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HomeMy WebLinkAbout94-01559 'J21 ,\)\i <..; ~1 Vi Q) "'0 .- ~ c;{) 1- J TEMPORARY PROTECTIVE ORDER AND NOW, this 2 C, 1fo..- day of /]1CL't,{U, 1994 upon V. : IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO.94- ISSCI CIVIL TERM 1994 PROTECTION FROM ABUSE DEBORAH W. BRIDGE, Plaintiff MILTON L. STACKFIELD Defendant presentation and consideration of the within Petition, and upon finding that the plaintiff, Deborah W. Bridge, now residing at 1226 Claremont Road, Carlisle, Cumberland County, Pennsylvania, is in immediate and present danger of abuse from the defendant, Milton L. Stackfield, the following Temporary Order is entered. The defendant, Milton L. Stackfield, now residing at 1226 Claremont Road, Carlisle, Cumberland county, Pennsylvania, is hereby enjoined from physically abusing the plaintiff, Deborah W. Bridge, or placing her in fear of abuse. The defendant is further ordered to refrain from harassing the plaintiff's relatives or minor children. This Order shall remain in effect until a final order is entered in this case. A hearing shall be held on this matter on 1"" (,.' , ;) '~ the day of L.~ , 1994, at ... . ".m. in I . Courtroom No. 3 , Cumberland county Courthouse, Carlisle, Pennsylvania. The plaintiff may proceed in forma DauDeris pending a further order after the hearing. The Cumberland County Sheriff's office shall attempt to make service at the plaintiff's request, but service may be accomplished under any applicable rule of civil Procedure. The Middlesex Township Police Department will be provided with a copy of this Order by attorneys for the plaintiff. This Order shall be enforced by any law enforcement agency where a violation occurs by arrest for indirect criminal contempt without warrant upon probable cause that this Order has been violated, whether or not the violation is committed in the presence of the police officer. In the event that an arrest is made under this section, the defendant shall not be taken to jail but shall be taken without unnecessary delay before the court that issued the Order. When that court is unavailable, the defendant shall be arraigned before a district justice, who shall set bail according to the provisions of Chapter 4000 of the Pennsylvania Rules of criminal Procedure (23 Pa.C.S.A. section 6113). By the Court, .' J. , .. .' ~ DEBORAH W. BRIDGE, Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA v. NO.94- CIVIL TERM 1994 MILTON L, STACKFIELD, Defendant PROTECTION FROM ABUSE 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 promptly after this Petition, Order and Notice are served, by appearing personally or by attorney at the hearing scheduled by the Court and presenting to the Court your defenses or objections to the claims set forth against you. You are warned that if you fail to do so, the Court may proceed without you, and a judgment may be entered against you by the Court without further notice for any money claimed in the Petition or for any other claim or relief requested by the plaintiff. You may lose money or property or other rights important to you. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP. COURT ADMINISTRATOR, 4th FLOOR CUMBERLAND COUNTY COURTHOUSE CARLISLE, PENNSYLVANIA 17013 TELEPHONE NUMBER: (717) 240-6200 I~ , . ~ DEBORAH w. BRIDGE, . IN THE COURT OF COMMON PLEAS OF , Plaintiff . CUMBERLAND COUNTY, PENNSYLVANIA , v. . , NO.94- CIVIL TERM 1994 MILTON L, STACKFIELD, . . Defendant PROTECTION FROM ABUSE PETITION FOR PROTECTIVE ORDER RELIEF UNDER THE PROTECTION FROM ABUSE ACT 23 P.S. SECTION 6101 A. ABUSE 1, The plaintiff is an adult individual whose permanent address is 1226 Claremont Road, Carlisle, Cumberland County, Pennsylvania. 