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ALLSTATE INSURANCE CLAIM

OF STOLEN OR DAMAGED PROPERTY


April 3, 2016
Items Stolen or Damaged

Cost to Replace

dishwasher
front door locks
ipod
bluetooth
hammer drill
reciprocating saw
iphone
screen door locks
sleepy's matress
3 laptop computers
Cost to Repair Computers from Hacking
Wet/Dry Vac
cordless phone
cable boxes and modem
Sakrete 3 bags
misc clothes
2 vapor pens
1 iphone

Total

$476.00
$400.00
$400.00
$60.00
$100.00
$100.00
$600.00
$30.00
$2,300.00
$800.00
$400.00
$65.00
$40.00
$100.00
$12.00
$100.00
$100.00
$600.00
$6,748.00

Page 1
Stan J. Caterbone Allstate Property Claim

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Friday, April 15, 2016

Information as of December 17, 2015


Page 1 of 2
Policyholder(s)
Stan Caterbone
Policy number
952 500 478

Dan Naumann Agy Inc


355R Manor Avenue
Millersville PA 17551

Your Allstate agency is


Dan Naumann Agy Inc
(717) 871-1721
DANIELNAUMANN1@ALLSTATE.COM

ADDFADDFDFAAFAADADTAAAFAFTDDFTDDAFDTDAADAADTTAFDFTADFDFAAFTDFDTAF
STAN CATERBONE
1250 FREMONT ST
LANCASTER PA 17603-6812

Thank You for Being a Loyal Allstate CustomerWere Happy to Have


You with Us!
Heres your Homeowners insurance renewal offer for the next 12 months. We've also included a guide to whats
in this package and answers to some common questions.

Renewing your policy is easy


Keep an eye out for your bill, which should arrive in a couple of weeks. Just send your payment by the due date
on your bill.
If youre enrolled in the Allstate Easy Pay Plan, you wont receive a billwell send you a statement with your
payment withdrawal schedule.
You also wont receive a bill if a mortgage company or lienholder pays your insurance premium for you.

How to contact us
Give your Allstate Agent a call at (717) 871-1721 if you have any questions. Its our job to make sure youre in
good hands.
Sincerely,

Steven P. Sorenson
President, Allstate Property and Casualty Insurance Company
RP378-4

Stan J. Caterbone Allstate Property Claim

Page 2 of 69

Friday, April 15, 2016

Policy number:
Policy effective date:
Your Allstate agency is

952 500 478


February 3, 2016
Dan Naumann Agy Inc
(717) 871-1721

Page 2 of 2

Your Insurance Coverage Checklist


Were happy to have you as an Allstate customer! This checklist outlines whats in this package and provides answers to some
basic questions, as well as any next steps you may need to take.
Whats in this package?
See the guide below for the documents that are included.
Next steps: review your Policy Declarations to confirm you
have the coverages, coverage limits, premiums and
savings that you requested and expected. Read any
Endorsements or Important Notices to learn about new
policy changes, topics of special interest, as well as
required communications. Keep all of these documents
with your other important insurance papers.

What about my bill?


Unless youve already paid your premium in full, well send
your bill separately. Next steps: please pay the minimum
amount by the due date listed on it.

Am I getting all the discounts I should?


Confirm with your Allstate Agent that youre benefiting
from all the discounts youre eligible to receive.

What if I have questions?


You can either contact your Allstate Agent or call us 24/7
at 1-800-ALLSTATE (1-800-255-7828) para espaol,
Ilamar al 1-800-979-4285 with questions about your
coverage, or to update your coverages, limits, or
deductibles. Or visit us online at allstate.com.

You can also pay your bill online at allstate.com or by


calling 1-800-ALLSTATE (1-800-255-7828). Para
espaol, Ilamar al 1-800-979-4285. If youre enrolled in
the Allstate Easy Pay Plan, well send you a statement
detailing your payment withdrawal schedule.

Policy
Declarations*
The Policy
Declarations
lists policy
details, such as
your property
details and
coverages.

Important
Notices
We use these
notices to call
attention to
particularly
important
coverages, policy
changes and
discounts.

Insurance Made
Simple
Insurance seem
complicated?
Our online
guides explain
coverage terms
and features:
www.allstate.com/
madesimple
Espanol.allstate.com
/facildeentender

* To make it easier to see where you may have gaps in your protection, weve highlighted any coverages you do not have in the
Coverage Detail section in the enclosed Policy Declarations.

Stan J. Caterbone Allstate Property Claim

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Friday, April 15, 2016

065 070 037


151217S301619
1100000S301619065PA000151217012511000233001006001201

A guide to your renewal package

Renewal Homeowners Policy Declarations


Your policy effective date is February 3, 2016

Page 1 of 4

Total Premium for the Premium Period (Your bill will be mailed separately)

Information as of December 17, 2015

Premium for property insured

Summary

$525.14

Total

$525.14

If you do not pay in full, you will be charged an installment fee(s). Refer to your bill for
installment fee information.

Named Insured(s)
Stan Caterbone
Mailing address
1250 Fremont St
Lancaster PA 17603-6812

Discounts (included in your total premium)

Policy number
952 500 478

30%
18%

Protective Device

4%

Policy period
Begins on February 3, 2016 at 12:01 A.M.
standard time, with no fixed date of
expiration

Location of property insured


1250 Fremont St, Lancaster, PA 17603-6812

Rating Information*
Please review and verify the information regarding your insured property. Please
refer to the Important Notice (X67831-1) for additional coverage information.
Contact us if you have any changes.
The dwelling is of brick construction and is occupied by 1 family
Your dwelling is 1 mile to the fire department
Dwelling Style:
Built in 1953; 1 family; 1100 sq. ft.; center row house - 2 stories
Foundation:
100% Basement (100% finished)
Interior details:
One basic kitchen

Premium period
Beginning February 3, 2016 through
February 3, 2017 at 12:01 A.M. standard
time
Your Allstate agency is
Dan Naumann Agy Inc
355R Manor Avenue
Millersville PA 17551
(717) 871-1721
DANIELNAUMANN1@ALLSTATE.COM
Some or all of the information on your
Policy Declarations is used in the rating
of your policy or it could affect your
eligibility for certain coverages. Please
notify us immediately if you believe
that any information on your Policy
Declarations is incorrect. We will make
corrections once you have notified us,
and any resulting rate adjustments, will
be made only for the current policy
period or for future policy periods.
Please also notify us immediately if you
believe any coverages are not listed or
are inaccurately listed.

One basic full bath

Exterior wall type:


100% solid brick
Interior wall partition:
100% drywall
Heating and cooling:
Gas heating, 100%
Additional details:
Interior wall height - less than 10 ft,
100%
Fire protection details:
Fire department subscription - no

Your policy provided by


Allstate Property and Casualty
Insurance Company

1 mile to fire department

PA070RBD

Home and Auto


Claim Free

(continued)

Stan J. Caterbone Allstate Property Claim

Page 4 of 69

Friday, April 15, 2016

Renewal Homeowners Policy Declarations


Policy number:
952 500 478
Policy effective date:
February 3, 2016
Your Allstate agency is
Dan Naumann Agy Inc
(717) 871-1721

Page 2 of 4

Rating Information* (continued)


Roof surface material type:
Composition
100% asphalt / fiberglass shingle
*This is a partial list of property details. If the interior of your property includes custom
construction, finishes, buildup, specialties or systems, please contact your Allstate
representative for a complete description of additional property details.

