HomeMy WebLinkAbout06-3672OL.- - 3,(,7p,_
Leon P. Haller, squire
Purcell, Krug & Haller
1719 North Fro t Street
Harrisburg, PA 7102
717.234.4178
mtg@pkh.com
MIDFIRST
Plaintiff
CIVIL ACTION - LAW
WILLIAM C.
You hav
within twenty (2(
filing in writing N
the case may pro,
claim in the Com
important to you.
YOU SI
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Defendant
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PENNSYLVANIA
ACTION OF MORTGAGE FORECLOSURE
THIS FIRM IS A DEBT COLLECTOR AND WE ARE ATTEMPTING TO COLLECT
A DEBT OWED TO OUR CLIENT. ANY INFORMATION OBTAINED FROM YOU
WILL BE USED FOR THE PURPOSE OF COLLECTING THE DEBT.
NOTICE
been sued in court. If you wish to defend against the claims set forth in the following pages, you must take action
days after the Complaint and notice are served, by entering a written appearance personally or by attorney and
th the court your defenses or objections to the claims set forth against you. You are warned that if you fail to do so
ed without you and ajudgment may be entered against you by the Court without further notice for any money
aint of for any other claim or relief requested by the Plaintiff. You may lose money or property or other rights
fLD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER OR
ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN
CUMBERLAND COUNTY LAWYER REFERRAL SERVICE
CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE
CARLISLE, PA 17013
717-249-3166
AVISO
LE HAN EMANDADO A USTED EN LA CORTE. SI DESEA DEFENDERSE CONTRA LAS QUEJAS PERESENTADAS, ES
ABSOLUTAMEN NECESSARIO QUE USTED RESPONDA DENTRO DE 20 DIAS DESPUES DE SER SERVIDO CON ESTA DEMANDA
Y AVISO. PARR FENDERSE ES NECESSARIO QUE USTED, 0 SU ABOGADO, REGISTRE CON LA CORTE EN FORMA ESCRITA, EL
PUNTO DE VISTA E USTED Y CUALQUIER OBJECCION CONTRA LAS QUEJAS EN ESTA DEMANDA.
RECUE E: SI USTED NO REPONDE A ESTA DEMANDA, SE PUEDE PROSEGUIR CON EL PROCESO SIN SU
PARTICIPACION. NTONCES, LA COUTE PUEDE, SIN NOTIFICARIO, DECIDIR A FAVOR DEL DEMANDANTE Y REQUERIRA QUE
USTED CUMPLA ON TODAS LAS PROVISIONES DE ESTA DEMANDA. POR RAZON DE ESA DECISION, ES POSSIBLE QUE USTED
PUEDA PERDER D ERO, PROPIEDAD U OTROS DERECHOS IMPORTANTES.
LLEVE E TA DEMANDA A UN ABOGADO IMMEDIATEAMENTE.
St NO
ABOGADOS), (
A UN ABOGADO, LLAME AL "LAWYER REFERENCE SERVICE" (SERVICIO DE REFERENCIA DE
CUMBERLAND COUNTY LAWYER REFERRAL SERVICE
CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE
CARLISLE, PA 17013
717-249-3166
MIDFIRST B?NK, I IN THE COURT OF COMMON PLEAS
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
WILLIAM C.
V&
Defendant
CIVIL ACTION LAW
ACTION OF MORTGAGE FORECLOSURE
THE FOLILOWING NOTICE IS BEING PROVIDED PURSUANT TO THE FAIR DEBT
COLLECTION PRACTICES ACT, 15 U.S.C. 1601
undersigned attorney is attempting to collect a debt owed to the Plaintiff, and any
-oration obtained will be used for that purpose. The amount of the debt is stated in this
iplaint. Plaintiff is the creditor to whom the debt is owed. Unless the Debtor, within thirty
days after your receipt of this notice disputes the validity of the aforesaid debt or any
on thereof owing to the Plaintiff, the undersigned attorney will assume that said debt is
J. If the Debtor notifies the undersigned attorney in writing with the said thirty (30) day
od that the aforesaid debt, or any portion thereof, is disputed, the undersigned attorney shall
in written verification of the said debt from the Plaintiff and mail same to Debtor. Upon
ten request by Debtor to the undersigned attorney within said thirty (30) day period, the
rsigned attorney will provide debtor with the name and address of the original creditor if
;rent from the current creditor.
PURCELL, KRUG & HALLER
1714 North Front Street
Harrisburg, PA 17102
(717) 234-4178
Attorney I.D.#t 15700
Attorney for Plaintiff
MIDFIRST Br, IN THE COURT OF COMMON PLEAS
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
WILLIAM C.
VS.
pG _ 367 ,Z. CIVIL ACTION - LAW
ACTION OF MORTGAGE FORECLOSURE
Defendant
COMPLAINT IN MORTGAGE FORECLOSURE
2. Defenc
STRE]
3. On or
of $57,
hereto
4. Conter
secure
real esi
Comm
premis
in the
MIDFI
said M
5. The lar
particu
is MIDFIRST BANK, a corporation whose address is 999 N.W. GRAND BOULEVARD
100 OKLAHOMA CITY, OK 73118.
WILLIAM C. SAXTON, is an adult individual whose last known address is 530 3RD
ENOLA, PA 17025.
October 31, 1996, the said Defendant executed and delivered a Mortgage Note in the sum
payable to NORTH AMERICAN MORTGAGE COMPANY, which Note is attached
marked Exhibit "A".
raneously with and at the time of the execution of the aforesaid Mortgage Note, in order to
ment of the same, Defendant made, executed, and delivered to original Mortgagee, a certain
Mortgage which is recorded in the Recorder of Deeds Office of the within County and
Health in Mortgage Book 1349, Page 1016 conveying to original Mortgagee the subject
The Mortgage was subsequently assigned to HOMESIDE LENDING, INC. and was recorded
-said County in Mortgage Book 552, Page 446. The Mortgage was subsequently assigned to
f BANK and was recorded in the aforesaid County in Mortgage Book 696, Page 281. The
and Assignments are incorporated herein by reference.
subject to the Mortgage is: 530 THIRD STREET WEST FAIRVIEW, PA 17025 and is more
described in Exhibit "B" attached hereto.
6. The sail Defendant is the real owner of the property.
7. The
rtgage is in default due to the fact that Mortgagor has failed to pay the installment due on
01, 2006 and all subsequent installments thereon, and the following amounts are due on the
;t at $13.16 per day
12/01/2005 To 07/01/2006
i on contract rate of 8.5000%)
mulated Late Charges
Charges $23.10
01/01/2006 to 07/01/2006
Credit
AL
PRINCIPAL BALANCE
Fee at 5% of Principal Balance
$56,531.59
$2,789.92
$535.11
$138.60
($170.49)
$2,826.58
$62,651.31
with interest at the per diem rate noted above after July 01, 2006 and other charges and costs
to date lof Sheriff s Sale.
8. No jud
9. Notice
1974 is
10. Defenc
way w
he attorney's fees set forth above are in conformity with the Mortgage documents and
ania law, and will be collected in the event of a third party purchaser at Sheriff's Sale. If the
is reinstated prior to the sale, reasonable attorney's fees will be charged that are actually
by Plaintiff.
has been entered upon said Mortgage in any jurisdiction.
Intention to foreclose and accelerate the loan balance pursuant to Pennsylvania Act No. 6 of
not required in that the original principal balance exceeds $50,000.00.
is not a member of the Armed Forces of the United States of America, nor engaged in any
would bring him within the Soldiers and Sailors Relief Act of 1940, as amended.
11. Plaintiff has complied with the procedures required by Pennsylvania Act No. 91 of 1983 (Homeowners'
mortgage Assistance Payments Program) and Defendant has either failed to meet the time
as set forth therein or has been determined by the Housing Finance Agency not to qualify for
Plaintiff demands judgment in mortgage foreclosure "IN REM" for the aforementioned
total amount d?e together with interest at the rate of 8.5000% ($13.16 per diem), together with other charges
and costs
of the
ding escrow advances incidental thereto to thejateO Ps Sale and for foreclosure and sale
within described.
By:
PURCELL, KRUG & HALLER
Leon P. Haller, Esquire
Attorney for Plaintiff
I.D. # 15700
1719 N. Front Street
Harrisburg, PA 17102
(717-234-4178)
A110 0
A NOTE . LH!- OOLAPP55
10929
NOTICE: THIS LOAN IS NOT ASSUMABLE WITHOUT THE
APPROVAL OF THE DEPARTMENT OF VETERANS AFFAIRS
OR I S AUTHORIZED AGENT.
OCTOB R 31, 1996 CAMP HILL PENNSYLVANIA
[Date] [City] [State]
530 THIRD STREET, WEST FAIRVIEW, PA 17025-3100
[Property Address)
L BORR WER'S PROMISE TO PAY
In ret rn for a loan that I have received, I promise to pay U.S. $ 57,900.00 (this amount is called
principal"), plus interest, to the order or the Lender. The Lender is NORTH AMERICAN MORTGAGE COMPANY
I understand
that the Le der may transfer this Note. The Lender or anyone who takes this Note by transfer and who is entitled to receive
payments rider this Note is called the "Note Holder."
2. INTEREST
Inter en will be charged on unpaid principal until the full amount of principal has been paid. I will pay interest at a
yearly rate f 8.600 %.
The i terest rate required by this Section 2 is the rate I will pay both before and after any default described in Section
6(11) of thi Note.
3. PAYMENTS
(A) Time and Place of Payments
I will ay principal and interest by making payments every month.
I will make my monthly payments on the 1ST day of each month beginning on DECEMBER 01
1995 . I will make these payments every month until I have paid all of the principal and interest and any other
charges described below that I may owe under this Note. My monthly payments will be applied to interest before principal.
If, on NO EMBER 01 , 2026 , I still owe amounts under this Note, I will pay those amounts in full on
thatdate, which is called the "Maturity Date."
I will make my monthly payments at 3883 AIRWAY DR I VE , SANTA ROSA, CA 95403
or at a different place if required by the Note Holder.
(B) mount of Monthly Payments
My onthly payment will be in the amount of U.S. $ 445.21
4.BORR WER'S RIGHTTO PREPAY
I hav the right to make payments of principal at anytime before they are due. A payment of principal only is known as a
prepayment." When I makea prepayment, I will tell the Note Holder in writing that I am doing so.
I ma make a Full prepayment or partial prepayments without paying any prepayment charge. The Note Holder will use
all of my repayments to reduce the a mount of principal that 1 owe under this Note. If I make a partial prepayment, there will
beno cha ges in the due date or in the amount of my monthly payment unless the Note Holder agrees to writing to those
changes.
5. LOAN CHARGES
If a h w, which applies to this loan and which sets maximum loan charges, is finally interpreted so that the interest or
other loan charges collected or to be collected in connection with this loan exceed the permitted limits, then: (i) any such loan
charge sh II be reduced by the amount necessary to reduce the charge to the permitted limit; and (ii) any sums already
collected f om me which exceeded permitted limits will be refunded tome. The Note Holder may choose to make this refund
by reduci g the principal I owe under this Note or by making a direct payment to me. If a refund reduces principal, the
reduction vill be treated as a partial prepayment.
6. BORROWER'S FAII,UR13T0 PAY AS REQUIRED
(A) ate Charge for Overdue Payments
If the Note Holder has not received the full amount of any monthly payment by the and of 15 calendar days after
the date it is due, I will pay a late charge to the Note Holder. The amount of the charge will be 4.00%
of my overdue payment. I wil I pay this late charge promptly but only once on each late payment.
Default
IffI I)d notpay thefull amountof cach monthly payment on the date it is due, I will beindefault.
MULTISTATE FIXED RATE NOTE-single Family-FNMA//pFHLMC Uniform Instrument
SV a04) FurAmonUgedl4%$1
VMP MOR GAGE FORMS • (313)293-8 100 1900521-7191
?- 11 °!/LC4 IIIINIII?ININ?IN??INN1?1??11 III?? I?I?IIIIIIINIIII{
? I It
(C) Notice of Default •
If I am in default, the Vote Holder may send me a written notice telling me that if l do not pay the overdue amount by a
ertain date, the Note Holder may require me to pay immediately the full amount of principal which has not been paid and all
to interest that I owe on that amount. That date most beat least 30 days after the date on which the notice is delivered or
(D) No Waiver By Note Holder
Even if, at a time when I am in default, the Note Holder does not requite me to pay immediately in full as described
ove, the Note Holder will sti II have the right to do so if I am in default at a later time.
(E) Payment of Note Holder's Costs and Expenses
If the Note Holder has required me to pay immediately in full as described above, the Note Holder will have the right to
paid back by me for ail of i is costs and expenses in enforcing this Note to the went not prohibited by applicable law. Those
penses include, for example, reasonable attorneys fees.
GIVING OF NOTICES
Unless applicable late requires a different method, any notice that must be given to me under this Note will be given by
livering it or by mailing it by first dam mail tome at the Property Address above or at a different address if I give the Note
uldera noticeof my differentaddress.
Any notice that must be given to the Note Holder under this Note will be given by mailing it by first class mail to the
ate Holder at the address stated in Section 3(A) above or at a different address if I am given a noticeof that different address.
