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HomeMy WebLinkAbout06-0411 IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA SHERRY L. BAKER and COLIN X. KREITZER, Administrators of the Estate of SHIRLEY KREITZER, Deceased, Plaintiff Civil Action - Law No. 6f- -'-It! (!,~tL 'Tvz..~ vs. STEVEN S, KREITZER Defendant NOTICE YOU HAVE BEEN SUED IN COURT. If you wish to defend against the claims set forth in the following pages, you must take action within twenty (20) days after this complaint and notice are served, by entering a written appearance personally or by attorney and filing in writing with the court your defenses or objections to the claims set forth against you. You are warned that if you fail to do so the case may proceed without you and a judgment may be entered against you by the court without further notice for any money claimed in the complaint or for any other claim or relief requested by the plaintiff. You may lose money or property or other rights important to you. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP. Cumberland County Bar Association 32 S. Bedford Street Carlisler PA 17013 (717) 249-3166 (800) 990-9108 IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA SHERRY L. BAKER and COLIN X. KREITZER, Administrators of the Estate of SHIRLEY KREITZER, Deceased, Civil Action - Law No. Plaintiff vs. STEVEN S. KREITZER Defendant A VISa USTED HA SlOO DEMAND ADO/ A EN CORTE, Si usted desea defenderse de las demandas que se presentan mas adelante en las siguientes paginas, debe tomar accion dentro de los pIOximos veiente (20) dias despues de la notificacion de esta Demanda y A visa radicando personalmente 0 por medio de un abogado una comparecencia escrita y radicando en la Corte por escrito sus defensas de, y objeccionee a, las demandas presentadas aqui en contra suya. Se Ie advierte de que si usted falla de tomar accion como se describe anteriormente, el caso puede pIOceder sin usted y un fallo por cualquier suma de dineIO reclamada en la demand a 0 cualquier otra reclamacion 0 remedio solicitado por el demand ante puede ser dictado en contra suya por la Corte sin mas aviso adicional. Usted pued perder dineIO 0 propiedad u otIOS derechos importantes para usted, USTED DEBE LLEV AR ESTE DOCUMENTO A SU ABOGADO INMEDIA T AMENTE. 51 USTED NO TIENE UN ABOGADO 0 NO PUEDE P AGARLE A UNO, LLAME 0 V A Y A A LA SIGUIENTE OFICIN A PARA A VERIGU AR DONDE PUEDE ENCONTRAR ASISTENCIA LEGAL. Cumberland County Bar Association 32 S. Bedford Street Carlisle, PA 17013 (717) 249-3166 (800) 990-9108 Shaun E. O'Toole 2813 North Second Street Harrisburg, Pennsylvania 17110 Attorney for Plaintiffs IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA SHERR Y L, BAKER and COLIN X. KREITZER, Administrators of the Estate of SHIRLEY KREITZER, Deceased, Civil Action - Law No. Plaintiff vs, STEVEN S. KREITZER Defendant COMPLAINT TO EVICT UNDER EXPEDITED EVICTION OF DRUG TRAFFICKERS ACT AND NOW COME Plaintiffs, Sherry 1. Baker and Colin X. Kreitzer, the co- administrators of the Estate of Shirley M. Kreitzer, by and through their attorney, Shaun E. O'Toole, and file the within Complaint to Evict Under Expedited Eviction of Drug Traffickers Act against Defendant, Steven S. Kreitzer, and in support thereof, provides as follows: I. Decedent, Shirley M, Kreitzer, died on July 22, 2005, at the age of 77, domiciled in Cumberland County, Pennsylvania with her last family residence at 143 South Enola Drive, Enola, Pennsylvania. 2. Letters of Administration for Decedent's estate (the "Estate"), were issued by the Register of Wills for Cumberland County, Pennsylvania to Decedent's daughter, Sherry L Baker, and Decedent's son, Colin X. Kreitzer, the Plaintiffs herein. 