HomeMy WebLinkAbout06-6148McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
HSBC Mortgage Services, Inc.
5701 East Hillsborough Avenue
Tampa, FL 33610
Attorneys for Plaintiff
Cumberland County
Court of Common Pleas
V.
Melvin L. Barrick Jr.
12 Wyrick Avenue
Shippensburg, PA 17257
and
Cheryl Barrick
12 Wyrick Avenue
Shippensburg, PA 17257
Number I LI (> t L`?
CIVIL ACTION/MORTGAGE FORECLOSURE
NOTICE
you have been sued in court. If you wish to defend
against the claims set forth in the following
pages, you must take action within twenty (20) days
after this complaint and notice are served, by
entering a written appearance personally or by
attorney and filing in writing with the court your
defenses or objections to the claims set forth
against you. You are warned that if you fail to do
so the case may proceed without you and a judgment
may be entered against you by the court without
further notice for any money claimed in the
complainnt or For any other claim or relief
requested by the plaint .ff . 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, 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
i'ROVIDI-. YOU WITH INFORMATION ABOUT
AGENCIES TIIATMAY OFFER LEGAL SERVICES
TO ELIGIBLE PERSONS AT A REDUCED FEE OR
NO FEE.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA, 17013
800-990-9108
AVISO
Le han demandado a usted en la torte. Si usted
quiere defenderse de estas demanders ex-puestas en
las paginas siguientes, usted tiene veinte (20)
dias de plazo al partir de la fecha de la demands y
la notificacion. Hace falta asentar una
comparencia escrita o en persona o con un abogado y
entregar a la torte en forma escrita sus defensas o
sus objeciones a las demandas en contra de su
persona. Sea avisado que si usted no se defiende,
la torte tomara medidas y puede continuar la
demanda en contra suya sin previo aviso o
notificacion. Ademas, la torte puede decidir a
favor del demandante y requiere que usted cumpla
con todas las provisions de esta demanda. Usted
puede perder dinero o sus propiedades u otros
derechos importantes para usted.
USTED LE DEBE TOMAR ESTE PAPEL A SU
ABOGADO INMEDIATAMENTE. SI USTED NO
TIENE A UN ABOGADO, VA A O TELEFONEA LA
OFICINA EXPUSO ABAJO. ESTA OFICINA LO
PUEDE PROPORCIONAR CON INFORMATION
ACERCA DE EMPLEAR A UN ABOGADO.
Sl USTED NO PUEDE PROPORCIONAR PARA
EMPLEAR UN ABOGADO, ESTA OFICINA PUEDE
SER CAPA7, DE PROPORCIONARLO CON
INFORMACION ACERCA DE LAS AGENCIAS
QUE PUEDEN OFRECER LOS SERVICIOS
LEGALES A PERSONAS ELEGIBLES EN UN
HONORARIO REDUCIDO NI NINGUN
HONORARIO.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA, 17013
800-990-9108
McCABE, WEISBERG AND CONWAY, P.C.
BY TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE -Ill # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
HSBC Mortgage Services, Inc.
5701 East Hillsborough Avenue
Tampa, FL 33610
V.
Melvin L. Barrick Jr.
12 Wyrick Avenue
Shippensburg, PA 17257
and
Cheryl Barrick
12 Wyrick Avenue
Shippensburg, PA 17257
Attorneys for Plaintiff
Cumberland County
Court of Common Pleas
Number 0(,o - 4,14? U 1 ?, l-
CIVIL ACTION/MORTGAGE FORECLOSURE
Plaintiff is HSBC Mortgage Services, Inc., a corporation duly organized and doing business
at the above captioned address.
2. The Defendant is Melvin L. Barr ick Jr., who is one of the mortgagors and real owners of the
mortgaged property hereinafter described, and his last-known address is 12 Wyrick Avenue, Shippensburg,
PA 17257.
The Defendant is Cheryl Barrick, who is one of the mortgagors and real owners of the
mortgaged property hereinafter described, and her last-known address is 12 Wyrick Avenue, Shippensburg,
PA 17257.
4. On 04/04/2006, mortgagor made, executed and delivered a mortgage upon the premises
hereinafter described to Mortgage Electronic Registration Systems, Inc. as nominee for Decision One
Mortgage Company, L1,C which mortgage is recorded in the office of the Recorder of Cumberland County
in Mortgage Book 1949, Page 3049.
5. The aforesaid mortgage was thereafter assigned by Mortgage Electronic Registration
Systems, Inc. as nominee for Decision One Mortgage Company, LLC to HSBC Mortgage Services, Inc.,
Plaintiff herein, by Assignment of Mortgage which will be duly recorded in the Office of the Recorder of
Cumberland County.
6. The premises subject to said mortgage is described in the mortgage attached as Exhibit "A"
and is known 12 Wyrick Avenue, Shippensburg, PA 17257.
7. The mortgage is in default because monthly payments of principal and interest upon said
mortgage due 06/04/2006 and each month thereafter are due and unpaid, and by the terms of said mortgage,
upon default in such payments for a period of one month, the entire principal balance and all interest due
thereon are collectible forthwith.
8. Me following amounts are due on the mortgage:
$ 104,926.49
Principal Balance $ 667.59
3
Interest through 10/19/2006 ,
(Plus $ 22.39 per diem thereafter) $ 5,246.32
Attorney's Fee $ 188.75
Late Charges $ 40.00
Corporate Advances $ 225.00
Cost of Suit $ 125.00
Appraisal Fee $ 200.00
Title Search
GRAND TOTAL $ 114,619.15
9. The attorney's fees set forth above are in conformity with the mortgage documents and
Pennsylvania Law and will be collected in the event of a third party purchaser at Sheriffs Sale. If the
mortgage is reinstated prior to the Sale, reasonable attorney's fees will be charged based on work actually
performed.
10. Notice of Intention to Foreclose as required by Act 6 of 1974 (41 P.S. §403) and notice
required by the Emergency Mortgage Assistance Act of 1983 as amended under 12 PA Code Chapter 13, et
seq., commonly known as the Combined Notice of Delinquency has been sent to Defendants by regular mail
with a certificate of mailing and by certified mail, return receipt requested.
WHEREFORE, Plaintiff demands Judgment against the Defendants in the sum of $114,619.15,
together with interest at the rate of $22.39 per diem and other costs and charges collectible under the
mortgage and for the foreclosure and sale of the mortgaged property.
McCABE SBERG AND AY, P.C.
BY: _
Attorneys for Plaintiff
TERRENCE J. McCABE, ESQUIR
MARC S. WEISBERG, ESQUIRE
EDWARD D. CONWAY, ESQUIRE
MARGARET GAIRO, ESQUIRE
VERIFICATION
The undersigned„ hereby certifies that they are the Attorney for the Plaintiff in the within
action, and that they are authorized to make this verification and that the foregoing facts are true and
correct to the best of their knowledge, information and belief and further states that false statements
herein are made subject to the penalties of 18 PA.C.S. §4904 relating to unsworn falsification to
authorities.
McCABE, WEISBERG & CONWAY, P.C.
/f
By:
Attorneys for Plaintiff
TERRENCE J. McCABE, ESQ E
MARC S. WEISBERG, ESQUIRE
EDWARD D. CONWAY, ESQUIRE
MARGARET GAIRO, ESQUIRE
FRANK DUBIN, ESQUIRE
(?T 1 J N ff pl O
Viv • o fp C. to a ? d
a ct c1
Prepared By: H 7C
Name: ,. i .. 7t-ER Q? F0., x
Address:
Telephone: (;.i' .?::'._•,', 4 -'?7' ,,,? ..
0111= rr
10 ENE to
After Recording Return To'. W
Decision One Mortgage Company, LLC w? kq c W.
6060 J.A. Jones Drive, Suite 1000 o (D o
Zo.
Charlotte, North Carolina 28287 OEM o Er o
UPI Number: 36-35-2388-019A ? a C o
(space AbovIThts Line For Recording DaLoan Number 2030060369750
\\ MIN: 100077910006057653
MORTGAGE
DEFINITIONS
Words used in multiple sections of this document are defined below and other words are defined in Sections 3,
11, 13, 18, 20 and 21. Certain rules regarding the usage of words used in this document are also provided in
Section 16.
(A) "Security Instrument" means this document, which is dated APRIL 4, 2006, together with all Riders to
this document.
(B) "Borrower" is MELVIN L BARRICK JR and CHERYL BARRICK. Borrower is the mortgagor under
this Security Instrument.
(C) "MFRS" is Mortgage Electronic Registration Systems, Inc. MERS is a separate corporation that is acting
solely as a nominee for Lender and Lender's successors and assigns. MERS is the mortgagee under this
Security Instrument. MFRS is organized and existing under the laws of Delaware, and has an address and
telephone number of P.O. Box 2026, Flint. MI 48501-2026, tel. (888) 679-MERS.
(D) "Lender" is Decision One Mortgage Company, LLC. Lender is a LIMITED LIABILITY COMPANY
organized and existing under the laws of NORTH CAROLINA. Lender's address is 6060 J.A. JONES
DRIVE, SUITE 1000, CHARLOTTE, NORTH CAROLINA 28287.
(F.) "Note" means the promissory note signed by Borrower and dated APRIL 4, 2006. The Note states that
Borrower owes Lender ONE HUNDRED FIVE THOUSAND AND 00/100ths Dollars (U.S.$105,000.00)
plus interest. Borrower has promised to pay this debt in regular Periodic Payments and to pay the debt in full
not later than APRIL 4, 2036.
(F) "Property" means the property that is described below under the heading "Transfer of Rights in the
Property. prepayment charges and late charges due
(G) "Loan" means the debt evidenced by the Note, plus interest, any prepay
under the Note, and all sums due under this Security Instrument, plus interest.
Exhibit A
pages)
PENNSYLVANIA-Single Family-Fannie Mae/Freddie Mac UNIFORM INSTRUMENT Form 3139III1/01 II111111(page r of 14 II
111111111111 11111111111111111111111111111111111 101111M III
o ON 1949PG3049
(II) "Riders" means all Riders to this Security Instrument
.
Riders are to be executed by Borrower [check box as applicable]
that are executed by Borrower. The following
NAdjustable Rate Rider C1 Condominium Rider
0Balloon Rider ?Planned Unit Development Rider
O Second Home Rider
O Other(s)
O 1-4 Family Rider OBiweeldy Payment Rider
,Applicable Law means all controlling applicable federal, state and local statutes, regulations, ordinances and
a „
administrative rules and orders (that have the effect of law) as well as all applicable fmal, non-appealable
judicial opinions.
(J) "Community Association Dues, Fees, and Assessments" means lllsdo s, feeh assessments asoctat er
charges that are imposed on Borrower or the Property by a condominium
or similar organization.
(I{) "Electronic Funds Tram?'twhi h transfer of
aced thr°ugh,an telectrt° is t rminal?telephonac?instrument,
draft, or similar paper instrument,
or magnetic tape so as to order, instruct, or authorize ale tanansfersstautomated detellerbit machine
account. Such term includes, but is not limited to, point-of-sae
transactions, transfers initiated by telephone, wire transfers, and automated clearinghouse transfers.
(L) "Escrow Items" means those items that are o described i se clement, award of damages, or proceeds paid by
(M) "Miscellaneous Proceeds" means any compensation,
any third party (other than insurance proceeds paid under the coverages described in Section of 5tt)ie r: (i) am ge
to, or destruction of, the Property; (ii) condemnation or other taking of all or any p Property; (i)
conveyance in lieu of condemnation; or (iv) misrepresentations of, or omissions as to, the value and/or
condition of the Property. !' rotectin Lender against the nonpayment of, or default on, the
(N) "Mortgage Insurance means insurance p g
Loan. and interest under the
(O) "Periodic Payment" means the regularly scheduled amount due for (i) principal
Note, plus (ii) any amounts under Section 3 of this Security Instrument. its (p) "RESPA" means the Real
ion Xta24CtF R ePart 3500)uas theYtrr'tght be amended60romttime to tianme, or
implementing regulation, leg
thatbarect e matter.mposedAs used in
regard tots
any additional or successor or legislation or regulation gandoverns
restrictiothe
Security Instrument, "RESPA refers to all
"federally related mortgage loan" even if the loan does not qualify as a "federally related mortgage loan" under
RESPA.
(Q) "Successor in Interest of Borrower" means any party that has taken title to the Property, whether or not
that party has assumed Borrower's obligations under the Note and/or this Security Instrument.
TRANSFER OF RIGHTS IN THE PROPERTY
This Security Instrument secures to Lender: (i) the repayment of the Loan, and all renewals, extensions and
modifications of the Note; and (ii) the performance of Borrower's covenants and agreements under this Security
Instrument and the Note. For this purpose, Borrower does hereby mortgage, grant and convey to MFRS
(solely as nominee for Lender and Lender's successors and assigns) and to thefsuccessors Eannd assigns of MERS
the following described property located in the , County Name of Recording Jurisdiction]
ft?Yle of Recording Jurisdiction] [SEE ATCACI0:D SCHEDULE "A"
pENNSYLVANIA-Single Family-Fannie Mae/Freddie Mac UMFORM INSTRUMENT Form 3039 1101 (vage 2 of 14 pages)
BK { 949PG3050
which currently has the address of 12 WYRICK AVE [Street]
SHIP0EN5B1TRG , Pennsylvania 17257 ("Property Address");
[zip Code]
[City] and all easements,
TOGETHER WITH all the improvements now or hereafter erected on the property,
appurtenances, and fixtures now or hereafter a part of the property. All replacements and additions shall also be
covered by this Security Instrument. All of the foregoing is referred to in this Security Instrument as the
"Property." Borrower understands and agrees that MERS holds only legal title to the interests granted by
Borrower in this Security instrument, but, if necessary to comply with law or custom, MERS (as nominee for
Lender and Lender's successors and assigns) has the right: to exercise any or all of those interests, including,
but not limited to, the right to foreclose and sell the Property; and to take any action required of Lender
including, but not limited to, releasing and canceling this Security Instrument.
BORROWER COVENANTS that Borrower is lawfully seised of the estate hereby conveyed and has the
right to mortgage, grant and convey the Property and that the Property is unencumbered, except claims for
encumbrances of record. Borrower warrants and will defend generally the title to the Property against
and demands, subject to any encumbrances of record.
THIS SECURITY INSTRUMENT combines uniform covenants for national use and non-uniform
covenants with limited variations by jurisdiction to constitute a uniform security instrument covering real
property.
UNIFORM COVENANTS. Borrower and Lender covenant and agree ??° nd Late Charges. Borrower
1. Payment of Principal, Interest, Escrow Items, Prepayment y pr shall pay when due the principal of, and interest on, the debt evidenced by the for Esc and an tems puepayment
to
charges and late charges due under the Note. Borrower shall also pay funds currency Section 3. Payments due under the Note and this Security Instrument shall er made i or this Security
However, if any check or other instrument received by Lender as payment the Note
Instrument is returned to Lender unpaid, Lender may require that any or all subsequent payments due under the
Note and this Security instrument be made in one or more of the following forms, as selected by Lender: (a)
cash; (b) money order; (c) certified check, bank check, treasurer's check or cashier's check, provided any such
check is drawn upon an institution whose deposits are insured by a federal agency, instrumentality, or entity; or
(d) Electronic Funds Transfer.
Payments are deemed received by Lender when received at the location designated in the Note or at such
other location as may be designated by Lender in accordance with the notice provisions in Section 15. Lender
may return any payment or partial payment if the payment or partial payments are insufficient to bring the Loan
current. Lender may accept any payment or partial payment insufficient to bring the Loan current, without
waiver of any rights hereunder or prejudice to its rights to refuse such payment or partial payments in the
future, but Lender is not obligated to apply such payments at the time such payments are accepted. If each
Periodic Payment is applied as of its scheduled due date, then Lender need not pay interest on unapplied funds.
PENNSYLVANIA-Single Family-Fannie Mae/Freddie Mac UNIFORM INSTRUMENT Form 3039 1101 (page 3 of 14 pages)
8K1949PG305I
fu current. If Borrower
Lender may hold such unapplied funds until Borrower makes payment to bring the
does not do so within a reasonable period of time, Lender shall either apply
Borrower. If not applied earlier, such funds will be applied to the outstanding principal balance under the Note
inunediately prior to foreclosure. No offset or claim which Borrower might have now or in the future against
lxnder shall relieve Borrower from making payments due under the Note and this Security Instrument or
performing the covenants and agreements secured by this Security instrument.
2. Application of Payments or Proceeds. Except as otherwise described in this Section 2, all payments
accepted and applied by Lender shall be applied in the following order of priority: (a) interest due under the
Note; (b) principal due under the Note; (c) amounts due under Section 3. Such payments shall be applied to
each Periodic Payment in the order in which it became due. Any remaining amounts shall be applied first to
late charges, second to any other amounts due under this Security Instrument, and then to reduce the principal
balance of the Note.
If Lender receives a payment from Borrower for a delinquent Periodic Payment which includes a sufficient
amount to pay any late charge due, the payment may be applied to the delinquent payment and the late charge.
If more than one Periodic Payment is outstanding, Lender may apply any payment received from Borrower to
the repayment of the Periodic Payments if, and to the extent that, each payment can be paid in full. To the
extent that any excess exists after the payment is applied to the full paymet of one, or more shall be eriodi fi st toe ts,
such excess may be applied to any late charges due. Voluntary prepayments appld any
prepayment charges and then as described in the Note.
Any application of payments, insurance proceeds, or Miscellaneous Proceeds to principal due under the
Note shall not extend or postpone the due date, or change the amount, of the Periodic Payments.
3. Funds for Escrow Items. Borrower shall pay to Lender on the day Periodic Payments are due under the
Note, until the Note is paid in full, a sum (the "Funds") to provide for payment of amounts due for: (a) taxes
s for cuencumbrance
and assessments and other items which can attain priority over this Security Instrument eam t lien
all
on the Property; (b) leasehold payments or ground rents on the Property, if any; (c) p Y br
insurance required by Lender under Section 5; and (d) Mortgage Insurance premiums, if any, or any sums
payable by Borrower to Lender in lieu of the payment of Mortgage Insurance premiums in accordance with the
provisions of Section 10. These items are called "Escrow Items." At origination or at any time during the term
of the Loan, Lender may require that Community Association Dues, Fees, and Assessments, if any, be
escrowed by Borrower, and such dues, fees and assessments shall be an Escrow Item. Borrower shall promptly
furnish to Lender all notices of amounts to be paid under this Section. Borrower shall pay Lender the Funds
for Escrow Items unless Lender waives Borrower's obligation to pay the Funds for any or all Escrow Items.
