Loading...
HomeMy WebLinkAbout00-05261 .~,=~""~~' ~, _',~=,,>o<l, ~- ~~ ~ ,. - J b_o illJliii. -~ "-"~"~- "~~. - "'t",~..!~"._~," 44-ST-Slipuleljen AgoiflS' liens Henry Hell, Inc.. Indiono, Po. c:20()().- 5'Ju / (Y1 L P Stipulation Against Liens THIS AGREEMENT made the by and between day of July .xM.k 2000. Sigman's Home Sales hereinafter referred to as Contractor, AND C. Scott Wickard and Ronda L. Wickard G- I~": tt~",~~\!~~ ~ 1\ L 1 \ _'" ~ >~ :?~~~f~r-rejerr~~o as Owner,. whereby theformer undertook and agreed to erect and construct a tlwe-11-fng ,"._,~_.~-----~-"",,.,-,"-.,~~ on. that certain lot of ground situate in Carlisle, Lower Frankford Township, Pennsylvania, 17013 having an address of 698 Burgners Road, Carlisle, PA 17103. NO W THtREFORf:, TH/~ AGRIfEMENT WITNESSETH: That the said Contractor,for and in consideration of the sum of($l.00)Dollar to Slgman s Home Sales in hand paid by Owner, the receipt whereofis hereby acknowledged, and the further consideration mentioned in the agreement a oresai or themseltJes and their subcontractors, and all parties acting through or under them, covenant nd agr~NhncJ Inm"ll' iens or laims shall be filed or mai!'tained by them or any. of the... against the said uil~g,,~ !mDVlJll"~i'lfPpu enant thereto for or on account o['any work done or materials furnished by hffln.~ ~=.~:ialdY:lWt ct or otherwise, for, towards, in, or about the erection and construction of t lSfJiul!JJiiiJa ~~ ~t":. 0 "'<i ~ ribed, and the said Contractor, for themselves, their subcontractors and others under them hereby expressly waive and relinquish the right to have, file, and maintain any mechanic's liens or claims against the said buildings or any of them, and agree that this instrument, waiving the right ollien, shall be an independent covenant. WITNESS our hands and seals this ]<I9' 20QO ~eb. J;ealrb anb lIIdiuerrb ~ in lIIe lIlreamee uf ~~ -~~.\~. e , ~ . . LJ.-hV!iJ:le ,~~I1E!!t~'U~"H"-"'i.-_ ' - c-. ,," " .; ""'-'~I,'I;,",J"'~__-__,,-,, '~u_"__~d-,'" _ - -c'~ '~'_''''.'i<'-'"rl_,.j;ei-~HIii~'-i!l;~K~!IliJ:_<w<,,~~~,fi_,,_\!MRo~~~.~llt '-'"~1._I!lJl'iMr'i'illjfU ACKNOWLEDGMENT FOR INDIVIDUAL State of Pennsylvania Iss. I Cauntyof Cumberland On this, the undersigned officer, personally appeared day of July ,19. 20QCbefore me the C. Scott Wickard and Ronda L. Wickard known to me (or satisfactorily proven) to be the person s whose name s subscribed to the within instrument and acknowledged that they executed the same for the purposes therein contained. In witness whereof. I hereunto set my hand and official seal. ..(~ N. yy(lHYY1/WLQA-t ~ NOTARIAL SEAL KATHY L. MUMMERT. NOTARY PUBLIC CITY OF CARLISLE, CUMBERLAND CO., PA MY COMMISSIONEXPIJlES AUGUST II, 2003 Title of Officer ACKNOWLEDGMENT FOR CORPORATION State of Pennsylvania } ss. C"_ ;5 () ,--. j;:: County of Cumberland "1:Jf/ S rn,-:,. .---- :j<tt200Q beli~me, ~~ota'r "- . known to me to be the periifit fpnQseofU/,me is , and who acknowlerlgelJ!iinself tit-be the'; 1" .,J Sigman's Home Sales z~-:;.;'corpai:.atio1J.~> and that he a.s such . being authorized to Jin'iti:exec1f!.ed t~e,: foregoing statementfor the purposes therein contained by signing the name of the corporation by himse~ -:'0 ~:: -< \0 ~ On this, the Public. personally appeared subscribed as day of July of In witness whereof. I have hereunto set my hand and notarial seal. ~!(j cJ. "'frlIJJ(YlIYhO;1 Notary ubi,e NOTARIAL SEAL KATHY L. IIUIIMEIIt lIOTARY PUBLIC City OF CAllLlSLE,CiltliEftWlO CO., I'A. MY COMMISSION EXPIRES AUGUST 11 2003 .