3. Plaintiff, Sherry L Baker, resides at 811 Erford Road, Camp Hill, Cumberland County, Pennsylvania, and Plaintiff, Colin X. Kreitzer, resides at 3421 North Fourth Street, Harrisburg, Dauphin County, Pennsylvania, and they bring this action in their capacity as Administrators of the Estate. 4. Defendant, Steven S. Kreitzer, is Decedent's son who, when not incarcerated, resided with Decedent at Decedent's residence at 143 South Enola Drive, Enola, Cumberland County, Pennsylvania, 5, Decedent is survived by three (3) children, the two Plaintiffs and the Defendant. 6. Decedent left a will dated January 18, 1991 ("Will"). A copy of the Will is attached as Exhibit "A." 7 At the time of her death, Decedent owned a residence located at 143 South Enola Drive, Enola, Pennsylvania ("Residence"). 8. At the time of Decedent's death, Defendant, with the consent of Decedent, resided with Decedent at the Residence. 9. Under the Will, Decedent's entire estate is to be distributed, in equal shares, to Decedent's three children, with Defendant's share of the estate to be held in trust for ten years. 10, The Residence is the only probate asset of the Estate and its value is listed at $80,000 on the Probate Petition filed by the Administrators with the Register of Wills. II. By way of a letter from the Estate's counsel dated October 25,2005, the Administrators offered the Residence for sale to Defendant, giving him until November 5, 2005 2 to accept the offer of sale. Attached as Exhibit "B" is a copy of the October 25, 2005 letter. 12. The October 25, 2005 letter from counsel instructed Defendant that ifhe did not elect to purchase the Residence, he would need to move from the Residence. 13. Defendant is not employed and does not have the resources or ability to legally attain the resources necessary to purchase the Residence. 14. Since the Residence is the only asset of the Estate, Defendant's share of the Estate, after payment of Decedent's debts and administration expenses, will be valued significantly less than the fair market value of the Residence and therefore the Estate cannot arrange for an in-kind distribution of the Residence to Defendant as his share of the Estate. 15. After Decedent's death, Defendant remained domiciled at the Residence until early December, 2005, at which time he was incarcerated in Cumberland County Prison after being arrested and charged with the manufacturing, delivery, and possession with the intent to manufacture and deliver a controlled substance, 16, Attached as Exhibit "c" is the Police Criminal Complaint filed in Cumberland County Court of Common Pleas, Docket # CR-00003040-05, pertaining to the December, 2005 arrest of Defendant which includes the Affidavit of Detective Heather Buxton wherein Detective Buxton avers that Defendant sold crack cocaine to an undercover police officer from the Residence, 17, After Defendant's incarceration, Administrators began preparing the Residence , ~ for sale in the ordinary course of the administration of the Estate by changing the lock on the door and moving Defendant's personal property into the basement and the garage of the Residence. Even though the lock on the door of the Residence was changed, Defendant has access to the basement and garage and can collect his personal property when he desires, 18. After Defendant was released from Cumberland County Prison on bail while awaiting adjudication of the criminal charges, Defendant has returned to the Residence and is currently residing in a camper in the yard of the Residence. 19. In spite of Plaintiffs repeated request by Plaintiffs that Defendant relocate from the premises of the Residence so that Plaintiffs can continue in their efforts to sell the Residence, Defendant has refused to relocate from the premises of the Residence. 