Lender may waive Borrower's obligation to pay to Lender Funds for any or all Escrow Items at any time. Any
such waiver may only be in writing. In the event of such waiver, Borrower shall pay directly, when and where
payable, the amounts due for any Escrow Items for which payment of Funds has been waived by Lender
and, if Lender requires, shall furnish to Lender receipts evidencing such payment within such time period as
Lender may require. Borrower's obligation to make such payments and to provide receipts shall for all
purposes be deemed to be a covenant and agreement contained in this Security Instrument, as the phrase
"covenant and agreement" is used in Section 9. If Borrower is obligated to pay Escrow Items directly, pursuant
to a waiver, and Borrower fails to pay the amount due for an Escrow Item, Lender may exercise its rights under
Section 9 and pay such amount and Borrower shall then be obligated under Section 9 to repay to Lender any
c nwith Lender Section a 15 revoke and, upthe waiver as to any or all row on such revocation, Borrower hall l pay to Lender all Funds, notice accordance and in su h
amounts, that are then required under this Section 3.
Lender may, at any time, collect and hold Funds in an amount (a) sufficient to permit Lender to apply the
Funds at the time specified under RESPA, and (b) not to exceed the maximum amount a lender can require
under RESPA. lender shall estimate the amount of Funds due on the basis of current data and reasonable
estimates of expenditures of future Escrow Items or otherwise in accordance with Applicable Law.
PENNSYLVANIA-Single Family-Fannie Mae/Freddie Mac UNIFORM INSTRUMENT Form 3039 1101 (page 4 of 14 pages)
I IIIIIII 11111111111 IIIIII III III IIIII IIIII 11111111111 IN
8K 1949PG3052
The Funds shall be held in an institution whose deposits are insured by a federal agency, instrumentality,
or entity (including Lender, if lender is an institution whose deposits are so insured) or in any Fed erg uHome nder
Loan Bank. Lender shall apply the Funds to pay the Escrow Items no later than the time spec
RESPA. Lender shall not charge Borrower for holding and applying the Funds, annually analyzing the escrow
account, or verifying the Escrow Items, unless Lender pays Borrower interest on the Funds and Applicable Law
permits Lender to make such a charge. Unless an agreement is made in writing or Applicable Law requires
interest to be paid on the Funds, Lender shall not be required to pay Borrower any interest or earnings on the
Funds, Borrower and Lender can agree in writing, however, that interest shall be paid on the Funds. Lender
shall give to Borrower, without charge, an annual accounting of the Funds as required by RESPA.
If there is a surplus of Funds held in escrow, as defined under RESPA, Lender shall account to Borrower
for the excess funds in accordance with RESPA. If there is a shortage of Funds held in escrow, as defined
under RESPA, Lender shall notify Borrower as required by RESPA, and Borrower shall pay to Lender the
amount necessary to make up the shortage in accordance with RESPA, but in no more than 12 monthly
payments. If there is a deficiency of Funds held in escrow, as defined under RESPA, Lender shall notify
Borrower as required by RESPA, and Borrower shall pay to Lender the amount necessary to make up the
deficiency in accordance with RESPA, but in no more than 12 monthly payments.
Upon payment in full of all sums secured by this Security Instrument, Lender shall promptly refund to
Borrower any Funds held by Lender.
4. Charges; Liens. Borrower shall pay all taxes, assessments, charges, fines, and impositions attributable
to the Property which can attain priority over this Security Instrument, leasehold payments or ground rents on
the Property, if any, and Community Association Dues, Fees, and Assessments, if any. To the extent that these
items are Escrow Items, Borrower shall pay them in the manner provided in Section 3.
Borrower shall promptly discharge any lien which has priority over this Security Instrument unless
Borrower: (a) agrees in writing to the payment of the obligation secured by the lien in a manner acceptable to
lender, but only so long as Borrower is performing such agreement; (b) contests the lien in good faith by, or
defends against enforcement of the lien in, legal proceedings which in Lender's opinion operate to prevent the
enforcement of the lien while those proceedings are pending, but only until such proceedings are concluded; or
(c) secures from the holder of the lien an agreement satisfactory to Lender subordinating the lien to this Security
Instrument. If Lender determines that any part of the Property is subject to a lien which can attain priority over
this Security Instrument, Lender may give Borrower a notice identifying the lien. Within 10 days of the date
on which that notice is given, Borrower shall satisfy the lien or take one or more of the actions set forth above
in this Section 4.
Lender may require Borrower to pay a one-time charge for a real estate tax verification and/or reporting
service used by Lender in connection with this Loan.
5. Property Insurance. Borrower shall keep the improvements now existing or hereafter erected on the
Property insured against loss by fire, hazards included within the term "extended coverage," and any other
hazards including, but not limited to, earthquakes and floods, for which Lender requires insurance. This
insurance shall be maintained in the amounts (including deductible levels) and for the periods that Lender
requires. What Lender requires pursuant to the preceding sentences can change during the terra of the Loan.
The insurance carrier providing the insurance shall be chosen by Borrower subject to Lender's right to
disapprove Borrower's choice, which right shall not be exercised unreasonably. Lender may require Borrower
to pay, in connection with this Loan, either: (a) a one-time charge for flood zone determination, certification
and tracking services; or (b) a one-time charge for flood zone determination and certification services and
subsequent charges each time remappings or similar changes occur which reasonably might affect such
determination or certification. Borrower shall also be responsible for the payment of any fees imposed by the
Federal Emergency Management Agency in connection with the review of any flood zone determination
resulting from an objection by Borrower.
PENNSYLVANIA-Single Family-Fannie Mae/Frefte Mac UNIFORM INSTRUMENT Form 3039 1101 (page 5 of 14 pages)
111!111 IN 11111111111111111 III 11111 IIIII 1111111111 IN
BK ! 949PG3053
if Borrower fails to maintain any of the coverages described above, lender may obtain insurance coverage,
e,
at Lender's option and Borrower's expense. Lender is under no obligation to purchase any particular type
amount of coverage. Therefore, such coverage shall cover Lender, but might or might not protect Borrower,
Borrower's equity in the Property, or the contents of the Property, against any risk, hazard or liability and
might provide greater or lesser coverage than was previously in effect. Borrower acknowledges that the cost of
the insurance coverage so obtained might significantly exceed the cost of insurance that Borrower could have
obtained. Any amounts disbursed by Lender under this Section 5 shall become additional debt of Borrower
secured by this Security Instrument. These amounts shall bear interest at the Note rate from the date of
disbursement and shall be payable, with such interest, upon notice from Lender to Borrower requesting
payment.
All insurance policies required by Lender and renewals of such policies shall be subject to Lender's right
to disapprove such policies, shall include a standard mortgage clause, and shall name Lender as mortgagee
and/or as an additional loss payee. lender shall have the right to hold the policies and renewal certificates. If
Lender requires, Borrower shall promptly give to Lender all receipts of paid premiums and renewal notices. If
Borrower obtains any form of insurance coverage, not otherwise required by Lender, for damage to, or
destruction of, the Property, such policy shall include a standard mortgage clause and shall name Lender as
mortgagee and/or as an additional loss payee.
In the event of loss, Borrower shall give prompt notice to the insurance carrier and Lender. Lender may
make proof of loss if not made promptly by Borrower. Unless Lender and Borrower otherwise agree in
writing, any insurance proceeds, whether or not the underlying insurance was required by Lender, shall be
applied to restoration or repair of the Property, if the restoration or repair is economically feasible and Lender's
security is not lessened. During such repair and restoration period, Lender shall have the right to hold such
insurance proceeds until Lender has had an opportunity to inspect such Property to ensure the work has been
completed to Lender's satisfaction, provided that such inspection shall be undertaken promptly. Lender may
disburse proceeds for the repairs and restoration in a single payment or in a series of progress payments as the
work is completed. Unless an agreement is made in writing or Applicable Law requires interest to be paid on
such insurance proceeds, Lender shall not be required to pay Borrower any interest or earnings on such
proceeds. Fees for public adjusters, or other third parties, retained by Borrower shall not be paid out of the
insurance proceeds and shall be the sole obligation of Borrower. If the restoration or repair is not
economically feasible or Lender's security would be lessened, the insurance proceeds shall be applied to the
sums secured by this Security Instrument, whether or not then due, with the excess, if any, paid to Borrower.
Such insurance proceeds shall be applied in the order provided for in Section 2.
If Borrower abandons the Property, Lender may file, negotiate and settle any available insurance claim and
related matters. If Borrower does not respond within 30 days to a notice from Lender that the insurance carrier
has offered to settle a claim, then Lender may negotiate and settle the claim. The 30-day period will begin
when the notice is given. In either event, or if Lender acquires the Property under Section 22 or otherwise, not to exceed
Borrower hereby assigns to Lender (a) Borrower's rights to any insurance proceeds oin an f Borrower' rights (other
the amounts unpaid under the Note or this Security Instrument, and (b) any other the
than the right to any refund of unearned premiums paid by Borrower) under all insurance paoliu? the insurance
Property, insofar as such rights are applicable to the coverage of the Property. Lender may
proceeds either to repair or restore the Property or to pay amounts unpaid under the Note or this Security
Instrument, whether or not then due.
6. (hcupancy. Borrower shall occupy, establish, and use the Property as Borrower's principal residence
within 60 days after the execution of this Security instrument and shall continue to occupy the Property as
Borrower's principal residence for at least one year after the date of occupancy, unless Lender otherwise agrees
in writing, which consent shall not be unreasonably withheld, or unless extenuating circumstances exist which
are beyond Borrower's control.
PENNSYLVANIA-Single Family-Fannie MaelFreddie Mac UNIFORM INSTRUMENT Form 3039 1101 (page 6 of 14 pages)
I
111111 IN 11111110111181111118111111 IIIII 1111 IN
BKI949PG3054
7. Preservation, Maintenance and Protection of the Property; Inspections. Borrower shall not destroy,
ther or
damage or impair the Property, allow the Property to deteriorate or commit wash order to to Property.
the Property
not Borrower is residing in the Property, Borrower shall maintain the Property prevent
from deteriorating or decreasing in value due to its condition. Unless it is determined pursuant to Section 5 that
repair or restoration is not economically feasible, Borrower shall promptly repair the Property if damaged to
avoid further deterioration or damage. If insurance or condemnation proceeds are paid in connection with
damage to, or the taking of, the Property, Borrower shall be responsible for repairing or restoring the Property
only if Lender has released proceeds for such purposes. Lender may disburse proceeds for the repairs and
restoration in a single payment or in a series of progress payments as the work is completed. If the insurance
or condemnation proceeds are not sufficient to repair or restore the Property, Borrower is not relieved of
Borrower's obligation for the completion of such repair or restoration. inspections of the Property. If it has
Lender or its agent may make reasonable entries upon and reasonable cause, Lender may inspect the interior of the improvements on the Property. Lender shall give
Borrower notice at the time of or prior to such an interior inspection specifying such reasonable cause.
recess,
8. Borrower's Loan Application. Borrower shall be in default if, during the Loan application process,
Borrower or any persons or entities acting at the direction of Borrower or with Borrower's knowledge or
consent gave materially false, misleading, or inaccurate information or statements to Lender (or failed to
provide Lender with material information) in connection with the Loan. Material representations include, but
are not limited to, representations concerning Borrower's occupancy of the Property as Borrower's principal
residence.
9. Protection of Lender's Interest in the Property and Rights Under this Security Instrument. If (a)
Borrower fails to perform the covenants and agreements contained in this Security Instrument, (b) there is a
legal proceeding that might significantly affect Lender's interest the cProperty ondemnation or rights
forfeiture dr this , for
Security Instrument (such as a proceeding in bankruptcy, probate, for enforcement of a lien which may attain priority over this Security Instrument or to enforce laws or regulations),
or (c) Borrower has abandoned the Property, then Lender may do and pay for whatever is reasonable or
appropriate to protect Lender's interest in the Property and rights under this Security instrument, including the protecting and/or assessing the value of the Property, and securing and/orrepaiiring which has perry. ovLender er this
actions can include, but are not limited to: (a) paying any sums secured by a priority
Security Instrument; (b) appearing in court; and (c) paying reasonable attorneys' fees to protect its interest in
the Property and/or rights under this Security Instrument, including its secured position in a bankruptcy
proceeding. Securing the Property includes, but is not limited to, entering the Property to make repairs, change
locks, replace or board up doors and windows, drain water from pipes, eliminate building or other code
violations or dangerous conditions, and have utilities turned on or off. Although Lender may take action under
this Section 9, Lender does not have to do so and is not under any duty or obligation to do so. It is agreed that
Lender incurs no liability for not taking any or all actions authorized under this Section 9.
Any amounts disbursed by Lender under this Section 9 shall become additional debt of Borrower secured
by this Security Instrument. These amounts shall bear interest at the Note rate from the date of disbursement
and shall be payable, with such interest, upon notice from Lender to Borrower requesting payment.
. If
title shall not provisions of the
If this Security Instrument is on a leasehold,
leasehold andath comply
unless Lender agrees
Borrower acquires fee title to the Property, the
to the merger in writing.
PENNSYLVANIA-Single Family-Fannie Mae/Freddie Mac UNIFORM INSTRUMENT Form 3039 1/01 (page 7 of 14 pages)
I
11111111 IN 111111111111111111111111111111111111111 IN
I)v 1949PG3055
10. Mortgage Insurance. If Lender required Mortgage Insurance as a condition of making the Loan,
Borrower shall pay the premiums required to maintain the Mortgage insurance in effect. If, for any reason, the
Mongage Insurance coverage required by Lender ceases to be available from the mortgage insurer that
previously provided such insurance and Borrower was required to make separately designated payments toward
the premiums for Mortgage Insurance, Borrower shall pay the premiums required to obtain coverage
substantially equivalent to the Mortgage Insurance previously in effect, at a cost substantially equivalent to the
cost to Borrower of the Mortgage Insurance previously in effect, from an alternate mortgage insurer selected by
Lender. If substantially equivalent Mortgage Insurance coverage is not available, Borrower shall continue to
pay to Lender the amount of the separately designated payments that were due when the insurance coverage
ceased to be in effect. Lender will accept, use and retain these payments as a non-refundable loss reserve in
lieu of Mortgage Insurance. Such loss reserve shall be non-refundable, notwithstanding the fact that the Loan is
ultimately paid in full, and Lender shall not be required to pay Borrower any interest or earnings on such loss
reserve. Lender can no longer require loss reserve payments if Mortgage Insurance coverage (in the amount
and for the period that Lender requires) provided by an insurer selected by Lender again becomes available, is
obtained, and lender requires separately designated payments toward the premiums for Mortgage Insurance. If
lender required Mortgage Insurance as a condition of making the Loan and Borrower was required to make
separately designated payments toward the premiums for Mortgage Insurance, Borrower shall pay the premiums
required to maintain Mortgage Insurance in effect, or to provide a non-refundable loss reserve, until Lender's
requirement for Mortgage insurance ends in accordance with any written agreement between Borrower and
Lender providing for such termination or until termination is required by Applicable Law. Nothing in this
Section 10 affects Borrower's obligation to pay interest at the rate provided in the Note.
Mortgage Insurance reimburses Lender (or any entity that purchases the Note) for certain losses it may
incur if Borrower does not repay the Loan as agreed. Borrower is not a party to the Mortgage Insurance.
Mortgage insurers evaluate their total risk on all such insurance in force from time to time, and may enter
into agreements with other parties that share or modify their risk, or reduce losses. These agreements are on
these
terms and conditions that are satisfactory to the mortgage insurer and the other party (or parties) to funds
agreements. These agreements may require the mortgage insurer to make payments using any source
that the mortgage insurer may have available (which may include funds obtained from Mortgage Insurance
premiums).
As a result of these agreements, Lender, any purchaser of the Note, another insurer, any reinsurer, any
other entity, or any affiliate of any of the foregoing, may receive (directly or indirectly) amounts that derive
from (or might be characterized as) a portion of Borrower's payments for Mortgage Insurance, in exchange for
sharing or modifying the mortgage insurer's risk, or reducing losses. If such agreement provides that an
affiliate of Lender takes a share of the insurer's risk in exchange for a share of the premiums paid to the
insurer, the arrangement is often termed "captive reinsurance." Further:
(a) Any such agreements will not affect the amounts that Borrower has agreed to pay for Mortgage
Insurance, or any other terms of the Loan. Such agreements will not increase the amount Borrower will
owe for Mortgage Insurance, and they will not entitle Borrower to any refund. to the
(b) Any such agreements will not affect the rights Borrower has - if any - with respect
Mortgage Insurance under the homeowners Protection Act of 1998 or any other law. These rights may
include the right to receive certain disclosures, to request and obtain cancellation of the Mortgage
Insurance, to have the Mortgage Insurance terminated automatically, and/or to receive a refund of any
Mortgage Insurance premiums that were unearned at the time of such cancellation or termination.
11. Assignment of Miscellaneous Proceeds; Forfeiture. All Miscellaneous Proceeds are hereby assigned
to and shall be paid to Lender.
PENNSYLVANIA-Single Family-Fannie Mae/Freddie Mac UNIFORM INgFRUMENT Form 3034 1/01 (page 8 of 14 pages)
11111111 IIII 111111111111111111111111111111111111111 IIII
BI( 1949PG3056
If the Property is damaged, such Miscellaneous Proceeds shall be applied to restoration or repair of the
Property, if the restoration or repair is economically feasible and Lender's security is not lessened. During such
repair and restoration period, Lender shall have the right to hold such Miscellaneous Proceeds until Lender has
had an opportunity to inspect such Property to ensure the work has been completed to Lender's satisfaction,
provided that such inspection shall be undertaken promptly. Lender may pay for the repairs and restoration in a
single disbursement or in a series of progress payments as the work is completed. Unless an agreement is made
in writing or Applicable Law requires interest to be paid on such Miscellaneous Proceeds, Lender shall not be
required to pay Borrower any interest or earnings on such Miscellaneous Proceeds. If the restoration or repair
is not economically feasible or Lender's security would be lessened, the Miscellaneous Proceeds shall be
applied to the sums secured by this Security Instrument, whether or not then due, with the excess, if any, paid
to Borrower. Such Miscellaneous Proceeds shall be applied in the order provided for in Section 2.
In the event of a total taking, destruction, or loss in value of the Property, the Miscellaneous Proceeds
shall be applied to the sums secured by this Security Instrument, whether or not then due, with the excess, if
any, paid to Borrower.
In the event of a partial taking, destruction, or loss in value of the Property in which the fair market value
of the Property immediately before the partial taking, destruction, or loss in value is equal to or greater than the
amount of the sums secured by this Security Instrument immediately before the partial taking, destruction, or
toss in value, unless Borrower and Lender otherwise agree in writing, the sums secured by this Security
Instrument shall be reduced by the amount of the Miscellaneous Proceeds multiplied by the following fraction:
(a) the total amount of the sums secured immediately before the partial taking, destruction, or loss in value
divided by (b) the fair market value of the Property immediately before the partial taking, destruction, or loss in
value. Any balance shall be paid to Borrower. which the fair market value
In the event of a partial taking, destruction, or loss in value of the Property to of the Property immediately before the partial taking, destruction, or loss in value is less than the amount of the
sums secured immediately before the partial taking, destruction, or loss in value, unless Borrower and Lender
otherwise agree in writing, the Miscellaneous Proceeds shall be applied to the sums secured by this Security
Instrument whether or not the sums are then due.
