HomeMy WebLinkAbout05-6301
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JOSEPH A. EMGE and
ROBIN C. EMGE, husband and wife
PLAINTIFFS
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNA.
vs.
:NO.
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GEORGE SANTIAGO and
SHELBY BACZ,
DEFENDANTS
: IN EQUITY
PETITION FOR A RULE TO SHOW CAUSE WHY AN ORDER
GRANTING A WRIT OF POSSESSION AND RECORDING OF
OUIT-CLAIM DEED SHOULD NOT ISSUE
AND NOW come the Plaintiffs, by and through their attorney, Susan J. Hartman,
Esquire, Duncan & Hartman, P.C. and hereby moves this Honorable Court to issue a Rule to
Show Cause as to why relief in the instant Petition should not be granted upon the Defendants,
George Santiago and Shelby Bacz, and in support thereof aver as follows:
I. Plaintiffs are Joseph A. Emge and Robin C. Emge, adult individuals who reside at 209
Giddings A venue, Severna Park, Maryland 2 I 146.
2. Defendants are George Santiago and Shelby Bacz, adult individuals whose last known
residence is 99 Beetem Hollow Road, NewviIJe, Cumberland County, Pennsylvania.
3. Plaintiffs and Defendants entered into an Agreement for Installment Sale of Real
Estate dated July 23,2004, recorded in the Office of the Recorder of Deeds in and for
Cumberland COllnty in MisccIJaneous Book 710 page 802. A copy of the Agrcement is attached
hereto, incorporated herein by reference and marked Exhibit "A".
4. Defendants have failed to make monthly payments in the amount of$594.36 plus
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escrows t(Jr taxes and insurance for the months of October, November and December, 2005 as
required by Paragraph 2(B) of the Agreement.
5. Detendants are in further default of the Agreement in that they carried on illegal
activities at the premises which resulted in the arrest and incarceration of George Santiago in the
Cumberland County Jail on drug related charges in violation of Paragraph 13 of the Agreement.
6. Notice of Default in accordance with Paragraph 15 of the Agreement was sent to the
Defendants on November 1,2005, a copy of which is attached hereto and marked Exhibit "B".
7. Paragraph 17 of the Agreement authorizes Confession of Judgment in Ejectment in
favor of the Plaintiffs upon default by Defendants.
8. Defendants executed a Quit Claim Deed at the time of execution of the Installment
Agreement. . A copy is attached hereto and marked Exhibit "C".
9. Plaintiffs request that this Court issue a Writ of Possession in favor of the Plaintiffs
and authorize recordation of the Quit Claim Deed.
] O. A copy of the proposed Rule to Show Cause is attached hereto.
WHEREFORE, Plaintiffs pray this Honorable Court issue the proposed Rule to Show
Cause agaisnt the Defendants George Santiago and Shelby
Respectfully submitted
DUNCAN & HARTMAN, P.C.
Susan J. Hali a
] Irvine Row
Carlisle,PA 170]3
717-249-7780
Attorney TO 65 1 84
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VERIFICATION
I, Susan J. Hartman, verify that the statements made in this Petition constitute legal
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conclusions and matters of record. The statements made herein are true and correct to the
best of my knowledge, information and belief I understand that false statements made
herein are made subject to the penalties of 18 Pa. C.S.A. section 4904, relating to
unsworn falsification to authorities.
Dated: 1.';i/~e'S-
,// usan J. Hart squire
Attorney for Plaintiffs
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CERTIFICATE OF SERVICE
AND NOW, this rOay of December, 2005, the undersigned does hereby certify that
she did, on this date serve a true and correct copy of this Motion upon Defendants by regular
mail to the below address:
-....
George Santiago
99 Beetem Hollow Road
Newville, PAl 724]
Shelby Bacz
99 Beetem Hollow Road
Newville, PAl 724 I
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JOSEPH A. EMGE and
ROBIN C. EMGE, husband and wife
PLAINTIFFS
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNA.
vs.
: NO.