20, Defendant's conducting of drug-related criminal activity from the Residence has jeopardized the rights, safety and health of the neighbors of the Residence, 21. Defendant's conducting of drug-related criminal activity from the Residence has jeopardized the property of the Estate and subjects the Estate to significant liability. 22. Plaintiff Estate is entitled to an expedited eviction of Defendant because of Defendant's illegal drug activity at the Residence under the Expedited Eviction of Drug Traffickers Act (35 P.S. 9780-151, et seq.). 23, Under the Expedited Eviction of Drug Traffickers Act, 35 P.S. 9780-165, Plaintiffs are not required to provide Defendant with notice to vacate the premises prior to filing 4 VERIFICATION The undersigned hereby verifies that the statements offact in the foregoing document are true and correct to the best of my knowledge, information and belief. I understand that any false statements therein are subject to the penalties contained in 18 Pa,C.S. !j4904, relating to unsworn falsification to authorities. Dated: / l-r~ tJI co,f!!t:14? IF THIS WILL IS REPLACED BV A NEW ONE, plEASE INFORM ROBERT E. MYERS, ESQUme ORlGlNAL IN TH: SAfE Of ROBERT a MYERS, ;;~QIJl::f. 100 YORK ROAO NEW CUMBER1.AND, PA. 17070 LAST WILL AND TESTAMENT OF SHIRLEY M. KREITZER I, SHIRLEY M. KREITZER, of 143 South Enola Drive, Enola, Cumberland County, Pennsylvania, 17025, being of sound and disposing mind, memory and understanding, do hereby make, publish and declare this to be my Last Will and Testament, hereby revoking all other Wills and Codicils previously made by me. ITEM I: I direct the payment of all my just debts, expenses of my last illness, funeral expenses, perpetual care of my burial lot, suitable marker for my grave and the costs of administrating my estate from my estate as soon after my death as conveniently may be done. ITEM II: I give and bequeath all my personal apparel and jewelry to my daughter, SHERRY L. BAKER. ITEM III: I give, devise and bequeath all the rest, residue and remainder of my estate, real, personal or mixed, tangible or intangible, of whatsoever nature and wheresoever located and all property to which I may be entitled or over which I may have power of disposition or appointment and whether acquired during or after my lifetime unto the following named persons then living, provided they survive me by ninety (90) days following my death, as follows: (A) One-third (1/3) to my daughter, SHERRY L. BAKER, and one-third (1/3) to my son, COLIN X. KREITZER. In the event either of them.predeceases me or dies within said ninety (90) Exhibit "A" yli(;~c, )l 4~y~-. days after my death, then his or her share shall go equally to his or her children then living or otherwise equally to my surviving children. (B) Of the remaining one-third (1/3), the sum of TWO THOUSAND FIVE HUNDRED DOLLARS and 00/100 ($2,500.00) shall go to my son, STEVEN S. KREITZER, and the residue to go to CCNB BANK, N.A., IN TRUST, for my son, STEVEN S. KREITZER, for ten (10) years with income to go to him quarter-annually or as is convenient to my Trustee or to place said funds into a Certificate of Deposit or a savings account in the name of Steven S. Kreitzer, earmarked and restricted that the funds cannot be withdrawn until ten (10) years after the date of my death with income to go at least quarter- annually to him; however, in any event, all or part of the corpus of said Trust to be used at any time towards the purchase price of a house and lot in the name of and for the use of my son, Steven S. Kreitzer. ITEM IV: I direct that any and all taxes that may be