If the Property is abandoned by Borrower, or if, after notice by Lender to Borrower that the Opposing
Party (as defined in the next sentence) offers to make an award to settle a claim for damages, Borrower fails to
respond to Lender within 30 days after the date the notice is given, Lender is authorized to collect and apply the
Miscellaneous Proceeds either to restoration or repair of the Property or to the sums secured by this Security
Instrument, whether or not then due. "Opposing Party" means the third party that owes Borrower
Miscellaneous Proceeds or the party against whom Borrower has a right of action in regard to Miscellaneous
Proceeds.
Borrower shall be in default if any action or proceeding, whether civil or criminal, is begun that, in
Lender's judgment, could result in forfeiture of the Property or other material impairment of Lender's interest
in the Property or rights under this Security Instrument, Borrower can cure such a default and, if acceleration
has occurred, reinstate as provided in Section 19, by causing the action or proceeding to be dismissed with a
ruling that, in Lender's judgment, precludes forfeiture of the Property or other material impairment of Lender's
interest in the Property or rights under this Security Instrument. The proceeds of any award or claim for
damages that are attributable to the impairment of Lender's interest in the Property are hereby assigned and
shall be paid to lender.
All Miscellaneous Proceeds that are not applied to restoration or repair of the Property shall be applied in
the order provided for in Section 2.
PENNSYLVANIA-Single Family-Fannie Mae/Freddie Mac UNIFORM INSTRUMENT Form 3039 I/01 (page 9 of 14 pages)
11111111 IN 111111111111111111111111111111111111111 IN
BK 1949PG3057
12, Borrower Not Released; Forbearance By Lender Not a Waiver. Extension of the time for payment
or modification of amortization of the sums secured by this Security Instrument granted by Lender to Borrower
or any Successor in Interest of Borrower shall not operate to release the liability of Borrower or any Successors
in Interest of Borrower. Lender shall not be required to commence proceedings against any Successor in
Interest of Borrower or to refuse to extend time for payment or otherwise modify amortization Sof the sums
uccessors
Or any without
secured by this Security Instrument by reason of any demand made by the original Borrower
in Interest of Borrower. Any forbearance by Lender in exercising any right Y including,
the exercise Interest
of or o preclude Successors
a waiver entities
f any ghtV
o or
shalhnot be persons,
limitation, iamounts ntd less than acceptance
the amount ten due, from
or in
remedy.
13. Joint and Several Liability; Co-signers; Successors and Assigns Bound. Borrower covenants and agrees that Borrower's obligations and liability shall be joint and several. However, any Borrower who
co-signs this Security Instrument but does not execute the Note (a "co-signer"): (a) is co-signing this
the terms c rit
Instrument only to mortgage, grant and convey the co-signer's interest in the Property of this Instrument; Security instrument; (b) is oth personally
Borrower cant pay the sums
extend, odify,fforbby this ear or maker any accommodations
agrees that Lender and any y
with regard to the terms of this Security Instrument or the Note without the co-signer's consent.
Subject to the provisions of Section 18, any Successor in interest of Borrower who assumes Borrower's
obligations under this Security Instrument in writing, and is approved by Lender, shall obtain all of Borrower's
rights and benefits under this Security Instrument. Borrower shall not be released from Borr ower's obligations
and liability under this Security Instrument unless Lender agrees to such release in writing. The covenants and
agreements of this Security Instrument shall bind (except as provided in Section 20) and benefit the successors
and assigns of Lender.
14. Loan Charges. Lender may charge Borrower fees for services performed in connection with
Borrower's default, for the purpose of protecting Lender's interest in the Property and rights under this Security
Instrtttnent, including, but not limited to, attorneys' fees, property inspection and valuation fees. In regard to
any other fees, the absence of express authority in this Security Instrument to charge a specific fee fees that are
shall not be construed as a prohibition on the charging of such fee. Lender may not $
expressly prohibited by this Security Instrument or by Applicable Law.
If the Loan is subject to a law which sets maximum loan charges, and that law is finally interpreted so that
the interest or other loan charges collected or to be collected in connection with the Loan exceed the permt
limits, then: (a) any such loan charge shall be reduced by the amount necessary to reduce the charge to the
permitted limit; and (b) any sums already collected from Borrower which exceeded permitted limits will be
refunded to Borrower. Lender may choose to make this refund by reducing the principal owed under the Note
or by making a direct payment to Borrower. If a refund reduces principal, the reduction will be treated as a
partial prepayment without any prepayment charge (whether or not a prepayment charge is provided for under
the Note). Borrower's acceptance of any such refund made by direct payment to Borrower will constitute a
waiver of any right of action Borrower might have arising out of such overcharge.
15. Notices. All notices given by Borrower or Lender in connection with this Security Instrument must be
in writing. Any notice to Borrower in connection with this Security instrument shall be deemed to have been
given to Borrower when mailed by first class mail or when actually delivered to Borrower's notice address if
sent by other means. Notice to any one Borrower shall constitute notice to all Borrowers unless Applicable
Law expressly requires otherwise. The notice address shall be the Property Address unless Borrower has
designated a substitute notice address by notice to lender. Borrower shall promptly notify Lender of ange
address Borrower's change only report of Lender
specifies a procedur for address through tthae specified troc dune. 'Me ehmay be only one
then Borrower er shall only P
PENNSYLVANIA-Single Family-Fannie Mae/Freddie Mae UNIFORM INSTRUMENT Forst 3039 1101 (page l o of 14 pages)
11111111 IIII 111111111111111111111111111111111111 IIII
Bit 1 949PG3058
designated notice address under this Security Instrument at any one time. Any notice to Lender shall be given
by delivering it or by mailing it by first class mail to Lender's address stated herein unless Lender has
designated another address by notice to Borrower. Any notice in connection with this Security instrument shall
not be deemed to have been given to Lender until actually received by Lender. If any notice required by this
Security Instrument is also required under Applicable Law, the Applicable Law requirement will satisfy the
corresponding requirement under this Security Instrument.
16. Governing Law; Severability; Rules of Construction. This Security Instrument shall be governed by
federal law and the law of the jurisdiction in which the Property is located. All rights and obligations contained
in this Security Instrument are subject to any requirements and limitations of Applicable Law. Applicable Law
might explicitly or implicitly allow the parties to agree by contract or it might be silent, but such silence shall
not be construed as a prohibition against agreement by contract. In the event that any provision or clause of
this Security Instrument or the Note conflicts with Applicable Law, such conflict shall not affect other
provisions of this Security Instrument or the Note which can be given effect without the conflicting provision.
As used in this Security Instrument: (a) words of the masculine gender shall mean and include
corresponding neuter words or words of the feminine gender; (b) words in the singular shall mean and include
the plural and vice versa; and (c) the word "may" gives sole discretion without any obligation to take any
action.
17. Borrower's Copy. Borrower shall be given one copy of the Note and of this Security Instrument.
18. Transfer of the Property or a Beneficial Interest in Borrower. As used in this Section 18, "Interest
in the Property" means any legal or beneficial interest in the Property, including, but not limited to, those
beneficial interests transferred in a bond for deed, contract for deed, installment sales contract or escrow
agreement, the intent of which is the transfer of title by Borrower at a future date to a purchaser.
If all or any part of the Property or any Interest in the Property is sold or transferred (or if Borrower is not
a natural person and a beneficial interest in Borrower is sold or transferred) without Lender's prior written
consent, Lender may require immediate payment in full of all sums secured by this Security Instrument.
However, this option shall not be exercised by Lender if such exercise is prohibited by Applicable Law.
If Lender exercises this option, Lender shall give Borrower notice of acceleration. The notice shall
provide a period of not less than 30 days from the date the notice is given in accordance with Section 15 within
which Borrower must pay all sums secured by this Security Instrument. If Borrower fails to pay these sums
prior to the expiration of this period, Lender may invoke any remedies permitted by this Security Instrument
without further notice or demand on Borrower.
19. Borrower's Right to Reinstate After Acceleration. If Borrower meets certain conditions, Borrower
shall have the right to have enforcement of this Security Instrument discontinued at any time prior to the earliest
of: (a) five days before sale of the Property pursuant to any power of sale contained in this Security Instrument;
(b) such other period as Applicable Law might specify for the termination of Borrower's right to reinstate; or
(c) entry of a judgment enforcing this Security Instrument. Those conditions are that Borrower: (a) pays
Lender all sums which then would be due under this Security Instrument and the Noe aall s if expenses cc1eratiorehad
occurred; (b) cures any default of any other covenants or agreements; (c) pays pe ses Lion
enforcing this Security Instrument, including, but not limited to, reasonable attorneys' fees, property ins>
and valuation fees, and other fees incurred for the purpose of protecting Lender's interest in the Property and
rights under this Security Instrument; and (d) takes such action as Lender may reasonably require to assure that
Lender's interest in the Property and rights under this Security Instrument, and Borrower's obligation to pay
the sums secured by this Security Instrument, shall continue unchanged. Lender may require that Borrower pay
such reinstatement sums and expenses in one or more of the following forms, as selected by Lender: (a) cash;
(b) money order; (c) certified check, bank check, treasurer's check or cashier's check, provided any such check
is drawn upon an institution whose deposits are insured by a federal agency, instrumentality or entity; or (d)
Electronic Funds Transfer. Upon reinstatement by Borrower, this Security Instrument and obligations secured
hereby shall remain fully effective as if no acceleration had occurred. However, this right to reinstate shall not
apply in the case of acceleration under Section 18,
PENNSYLVANIA-Single Family-Fannie Mae/Freddie Mac UNIFORM INSTRUMENT Form 3039 1/01 (page 11 of14 pages)
11111111 IN 11111111111111111111111111111111111111101
BKI949PG3059
20. Sale of Note; Change of Loan Servicer; Notice of Grievance. The Note or a partial interest in the
Note (together with this Security Instrument) can be sold one or more times without prior notice to Borrower.
A sale might result in a change in the entity (known as the "Loan Servicer") that collects Periodic Payments
due under the Note and this Security Instrument and performs other mortgage loan servicing obligations under
the Note, this Security Instrument, and Applicable Law. There also might be one or more changes of the Loan
Servicer unrelated to a sale of the Note. If there is a change of the Loan Servicer, Borrower will be given
written notice of the change which will state the name and address of the new Loan Servicer, the address to
which payments should be made and any other information RESPA requires in connection with a notice of
transfer of servicing. If the Note is sold and thereafter the Loan is serviced by a Loan Servicer other than the
purchaser of the Note, the mortgage loan servicing obligations to Borrower will remain with the Loan Servicer
or be transferred to a successor Loan Servicer and are not assumed by the Note purchaser unless otherwise
provided by the Note purchaser. judicial action (as either an
Neither Borrower nor Lender may commence, join, or be joined to any j
individual litigant or the member of a class) that arises from the other party's actions pursuant to this Security
Instrument or that alleges that the other party has breached any provision of, or any duty owed by reason of,
this Security Instrument, until such Borrower or Lender has notified the other party (with such notice given in
compliance with the requirements of Section 15) of such alleged breach and afforded the other party hereto a ovides a time
reasonable period after the giving of such notice to take corrective action. if Applicable Law llbe deemed torte reasonable
time period will
period which must elapse before certain action can be taken, that
for purposes of this paragraph. The notice of acceleration and opportunity to cure given to Borrower pursuant
to Section 22 and the notice of acceleration given to Borrower pursuant to Section 18 shall be deemed to satisfy
the notice and opportunity to take corrective action provisions of this Section 20.
21. Hazardous Substances. As used in this Section 21: (a) "Hazardous Substances" are those substances
defined as toxic or hazardous substances, pollutants, or wastes by Environmental Law and the following
substances: gasoline, kerosene, other flammable or toxic petroleum products, toxic pesticides and herbicides,
volatile solvents, materials containing asbestos or formaldehyde, and radioactive materials; (b) "Environmental
Law" means federal laws and laws of the jurisdiction where the Property is located that relate to health, safety
or environmental protection; (c) "Environmental Cleanup" includes any response action, remedial action, or
removal action, as defined in Environmental Law; and (d) an "Environmental Condition" means a condition
that can cause, contribute to, or otherwise trigger an Environmental Cleanup.
Borrower shall not cause or permit the presence, use, disposal, storage, or release of any Hazardous
Substances, or threaten to release any Hazardous Substances, on or in the Property. Borrower shall not do, nor
allow anyone else to do, anything affecting the Property (a) that is in violation of any Environmental Law, (b)
which creates an Environmental Condition, or (e) which, due to the presence, use, or release of a Hazardous
Substance, creates a condition that adversely affects the value of the Property. The preceding two sentences
shall not apply to the presence, use, or storage on the Property of small quantities of Hazardous Substances that
are generally recognized to be appropriate to normal residential uses and to maintenance of the Property
(including, but not limited to, hazardous substances in consumer products).
Borrower shall promptly give Lender written notice of (a) any investigation, claim, demand, lawsuit or
other action by any governmental or regulatory agency or private party involving the Property and any
Hazardous Substance or Environmental Law of which Borrower has actual knowledge, (b) any Environmental
rrelease or elease of ahr at of release
Condition, including but not limited to, any spilling, leaking, discharge,
s Substance
Hazardous Substance, and (c) any condition caused by the presence, which adversely affects the value of the Property. If Borrower learns, or is notified by any governmental or
regulatory authority, or any private party, that any removal or other remediation of any Hazardous Substance
Law. Nothing herein shall create any obligation on Lender fornan Environmental Cleanup
with affecting Env onmen Environmental Property
PENNSYLVANIA-Single Family-Fannie M-Trldc6e Mac UNIFORM INSCRUMENT Form 3039 1/01 (page 12 of 14 pages)
I
11111111 IN ! 111111111111111111111111111111111 IN
BKI949PG3060
NON-UNIFORM COVENANTS. Borrower and Lender further covenant and agree as follows:
22. Acceleration; Remedies. Lender shall give notice to Borrower prior to acceleration following
Borrower's breach of any covenant or agreement in this Security Instrument (but not prior to acceleration
under Section 18 unless Applicable Law provides otherwise). Lender shall notify Borrower of, among
other things: (a) the default; (b) the action required to cure the default; (c) when the default must be
cured; and (d) that failure to cure the default as specified may result in acceleration of the sums secured
by this Security Instrument, foreclosure by judicial proceeding and sale of the Property. Lender shall
further inform Borrower of the right to reinstate 'after acceleration and the right to assert in the
foreclosure proceeding the non-existence of a default or any other defense of Borrower to acceleration and
foreclosure. If the default is not cured as specified, Lender at its option may require immediate payment
in full of all sums secured by this Security Instrument without further demand and may foreclose this
Security instrument by judicial proceeding. Lender shall be entitled to collect all expenses incurred in
pursuing the remedies provided in this Section 22, including, but not limited to, attorneys' fees and costs
of title evidence to the extent permitted by Applicable Law.
23. Release. Upon payment of all sums secured by this Security Instrument, this Security Instrument and
the estate conveyed shall terminate and become void. After such occurrence, Lender shall discharge and satisfy
this Security Instrument. Borrower shall pay any recordation costs. Lender may charge Borrower a fee for
releasing this Security Instrument, but only if the fee is paid to a third party for services rendered and the
charging of the fee is permitted under Applicable Law. Applicable Law, waives and releases any error or
24. Waivers. Borrower, to the extent permitted by App
defects in proceedings to enforce this Security Instrument, and hereby waives the benefit of any present or
future laws providing for stay of execution, extension of time, exemption from attachment, levy and sale, and
homestead exemption.
25. Reinstatement Period. Borrower's time to reinstate provided in Section 19 shall extend to one hour
prior to the commencement of bidding at a sheriff's sale or other sale pursuant to this Security Instrument.
26. Purchase Money Mortgage. If any of the debt secured by this Security Instrument is lent to Borrower
to acquire title to the Property, this Security Instrument shall be a purchase money mortgage.
27. Interest Rate After Judgment. Borrower agrees that the interest rate payable after a judgment is
entered on the Note or in an action of mortgage foreclosure shall be the rate payable from time to time under
the Note.
PENNSYLVANIA-Single Family-Fannie MaelFreddie mac UNIFORM INSTRUMENT Form 3039 1101 (page 13 of 14 pages)
111111111111111111111111111111111111111 t 111111111 111
0111949PG3061
BY SIGNING BELOW, Borrower accepts and agrees to the terms and covenants contained in this Security
instrument and in any Rider executed by Borrower and recorded with it.
VIN VBAMCK JR / -Borrower
(Seal)
-Borrower
l
--(Sea])
CHER AARRCK -Borrower
(Sea])
-Borrower
STATE OF PENNSYLVANIA )
COUNTY OF CUMBERLAND
On this, the day of before me, the undersigned
officer, personally appeared MELVIN L BARRICK JR and CHERYL 13ARRICK known to me (or
satisfactorily proven) to be the person(s) whose name(s) is/are subscribed to the within instrument, and
acknowledged that he/she/they executed the same for the purposes therein contained.
In witness whereof, I hereunto set m hand and official seal.
(Seal) NOMIAL KA
MARYANN DAYtFY Title of Office
N01MY Public My Commission Expires:
?KW)1 H,Pit"X000tM1? Typed or printed name:
W cgmnpdon fxpUns"20, 2010
Y %n (. do hereby certify that the correct
CERTIFICATE. OF RESIDENCE 1,
SUITE 1000, CHARLOTTE, NORTH
address of the within-named lender is 6060 J.A. NES DRIVE aa????,,?
CAROLINA 28287, witness my hand this _ _4 ___4_ _ day of YYY?c 5?.?. 0.
Agent of Le er.
PENNSYLVANIA-Single Family-Fannie Mae/Freddie Mac UNIFORM INSTRUMENT Form 3039 1101 (page 14 of 14 pages)
11111111 IIII illill !11111 Ilili III (1111 VIII iilil IIII IIII
SKI949PG3062
Loan Number 2030060369750
ADJUSTABLE RATE RIDER
(LIBOR Index - Rate Caps)
THIS ADJUSTABLE RATE RIDER is made this 4TH day of APRIL, 2006, and is incorporated into and
shall be deemed to amend and supplement the Mortgage, Deed of Trust, or Deed to Secure Debt (the "Security
instrument") of the same date given by the undersigned (the "Borrower") to secure the Borrower's Note to
DECISION ONE MORTGAGE COMPANY, LLC (the "Lender") of the same date and covering the property
described in the Security Instrument and located at:
12 WYRICK AVE SHIPPENSBURG PENNSYLVANIA 17257
[Property Address)
THE NOTE CONTAINS PROVISIONS ALLOWING FOR CHANGES IN THE INTEREST RATE
AND THE MONTHLY PAYMENT. THE NOTE LIMITS THE AMOUNT THE BORROWER'S
INTEREST RATE CAN CHANGE AT ANY ONE TIME AND THE MAXIMUM RATE THE
BORROWER MUST PAY.
ADDITIONAL COVENANTS. In addition to the covenants and agreements made in the Security
Instrument, Borrower and Lender further covenant and agree as follows:
A. INTEREST RATE AND MONTHLY PAYMENT CHANGES
The Note provides for an initial interest rate of 7.79%. The Note provides for changes in the interest rate
and the monthly payments, as follows:
4. INTEREST RATE AND MONTHLY PAYMENT CHANGES
(A) Change Dates
The interest rate I will pay may change on the 4TH day of APRIL, 2009, and on that day
every sixth month thereafter. Each date on which my interest rate could change is called a
"Change Date."