Mortgagee
None

Additional Interested Parties:


Michael T Caterbone
1250 Fremont St, Lancaster, PA 17603-6812
Philip W Caterbone
1250 Fremont St, Lancaster, PA 17603-6812
Steven P Caterbone
1250 Fremont St, Lancaster, PA 17603-6812

Limits of Liability
$140,669

Applicable Deductible(s)
$1,000 All peril

$14,067
$84,402

$1,000 All peril


$1,000 All peril

Up to 12 months not to exceed $14,067


$100,000 each occurrence
$1,000 each person
Not purchased*
Not purchased*
Not purchased*
Not purchased*
Not purchased*
Not purchased*

(continued)

Stan J. Caterbone Allstate Property Claim

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Friday, April 15, 2016

065 070 037


151217S301619
1100000S301619065PA000151217012511000233002006001201

Coverage
Dwelling Protection - with Building
Structure Reimbursement Extended
Limits
Other Structures Protection
Personal Property Protection Reimbursement Provision
Additional Living Expense
Family Liability Protection
Guest Medical Protection
Building Codes
Building Materials Theft
Business Property Protection
Business Pursuits
Electronic Data Processing Equipment
Extended Coverage on Cameras

PA070RBD

Coverage detail for the property insured

Renewal Homeowners Policy Declarations


Policy number:
952 500 478
Policy effective date:
February 3, 2016
Your Allstate agency is
Dan Naumann Agy Inc
(717) 871-1721
Page 3 of 4
Coverage
Extended Coverage on Jewelry,
Watches and Furs
Extended Coverage on Musical
Instruments
Extended Coverage on Sports
Equipment
Fire Department Charges
Golf Cart
Home Day Care
Identity Theft Expenses
Incidental Office, Private School Or
Studio
Increased Coverage on Money
Increased Coverage on Securities
Increased Silverware Theft Limit
Loss Assessments
Satellite Dish Antennas

Limits of Liability
Not purchased*

Applicable Deductible(s)

Not purchased*
Not purchased*
Not purchased*
Not purchased*
Not purchased*
Not purchased*
Not purchased*
Not purchased*
Not purchased*
Not purchased*
Not purchased*
Not purchased*

* This coverage can provide you with valuable protection. To help you stay current with
your insurance needs, contact your agent to discuss available coverage options and
other products and services that can help protect you.

Scheduled Personal Property Coverage


Your policy does not include Scheduled Personal Property Coverage. This coverage can provide you with valuable protection. To
help you stay current with your insurance needs, contact your agent to discuss available coverage options and other products and
services that can help protect you.

Your policy documents


Your Homeowners policy consists of the Policy Declarations and the following documents. Please keep them together.
Homeowners Policy APC215

PA070RBD

Building Structure Reimbursement Extended Limits


Endorsement APC198

Pennsylvania Homeowners Policy And Select Homeowners


Policy Amendatory Endorsement AP4794
Sinkhole Activity Coverage Endorsement AP4869

Stan J. Caterbone Allstate Property Claim

Page 6 of 69

Friday, April 15, 2016

Renewal Homeowners Policy Declarations


Policy number:
952 500 478
Policy effective date:
February 3, 2016
Your Allstate agency is
Dan Naumann Agy Inc
(717) 871-1721

Page 4 of 4

Important payment and coverage information


Here is some additional, helpful information related to your coverage and paying your bill:
Coverage A - Dwelling Protection Limit includes an approximate increase of $2,134 due to the Property Insurance
Adjustment provision. Coverage B - Other Structures Protection and Coverage C - Personal Property Protection adjusted
accordingly.
Please note: This is not a request for payment. Your bill will be mailed separately.

Allstate Property and Casualty Insurance Company's Secretary and President have signed this policy with legal authority at
Northbrook, Illinois.

Susan L. Lees
Secretary

Stan J. Caterbone Allstate Property Claim

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065 070 037


151217S301619
1100000S301619065PA000151217012511000233003006001201

PA070RBD

Steven P. Sorenson
President

Important notices
Policy number:
Policy effective date:
Your Allstate agency is

952 500 478


February 3, 2016
Dan Naumann Agy Inc
(717) 871-1721
Page 1 of 3
Notice, please contact your Allstate representative, or call us
at 1-800-ALLSTATE.

Dwelling Profile
Allstate has determined that the estimated cost to replace
your home is: $140,669
The enclosed Policy Declarations shows the limit of liability
applicable to Dwelling ProtectionCoverage A of your
homeowners insurance policy. The estimated replacement
cost of your home is the minimum amount for which we will
insure your home.
The decision regarding the limit applicable to your Dwelling
ProtectionCoverage A is your decision to make, as long as, at
a minimum, your limit equals the estimated replacement cost
as determined by Allstate and does not exceed maximum
coverage limitations established by Allstate.
It is important to keep in mind that your Coverage A limits
reflect a replacement cost that is only an estimate based on
data that was available to us when we made this estimate (this
information is described in the Rating Information section of
your Policy Declarations). The actual amount it will cost to
replace your home cannot be known until after a covered total
loss has occurred.

How is the replacement cost estimated?


Many factors can affect the cost to replace your home,
including its age, size, and type of construction. For example,
the replacement cost uses construction data, such as labor and
materials, that are available to us when we made this estimate.
This estimate is also based on characteristics of the home,
which include information that you provided to us. You might
have chosen to insure your home for a higher amount than the
estimated replacement cost shown above.

Note to customers renewing their policy


The estimated replacement cost for your home may have
changed since the last time we communicated this information
to you. This is because, at renewal, Allstate uses the home
characteristics that you have provided to us to recalculate and
update the estimated replacement cost. Using updated labor
and material rates for your zip code, Allstate takes the home
characteristics you have provided and determines the updated
estimated replacement cost. The information about your
homes characteristics is provided in the Rating Information
section of your Policy Declarations.
If the information about your home shown in your Policy
Declarations requires any change or if you have any questions
or concerns about the information contained in this Important

Stan J. Caterbone Allstate Property Claim

Additional Information About Dwelling Protection


Limits
Your policy includes a feature called "Property Insurance
Adjustment" (PIA). PIA reflects changes in construction costs
in your area that may have occurred during the policy period.
We would like you to know that your policy's PIA recently
indicated that construction costs in your area have increased.
Based on this information, we have automatically increased
your Dwelling Protection-Coverage A limits.
However, it is ultimately your responsibility to consider
whether the changes we have made are sufficient for your
insurance needs. It is important for you to understand that
these are only estimates and the new limits of your policy may
not provide sufficient coverage in the event of a loss. For
example, if you have done any remodeling to your home which
has not been updated in our records, your home's replacement
cost may be higher than our current records indicate. In that
case, you may want to increase your limits to reflect such
changes. Conversely, there is a possibility that your new limits
may provide coverage in excess of the actual replacement cost
of your home. For example, if you originally decided to insure
your home at an amount that exceeded the estimated
replacement cost, you may want to call your Allstate
representative to discuss the current value of your home and
the possibility of lowering your limits.
If you have any questions about PIA, or your policy in general,
please contact your Allstate representative.
X67831-1

What You Should Know About Flood


Insurance
Most homeowners, renters and commercial insurance policies
do not provide coverage for flood damage. In fact, protection
against floods is generally available only through a separate
policy.
Thats why Allstate is a participant in the National Flood
Insurance Program (NFIP) and offers standard flood insurance
policies.* A flood insurance policy can help complete the

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Friday, April 15, 2016

Page 2 of 3
952 500 478
February 3, 2016
Dan Naumann Agy Inc
(717) 871-1721

insurance protection for your property and help protect your


financial well-being.

Its protection not typically provided with standard property


coverage. SPP benefits typically include:

You May Have More Risk from Flood Than You


Think

No deductibles to meet

Coverage for lost or damaged items

Approximately 90 percent of all disasters in the U.S. are flood


related. While you may think that it couldnt happen to you,
over 25 percent of all flood losses occur in low- to
moderate-risk areas.

Coverage for valuables kept in a storage location outside


your home

Whats more, flood damage is often accompanied by other


damage, such as wind and hail (which is typically covered
under a property policy). So if you purchase your NFIP
coverage through Allstate, you would have the convenience
and peace of mind that comes with working with just one claim
adjuster and one agent, instead of two or more for a flood
claim.

