HomeMy WebLinkAbout06-3726
Ol. - 37:l..fa (l,"uLL ~~
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
Mitchell Titus
629 Bosler Avenue
Lemoyne, PA 17043
Merchants' Credit Guide Co.
223 W. Jackson Boulevard
Chicago, IL 60606
Plaintiff( s) & Addresses
Defendant( s) & Addresses
PRAECIPE FOR WRIT OF SUMMONS
TO THE PROTHONOTARY OF SAID COURT:
Please issue writ of summons in the above-captioned action. Writ of Summons shall be issued
and forwarded to (X ) Attorney ( ) Sheriff.
A)jkq.,~~
Signature of Attorney
Deanna Lynn Saracco, Esquire
76 Greenmont Drive
Enola, Pennsylvania 17025
Phone 717-732-3750
SaraccoLaw@aol.com
Dated: t:/x/o6
Dated:..... )u. \~ d (( J.oo fa
(
WRIT OF SUMMONS
TO THE ABOVE NAMED DEFENDANT(S):
YOU ARE NOTIFIED THAT THE ABOVE-NAMED PLAINTIFF(S) HAS/HA V
COMMENCED AN ACTION AGAINST YOU. R
Prothonotary
'-RY.~~D P.?E:~
De
/v ~ ~ ,...'1
c::-~
c.';;;'~
~ t ~ <:1--
-
_.'.L_
~ ~ N 9
~ \.D
~
; -.a .'
~ ~_.."
~
."
-.....0 .. C)
?? i",,>
.z:-
. .
f\\\\-~\' ~ms.,
r\G..\\\~~.\
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
\t.
CASE NUMBER: 06-3726
~~\~' ~5e(\\~GuA~CO'1 NOTICE TO PLEAD
\\Je~
TO THE DEFEND~ NAMED HEREIN:
You have been sued in court, If you wish to defend against
the claims set forth in the following pages, you must take action
within twenty (20) days after this Complaint is served, by
entering a written appearance personally or by attorney and
filing in writing with the court your defenses or objections to
the claims set forth against you. You are warned that if you
fail to do so, the case may proceed without further notice for
any money claimed in the Complaint, or for any other claim or
relief requested by the Plaintiff. You may lose money or
property or other rights important to you.
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE, IF YOU DO NOT
HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE
SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
Cumberland County Bar Association
32 S. Bedford Street, Carlisle, P A
1-800-990-9108, 717-249-3166
NOTICIA
Le han demandado a usted en la corte, Si usted quire defenderse de
estas demandas expuetas en las paginas siquientes, usted tiene viente (20)
dias de plazo al partir de la fecha de la excrita 0 en persona 0 por abogado y
archivar en la corte en forma excrita sus defensas 0 sus objectiones alas
demande, la corte tomara medidas y puede entrar una orden contra usted sin
previo aviso 0 notificacion y por cualquier queja 0 alivio que es pedido en la
peticion de demanda. Usted puede perder dinero 0 sus propiedades 0 otros
derechos importantes para usted.
LLEVE ESTA DEMANDA A UN ABOGADO 1MMED1ATAMENTE. S1 NO T1ENE ABOGADOO S1
NO T1ENE EL DINERO SUFICIENTE DE PAGAR TAL SERVIC10N, VAYA EN PERSONA 0 LLAME
POR TELEFONO A LA OF1CINA CUYA DIRECCION SE PUEDECONSEGU1R AS1STENCIA LEGAL.
. ,
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYL VANIA
MITCHELL TITUS,
Plaintiff,
v.
Civil No,: 06-3726
MERCHANTS' CREDIT GUIDE CO"
Defendant.
COMPLAINT
COUNT I - PENNSYLVANIA FAIR CREDIT EXTENSION UNIFORMITY ACT
1. Jurisdiction for this Action is asserted under the Pennsylvania Fair Credit Extension
Uniformity Act, 73 P.S. 92270 et seq.