(B) The Index
Beginning with the first Change Date, my interest rate will be based on an Index. The
"Index" is the average of interbank offered rates for six-month U.S. dollar-denominated
deposits in the London market ("LIBOR"), as published in The Wall Street Journal. The
most recent Index figure available as of the first business day of the month immediately
preceding the month in which the Change Date occurs is called the "Current Index."
If the Index is no longer available, the Note Holder will choose a new index that is based
upon comparable information. The Note Holder will give me notice of this choice.
(C) Calculation of Changes
Before each Change Date, the Note Holder will calculate my new interest rate by adding
SIX AND 791100TIlS percentage points (6.79%) to the Current Index. The Note Holder will
then round the result of this addition to the nearest one-eighth of one percentage point
(0.12595). Subject to the limits stated in Section 4(D) below, this rounded amount will be my
new interest rate until the next Change Date.
The Note Holder will then determine the amount of the monthly payment that would be
sufficient to repay the unpaid principal that I am expected to owe at the Change Date in full
on the maturity date at my new interest rate in substantially equal payments. The result of
this calculation will be the new amount of my monthly payment.
MULTISTATE ADJUSTABLE RATE RIDER (LIBOR Index)--Single Family-Freddie Mx MODIFIED INSTRUMENT ftm 3192 1101 (page I of 3 paaa)
111111111111 Hill 11111111111111 lilt 11111111111111111
8KI949PG3063
(D) Limits on Interest Rate Changes
The interest rate I am required to pay at the first Change Date will not be greater than
10.79% or less than 7.79%. Thereafter, my interest st rwil erro increased e decreased
ased
on any single Change Date by more than ONE percentage point (1%)
I have been paying for the preceding six months. My interest rate will never be greater than
13.79% or less than 7.79%.
(E) Effective Date of Changes
My new interest rate will become effective on each Change Date. I will pay the amount
of my new monthly payment beginning on the first monthly payment date after the Change
Date until the amount of my monthly payment changes again.
(F) Notice of Changes
The Note Holder will deliver or mail to me a notice of any changes in my interest rate and
the amount of my monthly payment before the effective date of any change. The notice will
include information required by law to be given to me and also the title and telephone number
of a person who will answer any question I may have regarding the notice.
B. TRANSFER OF THE PROPERTY OR A BENEFICIAL INTEREST IN BORROWER
Uniform Covenant 18 of the Security Instrument is amended to read as follows:
Transfer of the Property or a Beneficial Interest in Borrower. As used in this Section
18, "Interest in the Property" means any legal or beneficial interest in the Property, including,
but not limited to, those beneficial interests transferred in a bond for deed, contract for deed,
installment sales contract or escrow agreement, the intent of which is the transfer of title by
Borrower at a future date to a purchaser.
If all or any part of the Property or any Interest in the Property is sold or transferred (or
if a Borrower is not a natural person and a beneficial interest in Borrower is sold or
transferred) without Lender's prior written consent, Lender may require immediate payment
in full of all sums secured by this Security Instrument. However, this option shall not be
exercised by Lender if such exercise is prohibited by Applicable Law. Lender also shall not
exercise this option if: (a) Borrower causes to be submitted to Lender information required by
Lender to evaluate the intended transferee as if a new loan were being made to the transferee;
and (b) Lender reasonably determines that Lender's security will not be impaired by the loan
assumption and that the risk of a breach of any covenant or agreement in this Security
Instrument is acceptable to Lender.
To the extent permitted by Applicable Law, Lender may charge a reasonable fee as a
condition to Lender's consent to the loan assumption. Lender may also require the transferee
to sign an assumption agreement that is acceptable to Lender and that obligates the transferee
to keep all the promises and agreements made in the Note and in this Security Instrument.
Borrower will continue to be obligated under the Note and this Security Instrument unless
Lender releases Borrower in writing.
If Lender exercises the option to require immediate payment in full, Lender shall give
Borrower notice of acceleration. The notice shall provide a period of not less than 30 days
from the date the notice is given in accordance with Section 15 within which Borrower must
pay all sums secured by this Security Instrument. If Borrower fails to pay these sums prior to
the expiration of this period, Lender may invoke any remedies permitted by this Security
Instrument without further notice or demand on Borrower.
MULTISTATE MMUSPABLE RATE RIDER (LIBOR Index)-Single Family-Freddie Mae MODIFIED INS'MUMBNT Fur- 3192 Slot (page 2 of J pages)
IIIIIIIIIN HE lillil111111111111111111111111111IfIl
8KI949PG3064
BY SIGNING BELOW, Borrower accepts and agrees to the terms and covenants contained in this Adjustable
Rate Rider.
(Seal)
grower
(Seal)
mower
(Seat)
-Borrower
MULMgTATE AMSTABLE RATE RIDER (LIBOR Index)-Single Family-treadle Mx MODIFIED Ir4MtJMM Aw.3192 1101 (vase 3 of 3 pager)
I
111111111111 IN 1113 111111111111111 pill N IN
8K 1949PG3065
t
.t
EXHIBIT A
ALL those certain two lots of ground situate in the Township of Shippensburg, County of Cumberland, State of
Pennsylvania, known as Lots I I and 12 as shown on Plan of Lots known as John A. Wyrick's Development, said
plan recorded in Plan Book 4, Page 50, said lots bounded and described as follows, to wit:
LOT NO. 11: BOUNDED on the West by Lot No. 12; on the South by Lot No. 13, on the East by Wyrick
Avenue (formerly known as Shippen Street) and on the North by Germantown Road, having a frontage on Wyrick
Avenue (formerly Shippen Street) of 187.00 feet, a frontage on the Germantown Road of 127.00 feet from the
center of Wyrick Avenue (formerly Shippen Street) a depth along Lot No. 12 of 122.00 feet and a distance along
Lot No. 13 of 95.00 feet from the center of said Wyrick Avenue (formerly Shippen Street).
LOT NO. 12: BOUNDED on the West by land now or formerly of H.M. Hoy, on the South by Lot No. 13, on
the East by Lot No. I I and on the North by Germantown Road, having a frontage on the Germantown Road at
140.00 feet, a depth along Lot No. I 1 of 122.00 feet, a distance along Lot No. 13 of 105.00 feet and a distance
along the land now or formerly of H.M. Hoy on the West of 33.00 feet.
EXCEPTING, HOWEVER, a portion of the above described premises condemned and taken by the
Commonwealth of Pennsylvania, for highway purposes, along the Germantown Road.
BEING the same which Brian Lindsey by deed dated April 4, 2006, and intended to be recorded in the Office of
the Recorder of Deeds for Franklin County, Pa., prior hereto, granted and conveyed unto Melvin L. Barrick, Jr.
and Cheryl Barrick, husband and wife, Mortgagors herein.
I Certify this to be records
11, Cumberland County PA
" /
Recorder of Deeds
gK ! 949PG3066
A ?
? • V
EXHIBIT A
ALL those certain two lots of ground situate in the Township of Shippensburg, County of Cumberland, State of
Pennsylvania, known as Lots I I and 12 as shown on Plan of Lots known as John A. Wyrick's Development, said
plan recorded in Plan Book 4, Page 50, said lots bounded and described as follows, to wit:
LOT NO. 11: BOUNDED on the West by Lot No. 12; on the South by Lot No. 13, on the East by Wyrick
Avenue (formerly known as Shippen Street) and on the North by Germantown Road, having a frontage on Wyrick
Avenue (formerly Shippen Street) of 187.00 feet, a frontage on the Germantown Road of 127.00 feet from the
center of Wyrick Avenue (formerly Shippen Street) a depth along Lot No. 12 of 122.00 feet and a distance along
Lot No. 13 of 95.00 feet from the center of said Wyrick Avenue (formerly Shippen Street).
LOT NO. 12: BOUNDED on the West by land now or formerly of H.M. Hoy, on the South by Lot No. 13, on
the East by Lot No. I 1 and on the North by Germantown Road, having a frontage on the Germantown Road at
140.00 feet, a depth along Lot No. I I of 122.00 feet, a distance along Lot No. 13 of 105.00 feet and a distance
along the land now or formerly of H.M. Hoy on the West of 33.00 feet.
EXCEPTING, HOWEVER, a portion of the above described premises condemned and taken by the
Commonwealth of Pennsylvania, for highway purposes, along the Germantown Road.
BEING the same which Brian Lindsey by deed dated April 4, 2006, and intended to be recorded in the Office of
the Recorder of Deeds for Franklin County, Pa., prior hereto, granted and conveyed unto Melvin L. Barrick, Jr.
and Cheryl Barrick, husband and wife, Mortgagors herein.
BK 1949PG3067
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i
McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. M:cCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
Attorneys for Plaintiff
HSBC Mortgage Services, Inc.
Cumberland County
Court of Common Pleas
VS.
Melvin L. Barrick, Jr.
Cheryl Barrick
Number 06 - 6148
ASSESSMENT OF DAMAGES AND ENTRY OF JUDGMENT
TO THE PROTHONOTARY:
Kindly enter judgment by default in favor of Plaintiff and against Defendant in the above-
captioned matter for failure to answer Complaint as required by Pennsylvania Rules of Civil
Procedure and assess damages as follows:
Principal $114,619.15
Interest from 10/20/2006 - 11/28/2006 $ 895.60
TOTAL $115,514.75
McCABE, WEISBE!5?/ ND SON AY, P.C.
BY: '-?i'-' -'
Attorneys for Plaintiff
TERRENCE J. McCABE, ESQUIRE
MARC S. WEISBERG, ESQUIRE
EDWARD D. CONWAY, ESQUIRE
MARGARET GAIRO, ESQUIRE
AND NOW, thin day of 6A)DU , 2006, Judgment is entered in favor of
Plaintiff, HSBC Mortgage Services, Inc. and against Defendant(s) Melvin L. Barrick, Jr. and
Cheryl Barrick and damages are assessed in the amount of $115,514.75, plus interest and costs.
BY THE PROTHONOTARY:
McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
Attorneys for Plaintiff
HSBC Mortgage Services, Inc.
Cumberland County
Court of Common Pleas
vs.
Melvin L. Barrick, Jr.
Cheryl Barrick
Number 06 - 6148
AFFIDAVIT OF NON-MILITARY SERVICE
COMMONWEALTH OF PENNSYLVANIA:
SS.
COUNTY OF CUMBERLAND:
The undersigned, being duly sworn according to law, deposes and says that the Defendant
is not in the Military or Naval Service of the United States or its Allies, or otherwise within the
provisions of the Soldiers' and Sailors' Civil Relief Act of Congress of 1940 as amended; and that
the Defendant(s), Melvin L. Barrick, Jr. and Cheryl Barrick, is over eighteen (18) years of age,
and resides at 12 Wyrick Avenue, Shippensburg, PA 17257.
McCABE WEISBERG AND CONW
AY, P.C.
BY:
Attorneys for Plaintiff
TERRENCE J. McCABE, ESQUIRE
MARC S. WEISBERG, ESQUIRE
EDWARD D. CONWAY, ESQUIRE
MARGARET GAIRO, ESQUIRE
SWORN TO AND SUBSCRIBED
BEFORE ME THIS 28th DAY OF
Nov, 2006.
OTARY PUBLIC
GLORIA G'+ ?i_L Not uy F? t,i ? ?
Gltyy 0 Phifazei hia, Phila. CoLniq k
*WmissionL mil JUM 2 Xh17
Request for Military Status
Department of Defense Manpower Data Center
Page 1 of 2
NOV-15-2006 09:33:14
Military Status Report
Pursuant to the Servicemembers Civil Relief Act
-K Last Name First/Middle Begin Date Active Duty Status Service/Agenc.
BARRICK melvin 1 Based on the information you have furnished, thf
DMDC does not possess any information
indicating that the individual is currently on
active duty.
Upon searching the information data banks of the Department of Defense
Manpower Data Center, based on the information that you provided, the
above is the current status of the individual as to all branches of the Military.
Mary M. Snavely-Dixon, Director
Department of Defense - Manpower Data Center
1600 Wilson Blvd., Suite 400
Arlington, VA 22209-2593
The Defense Manpower Data Center (DMDC) is an organization of the
Department of Defense that maintains the Defense Enrollment and Eligibility
Reporting System (DEERS) database which is the official source of data on
eligibility for military medical care and other eligibility systems.
The Department of Defense strongly supports the enforcement of the
Servicemembers Civil Relief Act [50 USCS Appx. #167;#167; 501 et seq]
(SCRA) (formerly the Soldiers' and Sailors' Civil Relief Act of 1940). DMDC
has issued hundreds of thousands of "does not possess any information
indicating that the individual is currently on active duty" responses, and has
experienced a small error rate. In the event the individual referenced above, or
any family member, friend, or representative asserts in any manner that the
individual is on active duty, or is otherwise entitled to the protections of the
SCRA, you are strongly encouraged to obtain further verification of the
person's active duty status by contacting that person's Military Service via the
Request for Military Status
Page 2 of 2
"defenselink.mil" URL provided below. If you have evidence the person is on
active-duty and you fail to obtain this additional Military Service verification,
provisions of the SCRA may be invoked against you.
If you obtain further information about the person ( e.g., an SSN, improved
accuracy of DOB, a middle name), you can submit your request again at this
Web site and we will provide a new certificate for that query.
This response reflects current active duty status only. For historical
information, please contact the Military Service SCRA points-of-contact.
See: http://www.defenselink.mil/faq/pis/PC09SLDR.html
WARNING: This certificate was provided based on a name and Social
Security number (SSN) provided by the requester. Providing an erroneous
name or SSN will cause an erroneous certificate to be provided.
Report ID: ZDNZIHGBAN
. .. 11 1 1 1 •, i - I- - -- - °- r, -1 - 1 I /1 C /11AA-1
Request for Military Status
Department of Defense Manpower Data Center
Page 1 of 2
NOV-15-2006 09:34:55
Military Status Report
Pursuant to the Servicemembers Civil Relief Act
< Last Name First/Middle Begin Date Active Duty Status Service/Agenc,
BARRICK cheryl Based on the information you have furnished, thf
DMDC does not possess any information
indicating that the individual is currently on
active duty.
Upon searching the information data banks of the Department of Defense
Manpower Data Center, based on the information that you provided, the
above is the current status of the individual as to all branches of the Military.
y6t fdR J04- A??_
Mary M. Snavely-Dixon, Director
Department of Defense - Manpower Data Center
1600 Wilson Blvd., Suite 400
Arlington, VA 22209-2593
The Defense Manpower Data Center (DMDC) is an organization of the
Department of Defense that maintains the Defense Enrollment and Eligibility
Reporting System (DEERS) database which is the official source of data on
eligibility for military medical care and other eligibility systems.
The Department of Defense strongly supports the enforcement of the
Servicemembers Civil Relief Act [50 USCS Appx. #167;#167; 501 et seq]
(SCRA) (formerly the Soldiers' and Sailors' Civil Relief Act of 1940). DMDC
has issued hundreds of thousands of "does not possess any information
indicating that the individual is currently on active duty" responses, and has
experienced a small error rate. In the event the individual referenced above, or
any family member, friend, or representative asserts in any manner that the
individual is on active duty, or is otherwise entitled to the protections of the
SCRA, you are strongly encouraged to obtain further verification of the
person's active duty status by contacting that person's Military Service via the
C, - 1 . - ? t 1 /t C /111AAL
Request for Military Status
Page 2 of 2
"defenselink.mil" URL provided below. If you have evidence the person is on
active-duty and you fail to obtain this additional Military Service verification,
provisions of the SCRA may be invoked against you.
If you obtain further information about the person ( e.g., an SSN, improved
accuracy of DOB, a middle name), you can submit your request again at this
Web site and we will provide a new certificate for that query.
This response reflects current active duty status only. For historical
information, please contact the Military Service SCRA points-of-contact.
See: http://www.defenselink.mil/fag//pis/PC09SLDR.html
WARNING: This certificate was provided based on a name and Social
Security number (SSN) provided by the requester. Providing an erroneous
name or SSN will cause an erroneous certificate to be provided.
Report ID: ZDORCWHWXQ
.. - . . - . 1 1 11 f /I AA/
McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAlRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
Attorneys for Plaintiff
HSBC Mortgage Services, Inc.
Cumberland County
Court of Common Pleas
VS.
Melvin L. Barrick, Jr.
Cheryl Barrick
Number 06 - 6148
CERTIFICATION
I certify that the foregoing assessment of damages is for specified amounts alleged to be
due in the Complaint and is calculable as a sum certain from the Complaint.
I certify that written notice of the intention to file this Praecipe was mailed or delivered to
the party against whom judgment is to be entered and to the attorney of record, if any, after the
default occurred and at least ten (10) days prior to the date of the filing of the Praecipe. A true
and correct copy of the notice pursuant to Pennsylvania Rule of Civil Procedure No. 237.1 is
attached hereto and marked Exhibit "A".
SWORN TO AND SUBSCRIBED
BEFORE ME THIS 28th DAY OF
Nov, 2006.
McCABE WEISBERG A)rD CON AY, P.C.
?
BY: ??jq -'-?
Attorneys for Plaintiff
TERRENCE J. McCABE, ESQUIRE
MARC S. WEISBERG, ESQUIRE
EDWARD D. CONWAY, ESQUIRE
MARGARET GAIRO, ESQUIRE
NOTAmAL SEAL
GLORIA R, MITCME11, Rota; y, PLt,1;a
City of Philadelphia, Ph:!a. cci nq
My Commission Expires jene 2, 2007
VERIFICATION
The undersigned, A!],(?t,;,,30SQUIRE, hereby certifies that he is the
attorney for the Plaintiff in the within action and that he is authorized to make this verification
and that the foregoing facts are true and correct to the best of his knowledge, information and
belief and further states that false statements herein are made subject to the penalties of 18
PA.C.S. Section 4909 relating to unsworn falsification to authorities.
BYCAB ?,SBERG AN FJJTW?Y, P.C.
Attorneys for Plaintiff /` TERRENCE J. McCABE, ESQUIRE
MARC S. WEISBERG, ESQUIRE
EDWARD D. CONWAY, ESQUIRE
MARGARET GAIRO, ESQUIRE
OFFICE OF THE PROTHONOTARY
COURT OF COMMON PLEAS
Cumberland County Courthouse, Carlisle, PA 17013
Curt Long
Prothonotary
November 15, 2006
To: Cheryl Barrick
12 Wyrick Avenue
PA 17257
HSBC Mortgage Services, Inc.
VS.