GEORGE SANTIAGO and
SHELBY BACZ,
DEFENDANTS
: IN EQUITY
CERTIFICATE OF SERVICE
I, Susan J. Hartman, Esquire, do certifY that copies of the Rule to Show Cause issued on
the above-captioned matter were provided to all parties by certified, pre-paid United States mail
on
To the following addresses:
George Santiago
99 Beetem Hollow Road
Newville, PAl 7241
Shelby Bacz
99 Beetem Hollow Road
Newville, P A 17241
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AGREEMENT FOR INSTALLMENT
SALE OF REAL ESTATE
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MADE THIS? '3 ' cfuy of July, 2004 by and between Joseph A. Emge and Robin C. Emge,
husband and wife, of751 202 Street, Pasadena, Maryland, hereinafter called SELLERS,
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C":lGeorge Santiago and Shelby Bacz, ofBloserville, Cumberland County, Pennsylvania, hereinafter
[}:alled BUYERS.
~ WITNESSETH:
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='2 I. For and in consideration of the tenus and conditions hereof, Sellers agree to convey
;and to sell and Buyer agrees to purchase and accept the real estate known and numbered as 99
';=Beetem Hollow Road, Newville, Pennsylvania; more fully described in Schedule "A" attached
hereto and incorporated herein by reference thereto.
2. Buyers agree to pay the sum of Ninety Thousand and 00/100 (90,000.00) Dollars as
total consideration, payable as follows:
A) Six Thousand and 00/100 ($6,000.00) Dollars down upon the execution ofthis
agreement, payable to Joseph A. Emge and Robin C. Emge;
B) Fourteen Thousand Nine Hundred Fifty-one and 67/100 ($14,951.67) Dollars payable
to Chase Manhattan Mortgage on behalf of Joseph A. Emge and Robin C. Emge, due upon
execution of this agreement;
B) The remaining Sixty-nine Thousand forty-eight and 33/100 ($69,048.33) Dollars
shall be payable in monthly installments with an interest rate of eight (8 %) percent per annum,
amortized over thirty (30) years with the fust monthly payment of $594.36 plus escrows of taxes
and insurance due and payable on August 23, 2004 and shall continue monthly thereafter for one
hundred tweuty (120) months or ten years. There shall be a ten (10%) percent late fee assessed
on any payments which are fifteen (15) days late. The initial payment due shall be $808.62 and
shall continue until notification of an increase in escrows.
3. Final settlement shall Occur on or before July 23,2014, at which time Buyers shall pay
to Sellers all sums of principal and interest, including any other sums of money due and owing by
virtue of this Agreement. At final settlement Sellers shall tender a duly executed special warranty
deed conveying to the Buyers a good and marketable title in fee simple, free and clear of liens
and encumbrances excepting presently existing easements or restrictions, visible or of record.
4. Buyers have the right to prepay at any time, with the provision that the minimum
principal payment accepted shall be at least the next payment of principal showing on the
amortization schedule and that all pre-payments shall be in increments as shown on the
amortization schedule.
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EXHIBIT
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5. Transfer taxes at final settlement shall be paid by Buyers and Sellers equally, based on
the purchase price shown herein. Sellers' maximum liability for transfer taxes shall not exceed
one (1) percent of the sale price or Nine Hundred and 00/1 00 ($900.00) Dollars unless Buyers
assigns its right to a third party in which case seller shall be relieved of the duty of paying any
transfer taxes and shall pay none.
6. Buyers shall be responsible for repairs, maintenance and upkeep of the premises and
agree, in the event of a default under this Agreement, to deliver up possession of the premises to
Sellers in as good condition as the premises are now, reasonable wear and tear, fue or other
casualty excepted.
7. Buyers shall pay for and maintain fire and extended coverage insurance by
reimbursing Sellers for the insurance policy presently in effect and agrees to pay any increase in
premium that may occur in the future. Buyers acknowledge that a separate policy covering their
personal effects shall be their responsibility.