OBLIGATIONS OF PERSONS UNDERTHIS NOTE
If more than one person signs this Note, each person is fully and personally obligated to keep all of thepromises madein
is Note, including the promise to pay the full amount owed. Any person who is a guarantor, surety or endorser of this Note
also obligated to do these things. Any person who takes over these obligations, including the obligations of a guarantor,
rety or endorser of this f ,otc, is also obligated to keep all of the promises made in this Note. The Note Holder may enforce
rights under this Note against each person individually or against all of us together. This means thatany one of us may be
qui red to pay all of the am Bunts owed under this Note.
WAIVERS
I and any other person who I,as obligations under this Note waive the rights of presentment and notice of dishonor.
'resentment" means the right to require the Note Holder to demand payment of amounts duce. "Notice of dishonor' means
e right to require the Note [folder to give notice to other persons that amounts duchave not been paid.
1. ALLONGE TO THIS NOTE
It an allonge providing for payment adjustments or for any other supplemental information is executed by the Borrower
gether with this Note, the covenants of theallonge shall be incorporated into and shall amend and supplementthe enve]ants
this Note as if the allonge were a part of this Note. [Check applicable box]
?Graduated Payment Allonge ?Other [Specify] ?Other [Specify]
1. UNIFORM S13CURLD NOTE
This Note is a uniform instrument with limited variations in some jurisdictions. In addition to the protections given to
he Note Holder under this Note, a Alortgage, Deed of Treat or Security Deed (the "Security Instrument"), dated the same
ate as this Note, protects the Note Holder from possible losses which might result if I do not keep the promises which I
nake in this Note. "That Security Instrumentdescnbeshow and under what conditions 1 maybe required to make immediate
avmenuin fulI of all amounLa Ioweunderthis Note. Some ofthose conditions aredescribed asfollows:
Regulations 08 C.F.R. Part 36) issued under the Department of Veteran's Affairs ("V.A.') Guaranteed Loan
Authority (38 US.C. Chapter 37) and in effect on the date of loan closing shall govern the rights, dudes and
liabilities of the parties m this loan and any provisions of this Note which are inconsistent with such reguladmistare
hereby amended and supplemented to conform thereto.
HAND(S) AND SEAL(S) OF THE UNDERSIGNED.
`
C / n!".. (Seel) -
WILLIAM C SAXION -Borrower
SN: 162-36-7699 SSN:
(Seal) _
-Emmwar
SN: SSN:
-(W)
-Bwmwar
_ (Seal)
-Borrower
r31gh Original only)
-6V ,42041 ".p 2 0 2 From 3200 12183
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RO?SIDP+LE1IpXRG,
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NQR1N A?tEFdCAr? MQ?GAQE CQFAPAWY
waft
dY
Rebekah De Bel
?ntSecretary
?AY TO T6E ORDER OF :• F'I
'ids:
WITHOUT PECOURSE
AOK'SSIny 121011G, INC.
J,, '} n d
IRU 14' KYlL
SENIOR VICE PRESIDUT
THAT CERTAIN piece or parcel of land situate in the Borough of West
rview, Cumberland County, Pennsylvania, bounded and described as
lows, to wit:
BEGINNING at a point in the western line of Third Street at or opposite
the center of the partition wall dividing properties known as No. 528
and tic. 530 Third Street, said point being one hundred thirty three
and seventy six-one hundredths (133.76) feet south of the southwest
corner of the intersection of Third Street and May Avenue; thence
westwardly through the center of the partition wall dividing
properties known as No. 528 and No. 530•Third Street and beyond one
hundred two (102) feet, more or less, to a point in the eastern line
of a Twenty (20) feet wide Alley; thence northwardly along the eastern
line of said Twenty (20) feet wide Alley twenty one and five-tenths
(21.5) feet to a point; thence eastwardly along lands now or late of
Charles R. Barns one hundred two (102) feet, more or less, to a point
in the western line of Third Street; thence southwardly along the
western line of Third Street twenty one and five-tenths (21.5) feet to
a point, the Place of BEGINNING.
COMP
NAME: MIDFIRST BANK
VERIFICATION
that the statements made in the foregoing Complaint are true and correct.
I understand that false statements herein are made subject to the penalties of 18 Pa. C.S.
Section 4904 relating to unswom falsification to authorities.
Title ....
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LEON P. HALLER, ESQUIRE
PURCELL, KRUG & HALLER
1719 NORTH FRONT STREET
HARRISBURG, PA 17102-2392
(717) 234-4178
ATTORNEY FOR PLAINTIFF
MIDFIRST BANK IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
Plaintiff
NO. 06-3972 CIVIL TERM
VS.
IN MORTGAGE FORECLOSURE
WILLIAM C. SAXTON
Defendant
MOTION FOR SERVICE OF PROCESS
IN REAL PROPERTY ACTION
IN ACCORDANCE WITH RULES 410 & 430
OF PENNSYLVANIA RULES OF CIVIL PROCEDURE
Plaintiff, MidFirst Bank, through it's counsel, Leon P.
Haller, Esquire, hereby respectfully submits:
1. Plaintiff has brought a mortgage foreclosure action
whereupon it seeks to foreclose against certain property owned by the
Defendants located at 530 Third Street, West Fairview, Pennsylvania
17025.
2. The Sheriff attempted service upon Defendant, William C.
Saxton, at the property address nine times and was unable to serve
Defendant. An investigation was commenced and no alternative
addresses were provided.
3. Plaintiff has conducted an investigation in order to
determine the whereabouts of the Defendant, William C. Saxton as set
forth on the attached Affidavit.
4. Notwithstanding the investigation as set forth in the
within Affidavit, Plaintiff has been unable to serve said Defendant,
William C. Torres.
5. Plaintiff requests an order directing service by posting a
copy of the original Complaint on the most public part of the
property and sending copies of the Complaint by ordinary and
registered/certified mail to the Defendant's last known address;
Plaintiff avers that the method of service sought here is the most
likely method to achieve the notice requirements of due process,
while at the same time permitting the Plaintiff to proceed with it's
in rem action.
WHEREFORE, Plaintiff requests that your Honorable Court direct
service as above requested.
PURCELL, KRUG & HALLER
By
Leon P. Halle
1719 North Front Street
Harrisburg, PA 17102-2392
(717)234-4178
Attorney ID #15700
Attorney for Plaintiff
Dated: September 1, 2006
LEON P. HALLER, ESQUIRE
PURCELL, KRUG & HALLER
1719 NORTH FRONT STREET
HARRISBURG, PA 17102-2392
(717)234-4178
ATTORNEY FOR PLAINTIFF
MIDFIRST BANK
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
VS.
WILLIAM C. SAXTON
Defendant
CIVIL ACTION - LAW
NO. 06-3972 CIVIL TERM
IN MORTGAGE FORECLOSURE
CERTIFICATION
I hereby certify that a copy of this document has been served
on all parties or their counsel of record.
PURCELL, KRUG & HALLER
By
Leon P.
1719 Nora
Harrisbu
(717) 234
Attorney
Attorney
ller
h Front Street
rg, PA 17102-2392
-4178
ID #15700
for Plaintiff
Dated: September 1, 2006
PURCELL, KRUG & HALLER
1719 NORTH FRONT STREET
HARRISBURG, PA 17102-2392
(717)234-4178
ATTORNEY FOR PLAINTIFF
MIDFIRST BANK IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
Plaintiff
vs.
WILLIAM C. SAXTON
NO. 06-3972 CIVIL TERM
IN MORTGAGE FORECLOSURE
Defendant
AFFIDAVIT OF REASONABLE INVESTIGATION
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF DAUPHIN ss:
Leon P. Haller, being duly sworn according to law, deposes and says that he is the attorney for
the Plaintiff in the above action in mortgage foreclosure, that he has personal knowledge concerning
the facts set forth in the attached Motion for Service of Process Pursuant to Rule 430, that he has
authority from the Plaintiff to make this affidavit, and that the facts set forth in the affidavit are true and
correct to the best of his knowledge, information, and belief, to wit:
That he has attempted to confirm the whereabouts of the Defendant, William C. Saxton, in the
above case, by conducting a reasonable search, which search included one or more of the following
as indicated by a checkmark:
X That he has utilized Lexis Smart Links Person Summary Report, a national search
database, with respect to the location of Defendant. None were provided.
X That he has contacted the U.S. Postal Service to obtain the last
known mailing address or any forwarding addresses.
X That he has attempted to locate persons of similar name to the Defendant, however
he has not been able to locate any.
X That he contacted Directory Assistance for any new listing for
Defendant, however, there are no new listings.
X That he has conducted a search of the Pennsylvania Department of
Transportation's records with respect to the location of the
Defendant, copies of the results are attached hereto and
made a part hereof. No additional address has been bound.
Leon P. Haller further deposes and says that after attempting to locate the Defendant,
William C. Saxton, by conducting a reasonable search as indicated above, he has been unable to
confirm the Defendant's whereabouts and location.
PURCELL, UG, & HALLER
BY
Leon P. Hall
1719 North Front Street
Harrisburg, Pa. 17102
(717)234-4178
Attorney for Plaintiff
Attorney I D# 15700
Sworn to and subscr be
before me on thi day
rte,
ber, 2006.
Notary Public
My commission expires: COMMONWEALTH OF SEAL ??? S$al
EEr-NrlbyLVANIA
() Sonka E. Pn=ack Notary Public
COY Of Harrleburg, Dauphin County
Y Canftebn Expires Sept. 26, 2009
Member, Pennsylvania Association of Notaries
June 7, 2006
Postmaster
ENOLA, PA 17025
City, State, Zip Code
PURCELL KRUG & HALLER
1719 N. FRONT STREET
HARRISBURG, PA 17102-2392
Request for Change of Address or Boxholder
Information Needed for Service of Legal Process
Please furnish the new address or the name and street address of a boxholder for the following
WILLIAM C. SAXTON
Address: 530 3RD STREET ENOLA, PA 17025 - IS THIS AN ENOLA ADDRESS, OR A WEST FAIRVIEW
ADDRESS??
NOTE: The name and last known address are required for change of address information. The name, if known, and
post office box address are required for boxholder information.
The following information is provided in accordance with 39 CFR 265.5(d)(6)(ii). There is no fee for providing
boxholder information. The fee for providing change of address information is waived in accordance with CFR
265.6(d)(1) and (2) and corresponding Administrative Support Manuel 352.44a and b.
1. Capacity of requester (e.g. process server, attorney, party representing
himself): ATTORNEY
2. Statute or regulation that empowers me to serve process (not required when requester is an attorney or party
except a corporation acting pro se must cite statute): NOT APPLICABLE
3. The names of all known parties to the litigation: WILLIAM C. SAXTON, Defendant; MIDFIRST BANK,
Plaintiff
4. The court in which the case has been or will be heard. CUMBERLAND COUNTY COURT OF COMMON
PLEAS
5. The docket or other identifying number if one has been issued: None as of above date
6. The capacity in which this individual is to be served (e.g. defendant or witness)
DEFENDANT
WARNING
THE SUBMISSION OF FALSE INFORMATION TO OBTAIN AND USE CHANGE OF ADDRESS INFORMATION OR BOXHOLDER
INFORMATION FOR ANY PURPOSE OTHER THAN THE SERVICE OF LEGAL PROCESS IN CONNECTION WITH ACTUAL OR
PROSPECTIVE LITIGATION COULD RESULT IN CRIMINAL PENALTIES INCLUDING A FINE OF UP TO $10,0000 OR
IMPRISONMENT OR (2) TO AVOID PAYMENT OF THE FEE FOR CHANGE OF ADDRESS INFORMATION OF NOT MORE THAN 5
YEARS, OR BOTH (TITLE 18 U.S.C. SECTION 1001).
1 Certify that the above information is true and that the address information is needed and will be used solely for
Service of legal connection with actual or prospective litigation.
Address:
Signature 1719 N. Front Street
Harrisbur_a, PA 17102
Leon P. Haller, Esquire
Printed Name
POST OFFICE USE ONLY
N
h
f
dd
d
fil
NEW
'S
ange o
a
ress or
er on
e.
o C or
BOXHOLDER'S POSTMARK
Not known at address given. NAME and STREET ADDRESS
Moved. Left no forwarding address.
No such address
C 0 0,12 CAS
1 PS
c?cidres
Page 1 of 1
TRANS UNION REPORT - TRACE
Exact Match between SSN on input and SSN on file.
Personal Information - FAD 8/14/2006
Reported
Name SAXTON, WILLIAM C
SSN 162-36-7698
Address 530, 3RD, ST, ENOLA, PA, 17025 11/1/1996
Address 713, MIFFLIN, AV, LEWISTOWN, PA, 17044 8/1/1993
Address 70, PO BOX 70, LEWISTOWN, PA, 17044
Serviced By:
TRANS UNION LLC
2 BALDWIN PLACE, P.O. BOX 1000
CHESTER, PA 19022
800-888-4213
END OF REPORT - TRANS UNION - 8/14/2006,13:41:09 CT
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EVOLUTION
laura ero
R% St#" an $710
hUp://www.whitepages.coml9900/search/FindPerson?flrstname_begins_with=l &firstname
8/14/2006
COMMONWEALTH OF PENNSYLVANIA
DEPARTMENT OF TRANSPORTATION
SAFETY ADMINISTRATION
HARRISBURG, PA 17123
8/10/06
PURCELL, KRUG 8 HALLER
1719 N FRONT ST
HARRISBURG PA 17102-0000
Dear Customer:
062221110000051 006
The Bureau of Motor Vehicles has received your request for information.
