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Caterbone, Petitioner
STANLEY J. CATERBONE
:Docket No.
vs.
TONY FREEMAN
NOBLE REAL ESTATE
GREG MILLAN
SHELBY SHEPRO
CENTRAL PENN SERVICES
ORDER
AND NOW, this __________ day of___________ ,
2007,
the
Above
BY THE COURT:
J.
ATTEST:
Page 1 of 48
STANLEY J. CATERBONE
:Docket No.
vs.
TONY FREEMAN
NOBLE REAL ESTATE
GREG MILLAN
SHELBY SHEPRO
CENTRAL PENN SERVICES
1. There is no evidence that the persons that illegally held the property of the
Petitioner and his company Advanced Media Group had any intent of returning
said property in question. This conduct is both criminal trespass 3503 and theft
of property 3901, 3502 as defined in the criminal code of Pennsylvania.
2. It was not until the petitioner and his company Advanced Media Group file an
insurance claim for stolen property with Harleysville Insurance Company that the
Defendants would even acknowledge the Petitioner and his company Advanced
Media Group.
3. The Lancaster County Sheriff Department and Sheriff Thomas Bergman deceived
the Petitioner and his company, Advanced Media Group, on December 29, 2006
Advanced Media Group
Page 2 of 48
at the Lancaster County Courthouse by not providing information that would lead
to the return of the property of the Petitioner and his company Advanced Media
Group.
4. Fulton Bank also deceived the Petitioner and his company by not providing
information on several personal visits to the offices at Penn Square in Lancaster
that would have lead the Petitioner and his company to the safe return of the
property.
5. Petitioner and Advanced Media Group alleges that the one motive was to keep
the Petitioners legal files and evidentiary materials from the Petitioner during
litigation in state and federal courts.
6. Both Fulton Bank and the Lancaster County Sheriff Department are key
defendants in pending litigation in the U.S. District Court for the Eastern District
of Pennsylvania case no. 05-2288 and in several Pennsylvania state courts.
7. Evidence and documents prove that the defendants in this private criminal
complaint showed intent in not making good faith efforts to return the property.
8. In addition to the documents provided as part of the private criminal complaint
the Petitioner submits the following letters. Exhibit A is a letter dated March 26,
2007 to Margery Lukens, Claim Representative from Harleysville Insurance
Company. The second letter is dated April 9, 2007 to Parula Properties, of
Akron, Pennsylvania.
9. Parula properties was not named on the original Sheriff Sale of December 20,
2006 as the purchaser of 220 Stone Hill Road, Conestoga, the Petitioners
property in dispute.
10.Harleysville Insurance paid and settled the claim No. MO-705574 for property
stolen and damaged from 220 Stone Hill Road during the dates in dispute.
11.There are still files, evidentiary materials and property that is stolen from the
Petitioner and Advanced Media Group that is central to pending litigation.
Respectfully submitted.
_____________________________
Page 3 of 48
STANLEY J. CATERBONE
:Docket No.
vs.
TONY FREEMAN
NOBLE REAL ESTATE
GREG MILLAN
SHELBY SHEPRO
CENTRAL PENN SERVICES
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the PETITION FOR REVIEW
OF PRIVATE CRIMINAL COMPLAINT has been served this 20th day of November,
2007, by first class mail, Postage prepaid, or by electronic mail upon, or by hand
deliver to:
Brian E. Chudzik
Lancaster County District Attorney
Lancaster County Court of Common Pleas
50 North Duke Street
Lancaster, PA 17602
Mr. Michael Landis, Chief Detective
Lancaster County District Attorney
Lancaster County Court of Common Pleas
50 North Duke Street
Lancaster, PA 17602
_____________________________
Page 4 of 48
Page 5 of 48
Page 6 of 48
Office Of The
Telephone
717-299-8100
Fax 717-2953693
Donald R. Totaro
District Attorney
Your Home Street Address (Include apartment number, building number etc.)
1250 Fremont Street
City
Lancaster,
State
PA
Zip Code
17603
Work Address
Has anyone filed a criminal complaint against you concerning this crime? Yes
If "Yes" who is the affiant? _________________________________________
No
Page 7 of 48
Yes
No If
Witness's Home Street Address (Include apartment number, building number etc.)
