
tb.ose contents Hamsburg Sl.c,ra.ge. David Brown contacted you this morning on behail of
PNC Bank and authorized Frederick E. Gerber n, Executor of Mrs. Gerber's Estate, to e
possession of e items in stor.age for distribution pursuant to a Family Settlement Agr emt
between the v OllS members of the Gerber family, including Marilyn J. Gerber. The first age
of the Family S lement Agreerr'ent is attached hereto, as well as Exhibit "A" and Exhibit ..
to the Family S ement Agreement. Exhibit "A" states in the final item that it is Fred
responsibility to make the items nftaogible personal property available to Marilyn J. Gerber.
We also close a copy of an Order of Court from Cumberland County dated Sept er
29,2005. Item of the Order states that "PNC Bank's Schedule ofDistribution...is approv ".
The Schedule of Distribution referenced .in the Court's Order is a.ttached hereto, which provi es
that the miscenaheous personal property which was located at 623 Hilltop Drive, now in stor ge
at Harrisburg St rage, is to be di!>tributed to Fred E. Gerber, II, Executor ofilie Estate ofMiJ
J. Gerber.
Thus, p rBuant to the ]iamily Settlement Agreement and the Court's Order d ed
September 29, 2 5. Fred E. Gerher IT is authorized to have access to and take possession of be
property ofMit' ed J. Gerber located at your facility. It is then his responsibility, rather than e
responsibility 0 Harrisburg Storage, to ensure that Marilyn J. Gerber receives the prop to
which she is en itled under the Family Settlement AgreetneJ'Jt. To the extent that Marll J.
Gerber does not eceive properly to which she believes she is entitled. liability will be on the art
of Fred E. Gerb II for breaching the Family Settlement Agreement, and not any other party.
511828.1
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I
Enclosure
cc: Brown (w/o etlcL)
. Laskowski, E!~uire (w/o encl.)
. Gerber (w/o t.1ICl.)
Richard . Rupp, Esquire (w/o encl.)
Jacque' eM. Verney. E~uire (w/o encl.)
Lindsay . Baird, Esquire (w/o encl.)
lane N. elfin (w/o encl.l
I
lu
~
.
October 27,2005
Richard Rupp,Esquire
355 North 21 s Street
Camp Hill,PA 17011
Dear Richard:
I called Harrisburg Storage today and was informed that "someone appeared this
week with legal papers and removed the entire container from their facility".
It is clear to me now, that Fred never had any intention of returning my personal
property to me and the property that was agreed upon at the settlement agreement
conference on September 9,2005. It is also clear to me that to wait until the final few
days to access this container which has not been unpacked, sorted nor have any i
arrangements been made to contact me with clear and concise instructions as to the hand
over of this property CONSTITUTES a clear violation of the settlement agreement.
Fred did absolutely NOTHING in securing the legal papers from PNC Bank and
had to step in and remind PNC Bank of their responsibility. They did not contact Harrisb rg
Storage until last Friday, October 21,2005.
You are in receipt of numerous communications from me where I indicated that I
would receive my property and that from of my parents on Saturday morning starting at
9 AM at the Harrisburg Storage center at which time I had arranged for a third party wi
to be present on Saturday, October 29,2005 to witness along with me each and every
item and photograph it.
It is clear to me that as of today, Fred has no intention of returning the agreed upo
property and that at this late hour, he has not even begun to unpack a 5 bedroom hous
and separate all of the items. Let me remind you that PNC Bank had over 8 people
involved in the packing of my mother's home on October 1,2002.
I spoke to Eta around noon today and she informed me that you have not been
informed as to the arrangements. Since Fred or Jane CANNOT make direct contact w'
me, I can only assume that your office is responsible to arrange in a timely manner this
transfer of this property. Your office has informed me on NOTHING.
Let me make one thing perfectly clear. I am only organized to accept my prope
at Harrisburg Storage on Saturday, October 29 starting at 9 AM. I have no time or the
resources or the manpower to accept this property at any other location or date. At this ate
hour, I consider Fred,Jane and the issues in violation of the settlement agreement. I ha
contacted Stan Laskowski, Jackie Verney and Joanne Book to inform them that Stan an
shall appear in Court before Judge Oler for an emergency order if I do not hear from yo
today.
I am committed all day on Friday, October 28 and I have communicated to you nd
all parties present before William Duncan on September 9 that I only had October 29
available to me. Fred, Jane, their issues and PNC Bank have had almost two months t
make this happen.
f
..
I shall take all measures necessary to retrieve ALL OF MY PERSONAL
PROPERTY including attomey fees, damage and lost time and the deliberate and cove
conspiracy to defraud me of my property. I have fulfilled of the tenants of the settlement
a9reement. The hand over of my property involved communication between me and y ur
dlent and/or unofficial clients. This has not been done.
I do not think that the Court or Judge Oler shall have any more patience when
presented what I have had to go through over the past two weeks. Fred deliberately
late in not wiring the first $100,000, PNC Bank was also deliberately late in completing
part of the agreement.
I also wish to make it perfectly clear that every item that I have listed as my perso al
property was fully present, identified and photographed by me from 1998 to January
13,2001. Any item which Fred, Jane or their issues have removed from the home of ou
mother including after PNC Bank's appointment as Guardian of Estate and Trustee of
Mildred J. Gerber Trust shall be the JOINT responsibility of PNC Bank and Frederick E.
Gerber,JI as well as Jane Heflin and all of their issues. There are three inventories made'by
PNC Bank, Dusty Chapman and Harrisburg Storage. At this point in time, I shall have t
include Harrisburg Storage and their general counsel to verify what was present at their
storage facility as they stored this property from October 1 ,2002 to this week. Just ima ine
over $18,000 was wasted by PNC Bank and my brother on pure acrimony and hatred r
my attempts to retrieve my personal property. Please understand that since PNC Ban
and your clients have REFUSED me the right to see my property and that of my parent ,
you and PNC Bank shall have nothing to argue when I appear before the Court in seeki g
their assistance in retrieving my personal property.
In signing the Settlement Agreement on September 9,2005, I DID NOT waive y
legal rights to retrieving ALL OF MY PERSONAL PROPERTY which Jane, Fred and th ir
issues have removed over the past 8 years. Please communicate to each of them that
wherever they live, I shalt take every legal measure to retrieve my personal property. I
shall file papers in whatever state or court is necessary and have them personally sarv i.
ANY property which I know that Fred and Jane have destroyed, removed or are n
possession of my personal property shall be met with my return to the Courts for
satisfaction. Enough is e~h. They have no right and this continued behavior shall
constitute overt abuse on theIr part to do harm financially,physicaJly and emotionally.
I shall accept any communications on your part by mail as of 15:00 today, I shall
be in a position to retrieve my mail or faxes. I can be reached by pager at 717 503-52
Fred and Jane do not work by last minute decisions and arrangements in their jobs nor
would their employers tolerate it. I shall not have my job and personal life deranged by
their obvious overt intent to pull this off at the last minute. They have had 48 days to
fulfill their responsibility. Fred is no longer in the US Army and if he is the only one who i
going to access my property, I can assure you that he will not be able to identify ALL of my
personal property as he has had no contact with me or my property for over 37 years.
Jane being the youngest has no complete memory or knowledge of my personal prop Ilty
in over 41 years.
Come Monday, October 31,2005, I shall ask the Court for an emergency hearin
and ask Judge Oler to order Jackie Verney, Joanne Book and you to appear to testify a ~
your actions. Stan Laskowski shall testify on my behalf as my negotiator in the settlem t I
agreement.
"
r -
c~J2
Marilyn G~r,~~:
cc. Jackie Vemey,Esquire
Joanne Book, Esquire
William Duncan,Esquire
Stan LaskOWSki,Esqulre
"
II
I
October 28,2005
Richard RupPFsquire
355 North 21st Street
Camp HiII,PA 17011
Dear Richard:
This is to advise you that I am Pro Se in the case of the Orphans Court concerning
all matters of the Trusts and Estates of Mildred J. Gerber and Fred E. Gerber,Sr. Stan
Laskowski represented me ONLY for the period of time to negotiate a Gerber Family
Settlement which was completed on September 9,2005.
ALL communication surrounding the transfer of my personal property and the
agreed property from the Estates of Mildred J. Gerber and Fred E. Gerber,Sr. shall be
directed DIRECTLY to me and to NO OTHER REPRESENTATIVE.
Please be advised that approximately three weeks ago I started communications
with Harrisburg Storage regarding the turnover of my personal property and the agreed
upon property of our parents property from their estates. I communicated with Rick
Lidell. It was agreed and decided that Harrisburg Storage would make Saturday, Octo
29,2005 available to me and my two siblings, Frederick E. Gerber,lI and Jane Heflin or th ir
appointed representative for the purpose of handing over to me each and every item
that has been stored at Harrisburg Storage since PNC Bank legally packed up and star
all of our parents tangible personal property from the 623 Hilltop Drive, New
Cumberland,PA residence on October 1,2005. It is also know that there was property
removed from the residence of 623 Hilltop Drive,New Cumberland PRIOR to the
inventory that was completed by PNC Bank in June 2001 and subsequently by
Harrisburg Storage on October 1 ,2002.
Mr. Udell had assured me that each and every piece would be verified by his
crew as he was completely aware that Harrisburg Storage was the company that packed
up our mother's home on October 1,2005. On October 1,2005, two 24 foot moving
vans and a crew of no less than 4 men accomplished this task on October 1,2005. Also
present were David Brown, Denise Sullengerber, AJ Mendolosohn and a security officer
I was also present and took photographs as well as at one point Chief of Police, Kauffma
also was present.
I had hired personnel from Harrisburg Storage to be present on October 29,2005
for the turnover of my personal property as well as the agreed upon property from our
parents estate to act as a neutral third party witness for the process to photograph and
itemize each and every item that would be turned over to me. My property would then e
stored at Harrisburg Storage. Harrisburg Storage is located at the foot of Beacon Hill whi h
is essentially at the bottom of the hill from where my home is located in New Cumberlan .
As of Friday, October 21,2005, Mr. Udell informed me that Fred nor Jane had
accessed the property stored with them. PNC Bank had also not provided any legal
papers releasing this property which they were responsible to accomplish upon the
September 9,2005 settlement agreement.
I have communicated with Jackie Verney, Stan Laskowski as well as you Richard
since the beginning of the settlement negotiations which stared on August 23,2005 that I
would only receive this property with a party present representing Fred or Jane as well a
,
a third party present along with myself in order to document and itemize each and every
item. On the day of the settlement agreement, Stan and Jackie discussed these terms a
procedures. I had Stan represent me and Freel had you, Jackie and Undsay. Joanne k
represented PNC Bank. This makes 5 attorneys and myself as Pro Se.
At no time was it ever discussed or agreed upon that Fred acting as the Executor of
the Estates would ever remove the property from Harrisburg Storage and take it to ano er
location. I have grave concerns that Fred thinks that he ;s going to dump my personal
property as well as the agreed upon property from our parents into an undisclosed stor ge
location and attempt to notify me late on Friday, October 28,2005 as to its location. I al
believe that Fred is probably going to have me pick up a key and just take possession ... f
this property without anyone present from his side and the items on the list shall be
wrapped up in boxes or containers in an unorganized and unmarked fashion.
I wish to hereby inform you that I WILL NOT TAKE OR ACCEPT POSSESSI N
of my personal property and the agreed upon property at an undetermined and undec' eel
location which shan incur additional expenses at my expense nor shall I spend any mo ys
to have to store this property at my expense which would include having it removed. I Iso
shall NOT ACCEPT THIS PROPERTY AT A FACILITY WHICH IS NOT
CLlMATIZED.
I wish to hereby inform you that if FRED does not intend to have anyone prese
on October 29,2005 to identify and itemize each and every item which I would then
photograph and identify with my third party witness, I SHALL NOT ACCEPT THIS
PROPERTY on Saturday, October 29,2005.
Fred and Jane have had 48 days to organize and communicate with me for the
turnover of this property. Freel and Jane INSISTED that I had to wait two months from
settlement agreement in which to receive my personal property despite that Fred insist
that he receive his personal property on September 26,2005. It is virtually impossible' r
Fred and Jane to unpack a 5 bedroom house of three stories in the next few days, reme e
all of my personal property and the agreed property, repack it up and then unwrap all of e
items for me to inspect and then I need to rewrap them up to secure them on October
29,2005. There is no logical reason that they would remove this property from Harrisbu
Storage unless Fred intends to aaimoniously intend to inflict additional charges of storag at
a distant storage facility which is NOT dimatized and to inflict further hardship physically
emotionally. I am not prepared to physically move and handle all of this property alone: n
October 29,2005 other than at the Harrisburg Storage Company.
By Fred removing this property from Harrisburg Storage Company he had
effectively destroyed the possibility of Harrisburg Storage Company witnessing each a d
every item that they packed up on October 1,2005 and for which they have an original
inventory manifest Fred and Jane have therefore breached any control system and will
NOT be able to testify as to its presence. I am sure that this is EXACTl Y what Fred
intended as he shall testify that any property which I claim is not present on October
29,2005 never existed. I can assure you this shall not wash in Court.
J am tied up in conferences all day Friday, October 28,2005 and you shall only
able to reach me my pager at 717 233-9418. Stan Laskowski does not represent me
so please do not attempt to contact him. If Fred and Jane have no intentions to meet
demands per what was discussed and agreed upon between Jackie Verney and Stan
Laskowski on September 9,2005, then I shall be present on October 31,2005 in Judg
Oler's courtroom. I shall ask for an emergency heari~ on this breach of the settlement
agreement and I shall that Judge OIer order Jackie, Undsay, you, Stan and my brother t
be present. There is also the possibility that my sister Jane and all of the issues who als
are in possession of my personal property shall be legally responsible.
Please understand that I did not waive my legal rights to retrieve and receive all of
my personal property which does include the property that was agreed upon by my
siblings on September 9,2005. The settlement agreement states all of my personal
property in the home of our parents which is personal property which has been there sine
1968.
Please convey the gravity of the situation to my brother who I presume is acting 0
his own without your expert counsel at this point. I do not know of any divorce, or child
custOdy or transfer of personal property that is conduct without the MUTUAL CONSENT
of both parties. This last minute preemptive strike by my brother is unacceptable. Pleas
inform him that as 12 AM October 29,2005, he is in violation of the settlement agreement jf
he does not meet the mutual consent of both parties and attempts to hold my property in
jeopardy and ransom which includes inflicting any additional financial expenses or physical
hardships upon me.
I await your communication.
cc. Judge Wesley Oler
William A Duncan
Jackie Verney
Lindsay Baird
Stan Laskowski
...
10/20/2005 10;34
7177377116
THE UPS STORE
If
PfGE 01
J
LAW OFFICes
R,'UPP AND MEIKLE
HERBEFtT G. ~UPP. J~.
RICHARD C. RUPP
^ ~ROF.&SION^L CORPORATION
355 NORTH 2~ ST STAliEl'. SUITI;(:2ot
CAMP HIl.L. f:>A 17011
(717) 761-3 5<;)
FAX; (717) 730 O~. ~.
ANN MEIKl.e ERIKSSON (' 954-8:<:)
E-IIIlA'L: ~UPP'-AWOFFIC@, O. COM
October 17, 2005
Ms. Marilyn . Gerber
717 Market1treet
* 317
Lemoyne, P 17043
DOICI. MarlJ:
I have een informed by my client, Mr. Frederick E. Gerber, II and his
sister, Jane erber Heflin. that in accordance with the Gerber Family
Se"lement A reement and Release that both Fred and Jane do not wish to
have any fv her contact !t2D! you.
As sue they have instructed me to write this lener to you demanding
that there be no further contact from you to them, again, in accordance with
the specific t rms of the Gerber Family Settlement Agreement and Release.
Marilyn In other words, what Fred and Jane are basically stating to
you in this, m letter to you, is that the Gerber Family Settlement Agreement
and Release ontains all of the terms which the parties agreed and settled
upon.
I;
, The 0111 matter requiring any further communication between my
office and yo is to communicate the manner and the means of delivery of
your personal property as identified in the Gerber Family Settlement
Agreement Q d Release.
I
r
10/20/2065 10:34
7177377115
THE UPS STORE
P JE 02
October 12, 005
page 2
My off ce will make this communication with you as Soon as this
information conveyed to me.
Thc:mk ou for your attention In this important matter.
I:
RCR/bah
cc: Frederick . Gerber, II
Jane Get er Heflin
I Ii
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...
II
.
October 14,2005
Richard Rupp, Esquire
355 North 21st Street
Camp HiII,PA 17011
Dear Richard:
I am in receipt of your letter to me of October 11 ,2005 where you indicated th my
siblings have turned down my offer of an extension of time for which to unpack our pat nts
property and my personal property from our mother's home which was packed up by
PNC Bank on October 1,2002 and is in storage at Harrisburg Storage in New
Cumberland,PA.
I called Harrisburg Storage yesterday and they informed me that NO ONE has
arranged with them to unpack this property as well as they are closed on Saturday, 0 ober
29,2005 which you know is the day that my siblings are to transfer all of the property t me.
Harrisburg Storage also informed that this time period is the busiest time of the year an
that they are even sure that they have an extra room available for Jane or Fred to unpa k
the 5 bedroom home which is in container storage.
I
I made it very clear on September 9,2005 that October 29 was the ONLY DA
that I had available. I will not be able to cancel any of my nursing shifts nor shall I risk m job
for any changes of this settlement agreement. A hospital and patients depend on nurs s
especially with the nursing shortage!
As you know, my siblings entered our mother's home on January 13,2001 and oak
control of Mom and her property as well as mine. When I left that day, I left considerab
personal property in the basement and all of the other rooms in our family home. The
shall be NO IF about this issue or the presence of my personal property. Therefore in
order to assist my siblings in retrieving my personal property, I am listing below items
which I shall expect to receive on October 29,2005.
I also wish to remind them since Jane was not present at the settlement hearing nd
in case Fred is out of the country on October 29,2005 that I FULLY EXPECT to receiv all
of my personal property and the agreed upon property in a condition that I can inspect t,
photograph it and list a receipt as having received it. This means that I WILL NOT
ACCEPT a container or taped boxes in a container at any location without a representa 've
of my siblings or one of them present. I shall have a third party present who shall be a
witness who shall document each item that is received. This means every piece of crys I,
china, kitchen items, all of my personal items, etc. I fully expect that this shall take a full d Y
and I shall want to start at SAM until this process is complete. I WILL NOT accept box s in
which they state, "here is the china, here is the crystal" They shall have to be prepared, 0
unwrap and identify each item for me which I will then identify and document and provid a
receipt of having received it. I shall not accept any third party who shall not be able to
speak for this property nor answer questions as to where any missing property is.
Therefore, I expect that they shall be present along with their third party representative.
The following is a list of some of the specifiC items that I am expecting to receive
shall not be be in question under the "IF they exist clause of the settlement agreement" s I
know for a fact that they were present at 623 Hilltop Drive,New Cumberland and PNC I
Bank and Harrisburg Storage have inventoried them as well as Dusty Chapman who Ulder
sworn deposition identified my property.