Items That May Need the Extra Protection


SPP coverage provides protection for an array of valuable
personal property. Here are some of the items you can protect
by purchasing SPP coverage through Allstate:

Jewelry (including wedding rings and precious or


semi-precious stones)

Furs

Cameras (digital, still, movie, video and related


equipment)

Silverware and antiques (including furniture)

Musical instruments

Collections (stamps, coins, music)

Fine art works (including paintings, etchings, vases and


sculptures)

Manuscripts or books

Home-office equipment (laptop, computer, audio/visual)

Sports equipment (such as golf clubs)

Flood Coverage Is Affordable


The federal government sets the rates for flood insurance, so
theres typically no difference in rates from policy to policy.
You can switch to an NFIP flood insurance policy administered
by Allstate for the same amount of premium you may be paying
elsewhere. If you choose Allstate, you can have the quality
service youve come to expect from us.
For more information about flood insurance, or if you have any
questions about your policy in general, please contact your
Allstate representative or visit us at allstate.com.
* Allstate provides the standard flood insurance policy under the terms of the
National Flood Insurance Act of 1968 and its amendments, and Title 44 of the
Code of Federal Regulations. The standard flood insurance policy is written by
Allstate for the National Flood Insurance Program which is administered by the
Federal Insurance Administration, part of the Federal Emergency Management
Agency.
Subject to availability and qualifications. Other terms, conditions and exclusions may
apply.

Additional Protection for Your


Valuable Possessions

Affordable Protection for Your Valuables


The cost of SPP coverage varies, but the value of your property
is the best way to determine how much coverage you need.
The rates are generally a small percentage of the total value of
the items youre insuring. This means that your valuables are
being protected for only a fraction of the cost.

Regularly Review Your SPP Coverage

X73168 Even if you currently have SPP coverage, its a good idea to
review it annually. Its possible that the value of your property
has changed or that youve purchased new items that have not
been added to your coverage.
Most

Property insurance covers many belongings, but some items


may require higher coverage limits than those in a standard
property policy.

To learn more about SPP coverage, or if you have any questions


about your insurance policy in general, contact your Allstate
representative, or visit us at allstate.com.
X73169

Scheduled Personal Property (SPP) coverage gives you


additional protection against loss or damage to your valuables.

Stan J. Caterbone Allstate Property Claim

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065 070 037


151217S301619
1100000S301619065PA000151217012511000233004006001201

Important notices
Policy number:
Policy effective date:
Your Allstate agency is

Important notices
Policy number:
Policy effective date:
Your Allstate agency is

952 500 478


February 3, 2016
Dan Naumann Agy Inc
(717) 871-1721
Page 3 of 3

Other Allstate Companies Also Offer


Homeowners InsuranceGiving You
Additional Protection Options
We want to make sure you know that Homeowners insurance
is available from different Allstate-branded companieseach
with its own mix of price and coverage options. Although your
current policy is with Allstate Property and Casualty Insurance
Company, Homeowners coverage from another
Allstate-branded company can differ from your current policy
in a number of ways, including:

Price
Coverage
Features
Discounts

Things To Consider When Comparing Insurance


Policies
When comparing different policies, you may want to consider
the following:

Price While another company may offer a lower premium


today, the premium could change in the future. Be sure to
consider this.

Policy Features and Benefits Some of the policy features


and benefits that your current policy has may not be
available or carry over to the new company. Also, the new
policy might not provide the same level of benefits as your
current policy. And if you leave Allstate Property and
Casualty Insurance Company, you will not be able to return
to that company or get the same rate.

Your Allstate Agent Can Help


Your Allstate Agent is here and can discuss any options you
might be interested in. We want to thank you again for
choosing Allstate to protect whats important to you.
X73083v2

Stan J. Caterbone Allstate Property Claim

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065 070 037


151217S301619
1100000S301619065PA000151217012511000233005006001201

Stan J. Caterbone Allstate Property Claim

Privacy Statement
Policy number:
Policy effective date:
Your Allstate agency is

952 500 478


February 3, 2016
Dan Naumann Agy Inc
(717) 871-1721
Page 1 of 2

Thank you for choosing Allstate. We value you, respect your


privacy and work hard to protect your personal information.
This statement is provided on behalf of Allstate Insurance
Company and the affiliates (Allstate) listed at the end of this
notice. We would like to explain how we collect, use and share
the information we obtain about you in the course of doing
business.

Our Privacy Assurance

We do not sell your personal or medical information to


anyone.
We do not share your information with non-affiliate
companies that would use it to contact you about their
own products and services, unless permitted pursuant to a
joint marketing agreement.
We require persons or organizations that represent or
assist us in servicing your policy and claims to keep your
information confidential.
We require our employees to protect your personal
information and keep it confidential.

As you can see, protecting your personal information is


important to us. In addition to the practices described above,
we use a variety of physical, technical and administrative
security measures that help to safeguard your information. For
Social Security Numbers (SSN), this includes restricting access
to our employees, agents and others who use your SSN only as
permitted by law: to comply with the law, to provide you with
products and services, and to handle your claims. Also, our
employees and agents access to and use of your SSN are
limited by the law, our policies and standards, and our written
agreements.

companies. This information may include, but is not limited to,


your driving record, claims history, medical information and
credit information.
In addition, Allstate and its business partners gather
information through Internet activity, which may include, for
example, your operating system, links you used to visit
allstate.com, web pages you viewed while visiting our site or
applications, Internet Protocol (IP) addresses, and cookies. We
use cookies, analytics and other technologies to help:
Evaluate our marketing campaigns
Analyze how customers use our website and applications
Develop new services
Know how many visitors have seen or clicked on our ads
Also, our business partners assist us with monitoring
information including, but not limited to, IP addresses, domain
names and browser data, which can help us to better
understand how visitors use allstate.com.

How We Use and Share Your Personal Information


In the course of normal business activities, we use and share
your personal information. We may provide your information
to persons or organizations within and outside of Allstate. This
would be done as required or permitted by law. For example,
we may do this to:
Fulfill a transaction you requested or service your policy
Market our products
Handle your claim
Prevent fraud
Comply with requests from regulatory and law
enforcement authorities
Participate in insurance support organizations

The persons or organizations with whom we may share your


personal information may include, among others:
Your agent, broker or Allstate-affiliated companies
What Personal Information Do We Have and Where Companies that perform services, such as marketing,
Do We Get It
credit card processing, and performing communication
We gather personal information from you and from outside
services on our behalf
sources for business purposes. Some examples of the
Business partners that assist us with tracking how visitors
information we collect from you may include your name, phone
use allstate.com
number, home and e-mail addresses, drivers license number,
Other financial institutions with whom we have a joint
Social Security Number, marital status, family member
marketing agreement
information and healthcare information. Also, we maintain
Other insurance companies that play a role in an insurance
records that include, but are not limited to, policy coverages,
transaction with you
premiums, and payment history. We also collect information
Independent claims adjusters
from outside sources including, but not limited to, insurance
A business or businesses that conduct actuarial or
support organizations that assemble or collect information
research studies
about individuals for the purpose of providing to insurance
Our privacy practices continue to apply to your information
even if you cease to be an Allstate customer.

Stan J. Caterbone Allstate Property Claim

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Friday, April 15, 2016

Privacy Statement
Policy number:
Policy effective date:
Your Allstate agency is

Page 2 of 2
952 500 478
February 3, 2016
Dan Naumann Agy Inc
(717) 871-1721

Those who request information pursuant to a subpoena or


court order
Repair shops and recommended claims vendors

your personal information with our affiliates for marketing


products and services.