assessed in consequence of my death, including all Inheritance, Estate and Transfer Taxes imposed upon my estate passing under my Will or otherwise, shall be paid out of the principal of my residuary estate as a part of the expense of the administration of my estate. ITEM V: I authorize and empower my personal representatives and/or sai.d Trustee representative may deem proper, all debts and claims owed by or to me or my Estate; to sell, lease or exchange at public or private sale or in such manner, at such prices, and upon such terms of credit or otherwise, as my personal representative or said Trustee may deem proper, all or any part of ii/::( ....)1 ), , I~' 'r-' ^ I'" ,~,l,. .;:....--- ,\(--,-", .l ,. my property, real or personal; to execute, acknowledge and deliver instruments of conveyance, including deeds in fee simple; to borrow money for the purpose of paying estate, inheritance or other taxes which are required to be paid and to secure any such loan by pledge or mortgage of all or any part of my property and to execute the necessary instruments to carry out such powers; to distribute my estate in kind or partly in money or part.ly in kind, and to determine the fair value at which any property so distributed in kind shall be received by the distributees; to conduct any business in which I have an interest at the time of my decease, for such period as my personal representative may deem proper, power to borrow money and pledge assets of the business and the power to do all other acts that I, in my lifetime could have done, to delegate such power to any partner, manager or employee without liability for any loss occurring therein and to organize a corporation to carryon said business as capital to such corporation and accept stock in the corporation in lieu thereof and hold such stock for the uses of this my Will, and to vote said stock or sell the same as to my personal representative may seem best; to retain all stocks, assets, bonds and investments owned by me without being confined to what is known as legal investments; to execute any options to purchase, to apply for stocks, bonds or other investments, to purchase or otherwise acquire real estate and to execute the same powers thereover as hereinbefore provided, to retain indefinitely any part of my assets, real or personal, Which is or may become unproductive or to make sale thereof; to pay carrying charges and expenses of the property out of other / I ~ ~, ';. /J I. /. '\ /'1', Y---. + principal or income of my estate; to invest and reinvest in all forms of property without restriction to investments authorized for Pennsylvania fiduciaries, as they deem proper, without regard to the principle of diversification or risk; to exercise any law-given option to treat administrative expenses either as income tax or as estate tax deductions, without regard to whether the expenses were paid from principal or income. The powers herein conferred shall be to my named personal representative and said Trustee and all successors thereto and shall be in addition and not in limitation of other powers conferred on said fiduciaries. Any and all payment or payments of any sum or sums, whether in cash or in kind and whether for principal or income, payable to any beneficiary shall be made upon the sole receipt of the respective beneficiary to whom the payment is made, and free from anticipation, alienation, assignment, attachment, and pledge and free froQ control by the creditors of any such beneficiary. All shares of principal and income hereby given shall be free from anticipation, assignment, pledge or obligation of the beneficiaries and any of them and shall not be subject to any execution or attachment, levy or sequestration or other claims of the creditors of said beneficiaries or any of them. ITEM VI: All shares of principal and income hereby given shall be free from anticipation, assignment, pledge or obligation of the beneficiaries and any of them and shall not be subject to any execution or attachment, levy or sequestration or other claims of the creditors of said beneficiaries or any of them. , II -.' n]. X!