I
I
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.'
.
BASEMENT:
1 Baby high chair which I raised my stepdaughter in. Yellow vinyl print se~t.
2. Several footlockers with my childhood momentos inside
3. 2 cardboard wardrobe boxes with my personal clothes inside plus 2 ot er
folded wardrobe boxes that were folded up and put against the wall. I
expect therefore 4 wardrobe boxes.
4. Black Persian coat with fox collar hanging on pipe near sinks
5. Box of crystal with Mert on the box which was unwrapped Crystal that
is etched. I saw it a the house on Feb. 11,2004 when Mom's house m
sold to the Rhodes. This crystal was left there by PNC Bank. I have
a witness who saw this with me in November 2002 when the house wa
put on the market.
6. White exercise bicycle which I used for my rehab
7. Several boxes of my personal possessions
8. One box of 78 vinyl records .
9. One soft suitcase which was left open and had textiles and soft throws
inside.
10. One fabric print of Birch Trees stretched onto a wooden canvas
11. One painting multi colored which I painted and was up against the wall ne r
the sinks.
12. Paints and crafting supplies which I left open on the floor on Jan 13,2001
13. Doll making kit with head, body parts and supplies as well as misc. craft
supplies that I left up against the staircase on Jan 13,2001.
59, Large luggage wheeled carrier that one uses when traveling
MY BEDROOM: ( which became the sewing room)
14. Boxes which Dusty Chapman identified in his deposition that contained
design projects, books,etc. that were on the green wooden bookshelf.
44. Table drop leaf that Mom sewed on as well as chair that has gilded gold
on it and has cane seat.
Mom's Cornell diploma framed that was over her sewing table.
Wooden sewing table that was actually left on Jan 13,200 in the family r om
I had a glass stem with metal lamp with wite shade with pom poms on it
on my bedstand.
62. White bestand in my bedroom with one shelf, white painted wood and
space for magazines below.
Frame with Ubra design and word that is mine on wall
Map of Ireland that was on the wall that is mine
Picture of water that is a photgraph that is mine
45.
46.
61.
63.
64.
65.
FRED"S BEDROOM:
15. Fake pink flower plant like tree in the corner near the bedside stand.
16. Angel on the bedside given to me by Mother. Jane received one in
October 2000 when she came to visit Mom.
17. White pitcher with roses on it like Jane received when she visited in Oct.
18. Several statues of the Virgin Mary and Saints that I left in the room on
January 13,2001.
19. Baby changing table which I brought from Vermont and raised my
stepdaughter on. I have photos of it arriving in truck from Vermont.
26. Dresser with square pulls as well as the mirror that goes with it.
27. Green painted bookcase
28. Curio cabinet that sat on top of bookcaset
f
29. Pink Japanese 2 shades lamp that sat on top of the dresser
30. My possessions that were inside my dresser
DAD'S BATHROOM:
20. Small wooden seat with brown print fabric which was agreed upon
JANE'S BEDROOM which was Mom's bedroom
21. Small oak cabinet with two glass cruets and cross inside with a piece of aper
with my name on it.
22. Table to the left of Mom's bed that is part of the three nested table set m
my Aunt Flo which is mine. The oak cabinet sat on it
23. Armless fabric chair, brownltan print with casters on it which was agreed
upon.
24. Slanted top desk which is mine and was in my bedroom as student whic
was agreed upon.
31 . One third of the silver that was inside the Japanese box which included
silver pitcher, platters,bowls, etc. I expect a sampling of the platter, bowl ,
pitcher, dishes.
FAMILY ROOM:
32. The marble table that was near Mom's chair.
33. Large black caldron that sat near the fireplace is my personal property.
34. Green wooden cabinet with glass doors
35. All of my personal knick knack inside the green cabinet and my share of
the Japanese dolls inside especially the one with the old lady and man.
36. All of the wooden Japanese boxes that hung on the wall.
37. Desk lamp with black pleated shade is my personal property.
44. Metal cookie molds on long arms by the fireplace were mine
43. Metal warming box with some wooden slats on top were mine.
KITCHEN:
38. I left a $60 set from avc of teeth whitening that was never opened.
39. The white table with one drawer is the long one with formica top
40. Smaller table with drop left sides that is my personal property.
41. Champion juicer which I left on Jan 13,2001
GARAGE: .
42. I left a small fabric pouch with aromatherapy valued at $160.00 marked I
Blue Neroli oils.
43. One metal box of shelving which I bought and was put together and I sa
at the house when the Rhodes were gutting the house on Feb. 11,2004.
LIVING ROOM
47. Large china lamp with roses painted on it that was given to me by Aunt
FLO and Mom had it beside Dad's chair.
48. A gold colored metal angel that is a candle holder. I gave you one for
Christmas in Chicago 1997 and you have it in your house.
60. Cotton jacquard lap blanket over sofa which is mine
DAD'S BEDROOM:
49. Two fabric stuffed hearts that I gave to Mom and Dad
50. Pictures of me that were in their bedroom
51. Japanese mirror set enamel that sat on Mom's dresser
52. China face of women two colors that hung on wall over Mom's dresser
I
I _ __
.,
53 Three large area Oriental rugs, two from Mom's room and one from
Baby's room. They are red and blue design not the brown ones which
are Fred's which is the large brown one and smaller one.
DINING ROOM:
54. The entire crystal set that includes several sizes of wine glasses, liquor
champagne, water glasses as well as the crystal barware glasses this
constitutes all of the crystal that was in the cabinet.
55. I had one crystal tumbler that I etched myself and is mine.
56. One teacup with violets on it that says Mom that is mine. It sat on the
tea cart.
MISC.
57. I left one sewing machine in the Baby's Room that is the same of Mom'
sewing machine which is mine.
DOWNSTAIRS HALLWAY
58. Two wooden frames with stages of life with two people on it in French whic
, is mine given to me by Dad.
I provide the above list as not a complete list but only a guideline to assist my
siblings in retrieving my property and that was agreed upon.
Please understand Richard, my siblings have had since 2001 to negotiate the
separation of this property. We discussed this in February 2004 as well.
I EXPECT every item listed above as well as the items listed in the settlement
agreement. Since they have refused to let me identify my property In an attempt to as ist
them, then I SHALL EXPECT EACH AND EVERY ITEM PRESENT ON OCTOSE
29,2005. IF ANY ITEM IS MISSING THIS SHALL BE A VIOLATION OF THE
SETTLEMENT AGREEMENT AND' SHALL FILE PAPERS WITH THE COURT N
MONDA Y, OCTOBER 31,2005. I do not state this to be hostile but only to emphasi e
to them the seriousness of the settlement agreement. They appear to me to be unreati tic
in the unwrapping and identifying a 5 bedroom house. They have refused my offer of
granting them more time. Therefore, I have provided them with EVERY OPPORTUNI Y
and ASSISTANCE to make this transfer of my property possible. The Court shall se '
that then DELlBERA TEL Y violated this agreement.
IF any of the items are missing of the above list or the settlement list, then I shall I
expect full financial restitution and an explanation of where my property is. If Fred threw
anything away, then he shall have to account for his actions and compensate me
accordingly.
Again, Richard, if they wish an extension of time, then I shall send my offer to the
which shall include items which I am requesting as a concession for their extending the
settlement agreement. , FULLFILLED my bargin on September 29,2005 by returing
Fred's personal property. 'fully expect them to keep their agreement.m
Please contact me if you have any questions.
Sincerely,
l_
ce. Joanne Book
Stan Laskowski
William Duncan
i
~
18/11/2005 14:24
71 77377116
THE UPS STORE
FR01 : RuPl' & Meikle
FAX l"J. 730 0214
Oct. 11 2e05 02:1
;1,:
l.AW OFF1Clilll
RUPP AND MEIKLE
~ERG&.RT O. R\JP~. JR,
~lCI"IARC c. RUfSI'
ANN MI!II<LE, e"'!I(S80N (19&4-82)
A I"AOFES$IONAl. C:ORPOf"ATION
~ NOPl.'TH 21 ST STf'ElIT. sumt fO I
CAMP HIl.L, PA 17011
t:::M
E-w.I~: FtLJlll~WOFl'IC1:
October 11, 2005
Ms. MGrllyn Gerber
717 Market Street, 317
Lamoype, PA 17043
Dear Marilyn,
Thank you for your gererous offer to help unpack ancl sort the Ito
penonal property at Manisburg Storage.
And, thank you for your generous off.r to .:tC.teftcl the agreed delive
time for your personal property.
However, Fred and Jone believe they have everything under control
Thank you again. . will advise ,ou specifically of the clrTangements!
deliver to you your pel'$CJnal property when I am Ie informed.
Richard C. ~upp \
RCR/egs
- r
t'
,
~
October 10,2005
Richard Rupp,Esquire
355 North 21st Street
Camp HitI,PA 17011
Dear Richard:
As Eta may have told you already, I called your office on Friday, October 7,2 05
and offered an extension of time to Jane and Fred in returning to me my personal
property and the agreed furniture and jewelry that was signed at the settlement
conference on September 9,2005.
When you dropped off the first $100,000 check to Stan Laskowski In his offi.
late on September 29,2005, you indicated to him that you thought that it was going to
be a very long and difficult job to unpack and go through a 5 bedroom house that h s
been packed up and stored in a container at Harrisburg Storage.
I am not sure that Jane and Fred realize that two 24 foot moving trucks and f e
men packed up Mom's house on October 1 all day. Her tangible property as well a
mine is now in a large container that has been stored there since October 2002.
As you may know when Jackie Verney was negotiating the settlement in
September with Stan, I offered to help unpack this as I live just up the hill from
Harrisburg Storage and I could adjust my schedule as Jane lives between Chicag
and New York and Fred is often out of the country. I am assuming that Jane will do
most of the unpacking and sorting as I cannot imagine a stranger doing this unless
Jane and Fred as going to hire several people to help them. In any rate, Jane and
Fred shall have to incur travel and lodging expenses. I also asked to see the items
that were unpacked so that I could also help refresh my memory.
If there is an air of distrust from my siblings, I can assure you that Jane know
very well what is in the house as she has had all of 2001 and 2002 to make an
inventory when she had exclusive contact with Mom. I have no intention to take
anything that is hers or Fred's or violate the settlement agreement.
I was rushed at the very last minute to make up a list to try and remember ev ry
single item that I have left in our parents home since childhood, high school, and
college as well as many things that I have not thought of over the 34 years that we
have all come and gone from our parents home. I have thought of several items th
are mine as well as items that I gave to Mother over the course of my life and I am
asking that Jane and Fred grant me some consideration in adding to the list of
my personal property.
I am prepared to extend the time for Jane and Fred to unpack all of our pare s
/
#
home until December 2005 if they will grant me the opportunity to see what was st red
as well as negotiate items which I wish Jane to give me. I ask that I be given the
opportunity to send Jane my list directly for her consideration. The moneys have
been transferred now and I ask that they realize that I have no interest in taking
anything that is there's and Fred and Jane had stated to me in February 2004 that hey
wanted very little from Mom's house.
Jane also has to retrieve the jewelry that was agreed upon from PNC Bank n a
weekday and also October 29,2005 is a Saturday. I have to be able to itemize ea h
item on Saturday and have a third party inspect each item to verify per the settlem nt
agreement. I do not think Jane and Fred realize the enormity of this task to be
accomplished in one day. I also wish to know well in advance who shall be pres tat
the handing off of my property to me on October 29th? At the end of the day on
October 29,2005, I will than have to transport or store the itemsJfurniture. I anticip te
that it shall take all day to go through all of the items that were agreed upon,
photograph them, inventory and then move them into storage. This was all agree
upon on September 9,2005. I trust that Jane and Fred do not anticipate that they ill
leave the items for me and have no one present to verify the items and retrieve an
missing items. I expect to start at 9:00 AM on Saturday, October 29th. Please con irm.
Per the settlement agreement, if the items are not provided in total per the
agreed upon list, then I shall have the right to inform the Court that the settlement
agreement has been violated and seek satisfaction. This shall only continue to co t
my siblings more time and money at their expense.
Therefore in the spirit of trying to end this very painful and difficult past seve
and half years, I wish to offer them a realistic time frame so that this job can be do e
with enough time for everyone's concern and satisfaction. I am happy to assist m
sister with this huge task and I ask her to put her differences aside and realize that:1 am
not her enemy and wish her no harm in any sense.
Therefore, my offer is that they may have until December 2 and December
to hand over my property if Jane agrees to receive my letter listing additional pers nal
items which I could not remember on September 9. I have also asked her to pravi e
me with the gaming table which was given to me from my Aunt Flo's home and a t ree
tier shelf which she has stored in her home in Lombard since June 1997. I also ked
her for one additional piece of jewelry which is not a very valuable piece. I am ha py
to pay for its transport to me. I have also asked her consideration on some items lour
parents home for her to give to me. My letter is self explanatory to her and upon
receipt of this letter which I am prepared to send to her my next day air, she may f
me a response directly or through you. I ask to sent this to her as it is more exped
and personal and after loving her all of my life, I ask her to put away her hatred an
bitterness and consider my offer to her as my only sister.
I would appreciate your answer and directions as to where she wants this I tter
sent to, Lombard or New York. I think that she maybe very involved with Bridal M rket
week with her position as Director of the Wedding Channel.
I
.,
-
/
,
I await your response. Please call me on my cell phone 717 503-5280 fro
Monday to Wednesday. If' do no hear from you by Tuesday, October 11,2005 by
2PM, then I shall assume that they are not interested in any further time.
II
J_ _
/
,
FAX
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717 ~ -.,a17
L.IIIIOJIIe,PA 171Ct
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& SINON LLP
Joanne E. Book
t 81
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1e/06/2005 10:41
7177377116
THE UPS STffiE
ph (717) 237-6716
ft (717) 231-6676
jboo1c@rhoads-sinon.com
P1Wl NO< 3547105
October S, 2005
Re: Estate otMiJdred J. ~rber
Brooke R. Rhodes VIA FIRST CLASS AND CERTIFIED MAIL
623 Hilltop Drive:
New Cumberland, P A 17070
, ,"
Dear Mr. Rhodes:
We reptesent me Bank. which was formerly the Guardian of the Estate of Mildred J. Gerber an
Trustee of her Trust. We undershnd that you purchased Mrs. Gerber's former residence located at 62
Hilltop Drive, New Cumberland from Frederick E. Gerber n as Executor of her Estate.
Please be aware that mou,,,: matters of litigation regarding Mrs. Gerber's Estate have now
settled pursuant to a Family Settlemomt Agreement between all interested parties. The Family Settlem
Agreement has been filed as a mal:ter of~cord in the Cumberland Cowty Courthouse. The fiTst page ()
the Agreement in enclosed herein. Also enclosed is a copy of ~1rit '"B" to the Agreement, listing th
property to be given to Marilyn .J. Gerber, the fmal item of which refers to a "box of crystal left in th
garage marked .Mert.... If you arc "1 possessi.on Qfthat box., a chair, a Christmas wreath anellor any oth
items which were in Mrs. Gerber'l; former residence as of the time of the sale of the property to you
please be aware that in accordance with the Family Settlement Agreemet'1t said property may be delivere
to Marilyn J. Gerber. It is our uoderstandin& Marilyn Gerber will contact you with regard to tba
, property.
Thank you for your attenti(m to this matter. If you have any questions rcgardini the above,
please do not hesitate to contact us.
Very truly yours,
Enclosure
MOAnS & SINON LLP
\fr;cU/..JU~'~
B .'
/ Joanne E. Book
t,
'-'
cc: David A. Brown (w/o encl.)
)tanley A. Laskowski, Esqll1Te (w/o enel.)
v Marilyn J. Gerber (w/o end.)
Richard C. Rupp, Esquin: ("'/0 encl.)
Jacquclrnc M. Verney,Uscl,'rc (W/0 end.)
Lindsay D. TJa;rd, Esqui,'e: ( .flu (~nc1.)
.film: N. Hcltin (w/o cael.)
:.9.fJ~7.t
~h('Rd" .';;'" Sin..." l,tp . A.ttnl'nn'<. ill Law. .
H"rn:;h\lr!:. rI\17101:L1J1G .. I ' (71() ;I:r;'~.l;l!~ Plf.00rr~ O)ne Scmrh M~rkel SqUilrc . ro Box 1146
. . .~ -1 ,I. " X ...'J7. 11/...14ri9" ww\"'.rho;..,,l.......;,,:,u ..........
.
LAW OFFICES
RUPP AND MEIKLE
HERBERT G. RUPP, JR.
RICHARD C. RUPP
A PROFESSIONAL CORPORATION
355 NORTH 21ST STREET, SUITE 201
(717) 761- 459
FAX: (717) 7 0-0214
ANN MEIKLE ERIKSSON (1954-82)
CAMP HILL. PA 17011
E-MAIL: RUPPLAWOFICE@AOL.COM
September 30, 2005
Linday D. Baird, Esquire
37 S. Hanover Street
Carlisle, PA 11013
Joanne Book, Esqsuire
Rhoads & Sinon
POBox 1146
Harrisburg, PA 17108-1146
William Duncan, Esquire
1 Irvine Row
Carlisle, PA 11013
Ms. Marilyn Gerber
717 Market Street
#317
Lemoyne, PA 11043
Mrs. Jane Heflin
270 N. Garfield
Lombard, IL 60148
Jackqueline M. Verney, Esquire
44 S. Hanover Street
Carlisle, PA 17013
Mr. Frederick E. Gerber II
Ladies and Gentlemen:
Please find enclosed the correspondence with Attorney Laskowski
to make the first installment payment to Marilyn Gerber per the Gerber
Family Settlement.
Said payment was hand delivered to Attorney Laskowski on Thursd y,
September 29, 2005.
Thank you.
Yours sincerely,
RUPP AND MEIKLE
-IJt./~:lvt€
E"a G. Sill
Legal Assistant
]
.
LAW OFFICES
RUPP AND MEIKLE
HERBERT G. RUPP, JR.
RICHARD C. RUPP
A PROFESSIONAL CORPORATION
355 NORTH 21ST STREET. SUITE 201
(717) 761- 459
FAX: (717) 7 0-0214
ANN MEIKLE ERIKSSON (1954-82)
CAMP HILL, PA 17011
E-MAIL: RUPPLAWOCe@AOL.COM
September 29, 2005
Mr. Stan Laskowski, Esquire
CALDWELL & KEARNS
3631 North Front Street
Harrisburg, PA 17110
Re: Gerber Family Settlement
and Release-Payment of funds to
Marilyn J. Gerber
Dear Stan:
Please find enclosed a copy of the Order of Court which Judge Oler
signed today, September 29, 2005.
As the Family Settlement Agreement and Release provides that the
total Settlement Agreement is conditional upon PNC consent and as PNC
gave us consent conditional upon the entry of the Courts' Order in this
matter, the distribution of funds to Marilyn can now be made available i
accordance with term of the Family Settlement Agreement and Release.
