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HomeMy WebLinkAbout95-00372 RIZA y, AZIZKHAN and HlLOA M. AZIZKHAN, hiB wife Pll\intifh IN THI COURT Of COMMON PLI~ OF CUMBRRLAND COUNTY, PBNNSYLVANIA VB, NO. 9S-3n CIVIL 'rIRM MAYNARD L. NAILOR, Oetendant CIVIL ACTION - LAW .RUel'. TO THE PROTHONOTARY, Please satisfy jud~ment in the above oaptioned matte~. This aoooUnt has been paid in full. Date, November 1, 199~ jlIIIJJ{;(- Ronald 0, Butler, Eaquire Attorney for Plaintiff 1.0. 1109826 300 Nortb Second Street P.O, lIOK 430 Harrisburg, fA 171Q8 (717) 236-148B I ' " , i , ' i II " ,I " ,I, " " , , " " A. dated ana 0, c,lauae I EXPLANATION,9F RIGII'r~ (Full Confe$sion) (I) ~ clearly and specificallY underetand that by sianina a note January I~ . 1995 in the amount of $ lQ,OOO,OO ,payable to Aaiakhan snd Helga M, Aai.khan. h/wwhich contains a Confesaion of Judgment 1. (1)..... will authorize the PaYfile (s) to enter a judament aadn.t (me) ~ snd in its favor which will aive the payee(s) a lien upon any real e.tate which (I) ~ may own, including (my) (.... homel 2. (1)..... will ahe up the right to any notice or opportunity to be heard prior to the entry of thh judament on the recorda of the courq 3. (I)..... will agrlle that the Payefl(s) can enter thiB judament without any proof of non-payment or other default on (my) 1 ) partl 4. (I) ~ will eubject ell of (my) ....) property, both penonal and real eatate, to execution (and Sheriff's Sale), pursuant to this judgment, prior to proof of non-payment or other default on (my) ~ partl 5. (I) ~ will be unable to challenga this jUdgment, should the Payee(s) enter it, except by a proceeding to open or strike the judgment end such a proceeding will result in attorney'a fees IInd costs whiet. (I) r..- will have to pay, B. 0) (.... know and understand that it is the Confeasion of Judgment clause in the above-deecribed note which ghee the Payee (s) the rights enumerated in sub-pllranraph 1 through 5 of paregraph A above. CLAUSE ,j udgment I 1, The riaht to have notice and an opportunity to be heard prior to 2. Tha riaht to have tho burden of proving default reat upon the payee(s) before (my) (-..+ property can bo exposed to execution I 3, Tha risht to avoid the additional expense of attorney's fees and coats incident to openins or strikins off a confassod judsment. C, Fully and completely underatanding theBe rights which (1) ~ have prior to lignins the above-described notel and clellrly aware that theae rights will be given up, waived, relinquiahed, and abllndoned if (1) (~ aign the note, (I) .. nevertheless freely and voluntarily choose to sign the note, (my) (-.. intention being to give up, wolve, relinquish, <IUd abandon (my) (_) known rights (aa .~ - ,. RlZA A, A?I ZKlIAN und HILGA M, AZIZKHAN. hl. wIfe. Plaintiff I IN 'l'IIE COUll'l' OF COMMON Pr,E"S I I)UMBIRLAND COUN'l'Y, PENNSYr,VIINIA I I NO, I I CIVIl, ACTION - I.AW . VB. MAYNARD L. NAU.oR, Dofendant To----Mayna~d L, Nal1o~ .' Defendant(s) You a~e ~~ebr notified that on anu,~- IJ, 995, j udgf1lent by contession was .nt:e~e 8ga nst: you Tri the sum of $ 10,000.00 _ in the above-captioned case. DATE. / -;1 i '/ ,) , YOU SHOULD TAKE THI!r P TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LA Ell OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO f'IND OUT WHEIlE YOU CAN GET .LEO/lL HF:LP. COURT ADMINISTRATOR $TH FLOOR. CUMBIRLAND COUNTY COURTHOUSI CARLISLE, PA 17013 Tl!LI!PHONI!. (17) 240-6200 I he~ebY ce~tify that the following is the add~eBB of the defendant(s) stated in tho oe~ti- ticate ot ~eaid~ncQI 30 Ba re Road Mechanlc.burg, A Ha~na~d L. Natlor , Demandado(s) nCDA-300-Rule 11.5(a)-4/3/8l-M-4/24/8l-M