HomeMy WebLinkAbout05-5720
1872
Department of the Treasury. Internal Revenue Service
Form 668 (Y)(c) Notice of Federal Tax Lien
(Rev. February 2004) 71" os- Y7,;b1 F'Tt-.
Area: Serial Number For Optional Use by Recording Office
SMALL BUSINESS/SELF EMPLOYED AREA #3 it. /!.-1! o/V Ul'
Lien Unit Phone: (800) 913-6050 255576305
As provided by section 6321, 6322, and 6323 of the Internal Revenue Dc 9P--
Code, we are giving a notice that taxes (including interest and penalties)
have been assessed against the following-named taxpayer_ We have made /G~, Ih')5;Zt
a demand for payment of this liability, but it remains unpaid. Therefore,
there is a lien in favor of the United States on all property and rights to
property belonging to this taxpayer for the amount of these taxes, and
additional penalties, interest, and costs that may accrue. n "'-'
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Name of Taxpayer PLATINUM CONCEPTS INC a Partnership ~~ =
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JANET L. MAXWELL, A PARTER f-_' x. 'I!:IJ
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Residence 5214 DEERFIELD AVE :uo
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MECHANICSBURG, PA 17050-0000 ~'-"'
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IMPORTANT RELEASE INFORMATION: For each assessment listed below, S;:~ N :~:--t
unless notice of the lien is refiled by the date given in column (e), this notice shall, :;;:1 U1 ~;D
on the day following such date, operate as a certificate of release as defined -~ W -<
in IRC 6325(a).
Tax Period Date of Last Da.r. for Unpaid Balance
Kind of Tax Ending Identifying Number Assessment Refi mg of Assessment
(a) (b) (c) (d) (e) (f)
1065 12/31/2003 25-1879344 02/21/2005 03/23/2015 500.00
6721 12/31/2002 25-1879344 12/20/2004 01/19/2015 180.00
941 09/30/2002 25-1879344 10/11/2004 11/10/2014 14276.94
941 12/31/2002 25-1879344 10/11/2004 11/10/2014 13239.90
941 03/31/2003 25-1879344 10/11/2004 11/10/2014 13654.32
Place of Filing
Prothonotary
Cumberland County Total $ 41851.16
Carlisle, PA 17013
This notice was prepared and signed at
PHILADELPHIA, PA
I on this,
the
25th day of October
2005
for CINDY
afl~
Title
REVENUE OFFICER
(717) 221-3490 x1220
23-06-1459
Signature
(NOTE: Certificate of officer authorized by law to take acknowledgment is not essential to the validity of Notice of Federal Tax lien
Rev. Rul. 71-466,1971 - 2 C.B. 409)
Part 1 . Kept By Recording Office
Form 668(Y)(c) IRev. 2-20041
CAT. NO 60025X
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By: DANIEL G. SCHMIEG, ESQUIRE
IDENTIFICA nON NO. 62205
'ATTORNEY FOR PLAINTIFF
ONE PENN CENTER AT SUBURBAN STA nON
SUITE 1400
PHILADELPHIA, PA 19103-1814
(215) 563-7000
COURT OF COMMON PLEAS
CIVIL DIVISION
WELLS FARGO BANK, N.A., AS TRUSTEE
FOR ABFC ASSET-BACKED CERTIFICATES,
SERIES 2004-0PT4
County: CUMBERLAND
Filed: 11/03/2005
No. 2005-05720
Plaintiff
Vs.
Janet L. Maxwell
And The United States of America
Defendants
STIPULATION
It is hereby stipulated and agreed by and between counsel for Plaintiff, and the Defendant,
United States of America, as follows:
1. That the premises known as 5214 Deerfield Avenue, Mechanicsburg, PA. 17050,
Pennsylvania (the "Premises") is owned by the Defendant.
2. That the Federal Tax Liens referred to in paragraph ten (10) of the Plaintiff's
complaint is junior in time to the Plaintiff's mortgage set forth in paragraph three
(3) of said complaint.
3. That one (1) additional Federal Tax Lien was discovered subsequent to the filing of
the complaint in mortgage foreclosure. The Federal Tax lien files against Janet L.
Maxwell, is as follows: 12/8/2004 as No. 2004-06151 in the amount of $41,122.66;
filed in the Court of Common Please of Cumberland County.
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4. That the Defendant, United States of America, is not indebted to the Plaintiff.
5. That the Defendant, United States of America, agrees to the entry in this action of a
judgment in favor of the Plaintiff and against the United States of America for
foreclosure and sale of the mortgaged property.
6. That the aforesaid premises shall be sold at a judicial sale, notice of which will be
served on the Defendant, United States of America.
.7. That the judicial sale of said property shall discharge the Federal Tax Liens referred
to in paragraph ten (10) of said complaint.
8. That the proceeds of sale shall be divided and distributed as the parties may be
entitled.
9. That the Defendant, United States of America preserves its right of redemption as
provided in Title 28 United States Code, Section 2410 (c).
10. The parties to this Stipulation shall bear their own respective costs in this
proceeding.
Date:
olt
Respectfully submitted
Thomas A. Marino
United States Attorney
By: ~A... LL~ tw'CW5Y\
Melissa Swauger
Assistant United States Attorney
Attorney for United States of America
Date:JO) 131diJ.
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F&P 132575
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