My client, Frederick E. Gerber, II, obtained a bank check from Sun
Trust, which is equivalent to cash, as he did not have the wiring informal on
in time when he obtained these funds. Therefore, this Sun Trust Bank ch ck
is being delivered to you in the sum of ONE HUNDRED THOUSAND DOL RS
($100,000.00) as the first installment payment to Marilyn J. Gerber unde
the the Gerber Family Settlement Agreement and Release.
Since we are hand delivering this bank check for ONE HUNDRED
THOUSAND DOLLARS payable to you, I am requesting that the enclosed
receipt be signed and dated and returned to my messenger. A copy is
enclosed for your file.
(
September 29, 2005
page 2
Stan, thank you very much for your cooperation and involvement i
this matter.
(
RCR/bah
Yours sincerely,
~iChard C. RU~P
1_- _
II-I; 51;...0. ....0 5u- -:01;. .00 7~0-: 70 .~O .~~~I;u-
,
LAW OFFICES
RUPP AND MEIKLE
HERBERT G. RUPP, JR.
RICHARD C. RUPP
A PROFESSIONAL CORPORATION
355 NORTH 21ST STREET, SUITE 201
(717) 761- 59
FAX: (717) 7 0-0214
CAMP HILL. PA 17011
ANN MEIKLE ERIKSSON (1954-82)
September 29, 2005
On behalf of. Caldwell & Kearns and Marilyn J. Gerber, I
::;"TAriIt1 /A.S(CrluJHc;... LS1-, acknowledge receipt of a bank check from Sun
Trust in the sum of ONE HUNDRED THOUSAND DOLLARS ($100,000.00)
payable to Stanley Laskowski, Esquire. A copy of said Sun Trust check is
attached to this receipt.
CALDWELL & KEARNS
,
S'~k ~ fc.o..... f>IL
PRINT N E
i j~'1 /<J('
DATE
.;
~:EP-23-2005 FRI OB: 37 AM
FAX NO.
P. 04/09
ICll 002
0[1/22105 TED 15:49 FAX 717 231 6676
RHOADS " SINON LLP
1.
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& SINON LLP
Juanne E. Book
ph (717) 237-67J f.
fL (717) 231 -6676
jlx>ok@rhoads.sinoll.l;om
~IU! Nc): 3.547/05
.,._...H......-____._.......-.......
September 22, 2005
RCH Mildred J. Gerber f!:statc Guardionship and Revocable Trust
Richard C. Rupp, Esquire
RIIPP 411t1 Me;.lde
335 North 21;' Street, Suite 20S
Camp Hill. PA 17011
Dear Attomey Rupp:
VIA FAX (711) 730-0214
We have not yet received the draft Order to be submitted to the Court regarding th
Gert>cr Family Settl~cmt Agreement. As you 1Sl'C aware, PNC will nor sign the Agreement until
an Order is prepared to be submitted to toe Court confirming PNC's Accounts., orderin
distribu.tion, and discharging PNC from any funher liability. Thus, we attach a draft of the Otd
with the language that PNC requires to sign the AgreemMt. Also attached is a draft Rele
which PNC is willina to execute once the appropriate OTder is prepared. Pleaso contact us
soon as possible regarding these: matters.
Very truly yours,
~/RH.. OADS & SINON LLP c>
. 0"" {~U3c~
.,
.I Joanne E. Book
,..'
cc: David A. Brown (w/cncl.)
Stanley Laskowski (w/encL) (Via Fax 232-2766)
n'J1 'Q.I
HI1olld".~ <;1111111 I..I-r . ....ltorncy~ al I.AW . Tl"t;\ftb f1t'~H . On~ :>\1lJlh M.lrJ".t :;;'Iuur" . .r.(,l. a~,)I I H.;'
H.nrlsbllrl;. PA 171011-1146' 1'1, <.117) .l.11.r;;7'~1 . J),' (i'lI\ 112-14':;1) . www.Th~...<l..-~ill<1n.l;(tm
~:EP-23-2005 FRI 08: 37 AM
oe/22/05 TRV 15:(9 FAX 717 231 6676
INRE:
ESTATE OF MILDRED J. GERBER,
An incapacitated person
lNRE:
MILDRED J. GERBER TRUST
UNDERAGRBEMENTDATED
DECEMBER 19, 1997
IN RE: FRED E. GERBER TRUST
UNDER AGREEMENT. dated
July 29, 1994
INRE:
ESTATE OF FRED E. GERBER, SR,
Deceased
r r
FAX NO.
P. 05/09
~OQ3
RHOADS & SINON LLP
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLV ANTA
~ ORPHANS' COURTDMSTON
: NO. 21-2001-92
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
~ ORPHANS' COURT DNJSION
: NO. 21-2001-0540
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY
: COMMONWEALTH OF PENNSYLVANIA
: ORPHANS' COURT DNlSION
: NO. 21-1998u0195
: iN THB COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYL V A.NIA
: ORPHANS' COURT DIVISION
: NO. 21-1998-0195
ORDER PURSUANT TO FAMILY SElTLEMENT AGREEMENT AND RELEASE
AND NOW, this _ day of , 2005, pursuant the Family Settlem.
Agreement and RelcMC executed by the pamlll$ in the above matter, it is hereby ORDERED an
DECREED as follows:
1_ The Second and Finnl Account of PNC Bank. N.A.. as Successor Trustee of th
Mildred J. Gerber Trust is hereby confinned absolute;
2. The appointment of Frederick E. Gerber n as Tmstee of the Mildred J. Ge
Trust is hereby approved;
4. PNC Bank, N.A. is directed to distribute the balance for distribntion as shown 0
the Second and Final Account of PNC Bank, N.A., successor Trustee of the Mildred J. G
Trust. to Colonel Fred E. Gerber 11, as Trustee of the Mi Idred 1. Gerber Trust under Agreem t
dated Decemher 19, 1997, for further administratiol1 pursuant to the te.mlS of the Famil
Settlement Agreement filld R.elease;
5. Efftctive upon SlJl:h distribution, the resignation of PNC Bank, N.A. as Tmstee f
the Mildred 1. Gerber Trust is hereby accepted and PNC Bank, N.A. is hereby discharged fro 1
aU future llability as Trustee (lfthe Mildred J. Gerber Trust;
..s.")UJuS.1
~:EP- 23- 2005 FR I 08: 37 AM
FAX NO.
RHOADS & SINON LLP
O{1122/05 TRU 15: 49 FAX 717 231 6B76
6. The Statement of Additional Receipts and Disbursements of PNC Bank, N.A .
Guardian oft11l!l Estate of Mi\dred J. Gerber, an incapacitated person per Decree dated March 2 . I
2001 is hereby confirmed. ~b$olute; I
7. PNC Bank. N.A. is directed to distribute the balance for distriburion~ including a~1
tangible personal prop~rly, as shown on the Statement of Additional Receipts and Disbursement~
of PNC aan~ N.A., Guardian of the Estate of Mildred J. Gerber, an incapacitated person, U\l
Frecferick E. Gerber If as Executor of the Estate of Mildred J. Gerber for further administration
pu.rsuant to the teID:I~ ofthc Family Settlement Agreement and Rele"4sa; and !
8. Effective upon such. distribution, 'PNC Bank., N.A. is hereby discharged from aU
future liability as Guardian of the Estate ofMlldred J. Gerber, an incapacitated person. .
BY THE COURT:
1. Wesley Oter.1.
r I
P. 06/09
!4J004
-.J
~:EP-23-2005 FRI 08: 38 AM
FAX NO,
09/22/05 THtl 15:50 FAl 717 231 6676
RHOADS & SINON LLP
Furthermore, the partie~. and each of them, hereby fonwer rel~Mt, compromise, settle
and djsch..'\rf.c any and all claims, demands, actions or causes of action, lcg..'\l or equitable,
absolute or contingent, vested or hereafter to accnlf, which any or !lome ofth<::m had, now have
or may hilve aga'i.ntlt any other party hereto, some other patties hereto or all other parties heT~to.
by reason of any ma.tter, cause or thing arising out of any of the a.bove-referenced Guardianships,
Estates or Trusts and/or relating to any propetty or assets referred to herein as the Gdt'b& Family
Assets and/or arising out of any act of nny fiduciary identified hereinabove, whether relating to
arlministration of any of the Guardianships, Estates or Trusts or by reason of any other matter,
cause Qr thing and/or relating to each party hereto. some of them or all ofthem.
It is understood liI1ld agreed that to the extent this Family Settlement Agreement and
Release is a compromise of a disputed claim or claims and the said Agreement on any
cQnaideration is not to be construed as an admission of liability on the pan of the parties released
or any party th=-eof as the Releasees deny any liability therefore and intend merely to avoid
further litigation and buy their peace.
The undersigned declares and represents that no promise, induoement or agreement not
stated in the Fam11y Settlement Agreement and Release has been made to the undersigned cmd
that this Family Settlement Agreement and Release contains the entire agreement Mlong the
parties hereto, and that the terms oftms Release are contractual and Dot a mere recital.
In timher consideration of the Agreement, T do for myself. my heirs, next of kin,
executors, administrators, succ::e55QTS or nssigns, covenant and agree to indemnify and hold
2
P. 08/09
~006
I
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SEP-23-2005 FRI 08:37 AM
FAX NO.
RHOADS & SINON LLP
OS/22/0S THU 15;49 FAX 717 231 6676
THE GERBER FAMILY SETTLEMENT AGRBEMENT AND RELEASE
FULL RELEASE OF ALL CLAnvrs
KNOW
ALL
PERSONS
PRESENTS,
that
BY
THESE
MMJ'-t1..) J. c;,~~ (pRINT NAME), RELEASOR. for myaelf
itldividuaUy and as beneficiary of one of more of ESTATE OF MILDRED J. GERBER, TRUST
OF MILDRED J. OBR.BE~ ESTATE OF FRBD B. GERBER SR.. AND/OR TRUST OF FRED
E. GERBER. SR., intending to be legally bound hts.eby, and in consideration of tbe promises..
premises and covertants c:ontairted in THE FAMILY SETTLEMENT AGREEMENT ANl)!
RELf!.ASE and other good and valuable consideration. receipt whereof is hereby ack'1lOwledgcd.,
have remised, released and fore'Vet dischaTged and by these presents do for myself. my agents.
assigns, and heirs, my executors, administrators, personal representatives mld su\::cessors.. bereb
remise, release and forever discharge each and every party to said F A.MlL Y SETTLEMEN
AGREJ;MENT and RELEASE) including FREDERICK E. GERl3ER II, as an individual ami
fiduciary. his executors and administrators, personal representatives. employees, aUomeys
agents, successors., assigns and including PNC BANK, as a corporate fiduciary, it
representatives. employees, attorneys. agenl successors. assigns and including Mildred's Estat
Mildred's Trust. fr~ ST.~S Estate:: iUld Fred Sr.'s Trust of and from all actions. causes of action
claims suits, controversies, trespasses, dam~ges. judgments ~nd demands in any fo
whatsoever, including attomeys fees, at taw or in equity arising from or by reason of any and a I
knowlI or unknown. for.eseen or unforeseen injuries, ..lalmsl charges. costs, demands lia.biliti~~.
expenses, actions. causes of action, judgments, executions or damages whether or not relating t~
any of lhe above-.referenced Guardianships. Estate!> OT Trw.1s.
~11).;78.1
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P. 07/09
@oos
I,
I.
:)EP-23-2005 FRI 08:38 AM
FAX NO.
011/22/0:> THll~~,;50 FA!__717 2:11 6876
RHOADS & SINON LLP
hannless Fred 11 and/or PNC .B~ their Agents. employees, and aUomeys from all claims.
demKnds and suits for damages, costs, expenses. attorneys fees or compensation which Y. Qr my
heirs, next of kin, executors, administr4.tors, successors or assigns have or may ha.ve in the future
on :account of or in any way arising out of the final adminilltration of the above-referenced
GWlJ"dianships, Estates andJor Trusts.
'fbe execution by PNC naal4 N~ of tbe Gerber Family Settl~meJlt Agreement ad
this Release is expressly COlltiOgc.nt UpOD the fuU and complete perfonttaoce of the terms 01
tbe Gerber Family StttJemept Agreement by all parties; RDd the cutry 61 an Order
confirming the ACCoUDts filed by PNC Bap~ N.A., ordering distribution of the balaoce lor
distribution sbown in the AeeonDls flied by PNC Bauk., N.A., and diseharging PNC D'llDk,
N.A. from .U future liability as Trustee of the Mildred J. Gerber Trust and tbe G..ardi..n
of the E$ta~ of Mildred J. Gerber, OD incapadtated person.
THE UNDERSIGNEO HAS READ THE FOREGOING RELEASE AND FULLY
UNDERSTANDS IT.
IN WITNESS WHEREOF;.:t intend;":?: =und he<eby 1 hove hereunto set
mybund ond.eal on .hi, 6/.3 day of ~iJ2:~~
flf- Re2rpp~- /
~tf1e/~w J: ~~
Witnesli Print Name
3
P. 108/09
I
ijboo7
FAX MIrIIyn Gerber
717 ...... ....1317
L.IInOyne,PA 171M3
TEL: 717 SON2IO FAX: 717 737-7111
~--~
'AX:J;p.lJ-2.-22.::.guL----- 'AIU:_____________ _.
AE:________________--------------- DATE:___~L?_~~_____
~
JIROII: IM_ YN
It
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-~---------------------------~ -
~~---~--------------------------~-----~--~~-----------
@----Far-Ii.ViiiI----~.irCliiiiiiiii---Pii...-RiPir--- ---
cofti..ftM:---------------------------------------------
.... NaIat:
1'NI ~- n,tll _.. OM. v... ....
~,.. ".11 J.J, ..1IddII:-__-:.-::~....-II.. _'I(Jlat Ind nlIV
:--=:=~:-IRIIIl....~IJ..Jt. _......, ..:..:~~-:.::."
....,..t- 11 flh._........~~~.....~1J-....JUU.I-..ftlftltfOl.. .
.-...~. n..n_.._IfU8d.,..-_:.....~,~~...-11~...~u _If
---._- _r., r..,-, ,1& "-*.,. ' ._.
SEP-23-2005 FRI 08:36 AM
FAX NO.
JAMES R. CLIPPINGER
C',II.RLES J. DEHAAT, \II
JJ\MES O. CAMPBELL, JR.
JAMES L GOL.DSMITH
P DANIEL AL TLANO
STANL~Y J.A.l.A$I<OW$KI
Jf,FFREY T. McGUIRE'
D'JUGLAS K. MARSICO
81~ETI M. WOODBURN
AA,Y J. MICHALOWSKI
o :)U GLI\.S L. CASSEL
CALDWELL & KEARNS
A PROFESSIONAL CORPORATION
ATTORNEYS AT LAW
3631 North Front Street
Harrisburg, PA 17110.1533
,
I
OF CO N ;>EL
RICHARD 1... ~~ARNS
CARL . \~ASS
,
THOMAS D. ~ALt>WEI.I.. JR.
(1928~~ 01)
717-2~2 7661
FAX: 717.232-2766
'JJso :l member of NJ Bar
thafirm@caldwe lkeams.cof'll
FAX TRANSMISSION COVER SHEET
DATE:
TO:
September 23.2005
Marilyn Gerber
FAX NO.:
610-240-0179
FROM:
RE:
NOTE:
Stanley J. A. Laskowski, Esq.
Settlement Documents
FYI - Here are the documents I received late yesterday
,
YOU SHOULD RECEIVE 9 PAGE(S), INCLUDING THIS COVER SHEET. '
.IF YOU DO NOT RECEIVE ALL THE PAGES,
PLEASE CALL CALDWELL & KEARNS AT (717) 232-7661
ORIGINAL WILL
WlLL NOT L FOLLOW BY MAIL
CONFIDENTIALITY NOTE: The ctocuments accompanying this telecopy transmi$sion contain information from the law mt of
Caldwell & Kearns, which is confidential and/or legally privileged. The Information Is intended only for the use ofthe indi....i usl QT
entity named an the trammission sheet. If you are not the intended recipient, you are notified that any disclosure, co yij,~,
distribution or the taking of any action In reliance on the contents of this telacopied infonnation is strictly prohibited and t tile
documents :lhould be returned to Caldwell & Keams immediately. In this regard, if you receive this telecopy In error, plea no~ty
us by telephone (collect) irrllnediately so that appropriClte arrangements can be made far the return or destruction of the docu e~~s
at no cost to you. Thank you.
_J____
..
.. -- 1;T- - -- - - .
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IN THE SUPERIOR COURT OF PENNSYLVANIA
INRE: ESTATEOFMILDREDJ.
GERBER, an incapacitated person
Superior Court Docket No. 855 MDA 005
IN RE: MILDRED J. GERBER TRUST
under Agreement dated December 19, 1997
Trial Court Docket Nos. 21-01-92
21-02-054
APPLICATION TO DISMISS AND APPLICATION FOR COSTS
Appellee PNC Bank, N.A. (hereinafter "PNC"), by and through counsel Rh ads
& Sinon LLP, respectfully requests that this Court dismiss the above captioned appeal purs t
to Pa.R.A.P. 2188 and assess costs against Appellant Marilyn J. Gerber (hereinafter "Appell
pursuant to Pa.R.A.P. 2744, for the following reasons:
1. By notice dated July 11, 2005, Appellant was directed to file and se
brief in support of this appeal on or before August 22,2005.
2. On July 18,2005, Appellant filed an Application for Extension ofTi
File Brief, based on several reasons including other related litigation that Appellant was purs ing
in the above trial dockets and related trial dockets.
3. By Order dated July 28, 2005, this Court denied Appellant's Applic tion
for Extension of Time to File Brief.
4.
On August 22, 2005, rather than filing a Brief and Reproduced Reqord,
I
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Appellant filed a "Motion for Global Settlement and Motion Nunc Pro Tunc".
577190.1
4
I
5. In the Motion filed on August 22, 2005, Appellant essentially is maki ~ a
I
second request for an extension of time for the same reasons cited previously, and also ~e
allegation that a "global settlement" is pending. II
6. As of this date, no agreement providing a "global settlement" has b en
finalized or executed.
7. Regardless, this does not excuse Appellant's failure to file a brief in
support of her appeal, and this appeal should therefore be dismissed pursuant to Pa.R.A.P. 218 .
I
8. Pursuant to Pa.R.A.P. 2744, an appellate court may, in its discreti n,
I
award reasonable counsel fees against a party who has filed a frivolous appeal or whose behav ~r
has been dilatory, obdurate or vexatious. Menna v. St. Agnes Medical Center, 456 Pa. Sup .
301,310,690 A.2d 299,304.
9. The Appellant's appeal is frivolous because it has no basis in law or fat,
and her behavior has been dilatory, obdurate and vexatious in bringing the appeal and failing ~o
file a brief by August 22,2005, when her prior request for an extension had been denied.
