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HomeMy WebLinkAbout96-01028 ~ . b j ..,....-* . 1"'- ii I I . 17 I I '. c '(J .~ . ';d Q , t , i i i I f ! ~ t- J loa (lS o - I ~ (f 0/ z 1\ . J " ,. ~ ~\y~ J. . ..... . ~1 \ "- 0 (',r, \. ). ,~i " "- '" \ 'J\ t>{ " "3 t"'/1 ~ \. ~ ~ (:,' '''l\ ~ 1<.. \~ '" 1 '.J '" Ik ~~]~ ~ ~ < . ~~~ '-'3'L rali5~~ g~!J II . JI' . ' .. CHARLES A. DEITCH and BARBARA J. DEITCH, Plaintiff's : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA : No. 96.1028 Civil Term v. WALTER C. MILLER, his heirs, personal representatives and assigns, Defendant : CIVIL ACTION - LAW : QUIET TITLE ORDER FOR SERVICE BY PUBLICATION AND NOW, this loll' day of "1M''f ,1996, it appearing to the Court that an Action in Quiet Title has been instituted by the Plaintiffs, Charles A. Deitch and Barbara J. Deitch, against the above named Defendant, Walter C. Miller, his heirs, personal representatives and assigns, and it further appearing that an Affidavit has been filed by the Plaintiffs' counsel, Diane G, Radcliff, Esquire, certifying that after a diligent search the whereabouts of the said Defendant are unknown, this Court, upon the motion of Diane G, Radcliff, Esquire hereby orders and directs that the service of the Complaint shall be made upon the Defendant, Walter C, Miller, his heirs, personal representatives and assigns, by publication as prescribed by law, BY THE COURT: . /\,--/!/L J. / DIANE G. RAIl<.l.IH A rroR"H.,\ r-uw tit" r_I'mu "'(1,\11 cutP Hili, P\ 17uII CHARLES A. DEITCH and BARBARA J, DEITCH, Plaintiffs IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA No, v. WALTER C, MILLER, his heirs, personal representatives and assigns, Defendant CIVIL ACTION. LAW QUIET TITLE AfFIDAVIT OF INVESTIGATION Commonwealth of Pennsylvania : County of Cumberland ss, Diane G. Radcliff, Esquire, Attomey for the Plaintiffs, Charles A, Deitch and Barbara J. Deitch, being duly swom according to law, deposes and says that: 1, The Affiant is Diane G, Radcliff, Esquire, the attorney for the Plaintiffs in the above matter, and is over the age of 18, 2. Concurrently with the filing of this Motion, the Affiant, on behalf of the Plaintiffs, has filed an Action in Quiet Tille to the premises located at 602-604 State Road, West Fairview, Cumberland County, Pennsylvania, 3, The Defendant's last known address is 6665 Loch Hill Road, Baltimore, Maryland 21239, 4. The Plaintiffs and the Affiant have no knowledge as to the current address of the Defendant. 5. The Affiant has conducted the following investigation to determine the current address and whereabouts of the Defendant to no avail: DIANE G. RADCLIFF ArrORSEY.Af.LAW 1+411 UI:"IiIJU IlIHU (;.'\.\1, "11.1.. p" lillll EXHIBIT "A" I , ~ - . '<l "- "" ot;J ~ ; ~r . r.:.. ~-: ld ''!( 0, '. .J (.;. I j (j~ c, I" (,. (..:. ( , a.. 1 I', ...., U (" <'. \' l:: - !:3jl~ .. < <:1lA. c;i~~ ~~!~ c:l \:J v . ;!-:.1 {J , L: ....- ,-. ~ \..... ..... r l" ....) .. . ' ..t:' " ~-' \..- .J \S' \ j ~) " ~ L.-.. .... ~0'3 '---' . --- +; '< ..... '1 Q!: ..!. .. ~ ) c:J ~' \ , , ' I." ~3]~ ~ ~;1/~ d!~~ ~~~J Q -