Melvin L. Barrick Jr.
and
Cheryl Barrick
Cumberland County
Court of Common Pleas
Number 06-6148 Civil Term
NOTICE, RULE 237.5
NOTICE OF PRAECIPE TO ENTER JUDGMENT BY DEFAULT
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 WITHOUTAHEARING AND YOU MAY LOSE YOURPROPERTY
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 MAYBE ABLE
TOPROVIDE YOU WITH INFORMATIONABOUTAGENCIESTHAT MAY OFFER
LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA, 17013
800-990-9108
NOTIFICACION IMPORTANTE
USTED SE ENCUENTRA EN ESTADO DE REBELDIA POR NO HABER
PRESENTADO UNA COMPARECENCIA ESCRITA, YA SEA
PERSONALMENTE O POR ABOGADO Y POR NO HABER RADICADO POR
ESCRITO CON ESTE TRIBUNAL SUS DEFENSAS U OBIECIONES A LOS
RECLAMOS FORMULADOS EN CONTRA SUMO. AL NO TOMAR LA
ACCION DEBIDA DENTRO DE DIEZ (10) DIAS DE LA FECHA DE ESTA
NOTIFICACION, EL TRIBUNAL PODRA, SIN NECESIDAD DE
COMPARECER USTED EN CORTE U OIR PREUBA ALGUNA, DICTAR
SENTENCIA EN SU CONTRA Y USTED PODRIA PERDER BIENES U OTROS
DERECHOSIMPORTANTES.
USTED LE DEBE TOMAR ESTE PAPEL A SU ABOGADO
INMEDIATAMENTE. SI USTED NO TIENE A UN ABOGADO, VA A 0
TELEFONEA LA OFICINA EXPUSO ABAJO. ESTA OFICINA LO PUEDE
PROPORCIONAR CON INFORMAC16N ACERCA DE EMPLEAR A UN
ABOGADO.
SI LISTED NO PUEDE PROPORCIONAR PARA EMPLEAR UN ABOGADO,
ESTA OFICINA PUEDE SER CAPAZ DE PROPORCIONARLO CON
INFORMAC16N ACERCA DE LAS AGENCIAS QUE PUEDEN OFRECER LOS
SERVICIOS LEGALES A PERSONAS ELEGIBLES EN UN HONORARIO
REDUCIDO NI NINGUN HONORARIO.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA, 17013
800-990-9108
McCABE, WEISBERG, AND CONWAY, P.C.
BY:
Attorneys for Plaintiff
JJWCABE, ESQUIRE
EDW.
''? /rda
OFFICE OF THE PROTHONOTARY
COURT OF COMMON PLEAS
Cumberland County Courthouse, Carlisle, PA 17013
Curt Long
Prothonotary
November 15, 2006
To: Melvin L. Barrick Jr.
12 Wyrick Avenue
PA 17257
HSBC Mortgage Services, Inc.
VS.
Melvin L. Barrick Jr.
and
Cheryl Barrick
Cumberland County
Court of Common Pleas
Number 06-6148 Civil Term
NOTICE, RULE 237.5
NOTICE OF PRAECIPE TO ENTER JUDGMENT BY DEFAULT
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 WITHOUTAHEARINGAND YOUMAYLOSE 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 PROVIDEYOU WITH INFORMATION ABOUTAGENCIESTHATMAYOFFER
LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA, 17013
800-990-9108
NOTIFICACION IMPORTANTE
USTED SE ENCUENTRA EN ESTADO DE REBELDIA POR NO HABER
PRESENTADO UNA COMPARECENCIA ESCRITA, YA SEA
PERSONALMENTE O POR ABOGADO Y POR NO HABER RADICADO POR
ESCRITO CON ESTE TRIBUNAL SUS DEFENSAS U OBJECIONES A LOS
RECLAMOS FORMULADOS EN CONTRA SUYO. AL NO TOMAR LA
ACCION DEBIDA DENTRO DF DIEZ (10) DIAS DE LA FECHA DE ESTA
NOTIFICACION, EL TRIBUNAL PODRA, SIN NECESIDAD DE
COMPARECER USTED EN CORTE U OIR PREUBA ALGUNA, DICTAR
SENTENCIA EN SU CONTRA Y USTED PODRIA PERDER BIENES U OTROS
DERECHOSIMPORTANTES.
USTED LE DEBE TOMAR ESTE PAPEL A SU ABOGADO
INMEDIATAMENTE. SI USTED NO TIENE A UN ABOGADO, VA A O
TELEFONEA LA OFICINA EXPUSO ABAJO. ESTA OnaNA LO PUEDE
PROPORCIONAR CON INFORMACION ACERCA DE EMPLEAR A UN
ABOGADO.
SI USTED NO PUEDE PROPORCIONAR PARA EMPLEAR UN ABOGADO,
ESTA OFICINA PUEDE SER CAPAZ DE PROPORCIONARLO CON
INFORMACION ACERCA DE LAS AGENCIAS QUE PUEDEN OFRECER LOS
SERVICIOS LEGALES A PERSONAS ELEGIBLES EN UN HONORARIO
REDUCIDO NI NINGON HONORARIO.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA, 17013
800-990-9108
T'SyK /rda
McCABE, WEI BERG, AND CONWAY, P.C.
BY:
Attorneys for Plaintiff
TERRENCE J. McCABE, ESQUIRE
MARC S. WEISBERG, ESQUIRE
EDWARD D. CONWAY, ESQUIRE
MARGARET GAIRO, ESQUIRE
This is an attempt to collect a debt. Any information obtained will be used for that purpose.
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• OFFICE OF THE PROTHONOTARY
COURT OF COMMON PLEAS
CUMBERLAND COUNTY COURTHOUSE, CARLISLE, PA 17013
Curtis R. Long
Prothonotary
To: Melvin L. Barrick, Jr.
12 Wyrick Avenue
Shippensburg, PA 17257
HSBC Mortgage Services, Inc.
Cumberland County
Court of Common Pleas
VS.
Melvin L. Barrick, Jr.
Cheryl Barrick
Number 06 - 6148
NOTICE
Pursuant to Rule 236, you are hereby notified that a JUDGMENT has been entered in the
above proceeding as indicated below.
Curtis R. Long
Prothonotary
Judgment by Default
Money Judgment
Judgment in Replevin
Judgment for Possession
If you have any questions concerning this Judgment, please call
McCabe, Weisberg and Conway. P.C. at (215) 790-1010.
- OFFICE OF THE PROTHONOTARY
COURT OF COMMON PLEAS
CUMBERLAND COUNTY COURTHOUSE, CARLISLE, PA 17013
Curtis R. Long
Prothonotary
To: Cheryl Barrick
12 Wyrick Avenue
Shippensburg, PA 17257
HSBC Mortgage Services, Inc.
Cumberland County
Court of Common Pleas
VS.
Melvin L. Barrick, Jr.
Cheryl Barrick
Number 06 - 6148
NOTICE
Pursuant to Rule 236, you are hereby notified that a JUDGMENT has been entered in the
above proceeding as indicated below.
Curtis R. Long
Prothonotary
Judgment by Default
Money Judgment
Judgment in Replevin
Judgment for Possession
If you have any questions concerning this Judgment, please call
McCabe. Weisberg and Conwa, P.C. at 2151790-1010
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
FILE NO.: 06 - 6148 Civil Term
HSBC Mortgage Services, Inc.
V. AMOUNT DUE: $115,514.75
Melvin L. Barrick, Jr. INTEREST: from 11/29/2006 - 3/7/2007
Cheryl Barrick $1.880.01 at $18.99 Per Diem
ATTY'S COMM.:
COSTS:
TO THE PROTHONOTARY OF SAID COURT:
The undersigned hereby certifies that the below does not arise out of a retail installment sale, contract, or
account based on a confession of judgment, but if it does, it is based on the appropriate original proceeding
filed pursuant to Act 7 of 1966 as amended; and for real property pursuant to Act 6 of 1974 as amended.
PRAECIPE FOR EXECUTION
Issue writ or execution in the above matter to the Sheriff of Cumberland County, for debt, interest and costs
upon the following described property of the defendant(s)
12 Wyrick Avenue Shippensburg, PA 17257
(More fully described as attached)
PRAECIPE FOR ATTACHMENT EXECUTION
Issue writ of attachment to the Sheriff of CUMBERLAND County, for debt, interest and costs, as
above, directing attachment against the above-named garnishee(s) for the following property (if real estate,
supply six copies of the description; supply four copies of lengthy personalty list)
and all other property of the defendant(s) in the possession, custody or control of the said garnishee(s).
(Indicate) Index this writ against the garnishee(s) as a lis pendens against real estate of the
defendant(s) described in the attached exhibit.
DATE: Z-z- Signature: rL _ '?l"
Print Name: MCCABE, WEISBERG AND CON AY
Address: 123 S. Broad Street, Suite 2080
Philadelphia, PA 19109
Attorney for: Plaintiff
Telephone: (215) 790 1010
Supreme Court ID No. 164946- / 7 Z / 6
7a_
CID
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WRIT OF EXECUTION and/or ATTACHMENT
COMMONWEALTH OF PENNSYLVANIA)
COUNTY OF CUMBERLAND)
NO 06-6148 Civil
CIVIL ACTION - LAW
TO THE SHERIFF OF CUMBERLAND COUNTY:
To satisfy the debt, interest and costs due HSBC MORTGAGE SERVICES, INC., Plaintiff (s)
From MELVIN L. BARRICK, JR. AND CHERYL BARRICK
(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 $115,514.75
L.L. $.50
Interest FROM 11/29/06 - 3/7/07 - $1,880.01 AT $18.99 PER DIEM
Atty's Comm % Due Prothy $1.00
Atty Paid $144.48
Plaintiff Paid
Other Costs
Date: NOVEMBER 29, 2006
(Seal)
REQUESTING PARTY:
Name MARC S. WEISBERG, ESQUIRE
Address: MCCABE, WEISBERG AND CONWAY, P.C.
123 SOUTH BROAD STREET, SUITE 2080
PHILADELPHIA, PA 19109
Attorney for: PLAINTIFF
Telephone: 215-790-1010
aiw
Curti . Long, Prary
By:
Deputy
Supreme Court ID No. 17616
MCCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
HSBC Mortgage Services, Inc.
Plaintiff
Attorneys for Plaintiff
COURT OF COMMON PLEAS
Cumberland COUNTY
V.
Melvin L. Barrick Jr. and Cheryl Barrick
Number 06-6148 Civil Term
Defendants
AFFIDAVIT PURSUANT TO RULE 3129
0 C S 1' (Sj /jEsquire, attorney for Plaintiff in the above action,
set forth as of the date the Praecipe for the Writ of Execution was filed the following information
concerning the real property located at: 12 Wyrick Avenue, Shippensburg, PA 17257 (Tax
Parcel #36-35-2388-019A), a copy of the description of said property is attached hereto and
marked as Exhibit "A."
Name and address of Owners or Reputed Owners:
Name
Melvin L. Barrick Jr.
Address
12 Wyrick Avenue
Shippensburg, PA 17257
Cheryl Barrick
12 Wyrick Avenue
Shippensburg, PA 17257
..
2. Name and address of Defendants in the judgment:
Name Address
Melvin L. Barrick Jr. 12 Wyrick Avenue
Shippensburg, PA 17257
Cheryl Barrick 12 Wyrick Avenue
Shippensburg, PA 17257
3. Name and last known address of everyjudgment creditor whose judgment is a
record lien on the real property to be sold:
Name Address
Plaintiff herein
4. Name and address of the last recorded holder of every mortgage of record:
Name Address
Plaintiff herein.
5. Name and address of every other person who has any record lien on the property:
Name
None
Address
6. Name and address of every other person who has any record interest in the
property which may be affected by the sale:
Name Address
None
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:
Name Address
Tenants 12 Wyrick Avenue, Shippensburg, PA
17257
Domestic Relations
Cumberland County
Commonwealth of Pennsylvania
Commonwealth of Pennsylvania
Inheritance Tax Office
Commonwealth of Pennsylvania
Bureau of Individual Tax
Inheritance Tax Division
Department of Public Welfare
TPL Casualty Unit Estate
Recovery Program
Internal Revenue Service
P.O. Box 320
Carlisle, PA 17013
Department of Public Welfare
P.O. Box 2675
Harrisburg, PA 17105
1400 Spring Garden Street
Philadelphia, PA 19130
6th Floor, Strawberry Square
Department #280601
Harrisburg, PA 17128
Willow Oak Building
P.O. Box 8486
Harrisburg, PA 17105-8486
Technical Support Group,
William Green Federal Bldg.
Room 3259, 600 Arch Street
Philadelphia, PA 19106
I verify that the statements made in this Affidavit are true and correct to the best of my
personal knowledge or information and belief. I understand that false statements herein are made
subject to the penalties of 18 Pa.C.S. Section 4904 relating to unsworn falsification to authorities.
November 28, 2006 McCABE, WEISB! I G, AND CQNWAY, P.C.
BY:
Attorneys for Plaintiff
TERRENCE J. McCABE, ESQUIRE
MARC S. WEISBERG, ESQUIRE
EDWARD D. CQNWAY, ESQUIRE
MARGARET GAIRO, ESQUIRE
C? r-j
PA
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McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
Attorneys for Plaintiff
HSBC Mortgage Services, Inc.
Cumberland County
Court of Common Pleas
VS.
Melvin L. Barrick, Jr.
Cheryl Barrick
Number 06 - 6148
NOTICE OF SHERIFF'S SALE OF REAL PROPERTY
TO: Melvin L. Barrick, Jr.
Cheryl Barrick
12 Wyrick Avenue
Shippensburg, PA 17257.
Your house (real estate) at 12 Wyrick Avenue, Shippensburg, PA 17257 (Tax Parcel #36-
35-2388-019A), is scheduled to be sold at Sheriffs Sale on March 7, 2007 at 10:00 a.m. in the
Commissioner's Hearing Room located on the 2nd Floor of the Cumberland County Courthouse,
1 Courthouse Square, Carlisle, Pennsylvania 17013, to enforce the court judgment of
$115,514.75 obtained by HSBC Mortgage Services, Inc. against you.
NOTICE OF OWNER'S RIGHTS
YOU MAY BE ABLE TO PREVENT THIS SHERIFF'S SALE
To prevent this Sheriffs Sale you must take immediate action:
1. The sale will be canceled if you pay to HSBC Mortgage Services, Inc., the back
payments, late charges, costs, and reasonable attorney's fees due. To find out how
much you must pay, you may call McCabe, Weisberg and Conway at (215) 790-
1010.
2. You may be able to stop the sale by filing a petition asking the Court to strike or
open the judgment, if the judgment was improperly entered. You may also ask
the Court to postpone the sale for good cause.
You may also be able to stop the sale through other legal proceedings.
You may need an attorney to assert your rights. The sooner you contact one, the more chance
you will have of stopping the sale. (See the following notice on how to obtain an attorney.)
w
YOU MAY STILL BE ABLE TO SAVE YOUR PROPERTY
AND YOU HAVE OTHER RIGHTS
EVEN IF THE SHERIFF'S SALE DOES TAKE PLACE
If the Sheriff s Sale is not stopped, your property will be sold to the highest bidder. You
may find out the price bid by calling McCabe, Weisberg and Conway at (215) 790-1010.
1.
You may be able to petition the Court to set aside the sale if the bid price was grossly
inadequate compared to the value of your property.
2.
The sale will go through only if the buyer pays the Sheriff the full amount due on the
sale. To find out if this has happened, you may call McCabe, Weisberg and Conway at
(215) 790-1010.
If the amount due from the buyer is not paid to the Sheriff, you will remain the owner of
the property as if the sale never happened.
4
You have a right to remain in the property until the full amount due is paid to the Sheriff
and the Sheriff gives a deed to the buyer. At that time, the buyer may bring legal
5.
proceedings to evict you.
6. A schedule of distribution will be filed by the Sheriff on a date specified by the Sheriff
not later than 30 days after sale. Distribution will be made in accordance with the
schedule unless exceptions are filed thereto within 10 days after the filing of the
schedule.
7. You may also have other rights and defenses, or ways of getting your real estate back, if
you act immediately after the sale.
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 SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE.
LAWYER REFERRAL SERVICE
COURT ADMINISTRATOR
4TH FLOOR,
CUMBERLAND COUNTY COURTHOUSE
CARLISLE, PENNSYLVANIA 17013
(717) 240-6200
OR CUMBERLAND COUNTY
BAR ASSOCIATION
2 LIBERTY AVENUE
CARLISLE, PA 17013
(717) 249-3166
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CASE NO: 2006-06148 P
SHERIFF'S RETURN - REGULAR
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
HSBC MORTGAGE SERVICES INC
VS
BARRICK MELVIN L JR ET AL
MICHAEL BARRICK
4
Sheriff or Deputy Sheriff of
Cumberland County,Pennsylvania, who being duly sworn according to law,
says, the within COMPLAINT - MORT FORE was served upon
BARRICK MELVIN L JR the
DEFENDANT , at 1229:00 HOURS, on the 25th day of October , 2006
at 12 WYRICK AVENUE
SHIPPENSBURG, PA 17257
MELVIN L BARRICK JR
by handing to
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 18.48 ? ??tom
Affidavit .00
Surcharge 10.00 R. Thomas Kline
.00
46.48&/ 10/27/2006
Ioq'C,& MCCABE WEISBERG CONW Y
Sworn and Subscibed to 6-
before me this day 6-Deputy Sheriff
of A. D.
.' , d%
CASE NO: 2006-06148 P
SHERIFF'S RETURN - REGULAR
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
HSBC MORTGAGE SERVICES INC
VS
BARRICK MELVIN L JR ET AL
MICHAEL BARRICK
Sheriff or Deputy Sheriff of
Cumberland County,Pennsylvania, who being duly sworn according to law,
says, the within COMPLAINT - MORT FORE was served upon
BARRICK CHERYL
the
DEFENDANT , at 1227:00 HOURS, on the 25th day of October , 2006
at 12 WYRICK AVENUE
SHIPPENSBURG, PA 17257 by handing to
MELVIN L BARRICK JR HUSBAND
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 6.00 Service .00
Affidavit .00
Surcharge 10.00 R. Thomas Kline
nn
16.00? 10/27/2006
MCCABE WE I SBERG C r
Sworn and Subscibed to By:?
before me this day Deputy Sheriff
of A. D.
McCABE, WEISBERG AND CONWAY, P.C.
'BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia; Pennsylvania 19109
(215)790-1 0 10
Attorneys for Plaintiff
HSBC Mortgage Services, Inc.
vs.
Melvin L. Barrick, Jr.
Cheryl Barrick
Cumberland County
Court of Common Pleas
Number 06 - 6148
AFFIDAVIT OF SERVICE
I, Undersigned, attorney for the Plaintiff in the within matter, hereby certify that on the
5th day of January,2007, a true and correct copy of the Notice of Sheriffs Sale of Real Property
was served on all pertinent lienholder(s) as set forth in the Affidavit Pursuant to 3129 which is
attached hereto as Exhibit "A".
Copies of the letter and certificate of mailing are also attached hereto, made a part hereof
and marked as Exhibit "B."
AY, P.C.
BY:
for Plaintiff
SWORN TO AND SUBSCRIBED
BEFORE ME THIS 5`h DAY OF
January, 2007.
k ? ?9
NOTARY BLIC
TERRENCE J. MCCABE, ESQUIRE
MARC S. WEISBERG, ESQUIRE
EDWARD D. CONWAY, ESQUIRE
MARGARET GAIRO, ESQUIRE
McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
HSBC Mortgage Services, Inc.