To request that we not allow other Allstate affiliates to use


your personal information to market their products and
services, you can contact us by calling 1-800-856-2518
We use cookies, analytics and other technologies to help us
twenty-four hours a day, seven days a week. Please keep in
provide users with better service and a more customized web
mind that it may take up to four weeks to process your request.
experience. Additionally, our business partners use tracking
If you previously contacted us and asked us not to allow other
services, analytics and other technologies to monitor visits to
Allstate affiliates to use your personal information, your
allstate.com. The website may also use Web beacons (also
called clear GIFs or pixel tags) in conjunction with cookies. previous choice still applies and you do not need to contact us
If you prefer, you can choose to not accept cookies by changing again. If you would like to change your previous choice please
call the number above at any time.
the settings on your web browser. Also, if you would like to
learn about how we gather and protect your information over
We Appreciate Your Business
the Internet, please see our online privacy statement located at
Thank you for choosing Allstate. We understand your concerns
the bottom of the allstate.com homepage.
about privacy and confidentiality, and we hope this notice has
To learn more, the allstate.com Privacy Statement provides
been helpful to you. We value our relationship with you and
information relating to your use of the website. This includes,
look forward to keeping you in Good Hands.
for example, information regarding:
If you have questions or would like more information, please
1) How we collect information such as IP address (the
dont hesitate to contact your Allstate agent or call the Allstate
number assigned to your computer when you use the
Customer Information Center at 1-800-ALLSTATE.
Internet), browser and platform types, domain names,
access times, referral data, and your activity while using
We reserve the right to change our Privacy practices,
our site;
procedures, and terms.
2) Who should use our website;
Allstate Insurance Company
3) The security of information over the Internet; and
4) Links and co-branded sites.
Allstate entities on which behalf this notice is provided and
amongst which information may be shared:

The Internet and Your Information Security

The Allstate family of companies, LSA Securities, Deerbrook


You can request to review your personal information contained General Agency, Inc., Deerbrook Insurance Company, North
Light Specialty Insurance Company, Northbrook Indemnity
in our records at any time. To do this, please send a letter to
Company.
the address below requesting to see your information for the
previous two years. If you believe that our information is
Please Note: Allstate affiliates American Heritage Life
incomplete or inaccurate, you can request that we correct it.
Insurance Company, Castle Key Insurance Company and
Please note we may not be able to provide information relating Castle Key Indemnity Company participate in information
to investigations, claims, litigation, and other matters. We will
sharing with the affiliates listed above, but have a separate
be happy to make corrections whenever possible.
privacy notice for their customers.
Please send requests to:
Allstate Insurance Company Customer Privacy Inquiries
P.O. Box 40047
Roanoke, VA 24022-0047

(ed. 10/2015)
X73180v6

Your Preference for Sharing Personal Information


We would like to share your personal information with one or
more Allstate affiliates in order to make you aware of different
products, services and offers they can provide. However, you
can request that Allstate and its affiliate companies not share

Stan J. Caterbone Allstate Property Claim

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065 070 037


151217S301619
1100000S301619065PA000151217012511000233006006001201

How You Can Review and Correct Your Personal


Information

Case 5:15-cv-03984-JCJ Document 36 Filed 04/14/16 Page 1 of 10

Stanley J. Caterbone, Pro Se Litigant


1250 Fremont Street
Lancaster, PA 17603
UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
__________________________________________________________________________
:
Stanley J. Caterbone
:
Advanced Media Group
:
CIVIL DIVISION
Petitioner
:
Case No.
15-03984
Related Case: Pennsylvania
Superior 1915 MDA 2015
:
v.
:
Lancaster County Crisis Intervention
:
Craig Stedman, Lancaster County District Attorney
Detective Clark Bearinger, Lancaster City Police
Lancaster City Police Department
Dr. Silvia Gratz, Chief Medical Officer and
Fairmount Behavioral Health System
:
Defendants
:

EXHIBIT re Fruadulent Lancaster City Property Tax Records re Extortion of 1250


Fremont Street by the City of Lancaster, PA 17603 Reported on April 14, 2016

This exhibit, is intended to help the Court understand the complexity of the PETITIONER's
obligation to provide the Court with the evidence and insight to support the PETITIONER's claims
and statements.

The OWNER of 1250 Fremont Street, Lancaster, Pennsylvania is NOT

Steven P. Caterbone and the address of Stanley J. Caterbone is not 114 N. Old
Stonehouse Road, Harrisburg, PA.

The recorded onwership is Steven Caterbone,

Stanley Caterbone, Phillip Caterbone, and Michael Caterbone.

This exhibit clearly is

evidence of the City of Lancaster and the Lancaster City Police Department changing the
ownership of the residence of Stanley J. Caterbone and using this to ignore the complaints of
harassment, vandalism, thefts, etc., while occupying said property.

This fraud also was used to

bolster the false reports of mental illness to the Lancaster County Administrator who was required
to sign off on all of the 302 mental health warrants.

15-03984
EXHIBIT Lancaster
Fraud Claim
Stan
J. Caterbone
AllstateCity
Property

Page 114ofof
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Case 5:15-cv-03984-JCJ Document 36 Filed 04/14/16 Page 2 of 10

These documents will also provide the Court with sufficient knowledge of the PETITIONER's claim
of the value of the PETITIONER's litigation of up to $50 million dollars as stated in the U.S.
Bankruptcy Case No. 05-23059 and 16-10167. The APPELLANT does not intend to overburden the
Court with unnecessary filings, however this burden of supporting the claims and statements falls
on the shoulders of all those in the government that ignored the PETITIONER's pleas for help to
resolve these issues dating back to the days immediately following the meeting with International
Signal & Control, Plc., (ISC) Executive Larry Resch on June 23, 1987.

Date: April 14, 2016

15-03984
EXHIBIT Lancaster
Fraud Claim
Stan
J. Caterbone
AllstateCity
Property

/S/
Stanley J. Caterbone, Pro Se
Freedom From Covert Harassment and Surveillance
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentertainmentgroup.com
scaterbone@live.com
(717) 669-2163

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15-03984
EXHIBIT Lancaster
Fraud Claim
Stan
J. Caterbone
AllstateCity
Property

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15-03984
EXHIBIT Lancaster
Fraud Claim
Stan
J. Caterbone
AllstateCity
Property

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15-03984
EXHIBIT Lancaster
Fraud Claim
Stan
J. Caterbone
AllstateCity
Property

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15-03984
EXHIBIT Lancaster
Fraud Claim
Stan
J. Caterbone
AllstateCity
Property

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15-03984
EXHIBIT Lancaster
Fraud Claim
Stan
J. Caterbone
AllstateCity
Property

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15-03984
EXHIBIT Lancaster
Fraud Claim
Stan
J. Caterbone
AllstateCity
Property

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15-03984
EXHIBIT Lancaster
Fraud Claim
Stan
J. Caterbone
AllstateCity
Property

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15-03984
EXHIBIT Lancaster
Fraud Claim
Stan
J. Caterbone
AllstateCity
Property

Page
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www.am gglobalent er t ainm ent group.com


am group01@m sn.com
717.427-1621 Fax

St anley J. Cat erbone, Pro Se Lit igant


Advanced Media Group
1250 Fr em ont St reet
Lancast er, PA 17603

June 25, 2007

Lancast er Cit y Police Chief Sam Gat chell


Cit y of Lancast er Bureau of Police
39 West Chest nut St reet
Lancast er, PA 17603- 3510
Re: St an Cat erbone & 1250 Frem ont St reet

Dear Sir;
I again need t o bring t o your at t ent ion Police m isconduct and abuse on t he part of t he
Lancast er Cit y Police Depart m ent . I asked you before in person for a m eet ing t o resolve t hese
issues and have writ t en you, but you cont inue t o ignore t hese problem s, which cont inue and are
causing m e dire problem s wit h m y Federal and St at e lit igat ion effort s. My com plaint s t o your
depart m ent fall on deaf ears, which in it self is illegal and a violat ion of m y Pennsylvania and Unit ed
St at es Const it ut ional right s. I n addit ion t here are violat ions of civil and crim inal st at ut es. These
m at t ers, if left unat t ended could lead t o physical violence.
The harassm ent and int im idat ion by your officers is not above t he rule of law, and I will hold
you and your police depart m ent account able in t he court of law when I am able. I also have m ade
several pleas wit h Mayor Rick Gray regarding t he sam e; for a civil resolut ion t o t hese issues. I had a
m eet ing wit h Mayor Rick Gray on February 6, 2007. I n t hat m eet ing t he Mayor of Lancast er Cit y
began yelling and scream ing at m e wit h no int ent but t o provoke and int im idat e m e. I did not get a
chance t o say anyt hing t o him , and he lit erally was having a nervous breakdown in front of m e
because he was filled wit h such rage. I believe he was upset at t he fact t hat I was referred t o him
by Robert Kagel and m et wit h him in 1987- 1988 regarding m y civil com plaint s and disclosed t his t o
aut horit ies.
There are several m at t ers t hat I need t o address. They are as follows:
1. Conflict s of I nt erest Chris Depat t o is an officer on t he Lancast er Cit y Police
force and his fat her, John Depat t o have a vest ed int erest in seeing t hat m y
Federal False Claim s Act ( Whist le- Blowing) lit igat ion in t he Unit ed St at es
Dist rict Court for t he East ern Dist rict of Pennsylvania regarding I nt ernat ional
Signal & Cont rol, ( I SC) be at least int errupt ed and at m ost be dism issed. John
Depat t o is m at erial in several ways.
a. John Depat t o was t he form er president of Parent Bank, owned and
operat ed by Jam es Guerin and I SC.
b. John Depat t o and Parent Bank foreclosed on m y propert y at 2323 New
Danville Pike, Conest oga in 1988; which is t he subj ect of current
lit igat ion in Federal Court s.
c. John Depat t o and Sylvia Depat t o were business associat es of m y
brot her Thom as Cat erbone and were responsible for writ ing a fraudulent
check t o m y brot her which is now m at erial t o a wrongful deat h