We are not able to provide this information because the record you requested,
as indicated below, does not exist in our files.
NAME : SAXTON,WILLIAM C
If you have any questions concerning this information, please contact
Vehicle Record Services at the address or telephone number listed below.
Sincerely,
Customer Service Team
Bureau of Motor Vehicles
ADDRESS CORRESPONDENCE TO:
Department of Transportation
Vehicle Record Services
PO Box 68691
Harrisburg, PA 17106-8691
INFORMATION: (8:00
IN STATE
OUT-OF-STATE
TDD IN STATE
TDD OUT-OF-STATE
www.dot.state.pa.us
AM TO 6:00 PM)
1-800-932-4600
717-412-5300
1-800-228-0676
717-412-5380
SHERIFF'S RETURN - NOT SERVED
CASE NO: 2006-03672 P
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
MIDFIRST BANK
VS
SAXTON WILLILAM C
R. Thomas Kline , Sheriff , who being duly sworn
according to law, says, that he made a diligent search and inquiry for
the within named DEFENDANT to wit:
TENANT but was
unable to locate Him in his bailiwick.
COMPLAINT - MORT FORE
the within named DEFENDANT , TENANT
530 THIRD STREET
NOT SERVED , as to
WEST FAIRVIEW, PA 17025
ATTEMPTED SERVICE 9 TIMES. SERVICE EXPIRED 7/27/2006
Sheriff's Costs:
Docketing
Service
Affidavit
Surcharge
So answers -?
6.00 -??
.00
* 00 R. Thomas
10.00 Sheriff of Cumberland County
.00
16.00 PUCELL KRUG HALLER
07/28/2006
Sworn and Subscribed to before me
this day of
He therefore returns the
A. D.
DPPA - 1. Litigation
GLBA - 2. Legal Compliance
Subject Summary I Others Using SSN (1) 1 Address Summary (6) Voter Registrations
Licenses Personal Property Real Property (1) Bankruptcies (1) Judgments & Liens (18)
Relatives (7) Associated Entities Neighbors (3) 1 Sources (31)
Name Variations View Name Variation Sources
1: SAXTON, WILLIAM C
DOBs View DOB Sources
1 1:104/1944
Others Using SSN
Others Using SSN
Address Summary
Address Summary - 6 records found for subject:
View Address Sources
1: 530 3RD ST Get Report
ENOLA, PA 17025-3130
COUNTY: CUMBERLAND View Details
2: PO BOX 70 Get Report
FOR rNFORNiA71ONIAL PURPOSES ONLY
Copyright 2005 LexisNesis,
a division of Reed Elsevier Inc. All Rights Reserved
Subject Summary Name Variations (1) SSNs Summary (1) DOBs (1)
SSNs Summary View SSN Sources
LEWISTOWN, PA 17044-0070
COUNTY: MIFFLIN View Details
3: 713 MIFFLIN AVE Get Report
LEWISTOWN, PA 17044-2804
COUNTY: MIFFLIN View Details
4: 4531 EVAN SDALE RD Get Report
WOODBRIDGE, VA 22193-2628
COUNTY: PRINCE WILLIAM View Details
5: 180 SVANDORN ST Get Report
ALEXANDRIA, VA
View Details
6: 3207 GLEBE RD Get Report
ARLINGTON, VA
View Details
Address Details
Address Dates Phones Actions
530 3RD ST
ENOLA, PA 17025-3130
COUNTY: CUMBERLAND 04/2006 (717) 732-5207 Get Report
View Neighbors
Census Data for this Geographical Region
Median Head of Household Age: 37
Median Income: $35,234
Median Home Value: $78,300
Median Education Level: 12 years
Residents Actions
BIGELOW, ROBERTA L
BIGLOW, ROBERTA L
PAXTON, ROBERTA L
SAXTON, ROBERTA L Get Report
DAVID, BIGELOW
BIGELOW, DAVVD L
BIGELOW, DAVID LOREN
BIGELOW, PRVT DAVID Get Report
BIGELOW, DANIEL R
Address
Dates
Phones Get Report
Actions
PO BOX 70
LEWISTOWN, PA 17044-0070
COUNTY: MIFFLIN 04/2000 Get Report
Census Data for this Geographical Region
Median Head of Household Age: 44
Median Income: $13,984
Median Home Value: $48,500
Median Education Level: 12 years
3: 713 M11-FLINAVE. LEWjs,row-.\, PA 17044-20
Address 4
Dates
Phones
Actions
713 MIFFLIN AVE
LEWISTOWN, PA 17044-2804
COUNTY: MIFFLIN 08/1993 Get Report
Census Data for this Geographical Region
Median Head of Household Age: 39
Median Income: $34,242
Median Home Value: $61,700
Median Education Level:
4: 4;31 EVANSDALE R-D, WQ0DBRlDCjf:, VA 22 1
Address
9' -26-18
Dates
Phones 12 years
Actions
4531 EVANSDALE RD
WOODBRIDGE, VA 22193-2628
COUNTY: PRINCE WILLIAM 12/1991 (703) 590-7680 Get Report
Census Data for this Geographical Region
Median Head of Household Age: 29
Median Income: $61,104
Median Home Value: $123,900
Median Education Level: 13 years
Residents Actions
SAXTON, CARD Get Report
SAXTON, CAROL
5: 180 SVANDORN ST, ALEXANDRIA, NIT.,',
Address
Dates
Phones Get Report
Actions
180 SVANDORN ST
ALEXANDRIA, VA
6: 320'7 (jLEBE RD, ARLINGTON, NYA
Address 01/1983
Dates
hones Get Report
Actions
3207 GLEBE RD
ARLINGTON, VA 01/1983 Get Report
Real Property
Real Property
View Real Property Sources
1: Property Rccord
Address: 530 3RD ST
ENOLA, PA 17025-3130
COUNTY: Cumberland
Owner Address: 530 3RD ST
ENOLA, PA 17025-3130
COUNTY: CUMBERLAND
Owner 1: SAXTON, WILLIAM C
Assessor's Parcel 45-16-1050-122
Number:
Sale Price: $57,900
Recording Date: 11/04/1996
Land Value: $10,000
Improvement Value: $51,660
Total Value: $61,660
Legal Description: LAND LESS THAN 1 ACRE RESIDENTIAL BUILDING
Type: ASSESSOR
Building Square Feet: 1134
Year Built: 1925
Tax Year: 2004
Assessed Value: $61,660
Tax Amount: $NaN
Bankruptcies
Bankruptcies
View Bankruptcy Sources
1: I'LNNSYLVANIA
Case Number: MIDDLE -HARRISBI.,?RG
0003049 - - _ _ - - - _
Original Case Num-
ber: 0003049
Chapter: 7
Original Chapter: 7
Filing Date: 07/12/2000
Date of Discharge: 10/26/2000
Disposition: Discharged.
Debtor Information
SSN: l 60-36-XXXX
Name(s): SAXTON, .ROBERTA
Address(es): 530 3RD ST
ENOLA, PA 17025-3130
COUNTY: CUMBERLAND
Debtor Information
SSN: 162-36-XXXX
Name(s): SAXTON, WILLIAM C
Address(es): 530 3RD ST
ENOLA, PA 17025-3130
COUNTY: CUMBERLAND
Attorney Information
Name: JEFF FOREMAN
Address: 4409 N FRONT ST
HARRISBURG, PA 17110
Phone: (717) 236-9391
Trustee Information
Name: MARKIAN R SLOBODIAN
Address: 801 N SECOND ST
HARRISBURG, PA 17108
Judgments & Liens
Judgments
Judgments (5) Additional Liens/Judgments (13)
View Judgment Sources
Co
7 Pennsylvania
Description:
Court Pennsylvania
Type: CIVIL NEW FILING
Debtor Name: SAXTON, WILLIAM C
Debtor Address: 530 3RD ST
ENOLA, PA 17025-3130
Debtor SSN: 162-36-XXXX
Creditor(s): C/O KNUPP, KODAK & IMBLUM, P.C.
Filing Number: CVOOOO19000
Filing Date: 05/23/2000
Amount:
2: PA.Iuhment Record
Court Location: $3,661
Pennsylvania
Court Description: Pennsylvania
Type: CIVIL NEW FILING
Debtor Name: SAXTON, WILLIAM C
Debtor Address: 530 3RD ST
ENOLA, PA 17025-3130
Debtor SSN: 162-36-XXXX
Creditor(s): GREAT SENECA FINANCIAL CORP, ETC
Filing Number: CV000019204
Filing Date: 05/11/2004
Amount:
3: PA Aidament ?Record
Court Location: $1,471
Pennsylvania
Court Description: Pennsylvania
Type: CIVIL NEW FILING
Debtor Name: SAXTON, WILLIAM C
Debtor Address: 530 3RD ST
ENOLA, PA 17025-3130
Debtor SSN: 162-36-XXXX
Creditor(s): EAST PENNSBORO TOWNSHIP
Filing Number: CV000027905
Filing Date: 06/17/2005
Amount:
Court Location: $1,583
Pennsylvania
Court Description: Pennsylvania
Type: SMALL CLAIMS JUDGMENT
Debtor Name: SAXTON, WILLIAM C
Debtor Address: 530 3RD ST
ENOLA, PA 17025-3130
Debtor SSN: 162-36-XXXX
Creditor(s): GREAT SENECA FINANCIAL CORP, ETC
Filing Number: CV000019204
Filing Date: 06/14/2004
Amount:
I&INInwrt
Court Location: $1,471
Pennsylvania
Court Description: Pennsylvania
Type: SMALL CLAIMS JUDGMENT
?e6tor ame:
Debtor Address: 530 3RD ST
ENOLA, PA 17025-3130
Debtor SSN: 162-36-XXXX
Creditor(s): EAST PENNSBORO TOWNSHIP
Filing Number: CV000027905
Filing Date: 07/26/2005
Amount: $1,583
Additional Judgments/Liens Records
ILien Records Get Documents (13)
Potential Relatives
"Potential Relatives
No.
1. Full Nij=.
SAXTON, CARO Addrc;?s.
4531 EVANSDALE RD
WOODBRIDGE, VA 22193-2628
COUNTY: PRINCE WILLIAM Phone
(703) 590-7680 Actions
Get Report
2. SAXTON, CAROL 4531 EVANSDALE RD (703) 590-7680 Get Report
WOODBRIDGE, VA 22193-2628
COUNTY: PRINCE WILLIAM
3. BIGELOW, ROBERTA L 530 3RD ST Get Report
AKA: BIGLOW, ROBERTA L ENOLA, PA 17025-3130
AKA: PAXTON, ROBERTA L COUNTY: CUMBERLAND
AKA.: SAXTON, ROBERTA L
SSN: 160-36-XXXX
(PENNSYLVANIA: 1961-1963)
DOB: 04/1945
DOB: 03/1945
3.1. BIGELOW, DON L 43 FORSYTHE ST Get Report
AKA: BIEELOW, DONALD L SAN DIEGO, CA 92154
AKA: BIGELOW, DONALD L COUNTY: SAN DIEGO
AKA: BIGELOW, DONALD L J
AKA: BIGELOW, DONALD
LEE
AKA: BIGLOW, DONALD L
AKA: VIGELOW, DONALD L
SSN: 172-56-XXXX
(PENNSYLVANIA: 1976-1977)
DOB: 12/1964
DOB: 1965
3.2. DAVID, BIGELOW 530 3RD ST Get Report
AKA: BIGELOW, DAVVD L ENOLA, PA 17025-3130
AKA: BIGELOW, DAVID COUNTY: CUMBERLAND
LOREN
AKA: BIGELOW, PRVT DAVID
SSN: 172-56-XXXX
(PENNSYLVANIA: 1976-1977)
DOB: 06/1972
3.3. BIGELOW, DANIEL R 530 3RD ST 5214564 Get Report
SSN: 172-56-XXXX ENOLA, PA 17025-3130
(PENNSYLVANIA: 1976-1977) COUNTY: CUMBERLAND
DOB: 08/1974
3.4. BIGELOW, DEBORA DIANE 580 S R RD Get Report
AKA: DOUGHERTY, DEBORA HALIFAX, PA 17032
DIANE COUNTY: DAUPHIN
AKA: OKELLEY, DEBORA D
SSN: 437-57-XXXX
(LOUISIANA: 1985-1986)
DOB: 02/1968
Neighbors
Neighbors
Name Address Phone Actions
NEWHOUSE, 528 3RD ST (717) 732-2682 Get Report
DWAYNE E ENOLA, PA 17025-3130
COUNTY: CUMBERLAND
BRICKER, ELEANOR 529 3RD ST (717) 732-9145 Get Report
M ENOLA, PA 17025-3132
COUNTY: CUMBERLAND
ATRZ, LEROY E 531 3RD ST (717) 732-2119 Get Report
ENOLA, PA 17025-3132
COUNTY: CUMBERLAND
Sources
Sources
All Sources 31 Source Documents
Bankruptcy Records I Source Document
Liens and Judgments 5 Source Documents
Person Locator 1 I Source Document
Historical Person Locator 10 Source Documents
Tax Assessor Records 13 Source Documents
Utility Locator 1 Source Document
Key:
High or moderate risk indicator. These flags may prompt you to investigate further
The most recent telephone listing as reported by the EDA source
Important: The Public Records and commercially available data sources used in Smartlinx(TM) Reports have errors. Data is sometimes entered
poorly, processed incorrectly and is generally not free from defect. This system should not be relied upon as definitively accurate. Before relying on
any data this system supplies, it should be independently verified For Secretary of State documents, the information contained in the Smardinx(TM)
Reports is for information purposes only and is not an official record Certified copies may be obtained from that individual state's Department of
State.