2, The defendant is an adult individual residing at 1226 Claremont Road, carlisle, Cumberland county, Pennsylvania. 3. The defendant is the plaintiff's intimate partner. 4. Since approximately January 1993, the defendant has attempted to cause and has intentionally, knowingly, or recklessly caused bodily injury, and by physical menace has placed the plaintiff in fear of imminent serious bodily injury. This has included but is not limited to the following specific instances of abuse: a. On or about March 27, 1994, the defendant threatened to kill the plaintiff. b. On or about March 14, 1994, the defendant grabbed the plaintiff by her throat, lifted her off of the floor, carried her to the bedroom, and slapped the plaintiff repeatedly on the left side of her head. Later that day, the defendant slammed the plaintiff's leg in her car door several times, causing the plaintiff to have severe pain and bruising to her leg. Fearing .' ~ for her safety, the plaintiff got away and called the police. After the plaintiff left the police station, the defendant threatened the plaintiff's life. See attached exhibit A incorporated by reference. c. On or about January 14, 1994, the defendant slapped the plaintiff across the right side of her face with an open hand, causing the plaintiff to fall into the bedroom door. The defendant then grabbed the plaintiff by her neck, picked her up by the neck, and threw the plaintiff onto the bed. The defendant straddled the plaintiff and choked her. When the plaintiff who feared for her safety attempted to leave, the defendant punched her in the eye, with a closed fist, causing bruises and a laceration about the eye, requiring the defendant to receive seven stitches. d. On or about December 20, 1993, the defendant backhanded the plaintiff, causing the plaintiff to suffer bruising and an open cut to the right side of her eye. e. In or around November 1993, the defendant grabbed the plaintiff's jaw with enough force to cause severe bruising and swelling to her face. f. In or around November 1993 through January 1994, the defendant has on several occasions, grabbed the plaintiff by her neck, and twisted the plaintiff's arms behind her back. 5. The plaintiff believes and therefore avers that she is in immediate and present danger of abuse from the defendant and that she is in need of protection from such abuse. 6. The plaintiff desires that the defendant be restrained .' hara..ing or stalking the plaintiff or plaintiff's relatives. B. STATUS TO PROCEED IN FORMA PAUPERIS 7, The defendant is currently suspended from his job, pending the outcome of a criminal hearing. 8, The plaintiff currently is unemployed. 9, The plaintiff does not have funds available to pay the fees for filing and service. WHEREFORE, pursuant to the provisions of the "protection from Abuse Act" of October 7, 1976, 23 P.S. section 6101 ~ ~., as amended, the plaintiff prays this Honorable Court to grant the following relief: A. Grant a Temporary Order pursuant to the "Protection from Abuse Act:" 1. Requiring the defendant to refrain from abusing the plaintiff or placing her in fear of abuse. 2. Requiring the defendant to refrain from harassing or stalking the plaintiff's relatives. B. Schedule a hearing in accordance with the provisions of the "Protection from Abuse Act," and, after such hearing, enter an order to be in effect for a period of one year: 1. Requiring the defendant to refrain from abusing the plaintiff or placing them in fear of abuse. 