10. A review of the trial court's dockets, the trial court's opinion, and
11. Appellant's appeal is part of a long and torturous history of litigation
Appellant's Motion themselves, reveals that the Appellant utterly failed to meet her burden in
trial court, and that her appeal has no likelihood of success.
this matter and related matters, in which Appellant has filed numerous pleadings again
Appellee and, when those actions have been dismissed by the Court, Appellant has re-filed
or appealed those actions with no success.
- 2 -
12. As in Menna, the "voluminous and protracted history of this case am ly
demonstrates that the present appeal.. .ha[s] no likelihood of success." Menna, 456 Pa. Super at
310,690 A.2d at 304.
13. The fact that Appellant is proceeding pro se does not excuse her from r
failure to follow the rules of civil procedure and appellate procedure, and does not entitle her 0
relief when she has completely failed to meet her burden of proof.
14. The Superior Court has recognized that assessing costs against a party 's
"necessary in order to avoid yet more repetitions of this appeal in the years to come". Me
456 Pa. Super. at 310, 690 A.2d at 304; see also Winoennv v. Winpenny. 434 Pa. Super 34 ,
354,643 A.2d 677, 680 (1994) ("allowing Appellant to continue to utilize the courts to purs e
fruitless claims at the expense of not only the opponents specifically, but also the public, will n t
be tolerated.").
15. To date, counsel for PNC have spent 6 hours on matters related
Appellant's frivolous appeal at a rate of$175 an hour, for a total of$1050.
Wherefore, Appellee PNC Bank, N.A., respectfully requests that this Co
dismiss the appeal of Marilyn J. Gerber and assess costs against her in the amount of $1,05 ,
representing the legal fees incurred by PNC Bank, N.A. relating to her frivolous appeal.
RHOADS & SINON LLP
i1o(UjJQ.. ~
Uocpme E. Book, Esquue
A~omey for Appellee
/
J>he South Market Square
P. O. Box 1146
Harrisburg, PA 17108-1146
(717) 233-5731
Attorney tD. No. 82028
Dated: September ~, 2005
- 3 -
\:
:;
VERI FICA TION
David A. Brown, deposes and says, subject to the penalties of '18 Pa. C.S. 9
relating to unsworn falsification to authorities, that he is the Vice Presid.ent of PNC ank,
N.A., that he makes this verification by its authority and that the fact.s set forth i the
Application to Dismiss and Application for Costs are true and correct" to the best f his
knowledge, information and belief.
Date
cr/~/o ~
I I
A~-
David A. Brown ~o IJ. I~t..o,.,.,.. V P
. J
.'
PROOF OF SERVICE
I hereby certify that on the d. day of September, 2005, I am
foregoing document upon the person and in the manner indicated below and addressed as folIo
which service satisfies the requirements ofPa. R.A.P. 121:
VIA CERTIFIED MAIL, RETURN RECEIPT REQUESTED:
Marilyn J. Gerber
717 Market Street, #317
Lemoyne, P A 17043
VIA FIRST CLASS MAIL:
Richard C. Rupp, Esquire
Rupp and Meikle
335 North 21st Street, Suite 205
Camp Hill, P A 17011
William A. Duncan, Esquire
Duncan, Hartmalt & Douglas, P. C.
One Irvine Row
Carlisle, P A 17013
Ms. Jane Heflin
270 N. Garfield Street
Lombard,IL 60148
The Honorable J. Wesley Oler, Jr.
Cumberland County Courthouse
One Courthouse Square
Carlisle, P A 17013-3387
~E!-~~
e E. Book, Esquire
Att ey LD. No. 82028
ads & Sinon LLP
One South Market Square
P. O. Box 1146
Harrisburg, P A 17108-1146
Attorney for PNC Bank, N.A., Appellee
(717) 233-5731
If
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CLAUDE C. WOLFE & ASSOCIATES
AUCTiONEERS & APPRAISERS
FAMILY OWNED SINCE 1912
2009 LINCOLN STREET' CAMP HIll, PA 17011
717-761.2763
June 12, 200
Appraisal for Mildred J. Gerber, Guardianship - PNC Bank
623 Hilltop Road, New Cumberland, PA 17070
MISC. JEWELRY & ASSORTED ITEMS
(2) Pearls 7+ nun each
Blue costume pearl necklace
Rosary beads, gold filled - worn
Small box containing 6 charms
Card with pressed flowers for Bethlehem
Newspaper clipping
(6) Tie tacks
Small piece of chain
Clear pin
Script pen from quill
Black jewelry box
(3) Aluminum charms
Rhinestone bracelet
(12) Glass synthetic stones
Smoky quartz stone
St. Augustine's School pin
70.00
3.00,1
3.00;1
1.00'
1.00/
i
1.001
2.001
1.00/
1.001
1.00.
I
1
1.001
1.00
8.00
1.00 !
5.00
1.00
APPRAISAL TOTAL S 101.00
This Fair Market Value appraisal is true and corTect to the best of my ability as an
auctioneer and appraiser with 3S .years experience.
Member: Certified Appraisers Guild of America
CLAUDE C. WOLFE &:. ASSOCIATES
W. \},. \05 &~I>--
W. K. "Dusty" Chapman, CAGA
A-
N 02250
I
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CLAUDE C. \VOlFE & ASSOCIATES
AUCTIONEERS &. APPRAISERS
FAMILY OWNED SINCE /912
2009 LINCOLN STREET. CAMP HILL, PA 17011
717-761-2763
Appraisal for Mildred Gerber
623 Hilltop Road, New Cumberland, PA 17070
MISe. LADY'S JEWELRY & ASSORTED ITEMS
I - 14K white gold .55ct center stone w/2 small side stones diamond ring
2 - 14K white gold wedding band - .1 Oct total diamond weight
3 - Rice from 1948
4 - Costume double strand pearl necklace - sterling clasp - broken
5 - Large smoky quartz, emerald cut (585 -14K) penda~t
6 - Costume pearl & rhinestone brooch - 935 silver
7 - Filigree dagger & sheath pin (early clasp & hinge)
8 - Handmade frog brooch from the Orient. Back is 14K, top is 18K gold
9 - 18K gold filigree butterfly brooch
10 - Rhinestone feather brooch - metal discolored and stones missing
11 - 14K gold pendant/pin containing a good 10mm pearl on a gold chain
12 - 14K gold diamond pendant on a gold plated chain. .SOct. European
cut center & (II) .88ct total weight side diamonds. Slightly tinted
13 - Italian 18K (750) figaro gold link bracelet
14 - Part of a broken rhinestone bracelet
15 - 18K gold link bracelet with gemstones of amethyst, tourmaline, citrine,
aquamarine & garnet. Pink gold with green gold overlay on some
sections.
16 - Costume faux pearl necklace - double strand, rhinestone clasp
17 - Loose faux pearls (7)
18 - Italian 14K gold necklace (smashed section)
19 - 14K gold diamond Concord Watch Co. (334F) Swiss wrist watch
20 - Note from Emiko Kato
21 - Bell shaped plastic jewelry case
22 - Antique faux pearl hair pin
23 - 18K gold HeJvetia - Swiss wrist watch - face damaged
24 - Silver (835) and marcasite dress clip
25 - Costume faux pearl earrings (one screw-on replaced)
/J;
II
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July 25, 200 ~
!
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650.0~
8~:~~
1.0
85.0 ,
i
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25.0q
25.od
I
350.0q
90.0Q
l.oq
I
350.0~
I
475.od
75.0q
1.0q
I
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750.0
10.00
1.00
15.00
125.00
1.00i
I
1.001
15.001
45.00
35.00i
2.00i
PNC02253 i
g
CLAUDE C. WOLfE & ASSOCIATES
AUCT10NLLRS &. APPRAISERS
FAMILY OWNED SINCE 1912
2009 LINCOLN STREET. CAMP HILL, PA 17011
717-761-2763
Gerber appraisal
Page 2 of 3
MISCELLANEOUS LADY'S JEWELRY AND ASSORTED ITEMS
26 - Sterling silver (935) and rhinestone brooch
27 - Sterling silver (935) and rhinestone duerte clips
28 - Rhinestone earrings (one broken)
29 - 2 Cloisonne bird motif charms
30 - Platinum (900 - IRID) diamond dinner ring. .75ct total weight
lower color in diamonds
31 - 10K gold large black onyx ring with clear stone. Band is cut
32 - Palladium diamond cluster ring. 1.2ct total weight
33 - Asian 14K gold pearl cluster ring - nice luster
34 - Asian 14K gold pearl ring with 3 pearls
35 - 18K diamond solitaire 1.6ct. ring. Slight yellow color
36 - Silver (830) cuff ring with blue glass stones
37 - Silver (830) cuff ring with red glass stones (some missing)
38 - Early 1900's shell cameo brooch
39 - Late 1800's shell cameo brooch
40 - 10K gold filigree brooch with blue stone
41 - Dish towel scrap
42 - Costume graduated faux pearl necklace with sterling silver clasp
43 - Double strand of faux pearls with pearl & silver clasp
44 - Japanese hand knotted blister pearl necklace with silver clasp
45 - Trifari faux pearl graduated necklace with rhinestone clasp
46 - Faux pearl graduated necklace (yellowed) with 14K white gold clasp
47 - 2 Grey jewelry boxes
48 - Blue jewelry box
49 - Green ring box
50 - Red satin jewelry roll
L
"
Ii:
Continued II
30.001
40.001
1.001
20.001
!
750.001
i
65.001
550.00
200.001
90.00[
3,600.001
I
25.001
2.00
65.00
65.00
20.001
1
1.00
5.00
10.00
250.00
10.00
8.001
1.001
5.00
1.00
5.00
PNCO~251
~
CLAUDE C. WOLFE & ASSOCIATES
^UCTIONLERS & ^I'PR.^ISERS
FAMILl' OWNED SINCE 1912
2009 LINCOLN STREET · CAMP HILL, PA 17011
717-761-2763
Gerber appraisal
Page 3 of 3
APPRAISAL TOTAL $ 9,028.00
This Fair Market Value appraisal is true and correct to the best of my ability as an
auctioneer and appraiser with 35 years experience.
Member: Certified Appraisers Guild of America
CLAUDE C. WOLFE & ASSOCIATES
\ .J.~. 0~ tR"1""'t>-
W. K. "Dusty" Chapman, CAGA
J;>
PNC02252 !
1
CLAUDE C. WOLFE & ASSOCIATES
AUCTIONEERS & APPRAISERS
FAMILY OWNED SINCE /9/2
2009 LINCOLN STREET. CAMP HILL, PA 17011
717-761-2763
April 23, 200
Appraisal for Mildred J. Gerber, Guardianship - PNC Bank
623 Hilltop Road, New Cumberland, P A 17070
ENTRY
Cabinet
LIVING ROOM
.../Ball & claw footed chair -~ ch Jk1U ~d-# V
-z:;Librarv table () .~ ..
'X China closet (top section) .
f Misc. contents of china closet(top section) ;-3
r;. Misc. vases and urns Y3 .
~ Oriental style stands (4-stac~ ~) titd-)lJftJ
/'" Old magazine stand tJ ' - - . - -
. Mother-of-pear~l plaque ~ n.. .,L _ _~.
1- Tile table -' '/~
Gold colored chair
Mother-of-pearl shadow box (old clock box)
fJapanese doll in glass case
. Oriental style blanket chest
A.Pair of mahogany end tables
y. Pair of Oriental figurines
'f Green colored table lamps
Mandolin
Sofa
Round seated Victorian chairs
l Pair of Victorian straight chairs
(}iuuLMiCftL ~J4~
l&iM_. .~J-fI!d1UtW/ ~(~
~/}1tL~ ~~t11~
5.
PNCO~242
.1
CLAUDE C. WOLFE & ASSOCIATES
AUCTIONEERS & APPRAISERS
FAMILY OWNED SiNCE 1912
2009 LINCOLN STREET · CAMP HILL, PA 17011
71 7 - 761 - 2763
Gerber appraisal
Page 2 of 8
LIVING ROOM - cODti~ued
Table lamp
Round mother~fp~l table (broken leg) *,' . 1/1. _ ..h~~'
1; Martha Washington sewing cabinet ('?1U4f.i; U (UUU .7LdI
'~ Ornate low seat~. Oriental chair -41~ .~1 ~u... 1i..;HdJj1 ~
f Oak framed picture tI / 'Ik..I/t.1;11, ~
Misc. contents of living room
KITCHEN
Telephone
Kitchen Aid refrigerator
. Decoratorplate-13" '(.. .~J-f.:. ~~~
f.. 6-Decorator 8" bird moff Pla~tes Fi2J (/1 " ~~ ~ ~~''::':'. .1 '-
If Misc. everyday dishes \ Vo M lit tv ~
~ Utensils ~n ~
LFlatware J ~ (f')
~g::~dropleaf'~ !~ ~1
1- Single drawer cabinet f1t.I/ - ' . (J
~ak pressed-back chair
. inette table and chair
oaster
Clock
Trash can
rDirt Devil carpet sweeper
GARAGE
Sprinkling can
Lawn furniture
Aluminum extensio~ fpdd9I' '- '0-1-1. .' / - 1 11. .(
Oldtrunk- ~~I11.UW ~
Lawn mower
I/-
5.
125.Q
35. '
45,
20. '
10.Q
10.0
10.Q
5.
3. '
5.
5.
20.
7.
30.
..-J _
CLAUDE C. WOLFE & ASSOCIATES
AUCTIONEERS & APPRAISERS
FAMILY OWNED SINCE 1912
2009 LINCOLN STREET · CAMP HILL, PA 17011
717-761-2763
Gerber appraisal
Page 3 of 8
GARAGE - continued
;:. Wooden step ladder
Misc. garden tools
1994 Oldsmobile <<88" Royale 4-door, loaded, 53,000 miles.
Good condition
Misc. contents of garage
DINING ROOM ,t.
:t Oak pressed-back chair --{~ p..} ~~ uj/p./Jr
, Z; Dining room table and sev;n chaf.-s t( '( {
ogany buffet -
RS Prussia partial tea set
German partial tea set
~ Linens ((?; err 1tz.-
tch(top section) /J.. . _ .1
IDecoratorPlate-13 YCr~
. Misc. contents ofhutch(top section) Y? H' 6-
Platter - 18"
f f Drop leaf tea table - ~ fr1:le--!~;/f:fJi(1.A,L
-.:.-...,pair of candelabras'J, J~ ~( --- - 'd
~Sconces ~ r
j'Pedestal stand t; UL-
Deep well frame
f P~al Rosenthal ~cheon~ tea.set'~ df I~.,u);- t'~ //1_
Misc.teaset ~. fU(11
China closet top section with glass d~ ~
'f Misc. contents of china closet(top section} ,~ or If.;..
~ \. / /Oriental style rug
fJ1!! r'" contents of dining roo'; ~ r/lI'/).-
~\-
T
Iii
5. '
10.
5,000. ,
25. .
lO.q
295.Q
100.0
65.
40.
I
i
35.q
40.
30.
60.q
8,9
175.q
35,<)
5.
25.
30.
i
50.~
35.
195.
ISO.
85.
I
PN , 02244
CLAUDE C. WOLFE & ASSOCIATES
AUCTIONEERS & APPRAISERS
FAMILY OWNED SINCE 1912
2009 LINCOLN STREET. CAMP HILL, PA t 70 t 1
717.761.2763
Gerber appraisal
Page 4 of 8
FAMD...Y ROOM
>fSewing table 10.
Inlaid picture 25.
Hummel picture plaque 5. .
11!;, Floor lamp 8. .
rfr2 Old religious pictures 40.QO
ftGreen cabinets .
i)Misc. figurines -I fo -tYi{'2-
~Brass table lamp
Green chair
tBrown chair with ottoman
~arble top stand - 14.5 x 19.5 .
~sh seated Windsor chair .
~~helfunits -~ H-:-'~ \ ff--ffl./;~LJ.~ /dL/rJ
JP:ast pot '""- ~ A O~1AJ i/)1U-W4 11{ vv-'V?J l/~
3 Glass fish fi~nesvw ~-
2 Wooden African statues
Misc. books
2 Toby mugs
i- Flowered wing back chair
f'tOil painting ofMt. Fuji- ~U--
Sony portable TV
~ound marble top table
/I}fisc. plants ,~Yt<Jl-W'i?
.>(fKneehole desk and chair - poor condition - J1f,M/t . () .
) Misc. contents offamily room tf?1JiI/'J.--
v
PNCO 45
_ ...J
..
CLAUDE C. WOLFE & ASSOCIATES
AUCTIONEERS & APPRAISERS
FAMILY OWNED SINCE 1912
2009 LINCOLN STREET. CAMP HIll, PA 17011
717-761-2763
Gerber appraisal
Page 5 of 8
FRONT BEDROOM
4-Drawer file cabinet
i: Oval antique picture
)GMarble top bed stand - 'r;ttrw(J}. Cjf1HLR-7Yf..il--
Pair of boudoir lamps {I
Alarm clock
(washstand -~~7fkU-~
Hand made quilt . _ i. I . /; YJs
t Camel back trunk - broken 91.L~~%lL-1.1J1~--tL/fU'
Ru~h seated Windsor chair - broken \ 14 '}~'!I: f!tl-
, While stand ~/ ~
'fBath chair
Trash can
Wall mirror
Oakchestofdraw,~, !t'IIl_~k y}U~ ~~:tf n.A~
P Drawer stand- (fa/f IVU{,A.U ,. - - . - !) vtf~ -..~ -
Panasonic radio .
tBassinet ~
1926 picture - 25"
Modem art picture ....
.:::fJ:mall Oriental rugs-
Misc. contents of bedroom
I
.~
~ECOND BAm
Scales
2rash can
~ ;)tool
Misc. contents of bath
I(
PN 02~46
,
i
___" __ "__ __-1
CLAUDE C. WOLFE & ASSOCIATES
II
I[
AUCTlONEERS & APPRA!SERS
FAMILY OWNED SfNCE 19/2
2009 LINCOLN STREET. CAMP HIll, PA 17011
717-761-2763
Gerber appraisal
Page 6 of 8
MASTER B.F;DROOM
hlonde dresser and chest of drawers J/t(p1f.i ~~~
Deep well frame -g' ---
~isc. costume jewelry V::!>
~ple dresser top and mirror
.>frPair of twin Maple beds - poor condition
~tique 2-drawer stand - poor condition
Sony remote telephone
Wall hanging , c:
#' 2 Black straight chairs _ ~'Vf,U-l 'tV'f 1 .
2 Victorian side chairs
125.
20.
5.
85.
20.
Trash basket
Misc. contents of bedroom
I.Q
25.0
END BEDROOM
Metal cabinet
Jf.r: Gold colored chair -
~lant top desk ~ I'
akbox -- ~
, Victorian straight c:J
Telephone
~ewing machine
Misc. Oriental carpets
lJ Double size poster bed(head board only)
"1" Night stand
~tique I-drawer stand
rfut~d stand
~Cane seated chair
4-Drawer chest
ptMisc. costume jewelry \0
11'ttCl
~jft:J:::LWbf--
7
L
1.
30.
35.
,
15.