~<-- ~ ~ ~II/, ,L_ . ITEM VII: I hereby nominate, constitute and appoint my daughter, SHERRY L. BAKER, and my sons. COLIN X. KREI'l'ZER and STEVEN S. KREITZER, as sole Co-Executors of this my Last Will and Testament. IN WITNESS WHEREOF, I, SHIRLEY M. KREITZER, have set to this my Last Will and Tes.tament my hand and seal this 9tl'FUU./l.L-f./ , 199 I . J /JJiJ day of (SEAL) Signed, sealed, published and decl~ed by SH1RLfY M. KREITZER, the above-named Testatrix, on the ;,(;, day of '---.;/;tr/l-U_L.~- , 199/ , as and for her Last Will and Testament in the,presenc of us, who, in her presence and in the presence of eacH' other have, at her request, subscribed our names as witnesses hereto. C)d~<- Q(1/;JA) c residing ./} .. at 0'/.5' el- f Wd&f 1 if,l'[jfJj Jz1<U, ;:2 (J ?3M~1?/Ck I~t!r'.~~ residing at COMMONWEALTH OF PENNSYLVANIA 0j;l/J _ (J We, the undersigned, 55: COUN'!'Y OF the Testatrix and the witnesses, respectively, whose names are signed to the foregoing instrument, being first duly sworn and qualified according to law, do hereby declare to the undersigned authority that we were present and saw the Testatrix sign and execute the instrument as her Will, and that she had signed willingly and that she executed it as her free and voluntary act for the purposes therein expressed, and that each of the witnesses, in the presence and hearing of the Testatrix, signed the Will as witness and that to the best of their knowledge the Testatrix was at that time eighteen years of age or older, of sound mind and under no constraint or undue influence; and I, the said Testatrix, do hereby acknowledge that I signed and executed the instrument as my Last Will, that I signed it willingly and that I signed it as my free and voluntary act for the purposes therein expressed. before me , 199L. ~y , . I NoIaIiaI SeeI ~A. WIday, NoIaryNic F_Twp., YCllkCounly My Comnissioo 6<pites Ma<<:h 14, 1994 MemI:leI,l'<lmsylvania_ of NoIaries Law Office of SHAUN E. O'TOOLE 2813 North Sec:ond Street Haaisburg, Peonsyivania 17110 (717) 213-6653 Fax (717) 213-0272 October 25, 2005 Mr. SU:venS.~ 143 SouthEnoJaDrive Enola, PeoDsylvania 17025 Re: EsCate ofSJdrtey Kadb- Dear Steven: . As you know, I have been .~ by Colin and Sherry to provide J.ega1 .epa..? . ""';on in tegard to 1bcir ",t...;..i"",,"ng your motber's esIlde. It apJJC8t.. 1hat your motber's fI""l"'''''''f\ wIae yon .........4ly reside, is the only ,.;~ asset of the esIlde. One of Colin's IIDd Sbary's J.ega1 oh1i~ as ft.;p.I.ult; of the eslaIe is to sell the residaK:e. Colin bas inm.....wltbat he bas had some m--m....... with yon .qpdiug the sale of the house and you ~ a desire to pIJIChase the woidence by .....lrn1g monthly payments over a period ofyetllS. Uofu.l.....mely, tbatisDOt:fi:asJ.ole wben 1he seller of the pIoperty is an eslaIe.. My nnd. '" ~l_'~g is that the esllIte will list the house fur sale fur $80,000 - $85,000. If you can 8lIBin finanr.it,g. the esllIte can worlr. with yon and reduce the sale price by applyiDg your one-tbini .d..d in 1he esIB1e ~ 1he sale price. Howoever, to do 1his, the eslaIe is obligated 10 rec:eive the eotire sale price :fi:omyou at c1n.