-" ()~ 1Jl Cl .... C v ~'=> ~Q.. Q~ ~ ~--- J:t:-~ ~:) - n <Y.-" -1J) .,. '-"7?~;E-T"'C--, ' , ~"',' ,"'/." .", ,;.. ~ " . '. ";"""'."-',.' """, ~",?",---,.--- ---'.- 'j',,', . Michael J. Gagnon IN THE COURT OF COMMON PLEAS Of CUMBERLAND COUNTY, PENNSYLVANIA Plain tiff v. CIVIL ACTION - LAW CUSTODY Defendant NO.: {V-!5J:2&(j &;J ORDER OF COURT Linda M. Gagnon AND NOW, , 2000, upon consideration of the attached complaint, it is hereby directed that the parties and their respective counsel appear before , the conciliator, at on the day of ,2000, at m., for a Pre-Hearing Custody Conference. At such conference, an effort will be made to resolve the issues in dispute; or if this cannot be accomplished, to define and narrow the issues to be heard by the court, and to enter into a temporary order. All children age five or older may also be present at the conference. Failure to appear at the conference may provide grounds for entry of a temporary or permanent order. FOR THE COURT, By: Custody Conciliator ii Ii Ii,. ~ , " 11 ~ ,I 'I j j :J Ij ~ I~ " [, " !~ The Court of Common Pleas of Cumberland County is required by law to comply with the Americans with Disabilities Act of 1990. For information about accessible facilities and reasonaable accommodations available to disabled individuals having business before the court, please contact our office. All arrangements must be made at least 72 hours prior to any hearing or business before the court. You must attend the scheduled conference or hearing. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP. CUMBERLAND COUNTY BAR ASSOCIATION 2 Liberty Avenue Carlisle, PA 17013 (717) 249-3166 ,>",...';, """"",'!J' - . -"'-"-"O'~I;'.--,,~.:;'" T ."",,, "-'.^'.",,' ';;.; -' ,"' ,- <'-~;'-' ;.., "" '," > , Michael J. Gagnon !IN THE COURT OF COMMON PLEAS Of iCUMBERLAND COUNTY, PENNSYLVANIA Plaintiff v. jCIVIL ACTION - LAW !CUSTODY Defendant iNO.: Linda M. Gagnon COMPLAINT FOR CUSTODY 1. The plaintiff is Michael J. Gagnon, residing at 81 south 36th Street, Camp Hill Pa. 17011. 2. The defendant is Linda M. Gagnon, residing at 224 Dauphin Street, Enola, P A 17025. 3. Plaintiff seeks custody of the following child: Name Present Residence Age Michael Lloyd McDaniel 224 Dauphin St. Enola, Pa 13 The child was born out of wedlock. The child is presently in the custody of Linda M. Gagnon who resides at 224 Dauphin Street, Enola, Pa. 17025. During the past five years, the child has resided with the following persons and at the following addresses: List All Persons List All Addresses Dates LindaM. Gagnon and Michael J. Gagnon 2019 Dickinson Ave., Camp Hill, PA 17011 Jan. 1994 - Aug 1997 Linda M. Gagnon 2019 Dickinson Ave., Camp Hill, PA 17011 August 1997 - April 1998 Linda M. Gagnon 224 Dauphin Street, Enola, Pa. 17025 April 1998 to Present The mother of the child is Linda M. Gagnon, currently residing at 224 Dauphin Street, Eno1a, Pa. 17025. She is Divorced (married, divorced, single). The father ofthe child is j'1,'..J.,p_}McDaniel, DECEASED. He is (married, divorced, single). 