'-
PNCO 41
CLAUDE C. WOLFE & ASSOCIATES
AUCTIONEERS & APPRAISERS
FAMILY OWNED SINCE 1912
2009 LINCOLN STREET · CAMP Hill, PA 17011
717-761-2763
Gerber appraisal
Page 7 of 8
END BEDROOM - continued
Floor lamp
Trash can l/J 1/
tJ: Misc. contents of bedroom ~ ()I ~
MIDDLE BEDROOM
Clothes rack
Plain cabinet
Single bed
f Cane seated Victorian side chair
Beveled Oak wall mirror) -- /4~ _
)1U11b I' //U
~3-Drawer dresser - broken '.:r
Hand made quilt ~ II J J ;, I _ /J.. t- r J..", il
Misc. rugs- IJn(UA/~'f~ UPf/41f/ltfUf4 I~
Misc. contents of bedroom 0
MAIN BATHROOM
Misc. contents
OPPOSITE END BEDROOM
Dresser
Oak pressed back chair
?t-Cane seated chair
ReA TV -old .
~ning room table ~
2 Ironing boards
afElectric iron '
C'I Oak wall cabinet -~
, Misc. sewing notions _ J./. L. . L~ ~ . ~ -
-ft' Eureka upright vacuum Cl~ T ~o' If."1i / M.vt--
Misc. contents of bedroom -- /fl~~
,It/?
8.0
1.0
25.0
10.
25.
20.
30.
60.
so.
CLAUDE C. WOLFE & ASSOCIATES
AUCTIONEERS & APPRAISERS
FAMILY OWNED SINCE 1912
2009 LINCOLN STREET · CAMP HILL. PA 17011
717-761.2763
Gerber appraisal
Page 8 of 8
HALL CLOSET
I
APPRAISAL TOTAL $ 11,841J
Misc. linens
BASEMENT
'fPorcelain top table y' I
Misc. Christmas decorations :? (J-( J-
Misc. old chairs r u~ . " -
rfJ Misc. trunks "- nt0r1 ~
Misc. hand tools U
f 4 Wooden tennis rackets
Copper wash boiler
Maytag washer and dryer
Old GE clock
Dehumidifier
GE Tank style vacUum cleaner
.....trMisc. trunks .- L A1rlAI #~
./T". Exercise bicycle 'fHk1lL?J""'; T.......
~oP leaf dining room table - poor condition
Picture frame
Electric fans
Oak desk chair
Misc. contents of basement
This appraisal is true and correct to the best of my ability as an auctioneer and appraiStt
with 35 years experience.
Member: Certified Appraisers Guild of America
(:'\ r\
,) ,i \;:;.~t\ CK ~T"~-
W. K. "Dusty" Chapman, CAGA
AI
PNC02249
Wl.RR!~B~.~G ~~@r-'}:M~~ co.
(.~~:;;..~= \li.. ~!'i~P~~~~~'t"'g iZ~{ .~rP~~f1.'~l f~~i{;d
~.:f:~~%1:\~ ~~{~~t~;i~;i~'f llt~~ij,1$~;'Et~~
HiS lJ'..MONT ST1'\EE"
NEW CUMaERLAND, PA. 11f110
PHONE: 717m4-7635
Received tor the Account 01 Mildred J. Gerber: c/o PNC
whose latest known address is 653 Hill Top Dr., New Cumberland. Pa.
the tolJOl/ling goods and chattels enumerated and described in schedule below, in c.ondihon
described herein,to be stored at warehouse at J.65 Lamont St., New Cumberland, Pa.
upon the T&rms and Conditions on the bacK of this Receipt.
Rate 01 Storage per Month or fraction thereof Cartage
Warehouse Labor Other PacKing
~ ~
NON-NEGOTIABLe'WAREHOUSF.
RECEIPT AND INVENTORY
Date of Issue -,Jet. 1, 2002
Lot No. 530.5 i No. ot Pages _
~_AAO~24-vel16W
Wt. of HHG --.J..----------
Wt. of BOOKS
TOTAL WEIGHT
Basic Agreement No. _+_______
Service Order No.
GEO. 'lV, WEAVER II SONS, iNC.
DE$C"IPTIVE SYM80LS
13M1 . 8l.ACI( 1i. WH.llE T>J 080 - OI5.o\SSEM'BLEO BV OWNEfl I
C _ COLDA TV P6 . PROFESStONAl.. eo<>>o;.$
C" - CARRIER PACK!:/) PE . PROFESSIONAl.. EQUIPMENT
PflO . PACKEP tt" OWNER PP . PROFESSION....l.. PAPeRS
co . CAARIE:R OISASSEMBL.E:O l.lCU - MECHANICAl. C;ONOlTION
SW - ~"TAfT(;H WRAPPED UNKNOWN .
EXCEPTION SYMBOLS
L9cAnON SYMBOLS
11. ARM I II. Hlmlt IS. SEAT
2. BOTTOM 'I 9. SIDE" Ill. DRAWEFl
], CORNER la. TO(> 11. ooon
4, FRONT 11,VENE.eR 10, SHELl'
5. L~FT 12_ EtlGE \8. HAROW"HE
6, LEGS , 3 CENTER
7_ REAR U INSJOI::
tiE. tlENT
BA . BFlOI<EN
au . eURNEO
CH - CHIPPED
CU - CONTENTS
" CONDITION UNKNOWN
D. DENTE.IJ
f- FADED
G GOUGED
L. LOOSE
.\II . MARRED
lVIl.MILoeW
MO. MOll1fA"fEN
P . pEELINQ
A. AUBI:1ED
RU. RUS'\'tO
SC . SCR,o.TOiEO
SH - SHOF'lT
SO. SOILED
5f - STAINED
5. STAa("..HEO
T. TORN
W. BAl)(..'( WCRt-4
l. - CRACKED
HOT'I: THE OMISSION of rHESI! SYMBOLS INDICATES GOOD CONOITIOH ..xCEPT FOR NORMA... WIiAR.
ITEM NO. CR. REF.
..___ ___._______ CONDITIO:::.l.__________
I
~---_._---+------_._-
ARTICLE
1
2
3
-~
5
6
7
-----------.-
.__.._-~._. ---------------.---- ._- --.-.--------
.._...___~__ _..____ _b....L.____._.__.______._._____._____...._.. -'--'-
--.-..-Q... ----.
1.____
2
3
4
-_.~.
._._..JL _____
7
8 i
--.-.-+-..
__.____.!:!. 1____....-.--
c.'N.
~----
u-----.-----------t-.-.-...-.-----..-
~~____._._______.l___..________
~Ol"ol.""'"
----.----,----------.-
._-1........-____.__._
.. _~-..- .._____._______n_.____._._._._._.._... .____.
____ :":1Q..'-.~-.~~-----.--.._-----
___.____________.._..______._._____..___..__..__.f_~~---.--.-- .-..-..--.---. ..f-....-
--===--=-~===_=~=~~_-.~~~:=_~...~:...-...~~::_f~::~_~=~=:-=~=...=:-.~--
_::L.2...._.______ ..
1
.----- ----
---~-
__.3
4
-"-- '"---~--
5
-_._--_..-~--'I .
_~!. _.___..__.___,____.__._.,__..+ __.__._.~_____________.._...__.__...._...___..___"__..~"_ ____ no"'_,_ ----.,-.---~-.- -.-., .,--.- -t---
=-~-=oi~;:I._]""-'\~.f- ~__--==--~,'_..__--m--- .~-- .. ..-1
_ t s" _ .. ..J~~: .:-=-~:=.~~==:=:=:-=-.~----:..:::=..-)
( I rlave checked all the items listed and nurnbered__7..___._ to _ . <....sL- I acknow\edgf~ that the condit'ion 01 (~H~ [Joods at the t;rni of rhe loadi('lg is as '\
indUSiVt:.l Clnd .aCknOW.ledg(~ t.'.'a..t this is a tru.~ and complaw listOf.rt H1egoud$ I noted un ttlis inv6'n'or"Y dnd thall ~H1.'Je f€C€IVod a co~y 61 thi.:::l inventory j'
tenuered and pL. tt18 stute of th~ goods receIved. Owner (j( A~trry(j Age~ign and Date I
Driver -;;;~: __, c<;~ ,_ Dote L~~ \
r-----~/~ ~RDER FO~VERy-"''''-'---''-''--'--'''---T .._- -.- - - DELiVERY' R~~PT : .--,.- -.-.-.----.<"1
KIndly dBlr\lur gouds on this warehouse recellpt to \ Tile undH."S.19ned hCI'eby aCknOWledges. n)8 delivery tnd receipt of ,:ill i
...'.--.--.-.-.------.-'.---'u-.-.....-.-----.----.-.-_-.---.-o--~~-------.. - -..----..------.------- ! \Jfoperty as ((sled and descnbed in thIs waretlollse recer t and/ur any
_"..___..,___._ .__._,__.______~.__.____ __..,___._~. _ _______~.,______. I supp\em~nti:i\ list attached hereto and certifies that the s' me has beef!
In case goods are del,verecl to truckmen other than :he Company's ' r~C~I\lBd 0\\ the al)()VE::'. ~ate in good condition and orde( ~nless o1l18r'Nist;l
TruckS. tlle responsibility ot the Warehouse ceases wtlen goods are ind\cah~0 heroo11 ,n writing. i
delivered to sard truckmen , _ I 1
GO. ods for places where recelpls are customarily rr:.rfused or wherE: flU L I fUlther certlf~' thi::lt all plOperty so delivered IS ownet..~ tJY me and the Said
aUlhorlzed per::,;ol1 IS presenl 10 sign for them. may be lelt at my risk delivery 10 me Includes all property slored by the underSigned except as 1
It goods cannot be delivered in the ordinary way by the stairs or e!evatQf, otherWise indIcated hereon 1ft writIng I J'
I agree to pay tor any and aU extra charges tor hoisting or other necessary 1
~b~r S' d Date. _ _.___ ._____Slgned -.- --- ----...---
a e._____ Igne ______..______ CUSTOMER on A -NT'S SIGNATuRE
CUSTOMER OR AGENT'S SIGNATURE \
_..___._______ _____ "___ ____.________.~_1"NGg226&.--
;-) CUP', q)C'iT 198'01 !.':, r,I~; i ,.,1'_; "'_:' II';. ""0 ~.~I" ':.q f:";J"','_I.>V
u.L.__... ._____.__.___.._____._
S--u.s.llQ.._ ------.--.
+,-"--- ------.---.---...
..'\....~s__._.
t,+" )50.1
\
\ I
..
r~'71 i~:"tll'\:,'l€'liG;,r:'
L~" ~1.1.'
\ 'l'Ieceivedlor the Account 01
~.
NON.~!iG9TI"8~~ ,r"AAEtI~~$f;.
RECEIPT AND'IN'IIENTORY
Date 01 Issue Oct. l. 2002
I
Lot No, 5305 ' No, ot Pages ~
,...,.-~ ~-y~J,.lOW"
WI. ot HHG
WI. of Book~
1'a TOTAL WEIGHT
(
Cartage
P8cking
Basic Agreement N?,
Service Order No,
tor
GEO~;.WElWiRtl~ lN~
",:'i-
iJ"'-
,";i~':':c."
,.t'~~?
Ii:
EXCEPTIO" SYMBOLS
D. DENTED
f- FADED
G - GOOGEO
l.. loose
M '_M,4AAED
MI.MI~
MO . MOlHE/>.TEN
P . PeEl.iNa
ft. R\,.lBBED
flU - R.UST,O
SC . SCRAtCHeD
$H - SHORT.
LOeATlOH SYMBO~'
.SO. SOflED
.ST . - STAINED
S - STRErCHfO
1'-~
Vi,- ftAOli.Y~
Z ~ CRACKeD
1. ARM
2,' B011'()14
3. COflHEA
4. FRONT
6. \iri-
a.tEGS
1..RE;AA
tI.RIOHl
II.SIPE
10. TOP
11. VENEER
12,!OOf
13. CENTER
1 4. INSIOE
15. SEAT
Hi. ONWeR
\1. 000f\
18. SHElF
'8. HAlWWAAf
ARTICLE
CONDITION
~~
PlE.t1"1i9'(~CEIPt:"""
':-"','/"'".~';:':~::.,',--" '., -.:.,\.
The undersigned hereby acknOV'ii~ge";the:dellvery anlt cecelpl of ali"',
property as listed and 8.asC!'~dj,'; this war~hoLlS", recelPti~nd/or lIny ,
sUPl/lementallillllil.lached h~r~to and certlfi8$J~allhe $lllflai'ilas beell< "
re~i~~'\1tl",tIi.allhv8ga!e in, good conditioqan\1 order unlessoIM,wi",
ind~\ed h'.r~~n writing,'" " '
~l rther " profljlrty so deiivered}~;QWned ~hn!land the said
<i$\', ery to U property slored bW)hll.undsrsig'1ed,l>l<cept as,'i"
',0 srMSe jnd n in writing,
on ,
'.;;, In, C,"S8 'ptJds >l[8 dell'f!lritllo lru,*m~ii~lI1lir tbanthil b.omp:'l'i~'s
:~"~.)~8/eSPOn&lbilliY:,0'f't!\e)N,~!l"'9.q$e'Cease~ ,whtln gP,Ods' lr~
'do;ilj~8red 14' {'aidl,ucl<men, '. > ,:'. " " '
, " ,G,*,,!s for p~s where r~~lpl$~'custOll1~~Uy re'us~d.or w~ei" ,no
i' "'.l'uthorw.d person is present to~i~n 'Rrlherrr; I?;tcle'fllt my ,Isk,
"';, '',If,990dS; ~npt,be <leUve"'l;tinfllieflttli, stairs prelevator,
'agree to pay tor any lIOd aU ,",lr~~ or o!J1er rleceS~l!<l
Of. ,"....,. "i!;',"
'Oate Sighli1:l Qate
.: ,~;';i~~?~P7 :"Q/iIf.T:S SI~TUR.
.'-ii\L~,I~r~~~~.I.~~~,~~m~CpARI(W~:;'''''.' rD0611np=, ':i~ 117<tq ~~~1~ "~~.~f'\'"
:}~
t""
Signed
MARR!SDlm~ STli)hA~l'l! co.
~~~].. \.~J~, lJ,f~j!.tlf[~\~'~ 8... ~ ~f~~~..
f{ ;;;-, ici;~~:i~~i .~fU~~$f>'k'i
t./EW CUMBERlAND, PA 17070
PHONE: 7t7m4-7835
Received for IheAccounlof Mildred J. Gerber c/o PNC
whose latest known address is 653 Hill Top Dr. , New Cumberland. Pa.
the following goods and chattels enumerated and described in schedule below, in condition
described herein,IO be stored at warehouse at 165 Lamont St., N.ew Cumbe.rlalld, PU.
upon the Terms and Conditions on the back of this Receipt.
Rate 01 Storage per Month or fraction thereof _Cartage
Warehouse Laber Otfler Packing
'I
NON-NEGOT'ABLIiJ~AREHOUSI;
RECEIPT AND I,VENTORY
Date of Issue
Oct. 1, 2002.
Lot No. 5305 No. of Pages _
MQIl124
~~~~~ yellow
Wt. of HHG .
Wt. of Books --l
TOTAL WEIGHT -t-----
BaSIC Agreement No. ___
Service Order No.
By
for GEe, W. WEAVeR SONS, INO.
DESCRIPTIVE SYM80lS
BIW . aLACK" wHITE TV OBO. DISASSEMBLED BY OWNER
C . COLOR TV PO . PROFESSIONAL 800KS
CP . CARRieR PACKED PE. PROFESSIONAL EOlnPMENT
pea. PACKeD BV OWNER PP - PROFESSIONAL PAPERS
CO - CARRIER olSAsSEMBLED MCU - MECHANK'.....L CONDITION
SW - STRETCH wRAPPED UNKNOWN
EXCEPTION SYMBOLS
Of BENT
8A BAOKEN
au aURNEO
CH CHIPPED
CU . CONTENTS
& CONon ION UNr<NOWN
O.O\:NTe:U
F. fADED
G . GOUGEO
L- LOOSE
M .MARFtt:O
M!.""ltDE'W
MO. MOl'I1EAT'f1'l
p. PEE!..ING
R. RUBBED
RU. RUSTED
sC SCRATCHED
Sl1 . SfiOAT
so. flOILED
5T. STAINED
S . STflETcw~r)
T. TOAN
W. SADLY won,...
l . CRACKED
I LOCATION SYMBOl.S
1. AFWI \8. fliGHT 15. SEAT
2. BOrTON II. ::;l()( \$, O~WER
3, CORNER Ie TO" 17. DOOR
4. FflONT 11. VENtER IO.StfELF
5. LEFT I 12 EDGe 19.1iAROw,t,I.(f,
6. LEGS 11J_CENTER
7. flUoR H.INSIOi.
ITEM NO CR. REF:
NOT.: TH. OMI88ION OF' THESE SYMBOLS 'NDICATES 0000 CONO,TION EXCePt FOR NORMAL WUR.
ARTICLE
'" 1 ?R~G-
~ ___________ cR.~ea-J.j.' v(!lf"- _J.~W.el.(l;I
_: -:-_ 6'~ (~<"--_~ -===~ ~;5~~~,~~~ c , ~~~.~~,f-'"'-e~
6 L., s- ---- -- --------------t------._-----
7 l-
8
._9
::25_
__1.__
___L
3
4" ,------ n... ~<:. __________ ~ ___n__ 1.1(' I <;;r <?.li_~________~-----_-------
=--rr=-~ p~~ ~=~===~==::,=~=~==_~-=-::~-:t=:~=_-~
8 i I
" ::W~_~,r~~~s~~/<.>:~==--.:ii~~~~~-~~~;~~t~
o e:l.,e,J- 'Q w e,s;,
"1----
1-
(--- ----- ----
I t1ave checked aH the items listed and numbered____ to .___
inclusive and acknowledge that this is a true and complete list of the goods
tendered and of the stale of the goods received.
Ortve.r Date
I acknowledge thaI the condition of the goodS at the time f the loading is as
noted on this inventory and that I have received a copy of his invenlory
Owner or Aufh ri gent Sigr no Date.
ORDER FOR DELIVERY
Kindly deliver goods on this warehouse receipt to
DELIVERY RECEIPT
The underSigned hereby acknowledges the delivery and receipt of all
property as listed. and .d.escribe_ d in this wa.rehouse receiP~and/or any
supplemental iist attached hereto and certifies that the s e has been
received on the above date in good conditIOn and order un ass othef'Nis~
Indicated hereon In writing. i
I further certify that all property so delivered is owned bt me and the said
delivery to me includes all property stored by the undersig ed except as
otherwise indicated hereon in writing.
On_
In case goods are delivered to truckmen other than the Company's
Trucks, the responsibility of the Warehouse ceases when goods are
delivered fO said truckmen.
Goods for places where receipts are customarily refused or where no
authorized person is present to sign for them, may be left at my risk.
If goods cannot be delivered in the ordinary way by the stairs or elevator.