<ri11g The esllIte is notable to sell it to yon in an ........Ibn~ sale. Collin said yon have also ""I"~ a.GSl in reloading elsewhere, possIoly Perry County. If1hat is the case. the esllIte can wmk with yon and possible advance 10 you a portion of your share of the esllIte to eoable you to purc:base a neW place to work. Unfurtuoal:ely, hu....na, 1he l5~3'1'''8 meJeplly ohI~ to JIIO'IIe on 1he sale of 1he pl()~l,)'. Please let:me or Colin know if you intP.nd 10 purobase the j)J.0pat,y in a WIlYCIIliODlll sale whereby you 00un~ the fimds needed to clOllll on the p<Opcaly. The estate requests that you provide the estate with notice of your intP.nrinu to purcbase, ~ with a (,on......'.._d :fi:om your leoder1hatyouhave qualified fur a loan 10 Exhibit "B" purchase the property. If the estate does not receive such a notice by November 5, 2005, we will assume that you do not intend to purchase the property. If you do not intend to purchase 1he lBu(Jdty, this letter serves as notice that you need to leave the plu1"" li by November 15, 2005, to allow the administration of the estate to move forward. Very truly yours, ~t.~ ~ Shaun E. O'Toole SEO/slf Page 1 ofl 1-- DacIlelItllnlllr. KIIIIlIIIf._SCCIIl :.J- POLICE CRIMINAL COMPLAINT AFFIDAVIT of PRbaABLE CAUSE On~).~"l._faao Iloln" C.lIlll... HIlI1hIrSuDln, _-'dIU Inllll......Gl... CIlIII.a~jW 1n..In.~tItII.....afcnd:lXIIlII. 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AND W.......crTO TBBBI'.8T OFMY KNOWI~ JNllORM.\TJOlII, AND ART ___, ~ -MdrrL~-f;?;-- lIlI& _of IfOV Of _. . <'. .:1' ~ .' iio'! ... . ~ ~1It1 11. DiIIllGt Mlgt ; - . - SEAL ... My4lllll~. lIfDll__.... Monday;' Mlu8Iy,~. . '; 1',. t. ..... . .. ",' ~4_..t\!l Exhibit "c" -p \.) "'4- tr\ \i- r' \l:. Y1 CI) - \.v 0- ---J ""v ~ Lv r- - lrt 1- ---C. '4~ (-:: c..... ~ C~, .,.. .",., If) ,",l ... -(\ .c ,) .,~ : ....;.- Ai- IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA . M! 2 n 2006 /,;}Lj SHERRY L. BAKER and COLIN X. KREITZER, Administrators of the Estate of SHIRLEY KREITZER, Deceased, Civil Action - Law Plaintiff No. Ot.. ~ 4/1 (3~;L~9a."'1 vs, STEVEN S. KREITZER Defendant ORDER OF COURT AND NOW, this ;? /) ~ay of ~ ,2006, u on consideration of Plaintiffs Complaint to Evict Under Expedited Eviction of Traffickers Act, a hearing is scheduled fO~rM 3/ , 006, at ci ;' DO *. M, in Courtroom No..5 , Cumberland County Court ouse, Carlisle, Pennsylvania. BY ORDER OF COURT, J. ks . hj3SL -'3it----J(1<I3S 17 ~0'7 jjtV3fs "-3F...L.,O 1-td of-~r?,(b JJ7e.C"o~v:,d ~JoO - .ere/' G:), ,r \ p~,.J 1 '~,'I--' C;d , '-,' ',~ " " ~ '-, ;<; : SHERIFF'S RETURN - REGULAR CASE NO: 2006-00411 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND BAKER SHERRY L ET AL VS KREITZER STEVEN S SHARON LANTZ Sheriff or Deputy Sheriff of Cumberland County, Pennsylvania, who being duly sworn according to law, says, the within NOTICE & COMPLAINT was served upon KREITZER STEVEN S the DEFENDANT , at 1340:00 HOURS, on the 23rd day of January , 2006 at 143 SOUTH ENOLA DRIVE ENOLA, PA 17025 by handing to STEVEN S KREITZER a true and attested copy of NOTICE & COMPLAINT together with TO EVICT UNDER EXPEDITED EVICTION OF DRUG TRAFFICKERS ACT & ORDER OF COURT and at the same time directing His attention to the contents thereof. Sheriff's Costs: Docketing Service Postage Surcharge So Answers: 18.00 13.20 .39 10.00 .00 41.59 rg..~,,",,:,<'.~.~ R. Thomas Kline me this lIL (AI,~ day of 01/24/2006 MDW&O ~ ? By: ) j -{ /;.{ r?