Plaintiff
Attorneys for Plaintiff
COURT OF COMMON PLEAS
Cumberland COUNTY
V.
Melvin L. Barrick Jr. and Cheryl Barrick
Number 06-6148 Civil Term
Defendants
AFFIDAVIT PURSUANT TO RULE 3129
I, Undersigned, attorney for Plaintiff in the above action, set forth as of the date the
Praecipe for the Writ of Execution was filed the following information concerning the real
property located at: 12 Wyrick Avenue, Shippensburg, PA 17257 (Tax Parcel #36-35-2388-
019A), a copy of the description of said property is attached hereto and marked as Exhibit "A."
Name and address of Owners or Reputed Owners:
Name
Melvin L. Barrick Jr
Address
12 Wyrick Avenue
Shippensburg, PA 17257
Cheryl Barrick
12 Wyrick Avenue
Shippensburg, PA 17257
Exhibit A
2. Name and address of Defendants in the judgment:
3
4
Name Address
Melvin L. Barrick Jr. 12 Wyrick Avenue
Shippensburg, PA 17257
Cheryl Barrick 12 Wyrick Avenue
Shippensburg, PA 17257
Name and last known address of every judgment creditor whose judgment is a
record lien on the real property to be sold:
Name Address
Plaintiff herein
Name and address of the last recorded holder of every mortgage of record:
Name Address
Plaintiff herein.
5. Name and address of every other person who has any record lien on the property:
Name
None
6
Address
Name and address of every other person who has any record interest in the
property which may be affected by the sale:
Name
None
Address
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:
Name
Tenants
Domestic Relations
Cumberland County
Address
12 Wyrick Avenue, Shippensburg, PA
17257
P.O. Box 320
Carlisle, PA 1
a
Commonwealth of Pennsylvania Department of Public Welfare
P.O. Box 2675
Harrisburg, PA 17105
Commonwealth of Pennsylvania
Inheritance Tax Office
1400 Spring Garden Street
Philadelphia, PA 19130
Commonwealth of Pennsylvania
Bureau of Individual Tax
Inheritance Tax Division
Department of Public Welfare
TPL Casualty Unit Estate
Recovery Program
Internal Revenue Service
PA Department of Revenue
6th Floor, Strawberry Square
Department #280601
Harrisburg, PA 17128
Willow Oak Building
P.O. Box 8486
Harrisburg, PA 17105-8486
Technical Support Group,
William Green Federal Bldg.
Room 3259, 600 Arch Street
Philadelphia, PA 19106
Bureau of Compliance
P.O. Box 281230
Harrisburg, PA 17128
I verify that the statements made in this Affidavit are true and correct to the best of my
personal knowledge or information and belief. I understand that false statements herein are made
subject to the penalties of 18 Pa.C.S. Section 4904 relating to unsworn falsification to authorities.
January 5, 2007
BYC/l/.? C ?--j
Attorneys for Plaintiff
TERRENCE J. McCABE, ESQUI
MARC S. WEISBERG, ESQUI
EDWARD D. CONWAY, ESQU
MARGARET GAIRO, ESQUIRE
NWAY, P.C.
Exhib#AA
McCABE, WEISBERG AND CONWAY, P.C.
'BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
Attorneys for Plaintiff
HSBC Mortgage Services, Inc.
Cumberland County
Court of Common Pleas
vs.
Melvin L. Barrick, Jr.
Cheryl Barrick
Number 06 - 6148
DATE: January 5, 2007
TO: ALL PARTIES IN INTEREST AND CLAIMANTS
NOTICE OF SHERIFF'S SALE OF REAL PROPERTY
OWNER(S): Melvin L. Barrick, Jr. and Cheryl Barrick
PROPERTY: 12 Wyrick Avenue, Shippensburg, PA 17257
IMPROVEMENTS: Residential Dwelling
The above-captioned property is scheduled to be sold at the Sheriffs Sale on March 7, 2007, at
10:00 a.m. in the Commissioner's Hearing Room located on the 2nd Floor of the Cumberland
County Courthouse, 1 Courthouse Square, Carlisle, Pennsylvania 17013. Our records indicate
that you may hold a mortgage or judgments and liens on, and/or other interests in the property
which will be extinguished by the sale. You may wish to attend the sale to protect your interests.
A schedule of distribution will be filed by the Sheriff on a date specified by the Sheriff not later
than 30 days after sale. Distribution will be made in accordance with the schedule unless
exceptions are filed thereto within 10 days after the filing of the schedule.
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HSBC Mortgage Services, Inc. In the Court of Common Pleas of
VS Cumberland County, Pennsylvania
Melvin L. Barrick Jr. and Cheryl Barrick Writ No. 2006-6148 Civil Term
Jason Vioral, Deputy Sheriff, who being duly sworn according to law, states that on
December 27, 2006 at 1709 hours, he served a true copy of the within Real Estate Writ, Notice and
Description, in the above entitled action, upon the within named defendants, to wit: Melvin L.
Barrick, Jr. and Cheryl Barrick, by making known unto Melvin Barrick Jr., personally and husband
of Cheryl Barrick, at 12 Wyrick Ave., Shippensburg, Cumberland County, Pennsylvania its contents
and at the same time handing to him personally the said true and correct copy of the same.
R. Thomas Kline, Sheriff, who being duly sworn according to law, states this writ is
returned STAYED per letter of instruction from Attorney Terrence McCabe.
Sheriff s Costs:
Docketing
Poundage
Advertising
Law Library
Prothonotary
Mileage
Levy
Surcharge
Certified Mail
Share of Bills
Soo Answers-
R. Thomas Kline, Sheriff
BY d
Real Estate eputy
30.00
2.81
15.00
.50
1.00
17.60
15.00
40.00
4.64
16.83 /
$ 143.38 04
31 ?B
$1..51 V04
8 ? 5g p 013
(lf # I
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MCCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
HSBC Mortgage Services, Inc.
Plaintiff
Attorneys for Plaintiff
COURT OF COMMON PLEAS
Cumberland COUNTY
V.
Melvin L. Barrick Jr. and Cheryl Barrick
Number 06-6148 Civil Term
Defendants
AFFIDAVIT PURSUANT TO RULE 3129
(`,,J)P.P Esquire, attorney for Plaintiff in the above action,
set forth as of the date the Praecipe for the Writ of Execution was filed the following information
concerning the real property located at: 12 Wyrick Avenue, Shippensburg, PA 17257 (Tax
Parcel #36-35-2388-019A), a copy of the description of said property is attached hereto and
marked as Exhibit "A."
1. Name and address of Owners or Reputed Owners:
Name
Melvin L. Barrick Jr.
Address
12 Wyrick Avenue
Shippensburg, PA 17257
Cheryl Barrick
12 Wyrick Avenue
Shippensburg, PA 17257
2. Name and address of Defendants in the judgment:
Name Address
Melvin L. Barrick Jr. 12 Wyrick Avenue
Shippensburg, PA 17257
Cheryl Barrick 12 Wyrick Avenue
Shippensburg, PA 17257
3. Name and last known address of every judgment creditor whose judgment is a
record lien on the real property to be sold:
Name Address
Plaintiff herein
4. Name and address of the last recorded holder of every mortgage of record:
Name Address
Plaintiff herein.
5. Name and address of every other person who has any record lien on the property:
Name Address
None
6. Name and address of every other person who has any record interest in the
property which may be affected by the sale:
Name Address
None
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:
Name Address
Tenants 12 Wyrick Avenue, Shippensburg, PA
17257
I
Domestic Relations
Cumberland County
Commonwealth of Pennsylvania Department of Public Welfare
P.O. Box 2675
Harrisburg, PA 17105
Commonwealth of Pennsylvania
Inheritance Tax Office
Commonwealth of Pennsylvania
Bureau of Individual Tax
Inheritance Tax Division
Department of Public Welfare
TPL Casualty Unit Estate
Recovery Program
Internal Revenue Service
P.O. Box 320
Carlisle, PA 17013
1400 Spring Garden Street
Philadelphia, PA 19130
6th Floor, Strawberry Square
Department #280601
Harrisburg, PA 17128
Willow Oak Building
P.O. Box 8486
Harrisburg, PA 17105-8486
Technical Support Group,
William Green Federal Bldg.
Room 3259, 600 Arch Street
Philadelphia, PA 19106
I verify that the statements made in this Affidavit are true and correct to the best of my
personal knowledge or information and belief. I understand that false statements herein are made
subject to the penalties of 18 Pa.C.S. Section 4904 relating to unsworn falsification to authorities.
November 28, 2006 McCABE, WEISBE G, AND CQNWAY, P.C.
BY:
Attorneys for Plaintiff
TERRENCE J. MCCABE, ESQUIRE
MARC S. WEISBERG, ESQUIRE
EDWARD D. CONWAY, ESQUIRE
MARGARET GAIRO, ESQUIRE
McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE 1 McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
Attorneys for Plaintiff
HSBC Mortgage Services, Inc.
VS.
Melvin L. Barrick, Jr.
Cheryl Barrick
Cumberland County
Court of Common Pleas
Number 06 - 6148
NOTICE OF SHERIFF'S SALE OF REAL PROPERTY
TO: Melvin L. Barrick, Jr.
Cheryl Barrick
12 Wyrick Avenue
Shippensburg, PA 17257
Your house (real estate) at 12 Wyrick Avenue, Shippensburg, PA 17257 (Tax Parcel #36-
35-2388-019A) , is scheduled to be sold at Sheriffs Sale on March 7, 2007 at 10:00 a.m. in the
Commissioner's Hearing Room located on the 2nd Floor of the Cumberland County Courthouse,
1 Courthouse Square, Carlisle, Pennsylvania 17013, to enforce the court judgment of
$115,514.75 obtained by HSBC Mortgage Services, Inc. against you.
NOTICE OF OWNER'S RIGHTS
YOU MAY BE ABLE TO PREVENT THIS SHERIFF'S SALE
To prevent this Sheriffs Sale you must take immediate action:
The sale will be canceled if you pay to HSBC Mortgage Services, Inc., the back
payments, late charges, costs, and reasonable attorney's fees due. To find out how
much you must pay, you may call McCabe, Weisberg and Conway at (215) 790-
1010.
2. You may be able to stop the sale by filing a petition asking the Court to strike or
open the judgment, if the judgment was improperly entered. You may also ask
the Court to postpone the sale for good cause.
3. You may also be able to stop the sale through other legal proceedings.
You may need an attorney to assert your rights. The sooner you contact one, the more chance
you will have of stopping the sale. (See the following notice on how to obtain an attorney.)
YOU MAY STILL BE ABLE TO SAVE YOUR PROPERTY
AND YOU HAVE OTHER RIGHTS
EVEN IF THE SHERIFF'S SALE DOES TAKE PLACE
If the Sheriffs Sale is not stopped, your property will be sold to the highest bidder. You
may find out the price bid by calling McCabe, Weisberg and Conway at (215) 790-1010.
2. You may be able to petition the Court to set aside the sale if the bid price was grossly
inadequate compared to the value of your property.
3. The sale will go through only if the buyer pays the Sheriff the full amount due on the
sale. To find out if this has happened, you may call McCabe, Weisberg and Conway at
(215) 790-1010.
4. If the amount due from the buyer is not paid to the Sheriff, you will remain the owner of
the property as if the sale never happened.
You have a right to remain in the property until the full amount due is paid to the Sheriff
and the Sheriff gives a deed to the buyer. At that time, the buyer may bring legal
proceedings to evict you.
6. A schedule of distribution will be filed by the Sheriff on a date specified by the Sheriff
not later than 30 days after sale. Distribution will be made in accordance with the
schedule unless exceptions are filed thereto within 10 days after the filing of the
schedule.
You may also have other rights and defenses, or ways of getting your real estate back, if
you act immediately after the sale.
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 SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE.
LAWYER REFERRAL SERVICE OR
COURT ADMINISTRATOR
4TH FLOOR,
CUMBERLAND COUNTY COURTHOUSE
CARLISLE, PENNSYLVANIA 17013
(717) 240-6200
CUMBERLAND COUNTY
BAR ASSOCIATION
2 LIBERTY AVENUE
CARLISLE, PA 17013
(717) 249-3166
LEGAL DESCRIPTION
ALL THOSE CERTAIN two lots of ground situate in the Township of Shippensburg, County of Cumberland,
State of Pennsylvania, known as Lots 11 and 12 as shown on Plan of Lots known as John A. Wyricles
Development, said plan recorded in Plan Book 4, Page 50, said lots bounded and described as follows, to
wit:
LOT NO. 11: BOUNDED on the West by Lot No. 12; on the South by Lot No. 13, on the East by Wydcc
Avenue (formerly known as Shippen Street) and on the North by Germantown Road, having a frontage on
Wyrick Avenue (formerly Shippen Street) of 187.00 feet, a frontage on the Germantown Road of 127.00
feet from the center of Wyrick Avenue (fonnedy Shippen Street) a depth a" Lot No. 12 of 122.00 feet
and a distance along Lot No. 13 of 95.00 feet from the center of said Wyrck Avenue (formerly Shippen
Street).
LOT NO. 12: BOUNDED on the West by land now or formerly of H.M. Hoy, on the South by Lot No. 13, on
the East by Lot No. 11 and on the North by Germantown Road, having a frontage on the Germantown
Road at 140.00 feet, a depth along Lot No. 11 of 122.00 feet, a distance along Lot No. 13 of 105.00 feet
and a distance along the land now or formerly of H.M. Hoy on the West of 33.00 feet.
EXCEPTING, HOWEVER, a portion of the above described premises condemned and taken by the
Commonwealth of Pennsylvania, for highway purposes, along the Germantown Road.
TAX MAP PARCEL NUMBER: 36-35-2388-019A
BEING KNOWN AS 12 Wyrick Avenue, Shippensburg, PA 17257
Being the same premises which Brian Lindsey, by deed dated the 4/4/2006, and recorded 5/5/2006 in the
Office of the Recorder in and for Cumberland County in Deed Book 274, Page 1976, granted and
conveyed to Melvin L. Barrick, Jr. and Cheryl Barrick, in fee.
• WRIT OF EXECUTION and/or ATTACHMENT
COMMONWEALTH OF PENNSYLVANIA) NO 06-6148 Civil
COUNTY OF CUMBERLAND) CIVIL ACTION - LAW
TO THE SHERIFF OF CUMBERLAND COUNTY:
To satisfy the debt, interest and costs due HSBC MORTGAGE SERVICES, INC., Plaintiff (s)
From MELVIN L. BARRICK, JR. AND CHERYL BARRICK
(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 $115,514.75 L.L. $.50
Interest FROM 11/29/06 - 3/7/07 - $1,880.01 AT $18.99 PER DIEM
Atty's Comm % Due Prothy $1.00
Atty Paid $144.48 Other Costs
Plaintiff Paid
Date: NOVEMBER 29, 2006
Curtis K. Long, Prolhenftry
(Seal) By:
Deputy
REQUESTING PARTY:
Name MARC S. WEISBERG, ESQUIRE
Address: MCCABE, WEISBERG AND CONWAY, P.C.
123 SOUTH BROAD STREET, SUITE 2080
PHILADELPHIA, PA 19109
Attorney for: PLAINTIFF
Telephone: 215-790-1010
Supreme Court ID No. 17616
Real Estate Sale # 65
On December 4, 2006 the Sheriff levied upon the
defendant's interest in the real property situated in
Shippensburg Township, Cumberland County, PA
D Known and numbered as 12 Wyrick Ave.,
RJU. Shippensburg, more fully described on Exhibit "A"
filed with this writ and by this reference incorporated herein.
Date: December 4, 2006 By:
?J6 VYUIUI
Real Esta e Sergeant
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY PENNSYLVANIA
CIVIL DIVISION
HSBC Mortgage Services, Inc.
V.
Melvin L. Barrick Jr. and Cheryl Barrick
INTEREST: from 11/29/06 to
DATE OF SALE 01/04/2009
$6,874.38 at $18.99
ATTY'S COMM.:
COSTS:
TO THE PROTHONOTARY OF SAID C URT:
The undersigned hereby certifies that the below does not arise out of a retail installment sale, contract, or account
based on a confession of judgment, but if it does, it is based on the appropriate original proceeding filed pursuant to
Act 7 of 1966 as amended; and for real property pursuant to Act 6 of 1974 as amended.
Issue writ or execution in the above matter to ?he Sheriff of Cumberland County, for debt, interest and costs upon the
following described property of the defendant s)
FILE NO.: 06-6148 Civil Term Civil Term
AMOUNT DUE: $115,514.75
(Mre fully d'escribad as attached)
Issue writ of attachment to the Sheriff of CUMBERLAND County, for debt, interest and costs, as above,
directing attachment against the above-named garnishee(s) for the following property (if real estate, supply six copies
of the description; supply four copies of le iy personalty'.list)
and all other property of the defendant(s) in the possession, custody or control of the said garnishee(s).
(Indicate) Index this writ against the garnishee(s) as a lis pendens against real estate of the defendant(s)
described in the attached exhibit.
DATE: Signature:
Print Name: CA E, WEISBERG AND CONWAY
Address: 123 S. Broad Street, Suite 2080
Philadelphia, PA 19109
Attorney for: Plaintiff
Telephone: (215) 790 1010
Supreme Court ID No.
.i CCb? O
t
1 , + t
?+ w w ? ? • n
44
G
r G^y ?
r-?
V
WRIT OF EXECUTION and/or ATTACHMENT
COMMONWEALTH OF PENNSYLVANIA)
COUNTY OF CUMBERLAND)
NO 06-6148 Civil
CIVIL ACTION - LAW
TO THE SHERIFF OF CUMBERLAND COUNTY:
To satisfy the debt, interest and costs due HSBC MORTGAGE SERVICES, INC., Plaintiff (s)
From MELVIN L. BARRICK, JR. AND CHERYL BARRICK
(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 gamishee(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 $115,514.75
L.L.
Interest FROM 11/29/06 TO DATE OF SALE 03/04/09 - $6,874.38 AT $18.99
Atty's Comm %
Atty Paid $309.36
Plaintiff Paid
Due Prothy $2.00
Other Costs
Date: NOVEMBER 26, 2008
(Seal)
REQUESTING PARTY:
Name MARGARET GAIRO, ESQUIRE
Address: MCCABE, WEISBERG AND CONWAY, P.C.
123 SOUTH BROAD STREET, SUITE 2080
PHILADELPHIA, PA 19109
Attorney for: PLAINTIFF
Telephone: 215-790-1010
C s R. Lon onota
By:
Deputy
Supreme Court ID No. 34419
IN THE UNITED STATES BANKRUPTCY COURT
FOR THE MIDDLE DISTRICT OF PENNSYLVANIA
IN RE: CHAPTER 13
MELVIN L. BARRICK, JR.
CHERYL A. BARRICK CASE NO. 1-07-bk-00042-RNO
A/K/A CHERYL BARRICK
DEBTORS
HSBC MORTGAGE SERVICES, INC.,
OR ITS SUCCESSOR OR ASSIGNEE
MOVANT
VS.