8. Proration of property taxes is hereby waived.
9. Payment of property taxes shall be the responsibility of Buyer after the date of
possession. Buyers agree to pay all property taxes by reimbursing Sellers through an escrow
amount added to the monthly payment. Sellers agree to fumish Buyer with tax information at his
request.
10. Any municipal improvements, liens or assessments shall be the responsibility of
Buyers after the date of possession.
11. Buyers assume all risk and responsibility for any accident, injury or damage to
persons or property as to themselves or others on said premises and agree to hold Sellers hannless
from all liability therefrom.
12. This Agreement is not assignable by Buyers without the written consent of Sellers,.
which shall not be unreasonably withheld. In case of such an approved assignment, Seller shall
be relieved of the duty to pay any realty transfer taxes whatsoever, and all such taxes shall be paid
by Buyer and its assigns.
13. Buyers shall not carry on any unlawful business on the property or any business
whereby the hazard would be increased or the fire insurance invalidated. The use of the property
mnst be in accordance with the zoning laws of the municipality and Buyers will not file an
application for a variance without the approval of Sellers which shall not be unreasonably
withheld.
14. The Buyers shall not make any major structural changes without the prior written
approval of Sellers which shall not be unreasonably withheld.
15. In the event Buyers shall fail to make a monthly payment for the space of thirty (30)
days after the same shall have become due by the te rms hereof, or if a breach of any of the other
covenants or conditions be made by Buyers, then such failure or breach shall constitute a default
of this Agreement. Buyers shall be given written notice of a breach of the Agreement and shall
have twenty (20) days from the mailing of the notice to correct the default. If not corrected, then
Sellers shall have the right to terminate this Agreement and to demand immediate possession of
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said premises upon thirty (30) days written notice and thereupon all rights and obligations under
this Agreement shall cease and terminate.
16. Upon default of Buyers, the entire principal sum remaining unpaid shall become due
and payable at once and may be collected by suit or otherwise, and if authorized by Jaw, the
Prothonotary or any attomey of any Court of record in Pennsylvania is hereby authorized and
empowered to appear for and confess judgment against the Buyers and in favor of Sellers for the
whole amount of said principal remaining unpaid, together with interest, costs of suit, release of
errors, attorney's commission of five (5%) percent and waiving inquisitions and exemptions.
17, Upon default and if authorized by law, the Prothonotary or any attorney of any court
of record is hereby authorized and empowered to appear for and confess judgment against Buyer
in an amicable action of ejectment and in favor of Sellers for the said premises and to direct an
immediate issuance of a writ of possession, with clause for costs, waiving all irregularities
without notice and without leave of court.
18. In the event Sellers are unable to give a good and marketable title such as will be
insured by a licensed title insurance company, Buyer shall have the option of taking such title as
Sellers can give, without abatement of price or of being repaid all monies paid by Buyers to
Sellers on account of the purchase price, less reasonable rental value for use of said premises. In
the latter event, there shall be no further liability or obligations as to either party concerning this
Agreement which thereafter shall be null and void.
19. Sellers agree that they will not knowingly or voluntarily cause any additional
encumbrance to be placed on said prior written approval of Buyers. Sellers agree to furnish
Buyers with a monthly statement of monthly payments.
Notice of the entry of any mortgage, judgment, lien or other encumbrance affecting title
to said premises received by the Sellers after the date of the execution of this Agreement shall be
given by the Sellers to the Buyers within thirty (30) days of the recording thereof in the
Cumberland County Courthouse.
In the event any mortgage, judgment, lien or other encumbrance affecting title to the said
premises existing at the date of the execution of this Agreement or hereafter entered of record and
default in the payment is made by the Sellers, then Buyers shall have the right to make the
delinquent payments and to receive credit for the full amount thereof from the required monthly
payments under this Agreement. Prior to exercising the rights stated in this paragraph, Buyers
shall give Sellers three (3) days notice by certified mail of their intent to do so, but this provision
shall not limit Buyers' right to make the delinquent payments and to claim credit therefor.
20. This Agreement may be filed of record in any public office, as appropriate.
21, No modifications of this Agreement shall be binding unless same shall be in writing
and duly approved by Sellers.