2. Violating provisions of the Fair Debt Collection Practices Act also violate the
Pennsylvania FCEU, 73 P.S. 92270.4(a).
3. That defendant engaged in unfair methods of competition and unfair or deceptive acts or
practices, as defined by FCEU and the regulations, including but not limited to, violations
of37 Pa.Code 99303.3(3), 303.3(14), 303.3(18), 303.6 and 73 P.S. 9201-2(4).
4. Defendant's acts as described herein were done with malicious, intentional, willful,
reckless, negligent and wanton disregard for Plaintiff s rights with the purpose of
coercing Plaintiff to pay the alleged debt.
5. As a result of the above violations, Plaintiff is entitled to statutory, actual, treble and
punitive damages and attorney's fees and costs.
WHEREFORE, plaintiff requests that this Honorable Court issue judgment on his behalf
and against defendant for a statutory penalty, treble damages, punitive damages, attorney fees and
costs pursuant to 73 P.S. 92270,5.
. .
COUNT II - FAIR DEBT COLLECTION PRACTICES ACT
6. Plaintiff hereby incorporates the forgoing as if fully set forth herein,
7. Jurisdiction for this action is asserted pursuant to the Fair Debt Collection Practices Act,
15 U.S.C. S1692, et seq. ("FDCPA"), particularly 15 U.S.c. S1692k(d) and 28 U.S.C.
S 1337.
8. Venue lies in this District pursuant to 28 U.S.c. 1391(b).
9. Plaintiff is an individual, residing in Pennsylvania, and consumer pursuant to 15 U.S.c.
s1692a(3).
10. Defendant Merchants' Credit Guide Co., is a business entity(ies) engaged in the business
of collecting debts in this Commonwealth with its principal place of business located at
223 W. Jackson Boulevard, Chicago, II 60606.
11. Defendant is a debt collectors as defined by 15 U.S.c. 11692a(6).
12. Defendant, Merchants' Credit Guide Co., made telephone calls and sent a letter to
Plaintiff, dated April 4, 2006, which are "communications" relating to a "debt" as defined
by 15 U.S.c. 11692a(2).
13. Prior to receipt of the aforementioned letter, agents of defendant, contacted by telephone.
14. During said telephone calls, agents of defendant were belligerent, insulting and otherwise
abusive to the Plaintiff and his wife.
15. Agents of defendant threatened to sue Plaintiff, even though Plaintiff disputed the alleged
debt.
16, At all pertinent times hereto, the defendants were hired to collect a debt relating to a
consumer transaction as defined by 15 U.S.C. S 1692a(5)., (Hereinafter the "alleged
debt. ")
, ,
17. Defendant communicated with plaintiff on or after one year before the date of this action,
in connection with collection efforts, by letters, telephone contact or other documents,
with regard to plaintiff's alleged debt.
18. Plaintiff believes and therefore avers that defendants are adding interest, fees and costs in
violation of state and federal law.
19. Defendant in its collection efforts, demanded interest, fees and/or costs in violation of the
FDCPA, 15 U.S.C. ~1692f(l) and I 692e(2)A and B.
20. There was never an express agreement by Plaintiff to pay any additional fees, cost or
interest to Defendant or any of its agents.
21. The FDCPA states that a violation of state law is a violation of the FDCPA. 15 U.S.C.
~ 1692n. Pennsylvania law states, in pertinent part, 18 Pa.C.S. ~7311:
"Unlawful collection agency practices.
(a) Assignment of claims. It is lawful for a collection agency, for the purpose of
collecting or enforcing the payment thereof, to take an assignment of any such
claim from a creditor, if all of the following apply:
I. The assignment between the creditors and collection agency is in writing;
2. The original agreement between the creditor and debtor does not prohibit
assignments.
3. The collection agency complies with the act of December 17, 1968...
(b. I )Unfair or deceptive methods. It is unlawful for a collector to collect any
amount, including any interest, fee, charge or expense incidental to the principal
obligation, unless such amount is expressly provided in the agreement creating the
debt or is permitted by law."