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SEP O 7 2006
MIDFIRST BANK
Plaintiff
vs.
WILLIAM C. SAXTON
Defendant
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
06 ` &,17-2
NO. 46--3A?rTt CIVIL TERM
IN MORTGAGE FORECLOSURE
ORDER FOR SERVICE
AND NOW, to wit, this III' day of S Lett^6t-'r , 2006, upon
consideration of the within Affidavit, is appearing that a good faith
investigation and effort to locate the Defendant, William C. Saxton,
has been made by Plaintiff, it is hereby
ORDERED that service of the Complaint be made by posting a
copy of the original Complaint on the most public part of the
property located at 530 Third Street, West Fairview, Pennsylvania
17025 and by forwarding a copy of the Complaint by
registered/certified mail and ordinary mail (service to be completed
by mailing), to Defendant, William C. Saxton, at his last known
addresses of 530 Third Street, West Fairview, Pennsylvania 17025, AND
FURTHER, that in the event this case should be reduced to judgment
and execution shall be issued, service upon the Defendant pursuant to
Rule 3129.2 (c)(1)(C) shall be effected by mailing copies of the
required notices to the Defendant at his last known address by
registered/certified mail and ordinary mail (service to be completed
upon mailing) and by posting a copy of the Notice of Sale or
Sheriff's handbill in the most public part of the premises and by
publication by Sheriff pursuant to Pennsylvania Rule of Civil
Procedure 3129.2 (d)
BY THE COURT
J.
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MIDFIRST BANK IN THE COURT OF COMMON PLEAS
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
vs. CIVIL ACTION - LAW
WILLIAM C. SAXTON ACTION OF MORTGAGE FORECLOSURE
Defendant(s)
Term 3i,'7 ,i
No. 06-333
PRAECIPE TO REINSTATE
TO THE PROTHONOTARY:
Kindly reinstate the complaint on the above captioned matter.
DATE: September 19, 2006
PURCELL, KRUG, & HALLER
BY
Leon P. aller
1719 North Front Street
Harrisburg, Pa. 17102
Attorney for Plaintiff
Attorney ID# 15700
CZ) o
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rya
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to
r 1 4. SHERIFF'S RETURN - NOT SERVED
CASE NO: 2006-03672 P
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
MIDFIRST BANK
VS
SAXTON WILLILAM C
R. Thomas Kline , Sheriff , who being duly sworn
according to law, says, that he made a diligent search and inquiry for
the within named DEFENDANT , to wit:
SAXTON WILLIAM C but was
unable to locate Him in his bailiwick. He therefore returns the
COMPLAINT - MORT FORE
the within named DEFENDANT
530 3RD STREET
, SAXTON WILLIAM C
NOT SERVED , as to
WEST FAIRVIEW, PA 17025
ATTEMPTED SERVICE 9 TIMES. SERVICE EXPIRED 7/27/2006
Sheriff's
18.00 So answer?.,?-- N,
Docketing Costs:
i' .
Service 42.24
Affidavit .00 R. Thomas Klin -
Surcharge 10.00 Sheriff of Cumberland County
.00
70.241.--'PURCELL KRUG HALLER
07/28/2006
q. 22. 0(1 1?-
Sworn and Subscribed to before me
this day of ,
A. D.
a
SHERIFF'S RETURN - NOT SERVED
CASE NO: 2006-03672 P
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
MIDFIRST BANK
VS
SAXTON WILLILAM C
R. Thomas Kline , Sheriff , who being duly sworn
according to law, says, that he made a diligent search and inquiry for
the within named DEFENDANT , to wit:
TENANT but was
unable to locate Him in his bailiwick. He therefore returns the
COMPLAINT - MORT FORE
the within named DEFENDANT , TENANT
530 THIRD STREET
NOT SERVED , as to
WEST FAIRVIEW, PA 17025
ATTEMPTED SERVICE 9 TIMES. SERVICE EXPIRED 7/27/2006
Sheriff's Costs: So answers: -~
Docketing 6.00
Service .00 Affidavit .00 R. Thomas K
Surcharge 10.00 Sheriff of Cumberland County
.00
16.00? PUCELL KRUG HALLER
9-,2.2AL 07/28/2006
Sworn and Subscribed to before me
this day of ,
A. D.
MIDFIRST BANK
Vs.
Plaintiff
WILLIAM C. SAXTON
Defendant(s)
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
D&-3(0?Q
CIVIL ACTION - LAW
IN MORTGAGE FORECLOSURE
AFFIDAVIT OF SERVICE
I, Leon P. Haller, hereby certify that a true and correct copy of the Complaint in the above
captioned action was forwarded to the following individuals by regular U. S. Mail, first class service,
postage prepaid, and by certified mail, return receipt requested, postage prepaid, on SEPTEMBER 27,
2006, addressed as follows:
WILLIAM C. SAXTON
530 3RD STREET
ENOLA, PA 17025
Attached hereto is the original Certificate of Mailing postmarked September 27, 2006 along with the
original Receipts for Certified Mail also postmarked September 27, 2006.
Leon P. Haller
SWORN to and subscribed
this 5?2 day of
20-&.
Notary Pu lic
My commission expires:
COMMONWEALTA OF
f"ii a+gY`,Pn'r«C
(SEAL) NobvW U4
Tram M. Bomstein, Notary Publid
C'?!y of i-Iarrisbury. Daip" C4un.ty
?. 21, 2C?7
Cot?issiaa Ex i;esAsT
ti
Midfirst Bank v. Saxton
U. S. POSTAL SERVICE
CERTIFICATE OF MAILING
(In compliance with Postal Service Form 3877)
Received from:
Purcell, Krug & Haller
1719 North Front Street
Harrisburg, PA 17102
One piece of ordinary mail addressed to
WILLIAM C. SAXTON
530 3RD STREET
ENOLA, PA 17025
7160 3901 9849 0762 5928
TO:WILLIAM C. SAXTON
530 3RD STREET
ENOLA, PA 17025
SENDER: TMB
REFERENCEM02090/31708-06 COURT
RECEIPT ied Fee
SERVICE rn Receipt Fee
RETURN kRestricted Y0
Delivery
Postage & Fees
uS Postal Service
Receipt for
Certified Mail
No Insurance Coverage Provided
Do Not Use for International Mail
Postage:
Postmark:
F
Tz'a'F?i.T /.II NF Y.1 IVA'.
$ ®0.950
7t'? ti35387'
MAILED FR0%1 ZIFC, DE .'2
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_ ?--?
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MIDFIRST BANK, IN THE COURT OF COMMON PLEAS
PLAINTIFF CUMBERLAND COUNTY, PENNSYLVANIA
WILLIAM C. SAXTON,
VS.
DEFENDANT(S)
CIVIL ACTION LAW
NO. 2006-3672 CIVIL
MORTGAGE FORECLOSURE
PRAECIPE
TO THE PROTHONOTARY OF THE WITHIN COUNTY:
Please enter JUDGMENT in rem in favor of the Plaintiff and against Defendant(s)
WILLIAM C. SAXTON for failure to plead to the above action within twenty (20) days from date of
service of the Complaint, and assess Plaintiff's damages as follows:
Unpaid Principal Balance
Interest
Per diem of $13.16
From 12/01/2005
To 07/01/2006
Accumulated Late Charges
Late Charges
($23.10 per month to
07/01/2006)
Escrow Deficit
5% Attorney's Commission
TOTAL
$56,531.59
$2,789.92
$535.11
$138.60
$170.49
$2,826.58
$62,651.31
"Together with additional interest at the per diem rate indicated above from the date herein, based on
the contract rate, and other charges and costs to the date of Sheriff's Sale.
PURCELL, KRUG &
By
Leon R.'11aller PA I.D. # 15700
1719 North Front Street
Harrisburg, PA 17102
(717) 234-4178
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MIDFIRST BANK,
PLAINTIFF
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
Vs.
WILLIAM C. SAXTON,
DEFENDANT(S)
CIVIL ACTION LAW
NO. 2006-3672 CIVIL
IN MORTGAGE FORECLOSURE
CERTIFICATE OF SERVICE
PURSUANT TO PA. R.C.P. 237.1
I hereby certify that on October 27, 2006 I served the Ten Day Notice required by Pa. R.C.P. on
the Defendant(s) in this matter by regular first class mail, postage prepaid, as indicated on the attached
Notice.
By
Leon P. Haller PA I.D. # 15700
Attorney for Plaintiff
Purcell, Krug & Haller
1719 North Front Street
Harrisburg, PA 17102
- , MIDFIRST BANK,
I Plaintiff
VS.
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY,
PENNSYLVANIA
NO. 06-3272
WILLIAM C. SAXTON
Defendant
CIVIL ACTION LAW
IN MORTGAGE FORECLOSURE
DATE OF THIS NOTICE: October 27, 2006
TO:
WILLIAM C. SAXTON
530 3RD STREET
ENOLA, PA 17025
THIS LAW FIRM IS A DEBT COLLECTOR AND WE ARE ATTEMPTING TO
COLLECT A DEBT OWED TO OUR CLIENT. ANY INFORMATION OBTAINED
FROM YOU WILL BE USED FOR THE PURPOSE OF COLLECTING THE DEBT.
IMPORTANT NOTICE
YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN APPEARANCE
PERSONALLY OR BY ATTORNEY AND FILE IN WRITING WITH THE COURT YOUR DEFENSES OR
OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU. UNLESS YOU ACT WITHIN TEN (10)
DAYS FROM THE DATE OF THIS NOTICE, A JUDGMENT MAY BE ENTERED AGAINST YOU
WITHOUT A HEARING AND YOU MAY LOSE YOUR PROPERTY OR OTHER IMPORTANT RIGHTS.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A
LAWYER, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE
YOU WITH INFORMATION ABOUT HIRING A LAWYER.
IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO PROVIDE YOU
WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICE TO ELIGIBLE
PERSONS AT A REDUCED FEE OR NO FEE.
CUMBERLAND COUNTY LAWYER REFERRAL SERVICE
CUMBERLAND COUNTY BAR ASSOCIATION
2 LIBERTY AVENUE
CARLISLE, PA 17013
717-249-3166
PURCELL, KRUG & HALLE
By
LEON P. HALL R, Attorney for Plaintiff
I.D. # 15700
1719 N. Front St., Harrisburg, PA 17102
(717) 234-4178
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MIDFIRST BANK,
VS.
PLAINTIFF
WILLIAM C. SAXTON,
DEFENDANT
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION LAW
NO. 2006-3672 CIVIL
IN MORTGAGE FORECLOSURE
NON-MILITARY AFFIDAVIT
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF DAUPHIN
SS
Personally appeared before me, a Notary Public in and for said Commonwealth and County,
LEON P. HALLER, ESQUIRE who being duly sworn according to law deposes and states that the
Defendant (s) above named are not in the Military or Naval Service nor are they engaged in any way
which would bring them within the Soldiers and Sailors Relief Act of 1940, as amended.
Sworn to and subscribed
before me this q- day
of 4) 20
o*1i1C
COMMONWEALTH OF PENNSYLVANIA
NOTARIAL SEAL
[,My ARYLAND K. FERRETTI, Notary Public
Lower Paxton Twp., Dauphin Count?yy
Co_ ission E ires Au l. 8 2010
LEON P
.AIALLER, ESQUIRE
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MIDFIRST BANK,
VS.
PLAINTIFF
WILLIAM C. SAXTON,
DEFENDANT(S)
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION LAW
NO. 2006-3672 CIVIL
IN MORTGAGE FORECLOSURE
NOTICE OF ENTRY OF JUDGMENT
TO THE ABOVE-NAMED DEFENDANTS:
You are hereby notified that on r 2m4. the following judgment has been entered
against you in the above-captioned matter:
$62,651.31 and for the sale and foreclosure of your property located at: 530 THIRD STREET
ENOLA, PA 17025
Dated: November 9, 2006
Attorney for Plaintiff.
Leon P. Haller
1719 North Front Street
Harrisburg, PA 17102
Phone: (717) 234-4178
PRO TARP
I hereby certify that the following person(s) and their respective addresses are the proper individuals to
receive this Notice pursuant to PA R.C.P. No. 236
WILLIAM C. SAXTON
530 THIRD STREET
ENOLA, PA 17025
t
MIDFIRST BANK,
WILLIAM C. SAXTON,
MORTGAGE FORECLOSURE
TO THE PROTHONOTARY OF THE WITHIN COUNTY:
PRAECIPE
Please enter JUDGMENT in rem in favor of the Plaintiff and against Defendant(s)
WILLIAM C. SAXTON for failure to plead to the above action within twenty (20) days from date of
service of the Complaint, and assess Plaintiff's damages as follows:
Unpaid Principal Balance
Interest
Per diem of $13.16
From 12/01/2005
To 07/01/2006
Accumulated Late Charges
Late Charges
($23.10 per month to
07/01/2006)
Escrow Deficit
PLAINTIFF
VS.