1254 Union Street
City
Lancaster,
State
PA
Zip Code
17603
WITNESS INFORMATION:
Witness's Full Name (First, Middle, Last)
Witness's Home Street Address (Include apartment number, building number etc.)
City
State
Zip Code
WITNESS INFORMATION:
Witness's Full Name (First, Middle, Last)
Witness's Home Street Address (Include apartment number, building number etc.)
City
State
Zip Code
-AFFIRMATIONALL the information that I have provided on this form and the criminal complaint is true and
correct to the best of my knowledge, information and belief. I understand that I am providing
this information subject to the provisions of Section 4904 of the Pennsylvania Crimes Code
pertaining to making Unsworn Falsification to Authorities
Signature of Affiant:
Date:
09-18-2007
PLEASE NOTE: Your complaint will be assigned to a County Detective for investigation. If
contacted, please make every attempt to answer any additional questions the detective may
have or to cooperate with scheduling a meeting with the detective if the detective asks to meet
with you.
ADA Assigned
DA-
Page 8 of 48
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF:
Mag. Dist. No.:
PRIVATE
CRIMINAL COMPLAINT
0 2 -2 - 0 6
COMMONWEALTH OF
PENNSYLVANIA
Leo H. Eckert
841 Stehman Road
Address:
VS.
DEFENDANT:
Millersville, PA 17551
Telephone: (
717
)
Tony Freeman
Worker No. 2
Noble Real Estate
100 Main Street
Akron, PA
17501
Docket No
Date Filed September 18, 2007
OTN:
Greg Millan
Shelby Shepro
Central Penn Services
100 Main Street
Akron, PA
17501
Notice: Under Pa.R.Crim.P. 506, your complaint may require approval by the attorney for the Commonwealth before it can
be accepted by the magisterial district court. If the attorney for the Commonwealth disapproves your complaint, you may petition the
court of common pleas for review of the decision of the attorney for the Commonwealth.
Fill in as much information as you have.
Defendant's Race/Ethnicity n
_X_ White ___ Asian
_X_ Black
__ Hispanic I __Native American __Unknown
Defendant's Sex
__ Female
_ X ma le
I,.
Defendant's D.O.B.
Registration Sticker(MM/YY)
____________________________________________________________________________________________________________
Tony Freeman, Unknown Worker, Greg Millan, Shelby Shepro, Noble Real Estate, Central Penn Property Services ___
2. The acts committed by the accused were:
(Set forth a summary of the facts sufficient to advise the defendant of the nature of the offense charged. A citation to the statute allegedly violated,
without more, is not sufficient. In a summary case, you must cite the specific section and subsection of the statute or ordinance allegedly violated.)
Page 9 of 48
(Continuation of No. 2)
PRIVATE
CRIMINAL COMPLAINT
Defendant's Name:
Docket Number:
all of which were against the peace and dignity of the Commonwealth of Pennsylvania and contrary to the Act
of Assembly, or in violation of and 18 Pa.C.S.A 3901 and 3502
(1)
(Section)
(Subsection)
of the
____________________________________________________________________________________
(PA Statute)
*
3.
I ask that process be issued and that the defendant be required to answer the charges I have made.
4.
I verify that the facts set forth in this complaint are 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 the Crimes Code (18 Pa.C.S.
4904) relating to unsworn falsification to authorities.
(Signature of Complainant)
Approved
Disapproved because:
(Signature of Attorney for Commonwealth)
(Date)
AND NOW, on this date___________________________________, ______, I certify that the complaint has been
properly completed and verified.
_____________________________
___________________________________ SEAL
(Magisterial District)
AOPC411B-05
(Issuing Authority)
2-2
Page 10 of 48
Page 11 of 48
Page 12 of 48
FULI'ON BANK,
Plaintiff
STANLEY J. CATERBONE,
Defendant
The sale will be canceled if you pay to Fulton Bank (the amount of the judgment
plus costs)(the back payments, late charges, costs, and reasonable attorney's fees due). To find
out how you 111ust pay, you may call Shawn M. Long, Esquire at (717) 299-5201.
Page 13 of 48
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 be able to stop the sale through other legal proceedings. You may need
3.
an attorney to assert your rights. The sooner you contact one, the more chance you will have of
stopping the sale. (See notice below to find out 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.
1.
If the Sheriffs Sale is not stopped, your property will be sold to the highest
bidder. You may find out the price by calling the Sheriff of Lancaster County, at (717) 2998200.