I agree to pay for any and all extra charges for hoisting or other necessary
labor.
Dale~____Signed
Date
Signed
CUSTOMER OP: AGfNT'S SIGNATURE
CUSTOMER ORp-;:{C '2~~TURE
'f.' COPYRIG.iT 1989, ~)I11 CIN ;';>Jll""!II-.j(; IN,. : :"q~l M0rnr. PAQ\<:VliIllV \It) \peh\ 'r~1.= _ ~.rJ ~~ 1,4~\ :0;'11' ~,A?_ 'l" .r",
for 3 50-1
Received for the Account of
whose latest known address is
the following goods and chattels enumerated and described in schedule below. .n condition
described herein,to be stored at warehouse at
upon Ihe Terms.and Conditions on the back of this Receipt.
Rate of Storage per Month or fraction thereof Cartage ________
Warehouse labor Other___Packing ___.
By
KA~W\~~UR@ $tO~AGi! eo.
~~~~;a $i.. WC:::~\t[~\:~ l? ,~ON~~., ~1it~,-
iij;~~8i1 ~~~3UtE/ '1T'R.."1!:\'lf)~~~
'i 5!.i U:..lvIONl' Sl'REE-
NEW CUMBERLAND, PA 11070
PHONe 717m4-7835
NON-NEGOTIABL,I WAREH~USE-
RECEIPT AND j~VENTORY .
Date of Issue
lot No.
,
1 No. of Pages __
Consecutive No.
WI. of HHG -1-----.--
Wt. of Books
'I
TOTAL WEIGHT -----1--
Basic Agreement No. I
Service Order No. --t
GEO. W. WEAVER SONS,ING.
for
DESCRIPTIVE SYMBOLS
aM' - ElLAC/( & wHITE TV DBO - DlSASSEM8lED ev OWNER
C - COt.OA TV pe . PROFESSIONAL BOOKS
CP - CAAFlIER PACKED PE - PRQFES$lONAI.. EQUIPMENT
POO - PACKED 6'1' OW\'IEA ~p _ PROFESSIONAL PAPERS
CD - CARRIEA DISASSEMBLED MCU . MECHANICAL CONDITION
SW - SlR~Tc.H WRAPPED UNKNOWN
ITEM NO CR. REF
---t--
_5. --~i~--
__~__l
4
6
7
-----.-
---~-
9
I Q G
1
2
----L _
____1... __
--~
~
7
---~
_Li..~__
1 '
2
3
4
5
6
7
8
9_
2.0
EXCEPTION SYMBOLS
I lOO. ATION SYMBOLS
L A.HM !d'RlCr.HT 15.5f....r
2. ElOTTOM 9.:;1010 If.i.OfIAWEC1
3. CORNEfi HI, TOP If. CUOR
01. f'flOKT n. \lENEEA 18. SHELF
~, lEFT , 11. EOGE 19. HARDWARE
~~ ~ I :~.=~p
6E. ~t:""T
8A . BROKeN
au - S(.lRN.EO
CH . CHIPPED
cu - CONTENTS
.. CONDITION UNKNOWN
D. DENTED
F _ FADEO
G. GOUGeD
L - lOOSE
M. MARRED
Mj.MllDEW
MO MOTI1EATE'"
p. PEEUNG
A - RU88EO
AIJ- f.!USTEO
sC . SCR^TCHE.O
tit-!. SHOAl"
SO. SOII..EO
ST. STAINEO
S. STRETCH EO
"r. TORN
W. BADl.Y WO~lN
l . CRACKED
NOT'h THE OMI5SlOM OF l'K.SE $'1M80Ul 1NOICATES GOOD CONDITION EXCEPT FOR NORMAL WIEAR.
CONDITION
--.-.1----------
;;"Q-~ C-~!L~~ ~ J ,;;e.l- - t---=--=-=----==-
I~V-> ~ ~ -..j~'1...i,...r ~! xJ)/Nc.j,
..::..------------------.--+------
--.-.-.------___._..J______
Dale
ORDER FOR DE ERY
Kindly deliver goods on this warehouse receipt 10
on
In case goods are delivered to rruckmen other than Ihe Company's
Trucks, the responsibility of the Warehouse ceases when goods are
delivered to said truckmen.
Goods for places where receipts are customarily refused or where no
authorized person is present to sign for them, may be left at my risk.
/1 goods cannot be delivered in the ordinary way_ by the stairs or elevator,
) agree to pay for any and aU extra charges tor hoisting or other necessary
labor.
Dale____._____Signed
DELIVERY RECEIPT
The undersigned hereby acKnowledges the delivery an
property as listed and deSCribed in this warehouse receipt
supplemental list allached hereto and certifies that the sa has been
received on the above date in good condition and order unl 55 otherwise
indicated hereon in writing.
I further certity that all property so delivered is owned ~ me and the said
delivery to me includes all property stored by the undersign~d except as
otherwise indicated hereon in writing. I
Date
CUSTOMER OR AGE~S S'G~-
PNC6Zf74
form 350-1
Signed
~lICOpYnlGHr 19~9.'..1I. ;~I" ;''-''~'''''~Jr.; .1>.;," 1."911 t>l(,r"rl PJI.I:"-KI.-../tlV "ll' "";'.'1:11 ,r,; -..v' I, :'.\0, .;~""\ '_ft" <,f,P"
CUSTOMER OR AGENT'S SfGNA11JAE
HA.RRiSBURG ST{'$RACn co.
GEO. W. W~{~W~I'~ i! $Or;'l~~" U~::~.
[;l~fi\,l!r.z ef6S;a~V '\j'~$~i~~
165 V.MONT STAEf.:
NEW CUMBERLAND, PA 17070
PHONE: 7111174-'1S35
NON-NEGOTIABLt: WAREHOUSE
RECEIPT AND IrVENTORY
.1
No, of Pages __I
Date 01 Issue
Lot No.
Consecutive No.
I'
Received lor the Account 01
whose latest known address is
the following goods and chattels enumerated and described in schedule below, in condition
described herein,to be stored at warehouse at
upon the Terms and Conditions on the baCk of this Receipt
Rate of Storage per Month or fraction thereof ____.Cartage ____._____
Warehouse Labor.____ Other__Packing __.__'_'_.__
By __. .__._.________._._Ior
WI. of HHG
WI. of Books
TOTAL WEIGHT ~_______.
Basic Agreement No. II
Service Order No.
GEO. W. WEAVER ~ SO~JS, fWJ.
BE: . aEN1'
BA - BROKEN
BU - BURNED
CH - C\~\PPED
ClJ - CON"tr;:N'TS
& CONDITION UNKNOWN
D- OENlEO
r- FAoeO
G . GOUGEu
L. LOOSE
M . MAAREO
M'-MILDEW
MO . MOTH~HN
P - Pt:ELING
Fl _ flUBBED
RU nUSTEO
sc. SCRATCHED
SH . SHOAT
L.*CATlON SYMBOLS
SO. SOILED 11. AflM a.nIGHT IS ~E.AT
ST - srAINED 2 BOTrOM ~. SLDE 16 DRAWER
So - STRETCHED 3.. COrtNER to. TOl' H. UOOH
r - TOHN 4. fllONT lI. VENEEt-l 16. :;HELF
W. SAOLY WOHN ~. LEFT 12.I:DGE 1!J. HA~OWARt
1. - CAACKl;O 6. lEGS 1:1.. Cl:NTCH
7. REAli 14.INtiIOE
DESCRIPTIVE SYMBOLS
8/W _ BI..JIroCK II. WHITE T\I oao - DISASSEMBLED BV OWNER
C . COLOfl1'J PI! . PROFESSIONAL BOOKS
CP . CARRIER PACK.fiD PE. PROFESSIONAL EQUIPMENT
pao. PACKED BY OWNER PP . PROFESSIONAL PAPERS
CD - CARRIER DISASSEMBLED MCU . MECH....NICAL CONDITION
SW . STRETCI~ WRAPPED UNKNOWN
EXCEPTION SYMBOLS
NOTE: THE OMISStON OF THOI! SYMBOLS INDICATES 0000 CONDITION EXC&PT FOR H()RMAL W"AR.
ITEM NO. I CR. REF
-_._-+-~-_.-
jo?..l
2
T6
Date
""
I acknowledge tllat tile condition 01 the goods al the tirl1~ of the ioading is as
noted on this Inventory and that I have received u copy b1 UllS inventory.
Owner or Auth riz gent Sgn and Date. I
Kindly deliver goods on this warehouse receipt to
The underSigned hereby acknowledges the deliver~ nd receipt of all
property as listed and deSCribed in this warehouse rec$~)t and/or any
supplemental list aTtaCl1ed herero and carlifles Itlat the ,~me has been
received on the above date in good condition and order ,unless ottlelwiso
indIcated hereon in writing. ~
I, further certify that all property so delivered is owns by me and the said
delIVery to me includes an property stored by the under igned except as
otherwise indicated her~onin writing. I
--~_._----------~-----_.,._--~-_..
__________ on~________,____
In case goods are deljvered to truckmen other than the Company's
Trucks, the responSibility of the Warehouse ceases when goods are
delivered to said truckmen.
Goods for places where receipts are customarily refused or where no
authorized person is present to sign for them, mey be left at my risk.
If goods cannot be delivered in the ordinary way by ttie stairs or elevator,
I agree to pay for any and all extra charges for hoisting or other necessary
labor.
Date Signed
Date
Signed
CUSTOMER OR AGENT'S SIGNATURE
CUSTOMER OR ENT'S SIGNATURE
'!;'lCOPYj;jI(;HT ~989.r.~!1 h~N n("~.lllr>.!'; IN," l'lqc: Mnl"{",pj-lJU:lIoiVI/t." 1.0", !.)fl~II(,:~. 'I" ,. J1":'11-"',
F9rm 3501
I
HARR.~$DU~~ ~'V~~~J\GE CO. .
(~~ij'jJ. w. 'ii.1~ii:::,'j,i'~2'I~ l''\ ~l':;'UJ$.. ~~:M.
[;;::l~M mm:S~~Mt '~'~';~i~~j?lZ:t
165 LAMONT STHEE'
NEW CUMBERLAND, PA 1 roll)
PHONE: 717014-7835
NON-NEGd1'IAbL WAflEHOUSE
RECEIPT AND INVENTORY
. Date of Isslle
Lot No.
No. of Pages __
Consecutive No.
Received for the Account of
whose latest known address is
the following goods and chattels enumerated and described in schedule below, in condition
described herein,to be stored at warehouse at ______
upon the Terms and Conditions on the back of this Receipt
Rate of Storage per Month or fraction thereof Cartage ___...._ ________________
Warehouse Lab!)'. Other__Packlng ._____.____.______
~ - ~
Wt. of HHG
WI. of Books
TOTAL WEIGHT
Basic Agreement No.
Service Order No.
DESCRIP1'IVE SYMBOLS
EXCEPTION SYMBOLS
OCATlON SYMBOLS
30. W\t.E.1) 11. AnM
ST - STAINED ~_ l::lQnOM
S. STRETCHED J CO~NEn
r. TORN ~_ FOONT
W. ijAOLV WOHN 5. LEfT
Z . CHACKEIJ Ii, LEGS
1. REAR
8/W DlAGK 4> Wi.1ITE TV
C. COLOR -IV
CI=' . CARAIE~ PAC~fD
peo - PACKED BY OWIVER
CO . CARRIEFl DISASSEMBLED
sw - S1'f~ETCH WRAPPED
DOO . DISASSEMBLED flV OWNEH
PEl. PROFESSIONAl. 80(>>(5
PE. PROFESSIONAL EQUIPMENT
PP . PROFESSIONAL PAPERS
MCU - MECHANICAl.. CONDITION
UNKNOWN
eE . BENT
SA .6AQ;l;EN
eu . BURNED
CH . CHIPPED
CU . CONTENTS
&- CONDITION UNKNOWN
ll- OEN"eo
F'. FADEO
G GOUGED
L - LOOSE
M . MARRED
MI-MllOEW
MO. MOTl-lf.A1EN
p. peELING
R RUBBED
RIJ - RUSTEU
SC, SCRATCHED
SI-( - SHORT
~. RIGI~T
iiI.SIDE
10 "fOP
11. vENEER
12. fDGE
lJ.GENT!;R
H.I"'SIOE
I~. SEAT
la. DAAWEH
17.lJOOR
IIlSI,fLF
l!).I.....RDWAf'lE
Non: THe OMISSION OF THESE SYMBOLS INDICATES GOOD CONDITION EXCIPT FOR NORMAL WEAR.
ITEM NO. CR. REF
ARTICLE
A:1
___2
3
4
5
6
7
8
9
/(, G
1
2
3
4
___.2
6
7
- ---:-r-----
8 i
9
1-+_0
1
2
---~._--
-~r-___~
clrr~~
_L?______
I acknowledge thai the condition of the goods at the '.1e of the loading is as
noted on this inventory and that I have received a cop
Owner 0' orizet1 gent Sign and Date.
Date
DELIVERY RECEIPT
._~
and receipt of aJl I
Ipt and/or any
same has been I
r unle::.ls otherwise \
.______ 0"_____.
In case goods are delivered to tn;ckmen other than the Company's
Trucks, the responsibility of the Warehouse ceases wilen goods are
delivered to said truckmen.
Goods tor places where receipts are customarily refused or where no
authorized person is present to sign for them, may be left at my ris\<..
If goods cannot be delivered in the ordinary way by the stairs or eh;tVator,
I agree to pay for any and all extra charges for hoisting or other necessary
labor:
Date__.____Signed
Hit::.' undemigned hereby acknowledges the deli"vc,.
property as listed and described in this warehouse re
supplelllentallist attached hereto and certifies that th
received on trle above date in good condition and ord
indicated hereon In wTiting.
I further certify that all property so delivered is own d by me and the sald
delivery to me includes all property stored by the und rsigned except as
otherwise indicared hereon In writing.
Date
Signed
CUSTOMER OR
CUSTOMER OR AGENTS SiGNATURE
'!.')COPY8!GHT 198'J A1'1 ;.!rj r'~'!"''',~,'(, Ii,.;' "'ll"J Mf"\Y,"l!'l r:V.;':'<'MAV _11\. .(,:.~'r.' 1':.;:- ,.,~., "'"<i'l ,
"rrn 350.T
II
rU\RmSBU~tflI S'r.~~.U\~~ co.
~~~7tI~ \ili'l 1;1!S~A'(U:~-;{ ,5r, t~~.i~S, u~~t~;.
~';:a1Nr,a f.~~f~~3H~fl '~.~~~~~.~fti:Ji?J
i 65 U'-MONT Snla:
NEW CUMBERLAND, PA 1'1070
PHONE: 717mft..7835
Mildred J. Gerber c/o PNC
653 Hill Top Dr., New Cumberland, Pa.
Received for the Account Ql
whose la\est Known address is
the following goods and chattels enumerated and described in schedule below, in condilion
described herein,to be stored at warehouse at 165 Lamont St., New Cumberland , Pa.
upon the Terms and Conditions on the back of this Receipt
Rate ot Storage per Month or fraction thereof ,_n__,___Cartage _________,___
Warehouse Labor Other__Packing __________
By _.o_ _.______Ior
DESCRlPTJVE SYMBOLS
81W. aLACK oS WHilE lV oeo - O\SASSEMBLED 5'( OWNfR
C . COl.OR TV PB . PROFESSIONAL BOOKS
CP - CARRIER PACI<ED PE - F'AOFEaSIOHAL EOUlPMENT
PBC . PACKED BY OWNER PP - PROfESSIONAL PAPERS
CO . CARRIER DISASSEMBLED MCU . MECHANICAL CONDITION
-aw _ STRE,CH WRAPPEO UNKNOWN
ExcePTION SYMBOLS
ijE.flENT
6R - BROKEN
au - 6URNEO
CH . CHIPPEl)
CU . CONTENTS
a CONomON UNKNOWN
o . DENTED
I'. FAl}EO
U' GOUGED
L. LOOSE
M . MAARt::D
MI.MILOEW
~o MOTliEATEN
p. PEELING
fl. AUU8ED
AU - RUSTED
SC. SCflATCHEO
SH . SHORT
NON-NEGOTIABL WAREHOUSE
RECEIPT AND I VENTORY ,
Date of Issue Oct 2.002
Lol No. 5305 I No. 01 Pages _
~11l.IlIltKlK AAOf9/1-white
Wt, of HHG
WI. of Books _+-~-=_==
TOTAL WEIGHT
Basic Agreement No.
Service Order No.
GEQ. W. WEAVER S(INS, :i'JO.
SO. SOILeD
ST - ST"'INEO
5. 5TAETCtlEIJ
T- TO/'l.N
w. aADL'f WO~N
Z - CRACKED
I L CATION SYMBOLS
1. MIM 6, RlCrH 1$, SEAT
2. 61)TTOM \t. Sloe 16.0AAwtA
J. CORNEA lU TOl'> 11. DOOR
.. fRONT 11, VENEER 1ll.SHELF
5. LEF1 ' 12, fDG!:. l'ii. fiARDWAAf.
t1. LEGS ! lJ.CENTF.R
7. RfAR 14.1N$IOE
-Lk-.
HOT&.: TM_ OMISS.ON 0.. TIO!" SYMBOLS INDICATES GOOD CONDnlON EXCIPT POR NORMAL WEAR.
CONDITION
YL
2
...;L _
4
5
6 C .,.,1...Je.:t-
/1 !---~=-,_J, - ,p--=t~-=
1 __ ,~ ._' ___
2 J . -.-.~--t 1:1-<.\ ~-- . . C____
3 , __________, _____~,,_ ,_.,)./(....; _~! 0 "-L< ~( J?~:r
---~-,,- .? L_______,_ _-,__, ___________r:f:..... --- ~ rs,,___,,_____,___.!:.~ -f------
--- +=~- fr - ~-- ~~~~~~-~~~~t :~~==~=~~;=~f=--:---
?~}k= '~L~9~-~=~~~-:===~- ~s:,-,:;:-~,~t~~->~=
----~-. ,,- ~ --- ---,----- -- -,-,--- -'---- _____Nd!_,....- ~!. ..s "S-,l!., <? .!!..:!-i <2:..2::,1.. __ ,_ ,__ ,,,____,,_
o (' ~/ h ____ ......6.c.