MELVIN L. BARRICK, JR. AND
CHERYL A. BARRICK
A/K/A CHERYL BARRICK
CHARLES J. DEHART, III, TRUSTEE
RESPONDENTS
ORDER
In accordance with the Settlement Stipulation, after Notice of Default and upon the filing
of Certification of Default, it is hereby ORDERED that the automatic stay of Bankruptcy Code
§362(a) be, and the same hereby is, MODIFIED to permit HSBC Mortgage Services, Inc., or its
Successor or Assignee to foreclose its mortgage, and, without limitation, to exercise any other
rights it has under the mortgage or with respect to the property located at: 12 Wyrick Avenue,
Shippensburg, Pennsylvania 17257.
6L? U. gj?pv
Robed N. Ope4 M Bwkrieptcy Judge
This document is electronically signed and filed on the same date. (aQ
Dated: October 1, 2008
Case 1:07-bk-00042-RNO Doc 7? Filed 10/01/08 Entered 10/01/08 11:28:04 Desc
Main Document Page 1 of 1
Wk
Attorneys for Plaintiff
HSBC Mortgage Services, Inc. CUMBERLAND COUNTY COURT OF COMMON
PLEAS
Plaintiff
McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE L ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
215 790-1010
V.
Melvin L. Barrick Jr. and Cheryl Barrick
Defendants
Number 06-6148 Civil Term
AFFIDAVIT PURSUANT TO RULE 3129
The undersigned, attorney for Plaintiff in the above action, sets forth as of the date the Praecipe for the Writ
of Execution was filed the following information concerning the real property located at: 12 Wyrick Avenue,
Shippensburg, Pennsylvania 17257, a copy of'the description of said property being attached hereto and marked
Exhibit "A."
1. Name and address of Owners or Reputed Owners
Name
Melvin L. Barrick Jr.
Cheryl Barrick
Address
12 Wyrick Avenue
Shippensburg, Pennsylvania 17257
12 Wyrick Avenue
Shippensburg, Pennsylvania 17257
2. Name and address of Defendants in the judgment:
Name
Melvin L. Barrick Jr.
Cheryl Barrick
Address
12 Wyrick Avenue
Shippensburg, Pennsylvania 17257
12 Wyrick Avenue
Shippensburg, Pennsylvania 17257
3. Name and last known address of every judgment creditor whose judgment is a record lien on the
real property to be sold:
Name Address
Plaintiff herein
4. Name and address of the last recorded holder of every mortgage of record:
Name Address
Plaintiff herein
5. Name and address of every other person who has any record lien on the property:
Name Address
6. Name and address of every other person who has any record interest in the property which may be
affected by the sale:
Name Address
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:
Name
Tenants/Occupants
Commonwealth of Pennsylvania
Address
12 Wyrick Avenue
Shippensburg, Pennsylvania 17257
Department of Public Welfare
P.O. Box 2675
Harrisburg, PA 17105
Commonwealth of Pennsylvania
Inheritance Tax Office
Commonwealth of Pennsylvania
Bureau of Individual Tax
Inheritance Tax Division
Department of Public Welfare
TPL Casualty Unit Estate
Recovery Program
PA Department of Revenue
Commonwealth of Pennsylvania
Department of Revenue Bureau of
Compliance
1400 Spring Garden Street
Philadelphia, PA 19130
6th Floor, Strawberry Square
Department #280601
Harrisburg, PA 17128
Willow Oak Building
P.O. Box 8486
Harrisburg, PA 17105-8486
Bureau of Compliance
P.O. Box 281230
Harrisburg, PA 17128-1230
Clearance Support Department 281230
Harrisburg, PA 17128-1230
ATTN: Sheriff's Sales
United States of America Internal Revenue Service
Technical Support Group
William Green Federal Building
Room 3259
600 Arch Street
Philadelphia, PA 19106
Domestic Relations P.O. Box 320
Cumberland County Carlisle, PA 17013
United States of America c/o United States Attorney for the
Middle District of PA
235 North Washington Street
Scranton, PA 18503
and
Federal Building
228 Walnut Street
P.O. Box 11754
Harrisburg, PA 17108
8. Name and address of Attorney of record:
Name Address
I verify that the statements made in this Affidavit are true and correct to the best of my personal knowledge
or information and belief. I understand that false statements herein are made subject to the penalties of 18 Pa.C.S.
Section 4904 relating to unsworn falsification to authorities.
November 24, 2008 T?ERRENC J. McCABE, ESQUIRE
DATE ARC S. EISBERG, ESQUIRE
E WARD D. CONWAY, ESQUIRE
ARGARET GAIRO, ESQUIRE
omevs for Plaintiff
CT CIO t
cr,
y l
McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE'- ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE''- ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
Attorneys for Plaintiff
CIVIL ACTION LAW
HSBC Mortgage Services, Inc.
COURT OF COMMON PLEAS
V.
Melvin L. Barrick Jr. and Cheryl Barrick
CUMBERLAND COUNTY
Number 06-6148 Civil Term
NOTICE OF S1MRIFF'S SALE OF REAL PROPERTY
To: Melvin L. Barrick Jr. Cheryl Barrick
12 Wyrick Avenue 12 Wyrick Avenue
Shippensburg, Pennsylvania 17257 Shippensburg, Pennsylvania 17257
Your house (real estate) at 12 Wyric Avenue, Shippensburg, Pennsylvania 17257 is scheduled to be
sold at Sheriffs Sale on February 4, 2009 at 0:00 a.m. in the Commissioner's Hearing Room located on the 2nd
Floor of the Cumberland County Courthouse, Courthouse Square, Carlisle, Pennsylvania 17013 to enforce the
court judgment of $115,514.75 obtained by H BC Mortgage Services, Inc. against you.
To prevent this Sheriffs Sale you must take i?mediate action:
The sale will be canceled if you pay to HSBC Mortgage Services, Inc. the back payments, late
charges, costs, and reasonable attorney's fees due. To find out how much you must pay, you may
call McCabe, Weisberg and 'Conway, P.C., Esquire at (215) 790-1010.
2. You may be able to stop theisale by filing a petition asking the Court to strike or open the
judgment, if the judgment was improperly entered. You may also ask the Court to postpone the
sale for good cause.
3. You may also be able to stop the sale through other legal proceedings.
You may need an attorney to assert your right . The sooner you contact one, the more chance you will have of
stopping the sale. (See the following notice o how to obtain an attorney.)
If the Sheriffs Sale is not stopped, your property will be sold to the highest bidder. You may find
out the price bid by calling McCabe, Weisberg and Conway, P.C., Esquire at (215) 790-1010.
2. You may be able to petition the Court to set aside the sale if the bid price was grossly inadequate
compared to the value of your property.
3. The sale will go through only if the buyer pays the Sheriff the full amount due on the sale. To find
out if this has happened, you may call McCabe, Weisberg and Conway, P.C. at (215) 790-1010.
4. If the amount due from the buyer is not paid to the Sheriff, you will remain the owner of the
property as if the sale never happened.
5. You have a right to remain in the property until the full amount due is paid to the Sheriff and the
Sheriff gives a deed to the buyer. At that time, the buyer may bring legal proceedings to evict you.
6. You may be entitled to a share of the money which was paid for your real estate. A schedule of
distribution of the money bifor your real estate will be filed by the Sheriff within thirty (30) days
of the sale. This schedule w 11 state who will be receiving that money. The money will be paid out
in accordance with this schedule unless exceptions (reasons why the proposed schedule of
distribution is wrong) are filed with the Sheriff within ten (10) days after the posting of the
schedule of distribution.
7. You may also have other rigts and defenses, or ways of getting your real estate back, if you act
immediately after the sale.
YOU SHOULD TAKE THIS PAP R TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A
LAWYER, GO TO OR TELEPH NE THE OFFICE SET FORTH BELOW. THIS OFFICE CAN
PROVIDE YOU WITH INFORM TION 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
SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE.
LAWYER REFERRAL SERVICE
Cumberland County Bar Association
2 Liberty Avenue
Ca lisle, Pennsylvania 17013
(800) 990-9108
ASSOCIATION DE LICENCIDADOS
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, Pennsylvania 17013
(800) 990-9108
LEGAL DESCRIPTION
ALL those certain two lots of ground situate in the Township of Shippensburg, County of Cumberland, State of
Pennsylvania, known as Lots I I and 12 a shown on Plan of Lots known as John A. Wyrick's Development, said
plan recorded in Plan Book 4, Page 50, sad lots bounded and described as follows, to wit:
LOT NO. I1: BOUNDED on the West by Lot No. 12; on the South by Lot No. 13, on the East by Wyrick
Avenue (formerly known as Shippen Street) and on the North by Germantown Road, having a frontage on Wyrick
Avenue (formerly Shippen Street) of 187.00 feet, a frontage on the Germantown Road of 127.00 feet from the
center of Wyrick Avenue (formerly Shin Street) a depth along Lot No. 12 of 122.00 feet and a distance along
Lot No. 13 of 95.00 feet from the center o said Wyrick Avenue (formerly Shippen Street).
LOT NO. 12: BOUNDED on the West by land now or formerly of H.M. Hoy, on the South by Lot No. 13, on
the East by Lot No. 1 I and on the North;by Germantown Road, having a frontage on the Germantown Road at
140.00 feet, a depth along Lot No. I I of :122.00 feet, a distance along Lot No. 13 of 105.00 feet and a distance
along the land now or formerly of H.M. H} y on the West of 33.00 feet.
EXCEPTING, HOWEVER, a portior of the above described premises condemned and taken by the
Commonwealth of Pennsylvania, for high ay purposes, along the Germantown Road.
BEING KNOWN AS 12 Wyrick Avenue, Shippensburg, Pennsylvania 17257.
BEING the same premises which BRIAN LIINDSEY by deed dated April 4, 2006 and recorded May 5, 2006 in the
office of the Recorder in and for Cumberland County in Deed Book 274, Page 1976, granted and conveyed to Melvin
L. Barrick Jr. and Cheryl Barrick in fee.
TAX MAP PARCEL NUMBER: 36-35-238$-019A
McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
ANDREW L. MARKOWITZ, ESQUIRE - ID # 28009
FRANK DUBIN, ESQUIRE - ID #19280
HEIDI R. SPIVAK, ESQUIRE - ID #74770
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
HSBC Mortgage Services, Inc.
Plaintiff
V.
Melvin L. Barrick Jr. and Cheryl Barrick
Defendants
Attorneys for Plaintiff
CUMBERLAND COUNTY COURT OF
COMMON PLEAS
Number 06-6148 Civil Term
AFFIDAVIT OF SERVICE
I, the undersigned attorney for the Plaintiff in the within matter, hereby certify that on the 12`h day of
December, 2008, a true and correct copy of the Notice of Sheriffs Sale of Real Property was served on all pertinent
lienholder(s) as set forth in the Affidavit Pursuant to 3129 which is attached hereto as Exhibit "A."
Copies of the letter and certificates of mailing are also attached hereto, made a part hereof and marked as
Exhibit "B."
SWORN AND SUBSCRIBED
BEFORE ME THIS 12TH DAY
O DECEMBER, 2008,
-Acw? - lw'u
NOTARY BLIC
? VV
TERRENCE J. McCABE, ESQUIRE
MARC S. WEISBERG, ESQUIRE
EDWARD D. CONWAY, ESQUIRE
MARGARET GAIRO, ESQUIRE
ANDREW L. MARKOWITZ, ESQUIRE
FRANK DUBIN, ESQUIRE
HEIDI R. SPIVAK, ESQUIRE
Attorneys for Plaintiff
COMMONWEjA,LTH OF PENNSYLVANIA
NOTARIAL SEAL
STACEY M. O'CONNELL, Notary Public
City of Philadelphia, Phila. County
My Commission Expires July 10, 2012
McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
HSBC Mortgage Services, Inc.
Plaintiff
V.
Melvin L. Barrick Jr. and Cheryl Barrick
Defendants
Attorneys for Plaintiff
CUMBERLAND COUNTY COURT OF COMMON
PLEAS
Number 06-6148 Civil Term
AFFIDAVIT PURSUANT TO RULE 3129
The undersigned, attorney for Plaintiff in the above action, sets forth as of the date the Praecipe for the Writ
of Execution was filed the following information concerning the real property located at: 12 Wyrick Avenue,
Shippensburg, Pennsylvania 17257, a copy of the description of said property being attached hereto and marked
Exhibit "A."
Name and address of Owners or Reputed Owners
Name
Melvin L. Barrick Jr.
Address
12 Wyrick Avenue
Shippensburg, Pennsylvania 17257
Cheryl Barrick
12 Wyrick Avenue
Shippensburg, Pennsylvania 17257
2. Name and address of Defendants in the judgment:
Name Address
Melvin L. Barrick Jr. 12 Wyrick Avenue
Shippensburg, Pennsylvania 17257
Cheryl Barrick 12 Wyrick Avenue
Shippensburg, Pennsylvania e1 b ; P,
Name and last known address of every judgment creditor whose judgmen fli6 den on the
real property to be sold:
Name Address
Plaintiff herein
4. Name and address of the last recorded holder of every mortgage of record:
Name Address
Plaintiff herein
5. Name and address of every other person who has any record lien on the property:
Name Address
6. Name and address of every other person who has any record interest in the property which may be
affected by the sale:
Name Address
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:
Name
Tenants/Occupants
Commonwealth of Pennsylvania
Commonwealth of Pennsylvania
Inheritance Tax Office
Commonwealth of Pennsylvania
Bureau of Individual Tax
Inheritance Tax Division
Department of Public Welfare
TPL Casualty Unit Estate
Recovery Program
PA Department of Revenue
Address
12 Wyrick Avenue
Shippensburg, Pennsylvania 17257
Department of Public Welfare
P.O. Box 2675
Harrisburg, PA 17105
1400 Spring Garden Street
Philadelphia, PA 19130
6th Floor, Strawberry Square
Department #280601
Harrisburg, PA 17128
Willow Oak Building
P.O. Box 8486
Harrisburg, PA 17105-8486
Bureau of Compliance
P.O. Box 281230
Harrisburg, PA 17128-1230
Commonwealth of Pennsylvania Clearance Support Department 281230
Department of Revenue Bureau of Harrisburg, PA 17128-1230
Compliance ATTN: Sheriffs Sales r
i V IC
i?ah
United States of America
Domestic Relations
Cumberland County
United States of America
Internal Revenue Service
Technical Support Group
William Green Federal Building
Room 3259
600 Arch Street
Philadelphia, PA 19106
P.O. Box 320
Carlisle, PA 17013
c/o United States Attorney for the
Middle District of PA
235 North Washington Street
Scranton, PA 18503
and
Federal Building
228 Walnut Street
P.O. Box 11754
Harrisburg, PA 17108
8. Name and address of Attorney of record:
Name
Address
I verify that the statements made in this Affidavit are true and correct to the best of my personal knowledge
or information and belief. I understand that false statements herein are made subject to the penalties of 18 Pa.C.S.
Section 4904 relating to unworn falsification to authorities.
YK-0, j?
November 24, 2008 TERRENC J. McCABE, ESQUIRE
DATE MARC S. EISBERG, ESQUIRE
EDWARD D. CONWAY, ESQUIRE
MARGARET GAIRO, ESQUIRE
Attorneys for Plaintiff
McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
HSBC Mortgage Services, Inc.
Plaintiff
V.
Melvin L. Barrick Jr. and Cheryl Barrick
Defendants
DATE: December 11, 2008
TO: ALL PARTIES IN INTEREST AND CLAIMANTS
Attorneys for Plaintiff
COURT OF COMMON PLEAS
CUMBERLAND COUNTY
Number 06-6148 Civil Term
NOTICE OF SHERIFF'S SALE OF REAL PROPERTY
OWNERS: Melvin L. Barrick Jr. and Cheryl Barrick
PROPERTY: 12 Wyrick Avenue, Shippensburg, Pennsylvania 17257
IMPROVEMENTS: Residential Dwelling
The above-captioned property is scheduled to be sold at the Sheriffs Sale on March 4, 2009 at 10:00 a.m. in the
Commissioner's Hearing Room located on the 2nd Floor of the Cumberland County Courthouse, 1 Courthouse
Square, Carlisle, Pennsylvania 17013. Our records indicate that you may hold a mortgage or judgments and liens on,
and/or other interests in the property which will be extinguished by the sale. You may wish to attend the sale to
protect your interests.
A schedule of distribution will be filed by the Sheriff on a date specified by the Sheriff not later than thirty (30) days
after sale. Distribution will be made in accordance with the schedule unless exceptions are filed thereto within ten
(10) days after the filing of the schedule.
,xhibit B
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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 Ido hereby certify that
the Sheriffs Deed in which HSBC MTG SERV INC is the grantee the same having been sold to said
grantee on the 4TH day of MARCH A.D., 2009, under and by virtue of a writ E ecution issued on the
26TH day of NOV, A.D., 2008, out of the Court of Common Pleas of said County as of Civil Term,
2006 Number 6148, at the suit of HSBC MTG SER INC against MELVIN L BAAMCK JR & CHERYL
is duly recorded as Instrument Number 200910095.
,
IN TESTIMONY WHEREOF, I have hereunto set my hand
and seal of said office this day of
AA A.D.
A
Recorder of Deeds
R of D.-a, Con6artmd County, CaftN, PA
My E*M Mw F kV Monday of Jan. 2010
HSBC Mortgage Services, Inc. In The Court of Common Pleas of
VS -• Cumberland County, Pennsylvania
Melvin L. Bamck Jr. and Cheryl Barrick Writ No. 2006-6148 Civil Tern?
Noah Cline, Deputy Sheriff, who being duly sworn according to law
December 29, 2008 at 1105 hours, he served a true copy of the within Real i
Description, in the above entitled action, upon the within named defendants,
Barrick, Jr. and Cheryl Barrick, by making known unto Melvin Barrick pers
charge for Cheryl Barrick, at 12 Wyrick Ave., Shippensburg, Cumberland C
contents and at the same time handing to him personally the said true and co
William Cline, Deputy Sheriff, who being duly sworn according to 1
January 13, 2009 at 1839 hours, he posted a true copy of the within Real Est
and Description, in the above entitled action, upon the property of Melvin L.
Barrick located at 12 Wyrick Ave., Shippensburg, Cumberland County, Pem
law.
R. Thomas Kline, Sheriff, who being duly sworn according to law, sl
above Real Estate Writ, Notice, Poster and Description in the following man
mailed a notice of the pendency of the action to the within named defendant
Barrick Jr. and Cheryl Barrick, by regular mail to their last known address o
Shippensburg, PA 17257. These letters were mailed under the date of Januai
returned to the Sheriffs Office.