DEFENDANT(S)
5% Attorney's Commission
TOTAL
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION LAW
NO. 2006-3672 CIVIL
$56,531.59
$2,789.92
$535.11
$138.60
$170.49
$2,826.58
$62,651.31
"Together with additional interest at the per diem rate indicated above from the date herein, based on
the contract rate, and other charges and costs to the date of Sheriff's Sale.
PURCELL, KRUG &
By
Leon P!Haller PA I.D. # 15700
1719 North Front Street
Harrisburg, PA 17102
(717) 234-4178
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION - LAW AT NO. 2006-3672 CIVIL
MIDFIRST BANK,
VS.
PLAINTIFF
WILLIAM C. SAXTON,
DEFENDANT(S)
Total Judgment Amount $62,651.31
Interest $3,290.00
Per diem of $13.16 to sale
date 3/7/2007
Late Charges $731.98
$23.10 per month to sale
date 3/7/2007
Escrow Deficit $5,393.11
TOTAL WRIT $72,066.40
*Plus additional interest, late charges and other costs
to date of sheriffs sale.
SALE DATE: Wednesday, March 07, 2007
(PROTHONOTARY'S USE)
Pltf. Paid
Deft. Paid
Due Proth/Clerk
Other Costs
PRAECIPE FOR WRIT OF EXECUTION - MORTGAGE FORECLOSURE
TO THE PROTHONOTARY/CLERK OF SAID COURT:
Issue Writ of Execution in the above captioned
Date: November 9, 2006
Attorney for Plaintiff 11#11 .
1719 North Front Street Leo aller
Harrisburg, PA 17102 PA .D. #15700
(717) 234-4178
WRIT OF EXECUTION - MORTGAGE FORECLOSURE
COMMONWEALTH OF PENNSYLVANIA :
COUNTY OF CUMBERLAND
TO THE SHERIFF OF CUMBERLAND COUNTY:
SS
To satisfy the judgment, interest and costs in the above captioned case, you are directed to levy upon and
sell the property described in the attached description known as 530 THIRD ST T ENOLA, PA 17025
Date:
PRO/Tf ONO / E CIVIL DIVISION
BY
DEPUTY
v
ALL THAT CERTAIN piece or parcel of land situate in the Borough of West Fairview, Cumberland
County, Pennsylvania, bounded and described as follows:
BEGINNING at a point in the western line of Third Street at or opposite the partition wall dividing
properties known as No. 528 and No. 530 Third Street, said point being one hundred thirty three and
seventy-six one hundredths (133.76) feet south of the southwest corner of the intersection of Third and
May Avenue; thence westwardly through the center of the partition wall dividing properties known as
No. 528 and No. 530 Third Street and beyond one hundred two (102) feet, more or less, to a point in the
eastern line of a Twenty (20) feet wide Alley; thence northwardly along the eastern line of said Twenty
(20) feet wide Alley twenty one and five tenths (21.5) feet to a point ; thence eastwardly along lands
now or late of Charles R. Barns one hundred two (102) feet, more or less, to a point in the western line
of Third Street; thence nouthwardly along the western line of Third Street twenty one and five tenths
(21.5) feet to a point, the place of BEGINNING.
HAVING THEREON ERECTED THE NORTHERN ONE-HALF OF A TWO AND ONE-HALF
STORY FRAME DWELLING KNOWN AS: 530 THIRD STREET, ENOLA, PA 17025
BEING THE SAME PREMISES WHICH Stephen J. Bond, Jr. and Eleanor Bond, his wife, by deed dated
10/31/96 and recorded 11/4/96 in Cumberland County Deed Book 148, Page 662 granted and conveyed
unto William C. Saxton.
TO BE SOLD AS THE PROPERTY OF WILLIAM C. SAXTON ON JUDGMENT NO. 2006-3672
CIVIL
ASSESSMENT NO. 45-16-1050-122
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WRIT OF EXECUTION and/or ATTACHMENT
COMMONWEALTH OF PENNSYLVANIA)
COUNTY OF CUMBERLAND)
N006-3672 Civil
CIVIL ACTION - LAW
TO THE SHERIFF OF CUMBERLAND COUNTY:
To satisfy the debt, interest and costs due Midfirst Bank Plaintiff (s)
From William C. Saxton
(1) You are directed to levy upon the property of the defendant (s)and to sell see Legal Description.
(2) You are also directed to attach the property of the defendant(s) not levied upon in the possession
of
GARNISHEE(S) as follows:
and to notify the garnishee(s) that: (a) an attachment has been issued; (b) the garnishee(s) is enjoined from
paying any debt to or for the account of the defendant (s) and from delivering any property of the defendant
(s) or otherwise disposing thereof,
(3) If property of the defendant(s) not levied upon an subject to attachment is found in the possession
of anyone other than a named garnishee, you are directed to notify him/her that he/she has been added as a
garnishee and is enjoined as above stated.
Amount Due$62,65131
L.L.$0.50
Interest $3,290.00 Per diem of $13.16 to sale date 3/07/07
Atty's Comm % Due Prothy $1.00
Atty Paid $215.44
3/7/07
Plaintiff Paid
Date: Novemer 14, 2006
(Seal)
Other Costs $731.98 $23.10 per month to sale date
$5,393.11 Escrow Deficit
Curti . Long, notaryBy:
Deputy
REQUESTING PARTY:
Name Leon P Haller,Esq
Address: 1719 North Front Street, Harrisburg, Pa. 17102
Attorney for: Plaintiff
Telephone: (717
Supreme Court ID No. 15700
MIDFIRST BANK,
VS.
PLAINTIFF
WILLIAM C. SAXTON,
DEFENDANT(S)
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION LAW
NO. 2006-3672 CIVIL
IN MORTGAGE FORECLOSURE
AFFIDAVIT PURSUANT TO RULE 3129.1
The Plaintiff in the above action, by its attorneys, Purcell, Krug & Haller, sets forth as of the date
the praecipe for the writ of execution was filed, the following information concerning the real property
located at 530 THIRD STREET ENOLA, PA 17025:
Name and address of the Owner(s) or Reputed Owner(s):
WILLIAM C. SAXTON
530 THIRD STREET
ENOLA, PA 17025
2. Name and address of Defendant(s) in the Judgment, if different from that listed. in (1)
above: SAME
3. Name and address of every judgment creditor whose judgment is a record lien on the
real property to be sold: UNKNOWN
First Select Corporation
5040 Johnson Drive
Pleasanton, CA 94566
East Pennsboro Township
Municipal Authority
98 So. Enola Drive
Enola, PA 17025
Great Seneca Financial Corp. c/o
Wolpoff & Abraahamson
4660 Trindle Road
Camp Hill, PA 17011
Great Seneca Financial Corp.
15200 Shady Grove Road
Rockville, MD 20850
CTCB Coordinator
Rye Township
2301 North Third Street
Harrisburg, PA 17110
HCR Manorcare Inc.
1700 Market Street
Camp Hill, PA 17011
HCR Manorcare Inc. c/o
David A. Baric, Esquire
19 W. South Street
Carlisle, PA 17013
4. Name and address of last recorded holder of every mortgage of record:
PLAINTIFF HEREIN (AND ANY OTHERS AS NOTED BELOW):
Northwest Consumer Discount Company d/b/a
Lewistown Consumer Discount Company
25 West Market Street
Lewistown, PA 17044
5. Name and address of every other person who has any record lien on the property:
UNKNOWN
6. Name and address of every other person who has any record interest in the property and
whose interest may be affected by the sale: UNKNOWN
7. Name and address of every other person of whom the Plaintiff has knowledge who has
any interest in the property which may be affected by the sale:
DOMESTIC RELATIONS
Cumberland County Courthouse
13 North Hanover Street
Carlisle, PA 17013
TENANT/OCCUPANT
530 THIRD STREET
ENOLA, PA 17025
(In the preceding information, where addresses could not be reasonably ascertained, the same is
indicated.)
I verify that the statements made in this Affidavit are true and correct to the best o y 43ersonal
knowledge, information and belief. I understand that false statements herein are m sect to the
penalties of 18 PA C.S. Section 4904 relating to unsworn falsification to authorities
Leon P. er PA I.D. #15700
Pur g & Haller
17 9 North Front Street
Harrisburg, PA 17102
(717) 234-4178
DATE: November 9, 2006
<?? .y,
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MIDFIRST BANK, IN THE COURT OF COMMON PLEAS
PLAINTIFF CUMBERLAND COUNTY, PENNSYLVANIA
VS.
WILLIAM C. SAXTON,
DEFENDANT(S)
TAKE NOTICE:
CIVIL ACTION LAW
NO. 2006-3672 CIVIL
IN MORTGAGE FORECLOSURE
NOTICE OF SHERIFF'S SALE OF REAL ESTATE
PURSUANT TO
PENNSYLVANIA RULE OF CIVIL PROCEDURE 3129.1
That the Sheriffs Sale of Real Property (real estate) will be held:
DATE: Wednesday, March 07, 2007
TIME: 10:00 O'clock A.M.
LOCATION: Cumberland County Courthouse
Carlisle, Pennsylvania 17013
THE PROPERTY TO BE SOLD is delineated in detail in a legal description mainly consisting
of a statement of the measured boundaries of the property, together with a brief mention of the buildings
and any other major improvements erected on the land. (SEE DESCRIPTION ATTACHED)
THE LOCATION of your property to be sold is:
530 THIRD STREET
ENOLA, PA 17025
THE JUDGMENT under or pursuant to which your property is being sold is docketed in the
within Commonwealth and County to:
No. 2006-3672 CIVIL JUDGMENT AMOUNT $62,651.31
THE NAMES OF THE OWNERS OR REPUTED OWNERS of this property is:
WILLIAM C. SAXTON
A SCHEDULE OF DISTRIBUTION, being a list of the persons and/or governmental or
corporate entities or agencies being entitled to receive part of the proceeds of the sale received and to be
disbursed by the Sheriff (for example, to banks that hold mortgages and municipalities that are
owed taxes) will be filed by the Sheriff of this County thirty (30) days after the sale and distribution of
the proceeds of sale in accordance with this schedule will, in fact, be made unless someone objects by
filing exceptions to it within ten (10) days of the date it is filed.
Information about the Schedule of Distribution may be obtained from the Sheriff of the Court of
Common Pleas of the within County at the Courthouse address specified herein.
THIS PAPER IS A NOTICE OF THE TIME AND PLACE OF THE SALE OF YOUR
PROPERTY.
IT HAS BEEN ISSUED BECAUSE THERE IS A JUDGMENT AGAINST YOU.
IT MAY CAUSE YOUR PROPERTY TO BE HELD. TO BE SOLD OR TAKEN TO PAY
THE JUDGMENT
You may have legal rights to prevent your property from being taken away. A lawyer can advise
you more specifically of these rights. If you wish to exercise your rights, YOU MUST ACT
PROMPTLY.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. GO TO OR
TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET
FREE LEGAL ADVICE:
Cumberland County Bar Association
32 South Bedford Street
Carlisle, Pennsylvania 17013
717-249-3166
Legal Services, Inc
8 Irvine Row
Carlisle, Pennsylvania 17013
717-243-9400
THE LEGAL RIGHTS YOU MAY HAVE ARE:
1. You may file a petition with the Court of Common Pleas of the within County to open the
judgment if you have a meritorious defense against the person or company that has entered judgment
against you. You may also file an petition with the same Court if you are aware of a legal defect in the
obligation or the procedure used against you.
2. After the Sheriffs Sale you may file a petition with the Court of Common Pleas of the within
County to set aside the sale for a grossly inadequate price or for other proper cause. This petition
MUST BE FILED BEFORE THE SHERIFF'S DEED IS DELIVERED.
3. A petition or petitions raising the legal issues or rights mentioned in the preceding paragraphs
must be presented to the Court of Common Pleas of the within County. The petition must be served on
the attorney for the creditor or on the creditor before presentation to the court and a proposed order or
rule must be attached to the petition.
If a specific return date is desired, such date must be obtained from the Court Administrator's
Office - Civil Division, of the within County Courthouse, before a presentation of the petition to the
Court.
PURCELL, KRUG & HALLER
Attorneys for Plaintiff
1719 North Front Street
Harrisburg, PA 17102
(717) 234-4178
W
ALL THAT CERTAIN piece or parcel of land situate in the Borough of West Fairview, Cumberland
County, Pennsylvania, bounded and described as follows:
BEGINNING at a point in the western line of Third Street at or opposite the partition wall dividing
properties known as No. 528 and No. 530 Third Street, said point being one hundred thirty three and
seventy-six one hundredths (133.76) feet south of the southwest corner of the intersection of Third and
May Avenue; thence westwardly through the center of the partition wall dividing properties known as
No. 528 and No. 530 Third Street and beyond one hundred two (102) feet, more or less, to a point in the
eastern line of a Twenty (20) feet wide Alley; thence northwardly along the eastern line of said Twenty
(20) feet wide Alley twenty one and five tenths (21.5) feet to a point ; thence eastwardly along lands
now or late of Charles R. Barns one hundred two (102) feet, more or less, to a point in the western line
of Third Street; thence southwardly along the western line of Third Street twenty one and five tenths
(21.5) feet to a point, the place of BEGINNING.