2. Requiring the defendant to refrain from harassing or stalking the plaintiff's relatives. 3. ordering the defendant to pay attorney's fees, to Legal Services, Inc., pursuant to the protection From Abuse Act. The plaintiff further asks that this Petition be filed and , . ....;...".. .' served without payment of costs, pending a further order at the hearing, and that a copy of this Petition and Order be delivered to the Middlesex Township Police Department as the Police Department with jurisdiction to enforce this Order. The plaintiff prays for such other relief as may be just and proper. Respectfully submitted, ~J ~~L an Carey , Attorney for PIa! tiff LEGAL SERVICES, INC. 8 Irvine Row carlisle, Pa 17013 (717) 243-9400 Date: .<,J~IC\4 I ~L!.ll.!l" b l.o 1$, ~ ~ Deborah w. Bridge, Plaintiff The above-named Plaintiff, Deborah W, Bridge, verifies that the statements made in the above Petition are true and correct, Plaintiff understands that false statements herein are made subject to the penalties of 18 Pa. C.S. 54904, relating to unsworn falsification to authorities. - -:r S" :r.:: ~~ ~~ o 1:1 (,) IY.I .", >- '''f: ;:::6; IUC"")::i<4f 0....,...-- I-....-:c ""Q<-I., u..~O""" ~'..:-:r.:"" :..../!..t>- l'~l~ci~ ::tdlU:"-: ,_ . '.:J1lJ J' ....U... ,.....':..j 0'-' . <0 ~ <:::l ....., a: ::O:! DEBORAH W. BRIDGE, Plaintiff IN THE COURT OF COMMON PLEAS OF v I I I I I I I I I CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW 94-1559 CIVIL TERM MILTON L. STACKFIELD, Defendant PROTECTION FROM ABUSE IN REI CONTEMPT HEARING SCHEDULED & BAIL ORDER OF COURT AND NOW, this 25th day of April, 1994, at 1140 p.m., hearing herein is set for Wednesday, May 4, 1994, at 3130 p.m., before the Honorable George E. Hoffer. It appearing that bail has been set in related criminal cases, bail is set in a nominal amount in this case. By the Court, ..-6f.-..1 {L ..' William I. Gabig, Esquire . Sr. Assistant District Attorney ~ Timothy Clawges, Esquire Assistant Public Defender CCP :bg DEBORAH W. BRIDGE, Plaintiff IN THE COURT OF COMMON PLEAS OF vs. CUMBERLAND COUNTY, PENNSYLVANIA NO. 94 -1559 CIVIL TERM PROTECTION FROM ABUSE MILTON L. STACKFIELD Defendant 1._ PROTECTIVE ORDER AND NOW, this~daY of April, 1994, upon consideration of the Consent Agreement of the parties, the following Order is entered: 1. The defendant, Milton L. Stackfield, is enjoined from physically abusing the plaintiff, Deborah W. Bridge, or from placing her in fear of abuse. 2. The defendant agrees not to harass or stalk the plaintiff or harass the plaintiff's relatives. 3. This Order shall remain in effect for a period of one year. 4. The Middlesex Township Police Department will be provided with a copy of this Order by attorneys for the plaintiff and may enforce this Order by arrest for indirect criminal contempt without warrant upon probable cause that this Order has been violated, whether or not the violation is committed in the presence of the police officer. In the event that an arrest is made under this section, the defendant shall not be taken to jail but shall be taken without unnecessary delay before the Court that issued the Order. When that Court is unavailable, the defendant shall be arraigned before a district justice who shall set bail according to the provisions of Chapter 4000 of the , ' ,. - penneylvania Rules of Criminal Procedure (23 PS section 6113). By the Court t,,~ "" .~ ,....... .~ ~:t ~ , 6; - >-,.. ~... .......,., 1'...0:'''' ::::~Q- ......ou.:oP:' .....