REVERSED. We agree with appellant that she did not waive her objection to personal jurisdiction by filing an objection to a codefendant’s motion to share in the proceeds of any foreclosure sale.
Appellant was sued in a mortgage foreclosure proceeding. Twice she successfully moved to quash service of process. However, while motions for rehearing were pending on the service of process issue, a codefendant filed a motion to be allowed to share in the proceeds of any sale. Appellant filed an objection to this motion, and the trial court held that such filing constituted a waiver of her objections to jurisdiction. We disagree.
As a general rule, a defendant may protect her jurisdictional claims so long as she asserts them as early as possible in the litigation. Scarso v. Scarso,