22. The failure by Sellers to insist on strict performance by Buyers of the terms of this
Agreement shall not be construed as a waiver, release or relinquishment thereof.
23. This Agreement shall inure to and be binding upon the heirs, executors,
administrators and assigns of the parties hereto.
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IN WITNESS WHEREOF the parties hereto have hereunto set their hands and seals the
day and year first above written.
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WITNESS:
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A<<> 'R ALL.
COMMONWEALTH OF PENNSYL VANIA
COUNTY OF CUMBERLAND
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On this the 2..:3 day of --YV'.// , 2004, before me, the undersigned
officer, personally appeared Joseph A. Emge and Robin C. Emge, husband and wife, known to
me (or satisfactorily proven) to be the persons whose names are subscribed to the within
Agreement, and acknowledged that they executed the same for the purposes therein contained.
:85.
WITNESS my hand and official seal the day and year first above written.
NOTARIAL SEAL
GEORGE F. DOUGLAS. Dr. NOTARY PUBLIC
CARLISLE BORa, CUMBERLAND COUNTY
MY COMMISSION EXPIRES JUNE 26,2007
1:b?1\:t^' C .~'l-~Ra./)... C0
otary Publtc
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COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
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On Ibis theLl' day of J, eJj/ , 2004, before me, the undersigned
officer, personally appeared George San .ago and Shelby Bacz, known to me (or satisfactorily
proven) to be the persons whose names are subscribed to the within Agreement, and
acknowledged that they executed the same for the purposes therein contained.
:ss.
written.
WITNESS my hand and official seal the day and year fIrst above
NOTARIAL SEAL
GEORGE F. DOUGLAS, m, NOTARY PUBLIC
CARLISLE BORO, CUMBERLAND COUNTY
MY COMMISSION EXPIRES JUNE 26,~007
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, Notary Pub ic
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ALL THAT CERTAIN tract of land with the improvements thereon erected situate in Penn
Township, Cumberland County, Pennsylvania, bounded and described as follows:
BEGINNING at a point in the intersection of the Peach Orchard Road with the road leading from
the Pine Road to Beetem Hollow; thence in the latter road, North 31 degrees 30 minutes West 225 feet to
a point; thence North 61 degrees East 223 feet to a stake; thence South 31 degrees 30 minutes East 225
feet to a stake on the southern side of the Peach Orchard Road; thence to and in the Peach Orchard
Road, South 62 degrees West 225 feet to Place of BEGINNING.
CONTAINING 1.1 acres.
HAVING thereon erected a ranch type dwelling house with attached garage and other
improvements, all of which premises are known and numbered as 99 Beetem Hollow Road, NeWVille,
Pennsylvania 17241.
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Duncan & Hariman, P.c.
Attorneys at Law
One Irvine Row
Carlisle, Pennsylvania 17013
William A. Duncan
Susan 1. Hartman
(717) 249-7780
FAX (717) 249-7800
dhdlaw@planetcable.net
November I, 2005
George Santiago and
Shelby Bacz
99 Beetem Hollow Road
Newville, PA 17241
RE: Installment Agreement with Joseph A. And Robin C. Emge
Dear George and Shelby,
This letter will serve as notice that you are in default of the Installment Agreement which
you signed on July 23, 2004. Under paragraph 13 of the Agreement, you were forbidden to carry
on any unlawful business. In addition, you have failed to make the October mortgage payment
when due.
Joe and Robin Emge have paid the October rnortgage payment and will also pay the
November payment. If you wish to cure the default, then payment should be made directly to
Mr. And Mrs. Emge rather than to the Bank. Under the terms of the Agreement, you have
twenty (20) days from the mailing of this Agreement to cure the default. If you fail to cure, then
we will pursue our legal remedy.
Yours truly,
Susan J. Hartman
SJH/mw
cc. George Douglas, Esq.
EXHIBIT
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),S, POSTAL SERVICE CERTIFICATE OF MAILING
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Tax Parcel #31-12-0332-012
QUIT CLAIM DEED
MADE this
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day of :r vJ2-7 ,2004
BETWEEN
GEORGE SANTIAGO, a single man, and SHELBY BACZ, single woman, of Bloserville,
Pennsylvania.