- ..." ',J'-':'O> . ,_...1:-' .:. ~-c. ~l;; .",r;ZI: ..,UJ;r. ~. '.D,UJ t. :I..Q.. "" =, 00 ~ ,. CD In ~ - roo- ::: ..." - -' , DEBORAH W. BRIDGE, Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. 94 -1559 CIVIL TERM : PROTECTION FROM ABUSE vs. MILTON L. STACKFIELD Defendant : . . . . CONSENT AGREEME~~ This Agreement is entered on this -1-- day of April, 1994, by the plaintiff, Deborah W. Bridge and the defendant, Milton L. Stackfield. The plaintiff is represented by Joan Carey, of Legal Services, Inc.; the defendant is unrepresented but is aware of his right to have an attorney. The parties agree that the following may be entered as an Order of Court. 1. The defendant, Milton L. Stackfield, agrees to refrain from abusing the plaintiff, Deborah W. Bridge or from placing her in fear of abuse. 2. The defenda~t agrees not to harass or stalk the plaintiff or harass the plaintiff's relatives. 3. The defendant, although entering into this Agreement, does not admit the allegations made in this Petition. 4. The defendant understands that the Protective Order entered in this matter shall be in effect for a period of one year. 5. The defendant understands that this Order will be enforceable in the same manner as the Court's prior Temporary Protective Order entered in this case. . ,. . .' .. WHEREFORE, the parties request that an Order of Court be entered to reflect the above terms. 0. n Carey Attorney for PI LEGAL SERVICES, 8 Irvine Row Carlisle, PA 17013 (717) 243-9400 ..... , - .' I p.,,) "'-:'~ :..- . Sl , " ~ $ m <::3 - >- ~~ .-~ '-'n'::'''' 2:r:<>~ Lt.,Qc..'_t 1~"::Q:'~ Q....;.::.-J !.c.."'>..,.t; ..':~tt:'~ ~. 1-1 t..l_. '.._..~W ,:: :tot:" :=.0 ~t:. r- ~ ..... , , ., ..~,x; 0" .~'---' --. .l~.~.' SHERIFF'S RETURN CO+ICtMEAL'l11 OF PENNSYLVANIA I COUNl"i OF CLMBERLAND In The Court of Common Pleas of Cumberland County, Pennsylvania No. 94-1559 Civil Temporary Protective Order Protection From Abuse Notice and Petition Deborah W. Bridge VS Milton L. Stackfield Jodv Seiders , >atllexXM<or Deputy Sheriff of CUnberland County, Pennsylvania, who being duly sworn according to law, says, that he served the within Temoorarv Protective Order Protection From Abuse Notice and Petition upon Mlton L. Stackfield , the defendant, at 3:40 o'clock P .M. ~ I EDST, on the 04 day of Aoril , 19..2.!.at The Cumberland Countv Courthouse. Sheriff's Dept. , CUnberland County, One Courthouse Square, Carlisle Pennsylvania, by handing to Mil ton Stack field a true and attested copy of the Temporary Protective Order Protection From Abuse Notice and Petition and at the same time directing his attention to the contents thereof and the "Notice to Plead" endorsed thereon. Sheriff's COStSI Docketing Service Affidavit Surcharge So answersl r~~~=-f! 14.00 2.80 2.00 18.80 R. Thomas Kline, Sheriff by ~,prothonotarY CASH OR NOMINAL BAIL BOND mON OF BAIL ISCHARGE POlICE CASl NO 0" NO OTN ...... NImf nJ Mnal tackfield Jnt R:i. 1\ 17013 1. 0 0 I jiJ Nominal Bail 1. 0 0 II ael.lf any) $1. II (uIde Irom IPllWIng II COUll wilen r"lulled ) CIWlOEl51 eR lFA"INO 94-1559 Civil Tenn DATE Of ClfARQEISI O:mtmpt (Violation of Protection from Abuse Order) I ACKNOWLEDGE THAT I AM LEGALLY RESPONSIBLE FOR THE FULL AMOUNT OF THE 8AIL. The loIlowing acknowfcclgemont is also appIicabla .1:' }. ~L~ /,........ il Pen:ontnge Cash Bail Is USod. X ~ 'U THIS SOND SIGNED ON J\oril 28. 19~ SIGNA -" or DU[No H at Carlisle. PENNSYLVANIA. SIg ed and k lodged bel thO SignatllD 01 SUf (May be Bondsman, Bail A""""", or private . n , ac now ora me "' indIVidual or organimlionl. Except when deloncJMt /S-rolOasocJ on his 28th day 01 April . 