22. Plaintiff believes and therefore avers that defendant does not have proper assignment of
the claim, in violation of Pennsylvania law.
23. Plaintiff believes and therefore avers that defendant does not have proper assignments
and/or documentation permitting said defendants to charge interest, fees and/or costs.
24. The FDCP A states, a debt collector may not use unfair or unconscionable means to
collect or attempt to collect any debt. 15 U.S,C. 91692f. Defendant violated this section
of the FDCP A.
25. The FDCPA states that a violation of state law is a violation of the FDCPA. 15 U.S.C.
S 1692n. Defendant violated this section of the FDCP A.
26. The FDCP A states, a debt collector may not use false, deceptive or misleading
representation or means in connection with the collection of any debt. 15 U.S.c. 91692e.
Defendant violated this section of the FDCP A.
27. The Fair Credit Reporting at, 15 U.S.c. 91681 b prohibits the improper use of a
consumer's credit information,
28. The FDCP A states, a debt collector may not discuss the consumers alleged debt with a
third party. The Defendant violated this section of the FDCP A.
29. The FDCP A states, a debt collector may not engage in any conduct the natural
consequence of which is to harass, oppress or abuse any person in connection with the
collection of a debt. 15 U.S.C. 91692d. Defendant violated this section of the FDCP A.
30. The FDCP A provides certain rights to the consumer regarding her right to dispute the
alleged debt, 15 U.S.c. 91692g. At no time during the initial communications, the
telephone calls, did the agents of defendant provide Plaintiff with her rights under the
law. Defendant violated this section of the FDCPA.
31. The FDCP A states, it is unlawful to add interest, charges, fees or other costs unless
authorized by law or contract; Plaintiff does not have a contract with Defendant.
15 U.S.C. 91692fand 91692e(2)(A) and (B). Defendant violated this section of the
FDCP A.
. .
32. Defendant's collection communications were intentionally confusing, misleading and
otherwise deceptive to the Plaintiffs, in violation of 15 U.S,c. sI692e(5) and (10),
S 1692f(8) and S 1692j, see also, In re Belile, 208 B.R. 658 (E.D. Pa 1977).
33. Defendant's communications created a false sense of urgency on the past of Plaintiff in
violation of the FDCPA. Tolentino v, Friedman, 833 F, Supp. 697 (N,D, Ill. 1993); Sluys
v. Hand, 831 F. Supp. 321 (S.D.N.Y. 1993); and Rosa v. Gaynor, 784 F. Supp 1 (D.
Conn. 1989).
34. Any threat of litigation is false if the defendant rarely, sues consumer debtors or if the
defendant did not intend to sue the Plaintiff. Bently v. Great Lakes Collection Bureau, 6
F.3d 62 (2d Cir. 1998). See also, 15 V.S.C. sI692e(5), 15 U.S.C, sI692e(IO).
35. At all time pertinent hereto, the defendant was acting by and through its agents, servants
and/or employees, who were acting within the scope and course of their employment, and
under the direct supervision and control of the defendants herein.
36. At all times pertinent hereto, the conduct of defendant as well as their agents, servants,
and/or employees, was malicious, intentional, willful, reckless, negligent and in wanton
disregard for federal and state law and the rights of the Plaintiff herein.
37. Defendant's letters were intentionally confusing and deceptive, in violation of 15 V.S.C.
sI692e(5) and (10), SI692f(8) and S1692j,
38. Plaintiff was confused, deceived and believed that litigation was imminent if settlement
was not made,
39. The above mentioned acts with supporting cases demonstrates that the conduct of
defendants rises to the level needed for punitive damages.
40. Defendant, in its collection efforts, violated the FDCP A, inter alia, Sections 1692, b, c, d,
" I 'I"
e, f, g, h, and/or n.
41. Defendant, in its collection efforts, used false or deceptive acts and intended to oppress
and harass plaintiff.