2.
You may be able to petition the Court to set aside the sale if the bid price was
The sale will go through only if the buyer pays the Sheriff the full amount due in
the sale. To find out if this has happened, you may call the Sheriff of Lancaster county, at (717)
299-8200.
4.
If the amount due from the buyer is not paid to the Sheriff, you will remain the
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 house. A
Page 14 of 48
schedule of distribution of the money bid for your house will be filed by the Sheriff on or about
January 19, 2007. This schedule will state who will be receiving the money. The money will be
paid out in accordance with this schedule unless exceptions (reasons why the proposed
distribution is wrong) are filed with thc Sheriff within ten (10) days after January 19,2007.
7.
You may also have other rights and defenses, or ways of getting your house back,
Page 15 of 48
ALL That certain tract of land along Stone Hill Road situate in Conestoga Township, Lancaster
County, Pennsylvania, and being more particularly shown on a survey prepared for Anna L. Mylin
by Charles L. Roach, P.L.S., on September 30, 1994, and all the same being more fully bounded
and described as follows:
BEGINNING at a railroad sdke set bv others near the center of the westbound lane of Stone Hill
Road; thence extending in Stone Hill Road, South eight (8) degrees thirty-five (35) minutes twelve
(12) seconds East, a distance of two hundred eighty-nine and seventy-three hundredths (289.73)
;
extending along land
feet to a nail set by others near thc centerline ofsaid Stone Hill ~ o a dthence
now or late of Floyd E. and Justinc L. Duke and crossing over an iron pin set twenty-three and
sixty hundredths (23.60) feet from the last described point, South eight (8) dcgrees forty-four (44)
minutes twelve (12) seconds West, a distance of three hundred thirty-five and forty-nine
hundredths (335.49) feet to a stone, a comer of land now or late of Russel and Donna Lasch;
thence along lands now or late of same, South eighty-seven (87) degrees twenty-one (21) minutes
thirty-two (32) seconds West, a distance of one hundred ninety-five and fifty-seven hundredths
(195.57) feet to an iron pin; thence extending along land now or late of Charles E. and Theda M.
kneer, North five (5) degrees seventeen (1 7) minutes thirty (30) seconds West, a distance one
hundred seventy (1 70.00) feet to a point; thence extending along land now or late of Harold F. and
Mary Jane Baker, North six (6) degrees thirteen (1 3) minutes ten (10) seconds West, a distance of
two hundred twenty (220.00) feet, having crossed over an iron pin set twenty-five and forty
hundredths (25.40) feet from the next described point to a railroad spike set by others, the place of
BEGINNING.
-- -
Page 16 of 48
FmTCN BAXK
No. CI-06-0227 1
1'.
STANLEY J. CATEAWGNE
BY THE COURT:
MICHAEL A GEORCFI
1s
Jll?f;F
MICHAEL A. GEORCiELIS
JUDGE
AUGUST 1 1,2006
ATTEST:
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S'.,?\r:n M. L m g , Esq.
Page 17 of 48
LA!) OFFICES
D.PATRICK
ZI~I~ICR~IAX
211 E.%sr1:lsc S r ~ . ~ t x
L A K C A S TPA.
E R ,11602.2967
(717) 394-LSS9
FA): 391-7199
PAMELA R. Dll'IL4
e-niail: patricltzim~r~@con~casl.ne[
Nocar) Public
Plrr1eg:l
pdaiila@conccrr(.ntl
dp~1aa.u~
January 25,2007
RE:
Gentlemen:
On the 19.Ihday of January 2007, the Sheriffs Office wasserved personally with a
Petition to set aside the sale of real estate for the above property. Accordingly, the Sheriffs
Ofticece+iilnot make distribution of funds nowheld in escrow, or delivkr a Sheiiff s deed
until this matter is resolved. May I suggest that-you take what legal action you deem appropriate
to allow this office to make distribution, or to have the sale rescinded and Grids returned.
'
. .
. .:
,
Sincerely,
~3-~
BY
D. Patrick Zi merman
dpz\prd.
enclosure
cc: Stanley J. Caterbone
cc: Terry A. Bergman, Sheriff
"Ser\in:Your
L e ~ aNerd,
l
A n d Proiidin: Coninn,nr &id.