R. Thomas Kline, Sheriff, who being duly sworn according to law, si
legal notice had been given according to law, he exposed the within describ(
venue or outcry at the Courthouse, Carlisle, Cumberland County, Pennsylva
10:00 o'clock A.M. He sold the same for the sum of $1.00 to Margaret Gait
Mortgage Services, Inc. It being the highest bid and best price received for t
Mortgage Services, Inc., of, 577 Lamont Road, Elmhurst, Il, 60126, being tl
execution, paid to Sheriff R. Thomas Kline the sum of $ 1,163.97
Sheriffs Costs:
Docketing $30.00
Poundage 22.82
Posting Bills 30.00
Advertising 30.00
Acknowledging Deed 48.00
Auctioneer 10.00
Prothonotary 2.00
Mileage 36.00
Levy 30.00
Surcharge 40.00
Law Journal 395.00
Patriot News 400.13
states that on
;state Writ, Notice and
to wit: Melvin L.
orally and adult in
)unty, Pennsylvania its
rrect copy of the same.
?w, states that on
ate Writ, Notice, Poster
Barrick Jr. and Cheryl
isylvania according to
tes he served the
er: The Sheriff
to wit: Melvin L.
12 Wyrick Ave.,
9, 2009 and never
rtes that after due and
1 premises at public
is on March 4, 2009 at
, on behalf of HSBC
e same, of HSBC
buyer in this
Share of Bills 15.52
Distribution of Proceeds 25.00
Sheriffs Deed ' 49.50
$1,163.97
So Answers:
R. Thomas Kline, S riff
Real tate Coordinator
lY'
cx LW ;P)f
THONOTARY
1009 APR -3 PM 3, 27
.4>
Ps
?li`rl.'NM
McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
HSBC Mortgage Services, Inc.
Plaintiff
V.
Melvin L. Barrick Jr. and Cheryl Barrick
Defendants
Attorneys for Plaintiff
CUMBERLAND COUNTY CbURT OF COMMON
PLEAS
Number 06-6148 Civil Term
AFFIDAVIT PURSUANT TO RULE 3129
The undersigned, attorney for Plaintiff in the above action, sets forth as of the date tlI
?e Praecipe for the Writ
of Execution was filed the following information concerning the real property located at: 12 ? Wck Avenue,
Shippensburg, Pennsylvania 17257, a copy of the description of said property being attached hereto and marked
Exhibit "A."
Name and address of Owners or Reputed Owners
Name
Melvin L. Barrick Jr.
Address
12 Wyrick Avenue
Shippensburg, Pennsylvania 1727
Cheryl Barrick
12 Wyrick Avenue
Shippensburg, Pennsylvania 17257
Name and address of Defendants in the judgment:
Name Address
Melvin L. Barrick Jr. 12 Wyrick Avenue
Shippensburg, Pennsylvania 1727
Cheryl Barrick 12 Wyrick Avenue
Shippensburg, Pennsylvania 17217
Name and last known address of every judgment creditor whose judgment i? a record lien on the
4.
5
real property to be sold:
Name Address
Plaintiff herein
Name and address of the last recorded holder of every mortgage of record:
Name Address
Plaintiff herein
Name and address of every other person who has any record lien on the property:
Name Address
6. Name and address of every other person who has any record interest in the property which may be
affected by the sale:
Name Address
7. Name and address of every other person of whom the plaintiff has knowled a who has any interest
in the property which may be affected by the sale:
Name
Tenants/Occupants
Commonwealth of Pennsylvania
Commonwealth of Pennsylvania
Inheritance Tax Office
Commonwealth of Pennsylvania
Bureau of Individual Tax
Inheritance Tax Division
Department of Public Welfare
TPL Casualty Unit Estate
Recovery Program
PA Department of Revenue
Commonwealth of Pennsylvania
Department of Revenue Bureau of
Compliance
Address
12 Wyrick Avenue
Shippensburg, Pennsylvania 1727
Department of Public Welfare
P.O. Box 2675
Harrisburg, PA 17105
1400 Spring Garden Street
Philadelphia, PA 19130
6th Floor, Strawberry Square
Department #280601
Harrisburg, PA 17128
Willow Oak Building
P.O. Box 8486
Harrisburg, PA 17105-8486
Bureau of Compliance
P.O. Box 281230
Harrisburg, PA 17128-1230
Clearance Support Department 2 1230
Harrisburg, PA 17128-1230
ATTN: Sheriff's Sales
United States of America Internal Revenue Service
Technical Support Group
William Green Federal Building
Room 3259
600 Arch Street
Philadelphia, PA 19106
Domestic Relations P.O. Box 320
Cumberland County Carlisle, PA 17013
United States of America c/o United States Attorney for the
Middle District of PA
235 North Washington Street
Scranton, PA 18503
and
Federal Building
228 Walnut Street
P.O. Box 11754
Harrisburg, PA 17108
8. Name and address of Attorney of record:
Name Address
I verify that the statements made in this Affidavit are true and correct to the best of my personal knowledge
or information and belief. I understand that false statements herein are made subject to the penalties of 18 Pa.C.S.
Section 4904 relating to unsworn falsification to authorities.
November 24, 2008 TERRENC J. McCABE, ESQUIRE
DATE MARC S. EISBERG, ESQUIRE
EDWARD D. CONWAY, ESQUIRE
MARGARET GAIRO, ESQUIRE
Attorneys for Plaintiff
McCABE, WEISBERG AND CONWAY, P.C.
BY: TERRENCE J. McCABE, ESQUIRE - ID # 16496
MARC S. WEISBERG, ESQUIRE - ID # 17616
EDWARD D. CONWAY, ESQUIRE - ID # 34687
MARGARET GAIRO, ESQUIRE - ID # 34419
123 South Broad Street, Suite 2080
Philadelphia, Pennsylvania 19109
(215) 790-1010
HSBC Mortgage Services, Inc.
V.
Melvin L. Barrick Jr. and Cheryl Barrick
CIVIL ACTION LAW
Attorneys for Plaintiff
I
COURT OF COMMON PLEA
CUMBERLAND COUNTY
Number 06-6148 Civil Term
NOTICE OF SHERIFF'S SALE OF REAL PROPERTY
To: Melvin L. Barrick Jr. Cheryl Barrick
12 Wyrick Avenue 12 Wyrick Avenue
Shippensburg, Pennsylvania 17257 Shippensburg, Pennsylvania
17257
Your house (real estate) at 12 Wyrick Avenue, Shippensburg, Pennsylvania 1725 is scheduled to be
sold at Sheriffs Sale on WrCJ6 4, 2009 at 10:00 a.m. in the Commissioner's Hearing Root i located on the 2nd
Floor of the Cumberland County Courthouse, 1 Courthouse Square, Carlisle, Pennsylvania 17 13 to enforce the
court judgment of $115,514.75 obtained by HSBC Mortgage Services, Inc. against you.
NOTICE OF OWNER'S RIGHTS
YOU MAY BE ABLE TO PREVENT THIS SHERIFF'S SALE
To prevent this Sheriffs Sale you must take immediate action:
I . The sale will be canceled if you pay to HSBC Mortgage Services, Inc. the lack payments, late
charges, costs, and reasonable attorney's fees due. To find out how much y u must pay, you may
call McCabe, Weisberg and Conway, P.C., Esquire at (215) 790-1010.
2. You may be able to stop the sale by filing a petition asking the Court to strike or open the
judgment, if the judgment was improperly entered. You may also ask the Court to postpone the
sale for good cause.
You may also be able to stop the sale through other legal proceedings.
You may need an attorney to assert your rights. The sooner you contact one, the more
stopping the sale. (See the following notice on how to obtain an attorney.)
YOU MAY STILL BE ABLE TO SAVE YOUR PROPERTY
AND YOU HAVE OTHER RIGHTS
EVEN IF THE SHERIFF'S SALE DOES TAKE PLACE
you will have of
I . If the Sheriffs Sale is not stopped, your property will be sold to the highest bidder. You may find
out the price bid by calling McCabe, Weisberg and Conway, P.C., Esquire at (215) 790-1010.
2. You may be able to petition the Court to set aside the sale if the bid price was grossly inadequate
compared to the value of your property.
3. The sale will go through only if the buyer pays the Sheriff the full amount due on the sale. To find
out if this has happened, you may call McCabe, Weisberg and Conway, P. . at (215) 790-1010.
4. If the amount due from the buyer is not paid to the Sheriff, you will remain the owner of the
property as if the sale never happened.
5. You have a right to remain in the property until the full amount due is paid to the Sheriff and the
Sheriff gives a deed to the buyer. At that time, the buyer may bring legal proceedings to evict you.
6. You may be entitled to a share of the money which was paid for your real state. A schedule of
distribution of the money bid for your real estate will be filed by the Sheriff` within thirty (30) days
of the sale. This schedule will state who will be receiving that money. The money will be paid out
in accordance with this schedule unless exceptions (reasons why the propo ed schedule of
distribution is wrong) are filed with the Sheriff within ten (10) days after th posting of the
schedule of distribution.
7. You may also have other rights and defenses, or ways of getting your real state back, if you act
immediately after the sale.
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. S OFFICE CAN
PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER
IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY B ABLE TO
PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL
SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE.
LAWYER REFERRAL SERVICE
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, Pennsylvania 17013
(800) 990-9108
ASSOCIATION DE LICENCIDADOS
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, Pennsylvania 17013
(800) 990-9108
LEGAL DESCRIPTION
ALL those certain two lots of ground situate in the Township of Shippensburg, Coun y of Cumberland, State of
Pennsylvania, known as Lots I I and 12 as shown on Plan of Lots known as John A. "nick's Development, said
plan recorded in Plan Book 4, Page 50, said lots bounded and described as follows, to wit:
LOT NO. 11: BOUNDED on the West by Lot No. 12; on the South by Lot No. 13, on the East by Wyrick
Avenue (formerly known as Shippen Street) and on the North by Germantown Road, 4ving a frontage on Wyrick
Avenue (formerly Shippen Street) of 187.00 feet, a frontage on the Germantown R d of 127.00 feet from the
center of Wyrick Avenue (formerly Shippen Street) a depth along Lot No. 12 of 122-00 feet and a distance along
Lot No. 13 of 95.00 feet from the center of said Wyrick Avenue (formerly Shippen Stre t).
LOT NO. 12: BOUNDED on the West by land now or formerly of H.M. Hoy, on the South by Lot No. 13, on
the East by Lot No. I I and on the North by Germantown Road, having a frontage on the Germantown Road at
140.00 feet, a depth along Lot No. I I of 122.00 feet, a distance along Lot No. 13 of 105.00 feet and a distance
along the land now or formerly of H.M. Hoy on the West of 33.00 feet.
EXCEPTING, HOWEVER, a portion of the above described premises condemned and taken by the
Commonwealth of Pennsylvania, for highway purposes, along the Germantown Road.
BEING KNOWN AS 12 Wyrick Avenue, Shippensburg, Pennsylvania 17257.
BEING the same premises which BRIAN LINDSEY by deed dated April 4, 2006 and recorded May 5, 2006 in the
office of the Recorder in and for Cumberland County in Deed Book 274, Page 1976, granteO and conveyed to Melvin
L, Barrick Jr. and Cheryl Barrick in fee.
TAX MAP PARCEL NUMBER: 36-35-2388-019A
WRIT OF EXECUTION and/or ATTACHMENT
COMMONWEALTH OF PENNSYLVANIA) NO 06-6148 Civil
COUNTY OF CUMBERLAND) CIVIL ACTION - LAW
TO THE SHERIFF OF CUMBERLAND COUNTY:
To satisfy the debt, interest and costs due HSBC MORTGAGE SERVICES, INC., Plaintiff (s)
From MELVIN L. BARRICK, JR. AND CHERYL BARRICK
(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 $115,514.75
L.L.
Interest FROM 11/29/06 TO DATE OF SALE 03/04/09 - $6,874.38 AT $18.99
Atty's Comm %
Atty Paid $309.36
Plaintiff Paid
Due Prothy $2.00
Other Costs
Date: NOVEMBER 26, 2008
(Seal)
REQUESTING PARTY:
Name MARGARET GAIRO, ESQUIRE
A
C s R. Lon onota
By:
Deputy
Address: MCCABE, WEISBERG AND CONWAY, P.C.
123 SOUTH BROAD STREET, SUITE 2080
PHILADELPHIA, PA 19109
Attorney for: PLAINTIFF
Telephone: 215-790-1010
Supreme Court ID No. 34419
Real Estate Sale #76
On December 18, 2008 the Sheriff levied upon the
defendant's interest in the real property situated in
Shippensburg Township, Cumberland County, PA
Known and numbered as 12 Wyrick Ave., Shippensburg
more fully described on Exhibit "A" Iz>
filed with this writ and by this reference
incorporated herein.
Date: December 18, 2008 By: p
v ?
Real Estate ergeant
PROOF OF PUBLICATION OF NOTICE
IN CUMBERLAND LAW JOURNAL
(Under Act No. 587, approved May 16, 1929), P. L.178
i
COMMONWEALTH OF PENNSYLVANIA
ss.
COUNTY OF CUMBERLAND :
Lisa Marie Coyne, Esquire, Editor of the Cumberland Law Journal;
State aforesaid, being duly sworn, according to law, deposes and says that th
Journal, a legal periodical published in the Borough of Carlisle in the Count;
was established January 2, 1952, and designated by the local courts as the of
periodical for the publication of all legal notices, and has, since January 2, 1.1
issued weekly in the said County, and that the printed notice or publication a
exactly the same as was printed in the regular editions and issues of the said
Journal on the following dates,
J
and February 13, 2009,
of the County and
Cumberland Law
and State aforesaid,
icial legal
152, been regularly
lached hereto is
,umberland Law
Affiant further deposes that he is authorized to verify this statement
Law Journal, a legal periodical of general circulation, and that he is not ii
matter of the aforesaid notice or advertisement, and that all allegations in
statements as to time, place and character of publication are true.
the Cumberland
in the subject
foregoing
vv?-- -
Visa Marie Coyne, E it r
TO AND SUBSCRIBE before me this
day of Februarv 13. 09
Notary
NOTARIAL EAL
DEBORAH A OLLINS
Notary P bile
CARLISLE BORO, CUMBERLAND COUNTY
My Commission Expir s Apr 28, 2010
Fj" = AM am& no. 76
Writ No. 20046148 Civil
HSBC MortgaeServices, Inc.
VS.
Melvin L. Barrick Jr. and
Cheryl Barrick
Atty.: Terrence McCabe
LEGAL DESCRIPnON
ALL those certain two lots of
d athude in the Towneft of
?e Psp +?soia, known
as Lots 11 and 12 as s uYwn an PhDs
of LOU Ianown as John A. Wyrkk%.
Development, said plan recorded
in Plan Book 4, Page 50, said lots
bounded and described as follows,
to wit:
LOT NO. 11: BOUNDED on the
West by Lot No. 12; on the South by
Lot No. 13, on the East by Wyrick
Avenue (formerly known as Shippen
Street) and on the North by Ger-
mantown Road, having a frontage
on Wyrick Avenue (formerly Shippen
Street) of 187.00 feet, a frontage on
the Germantown Road of 127.00 feet
from the center of Wyrick Avenue
(formerly Shippen Street) a depth
along Lot No. 12 of 122.00 feet and
a distance along Lot No. 13 of 95.00
feet from the center of said Wyrick
Avenue (formerly Shippen Street).
LOT NO. 12: BOUNDED on the
West by land now or formerly of H.M.
Hoy, on the South by Lot No. 13, on
the East by Lot No. 11 and on the
North by Germantown Road, having
a frontage on the Germantown Road
at 140.00 feet, a depth along Lot No.
11 of 122.00 feet, a distance along Lot
No. 13 of 105.00 feet and a distance
along the land now or formerly of
H.M. Hoy on the West of 33.00 feet.
EXCEPTING, HOWEVER, a por-
tion of the above described prem-
ises condemned and taken by the
Commonwealth of Pennsylvania, for
highway purposes, along the Ger-'
mantown Road.
BEING KNOWN AS 12 Wyrick
Avenue, Shippensburg, Pennsylvania
17257.
BEING the same premises which
BRIAN LINDSEY by deed dated April
4, 2006 and recorded May 5, 2006
in the office of the Recorder in and
for Cumberland County in Deed
Book 274, Page 1976, granted and
conveyed to Melvin L. Barrick Jr. and
Cheryl Barrick in fee.
TAX MAP PARCEL NUMBER: 36-
35-2388-019A.
The P- +riot-News Co.
812 Market St.
Harrisburg, PA 17101
Inquiries - 717-255-8213
CUMBERLAND COUNTY SHERIFFS OF
CUMBERLAND COUNTY COURT HOUSE
CARLISLE
PA 17013
the patriot yews
Now you know
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 on the date(s) indicated below. 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
REAL ESTATE SALE NO. 76
Writ No. 2006-6148 Civil Tenn
HSBC Mortgage Services, Inc.
VS
Melvin L. Barrick Jr. and Cheryl
Barrick
Attorney Terrence McCabe
LEGAL DESCRIPTION
ALL those certain two lots.of ground situate in
the Township of Shippensburg, County of
Cumberland, State of Pennsylvania, known as
Lots 11 and 12 as shown on Plan of Lots known
as John A. Wyrick's Development, said plan
recorded in Plan Book 4, Page 50, said lots
bounded and described as follows, it wit:
LOT NO. 11: BOUNDED on the West by Lot
No. 12; on the South by Lot Nn. 13, on the east
by Wyrick Avenue (formerly imown as Shippen
Street) and on the North by Germantown Road,
having a frontage on Wyrick Avenue (formerly
Shippen Street) of 187.00 feet, a frontage on the
Germantown Road of 127.00 °feet from the
center of Wyrick Avenue (formerly Shippen
Street) a depth along Lot.No. 12 of 122.00 feet
and a distance along Lot No, 13 of 95.00 feet
from the center of said Wyrick Avenue (formerly
Shippen Street).
LOT NO. 12: BOUNDED on the West by land
now or formerly of H.M. Hoy on the South by
Lot No. 13, on the east by Lot No. 11, and on
the North by Germantown Road, having a
frontage on the Germantown Road at 140.00
feet, a depth along Lot No. 11 of 122.00 feet, a
distance along Lot No. 13 of 105.00 feet and a
distance along the land now or formerly of H.M.
Hoy on the West of 33.00 feet.
BWNG KNOWN AS 12 Wyrick Avenue.
Shippensburg, Pennsylvania 17257
EXCEPTING, HOWEVER, a portion of the
above described premises condemned and taken
by the Commonwealth of Pennsylvania, for
highway purposes, along the Germantown Road.
BEING the same premises which BRIAN
LINDSEY by deed dated April 4, 2006 and
recorded May 5, 2006 in the office of the
Recorder in and for Cumberland County in Deed
Book 274, Page 1976, granted and conveyed to
Melvin L. Barrick Jr. and Cheryl Barrick in fee.
TAX MAP PARCEL NUMBER: 36-35-2388-
019A
This ad ran on the date(s) shown below:
01/21/09
01/28/09
o_ 02/04/09
Sworn to and stiY66'ribed before me this 25 day oVFebyuary, 2009 A.D.
Notary Public
Sherrie L. b i ity PUblle
Cky 0f Har" =-, Dx.phin Couinty
W Carrtrninirr 4ov. 28, 2011
Mernber, Penney - ,, -v:,ciatk)n of Notv*r