19 ~ own rocogniziJIlCo (ROR), this must be signocJ In 011 ban situations. Including nominal bOIl. ~J....fi.~ (l. 'P~\. ~~~ Cl +- Qc) ICI<<./IICCUI"'.......A<#u>,.,' .......ty. Prothy. c..~ ">' Of' URETVSU.e;;CO"""NVOflDEFENUANI . (SEAL) 9 ~ 9 ~ I 3 : I 6 o ~ - 2 8 _ 9 ~ ' with prior Order of Court. OATE .-.ND TIME 5/4/94 - 3:30 P.M. NEXT COURT ACTION Courtroom 3 o Other TO: g] Delentlon Conter I hereby certily that suUiclont bail has boon eAtered ~ By tho delendant 0 On beholl of lho detendant by: (oUach nddondum. it necessary) SECURITY OR SURETY IF ANYI o Cosh In lull omounl of bail o Porcenlngo cash bail Kl Money Iurnlshod by o DelendaAt JU 3rd Party .NOGE OR ISSUING AUTHORITY Hen. Kevin A. Hess tbninal Bail (NJrr-. 4 AdttIlU d Stnf)'1 tLIcenN NoI . Relund 01 cosh ball will be made within 20 days oller final disposition. (Pn.RCr.PAD 15(b)) . Relund 01 011 othor types 01 bait will be made pmmptly oller 20 days IoIlowing final disposition. (Pn.R.Cr.P.4015(e)) . Bring Cosh Bail Receipt to Clork 01 Court. APPEARANCE OR BAIL BOND IlISCHAflGE THE ABOVE.NAMED DEFENDANT FROM CUSTODY IF DETAINEO FOR NO OTHER CAUSE THAN THE ABOVE STATED. Given under my hand and tho Officiol Sool 01 this Court. THIS BOND IS VAUD FOR THE ENTIRE PROCEEDINGS AND UNTIL FULL AND FINAL DISPOSITION OF THE CASE INCLUDING FINAL DISPOSITION OF ANY PETITION FOR WRIT OF CERTIORARI OR this 28th day 01 April APPEAL TIMELY FILED IN THE SUPREME COURT OF THE UNITED J-.... -.p . ~ _.. , STATES. ~~oICalIA,...:~. Prothy!SEAL) WE, THE UNDERSIGNED. defendant end surety, our successors. heirs and assigns, ore faintly end severally bound to pey to the Commonwealth of Pennsylvania the sum 01 O1e dollars ($ 1.00 ). SEE REVERSE SIDE FOR BAIL CONDITIONS 94 .19_. TO BE USED ONLY FOR PERCENTAGE CASH BAIL: The understgned about to become Surely In the case cited herein. being duly sworn (or affirmed), deposes and says: ,. I raside at and my occupation is my phone number is and I work lor 2. I have no undispoSed 01 criminal cases against me pending In the Courts 01 the nforesakt County. except as follows: 3. I am not Surety on nny bond of any kind except as loIlows: OATE AMOUNT DEFENDANT 4. I have caralully rood the loregoing affidavit and know il Is Iroo and carmel. (SEAL) Sent)' No. '" ~ 8ortdIrna1 LianN No. , E.,.... o.re AOPC 413.81 ORIGINAL .'.- .~""'-.-" DEBORAH W. BRIDGE, Plaint:iff IN THE COURT OF COMMON PLEAS OF v 1 1 1 1 1 1 1 1 1 1 CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW 94-1559 CIVIL TERM MILTON L. STACKFIELD, Defendant: PROTECTION FROM ABUSE IN RE 1 CONTEMPT HEARING SCHEDULED & BAIL ORDER OF COURT AND NOW, t:his 25t:h day of April, 1994, at: 1140 p,m., hearing herein is set: for Wednesday, May 4, 1994, at: 3130 p.m., before t:he Honorable George E. Hoffer. It: appearing t:hat: bail has been set: in relat:ed criminal cases, bail is set: in a nominal amount: in t:his case. By t:he Court:, K~tf- ..1 {L '"---'"<'" I William I. Gabig, Esquire . Sr. As~~st:ant: Dist:rict: At:t:orney ~ Timot:hy Clawges, Esquire Assise~t: PUblic Defender CCP :bg -:J" en . = .,.. '" ~~ ;':"-:~ ~. . ~'.:t. ~ ~ ":'7!_; 'r: .- <X> ...... t" "" .... ~ .' , ~. , , f {. I? le' i-. Ie. f/ , r- 1-. ','l:j" R. THOMAS KLINE Shorlll HORACE A. JOHNSON Solicitor OFFICE OF THE SHERIFF Courl House Carlisle. Pennsylvania 17013 April 29, 1994 Lawrence E. Welker Cumberland County Prothonotary Carlisle, Pennsylvania SUBJECT: Civil Subpoena 1. )4-1631 2. 94-1559 .('" \ -:.,." Civil Duane Kress (1) 2.80 Civil Milton Stackfield (1) 2.80 Total $5.60 So answers: -,/ .--- , ,.' /' ,~/:;,'!