"GRANTORS",
AND JOSEPH A. EMGE and ROBIN C. EMGE, husband and wife, of Pasadena, Maryland
"GRANTEES",
WITNESSETH, that in consideration of the sum of One ($1.00) Dollar, in hand paid, the receipt
whereof is hereby acknowledged, the said GRANTOR does hereby remise, release and quit claim to said
GRANTEES, their heirs and assigns,
ALL THAT CERTAIN tract of land with the improvements thereon erected situate in Penn
Township, Cumberland County, Pennsylvania, bounded and described as follows:
BEGINNING at a pOint in the intersection of the Peach Orchard Road with the road leading from
the Pine Road to Beetem Hollow; thence in the latter road, North 31 degrees 30 minutes West 225 feet to
a point; thence North 61 degrees East 223 feet to a stake; thence South 31 degrees 30 minutes East 225
feel to a stake on the southem side of the Peach Orchard Road; thence to and in the Peach Orchard
Road, South 62 degrees West 225 feet to Place of BEGINNING.
CONTAINING 1.1 acres.
HAVING thereon erected a ranch type dwelling house with attached garage and other
improvements, all of which premises are known and numbered as 99 Beelem Hollow Road, Newville,
Pennsylvania 17241.
EXHIBIT
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This deed is given to extinguish and convey all interest held by Grantors under an Installment
Agreement of Sale dated May 20, 2004.
IN WITNESS WHEREOF, the said GRANTOR does hereby set his hand and seal the day and
year first above written.
Witness:
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SHELBY BAC J
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND :
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On this the _J day of , ,2004, before me, the undersigned officer, personally
appeared George Santiago and She I y Batz. known to me (or satisfactorily proven) to be the persons
whose names are subscribed to the within instrument, and acknowledged the foregoing deed to be his act
and deed and described the same to be recorded as such.
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WITNESS my hand and official seal the day and year first above written.
NOTARIAL SEAL
G~ORG" F. DOUGlAs, m. NOTARY PUBLIC
CARLISLE BORG, CUMB~RLAND COUNlY
MY COMMISSION EXPIRES JUNE 26,2007
~t:f~~Q_A-%EAL)
Notary P blic
Attorney for Grantees
I hereby certify that the precise residence and complete post office address of the within named
GRANTEES is:
,2004
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JOSEPH A. EMGE and
ROBIN C. EMGE, husband and wife
PLAINTIFFS
vs.
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNA.
: NO. {j 5' - 6>.30 (
GEORGE SANTIAGO and
SHELBY BACZ,
DEFENDANTS
: IN EQUITY
RULE TO SHOW CAUSE
AND NOW, this S" day of December, 2005, upon consideration of the foregoing
Petition for a Rule to Show Cause Why An Order Granting A Writ of Possession and Recording
of Quit-Claim Deed Should Not Issue, it is hereby Ordered and Decreed as follows:
]. A Rule is issued upon the Defendants, George Santiago and Shelby Bacz to show
cause why the Petitioners are not entitled to the relief requested.
2. The Defendants shall answer to the Petition within twenty (20) days of service by
certified mail.
3. Notice of entry of this Order shall be provided to all parties.
By the Court
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JOSEPH A. EMGE and
ROBIN C. EMGE, husband and wife
PLAINTIFFS
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY. PENNA.
vs.
: NO. 05-6301 CIVIL
GEORGE SANTIAGO and
SHELBY BACZ,
DEFENDANTS
: IN EQUITY
PETITION TO MAKE RULE ABSOLUTE
AND NOW, comes the Plaintiffs, Joseph A. Emge and Robin C. Emge, by and through
their attorney, Susan J. Hartman, Esquire, and hereby moves this Honorable Court to make the
Rule to Show Cause issued by this Court Absolute and in support thereof aver as follows:
I. A Rule to Show Cause in the above-captioned matter was issued by this Court on
December 8, 2005 upon Defendants George Santiago and Shelby Bacz.