4. The relationship of plaintiff to the child is that offormer Stepfather. The plaintiff currently resides with the following persons. Name Relationship NONE 5. The relationship of defendant to the child is that of Mother. The defendant currently resides with the following persons: 2 m~" _" '0"'" 1"-' ",_ ____, -'''>. -~"""'-'-7;' '.' - , ~ ,"~, "K,~'-"~_:,_., (_;",_,;'^: ~':'_-:_ - -'-, -"-,~, ~- -~"; Name Relationship Crystal Fentiman Daughter Michael Lloyd McDaniel Son 6. Plaintiff has not participated as a party or witness, or in another capacity, in other litigation concerning the custody of the child in this or another court. The court, term and number, and its relationship to this action is: Plaintiff has no infonnation of a custody proceeding concerning the child pending in a court of this Commonwealth. The court, term and number, and its relationship to this action is: Plaintiff does not know of a person not a party to the proceedings who has physical custody of the child and claims to have custody or visitation rights with respect to the child. The name and address of such person is: 7. The best interest and permanent welfare of the child will be served by granting the relief request because Linda M. Gagnon is currently having difficulty with her daughter, Crystal Fentiman causing financial and emotional strain in the living relationship between Crystal Fentiman and Michael Lloyd McDaniel, Half-brother and Half-sister; 3 , . , , - >". ('~ '~ " ,','.- - ., WHEREAS, it would be in the best interest of the child for Michael Lloyd McDaniel to live with his former step-father for emotional support, role model, and continuation of nurturing provided by step-father for the past 12 years, The Plaintiff has been a primary care giver to the child for twelve years until the divorce between Plaintiff and Defendant. The Plaintiff has a strong, loving parental bond with the child that is necessary to provide guidance and discipline in the child's nurturing. 8. Each parent whose parental rights to the child have not been terminated and the person who has physical custody of the child have been named as parties to this action, All other persons, named below, who are known to have or claim a right to custody or visitation of the child have been given notice of the pendency of this action and the right to intervene: Name Address Basis of Claim The Child's biological father is deceased. Wherefore, plaintiff requests the court to grant Plaintiff primary physical custody and Plaintiff and Defendant Joint Physical and Legal custody of the child, d ervin D. Smith, Esquire Attorney for Plaintiff Pa. Atty. LD, No, 72677 30 Valley Drive Annville, PA 17003 717.838.8393 4 i> w ~;, '" . , Michael J. Gagnon IN THE COURT OF COMMON PLEAS Of CUMBERLAND COUNTY, PENNSYLVANIA Plaintiff v. CIVIL ACTION - LAW CUSTODY Defendant NO.: Linda M. Gagnon I verify that the statements made in this Complaint are true and correct. I understand that false statements herein are made subject to the penalties of 18 Pa. Cons. Stat. 9 4904 relating to unsworn falsification to authorities. ervin D. Smith, Esquire Attorney for Plaintiff Pa. Atty. LD. No. 72677 30 Valley Drive Annville, P A 17003 717.838.8393 Date: 7/ Iff'" /2P~~ ~~ -- ..'-.' .. c,,,"_" ,_,,_,_ . _.'".n_ '. f "_,,- _,.- ~L' "- ,-~ . " ,.,-.--, '~ ",-.., Michael J. Gagnon 1IN THE COURT OF COMMON PLEAS Of :CUMBERLAND COUNTY, PENNSYLVANIA v. Plaintiff [CIVIL ACTION - LAW [CUSTODY Defendant ,NO.: t!))-$;)&O ~ Linda M. Gagnon ORDER OF COURT AND NOW, this ~ ~ 3/ dayof . 2000, upon presentation of the foregoing Agreement, said Agreement is approved and made the Order of Court. J. M~. ' w' ."" ,,""'''''',~' '''''~' '~7"":~H "';.~"! '^' , """"""'J;!'~"},,,. !-:, [','- " 00 .JUt ~3 I , -r' ')',f>1 j j t'~ i I r;,., 1. ."~i ,J' ~.. '"", " '. .,."',,')'), {'l 1.\.":-:'''''\': i-:, t.j'jVfj'J VVln,.",_.",. , ". '.1-' "\1'''''\/1 '{A'~,;!.ij f"\:l\!i iv I LYl"li \I:! . 'C,.'Cu'. """'-'-,'""'7""F". d.,..' "." .--;,,~:'f:-"~- , '" ,~ """:""" eJ.J" .,~,.~, ~ ~} 1 '} ""1,,-" .. '," - ,-',,',"~ 'i"'.',I'" ,,',n ~~~,' " .,-' ';"",...':"'1';.,'-,'' .'