Page 18 of 48
1 of 1
Attorney Profile
http://dpzlaw.us/attorneyprofile.html
Practice Area
Firm Location
Links
Contact
Practice Areas
Contact
10:25:27 AM
Page 19 of 48
2/6/2007 10:25 AM
Page 20 of 48
Page 21 of 48
Page 22 of 48
Page 23 of 48
The Plaintiff now alleges that the sale was totally illegal due to the fact that Mr. Shawn
Long, Esq. of Barley Snyder, LLC., attorney of record for Fulton Bank, was made aware of the
request and was serviced by the Superior Court of Pennsylvania the letter of October 30,
2006.
As importantly, on January 4th, 2006 at approximately 1:15 pm, the Plaintiff and Mr.
Joseph Caterbone, of Lancaster, visited the property for inspection and found (2) unidentified
individuals loading the entire contents of personal holdings, belongings, and the business
assets of Advanced Media Group into (2) Penske Moving Trucks with Indiana License plates.
The individuals refused to allow the Plaintiff on the property, and ordered the Plaintiff and Mr.
Joseph Caterbone off of the premises without giving any explanation except that they were
working for Noble Real Estate.
trucks.
The buyer on the record of sale of December 20, 2006, was Central Penn Title
Company of Akron, Pennsylvania.
Assistant District Attorney Ms. Deborah Muzereus on the 5th floor, and she refused to speak
to the Plaintiff and ordered him to Courtroom 1 for trial.
The Plaintiff alerted the situation and requested a continuance from the Honorable
Judge Cullen, who refused. The Plaintiff arrived home from trial at approximately 6:00 pm,
and called the Pennsylvania State Police from the home of Mr. Joseph Caterbone, and spoke
to Cpl. Lynam of the Lancaster Barracks who would not assist the Plaintiff in the matter. Cpl.
Lynam kept questioning the owner of the property, and the Plaintiff repeated that the
property was not in settlement and the Plaintiff did not receive service of the Distribution
Schedule.
Page 24 of 48
The Plaintiff will forward a copy of the Brief to the Pennsylvania Superior Court as
requested.
________________________
Stanley J. Caterbone, Pro Se Litigant
220 Stone Hill Road
Conestoga, PA 174516
717-427-1821 facsimile
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Page 25 of 48
Page 26 of 48
HOA-193468
Claim Number:
Mo-702274
Date of Loss:
0 1/04/07
Type of Loss:
theft
Loss Location:
The abo\e named insured confirms receipt of payments totaling Two thousand seven hundred ninth i)ns & 34 cen!s
53.1.35.?c!
1 ti. $:r on behalf of the above named insured by Harle>zvillePreferred Insurance Cc.mp3r:! , hsr:;n.ii:-r ":>.s
ifisLrJ::s
: ; l r n ~ 2 ~ \ " 1 .S a i l
p.i>m?nts
3.r~ full
.
.
2nd tinal p q m e n t tor claims made against the i'r'r.;: ram-.: p:.!:,. :..-
dss;nk.sd akll:.
Said pa! ments dis:hxge and sat~sf! all c.f the insuran;:
described above.
105s
;i.mpan! ' s
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c r~ , nh i
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- -
:..>>
~
-hi'.: ?ame;i
In consideration of, and to the extent of;said payments, the above named insureds hereby assign, transfer
and set over to the insurance company any and all claims or causes of action of whatsoever kind and nature which
the abo\e named insureds no\+-ha\.e. or ma! hereafter h a ~ eto
. reso\-erasainst an]. Fsrsnn or psrions as ths rssult
of the abo\e dzscrikd loss. The abo\-enamed insurzd agrees that the insurance compan: m q enforcs the claims
or causes of action described herein in such manner as shall be nscsssar? or appropriate for recoven- of amounts
paid by the insurance company, either in its oLvn name or in the name of the insured. The above named insured
also agrees that the insured will furnish such papers, information, evidence, testimony, signatures, access to
property and/or other things and/or actions as shall be within the insured's possession or control for the purpose of
enforcing such claim, demand or cause of action for the insurance company's recovery of the payments described
above. Nothing in this document should be construed as a release of any individuals or entities that may be liable
for the above described loss.