42. That, as a result of the wrongful tactics of defendants as aforementioned, plaintiff has
been subjected to anxiety, harassment, intimidation and annoyance for which
compensation is sought.
WHEREFORE, Plaintiff respectfully requests that his Honorable Court enter judgment
for Plaintiff and against defendant and issue an Order:
(A) A ward Plaintiff statutory damages in the amount of One Thousand Dollars
($1,000,00) for each violation of the FDCP A or each separate and discrete
incident in which defendants have violated the FDCP A.
(B) Award Plaintiff general damages and punitive damages for anxiety, harassment,
and intimidation directed at Plaintiff in an amount not less than Ten Thousand
Dollars ($10,000.00), as well as the repetitive nature of defendants form letters.
~) Award Plaintiff costs of this litigation, including a reasonable attorney's fee at a
rate of$350.00/hour for hours reasonably expended Plaintiff's attorney in
vindicating his rights under the FDCP A, permitted by 15 U.S.c. 91692k(a)(3),
(D) A ward declaratory and injunctive relief, and such other relief as this Honorable
Court deems necessary and proper or law or
Dated: 7/10/06
By: n Saracco
Deanna Lynn Saracco, Attorney for Plaintiff
76 Greenmont Drive, Enola, P A 17025
Telephone 717-732-3750
Fax 717-728-9498
Email: SaraccoLaw@aol.com
~
I:...;).....
..-..f
f--11
:Tl
.- .....
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
MITCHELL TITUS.
Plaintiff.
v,
Civil No.: 06-3726
MERCHANTS' CREDIT GUIDE CO,.
Defendant.
PRAECIPE TO WITHDRAW
WITH PREJUDICE
And now comes Plaintiff. by and through her counsel, Deanna Lynn Saracco, and files
this Praecipe to Withdraw the above captioned matter, with prejudice as the parties have
amicably settled their dispute. This case should be discontinued and you may mark this case
CLOSED.
Respectfully submitted,
Dated: 9/26/06
JQ-e 1<<
. ;nd A~C('A1
Deanna Lynn Saracco. Attorney for Plaintiff
76 Greenmont Drive
Enola. P A 17025
717-732-3750
Certificate of Service:
I hereby certify that I served, via hand delivery. a copy of the forgoing. on the defendant as
follows:
Todd p, Stelter
HINSHAW & CULBERTSON LLP
222 North LaSalle Street
Suite 300
Chicago. IL 6060 I
Dated: 9/26/06
r " "-
/i~___
Deanna Lynn Saracco
~. ...
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
MITCHELL TITUS.
Plaintiff.
v.
Civil No.: 06-3726
MERCHANTS' CREDIT GUIDE CO,.
Defendant.
PRAECIPE TO WITHDRAW
WITH PREJUDICE
And now comes Plaintitl by and through her counseL Deanna Lynn Saracco. and tiles
this Praecipe to Withdraw the above captioned matter. with prejudice as the parties have
amicably settled their dispute. This case should be discontinued and you may mark this case
CLOSED.
Respectfully submitted,
Dated: 9/26/06
I"'"
r .~ /
;;1 'iF",J /;;~... e-0
d i ,.\ ,,:tt^-- ~-
rie~na Lynn Saracco, Attorney for Plaintiff
76 Greenmont Drive
Enola. P A 17025
717-732-3750
Certiticate of Service:
I hereby certi fy that I served. via hand del i very. a copy of the forgoing. on the defendant as
follows:
Todd P. Stelter
HINSHAW & CULBERTSON LLP
222 North LaSalle Street
Suite 300
Chicago, IL 60601
Dated: 9/26/06
f"
)~" ,rl
i i I
/kd~
l' -
Deanna Lynn Saracco
n r--) 0
=
~;; = --n
c;;:" ::;1~
~~ (/}
, ' 61~
-,G ".~,\-rl
['.) -'.;0
0'.) "I
:~(-)
-a '.-t;: ~~~;\
::r:..:. }t,)
r:Y ;5(11
l~_~ --\
~ N J:j
:~
--- .....