HAVING THEREON ERECTED THE NORTHERN ONE-HALF OF A TWO AND ONE-HALF
STORY FRAME DWELLING KNOWN AS: 530 THIRD STREET, ENOLA, PA 17025
BEING THE SAME PREMISES WHICH Stephen J. Bond, Jr. and Eleanor Bond, his wife, by deed dated
10/31/96 and recorded 11/4/96 in Cumberland County Deed Book 148, Page 662 granted and conveyed
unto William C. Saxton.
TO BE SOLD AS THE PROPERTY OF WILLIAM C. SAXTON ON JUDGMENT NO. 2006-3672
CIVIL
ASSESSMENT NO. 45-16-1050-122
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SHERIFF'S RETURN - REGULAR
CASE NO: 2006-03672 P
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
MIDFIRST BANK
VS
SAXTON WILLILAM C
GERALD WORTHINGTON Sheriff or Deputy Sheriff of
Cumberland County,Pennsylvania, who being duly sworn according to law,
says, the within COMPLAINT - MORT FORE was served upon
SAXTON WILLIAM C the
DEFENDANT , at 1838:00 HOURS, on the 2nd day of October , 2006
at 530 3RD STREET
WEST FAIRVIEW, PA 17025
by handing to
530 THIRD ST WEST FAIRVIEW
a true and attested copy of COMPLAINT - MORT FORE together with
and at the same time directing His attention to the contents thereof.
Sheriff's Costs: So Answers:
Docketing 18.00
Service 13.20 7? ? ?
Posting 6.00
Surcharge 10.00 R. Thomas Kline
.00
47.204/ 10/03/2006
/o//%G /- PURCELL KRUG HALLER
Sworn and Subscibed to By:
before me this day Deputy Sh ff
of 11 A. D.
MIDFIRST BANK, IN THE COURT OF COMMON PLEAS
PLAINTIFF CUMBERLAND COUNTY, PENNSYLVANIA
VS.
WILLIAM C. SAXTON,
DEFENDANT(S)
CIVIL ACTION LAW
NO. 2006-3672 CIVIL
IN MORTGAGE FORECLOSURE
RETURN OF SERVICE
I hereby certify that I have deposited in the U.S. Mails at Harrisburg, Pennsylvania on
I a I CS5 Ja()o(. , a true and correct copy of the Notice of Sale of Real Estate pursuant to PA
R.C.P. 3129.1 to the Defendants herein and all lienholders of record by regular first class mail
(Certificate of Mailing form in compliance with U.S. Postal Form 3817 is attached hereto as evidence),
and also to the Defendants by Certified Mail, which mailing receipts are attached. Service addresses are
as follows:
WILLIAM C. SAXTON
530 THIRD STREET
ENOLA, PA 17025
DOMESTIC RELATIONS
Cumberland County Courthouse
13 North Hanover Street
Carlisle, PA 17013
TENANT/OCCUPANT
530 THIRD STREET
ENOLA, PA 17025
First Select Corporation
5040 Johnson Drive
Pleasanton, CA 94566
East Pennsboro Township
Municipal Authority
98 So. Enola Drive
Enola, PA 17025
Great Seneca Financial Corp. c/o
Wolpoff & Abraahamson
4660 Trindle Road
Camp Hill, PA 17011
Great Seneca Financial Corp.
15200 Shady Grove Road
Rockville, MD 20850
CTCB Coordinator
Rye Township
2301 North Third Street
Harrisburg, PA 17110
HCR Manorcare Inc.
1700 Market Street
Camp Hill, PA 17011
HCR Manorcare Inc. c/o
David A. Baric, Esquire
19 W. South Street
Carlisle, PA 17013
Northwest Consumer Discount Company d/b/a
Lewistown Consumer Discount Company
25 West Market Street
Lewistown, PA 17044
By.
BUG & HALLER
for Plaintiff
1719 North Front Street
Harrisburg, PA 17102
(717) 234-4178
LAW OFFICES
HOWARD B. KRUG
LEON P. HALLER
JOHN W. PURCELL JR.
JILL M. WINKA
BRIAN J. TYLER
NICHOLE M. STALEY O'GORMAN
WILLIAM C. SAXTON
530 THIRD STREET
ENOLA, PA 17025
DOMESTIC RELATIONS
Cumberland County Courthouse
13 North Hanover Street
Carlisle, PA 17013
TENANT/OCCUPANT
530 THIRD STREET
ENOLA, PA 17025
First Select Corporation
5040 Johnson Drive
Pleasanton, CA 94566
East Pennsboro Township
Municipal Authority
98 So. Enola Drive
Enola, PA 17025
Great Seneca Financial Corp. c/o
Wolpoff & Abraahamson
4660 Trindle Road
Camp Hill, PA 17011
Great Seneca Financial Corp.
15200 Shady Grove Road
Rockville, MD 20850
CTCB Coordinator
Rye Township
2301 North Third Street
Harrisburg, PA 17110
1719 NORTH FRONT STREET
HARRISBURG, PENNSYLVANIA 17102-2392
TELEPHONE (717) 234-4178
FAX (717) 234-1206
HERSHEY
(717)533-3836
JOSEPH NISSLEY (1910-1982)
JOHN W.PURCELL
VALERIE A. GUNNOF
COUNSEL
HCR Manorcare Inc.
1700 Market Street
Camp Hill, PA 17011
HCR Manorcare Inc. c/o
David A. Baric, Esquire
19 W. South Street
Carlisle, PA 17013
Northwest Consumer Discount Company d/b/a
Lewistown Consumer Discount Company
25 West Market Street
Lewistown, PA 17044
NOTICE IS HEREBY GIVEN to the Defendants in the within action and those parties who
hold one or more mortgages, judgments or tax liens against the real estate which is the subject of the
Notice of Sale pursuant to Pennsylvania Rule of Civil Procedure 3129.1 attached hereto.
YOU ARE HEREBY NOTIFIED that by virtue of a Writ of Execution issued out of the Court
of Common Pleas of the within county on the judgment of the Plaintiff named herein the said real estate
will be exposed to public sale as set forth on the attached Notice of Sale.
YOU ARE FURTHER NOTIFIED that the lien you hold against the said real estate w' e
divested by the sale and that you have an opportunity to protect your interest, if any, by being d of
said Sheriffs Sale.
By:
faller PA I.D.15700
for Plaintiff
MIDFIRST BANK, I IN THE COURT OF COMMON PLEAS
PLAINTIFF CUMBERLAND COUNTY, PENNSYLVANIA
VS.
WILLIAM C. SAXTON,
DEFENDANT(S)
TAKE NOTICE:
CIVIL ACTION LAW
NO. 2006-3672 CIVIL
IN MORTGAGE FORECLOSURE
NOTICE OF SHERIFF'S SALE OF REAL ESTATE
PURSUANT TO
PENNSYLVANIA RULE OF CIVIL PROCEDURE 3129.1
That the Sheriffs Sale of Real Property (real estate) will be held:
DATE: Wednesday, March 07, 2007
TIME: 10:00 O'clock A.M.
LOCATION: Cumberland County Courthouse
Carlisle, Pennsylvania 17013
THE PROPERTY TO BE SOLD is delineated in detail in a legal description mainly consisting
of a statement of the measured boundaries of the property, together with a brief mention of the buildings
and any other major improvements erected on the land. (SEE DESCRIPTION ATTACHED)
THE LOCATION of your property to be sold is:
530 THIRD STREET
ENOLA, PA 17025
THE JUDGMENT under or pursuant to which your property is being sold is docketed in the
within Commonwealth and County to:
No. 2006-3672 CIVIL JUDGMENT AMOUNT $62,651.31
THE NAMES OF THE OWNERS OR REPUTED OWNERS of this property is:
WILLIAM C. SAXTON
A SCHEDULE OF DISTRIBUTION, being a list of the persons and/or governmental or
corporate entities or agencies being entitled to receive part of the proceeds of the sale received and to be
disbursed by the Sheriff (for example, to banks that hold mortgages and municipalities that are
owed taxes) will be filed by the Sheriff of this County thirty (30) days after the sale and distribution of
the proceeds of sale in accordance with this schedule will, in fact, be made unless someone objects by
filing exceptions to it within ten (10) days of the date it is filed.
Information about the Schedule of Distribution may be obtained from the Sheriff of the Court of
Common Pleas of the within County at the Courthouse address specified herein.
THIS PAPER IS A NOTICE OF THE TIME AND PLACE OF THE SALE OF YOUR
PROPERTY.
IT HAS BEEN ISSUED BECAUSE THERE IS A JUDGMENT AGAINST YOU.
IT MAY CAUSE YOUR PROPERTY TO BE HELD, TO BE SOLD OR TAKEN TO PAY
THE JUDGMENT
You may have legal rights to prevent your property from being taken away. A lawyer can advise
you more specifically of these rights. If you wish to exercise your rights, YOU MUST ACT
PROMPTLY.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. GO TO OR
TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET
FREE LEGAL ADVICE:
Cumberland County Bar Association
32 South Bedford Street
Carlisle, Pennsylvania 17013
717-249-3166
Legal Services, Inc
8 Irvine Row
Carlisle, Pennsylvania 17013
717-243-9400
THE LEGAL RIGHTS YOU MAY HAVE ARE:
1. You may file a petition with the Court of Common Pleas of the within County to open the
judgment if you have a meritorious defense against the person or company that has entered judgment
against you. You may also file an petition with the same Court if you are aware of a legal defect in the
obligation or the procedure used against you.
2. After the Sheriffs Sale you may file a petition with the Court of Common Pleas of the within
County to set aside the sale for a grossly inadequate price or for other proper cause. This petition
MUST BE FILED BEFORE THE SHERIFF'S DEED IS DELIVERED.
3. A petition or petitions raising the legal issues or rights mentioned in the preceding paragraphs
must be presented to the Court of Common Pleas of the within County. The petition must be served on
the attorney for the creditor or on the creditor before presentation to the court and a proposed order or
rule must be attached to the petition.
If a specific return date is desired, such date must be obtained from the Court Administrator's
Office - Civil Division, of the within County Courthouse, before a presentation of the petition to the
Court.
PURCELL, KRUG & HALLER
Attorneys for Plaintiff
1719 North Front Street
Harrisburg, PA 17102
(717) 234-4178
ALL THAT CERTAIN piece or parcel of land situate in the Borough of West Fairview, Cumberland
County, Pennsylvania, bounded and described as follows:
BEGINNING at a point in the western line of Third Street at or opposite the partition wall dividing
properties known as No. 528 and No. 530 Third Street, said point being one hundred thirty three and
seventy-six one hundredths (133.76) feet south of the southwest corner of the intersection of Third and
May Avenue; thence westwardly through the center of the partition wall dividing properties known as
No. 528 and No. 530 Third Street and beyond one hundred two (102) feet, more or less, to a point in the
eastern line of a Twenty (20) feet wide Alley; thence northwardly along the eastern line of said Twenty
(20) feet wide Alley twenty one and five tenths (21.5) feet to a point ; thence eastwardly along lands
now or late of Charles R. Barns one hundred two (102) feet, more or less, to a point in the western line
of Third Street; thence southwardly along the western line of Third Street twenty one and five tenths
(21.5) feet to a point, the place of BEGINNING.
HAVING THEREON ERECTED THE NORTHERN ONE-HALF OF A TWO AND ONE-HALF
STORY FRAME DWELLING KNOWN AS: 530 THIRD STREET, ENOLA, PA 17025
BEING THE SAME PREMISES WHICH Stephen J. Bond, Jr. and Eleanor Bond, his wife, by deed dated
10/31/96 and recorded 11/4/96 in Cumberland County Deed Book 148, Page 662 granted and conveyed
unto William C. Saxton.
TO BE SOLD AS THE PROPERTY OF WILLIAM C. SAXTON ON JUDGMENT NO. 2006-3672
CIVIL
ASSESSMENT NO. 45-16-1050-122
MIDFIRST BANK IN THE COURT OF COMMON PLEAS 1
.,
1
CUMBERLAND COUNTY, PENN SYLVANIA
CIVIL ACTION - LAW
Plaintiff
NO. 06-3972 CIVIL TERM
VS.
IN MORTGAGE FORECLOSURE
WILLIAM C. SAXTON
Defendant
ORDER FOR SERVICE
AND NOW, to wit, this 12+6 day of?3L°P?e1?0e,92006, upon
consideration of the within Affidavit, is appearing that a good faith
investigation and effort to locate the Defendant, William C. Saxton,
has-been made by Plaintiff, it is hereby
ORDERED that service of the Complaint be ma e y posting a
copy of the original Complaint on the most public part of the
property located at 530 Third Street, West Fairview, Pennsylvania
17025 and by forwarding a copy of the Complaint by
registered/certified mail and ordinary mail (service to be completed
by mailing), to Defendant, William C. Saxton, at his last known
addresses of 530 Third Street, West Fairview, Pennsylvania 17025, AND
FURTHER, that in the event this case should be reduced to judgment
and execution shall be issued, service upon the Defendant pursuant to
Rule 3129.2 (c)(1)(C) shall be effected by mailing copies of the
required notices to the Defendant at his last known address by
registered/certified mail and ordinary mail (service to be completed
upon mailing) and by posting a copy of the Notice of Sale or
Sheriff's handbill in the most public part of the premises and by
publication by Sheriff pursuant to Pennsylvania Rule of Civil
Procedure 3129.2 (d).