2. Defendants were given twenty (20) days in which to respond.
3. Service was attempted by certified mail. A copy of the Certificate of Service showing
that copies were mailed on December 12, 2005 is attached hereto and marked Exhibit A.
4. Service was also attempted by the Cumberland County Sheriff. A return of "not
found" is attached hereto and marked Exhibit B.
5. Twenty days have passed and no response has been tiled.
6. The property in question appears to be abandoned by the Defendants.
WHEREFORE, Plaintiffs request that this Honorable Court issue an Order granting
Plaintiffs possession of the premises and leave to record a Quit Claim Deed from Defendants to
Plaintiffs thereby releasing any interest they may have in 99 Beetem Hollow Road, Newville,
Pennsylvania.
Respectfully submitted
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Susan J. Hart a
/" Attorney ID 65 4
1 Irvine Row
Carlisle, PA 17013
717-249-7780
January 13,2006
JOSEPH A. EMGE and
ROBIN C. EMGE, husband and wife
PLAINTIFFS
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNA.
vs.
:NO.
GEORGE SANTIAGO and
SHELBY BACZ,
DEFENDANTS
: IN EQUITY
CERTIFICATE OF SERVICE
I, Susan J. Hartman, Esquire, do certifY that copies of the Rule to Show Cause issued on
the above-captioned matter were provided by certified, pre-paid United States mail on December
12, 2005 to the following addresses:
George Santiago
99 Beetem Hollow Road
Newville, PA ]7241
Shelby Bacz
99 Beetem Hollow Road
Newville, PA 17241
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NeWVl e, PA 17241
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NOT FOUND
CASE NO: 2005-06301 P .
COMMONTWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
EMGE JOSEPH A ET AL
VS
SANTIAGO GEORGE ET AL
R. Thomas Kline ,Sheriff or Deputy Sheriff, who being
duly sworn according to law, says, that he made a diligent search and
inquiry for the within named DEFENDANT
BACZ SHELBY
but was
unable to locate Her in his bailiwick. He therefore returns the
RULE AND PETITION
, NOT FOUND , as to
the within named DEFENDANT
, BACZ SHELBY
99 BEETEM HOLLOW ROAD
NEWVILLE, PA 17241
DEFENDANT BELIEVED TO BE LIVING IN WALNUT BOTTOM.
PER NEIGHBOR, OCCUPANTS MOVED OUT 1/3/06.
Sheriff's Costs:
Docketing
Service
Not Found
Surcharge
6.00
.00
5.00
10.00
.00
21.00
S ---7
o answe:ss-<:-,<_.. .--' ' .--c;'
--;;~iJ~f0:~:::;;..'
R. Thomas(fCline
Sheriff of Cumberland
_.'-,-
County
DUNCAN & HARTMAN
01/09/2006
Sworn and subscribed to before me
this
day of
A.D.
Prothonotary
EXHIBIT
I
~
SHERIFF'S RETURN - NOT FOUND
CASE NO, 2005-06301 P
COMMONTWEALTH OF PENNSYLVANIA
COUNTY QF CUMBERLAND
EMGE JOSEPH A ET AL
VS
SANTIAGO GEORGE ET AL
R. Thomas Kline
,Sheriff or Deputy Sher~ff, who being
duly sworn according to law, says, that he made a diligent search and
inquiry for the within named DEFENDANT
SANTIAGO GEORGE
but was
unable to locate Him in his bailiwick. He therefore returns the
RULE AND PETITION
, NOT FOUND , as to
the within named DEFENDANT
, SANTIAGO GEORGE
99 BEETEM HOLLOW ROAD
NEWVILLE, PA 17241
DEFENDANT WAS NOT FUND AT GIVEN ADDRESS. PER NEIGHBOR,
OCCUPANTS MOVED OUT 1/3/06.