Stan J. Caterbone Allstate Property Claim


THE ADVANCED MEDIA GROUP

Page 24 of 69
Page 1 of 3

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06/25/2007

com plaint against Fult on Bank in Unit ed St at es Dist rict Court for t he
East ern Dist rict of Pennsylvania Case no. 05- 2288.
There are also conflict s of int erest wit h t he relat ionships of Mr. Pat rick Egan
and officers of t he Lancast er Cit y Police Depart m ent .
Mr. Pat rick Egans
daught er, Kerri, is t he subj ect of allegat ions of m aking false st at em ent s t o
aut horit ies. I n February of 2005, Kerri Egan, from t he Alley Kat Rest aurant at
about 5: 00 am , called 911 and m ade up a st ory t hat I em ailed her and was
going t o com m it suicide. This caused a m aj or problem when t he Sout hern
Regional Police Depart m ent broke int o m y hom e and physically and m ent ally
abused m e.
There is also a conflict of int erest wit h t he Chief of Police, Mr. John Fiorill of t he
Sout hern Regional Police Depart m ent , and his office of t he President of t he
Lancast er Red Rose Chapt er of t he Frat ernal Order of Police. Chief Fiorill is a
Defendant in several civil act ions and an affiant of several false arrest s and
false st at em ent s t o aut horit ies ( current ly in appeal t he Pennsylvania Superior
Court case no. 855 MDA 2007)
2. On August 4, of 2006, while I was illegally det ained for several hours in your
holding cell at t he Lancast er Cit y Police Precinct had m y social securit y card
st olen by one of your officers, which m ade it im possible t o cash a check from
Harleysville I nsurance Com pany at any local inst it ut ion. I required t his m oney
for food, post age, and gas. I n addit ion m y not es from t hat day are very
dam aging in dem onst rat ing t he abuse and int im idat ion of your police officers
during t hat incident .
3. From Sept em ber of 2006 t o t he present I have been residing at 1250 Frem ont
St reet , Lancast er, Pennsylvania and have m ade several com plaint s regarding
t heft s of legal files, Advanced Media Group business files, elect ronic devices,
and m ade num erous com plaint s of com put er hacking and t he illegal use of
com put ers. These com plaint s also include t he hacking of m y Averat ek Lapt op
wit hin t he past several weeks t hat left it inoperable. These com put er hacking
incident s cause m e irreparable harm in disabling m y effort s t o cont inue m y
lit igat ion in Federal, St at e, and Local Court s of Law. There have been no
effort s on t he part of t he Lancast er Cit y Police Depart m ent t o invest igat e t hese
m at t ers or even t o st op t hem .
4. Officer McFarland has prom ised m e t hat a Lancast er Cit y Det ect ive would
provide finger print analysis at 1250 Frem ont St reet .
This also never
happened.
5. During t he Professional Bicycle Race a few Sunday ago, Lancast er Cit y
Det ect ive Skyles prom ised m e a m eet ing t o discuss t he finger print ing at t he
Lancast er Cit y Precinct . I showed up at t he precinct and he was not t here at
t he designat ed t im e. The desk Sergeant dialed his num ber and had m e leave a
m essage on his voice m ail t hat was never responded t o.
6. I have m ade num erous com plaint s regarding t he act ivit ies of 1252 Frem ont
St reet and t he daily visit s of unsuspect ing charact ers and t he breach of
securit y of m y residence at 1250 Frem ont St reet . The Lancast er Cit y Police
Depart m ent has left t his sit uat ion cont inue wit hout int errupt ion. I t appears
t hat t he Lancast er Cit y Police Depart m ent is on t he t ake wit h regards t o t his
m at t er, and is willing t o look t he ot her way in order t o sabot age m y Federal,
St at e, and Local lit igat ion.

Stan J. Caterbone Allstate Property Claim


THE ADVANCED MEDIA GROUP

Page 25 of 69
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06/25/2007

7. According t o m y docum ent s and files dat ing back t o 1987, t he Lancast er Cit y
Police Depart m ent was a t arget and Defendant in a civil act ion t hat I was
preparing in t he sum m er of 1987 wit h regard t o I SC and Financial Managem ent
Group, Lt d.,. This civil act ion included t he Com m onwealt h Nat ional Bank and
Fult on Bank, bot h of t he Cit y of Lancast er.

I would ask t hat you forward t his t o your solicit or and your int ernal affairs depart m ent for a
t horough review and invest igat ion.

Respect fully,

St an J. Cat erbone, Pro Se Lit igant


Advanced Media Group
cc:

Lancast er Cit y Mayor Rick Gray

Stan J. Caterbone Allstate Property Claim


THE ADVANCED MEDIA GROUP

Page 26 of 69
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Friday, April 15, 2016


06/25/2007

IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
CATERBONE and ADVANCED MEDIA GROUP (Plaintiffs)
v.
LANCASTER CITY BUREAU OF POLICE, et. al., (Defendants)
Case No. 08-cv-02982
DEFENDANTS
CITY OF LANCASTER
CITY OF LANCASTER MAYOR RICK GRAY
SECTOR 9 OF THE LANCASTER CITY BUREAU OF POLICE
LANCASTER CITY POLICE CHIEF KEITH SADDLER
LANCASTER CITY BUREAU OF POLICE
CIVIL COMPLAINT
INTRODUCTION
1. Stanley J. Caterbone (CATERBONE) and Advanced Media Group were located at 220 Stone Hill
Road, Conestoga, Pennsylvania (Conestoga Township) until August 30, 2006 when CATERBONE
temporarily moved into a family residence at 1250 Fremont Street, Lancaster, Pennsylvania (City
of Lancaster).
2. The PLAINTIFF, Stanley J. Caterbone (CATERBONE), alleges that the City of Lancaster and the
Lancaster City Bureau of Police and others colluded to deliberately ignore CATERBONES
complaints, an abuse of process, in an effort to retaliate, subvert, interrupt and deter current and
ongoing litigation and civil complaints against several major businesses and government agencies
with headquarters in the City of Lancaster and the Commonwealth of Pennsylvania. Those would
include the Lancaster General Hospital; High Industries (not Penn Square Partners and the
Lancaster County Convention Center); Fulton Bank and Fulton Financial Corporation; a Wachovia
Bank branch (pending); Lancaster Newspapers; the County of Lancaster; the Lancaster County
Prison; the Hotel Brunswick (pending); James Street Investment District (pending); Aurora Films;
Haverstick Films (pending); and the Lancaster City Bureau of Police. The City of Lancaster and the
Lancaster City Bureau of Police are derelict in their duties in forcing CATERBONE to litigate for
duties and services due CATERBONE that are mandated in the bylaws of the City of Lancaster.
3. CATERBONE also alleges that the Lancaster City Bureau of Police were used to retaliate,
subvert, interrupt and deter other litigation and civil complaints against other police departments,
namely the Southern Regional Police Department, the Manheim Township Police Department, the
East Lampeter Police Department, the Millersville Boro Police, the Avalon Police Department and
the Stone Harbor Police Department. CATERBONE alleges that Southern Regional Police Chief John
Fiorill used is official capacity as President of the Red Rose Chapter of the Fraternal Order of Police
to help accomplish these civil torts.
4. CATERBONE alleges that by ignoring his complaints the Lancaster City Police Bureau of Police
gave the green light, or approval, for others to continue a long and successful period of
harassment, thievery, property damage, computer and electronic hacking, deletion and
manipulation of court related documents, records and evidence, mail fraud, eaves dropping,
invasion of privacy, criminal trespass, and the like. These activities are so intense that they have
taken on the characteristics of a hate crime.
5. CATERBONE alleges that the gross abuse and gross negligence defamed his name and that of
his company, ADVANCED MEDIA GROUP, which discredited his reputation in an effort to diminish
credibility in the courts; to thwart any reprimands by oversight agencies; and to disrupt and
thwart any possible business relations and operations of ADVANCED MEDIA GROUP. This has
resulted in direct and immediate financial loss, loss of time, and loss of income.
6. Chief Keith Sadler and the Lancaster City Police Bureau rejected and refused to resolve these
disputes through mediation when CATERBONE opened a case with the Lancaster Center for