--Z Deputy Sheriff Sworn and Subscribed to before A.D. y SHERRY L. BAKER and COLIN X. KREITZER, Administrators of the Estate of SHIRLEY KREITZER, Deceased IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW V. 06-411 CIVIL TERM STEVEN E. KREITZER IN RE: COMPLAINT TO EVICT UNDER EXPEDITED EVICTION OF DRUG TRAFFICKERS ACT ORDER OF COURT AND NOW, January 31, 2006, after initial hearing in this particular matter, the matter is continued to allow the plaintiffs to provide evidence from the police department in question as to the nature of the drug-related activity occurring within the contested residence. Counsel for the plaintiff is directed to file a memorandum of law with the Court within ten days addressing the question of whether or not this is an "individual rental unit leased to the tenant", as contemplated under the Expedited Eviction of Drug Traffickers Act. The continued hearing in this matter will be conducted on February 16, 2005, at 10:30 a.m. in Courtroom Number 5. By the Court, M~1c,~~ Shaun E. O'Toole, Esquire 2813 North Second Street Harrisburg, Pa. 17110 For the Administrators Steven E. Kreitzer 143 South Enola Drive Enola, Pa. 17025 ~,~ 01 -0/- DC, '-----r~ , :mtf -'.,. '~,~~,11'1'1" _ .:," t'J S G :5 \,IV 1- 233 9DOl Al:lViU,)r.Jd_l:JC:d 3H1 :lO 381:L1CrCl:111:l SHERRY L. BAKER and COLIN X. KREITZER, Administrators of the Estate of SHIRLEY KREITZER, Deceased IN THE COURT OF COMMON PLEAS OF. CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW V. 06-411 CIVIL TERM STEVEN E. KREITZER IN RE: COMPLAINT TO EVICT UNDER EXPEDITED EVICTION OF DRUG TRAFFICKERS ACT ORDER OF COURT AND NOW, this 16th day of February, 2006, after hearing, the Court finds by a preponderance of the evidence that Steven S. Kreitzer did participate in drug-related criminal activity at 143 South Enola Drive, Enola, Cumberland County, Pennsylvania. Accordingly, it is hereby ordered and directed: 1. That possession of all of the real estate located at 143 South Enola Drive, Enola, Cumberland County, Pennsylvania, is hereby awarded to the plaintiffs and the estate of Shirley Kreitzer. 2. The defendant shall refrain from damaging the property in any fashion and shall totally vacate the property by six o'clock p.m. on Tuesday, February 22, 2006. 3. The defendant shall pay the costs of these proceedings from his share of the decedent's, Shirley Kreitzer's, estate. 4. The defendant shall pay attorney's fees to the plaintiffs in the amount of $2000.00 to be paid from the defendant's share of the decedent Shirley Kreitzer's estate. By the Court, M. L~"~' "~ ~ ,\ //---- ---------/ Baker and Kreitzer V Kreitzer 06-411 Civil Term Shaun E. O'Toole, Esquire 2813 North Second Street Harrisburg, Pa. 17110 For the Administrators Steven E. Kreitzer 143 South Enola Drive Enola, Pa. 17025 :mtf ) ~ ~ { 7 -O~ C~ ')1,~L jlf; SHERRY L, BAKER and COLIN X. KREITZER, Administrators of the Estate of SHIRLEY KREITZER, Deceased IN THE COURT OF COMMON PLEAS OF. CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW V. 06-411 CIVIL TERM STEVEN E. KREITZER IN RE: COMPLAINT TO EVICT UNDER EXPEDITED EVICTION OF DRUG TRAFFICKERS ACT ORDER OF COURT AND NOW, this 16th day of February, 2006, after hearing, the Court finds by a preponderance of the evidence that Steven S. Kreitzer did participate in drug-related criminal activity at 143 South Enola Drive, Enola, Cumberland County, Pennsylvania. Accordingly, it is hereby ordered a~d directed: 1. That possession of all of the real estate located at 143 South Enola Drive, Enola, Cumberland County, Pennsylvania, lS hereby awarded to the plaintiffs and the estate of Shirley Kreitzer. 2. The defendant shall refrain from damaging the _ 1 , ~ H~"---'-r'~ -i-'-~,n Ylrrl1l>=:>rt-v nv M, L. EBERT, JR. JUDGE ()~~ if/I (d; (L.. ~,j . ONE COURTHOUSE SQUARE: CARLISLE:, PA 17013-3387 >{ I T"i Steven E. Kreitzer 143 S. Enola Dr. Enola, Pa. 17rv,r:: :, F( F I 111' ~".;; ":.:- '.' ... '{..... :'~ /,' i?! '~:1 .'i.i.... ".-\,-.' 1< Fi~~:Tj..;Fi\; TCJ ';"U Fi....Jr:J F.D .i-~.........:-..-._..-. ~.... 1~u~5;3!234g~~O~~~2 1,,,jll,,,jll,,,,,,jj,,II,,,II,,,IJ..,j.j,,IJ.I,),,J,j,,),j,,/