The above named insured covenants that no release or settlement of any such claim, demand or cause of
action has been given by the insured without the written consent of the insurance company. If the insured has
made any release or settlement without the written consent of the insurance company the insured will reimburse
the insurance company for the loss payments outlined herein above.
day of
, 2 0 -,
at
Witnesses:
Insured:
Page 27 of 48
Page 28 of 48
AGE OF ITEM
WHEN
5
8
6
6
45
11
5
6
1.5
3
1
7
7
1
21
4
1.5
5
1.5
2
8
1
11
WHERE
COST TO
PURCHASED
PURCHASED
07/01/02 Sunsetter Inc - Online
05/05/99 Brian Langsett of Conestoga,PA
Pep Boys, Wallmart, etc, Lancaster, PA
REPLACE
$300.00
$708.00
$100.00
$133.32
$69.00
$150.00
$75.00
$89.00
$69.00
$1,800.00
$49.00
$600.00
$179.00
$169.00
$49.00
$399.95
$29.00
$120.00
$69.00
$59.00
$79.00
$155.00
$741.99
$100.00
$79.00
$200.00
$150.00
$103.00
$24.00
$29.99
TOTAL
$6,878.25
Page 29 of 48
Page 30 of 48
EXHIBIT A
Page 31 of 48
www.amgglobalentertainmentgroup.com
infor@amgglobalentertainmentgroup.com
717.731.8184 Phone
717.427-1621 Fax
Stan Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
March 26, 2007
Harleysville Preferred Insurance Company
Margery Lukens, AIC, AIS
Claims Specialist
Mid Atlantic Claims Service Center
P.O. Box 1016
308 Harper Drive
Moorestown. NJ 08057-0916
Fax 856.642.9415
Re:
Page 32 of 48
YOU MAY STILL BE ABLE TO SAVE YOUR PROPERTY AND YOU HAVE
OTHER RIGHTS EVEN IF THE SHERIFF'S SALE DOES TAKE PLACE
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.
My Position: I have raised this objection in both Civil Actions Nos. 07-00119 and 07-00366
filed in The Court of Common Pleas of Lancaster County, of Pennsylvania; and have included an
Exhibit the 1099-A document which places the Fair Market Value of Real Property at
$250,000, approximately $100,000 more than the Sheriff Sale price paid by Central
Pennsylvania Settlement on December 20, 2006.
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.
My Position: I have never vacated that property and the buyer never initiated any legal
proceedings to evict me. On January 4, 2006, 2 movers ordered my uncle and myself off my
property from Noble Real Estate and I was told hours later by Lt. Lancaster of the Lancaster
County Sheriffs Department that the Southern Regional Police were summoned to the property
because we were trespassing. On February 1, 2007, Common Pleas Judge, Michael Georgelis
signed an ORDER by Shawn Long, of Barley Snyder, representing Fulton Bank, in the matter of
CI-07-00119 Caterbone v. Fulton Bank, et al.
AND, NOW this 1st day of February ,2007, upon consideration of Stanley Caterbone's Petition to Set
Aside Sale of Real Estate and Fulton Bank's response thereto, it is hereby ORDERED that said Petition is
denied, with prejudice. Accordingly, the Sheriff is directed to make the scheduled distribution of
proceeds from the December 20,2006 Sheriffs Sale of the property known as 220 Stone Hill Road,
Conestoga, Pennsylvania and to deliver the Sheriffs Deed to such property to the purchaser at such
Sheriffs Sale.
It should be noted that Fulton Bank filed that Response on January 30th, 2007, and I was only
served a copy at 3:00 pm on January 31st, the day before the Hearing (which was held in the
Judges office with no Oath administered). Common Pleas Judge, Michael Georgelis signed the
ORDER that day, February 1st, 2006, without giving me an opportunity to first file my Reply, as
prescribed by law. I filed my reply on February 6th, 2007. Shawn Long admitted in the meeting
that he needed settlement for the property by Friday, February 2nd, 2007, for some unknown
reason.
6. You may be entitled to a share of the money which was paid for your house. A schedule of
distribution of the money bid for your house will be filed by the Sheriff on or about January 19, 2007. This
schedule will state who will be receiving the money. The money will be paid out in accordance with this
schedule unless exceptions (reasons why the proposed distribution is wrong) are filed with the Sheriff
within ten (10) days after January 19,2007.
Ms. Lukens, at this time, given these most recent developments, I must dispute your legal opinion
in your letter of March 13, 2007 which you stated, Regarding yon personal property, 1 have been in
contact with Central Penn Property Services. I was advised that their employee told you on January 4,
2007 to contact their office regarding your personal property. Central Penn Property Services will be
sending you a letter regarding this matter. Your personal property was not stolen.