PIECORD
t my hand
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BY THE COURT
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TO: WILLIAM C. SAXTON
530 THIRD STREET
ENOLA, PA 17025
SENDER: NOS 03/07/07
REFERENCE: MIDLAND VS. SAXTON
I RETURN Postage
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RECEIPT Certified Fee
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MIDLAND MORTGAGE COMPANY v. WILLIAM C. SAXTON
Cumberland County Sale 3/7/2007
U. S. POSTAL SERVICE
CERTIFICATE OF MAILING
(In compliance with Postal Service Form 3877)
Received from:
Purcell, Krug & Haller Postage:
1719 North Front Street
Harrisburg, PA 17102
One piece of ordinary mail addressed to: Postmark:
WILLIAM C. SAXTON
530 THIRD STREET
ENOLA, PA 17025
U. S. POSTAL SERVICE
CERTIFICATE OF MAILING
(In compliance with Postal Service Form 3877)
Received from:
Purcell, Krug & Haller Postage:
1719 North Front Street
Harrisburg, PA 17102
One piece of ordinary mail addressed to: Postmark:
Northwest Consumer Discount Company d/b/a
Lewistown Consumer Discount Company
25 West Market Street
Lewistown, PA 17044
U. S. POSTAL SERVICE
CERTIFICATE OF MAILING
(In compliance with Postal Service Form 3877)
Received from:
Purcell, Krug & Haller
1719 North Front Street
Harrisburg, PA 17102
One piece of ordinary mail addressed to:
DOMESTIC RELATIONS
Cumberland County Courthouse
13 North Hanover Street
Carlisle, PA 17013
Postage:
Postmark:
r C ?x
g.-Id
,zz
PITNEY N0W 5
02 1A $ 00.95°
0004353871 DEC 05 2006
MAIIEC FROM ZIP CODE 1 710 2
1
MIDLAND MORTGAGE COMPANY v. WILLIAM C. SAXTON
Cumberland County Sale 3/7/2007
U. S. POSTAL SERVICE
CERTIFICATE OF MAILING
(In compliance with Postal Service Form 3877)
Received from:
Purcell, Krug & Haller Postage:
1719 North Front Street
Harrisburg, PA 17102
One piece of ordinary mail addressed to: Postmark:
TENANT/OCCUPANT
530 THIRD STREET
ENOLA, PA 17025
U. S. POSTAL SERVICE
CERTIFICATE OF MAILING
(In compliance with Postal Service Form 3877)
Received from:
Purcell, Krug & Haller Postage:
1719 North Front Street
Harrisburg, PA 17102
One piece of ordinary mail addressed to: Postmark:
East Pennsboro Township
Municipal Authority
98 So. Enola Drive
Enola, PA 17025
U. S. POSTAL SERVICE
CERTIFICATE OF MAILING
(In compliance with Postal Service Form 3877)
Received from:
Purcell, Krug & Haller Postage:
1719 North Front Street
Harrisburg, PA 17102
One piece of ordinary mail addressed to: Postmark:
First Select Corporation
5040 Johnson Drive
Pleasanton, CA 94566
A?a. S&
0
PITNEY BOWES
02 1A $ 00.950
0004353871 DEC 05 2006
MAILED FROM ZIPCODE 1 71 02
U. S. POSTAL SERVICE
CERTIFICATE OF MAILING
(In compliance with Postal Service Form 3877)
Received from:
Purcell, Krug & Haller
1719 North Front Street
Harrisburg, PA 17102
One piece of ordinary mail addressed to:
Great Seneca Financial Corp. c/o
Wolpoff & Abraahamson
4660 Trindle Road
Camp Hill, PA 17011
Postage:
Postmark:
U. S. POSTAL SERVICE
CERTIFICATE OF MAILING
(In compliance with Postal Service Form 3877)
Received from:
Purcell, Krug & Haller
1719 North Front Street
Harrisburg, PA 17102
One piece of ordinary mail addressed to:
Great Seneca Financial Corp.
15200 Shady Grove Road
Rockville, MD 20850
Postage:
Postmark:
U. S. POSTAL SERVICE
CERTIFICATE OF MAILING
(In compliance with Postal Service Form 3877)
Received from:
Purcell, Krug & Haller
1719 North Front Street
Harrisburg, PA 17102
One piece of ordinary mail addressed to:
CTCB Coordinator
Rye Township
2301 North Third Street
Harrisburg, PA 17110
Postage:
Postmark: c , c
<. bi?Oc
UJU
PITNEY BOWf.S
02 , A $ 00.95°
'x 000,1353871 DEC 05 2006
MAILED FROM ZIP CODE 1 710 2
U. S. POSTAL SERVICE
CERTIFICATE OF MAILING
(In comuliance with Postal Service Form 3877)
Received from:
Purcell, Krug & Haller Postage:
1719 North Front Street
Harrisburg, PA 17102
One piece of ordinary mail addressed to: Postmark:
HCR Manorcare Inc.
1700 Market Street
Camp Hill, PA 17011
U. S. POSTAL SERVICE
CERTIFICATE OF MAILING
(In comuliance with Postal Service Form 3877)
Received from:
Purcell, Krug & Haller Postage:
1719 North Front Street
Harrisburg, PA 17102
One piece of ordinary mail addressed to: Postmark:
HCR Manorcare Inc. c/o
David A. Baric, Esquire
19 W. South Street
Carlisle, PA 17013
C -!ems
is
A
SAP 1 ?? , Jai
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z 4?1 PITNEY BOWE_s
02 1A $ 01.90°
0004353871 DEC 05 2006
MAILED FROM ZIP CODE 1 71 02
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COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
SS:
I, Robert P. Ziegler, Recorder of Deeds in and for said County and State do hereby certify that
the Sheriffs Deed in which Veterans Affairs of Washington D C is the grantee the same having been
sold to said grantee on the 11th day of July A.D., 2007, under and by virtue of a writ Execution issued
on the 14th day of Nov, A.D., 2006, out of the Court of Common Pleas of said County as of Civil Term,
2006 Number 3672, at the suit of Midfirst Bank against William C Saxton is duly recorded in Deed
Book No. instr # 2007730412, Page.
IN TESTIMONY WHEREOF, I have hereunto set my hand
and seal of said office this
A.D.
day of
of Deeds
Midfirst Bank
VS
William C. Saxton
In the Court of Common Pleas of
Cumberland County, Pennsylvania
Writ No. 2006-3672 Civil Term
David McKinney, Deputy Sheriff, who being duly sworn according to law, states that on
January 02, 2007 at 1820 hours, he served a true copy of the within Real Estate Writ, Notice and
Description, in the above entitled action, upon the within named defendant to wit: William C.
Saxton, by posting the premises located at 530 Third Street, Enola, Cumberland County,
Pennsylvania with the said true and correct copy of the same, according to law.
Gerald Worthington, Deputy Sheriff, who being duly sworn according to law, states that on
January 19, 2007 at 1102 hours, he posted a true copy of the within Real Estate Writ, Notice, Poster
and Description, in the above entitled action, upon the property of William C. Saxton located at 530
Third Street, Enola, Cumberland County, Pennsylvania according to law.
R. Thomas Kline, Sheriff, who being duly sworn according to law, states he served the
above Real Estate Writ, Notice, Poster and Description in the following manner: The Sheriff
mailed a notice of the pendency of the action to the within named defendant, to wit: William C.
Saxton, by regular mail to his last known address of 530 Third Street, Enola, PA 17025. This letter
was mailed under the date of January 16, 2007 and never returned to the Sheriffs Office.
R. Thomas Kline, Sheriff, who being duly sworn according to law, states that after due and
legal notice had been given according to law, he exposed the within described premises at public
venue or outcry at the Courthouse, Carlisle, Cumberland County, Pennsylvania on July 11, 2007 at
10:00 o'clock A.M. He sold the same for the sum of $1.00 to Attorney Leon P. Haller, on behalf of
The Secretary of Veterans Affairs of Washington, D.C., his Successors and/or Assigns. It being the
highest bid and best price received for the same, The Secretary of Veterans Affairs of Washington,
D.C., His Successors and/or Assigns, of 12650 Ingenuity Drive, Orlando, FL 32826, being the
buyer in this execution, paid to Sheriff R. Thomas Kline the sum of $1,051.34.
Sheriff s Costs:
Docketing $30.00
Poundage 20.62
Posting Bills 15.00
Advertising 15.00
Acknowledging Deed 48.00
Auctioneer 10.00
Law Library .50
Prothonotary 1.00
Mileage 26.40
Certified Mail 1.40
Levy 15.00
Surcharge 20.00
Post Pone Sale 40.00
Law Journal 359.00
Patriot News 368.09
Share of Bills 16.83
Distribution of Proceeds 25.00
Sheriff s Deed 39.50
$ 1051.34 ? ?? ?'?° ?
So Answers:
R. Thomas Kline, Sheriff
4
BY MAL
Real Estate rgeant
0 ?.
J? rr'' g
r
MIDFIRST BANK,
VS.
PLAINTIFF
WILLIAM C. SAXTON,
DEFENDANT(S)
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION LAW
NO. 2006-3672 C
IN MORTGAGE FO S O
AFFIDAVIT PURSUANT TO RULE 3129.1
The Plaintiff in the above action, by its attorneys, Purcell, Krug & Haller, sets forth as of the date
the praecipe for the writ of execution was filed, the following information concerning the real property
located at 530 THIRD STREET ENOLA, PA 17025:
1. Name and address of the Owner(s) or Reputed Owner(s):
WILLIAM C. SAXTON
530 THIRD STREET
ENOLA, PA 17025
2. Name and address of Defendant(s) in the Judgment, if different from that listed. in (1)
above: SAME
3. Name and address of every judgment creditor whose judgment is a record lien on the
real property to be sold: UNKNOWN
First Select Corporation
5040 Johnson Drive
Pleasanton, CA 94566
East Pennsboro Township
Municipal Authority
98 So. Enola Drive
Enola, PA 17025
Great Seneca Financial Corp. c/o
Wolpoff & Abraahamson
4660 Trindle Road
Camp Hill, PA 17011
Great Seneca Financial Corp.
15200 Shady Grove Road
Rockville, MD 20850
V
CTCB Coordinator
Rye Township
2301 North Third Street
Harrisburg, PA 17110
HCR Manorcare Inc.
1700 Market Street
Camp Hill, PA 17011
HCR Manorcare Inc. c/o
David A. Baric, Esquire
19 W. South Street
Carlisle, PA 17013
4. Name and address of last recorded holder of every mortgage of record:
PLAINTIFF HEREIN (AND ANY OTHERS AS NOTED BELOW):
Northwest Consumer Discount Company d/b/a
Lewistown Consumer Discount Company
25 West Market Street
Lewistown, PA 17044
5. Name and address of every other person who has any record lien on the property:
UNKNOWN
6. Name and address of every other person who has any record interest in the property and
whose interest may be affected by the sale: UNKNOWN
7. Name and address of every other person of whom the Plaintiff has knowledge who has
any interest in the property which may be affected by the sale:
DOMESTIC RELATIONS
Cumberland County Courthouse
13 North Hanover Street
Carlisle, PA 17013
TENANT/OCCUPANT
530 THIRD STREET
ENOLA, PA 17025
(In the preceding information, where addresses could not be reasonably ascertained, the same is
indicated.)
I verify that the statements made in this Affidavit are true and correct to the best o y ersonal
knowledge, information and belief. I understand that false statements herein are m sect to the
penalties of 18 PA C.S. Section 4904 relating to unsworn falsification to authorities
Leon P. er PA I.D. #15700
Pure e & Haller
17 f9 North Front Street
Harrisburg, PA 17102
(717) 234-4178
DATE: November 9, 2006
a
MIDFIRST BANK,
VS.
PLAINTIFF
WILLIAM C. SAXTON,
DEFENDANT(S)
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION LAW
NO. 2006-3672 CIVIL
IN MORTGAGE FORECLOSURE
TAKE NOTICE:
NOTICE OF SHERIFF'S SALE OF REAL ESTATE
PURSUANT TO
PENNSYLVANIA RULE OF CIVIL PROCEDURE 3129.1
That the Sheriffs Sale of Real Property (real estate) will be held:
DATE: Wednesday, March 07, 2007
TIME: 10:00 O'clock A.M.
LOCATION: Cumberland County Courthouse
Carlisle, Pennsylvania 17013
THE PROPERTY TO BE SOLD is delineated in detail in a legal description mainly consisting
of a statement of the measured boundaries of the property, together with a brief mention of the buildings
and any other major improvements erected on the land. (SEE DESCRIPTION ATTACHED)
THE LOCATION of your property to be sold is:
530 THIRD STREET
ENOLA, PA 17025
THE JUDGMENT under or pursuant to which your property is being sold is docketed in the
within Commonwealth and County to:
No. 2006-3672 CIVIL JUDGMENT AMOUNT $62,651.31
THE NAMES OF THE OWNERS OR REPUTED OWNERS of this property is:
WILLIAM C. SAXTON
A SCHEDULE OF DISTRIBUTION, being a list of the persons and/or governmental or
corporate entities or agencies being entitled to receive part of the proceeds of the sale received and to be
disbursed by the Sheriff (for example, to banks that hold mortgages and municipalities that are
owed taxes) will be filed by the Sheriff of this County thirty (30) days after the sale and distribution of
the proceeds of sale in accordance with this schedule will, in fact, be made unless someone objects by
filing exceptions to it within ten (10) days of the date it is filed.