Sheriff's Costs,
Docketing
Service
Not Found
Surcharge
18.00
29.04
5.00
10.00
.00
62.04
So answ~r~..;...-- ,~/.:-::-" .'-_ ~<__
~.,.;:?~t;;:'f?~:':-:e~~~'<:':"
R. Thomas Kline
Sheriff of Cumberland County
DUNCAN & HARTMAN
01/09/2006
Sworn and subscribed to before me
this
day of
A.D.
Prothonotary
JAN 1 3 200G?"
JOSEPH A. EMGE and
ROBIN C. EMGE, husband and wife
PLAINTIFFS
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNA.
vs.
: NO. 05-6301 CIVIL
GEORGE SANTIAGO and
SHELBY BACZ,
DEFENDANTS
: IN EQUITY
ORDER
AND NOW, this 1"1' Day of January, 2006, upon consideration of the foregoing
Petition for A Rule to Show Cause Why An Order Granting a Writ of Possession and Recording
of Quit-Claim Deed should not issue, it is hereby ORDERED and DECREED as follows:
I. Plaintiffs are granted leave to record a Quit-Claim Deed from George Santiago and
Shelby Bacz, Grantors, unto Joseph A. Emge and Robin C. Emge, Grantees, conveying all their
right, title and interest in 99 Beetem Hollow Road, Newville, Cumberland County, Pennsylvania.
2. Plaintiffs are granted possession of the premises situate at 99 Beetem Hollow Road,
Newville, Cumberland County, Pennsylvania.
By the Court
I - ( 7 -({p CI-fU-'-'1 ~
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SHERI FF 'S RETURN - NOT FOUN']
CASE NO: 2005-06301 P
COMMONTWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
EMGE JOSEPH A ET AL
VS
SANTIAGO GEORGE ET AL
R. Thomas Kline ,Sheriff or Deputy Sheriff, who being
duly sworn according to law, says, that he made a diligent search and
inquiry for the within named DEFENDANT
BACZ SHELBY
but was
unable to locate Her in his bailiwick. He therefore returns the
RULE AND PETITION
, NOT FOUND , as to
the within named DEFENDANT
, BACZ SHELBY
99 BEETEM HOLLOW ROAD
NEWVILLE, PA 17241
DEFENDANT BELIEVED TO BE LIVING IN WALNUT BOTTOM.
PER NEIGHBOR, OCCUPANTS MOVED OUT 1/3/06.
Sheriff's Costs:
Docketing
Service
Not Found
Surcharge
So answe:r::S'
6.00
.00
5.00
10.00
.00
21.00
, )
-;:::r'/<:-~/;;'
,5<-.~__?~~ ~;.::~ _ _ - ./_
R. Thomas(1Zline
Sheriff of Cumb~land County
DUNCAN & HARTMAN
01/09/2006
Sworn and subscribed to before me
this liS day on')'V'-j
SHERIFF'S RETURN - NOT FOUND
CASE NO: 2005-06301 P
COMMONTWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
EMGE JOSEPH A ET AL
VS
SANTIAGO GEORGE ET AL
R. Thomas Kline ,Sheriff or Deputy Sheriff, who being
duly sworn according to law, says, that he made a diligent search and
inquiry for the within named DEFENDANT
SANTIAGO GEORGE
but was
unable to locate Him in his bailiwick. He therefore returns the
RULE AND PETITION
, NOT FOUND , as to
the within named DEFENDANT
, SANTIAGO GEORGE
99 BEETEM HOLLOW ROAD
NEWVILLE, PA 17241
DEFENDANT WAS NOT FUND AT GIVEN ADDRESS. PER NEIGHBOR,
OCCUPANTS MOVED OUT 1/3/06.
Sheriff's Costs:
Docketing
Service
Not Found
Surcharge
18.00
29.04
5.00
10.00
.00
62.04
So answer!?:
'.--;::;:-
/' ~ ..' f" ~'"
R. Thomas Kline
Sheriff of Cumberland County
DUNCAN & HARTMAN
01/09/2006
Sworn and subscribed to before me
,,~ /l
this _~~ day of( ),.,,,,,,,
7 J
)c'0L- A.D.
/1~