I I acknolJllle.dge that the condition of the goods at Hie tllTlP. 01 the loading Ijsas
I noMd on thiS Inventory and that I hdve lece'...ed a copy 0 tlu.:. Invt..:nl..JIY
Dale,,_________ ;~~~~~dDale ___'~
LIVERY 1 DELIVERY RECEIPT \
Klndly d~livf)l goods on ~hi$ warehouse F"l?ceJpt to r ht:! Url(l€:!rSlglled tlereoy acknowleagf):; the :.1t:llver I 31 d reC~'I)t ut all 1
--.--. .--. ~~---- .--- .---~- -_.-~._-_. ._________n____ .... ___n.. _..,_.__.____ \ ploperly as li~tell ;J.! H1 described in thrs warehouse recslp and/or any
.-..-.---.-...-.---....~.--.-- _.__________n on ...._.._~___,__._.___._.._ ~ supplemental II:)! attaclled h.ereto and certifies that tne ~a ne I'<:\s been
If! cas(j goods ale deHverecl to truckmen other Itlan Hw Company's received on the above date III good condition and order ;J '1;e55 ottlerWlse
TrUCKS the responslbdlly of the Warehouse coases when goods are I indicated hereon in writing. J
delivered to said truckmen
Goods for places where receIpts are custornallly lefu::ied or wt1f.;;He no JI I rUt t~ler curlJly Iha, all property so delivered lS owned y me and tt1e Sal(l
authOrtled person IS present to s\gn for them, may be left at my riSK delIVery 10 me Includes all property stored by the undersl fled except (;1~
If goods cannot be delIVered In the ordmary way by the stairs or elevator otherWIse IndIcated hereon In wfltlng
I agree to pay for any and all extra charges for hOistIng or other necessary
labor Date SI ned
Date______,_,S'gned _ ---,-_ g _ ,__
CUSTOMER OR AGENT'S SIGNATURE CUSTOMER OR AGE T S SIGNATURE
1:l COPV81GHf 19~Cj, ~,4;, nl~.l PPI"IlI'.:n ,,\:( '!.'l1 .Af"'l-,-......I.~ ,~/I::'''''I/l'I.V ,",., ,Pt;. ------- p C02 go-
fOI 350-1
ITEM NO, CR. REf
ARTICLE
, 'r
Received for the Account of
HARmsBOOa STORAGE eo.
~@. WI. \'lfl'!J.\"'{~'\<< & SON$~~~C.
~"~NLi n~~~i~~'l jj'M.NSt;;~G1
165 LAMONT l:.'1'REE'
NEW CUMBERl..ANO. PA 1707'0
PHONE: 717m4-7i35
Mildred J. Gerber c/o PNC
653 Hill Top Dr., New Cumberland, Pa.
whose latest known address is
the following goods and chattels enumerated and described in schedule below, in condition
described herein,to be stored at warehouse at 165 Lamont St., New Cumberland.
upon the Terms and Conditions on the back of this Receipt.
Rate of Storage per Month or fraction thereof
Warehouse Labor Otner
Cartage
Packing
By
DESCRIPTIVE SYMBOLS
UIW - BLACK 50 Wl'lne. TV 080 - OIS"SSEMBloEO 6'( OWNER
C - COLOR TV PB . PROFESSIONAL 8001<5
CP - CAARIfFl PACKEO PE . PROFESSIONAL EQUIPMENT
P8Q - PACKED 81' OWNER pp. PROFl:SSIONAL. PAPeRS
co - CAAFUER OISASSEMI:lLED Mev - MECHANICAL CQNDfTlON
SIN - STf\ETCH wRAPPEO UNKNOWN
EXCEPTION SYMBOLS
BE _BENT
SR . BROKEN
61J . BURNED
CH . CI-lIPPEO
CU . CONTENTS
. CONDITION UNKNOwN
0" DEN1.ED
F - FADeD
G - GOUGED
I.. Loose
M . MARReD
MI-MILoew
1010 - MOTHEAl'EN
P- PEELING
R. RI.l8BED
AU . RUSTED
SC SCRATCHEO
SH - SHORT
NON-NEGOTIABLE! WAREHOUSE
RECEIPT AND I~VENTORY
Date of Issue Oct. llll Jd) 2002
I
Lot No. 5305 I No. of Pages _
"tIIl"""",""",U AA0594-white
I
WI. 01 HHG
WI. of Books
Pa.
TOTAL WEIGHT --t-----
BaSIC Agreement No. I
Service Orde( No. I
tor 050. VI. WEAVER SONS, iZ~C.
so. SOILED
ST - STAINED
5 . STAETCHED
r. TORN
w - BAO\..Y WORN
z. CFiACKEO
I LOPATlON SYMBOLS
1. ARM 8. RIGHT 1 S. SEAT
2. BOnOM a_ SlOE ill. DRAWER
J. ConNiR lU. TOP 11. .JOOR
. F"AONT 11. IIfNEEH 16_ SHEll'
~. Ln, 12. EDGE la, HAROWA.RE
Ii. LEGS l:l. CENTEA
1. REAA 14.INSlOE
1
2
3
4
5
6
7
8
9
'7 ZG
1
2
3
4
5
6
7
a
9
~
NOTa: THE OMISSION Of THESI! SYMBOLS INDICATes GOOD CONDITION I!XCIiP'f 'OR NORMAL WI!AR.
&c
DELIVERY RECEIPT
The l.mder~lgned hereby acknowledgos the delivery at r/3ceipt of aU
property as listed and described in this warehouse rece,p and/or any
S.'lIPPlemental list .anaC.hed 11erelo and certifies that the sa e has been
received on the ab(IVe date In good condition and order u less oHlerwlse
Indicated tlereon lrl writing. i
I further certify that 1.111 pruperty so delivered is owned ~y me c:Hld the.:sald
dehvery to me includes all property stored by the undersigned except as
otherwise indicated hereon in writing.
ARTlCLE
1
2
3
4
5
-- ----
6
7
8
9
21.--0-
Kindly dehver goods on thIS warehouse receipt to
____._____._____.__.____.________.__ or.I_______________
In case goods arB delivered to truckmen other than the Company's
Trucks. lhe responsibility of the Warehouse ceases when goods are
delivered to said truckmen.
Goods for places where receipts are customarily refused or where no
authorized person is present to sign for them, may be le1t at my risk
If goods cannot be delivered in the ordinary way by the stairs or elevator,
I agreo to pay for any and all extra charges for hoisting or other necessary
labor.
Date__Signed
Date_,
CUSTOMER OR AGENT'S SIGNATUFlE
~ CQPY'1IGHT 1989..\Ail '=;11'-1 pr;I~ITNr-.; IN". 12(W ~"(1"o"rv~ PAr:lKlN.l:'" 1-4/l.1 """'61 "-"~ ...,.... l' .,,,.-, ..,~., ~~-l "<11-".
CON DITION
, 'l.
"'"
Signed_
CUSTOMER OR AGE T'S SIGNATURE
02282
For n 350-1
I
I
f(~Z
L~"~
HARAftSBURo. ~'7'J'I!)~.J,~E CO.
@lj!U. '\IV. \~~~;Z.r~ :;.. ~rof~~ ~1l~e.
~;;iJli-~~ :~i!m;,U~~'\{ ~l..r~~~$~~r;~
165 LM10NT STBEI::-
NEW CUMBERLAND, PA 17070
PHONE: 711m4-7&36
Mildred J. Gerber c/o PNC
653 Hill Top Dr., New Cumberland, Pa,
NON-NEGOTIABL.,! WAREHOUSE
RECEIPT AND I~VENTORY .
Date 01 Issue Oc t. ~. 2002
Received for the Account of
whose latest known address is
the 1ollowing goods and chattels enumerated and described in schedule below, in condition
described herein,to be stored at warehouse at 165 LaJllont ST., New Cwnber land, Pa.
upon the Terms and Conditions on the back of this Receipt.
Rale of Storage per Month or fraction thereof ____Carlage _._____~_._
Warehouse Labor Other.____._Packing
lot No. S .~ 0 0; No. of Pages _
~~ AA05f4-~hite
Wl. of HHG
Wt. of Books
TOTAL WEIGHT
Basic Agreement No. ~__
Service Order No. -f------
By _____.
____________________.___._Ior GEO. W. 'I.\1E.t\VER t so~mJ mo.
DESCRIPTIVE SYMBOLS
B/W - alACK & WHITf TV DBO - DlSASSEM8LED BY OWNEA
C . COLOR TV PB . PROFESSIONAL BOOKS
CP. CAIlAJEA PACKED PE . PROfl:;SSIONAL .E~PMErH
pao. PACt<ED 8'( OWNE::A PP. PROfESSIONAL PAPERS
CO. CARRIER DISASSEMBLED MCU - MECHANICAl. CONDITION
Sw . STREfCH WAAPPEn UNKNOWN
L.OCATION SYMBOLS
1;;0. SOtl..ED 1'. ARM I '.. HIGHT l~. !iEAT
ST. STAINED t. BOTTOM 9 Sl~ 16. DRAWER
S - STAfrCIIED J. CORNER 10. TOil l] DOOR
T . TORN <4. FRONT \ 1. VEHEER 16 SHELF
W. RAUL" WORN S. u:n \2. 'tlK.E \~_ HAAOWM1(
Z CHACKED 6 LEGS II J CENIEH
1. REAR H._INSIDE
NOTI!: THI! OMIISION OF THE.. SYM80LS INDICATES GOOD CONDITION eXCEPT POA NOnMAI. WEAR.
EXCEPTION SYMBOLS
bE:: -tsENT
SR - BROKt:N
e.U _ BURNED
CH - GH'PPEO
CU . CONTE:NTS
" COND1TION UNKNOWI~
o. nENTED
F FADED
G . GOUGED
L - LOOSE::
M. MARnEO
M,-WILO<=w
Me . MorkEATEN
P . PEELING
R. RUBBED
AU . RL)STEO
SC - l:lCAATCHC::O
:SH SHORT
ITEM NO. CR REF
7q;-
ARTICLE
CONDITION
. ~-7:l_m- ftf:-~-==-==~~~-- C -.-------
. (::Id (.,I~5 ___
. ------- ---------.--.------t.-----------
--- ~.w~~:$_.~; ;2'1'----=--==--
.. -- $, cO; ;$" /.., \ ~kp: J,}--
,riM. ---------dcL-- ~-n-------~~~~
-~r .;~ ~=--:~~~~~;:~~;:is:=:1~~~
3 -r----- ' ~( ~ A -.-.--------------.-------- If2.J] l~~!3 -- .s:-_~,..L " w ~l-'-'-.x&::.~E'-?-~
...--.---.--.--..-.-.---.--------.-.-
3 j t.?( _______________._m________ II.! ~---. ------
o ~n -o~ro:o:~:~~-o -'~:::cio~f;~;_.~~;:1J~~~i~:-'
-----.8- -- -f~-7-"r-~- - - -- ------r-.~-,.;> (-;7r-~__:-;7J~-c:;;o-;~-----~--~ -- ---.---.-.
-:7~j . - ~/~,L":::' on -. '-,n6:~~':;;~~;'3~~P~;'};o';J~;.
I have <.:heCkE:d all tt1e Items lasted and numoerfdd~~ to ~ I acknowledge that H,e COrt(jltlon of tt1t:~ Qoods at the tml(; of the loading IS aI'
IncILJSIV€; and ackrlJwJedge that thiS IS a true and complete ItS! of the goods [noted on IhJ$ lf1ventory and thai I hdve 19celved a COpy of thIS Il1ventory
tendered a5t-oJ tl1e state of ~'~-,~ceIYcd. -fwner or U rl eli. A t Sign ane Date '.. )
Dnve'-.~/J../r_ Date __. _" ~~ . ______
, ORDER FO~VERY DELIVERY RECEIPT~ . ",
Kindly deliver goods on thiS warehouse receIpt to The underSigned hereby acknowledges the delIvery and receipt of al;
---.--..---------..----.".---.-----~----..-------------~- -.-.---~--..----. p ro.p.B;>,rtY as \iS~ed. and described in this warehouse receiPfand/or any
on.___________ supplernentalllst attached hereto and certihes that the sa ne has been
In caSe goods are delivered to truckmen other than the Company's receIved on the above date in good condition and order u less oUlerwise
Trucks, the responsibility of the Warehouse ceases when goods are indicated hereon In writing.
delivered to said truckmen. 1
Goods for places where receipts are customarily refused or where no I further certify that all property so delivered is owned y me and the said
authorized person is present to sign for them, may be left at my risk. delivery to me includes all property stored by the undersi ned except as
If goods cannot be delivered in the ordinary way by the stairs or elevator, otherwise indicated hereon .n writing.
I agree to pay tor any and aU extra charges for hoisting or other necessary
labor. I
Date Signed CUSTOMER OR AGENT'S SIGNATURE Date Signed CUSTOMER OR AGE T'S SIGNATURE
C02284
=~- g2_
Jr..-c<;-.!!Yl..
rf) COPYA'GHT 19/:19. M:o F-ilN r!lI"I"I"';I:; 1""" ~ ?!'-I~] 1",nTf"\!:'l- .;~PK".NAY jojll' ,POll: 1(:".:': ..,.... , ,./_n I~"" o:;"..~ AI)""
fOr 350.1
...-.:;-n_,_
1i~;;;'
t,j..~
HAmtl~DUROl S'!f~i-,~aE co.
Grs:~'). W. W'ii:AV~'fi! t'A ;;l>J~~~" ~!liC.
:;>~&-!liil !~rI:~;;;HQr'l "I:'~~~'~S~::ftff~
165 LAMONT STB'EF.
NEW CUMBERlAND, PA 17070
PHONE:.717m4-7835
~ildred J. Gerber c/o PNC
653 Hill Top Dr., New Cumberland, Fa.
Received tor the Account of
whose latest known address is
the following goods and chattels enumerated and described in schedule below, In condition
d;scrioed herein,to be stored at warehouse at 165 Lamont ST., New Cumberland, Pa.
upon the Terms and Conditions on the back of this Receipt.
Rate of Storage per Month or fraction thereof ______Cartage
Warehouse Labor Other__Packing .__________
By _________
DESCRIPTIVE SYMBOLS
B/W - lU.AC'-: $ WHITE T\' 1160. DISAS~EMBLfD BY OWNER
C . COLOR TV PQ - PROFeSSIONAL BOOKS
CP. CARRIEFl PACKED PE' PAOF!::SSIO~AL. EOO1PMENT
PBa . PACKED BY OWNER PP . PROFESSIONAl.. PAPERS
CD . CARFllER DI:iASSfM5LEO MCU . MECHANICJ..L CONDITION
SW . STRETCH WRAf>PEO UNKNOWN
EXCEPT\OH SYMBOLS.
~.aEN-1
BR .fjAOI<f.N
au _ BURNED
CH _ CHIPPED
CU . CONTENTS
& CONDITION UNKNOWN
I) . DENieD
F' F....OEO
G GOUGED
l. LOOSE
M - MM1RI;O
MI.Mll.QfW
MO "MOTHE.ATEN
P PEELING
H - AUBBEL:l
RU . RUSTED
sc" scriATCI-iEO
SH - SHORT
NON-NEGO'tIABLEI WAREHOUSE
RECEIPT AND INVENTORY .
I
Date of Issue OCt.! 1, 2002
Lot No. 5305 No. of Pages __
C3l'lll1l1X:ll~ ~0194-white
WI. of HHG ___---1--
WI. of Books I
TOTAL WEIGHT __~._________
Basic Agreement No. _~____
!
Service Order No. _-L-._~_____
I
for
GEO. W. WElI'..'f.A
SOl~J, ~AiC;.
LO
so" SOli,.Eo I '- ARt~
5r. STAINED ~. eoTTQM
S "STRF."rCH€O J. CORNEH
l - lORN .4, "'RaNT
W. BADLV WOAN 5. LEFl
Z > CRACKED 6. lEGS
1. HEAR
ATION SYMBOl.S
II. fliGHT
9. SIOli
10 rof'
11, VENf.EH
12.EOGE
13.C(NT(f'l
1~_ tN::i'l)f
IS,foE.lfl"
IQ. DRAWt;A
11_ DOCA
.a, SHelF
,\1. H^~OWAl-1E
ARTICLE
NOTE: TH. OMISSION OF THESE SYMBOLS INDICATES GOOD CONDITION EXCEPT "OR NURMA,L WEAR.
CONDITION
ITEM NO. CR. REF
cJ~ 1
2 ,^ MJ-. .-- f----=
3 (Iv ./-~_"'--_____ . _____C ~.__
4 ____________.h ''''-L!2y.> {/-"/?~ '-I..R.:d2 -'.9L~3.2- - .. <;,_,-:,~_c--;;, =__
5 -----~-- I( ;.I,!-I"7~--_:_---'---~'. ___..c~____
~ .--------1~ /C7!~~..2L~ (0--~~~~-;~
--: ~l :~==-==---==. ~.--f~~_ :i~j;~~ ~:~-=~ ..j-~_ -J. ....
./L_Q._____ ~L_____ --------- ----------t-.- ----,...-------------4----- -7--
__.1.._____ .-vi :LO:L_____________ __________.JJI:-L_ _ -:S...f,-,,::~~_ __ ______________ ..:::#__ ___C~ _
__ 2___ ~________________ ____ _ __ _ __ __ _--;_ ________ {Q _ (2 ~_{! _D_ :-.Sl;l':-1~..c2.0~2_~.sr.A'.HX::2~.tJF'-~.
--.-;- ..,---.--- -,..
-.---~----.- ~----.-__===~_~=:==__=:-==:==_~__.=:~= -.-::;;;e~_!. J I ;.~~ :!f;:'~~'l(~ r~i~e?-=~:---=~
3
4
_~-------------- - _____~~-_~~~k-_:_-l!~!E/:=:=:~:~:~ ~ ~-_-.=:=~=~:--=::
:~- t---___ ___ . _ =_=1--: d~_'---~-~=~~~:-t~__~.
o do ~~ j-LJ _ ............
I have checked all the ilems listed and numbered 10 ~ i acknowledge that the condition of the goods a~~ ot the loading is as
tncluSIlIt~ and acknowledge that thiS IS a true and complete list of the goods tOO""""" ~"." "," .., , "'~ ,,~"OO """" 1 ,." "'~"."
tendered and 01 slate of the goo S recelvel! Owner or ~th rlzed Ag t Sign and Date
Driver --;tJ? ~_' __ c ?_ Date ~( ~.
RDER FOR DELlV Y DELIVERY RECEIPT
Kindly deliver goods on thiS warehouse receipt to The underSigned hereby acknowledges the detlvelY and receipt of all
_.___________________.______._________ property as listed and described In thiS w.arehouse recer~t and/or any
on_ supplemental list altactled hereto and certifies that the s me has been
In case goods are delivered to truckmen other than U\e'Company's received on the above date in good condition and order nless otherwise
Trucks, the responsibility of the Warehouse ceases when goods. are indicated hereon in writing. ' I
delivered. to said truckmen. t
Goods tor places where receipts are custornanly refused or where no I furl. her C8.rtifY that all property. ~o delivered is owned y me and the. said
aut~lorized person is present 10 sign for tnem, may be left at my risk. delivery to me includes all properly stored by the underSl ned except as
If goods cannot be delivered in the ordinary way by the stairs or elevator, otherWIse indicated hereon in writing.
I agree to pay lor any and all extra charges for hoisting or other necessary
labor.
Date Signed -!----,.-
Date Signed CUSTOMER OR AGENT'S SIGNATURE ,- CUSTOMER OR AO,NT'S SI_G.NATUAE
86
C' COPYRIGHTI9B9. ~~Jr f~ll" pnl"-' \ I~J(; ''\1(' . "t,)(J f.A!'lT('Q ;"\,AnKWl.V .-' "'ll.1~l>1 '(;" ~,.~ , , .;~,., ;f',"l,' f.;1l.' _1"1"1'
FOr 35(l-1
HARR~_URQ $'fO~t"QE CO.