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Friday, April 15, 2016

Mediation in May of 2008. Keith Sadler communicated to the Lancaster Mediation Center on May
8, 2008 that he would not cooperate and mediate with CATERBONE.
7. On several occasions in 2007 several police officers of the Lancaster City Bureau of Police
instructed CATERBONE, in person upon responding to complaints, not to call 911 or the Lancaster
City Police Department and that the Lancaster City Bureau of Police would not respond or take
complaints.
8. The Lancaster City Bureau of Police only took one (1) incident of gas siphoned and stolen from
CATERBONEs 1991 Dodge pickup truck, and refused to take the over 50 (from December 20,
2007 to present), or so other incidents as a complaint, regardless of the efforts to have Lancaster
City Mayor Rick Grey and the Lancaster City Solicitor to look into the allegations and complaints.
CATERBONE had meticulously documented the incidents in a journal and a log of gas receipts,
photographs, and odometer miles for all of the incidents. CATERBONE also made a thorough and
documented calibration of his 1991 Dodge Dakota Pick-Up truck with logs of mileage and times
and dates of gas purchases in a report to prove the gas was stolen. Lancaster City Police Bureau
Officer Cosmore returned the report with such words as counterfeit, fake, written on it and had
the audacity to ask CATERBONE if he had a certification of the gas pumps that were listed on
gas receipts. There were some days when the gas was stolen 2 or more times. CATERBONE
alleges that perpetrators were using a kerosene battery operated siphon, or like kind, to siphon
the gas from the gas tank.
9. The Lancaster City Bureau of Police had responded to approximately 10 or so 911 calls in the
last eighteen (18) months to 1250 Fremont Street, residence of CATERBONE, for complaints of
property damage; stolen property, missing legal and business files and evidence for litigation;
computer and electronic hacking with deleted electronic files; harassment; terrorist threats,
stalking, stolen mail, etc.,.
10. CATERBONE had complained of abuse of process to state and federal law enforcement
regarding the situation, including U.S. Senator Arlen Specters office. CATERBONE had also visited
the Federal Bureau of Investigation (FBI) in both Harrisburg and Philadelphia for help and
intervention.
11. CATERBONE also had personal meetings with Lancaster City Mayor Rick Gray in Lancaster City
Hall on at least 4 occasions to find a solution to the problems and for help to mediate the
problems and or resolve the conflicts. The resulting pain and suffering, as well as loss and
destruction of property and financial loss that CATERBONE was undergoing was unprecedented.
12. In November of 2007, CATERBONE and the Advanced Media Group went public with their
Downtown Lancaster investments and business plans that were culminated over the past 9 years.
The Advanced Media Group also formerly and publicly introduced their Downtown Lancaster Action
Plan via handouts, websites, and blogs; and began meetings and negotiations with major
stakeholders, City of Lancaster Public Officials, Developers, and investors.
13. In 1997 CATERBONE had solicited Attorney Christina Rainville of Philadelphia and pro bono
attorney for Lisa Michelle Lambert in the Laurie Show murder case. The murder trials and appeals
of the Lambert case demonized Ms. Christina Rainville and U.S. District Court Judge Stewart
Dalzell. After CATERBONE submitted documents and audio recordings, Ms. Christina Rainville had
communicated with CATERBONE that she was not able to take his case due to the fact that her
Philadelphia law firm had banned her from taking on any more Lancaster County residents,
despite the fact that many more sought her legal counsel. On December 31, 1997, CATERBONE
had also personally delivered a CD-ROM to the chambers of U.S. District Court Judge Stewart
Dalzell in an effort to bring attention to his case. In May of 1998 CATERBONE submitted an
AFFADAVIT to the law firm of Schneider and Harrison outlining the prosecutorial misconduct or
Finding of Facts of the 1987 cover-up for Ms. Christina Rainville. CATERBONE alleges that these
facts were part of the attitude and the motives for the law enforcement-at-large of Lancaster
County and the Commonwealth of Pennsylvania to ignore the rule of law and procedure in order to
bring these false arrests and malicious prosecutions. The Lancaster County community-at-large
had the same attitude toward CATERBONE. The Lambert case received national notoriety when

Stan J. Caterbone Allstate Property Claim

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U.S. District Judge Stuart Dalzell freed Lambert on a Habeus Corpus appeal hearing citing she was
actually innocent beyond a reasonable doubt. Judge Dalzell was quoted in chambers as saying,
"I can tell you, Mr. Madenspacher, that I've thought about nothing else but this case for over three
weeks, and in my experience, sir, and I invite you to disabuse me of this at oral argument, I want
you and I want the Schnader firm to look for any case in any jurisdiction in the English-speaking
world where there has been as much prosecutorial misconduct, because I haven't found it. The
case was covered by a 3 part series in the Los Angeles Times by writer Barry Seigel on November
10, 1997 and a television episode on the A&E Network American Justice Series. The Lancaster
community gathered over 10,000 signatures on a petition to impeach U.S. District Judge Stewart
Dalzell for his rulings. In the end, the Commonwealth of Pennsylvania took control of the case and
appealed the ruling that freed Lambert sending her back to prison. The case went all the way to
the U.S. Supreme Court in 2005, after being denied any review. The case accentuated the rights
of Federal Law vs. State Law and the Commonwealth of Pennsylvania solicited a team of attorney
generals from across the nation to help their cause. CATERBONE attended a hearing before former
Lancaster County Court Common Pleas Judge Larry Stengel in the Lancaster County Court of
Common Pleas. To this day, due to his knowledge and experience with the Lancaster County
Judicial System and Law Enforcement, and his own dire civil complaints, CATERBONE believes that
the over zealous prosecution proves that prosecutorial misconduct was never thoroughly
investigated or prosecuted in the Lambert case. CATERBONE will not let that happen in his cases.

CAUSES OF ACTION
14. On or about April 14, 2008 1999 HP Notebook n5150 laptop was rendered useless by an
intruder shorting the power cord. This was the third computer rendered useless since November of
2007, and the last computer available for use in the home and office. Other incidents were
happening while at 220 Stone Hill Road, Conestoga, PA since 1997. The only computer available
for use was the public computer at the Lancaster County Library on North Duke Street in
downtown Lancaster.
15. On March 18, 2008 CATERBONE went to the Hotel Brunswick in Downtown Lancaster to
continue take measurements of the Movie Theater for his continued efforts of a business and
development plan. (The Brunswick Movie Theater, or Eric, had been closed since 1995.
CATERBONE and Advanced Media Group had an agreement with the Owner of the Brunswick,
Hamid Zahedi, to make a formal proposal and offer for leasing the site. CATERBONE had begun
discussions in 2006.) On March 18, 2008 CATERBONE noticed that the United States Department
of Justice Office of Trustee was conducting hearings for Chapter 11 petitioners in the Presidential
Room of the Hotel Brunswick. CATERBONE had not received ORDERS from his United States Third
Circuit Court of Appeals Case No. 08-3054 for his appeal of an issue in his Chapter 11 Case No.
05-23059. CATERBONE alleged that the ORDERS were stolen or never mailed from the clerk of
courts. CATERBONE thought maybe Dave Adams, the trustee for the United States Department of
Justice Office of Trustee might be conducting the hearings. The following day CATERBONE received
a disturbing email from Mr. Barry A. Solodky, Esquire, of Blakinger, Byler & Thomas, P.C., 28 Penn
Square, Lancaster, PA 17603. CATERBONE had known Mr. Solodky since the 1980s and had even
solicited him to review his bankruptcy matters before the Appllent filed his Chapter 11 case on
May 23, 2005. The following email exchanges detail the incident and the false reports and
allegations from a member of Blakinger, Byler & Thomas, P.C.:

Stan J. Caterbone Allstate Property Claim

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Friday, April 15, 2016

United States District Court Eastern District of Pennsylvania

1 of 2

https://ecf.paed.uscourts.gov/cgi-bin/DktRpt.pl?490294791050398-L_1_0-1

CLOSED,SPECIAL

United States District Court


Eastern District of Pennsylvania (Philadelphia)
CIVIL DOCKET FOR CASE #: 2:08-cv-02982-MAM

CATERBONE et al v. LANCASTER CITY POLICE BUREAU et al


Assigned to: HONORABLE MARY A. MCLAUGHLIN
Cause: 42:1983 Civil Rights Act

Date Filed: 06/18/2008


Date Terminated: 07/11/2008
Jury Demand: None
Nature of Suit: 440 Civil Rights: Other
Jurisdiction: Federal Question

Plaintiff
STANLEY J. CATERBONE

represented by STANLEY J. CATERBONE


1250 FREMONT STREET
LANCASTER, PA 17603
717-669-2163
Email: scaterbone@live.com
PRO SE

Plaintiff
ADVANCED MEDIA GROUP

represented by ADVANCED MEDIA GROUP


c/o STANLEY J. CATERBONE
1250 FREMONT STREET
LANCASTER, PA 17603
717-427-1821
PRO SE

V.
Defendant
LANCASTER CITY POLICE BUREAU
Defendant
SECTOR 9 OF THE LANCASTER CITY
BUREAU OF POLICE
Defendant
KEITH SADDLER
LANCASTER CITY BUREAU OF POLICE
CHIEF
Defendant
RICK GRAY
LANCASTER CITY MAYOR
Defendant
CITY OF LANCASTER

Stan J. Caterbone Allstate Property Claim

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Friday, April 15, 2016


11/7/2015 5:56 AM

United States District Court Eastern District of Pennsylvania

2 of 2

https://ecf.paed.uscourts.gov/cgi-bin/DktRpt.pl?490294791050398-L_1_0-1

Date Filed

# Docket Text

06/18/2008

1 MOTION TO PROCEED IN FORMA PAUPERIS filed by STANLEY J. CATERBONE.(ti, )


(Entered: 06/26/2008)

07/11/2008

2 ORDER THAT THE MOTION FOR LEAVE TO PROCEED IN FORMA PAUPERIS IS


GRANTED. THIS COMPLAINT IS DISMISSED, WITH LEAVE TO FILE AN AMEDNED
COMPLAINT WITHIN 10 DAYS OF THIS ORDER. THE CLERK OF COURT SHALL CLOSE
THIS CASE STATISTICALLY. SIGNED BY HONORABLE MARY A. MCLAUGHLIN ON
7/10/2008.7/11/2008 ENTERED AND COPIES MAILED.(ap, ) (Entered: 07/11/2008)

07/11/2008

3 COMPLAINT against LANCASTER CITY POLICE BUREAU, SECTOR 9 OF THE LANCASTER


CITY BUREAU OF POLICE, KEITH SADDLER, RICK GRAY, CITY OF LANCASTER, filed by
STANLEY J. CATERBONE, ADVANCED MEDIA GROUP.(ap, ) (Entered: 07/11/2008)

07/22/2008

4 MOTION FOR EXTENSION OF TIME filed by STANLEY J. CATERBONE..(ap, ) (Entered:


07/22/2008)

07/25/2008

5 ORDER THAT PLAINTIFF'S MOTION FOR EXTENSION OF TIME IS GRANTED. THE


PLAINTIFF SHALL FILE HIS AMENDED COMPLAINT WITHIN SIXTY (60) DAYS OF THE
DATE OF THIS ORDER. IF PLAINTIFF DOES NOT DO SO, THIS COMPLAINT WILL BE
DISMISSED WITH PREJUDICE. UPON THE FILING OF AN AMENDMENT, THE CLERK
SHALL NOT MAKE SERVICE UNTIL SO ORDERED BY THE COURT.SIGNED BY
HONORABLE MARY A. MCLAUGHLIN ON 7/25/08.7/28/08 ENTERED AND COPIES
MAILED.(ah) (Entered: 07/28/2008)

09/25/2008

6 MOTION TO WITHDRAW WITHOUT PREJUDICE filed by STANLEY J. CATERBONE. with


EXHIBITS..(ap, ) (Entered: 09/26/2008)

10/10/2008

7 ORDER THAT THE MOTION TO WITHDRAW WITHOUT PREJUDICE IS GRANTED; THIS


CASE SHALL REMAIND CLOSED STATISTICALLY. SIGNED BY HONORABLE MARY A.
MCLAUGHLIN ON 10/10/2008.10/10/2008 ENTERED AND COPIES MAILED TO PRO SE.(ap, )
(Entered: 10/10/2008)

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IN THE UNITED STATES DISTRICT COURT


FOR THE EASTERN DISTRICT OF PENNSYLVANIA
STANLEY J. CATERBONE
ADVANCED MEDIA GROUP
v.

:
:
:
:
LANCASTER CITY POLICE BUREAU, et al.:

CIVIL ACTION

NO. 08-2982

O R D E R
AND NOW, this

day of October, 2008, upon

consideration of plaintiffs Motion for Withdraw Without


Prejudice (Doc. No. 6), IT IS HEREBY ORDERED that:
(1)

Plaintiffs Motion for Withdraw Without Prejudice is

GRANTED; and
(2)

This case shall remain CLOSED statistically.


BY THE COURT:

/S/ MARY A. MCLAUGHLIN, J.

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ADDRESSING POLICE MISCONDUCT

Main Page
AAG Thomas E. Perez

LAWS ENFORCED BY THE

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UNITED STATES DEPARTMENT OF JUSTICE

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Department of Justice
Privacy Act Statement

The vast majority of the law enforcement officers in this country perform their very difficult jobs with
respect for their communities and in compliance with the law. Even so, there are incidents in which this is
not the case. This document outlines the laws enforced by the United States Department of Justice (DOJ)
that address police misconduct and explains how you can file a complaint with DOJ if you believe that
your rights have been violated.
Federal laws that address police misconduct include both criminal and civil statutes. These laws cover
the actions of State, county, and local officers, including those who work in prisons and jails. In addition,
several laws also apply to Federal law enforcement officers. The laws protect all persons in the United
States (citizens and non-citizens).
Each law DOJ enforces is briefly discussed below. In DOJ investigations, whether criminal or civil, the
person whose rights have been reportedly violated is referred to as a victim and often is an important
witness. DOJ generally will inform the victim of the results of the investigation, but we do not act as the
victim's lawyer and cannot give legal advice as a private attorney could.
The various offices within DOJ that are responsible for enforcing the laws discussed in this document
coordinate their investigation and enforcement efforts where appropriate. For example, a complaint
received by one office may be referred to another if necessary to address the allegations. In addition,
more than one office may investigate the same complaint if the allegations raise issues covered by more
than one statute.
What is the difference between criminal and civil cases?

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Criminal and civil laws are different. Criminal cases usually are investigated and handled separately from
civil cases, even if they concern the same incident. In a criminal case, DOJ brings a case against the
accused person; in a civil case, DOJ brings the case (either through litigation or an administrative
investigation) against a governmental authority or law enforcement agency. In a criminal case, the
evidence must establish proof "beyond a reasonable doubt," while in civil cases the proof need only
satisfy the lower standard of a "preponderance of the evidence." Finally, in criminal cases, DOJ seeks to
punish a wrongdoer for past misconduct through imprisonment or other sanction. In civil cases, DOJ
seeks to correct a law enforcement agency's policies and practices that fostered the misconduct and,
where appropriate, may require individual relief for the victim(s).