Information about the Schedule of Distribution may be obtained from the Sheriff of the Court of
Common Pleas of the within County at the Courthouse address specified herein.
THIS PAPER IS A NOTICE OF THE TIME AND PLACE OF THE SALE OF YOUR
PROPERTY.
IT HAS BEEN ISSUED BECAUSE THERE IS A JUDGMENT AGAINST YOU.
IT MAY CAUSE YOUR PROPERTY TO BE HELD, TO BE SOLD OR TAKEN TO PAY
THE JUDGMENT
You may have legal rights to prevent your property from being taken away. A lawyer can advise
you more specifically of these rights. If you wish to exercise your rights, YOU MUST ACT
PROMPTLY.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. GO TO OR
TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET
FREE LEGAL ADVICE:
Cumberland County Bar Association
32 South Bedford Street
Carlisle, Pennsylvania 17013
717-249-3166
Legal Services, Inc
8 Irvine Row
Carlisle, Pennsylvania 17013
717-243-9400
THE LEGAL RIGHTS YOU MAY HAVE ARE:
1. You may file a petition with the Court of Common Pleas of the within County to open the
judgment if you have a meritorious defense against the person or company that has entered judgment
against you. You may also file an petition with the same Court if you are aware of a legal defect in the
obligation or the procedure used against you.
2. After the Sheriffs Sale you may file a petition with the Court of Common Pleas of the within
County to set aside the sale for a grossly inadequate price or for other proper cause. This petition
MUST BE FILED BEFORE THE SHERIFF'S DEED IS DELIVERED.
3. A petition or petitions raising the legal issues or rights mentioned in the preceding paragraphs
must be presented to the Court of Common Pleas of the within County. The petition must be served on
the attorney for the creditor or on the creditor before presentation to the court and a proposed order or
rule must be attached to the petition.
If a specific return date is desired, such date must be obtained from the Court Administrator's
Office - Civil Division, of the within County Courthouse, before a presentation of the petition to the
Court.
PURCELL, KRUG & HALLER
Attorneys for Plaintiff
1719 North Front Street
Harrisburg, PA 17102
(717) 234-4178
ALL THAT CERTAIN piece or parcel of land situate in the Borough of West Fairview, Cumberland
County, Pennsylvania, bounded and described as follows:
BEGINNING at a point in the western line of Third Street at or opposite the partition wall dividing
properties known as No. 528 and No. 530 Third Street, said point being one hundred thirty three and
seventy-six one hundredths (133.76) feet south of the southwest corner of the intersection of Third and
May Avenue; thence westwardly through the center of the partition wall dividing properties known as
No. 528 and No. 530 Third Street and beyond one hundred two (102) feet, more or less, to a point in the
eastern line of a Twenty (20) feet wide Alley; thence northwardly along the eastern line of said Twenty
(20) feet wide Alley twenty one and five tenths (21.5) feet to a point ; thence eastwardly along lands
now or late of Charles R. Barns one hundred two (102) feet, more or less, to a point in the western line
of Third Street; thence southwardly along the western line of Third Street twenty one and five tenths
(21.5) feet to a point, the place of BEGINNING.
HAVING THEREON ERECTED THE NORTHERN ONE-HALF OF A TWO AND ONE-HALF
STORY FRAME DWELLING KNOWN AS: 530 THIRD STREET, ENOLA, PA 17025
BEING THE SAME PREMISES WHICH Stephen J. Bond, Jr. and Eleanor Bond, his wife, by deed dated
10/31/96 and recorded 11/4/96 in Cumberland County Deed Book 148, Page 662 granted and conveyed
unto William C. Saxton.
TO BE SOLD AS THE PROPERTY OF WILLIAM C. SAXTON ON JUDGMENT NO. 2006-3672
CIVIL
ASSESSMENT NO. 45-16-1050-122
WRIT OF EXECUTION and/or ATTACHMENT
COMMONWEALTH OF PENNSYLVANIA)
COUNTY OF CUMBERLAND)
N006-3672 Civil
CIVIL ACTION - LAW
TO THE SHERIFF OF CUMBERLAND COUNTY:
To satisfy the debt, interest and costs due Midfirst Bank Plaintiff (s)
From William C. Saxton
(1) You are directed to levy upon the property of the defendant (s)and to sell see Legal Description .
(2) You are also directed to attach the property of the defendant(s) not levied upon in the possession
of
GARNISHEE(S) as follows:
and to notify the garnishee(s) that: (a) an attachment has been issued; (b) the garnishee(s) is enjoined from
paying any debt to or for the account of the defendant (s) and from delivering any property of the defendant
(s) or otherwise disposing thereof;
(3) If property of the defendant(s) not levied upon an subject to attachment is found in the possession
of anyone other than a named garnishee, you are directed to notify him/her that he/she has been added as a
garnishee and is enjoined as above stated.
Amount Due$62,651.31
L.L.$0.50
Interest $3,290.00 Per diem of $13.16 to sale date 3/07/07
Atty's Comm % Due Prothy $1.00
Atty Paid $215.44
3/7/07
Plaintiff Paid
Date: Novemer 14, 2006
(Seal)
REQUESTING PARTY:
Other Costs $731.98 $23.10 per month to sale date
$5,393.11 Escrow Deficit
&ZL I
RCurtKR. Long onota
By:
Deputy
Name Leon P Haller,Esq
Address: 1719 North Front Street, Harrisburg, Pa. 17102
Attorney for: Plaintiff
Telephone: (717
Supreme Court ID No. 15700
Real Estate Sale # 54
On November 30, 2006 the Sheriff levied upon the
defendant's interest in the real property situated in
East Pennsboro Township, Cumberland County, PA
Known and numbered as 530 Third Street,
Enola, more fully described on Exhibit "A"
filed with this writ and by this reference incorporated herein.
W Date: November 30, 2006
(ft
U :Z d 1 L AON UZ
By., r ?Yv
Real Esta Sergeant
THE PATRIOT NEWS
THE SUNDAY PATRIOT NEWS
Proof of Publication
Under Act No. 587, Approved May 16, 1929
Commonwealth of Pennsylvania, County of Dauphin} ss
Joseph A. Dennison, being duly sworn according to law, deposes and says:
That he is the Assistant Controller of The Patriot News Co., a corporation organized and existing under the
laws of the Commonwealth of Pennsylvania, with its principal office and place of business at 812 to 818 Market
Street, in the City of Harrisburg, County of Dauphin, State of Pennsylvania, owner and publisher of The Patriot-
News and The Sunday Patriot-News newspapers of general circulation, printed and published at 812 to 818 Market
Street, in the City, County and State aforesaid; that The Patriot-News and The Sunday Patriot-News were
established March 4th, 1854, and September 18th, 1949, respectively, and all have been continuously published ever
since;
That the printed notice or publication which is securely attached hereto is exactly as printed and published
in their regular daily and/or Sunday/ Metro editions which appeared in the 24th and 31st day(s) of January and
the 7th day(s) of February 2007. That neither he nor said Company is interested in the subject matter of said
printed notice or advertising, and that all of the allegations of this statement as to the time, place and character of
publication are true; and
That he has personal knowledge of the facts aforesaid and is duly authorized and empowered to verify this
statement on behalf of The Patriot-News Co. aforesaid by virtue and pursuant to a resolution unanimously passed
and adopted severally by the stockholders and board of directors of the said Company and subsequently duly
recorded in the office for the Recording of Deeds in and for said County of Dauphin in Miscellaneous Book "M",
Volume 14, Page 317.
PUBLICATION . ............................................
COPY Sworn to and subs e ore me sff
S A L E #54 eal
Totary Public
City hin county
my Cune 6, 2010
nn tip. mmiation of Notaries
CUMBERLAND COUNTY SHERIFF'S OFFICE
CUMBERLAND COUNTY COURTHOUSE
CARLISLE, PA. 17013
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PROOF OF PUBLICATION OF NOTICE
IN CUMBERLAND LAW JOURNAL
(Under Act No. 587, approved May 16, 1929), P. L.1784
STATE OF PENNSYLVANIA :
COUNTY OF CUMBERLAND :
ss.
Lisa Marie Coyne, Esquire, Editor of the Cumberland Law Journal, of the County and
State aforesaid, being duly sworn, according to law, deposes and says that the Cumberland Law
Journal, a legal periodical published in the Borough of Carlisle in the County and State aforesaid,
was established January 2, 1952, and designated by the local courts as the official legal
periodical for the publication of all legal notices, and has, since January 2, 1952, been regularly
issued weekly in the said County, and that the printed notice or publication attached hereto is
exactly the same as was printed in the regular editions and issues of the said Cumberland Law
Journal on the following dates,
viz:
January 26, February 2 and February 9, 2007
Affiant further deposes that he is authorized to verify this statement by the Cumberland
Law Journal, a legal periodical of general circulation, and that he is not interested in the subject
matter of the aforesaid notice or advertisement, and that all allegations in the foregoing
statements as to time, place and character of publication are true.
.--
Marie Covv(e, Editor
SWORN TO AND SUBSCRIBED before me this
9 day of February, 2007
NOTARIAL SEAL
LOIS E. SNYDER, Notary Public
Carlisle Boro, Cumberland County
My Commission Expires March 5, 2009
REAL ESTATE BALE NO. 54
Writ No. 2006-3672 Civil
Midfirst Bank
VS.
William C. Saxton
Atty.: Leon Haller
ALL THAT CERTAIN piece or
parcel of land situate in the Bor-
ough of West Fairview n/k/a East
Pennsboro Township, Cumberland
County, Pennsylvania, bounded and
described as follows:
BEGINNING at a point in the
western line of Third Street at or
opposite the partition wall dividing
properties known as No. 528 and
No. 530 Third Street, said point be-
ing one hundred thirty three and
seventy-six one hundredths (133.76)
feet south of the southwest corner
of the intersection of Third and May
Avenue; thence westwardly through
the center of the partition wall di-
viding properties known as No. 528
and No. 530 Third Street and be-
yond one hundred two (102) feet,
more or less, to a point in the east-
ern Itne of a Twenty (20) feet wide
Alley; thence northwardly along the
eastern line of said Twenty (20) feet
wide Alley twenty one and five
tenths (21.5) feet to a point; thence
eastwardly along lands now or late
of Charles R. Barns one hundred
two (102) feet, more or less, to a
point in the western line of Third
Street; thence southwardly along
the western line of Third Street
twenty one and five tenths (21.5)
feet to a point, the place of BEGIN-
NING.
HAVING THEREON ERECTED
the northern one-half of a two and
one-half story frame dwelling known
as: 530 Third Street, Enola, PA
17025.
BEING THE SAME PREMISES
WHICH Stephen J. Bond, Jr. and
Eleanor Bond, his wife, by deed
dated 10/31/96 and recorded 11 /
4/96 in Cumberland County Deed
Book 148, Page 662 granted and
conveyed unto William C. Saxton.
TO BE SOLD AS THE PROP-
ERTY OF WILLIAM C. SAXTON ON
JUDGMENT NO. 2006-3672 CIVIL.
ASSESSMENT NO. 45-16-1050-
122.
MIDFIRST BANK
VS.
WILLIAM C. SAXTON
IN THE COURT OF COMMON PLEAS
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
NO. 2006-3672 CIVIL
CIVIL ACTION - LAW
Defendant
IN MORTGAGE FORECLOSURE
ASSIGNMENT OF BID
TO THE SHERIFF:
Midfirst Bank, as agent for The Secretary of Veterans Affairs of Washington, D.C., hereby assigns its bid
in the above matter to The Secretary of Veterans Affairs of Washington, D.C., his successors and/or assigns, C/o
Ocwen Loan Servicing, 12650 Ingenuity Drive, Orlando, FL 32826.
Leon P. Haller, Esquire
Attorney for Plaintiff
PURCELL, KRUG & HALLER
1719 North Front Street
Harrisburg, PA 17102
(717) 234-4178
DATED: July 11, 2007
26/ 1240572.v 105130-541
MARSHALL, DENNEHEY, WARNER
COLEMAN & GOGGIN
BY: MARK T. RILEY, ESQUIRE
IDENTIFICATION NO. 49427
620 Freedom Business Center, Suite 300
King of Prussia, PA 19406
(610) 354-8259
(610) 354-8299 - FAX
mtriley@ dwcg com
Attorney for Defendants
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
JAMES H. SLYDER
V.
DICKINSON TOWNSHIP,
DANIEL E. WYRICK,
THOMAS E. PATTERSON, and
RAYMOND L. JONES
NO.: 06-3762
WITHDRAWAL OF APPEARANCE
TO THE PROTHONOTARY:
Kindly withdraw my appearance on behalf of Defendant Daniel E. Wyrick in the above captioned
matter.
DATE: l "/Of
MARSHALL, DENNEHEY, WARNER,
?C IN
All
41
MARK T. RIL -
****************************************************
ENTRY OF APPEARANCE
TO THE PROTHONOTARY:
Kindly enter my appearance on behalf of Defendant Daniel E. Wyrick in the above captioned matter.
MAIYERS, MENNIES & SHERR, LLP
ANTHONY R. SHERR, ESQUIRE
3031 Walton Road
Building A, Suite 330
P.O. Box 1547
Blue Bell, PA 1942200440
DATE: 1`Zrj ?Vc(
w
_Ail
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