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  • Abc Bail Bonds Inc Vs MarshallBook Account (Debt Collection Matters Only) document preview
  • Abc Bail Bonds Inc Vs MarshallBook Account (Debt Collection Matters Only) document preview
  • Abc Bail Bonds Inc Vs MarshallBook Account (Debt Collection Matters Only) document preview
  • Abc Bail Bonds Inc Vs MarshallBook Account (Debt Collection Matters Only) document preview
  • Abc Bail Bonds Inc Vs MarshallBook Account (Debt Collection Matters Only) document preview
  • Abc Bail Bonds Inc Vs MarshallBook Account (Debt Collection Matters Only) document preview
  • Abc Bail Bonds Inc Vs MarshallBook Account (Debt Collection Matters Only) document preview
  • Abc Bail Bonds Inc Vs MarshallBook Account (Debt Collection Matters Only) document preview
						
                                

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CAM L 001772-17 11/13/2018 Pg 1 of5 Trans ID: LCV201923101 CAM-L-001772-17 01/04/2019 9:17:01 AM Pg 1 of 5 Trans ID: L.GV201917733 Our File No.: BKO10422 MORGAN, BORNSTEIN & MORGAN KRISTEN SINCLAIR 018672008 1236 Brace Road - Suite K Cherry Hill, No 08034 (856) 795-2200 Attorneys for Plaintiff SUPERIOR COURT OF NEW JERSEY ABC BAIL BONDS INC LAW DIVISION CAMDEN COUNTY DOCKET NUMBER L-001772-17 CIVIL ACTION Plaintif€£, vs. WRIT FOR JEANETTE D MARSHALL WAGE EXECUTION WILLIAM H MCLAUGHLIN ASHLEY LYNNE PETRUCELLI Defendant (s) ) THE STATE OF NEW JERSEY TO: THE SHERIFF OF Burlington Co. Sheriff 3 YOU ARE HEREBY COMMANDED that of the weekly earnings which the Defendant Jeanette D Marshall receives from employer Brookdale Senior Living 480 West Woodlane Rd Mount Holly NI08060, you take the lesser of (a) the sum of 10% of the gross weekly pay or (b) 25% of disposable earnings for that week or (c) the amount by which the designated Defendant's disposable weekly earnings exceed $217.50 per week, pursuant to the Order for Wage Execution entered in this court on November 13, 2018, a copy of which is attached hereto and Certification of the Court entered in the sum of $5,284 82 plus interest and fees CAM L 001772-17 11/13/2018 Pg 2 of5 Trans ID: LCV201923101 CAM-L-001772-17 01/04/2019 9:17:01 AM Pg 2 of 5 Trans ID: LOV201917733 until $5,284.82 plus interest and fees is satisfied, and that you pay weekly to the Plaintiff‘s duly authorized attorney said amount of reservation of salary. YOU ARE FURTHER COMMANDED that the employer shall immediately give the designated Defendant a copy of this Order. The designated Defendant may object to the wage execution or apply for a reduction in the amount withheld at any time. TO object or apply for a reduction, a written statement of the objection or reasons for a reduction must be filed with the Clerk of the Court and a copy must be sent to the creditor's attorney or directly te the creditor if there is no attorney A hearing will be held within seven days after filing the objection or application for a reduction. According to law, no employer may terminate an employee because of a garnishment. YOU ARE HEREBY FURTHER COMMANDED that upon satisfaction of Plaintiff's damages, costs and interest plus subsequent costs, or upon a complete termination of said defendant's salary, you immediately thereafter return this Writ to the Court with a statement as to the execution annexed, WITNESS, The Honorable )oseld J. SRV, Tudge of the Superior Court of Camden, County on this Sah day of ero Noy ex ‘ney , 2018 . Michelle M. Smith, Esq. ab, Gs ue Clerk of Superior Court (ay a Ve Ce ee a 2) : CAM L 001772-17 11/13/2018 Pg 3 of5 Trans ID: LCV201923101 CAM-L-001772-17 01/04/2019 9:17:01 AM Pg 3 of5 Trans ID: LCV201817733 Clerk CAM L 001772-17 — 11/13/2018 Pg 4 of5 Trans ID: LCV201923101 CAM-L-001772-17 01/04/2019 9:17:01 AM Pg 4 of 5 Trans ID: LCV201917733 ENDORSEMENT Judgment amount* $5,070.00 Additional Costs $100.00 Statutory Interest $64.82 Credits $.00 Sheriff's Fees $50.00 Sheriff's commissions § Total 8 *Judgment amount includes amount of verdict or settlement, plus pre judgment court costs, plus any applicable statutory attorney’s fee. Post judgment interest applied pursuant to Rule 4:42-11 has been calculated as simple interest. As required by Rule 4:59-1, attached is the method by which interest has been calculated, taking into account all partial payments made by the Defendant. MORGAN, BORNSTEIN & MORGAN Attorneys for Plaintiff S/KRISTEN SINCLAIR KRISTEN SINCLAIR Dated: November 2, 2018 CAM L 001772-17 11/13/2018 Pg 5 of5 Trans ID: LCV201923101 CAM-L-001772-17 01/04/2019 9:17:01 AM Pg 5 of 5 Trans ID: LCV201917733 WXCOMPLE: CD $50.00 Collateral Account Number; 143433