~~'./._ <<oj I ,"., ' I . i R. Thomas Kline. RONNY A. ANDERSON Chlol Dopuly AUDREY G. ADAM8 Real Estat. Depuly / / Sheriff DEBORAH W. BRIDGE, Petitioner : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA 94 - 1559 CIVIL TERM CHARGE: INDIRECT CRIMINAL CONTEMPT V. MILTON L. STACKFIELD, Respondent QBJ;lJ;R OF COU~I AND NOW, May 4, 1994, upon the joint request for continuance by the Commonwealth and by Public Defender, Timothy Clawges, Esquire, the hearing on this matter Is continued generally to the call of the District Attorney, on condition that the respondent attend and successfully complete the In-patient program at the RoxburyiEreatment Center in Shlppensburg. By the Court, -;:r' en ~ J. t.:= M Ln r;rJ , ., ... "'" navis Gary, Esquire Assistant District Attomey Timothy Clawges, Esquire Assistant Public Defender .. ~ - ::c: "'- ::t -:r -,..,.. "'.- ~;,:... ....1.';:.. .." ~.r:'-'.~ .= -e ""'!;.o- ; ~. ~~;~ .~t ~~l. ,,.; , <", ,: -:r '" ~ I, :~ .....14' ::> :; :c '7// - I SS 1 CRIMINAL COMPLAINT (POUCEI Susan K, Day DISTRICT JUSTICE MAGISTERIAL DISTRICT NO. 09-3-03 229 Mill St., Box 167 Mt, Holly Spgs., Pa, 17065 Complaint Numba.. If Othar Parllclpantl A 85988 I, --.JilW am Goodha rt Sgt. (Namtfl! ADlu"') of--1iUid)esex Townshlo Poll~p. nP.pt, ( IJ",t/J.i' dtpar,mtnl Of ugc."rJ' rrp,.'jrllfnJ "lid polilic'cJ/ JllhJMJ/cl1I ) COMMONWEALTH OF PENNSYLVANIA DEFENDANT: VS. NAME rSTACKFIELD, MUtonl; ~D 1226 Claremont Rd. ADDRESS Carlisle, Pa, 17013 RSA black/male/age 36/dob 12~26-57 AKA do hereby state: (I) QgX 1 accuse lhe above named defendanl, who lives at the addrcss sel forlh above or. ~ 0 1 accuse an individual whose name is unknown to me bUI who is described as ~ '1 o his nickname or popular designation is unknown to me nnd. therefore, I have designated him herein as John Dol'i with violating the penal laws of lhe Commonwealth of Pennsylvania at ] 226 r.l;:! rp.mnnt Rrl., l.arlisle, Middlesex w ma.....I'vIlllcaISllbJMsl"nl .. in County on or about 04/?? /q4 :;) n~t:;? hr'5, ~ I'nrticipnnts were ({f'hm...."'paltlcfpa"/J.pla"'lhcl'''a",'''''...,''.'''...tI''R'h..''a",'.''(ab.......M.."Janl): STACKFIELD, Mil ton L. ~ (2) TheactscommittedbYlheaccusedwere:0 Indirect Criminal Contempt The defendant violated the Order Issued under the Protection From Abuse Act In No, 94-1559 Civil Term on the 7th of April 1994, by the Honorable George Hoffer, which Order directed the defendant not to put the victim, Deborah Bridge, In fear of physical abuse in that the defendant did force his way into the victim's residence, argue with the victim and grab her wrist forcing her to leave the residence with him. all of which were against the peace and dignity of the Commonwenlth of Pennsylvania and contmry to the Act of Assembly. or in violation of ,"<':.:: :,:;'i'.i";;')\';'.; -T.; and; 'c. '. 'of Ihe Acl of '.' " "", '!'?":;":~f:,j.;:io;':'};j-:~~f:'.' ,: ., (S<<tlon) (Sllhoj<<t!o,,) or the :.F::'':'"'''' ;'f.'.,,:'.' :,:;"::.','0' Ordinance of . (llJ/itf(dlS"hoc/MJ/ollj (3) 1 ask thnt a warrant of arrest or a summons be issued and that the accused be required to answer the charges 1 have made. (4) I verify that the facts set forth in this complaint arc true and correct to the best of my knowledge or information and belief. This verification is made subject to the penalties of Section 4904 of lhe Crimes Code (18 I'n. C. S. ~ 4904) relaling to unsworn fnlsification to authorities. . ~ ~ Aorl122 .19-91L S'~.\.uOO'_' __"_ _.....JJ L.. I ~\ (Sf R"a"'", ,,(Cm, plain 11I1 A~~ NOW, on ~:~~~_,....I ~I ~~,;.~,~~.~..ce~~~y the COl~ Iuf}ee}} ~~~o !Ind