~liO. w. W~t:.~iil%,(<l f.. t40~~$, ~~j~~~
*,,;.sW~ t!!!k'3H~"l..r "f~~,!ii$~g:f!
t65 LAMONT STREt:
NEW CUMBERLAND. PA 11070
PHONE: 717m4-7835
Mildred J. Gerber clo PNC
653 Hill Top Dr., New Cumberland, Pa.
NON-NEGOTIABL~ ~;'~"HOUSIi;-
RECEIPT AND INVENTO~Y
Date of Issue Oct. Ijll 2002
Lot No. 530')
, No. of Pages __
~~ AA05'94-white
Wt. of HHG
Received for the Account of
whose .atest known addNl~s is
the following goods and chattels enumerated and described in schedule below, in condition
described herein,to be stored at warehouse at 165 Lamont St. , New Cumberland,
upon the Terms and Conditions on the back of this Receipt.
Rate of Storage per Month or fraction thereof ___
Warehouse Labor
i--
Wi. of Books __--+___ ___'__
,
TOTAL WEIGHT '
----r------
Basic Agreement No. ~____
Pa.
.Cartage _______.____
Service Order No. __1--.____
I
GEO. W. VJEiWEI1 & SONS, ~l4.c.
Other
Packing
.________for
By .___...______
EXCEPTION SYMBOLS
lO AllON SVM80lS
50. SOILED 11. 1,1'11.1 0. RIGHT IS. Sl::AT
$T. STAINEO 2. aonOM 9. SlOt: 16.lJRAWf.R
S - :STFlETCHEO J. CORNEA 10. fOI" 1'- DOOR
r - TORN 4. FRONT II. vJ:NE;Ef1, 111. SHELF
W. BADLY WQf4,.. ~. LEFT 1'2.. EDGE 19. HAROWARi
1. . CR.A.CKED 6. LEGS , 3. CfNTEFI
7. REAl'! 14.INSIOE
DESCRIPTIVE SYMBOLS
&/W. BLACK l WHlT€ T"v oeo - OIS...$SEM6l.l:.0 6'1' OWNi;R
C _ COLOR lV 1"8 . PROFESSIONAL BOOKS
C~ . CARR1E~ PACKED PE. PROfeSSIONAL EQU'PMENT"
peo . PACKED 9'f OWNER PP . PP.OFESS\ONAl. P''''PEAS
CO CA~AlC:R CHSASsEM8LED MCU . MECHANICAL CONDITION
Sw . STI'lETCl1 WRAPPED UNKNOWN
~1
L._
3
4
5
6
7
8
9
2_0
1
2
~.
4
5
6
7
8
9
_-9
1
2
3
4
5
.E-
7
8 _______._
----~~~=~~_. ---.-
o
I have checked all the items listed and numbered~ to _~
inclusive and acknowledge that this is a. true and complete list of the goods
tendered and of the state of the ds received.
Driver ~:-/
_e';___~-
on_______
In case goodS are delivered to truckmen other than the Company's
Trucks, the responsibility of the Warehouse ceaseS when goods are
deli....ered to said truckmen.
Goods for places where receipts are customarily refused or where no
authorized person is present to sign for them, may be left at my risk.
If goodS cannot be delivered in the ordinary way by the stairs or elevalor,
I agree to pay for any and all extra charges lor hoisting or other necessary
labor.
Date Signed
ITEM NO. CR. REF.
BE . BENT
SR . BROKEN
au . BURNED
CH . CHIPPED
cu . CONTENTS
& CONDITION UNKNOWN
o - DENTED
F. FADED
G - GOUGED
L - lOOSE
M - MARAED
MI -MILDEW
MO . MQTHEATEN
p. PERINO
R. R\J8BECl
flU Ao:neo
SC _ SCllATC:;HEO
SH _ StlOHT
NOTE: THE OMISSION 0" THESE SYMBOLS tNOICATES GOOO CONDITION EXCEPT fOR NORMAL WIiAR.
CONDITIO~
r(J2..l-,J.-'~-!L~---~--.----------_.-
--~--~~~~~ ~ F~ ~-~~~
q_~=~--==~~______ ____ _ _~G,I( (),J>.. :'_______ ____ ________
________ .Y___.t:L.{~=_!It) ~~_______ _____ .____ -
I P,~ AS! Jo~_~",!,{~ __
!
ARTICLE
5Cr.........,
-----.---..------------- ------.--.-.-......-------.------.---.-1---------.--
-=:====---=========~==~-=-~~~-
---.--.-------------------t.-.--- -----.-------
_>.__._.'__ ____.n._________t_.n.__..__.._____
-.~-===~-.-==-~====-:---t=:=:=-.~=~-~
----.------.----.-...----.-----.T---.-.--.----...-
~-----~=~ ~=- ~::~~~~:~::::~~=~~~;_t~= :~~:
~---.------~-- ---- ---------------.-----.
=--=_=-===--------1---==---
t---==-==
--_._---_._--~----_._--
.-----r
I acknowledge that the condition of the goods at the tim 01 the loading is as
noted on this inv tory and that I have received a copy f this inventory.
Owner or Au I d Age Sign and Date.
Date
DELIVERY RECEIPT
The underSigned hereby acknowledges the delivery tnd receipt of all
prope. rly as listed' and described in this warehouse recel t and/or any
supplemental list attached hereto and certifies that the s me has been
received on the above date in good condition and order unless otherwise
indicated hereon in writing.
I further certify that all property so delivered is own by me and the said
delivery to me includes all property stored by the under igned except as
otherwise indicated hereon in writing,
Dale
Signed
CUSTOMER OR AGENT'S 5lGNArURE
("; COPY~lIGHT 1909. r.~11 riif'l PFlIMnNr":: IN(:. '~9'l r.A;'rr\q al'\r~K''''.-.v 1-1,.1 ;C>:->f'llr." ',V l' .,.,(,
i
F<l'm 350-'1
HARIR]S9UR~ 3T(:\'~:;/,@2 C~. .
.GmOa \:ti., .tMf~!~~:'~h:z!~ ~1 ~~~N~3, ~l'J{~'1I
~.-~Hril t;~r;:ft~~"~~I'! .t!.'Utj.1SlF~~
165 LAMONT STREit;
NEW CUMBERLAND, PA 17070
PHONE: 717m4-7836
AeceivedlortheAccountof Mildred J. Gerber c/o PNC
whose latest known address is 653 Hill Top Dr.. New Cumber laud, Pa.
the follOWing goods and chattels enumerated and described in sctJedule below, in condition
described herein,to be stored at warehouse at 165 ~llm~nt St., New Cumberland, Pa.
upon the Terms and Conditions on the back of this Receipt.
Rale of Storage per MonltJ or fraclion ttJereof .____.____________Gartage ___.__.__________~_
Warehouse Labor._______~___Other _.____..__Packing ___~______,____._
for
NON-NECOTIABLEI WARE!HOUS~
RECEIPT AND .ftVENTORY
Date of Issue Oc. t i 1.. 2002
!
Lot No. 5305 ;! No. of Pages ____
~~~94-WhitE:
Wt. of HHG ----H----------------
"
Wt. of Books ------4------
:::::::: ~J= _ ~-- _~
t~r.:O. tit. Vi.'F}.NE.~~~m;sJ ;j{C.
-<
By ___________
~l a;..r;?a';;"
~ \~:.......,
EXCEPTION SYMBOLS
DESCRIPTIVE SYMBOLS
bI'N . aLACK /I. WHITf. TV DBO. DISASSEMBLED BY OWNf.A
C ;:;:Ql.OH"TV P6 - PROfESSIONAL BOOlUi
CP . CARRIER PACKED p~ - PROFESSIONAL t:QUIPMENT
PBO . PAeKE(l av OWNER pp. PROFESSION....L P....PEAS
CD _ CIIRRIE~ DlSASS.EM8LI!O Meu - MECHAN.C....l CONDITION
sw _ STRETCH WA....I1PEO UNKNOWN
ITEM NO CR. REF
8e: \:l.E.N\
6Ft . SHOKEN
au . BURNED
CH . CHIPPED
CU - CONTENTS
... CONOITIUN UNKNOWI~
o - OEtHED
r;. FADED
Ci - GOUGED
L. LOO~E
M ~flAED
MI-MIL'.JEW
1100 -MOTI-\EATEN
p. PEELNG
H. nUBBEO
RU _ HUS-T(O
SC ' SCRATCHED
SH. SHO~I.'
~o - SOllEu
SoT. STAINED
S - STAHCHED
T. TOr\N
W - BADLY WOHN
t. . CAACKEO
CATION SYMBOLS
BRlCH'
9 SIDf.
10 rep
11. "ENEF..~
II.. EDGE
lJ.CENTEH
14.1~SlOf
15,5....1
1~, DRAWHI
l't. ODOR
l~. SHELF
1 [I, HAROWA.rl:
? .::.1..-________________c.5.______
NOTE: THE OMISSION Of THESE SYMBOLS INDICATES GOOD CONDITION EXCEPT FOR NORMAL W&AR.
ARTICLE
._~..__._-
, ::.&.____.__.._____.___________C
.so -~~-!S-::...(D--..-P ~_e ~_
, -.i!J..,--:L~ ;>- {;r - /.l IN
"t., ~..:f? w _d~e-- 3 -- /' -
-0!..c.~~~~
'~ ~~.C!~' &: c~.L:f~
~~..II;~-
/0 ~~~_________
A -,-
F""'~.~_______.___.,_._____.______~______
1+,,10 ~
I.. I
_~\R ,or\"
___I..~ _ 6pJ () t'< ~
r-- ,
--~_:=-===-=~~M=.
C'
-<
~"'"'-.e__s.-:: 4- ~-
I furfher certify that all propert~ so delivered is OW by me and the said
delivery to me includes all proper\y stored by the und signed except as
otherwise indicated hereon in writing.
Date___Signed
or; COPYRIGHT 1989. ~~'I H;t~ prU"'ITI~"'\ Il~I' 1 ~q'l ~11()"n'-' I"A~jC'JI"'" ...,\1 :'-J~..111 \~. ~r~ , ".,'1 .~~'\' ""....","'.,',
CUSTOMER OR AGENT'S SIGNATURE
....3:._1.
..1__
3
4
5
6
7
8
9
_is..
1
__2
--~
4
5
6
7
-~--
9
o
1
2
3 w",~1.... -kl-.,
___~ ____ ~::-):c.J'~ _.u._.______~==~~-__ LfFc~:~..Jl~.=__ __ r~_==~
__~_ ____ ~_______________________.____ .~d_...e:~;.-.!.-'::':!J~-2:-----.-------.--
L_____ tl~~_______________________.___. 'L<!.l-_~--<::'=!!.:L~--------- --------------------
_nJL,.____Jr~.t,.._______.__________________._ ___' .____ .\!~.y._~_ ~_(L~.uQA....__.____._
_______.~U_____L~__________________ _n___ ...... ___. ~'t-~-(2~!L~----.----n--m--- m___
{, 0 ..." I . _ I VG4-y ..,;ec. II a~-. .J
I have checked all :h~ Items listed a~d o\.Jmberedh$t-_ to __k~ ~Cknowle~g~ U1Clt the condition of the gOO?S at the t r Ie of Uw loading is as "\
Inclu~.>I'oIe- and acknowledge 1I"1at Ulis IS a true and complete list ot the gOUG:3 [I noted on tt'IS IIlVpn10ry and that 1 haYI:l receIved Cl COI of t~,is Illvontory.
tencJeced and 01. estate 01 the goods recelvod. ow;~onzed ent Slgl1 and Dafe
Dnver .0 _. 'Date ____ _
DELIVERY RECEIPT -.-------<
Kindly deliver goods on this waretlOuse receipt [0 1 hE' und€.!rsIQI\8d hereby acknowledges the deliver and receipt of ail
.__.____.___________________._.__.____. I property as h~ted and descnbed In thiS warehousii re ipt and/or any
___________ on___________ supplernentallist attached hereto ano certifies that th -ame 11a$ been
In case goods are delivered to truckmen other than the Company's received on H1c abuve date in good condition and ord unless otherwise
Trucks, the responsibility of the Warehouse ceases when goods are indicated hereon in writing.
delivered to said truckmen.
Goods for places wtlere receipts are customarily refused or where no
authorized person is present to sign for them, may be left al my risk.
I( goods cannot be delivered in the ordinary way by ttJe stairs or elevator.
I agree to pay for any and all extra charges for hoisting or other necessary
labor.
Date_____Signed
CUSTOMEpN 02290IG::=J
, rrn 350-1
Received for the Account of
HARRmBURG $'iOrts;,~E Cf:l,
G~~Olt. 'fiJV~ W~;~V:~,~'~~ ~~~ f't~;.}~~) ~~elt
E"'';'''I~''v .-"""il'-,,1'-!~.~l.r"'." 'jj"'~ol "';',~.5~;1:!:-1;,;;
w'K..:.::iIi'iln Ini!t<.i:i~Il"Ji~ ..:lIl~~.~..._.. ~';I'OI~
165 LAMONT STRE.~:.
NEW CUMBEftLANO, PA 17070
PHONE: 717m<J.7835
Mildred J. Gerber c/o PNC
653 Hill Top Dr., New Cumberland, Pa.
whose latest known address is
the following goods and chattels enumerated and described in schedule beiow. in condition
described tlerein.to be stored at warehouse at _165 Lamo~~!"'-~.2-.!i~!,._~umberland~_~~~
upon the Terms and Conditions on the back of this Receipt.
Rate of Storage per Month or fraction tllereof ___________Carlage
Warehouse Labor ___________.____..__Oltler___________._.Packing
By
DESCRIPTIVE SYMBOLS
EIJW - fl.LACK S WHITE rv 060 . DISASSEMBLED BY OWNfl~ I
C - COLOA TV P!3 . p~OfeSSION"L 800KS
CP . CARRIEfl PACKED PE - PROFUSIONAl... eQUIPMeNT
PBO . PACKED BY OWNER "P . PROFESSIONAl. PAPERS
CO. CARRIER OISASSEM8L[O Mev. MECHANICAL. CONDITION
sw - STRETCH wRAPPED UNKNOWN
EXCEPTION SYMBOLS
BE BENT
l3R . BAOKI::N
au BURN[:D
CH CHIPPED
CU CONTENTS
& GOND1TION UNKNOWN
I). OENTEU
r:. FADED
G . GOUGl:iO
l. lOOSE
M . MARRED
MI-MIlf)EW
Me . M01H~AT"N
p. PEELING
fl. nuaaeo
AU . RUSTED
SC - SCRATCHEO
SH. Sti0RT
NON-NEGOTIABLJ ~AREHOUSI;
RECEIPT AND INVENTORY
Date of Issue Dc t. 1 , 2002
Lot No. _ 5305
__ No. of Pages
for
~IO./lii~ AA0594-whitc
Wt. o(HHG ____,___________..__
Wt. of BbilJ<s ------t-------------.
TOTAL WEIGHT _____L_______________
Basic Agreement No. .J-------
I
Service Order NO.---f---------
GEO. W. WEAVER ~ SONS, li'~C.
so - SOILED
ST - sr"INED
S. STRETCHED
T- TORN
W. BADLY WORN
Z . CRACKED
,
I \, ARM LOC::::H~ SVM~~O~~T
:!. 80lTQM 9. !MOE '6, DRAWER
3. COIlNIiA 10, TUr . 'r_ DOOR
.t. !'RaNT 11. 'YENfEH ~B. SHELF
5. liFT 1 t. EDGE 19. HARDWARE
6. LfGS 13.CENTt:Fl
1. REAR U.tNSDE
/,,/
HOTE; TH. OMISSION OF THaSE SYMBOLS lHDICATES GOOD CONDITION eXCEPT FOR NORMAL WEAR.
ARTICLE
ITEM NO
1
2
3
..i_
5
6
7
8
9
G
1
2 ~ "
__l _~=~~=-.~~::~:,- -~ =t=~=~
- ~ _.._-- .~ _,t~::3;i:t';.w~t~-~~R~~
9 ~':!4f!:;.., - _ .k..i.......fl..~ t" .;J. ~_____
_..:Z..Q_______n_________ __ () vU @,r5.::...._fLLQ~2~_______
1 r-/"... 61.~_______ I 01 _J~__
~ -~------------:=--~~-~----~f-=:!:=--- ~~=~--~F --
5 t-/c. .~ __ _ _____ __ ______
_ ~-------(--~=--------------__n-- ___ _fb~ nn_______ _________
____ ____ _ !Y.~~...:....J~_L_ ___ n _______ _ __.____
8 __KP..L___ _n_____________n___ n___nL ___2..),______
9 I.r_LPL!<<4Lh..c...~.Lz..:...!'~~ u::-s.;>..:::__ __.
o ) _ d~~ '.l- i.J).c.-J,C'"lo/.1'). .
I have checked all the Items listed and nombere~........L...... to _~ T I acknowledg~ thai tile condition of Itte goods at the tll e of the loading IS as
Inclusive and acknowlE:tdge that thiS IS a true and complete list of the 900dt.1! noted on thiS Inventory and that! have received a copy of tillS Inventory
tendered and oJ--t~stale of the gCjl!l , IVEld Owner or Authonzed Agent Sign and Dafe
Dnver 7<:. ....J Date .~
- ORDER FO D VERY -~72p.;/0. D~IVERV-RECEIPT-- --------\
J-(Indly deliver gOOdS on thiS warehouse receipt to The undersIgned hereby acknowledges the dellv81Y and receipt of all
_____.__._.__._ _______._~___._._ property as h~ted and descr~bed In thiS warehouse receipt and/or any
on supplemental list attached hereto and certifies that tile same has been
In case goods are delivered to truckmen other than tt,e Company's received on the above date in good condition and orda{ unless otherwise
Trucks, the responsibility of the Warehouse ceases wtlen goods are indicated hereon in writing.
delivered to said trockmen.
Goods for places where receipts are customarily refused or where no
authorized person is present to sign for them, may be left at my rrsk.
11 goods cannot be delivered in the ordinary way by the stairs or elevator,
I agree to pay for any and all extra charges for hoisting or other necessary
iabor.
Dale
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i further certity that all property so delivered is own'id by me and t~le said.
delivery to me Includes aU property stored by the undanslgned except as
otherwise indicated hereon in writing. !
Signed
Date____Signed
CUSTOMER OR AGENT'S SIGNATUAE
1'; cOPynlGHT 18~H 1..1'1 c;l~~ ':11 ~1~I1'l\Jr> INC l,!(.jn ).I\:lT'll1 rJAJ."ij.(If/Ny 1-<....' IP:"lf,: Ir:r: t IV 11 '~l.l :;""j' \ ';;J" tlO
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CUSTOMEA OR ~GNATURE--
PN<(022Q2-
f~rm 350-1