HomeMy WebLinkAbout00-00604
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BOBBIE D, STEVENSON,
Plaintiff
IN TIIE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
v.
NO. ';<OOd - !e,Ot..;
(n~J ~
ROBERT L. SLAGLE,
JOHN KNAUB,
ALANL. HELLAM and
KATHLEEN M. HELLAM,
Defendants
: MECHANIC'S LIEN
STATEMENT OF MECffANrC'S LIEN CLAIM
Bobbie D. Stevenson, Plaintiff, Sub-Contractor, files this Mechanic's Lien by and through
pis attorney Dirk E. Berry, Esquire, as a Sub-Contractor pursuant to the Mechanic's Lien Act of
1963,49 P.S. ~1101 et seq., against the buildings and premises herein described and the cmt1age
respectfully appurtenant, for the payment of $6,430.00(six thousand four hundred thirty dollars)
together with the interest due him as Sub-Contractor in the erection and construction of the
several buildings. The following is a statement of this claim:
L The ClaimantIPlaintiff is Bobbie D. Stevenson of 704 Erford Road, Camp Hill,
Cumberland County, Pennsylvania 17011.
2. The owner of the buildings and premises against which this lien is filed is Robert L.
Slagle, Farinelli Construction, Inc., 501 Wilson Lane, Mechanicsburg, Cumberland County,
Pennsylvania 17055, John Knaub, Developer, 500 Wilson Lane, and Alan L. Hellam and Kathleen
M. Hellam, 205 and/or 107 Lantzy Road herein called "Owners."
3. Owners Alan L. Hellam and Kathleen M. Hellam are recorded on various documents as
having either address 205 Lantzy Road or 107 Lantzy Road. The 107 Lantzy Road address is
used in a deed that may have transferred sole ownership to the Hellams from Slagle and Knaub in
June of 1999.
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4, The contractor is Bill Seiple Building and Design, 1200 Faimont Drive, Dauphin
Coupty, Harrisburg, Pennsylvania 17H2, herein called "Contractor." By contract, the Contractor
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contracted to construct the buildings described as follows: 546 Harvest Lane, Cumberland
County, ~y1echanicsburg, Pennsylva....ua, also known as lot 3-5 Deer PL8.ven phase 2.
5. The developer is John Knaub of 500 Wilson Lane who appears to be a co-owner with
Bill Seiple in the Deer Pillven Development in which the lot at issue is located. The developer has
contracted to construct the buildings described as 546 Harvest Lane, Cumberland County,
Mechanicsburg, Pennsylvani~ also kno\rvn as lot 3-5 Deer Haven phase 2.
6. The Claimllnt's claim is for the labor and materials furnished under the contract entered
into between the Contractor and the Claimant, by which the Clai..~t contracted to provide labor
and materials for carpentry and construction work for 546 Harvest Lane, Mechanicsburg,
Cumberland County, Pennsylvania, also known as lot 3-5 Deer Haven plmse 2. As recorded h'1
Plan Book 72, page 101.
7. The sum of $6,430.00, together with interest is due Lite Claimant on the contract with
the Contractor.
8. The work. and materials averred in paragraph four and five were done or furnished
from August 18, 1999 to October 3, 1999. The work was invoiced in prior claims through
October 2, ] 999.
9, The work was done and the materials furnished in the construction of the buildings as
described in paragraphs four, five and six which were located on the land as described in those
paragraphs.
] O. The Claimant's intention to file a Mechanic's Lien claim against the buildings and land
was served by mailing the notice to Robert L. Slagle at 501 Wilson Lane, Mechanicsburg,
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PennsylvllJlia and Bill Seiple at 1200 Fairmont Drive, Harrisburg, Pennsylvania, who had
represented themselves as the oV..~ers to Plaintiff as of that time,
Respectfully submitted,
.W~
Dirk E. Berry, Esquire
7 Irvine Row
Carlisle, PA 17013
(717) 240-0296
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I verify that the statements made herein are true and correct to the best of my knowledge
and belief I understand that false statements herein are made subject to the penalties of 18 Pa.
C.S, 94904, relating to unsworn falsification to authorities.
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BOBBIE D. STEVENSON,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
: NO. 2000-604 MLD Term
ROBERT L. SLAGLE,
JOHN KNAUB,
ALAN L. HELLAM and
KATHLEEN M. HELLAM,
Defendants
: MECHANIC'S LIEN
PRAECIPE FOR WITHDRA W AI, OF MECHANIC'S T ,TEN
AND DISCONTINUANCE OF ACTION
To the Prothonotary:
Kindly file this Praecipe in the above captioned matter as a withdrawal of the Statement
of Mechanic's Lien and a discontinuance of the action therein.
Respectfully submitted,
Tho ~w om" of J,m" K. J,"", E.,oire
jQtrZ
Dirk E. Berry, Esquire
7 Irvine Row
Carlisle, PA 17013
(717) 240-0296
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