Federal Criminal Enforcement


It is a crime for one or more persons acting under color of law willfully to deprive or conspire to deprive
another person of any right protected by the Constitution or laws of the United States. (18 U.S.C.
241, 242). "Color of law" simply means that the person doing the act is using power given to him or her by
a governmental agency (local, State, or Federal). A law enforcement officer acts "under color of law" even
if he or she is exceeding his or her rightful power. The types of law enforcement misconduct covered by
these laws include excessive force, sexual assault, intentional false arrests, or the intentional fabrication
of evidence resulting in a loss of liberty to another. Enforcement of these provisions does not require that
any racial, religious, or other discriminatory motive existed.
What remedies are available under these laws?
Violations of these laws are punishable by fine and/or imprisonment. There is no private right of action
under these statutes; in other words, these are not the legal provisions under which you would file a
lawsuit on your own.

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Federal Civil Enforcement


"Police Misconduct Provision"
This law makes it unlawful for State or local law enforcement officers to
engage in a pattern or practice of conduct that deprives persons of rights
protected by the Constitution or laws of the United States. (42 U.S.C.
14141). The types of conduct covered by this law can include, among other
things, excessive force, discriminatory harassment, false arrests, coercive
sexual conduct, and unlawful stops, searches or arrests. In order to be
covered by this law, the misconduct must constitute a "pattern or practice" -- it
may not simply be an isolated incident. The DOJ must be able to show in
court that the agency has an unlawful policy or that the incidents constituted
a pattern of unlawful conduct. However, unlike the other civil laws discussed
below, DOJ does not have to show that discrimination has occurred in order to
prove a pattern or practice of misconduct.
What remedies are available under this law?
The remedies available under this law do not provide for individual monetary
relief for the victims of the misconduct. Rather, they provide for injunctive
relief, such as orders to end the misconduct and changes in the agency's
policies and procedures that resulted in or allowed the misconduct. There is
no private right of action under this law; only DOJ may file suit for violations of
the Police Misconduct Provision.

Title VI of the Civil Rights Act of 1964


and the "OJP Program Statute"
Together, these laws prohibit discrimination on the basis of race, color, national origin, sex, and religion
by State and local law enforcement agencies that receive financial assistance from the Department of
Justice. (42 U.S.C. 2000d, et seq. and 42 U.S.C. 3789d(c)). Currently, most persons are served by a
law enforcement agency that receives DOJ funds. These laws prohibit both individual instances and
patterns or practices of discriminatory misconduct, i.e., treating a person differently because of race,
color, national origin, sex, or religion. The misconduct covered by Title VI and the OJP (Office of Justice
Programs) Program Statute includes, for example, harassment or use of racial slurs, unjustified arrests,
discriminatory traffic stops, coercive sexual conduct, retaliation for filing a complaint with DOJ or
participating in the investigation, use of excessive force, or refusal by the agency to respond to
complaints alleging discriminatory treatment by its officers.
What remedies are available under these laws?
DOJ may seek changes in the policies and procedures of the agency to remedy violations of these laws
and, if appropriate, also seek individual remedial relief for the victim(s). Individuals also have a private
right of action under Title VI and under the OJP Program Statute; in other words, you may file a lawsuit
yourself under these laws. However, you must first exhaust your administrative remedies by filing a
complaint with DOJ if you wish to file in Federal Court under the OJP Program Statute.

Title II of the Americans with Disabilities Act of 1990


and Section 504 of the Rehabilitation Act of 1973
The Americans with Disabilities Act (ADA) and Section 504 prohibit discrimination against individuals with
disabilities on the basis of disability. (42 U.S.C. 12131, et seq. and 29 U.S.C. 794). These laws
protect all people with disabilities in the United States. An individual is considered to have a "disability" if
he or she has a physical or mental impairment that substantially limits one or more major life activities,
has a record of such an impairment, or is regarded as having such an impairment.
The ADA prohibits discrimination on the basis of disability in all State and local government programs,
services, and activities regardless of whether they receive DOJ financial assistance; it also protects
people who are discriminated against because of their association with a person with a disability. Section
504 prohibits discrimination by State and local law enforcement agencies that receive financial assistance

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from DOJ. Section 504 also prohibits discrimination in programs and activities conducted by Federal
agencies, including law enforcement agencies.
These laws prohibit discriminatory treatment, including misconduct, on the basis of disability in virtually all
law enforcement services and activities. These activities include, among others, interrogating witnesses,
providing emergency services, enforcing laws, addressing citizen complaints, and arresting, booking, and
holding suspects. These laws also prohibit retaliation for filing a complaint with DOJ or participating in the
investigation.
What remedies are available under these laws?
If appropriate, DOJ may seek individual relief for the victim(s), in addition to changes in the policies and
procedures of the law enforcement agency. Individuals have a private right of action under both the ADA
and Section 504; you may file a private lawsuit for violations of these statutes. There is no requirement
that you exhaust your administrative remedies by filing a complaint with DOJ first.

How to File a Complaint with DOJ


Criminal Enforcement
If you would like to file a complaint alleging a violation of the criminal laws discussed above, you may
contact the Federal Bureau of Investigation (FBI), which is responsible for investigating allegations of
criminal deprivations of civil rights. You may also contact the United States Attorney's Office (USAO) in
your district. The FBI and USAOs have offices in most major cities and have publicly-listed phone
numbers. In addition, you may send a written complaint to:
Criminal Section
Civil Rights Division
U.S. Department of Justice
P.O. Box 66018
Washington, D.C. 20035-6018
Civil Enforcement
If you would like to file a complaint alleging violations of the Police Misconduct Statute, Title VI, or the
OJP Program Statute, you may send a written complaint to:
Coordination and Review Section
Civil Rights Division
U.S. Department of Justice
P.O. Box 66560
Washington, D.C. 20035-6560
You may also call the Coordination and Review Section's toll-free number for information and a complaint
form, at (888) 848-5306 (voice and TDD).
If you would like to file a complaint alleging discrimination on the basis of disability, you may send a
written complaint to:
Disability Rights Section
Civil Rights Division
U.S. Department of Justice
P.O. Box 66738
Washington, D.C. 20035-6738
You may also call the Disability Rights Section's toll-free ADA Information Line at (800) 514-0301 (voice)
or (800) 514-0383 (TDD).
How do I file a complaint about the conduct of a law enforcement officer from a Federal agency?
If you believe that you are a victim of criminal misconduct by a Federal law enforcement officer (such as
the Immigration and Naturalization Service; the FBI; the Customs Service; Alcohol, Tobacco, and
Firearms; or the Border Patrol), you should follow the procedures discussed above concerning how to file
a complaint alleging violations of the criminal laws we enforce. If you believe that you have been
subjected by a Federal law enforcement officer to the type of misconduct discussed above concerning
"Federal Civil Enforcement," you may send a complaint to the Coordination and Review Section, at the
address listed above. That office will forward your complaint to the appropriate agency and office.
What information should I include in a complaint to DOJ?
Your complaint, whether alleging violations of criminal or civil laws listed in this document, should include
the following information:
Your name, address, and telephone number(s).

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The name(s) of the law enforcement agency (or agencies) involved.


A description of the conduct you believe violates one of the laws discussed above, with as
many details as possible. You should include: the dates and times of incident(s); any
injuries sustained; the name(s), or other identifying information, of the officer(s) involved (if
possible); and any other examples of similar misconduct.
The names and telephone numbers of witnesses who can support your allegations.
If you believe that the misconduct is based on your race, color, national origin, sex,
religion, or disability, please identify the basis and explain what led you to believe that you
were treated in a discriminatory manner (i.e., differently from persons of another race, sex,
etc.).
Reproduction of this document is encouraged.

Return to Conduct of Law Enforcement Agencies Page


Return to Documents and Publications Page
Return to Special Litigation Section Home Page
Last updated October 13, 1999
Updated July 25, 2008

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