In addition, I would urge Harleysville to keep this claim open until every item of my personal
property is delivered, and inspected. I would expect that my personal property, be in the same condition
as I left it on December 4, 2006, the last time I was in my residence and property. This was at the ORDER
of Court of Common Pleas Judge Louis Farina, accompanied by 2 Lancaster County Sheriffs from the
Lancaster County Prison to obtain legal files for my trial.
I Remain,
Stan J. Caterbone
cc:
Page 33 of 48
FULI'ON BANK,
Plaintiff
STANLEY J. CATERBONE,
Defendant
The sale will be canceled if you pay to Fulton Bank (the amount of the judgment
plus costs)(the back payments, late charges, costs, and reasonable attorney's fees due). To find
out how you 111ust pay, you may call Shawn M. Long, Esquire at (717) 299-5201.
Page 34 of 48
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 be able to stop the sale through other legal proceedings. You may need
3.
an attorney to assert your rights. The sooner you contact one, the more chance you will have of
stopping the sale. (See notice below to find out 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.
1.
If the Sheriffs Sale is not stopped, your property will be sold to the highest
bidder. You may find out the price by calling the Sheriff of Lancaster County, at (717) 2998200.
2.
You may be able to petition the Court to set aside the sale if the bid price was
The sale will go through only if the buyer pays the Sheriff the full amount due in
the sale. To find out if this has happened, you may call the Sheriff of Lancaster county, at (717)
299-8200.
4.
If the amount due from the buyer is not paid to the Sheriff, you will remain the
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 house. A
Page 35 of 48
schedule of distribution of the money bid for your house will be filed by the Sheriff on or about
January 19, 2007. This schedule will state who will be receiving the money. The money will be
paid out in accordance with this schedule unless exceptions (reasons why the proposed
distribution is wrong) are filed with thc Sheriff within ten (10) days after January 19,2007.
7.
You may also have other rights and defenses, or ways of getting your house back,
Page 36 of 48
ALL That certain tract of land along Stone Hill Road situate in Conestoga Township, Lancaster
County, Pennsylvania, and being more particularly shown on a survey prepared for Anna L. Mylin
by Charles L. Roach, P.L.S., on September 30, 1994, and all the same being more fully bounded
and described as follows:
BEGINNING at a railroad sdke set bv others near the center of the westbound lane of Stone Hill
Road; thence extending in Stone Hill Road, South eight (8) degrees thirty-five (35) minutes twelve
(12) seconds East, a distance of two hundred eighty-nine and seventy-three hundredths (289.73)
;
extending along land
feet to a nail set by others near thc centerline ofsaid Stone Hill ~ o a dthence
now or late of Floyd E. and Justinc L. Duke and crossing over an iron pin set twenty-three and
sixty hundredths (23.60) feet from the last described point, South eight (8) dcgrees forty-four (44)
minutes twelve (12) seconds West, a distance of three hundred thirty-five and forty-nine
hundredths (335.49) feet to a stone, a comer of land now or late of Russel and Donna Lasch;
thence along lands now or late of same, South eighty-seven (87) degrees twenty-one (21) minutes
thirty-two (32) seconds West, a distance of one hundred ninety-five and fifty-seven hundredths
(195.57) feet to an iron pin; thence extending along land now or late of Charles E. and Theda M.
kneer, North five (5) degrees seventeen (1 7) minutes thirty (30) seconds West, a distance one
hundred seventy (1 70.00) feet to a point; thence extending along land now or late of Harold F. and
Mary Jane Baker, North six (6) degrees thirteen (1 3) minutes ten (10) seconds West, a distance of
two hundred twenty (220.00) feet, having crossed over an iron pin set twenty-five and forty
hundredths (25.40) feet from the next described point to a railroad spike set by others, the place of
BEGINNING.
-- -
Page 37 of 48
FmTCN BAXK
No. CI-06-0227 1
1'.
