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HomeMy WebLinkAbout07-1229f 4 TOWNSHIP OF HAMPDEN, IN THE COURT OF COMMON PLEAS OF Claimant CUMBERLAND COUNTY, PENNSYLVANIA V. NO. 2007 - 1 a- MLD TERM RICHARD L. MAUS, Owner MUNICIPAL LIEN DOCKET MUNICIPAL CLAIM Township of Hampden ("Claimant") files this Municipal Claim against Richard L. Maus ("Owner") and all that certain tract of land including improvements thereon, owned by the Owner and described as follows: 4430 Sears Run Road Mechanicsburg PA 17050 Tax Property Map: 10-18-1314 Parcel No.: 012 for unpaid sewer and/or trash services rendered from February 1, 2006 to February 28, 2007. Said services were rendered and charged pursuant to Hampden Township Code of Ordinances Chapter 18, Part 2 and/or Chapter 20, Part 1, as amended. Attached hereto is a statement of the kind and character of the services so rendered and the prices charged therefor, said statement being a true and correct copy of the Owner's account with the Claimant, which sum of $397.16 was duly assessed against the above Owner and premises beginning February 1, 2006 and for which sum, which includes interest, costs and penalties and in addition thereto attorney's fees pursuant to Hampden Township Code Ordinances Chapter 18, Part 2, Section 209.6 and Chapter 20, Part 1, Section 106.4, as amended, a lien is claimed against the above premises in accordance with the Municipal Authorities Act of LAW OFFICES SNELBAKER & BRENNEMAN, P.C. ( A. June 19, 2001, P.L. 287, 53 P. S. § 5601, et se q., as supplemented and amended and the Municipal Claims and Tax Lien Act of May 16, 1923, P.L. 207, 53 P.S. § 7101, et sea., as supplemented and amended. Township of Hampden By: Keith O. Brenneman, Esquire Snelbaker & Brenneman, P. C. Solicitor for Township of Hampden Date: March 6, 2007 -2- LAW OFFICES SNEL13AKER & BRENNEMAN, P.C. i F . 40, Customer Name: Customer # - Location ID - Tax Parcel - Property Map - Richard Maus 010424-000 10-18-1314 012 10-18-1314-012 CC SRV CL RT BALANCE BL 02 SW 02 $397.16 COMMONWEALTH OF PENNSYLVANIA) SS. COUNTY OF CUMBERLAND KEITH O. BRENNEMAN, ESQUIRE, being duly sworn deposes and says: that he is the Solicitor for the Township of Hampden, the above-named Claimant, and that the facts set forth in the foregoing Claim are true and correct to the best of his knowledge, information and belief. Keith O. Brenneman Solicitor, Township of Hampden Sworn to and subscribed before me this M ONWEALTH OF PENNSYLVANIA Notarial Seal Susan L MatraA Notary Pubk Madw iceburg Boro, grnberland County My Cornrnialiion E*kw Nov. K 2007 Member, Pennsylvania Association of Notaries LAW OFFICES SNELBAKER & BRENNEMAN, P.C. 6`l' day of March, 2007. n :' ?? L7 ? - ?.v ??r ? Y ' ? ?-r f7 r- ? ? .f-t ? _ ? ? a, 7 ? J " ? ? ? ? i 1 C.?i 1 ^ ,? 4? C.a? ",? WNSHIP OF HAMPDEN, Claimant v. L. MAUS, Owner IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. 2007 - 1229 MLD TERM : MUNICIPAL LIEN DOCKET PRAECIPE THEPROTHONOTARY: Please mark the Municipal Claim entered in the above-captioned action satisfied upon your docket and indices. SNELBAKER & BRENNEMAN, P. C. BY: Iv Keith O. Brenneman, Esquire 44 W. Main Street Mechanicsburg, PA 17055 (717) 697-8528 Solicitor for Hampden Township Date: October 5, 2007 LAW OFFICES SNELBAKER & BRENNEMAN, P.C. . } tl-D