STANLEY J. CATEAWGNE
BY THE COURT:
MICHAEL A GEORCFI
1s
Jll?f;F
MICHAEL A. GEORCiELIS
JUDGE
AUGUST 1 1,2006
ATTEST:
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Page 38 of 48
Your personal property from 220 Stone Hill Road, Conestoga, PA 17516
www.amgglobalentertainmentgroup.com
amgroup01@msn.com
717.427-1621 Fax
Stan Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
You must remember, the evidentiary materials and files are material to litigation in the
following Courts; United States District Court for the Eastern District of Pennsylvania; The Third
Circuit District Court of Appeals; The Pennsylvania Supreme Court, The Pennsylvania Superior Court,
The Commonwealth Court of Lancaster County, Pennsylvania, The Commonwealth Court of Dauphin
County, Pennsylvania; The Commonwealth Court of Berks County, Pennsylvania; Magisterial District
Justices Eckert, Commins, Stoltzfus, Roth, Simms, Ballentine, Sponaugle, Hamilton, Mylin, and
James.
I will not being uses a telephone to communicate at this time. First, I do not have a
telephone, and second, I have no way of knowing or verifying you by telephone. In 2004, I have
filed a complaint regarding persons misidentifying themselves on the telephone, and redirecting my
calls. Agent Sarsfield of the Pittsburg Office of the Attorney General of Pennsylvania can verify and
confirm this.
I expect you will expedite your response.
Respectfully,
Stan J. Caterbone
Cc: file
Page 40 of 48
Your personal property from 220 Stone Hill Road, Conestoga, PA 17516
Page 41 of 48
Tel $88.5959876
Fax 856.h42.9415
Mooreslown. NJ 08057,0916
www.harleysviile,mo~p.~om
Goodpeople to know
March 13.2007
Stanley Caterbone
1250 Fremont Street
Lancaster, PA 17603
Claim No:
Insured:
Loss Location:
Date of Loss:
MO-702274
Stanley Caterbone
220 Stone Hill Road, Lancaster, PA
1104107
State law requires us to include the following statement Any person who knowingly files a statement of claim
containing any false or misleading informntion is subject to criminal and civil penalties.
Page 42 of 48
MSN Hotmail -
1 of 2
http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?curmbox=0000...
amgroup01@msn.com
From :
Sent :
To :
Senator_Specter@Specter.Senate.gov
CC :
Lisa_Owings@judiciary-rep.senate.gov
Subject :
Dear Senator,
I will not accept your explanation or response as satisfactory. I have given you evidence of a
widespread civil and criminal conspiracy, to cover up my Federal False Claims Act complaint
regarding selling arms to Iraq. Now, I notified you of the subject matter back in 1991 or 1992,
during a personal meeting in Columbia, Pennsylvania. You have a statatory duty to at least
refer this matter to someone in authority that can offer me assistance. I had someone attempt
to take my life over these matters before, and you, being a Republican, cannot change your
obligation or duties; you are now privy to these matters.
I have given you enough evidence of Obstruction of Justice (for at least an interview), and
being that Mr. Donald Totaro, the Lancaster County District Attorney was directely inovolved in
these matters in 1987 (with fradulent and dismissed criminal charges), when these incidents
began, (ISC Whistle-Blowing), and given your recent visits to Lancaster County over the past
year, I am urging you to reconsider your position and your lack of willingness to uphold the
rule of law, and your obligations.
You, Senator, took an Oath of Office, and if you do not at least give me an opportunity to
discuss these matters with you or someone else, I will find a way to hold you accoutable for
playing partisian politics. I have been interrogated in Austin Texas, in July of 2005 by 2
Agents for the DOD Defense Intelligence Agency, and will not let this continue. Ever since I
began filing my Federal Civil Action in May of 2005 (052288), it has been a game of law
enforcement engaging in a vigorius campaign to discredit me and my allegations, and most
importantly, they have taken the Anti-SLAPP statutes of RICO to new heights.
I do not accept your reponse, your position, or your patisian politics.
I am begining to think that your staffer, Ms. Lisa Owings, was deliberatly positioned to meet me
outside the Southern Market building before your talk on Crime, a few weeks ago, for some
malicious reason.
I remain,
Stanley J. Caterbone
Advanced Media Group
Stan Caterbone
mailto:
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516
Page 43 of 48
MSN Hotmail -
http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?curmbox=0000...
Thank you for your letter regarding legal matters. Unfortunately, the
function of the Senate is primarily legislative, and we cannot intercede
in matters which are under the jurisdiction of the courts.
Sincerely,
Arlen Specter
Page 44 of 48
Page 45 of 48
EXHIBIT B
Page 46 of 48
mailto:amgroup01@msn.com
717.427-1621 Fax
CERTIFIED MAIL
April 9, 2007
Central Penn Property Services, Inc.
Parula Properties, LLC
Noble Real Estate, LLC
Millen, Gregory K
Trynovich, Connie D
Eadline, Laurel D
Boronow, Paul M
100 S 7th St
Akron Pennsylvania, 17501
Re:
Page 47 of 48
Your personal property from 220 Stone Hill Road, Conestoga, PA 17516
STANLEY J. CATERBONE
vs.
TONY FREEMAN
NOBLE REAL ESTATE
GREG MILLAN
SHELBY SHEPRO
CENTRAL PENN SERVICES
Respectfully submitted,
Page 1 of 3
STANLEY J. CATERBONE
vs.
TONY FREEMAN
NOBLE REAL ESTATE
GREG MILLAN
SHELBY SHEPRO
CENTRAL PENN SERVICES
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the ADDENDUM TO PETITION
FOR REVIEW OF PRIVATE CRIMINAL COMPLAINT has been served this 26th day of
November, 2007, by first class mail, Postage prepaid, or by electronic mail upon, or
by hand deliver to:
Brian E. Chudzik
Lancaster County District Attorney
Lancaster County Court of Common Pleas
50 North Duke Street
Lancaster, PA 17602
Mr. Michael Landis, Chief Detective
Lancaster County District Attorney
Lancaster County Court of Common Pleas
50 North Duke Street
Lancaster, PA 17602
Page 2 of 3
www.amgglobalentertainmentgroup.com
infor@amgglobalentertainmentgroup.com
717.731.8184 Phone
717.427-1621 Fax
Stan Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
January 7, 2007
Harleysville Preferred Insurance Company
Richard Plum III
355 Maple Avenue
Harleysville PA 19438-2297
http://www.harleysvillegroup.com/
Re: HOMEOWNERS POLICY HOAI 93468
Dear Mr. Plum:
As per the above referenced Homeowners Policy and Coverages, enclosed are materials supporting
my claims for the theft of both the property at 220 Stone Hill Road, Conestoga, Pennsylvania, 17516, and all of
the contents. The above incident has been reported to the following law enforcement agencies: on January 4,
2007 The Southern Regional Police Department, of Conestoga, Pennsylvania; Cpl. Lynam of the Pennsylvania
State Police Department (E. King Street Barracks) on the evening of January 4, 2007; and Lancaster County
Detective Mr. Walters of the Lancaster County District Attorney Office on January 5, 2007.
I received no notices to vacate the residence, nor any notifications from anyone regarding the Sheriffs
Sale since April of 2006. I have received a letter from Karen Brarnblett, Esq. Prothonotary and James D
McCullough, Esq. Deputy Prothonotary of the Superior Court of Pennsylvania (Case No. 1463 MDA 2006)
requesting 7 more copies of my Brief in support of my Appeal to the Foreclosure (Civil Action CI-06-02271).
The copies of the Brief will be submitted on Monday, January 8, 2007. The only information that I have is that
Central Penn Property Services, Inc., was the highest bidder on December 20, 2006, as seen on my Lancaster
County Banner Civil Docket Report. The Lancaster County Sheriffs Department would not provide me with
any information other than the name of the highest bidder.
Enclosed are photographs that I took on January 4, 2007 of 2 individuals who threw me off of my
property and said they would report me for trespassing, while they were loading the contents of my residence
in 2 Penske Rental trucks. The whereabouts of my personal possessions are unknown. Mr. Joseph
Caterbone of Union Street, Lancaster, Pennsylvania accompanied me on January 4, 2007 to my property.
The attached are recorded Civil Actions filed in the Lancaster County Court of Common Pleas of
Lancaster, Pennsylvania regarding the same.
Please reply via email and letter with my claim number. I have no telephone or cell phone at this time.
Thank you for your attention to this matter.
Respectfully,
Stan J. Caterbone
Cc:
file
Enclosures
Hempfield Township v. Hapchuck 153 Pa. Comwlth. 173620 A. 2d. 668 (1993) Pro Se Brief failed to comply
with Pa. Rules of Appellate Procedure, but the failure to comply did not substantially impede the Courts ability to review
the issues presented and therefore considered the merits of the case.
Advanced Media Group
Page 3 of 3
November 26, 2007