-", ,'~.~---"'., -'eM Michael J. Gagnon iIN THE COURT OF COMMON PLEAS Of iCUMBERLAND COUNTY, PENNSYLVANIA i;i Petitioner Respondent i CIVIL ACTION - LAW 'CUSTODY iNO.: v. Linda M. Gagnon PETITION FOR ENTRY OF AGREEMENT 1. Petitioner is Michael J. Gagnon, who resides at 81 South 36th Street, Camp Hill, 17011. 2. Respondent is Linda M. Gagnon, who resides at 224 Dauphin Street, Enola, P A. 3. The Linda M. Gagnon is the natural parent and Michael J. Gagnon is the former step- father of Michael Lloyd McDaniel age 13. 4. On July 18, 2000 the parties entered into an agreement regarding Custody of the child which is attached hereto and incorporated herein as Exhibit "A". , i ~ [., il 5. The best interest of the child(ren) will be served by the Court's entering said custody agreement as set forth at Exhibit" A" as an Order of Court. 'i 'J ;~ WHEREFORE, petitioner requests this Court to approve the foregoing agreement and make it an order of Court. Respectfully submitted, ~""1~ Attorney for Petitioner Pa. Atty. J.D. No. 72677 30 Valley Drive Annville, P A 17003 717.838.8393 , "("""!7o~'";;;'r"'''' .:- '- (, '.-':'"C'..,'.' '0 . _ _" "," ~'~ -j;" ;e':"--" i , 'n"' '.,~ -~ '- '- __ vue Plaintiff jIN THE COURT OF COMMON PLEAS Of jCUMBERLAND COUNTY, PENNSYLVANIA j CIVIL ACTION - LAW jCUSTODY iNO.: I I: Michael J. Gagnon v. Linda M. Gagnon Defendant STIPULATED AGREEMENT FOR CUSTODY AND NOW, this J~+J." day of J(A j Y , 2000 it is agreed by and between Michael J. Gagnon, Plaintiff and Linda M. Gagnon, Defendant, that the Court enter a Custody determination and order that Michael J. Gagnon and Linda M. Gagnon have Joint Legal and Physical Custody of the child: Michael Lloyd McDaniel, with primary Physical Custody to be with Michael J. Gagnon. IT IS FURTHER AGREED by and between the parties that: Linda M. Gagnon is not to pay child support but will contribute to the economic expenses of the child, Michael Lloyd McDaniel, as her financial status will allow. Linda M. Gagnon will maintain medical coverage and provide orthodontic payments for Michael Lloyd McDaniel. Linda M. Gagnon is to have unlimited visitation and contact with the child. Michael J. Gagnon agrees to relinquish primary Physical Custody to Linda M. Gagnon upon written notice from Linda M. Gagnon that she again is capable to financially support and provide the nurturing care for Michael Lloyd McDaniel. ~~~?--~~ M' hael J. Ga n, aintif dt~11L-,~ Linda M. Gagnon, Defendan EXHIBIT "A" ',"'~,:~ . ", ,=" ~ ,'" " " on. ;;,,' ."'" ',' "',,'-,''u'' " , >;,o';:-,,~ >,,,;' ,eel"':"',;, _~__ L,' '-"- Michael J. Gagnon IN THE COURT OF COMMON PLEAS Of CUMBERLAND COUNTY, PENNSYLVANIA Plaintiff v. CML ACTION - LAW CUSTODY Defendant NO.: Linda M. Gagnon I verify that the statements made in this Custody Agreement are true and correct. I understand that false statements herein are made subject to the penalties of 18 Pa. Cons. Stat. S 4904 relating to unsworn falsification to "<>1ho",,,. a: r:;.L ". M' ael J. G , tiff ervin D. Smith, quire Attorney for Plaintiff Pa. Atty. LD. No. 72677 30 Valley Drive Annville, P A 17003 717.838.8393 Date: '7/ J r/ 2 ",p :',.:;..;;' ,,~,-,: '~, , ,- ,- - ,-, -,--- ~ ~'-." '''-.~-'' -" Michael J. Gagnon IN THE COURT OF COMMON PLEAS Of CUMBERLAND COUNTY, PENNSYLVANIA Plaintiff v. CIVIL ACTION - LAW CUSTODY Defendant NO.: Linda M. Gagnon I verify that the statements made in this Custody Agreement are true and correct. I understand that false statements herein are made subject to the penalties of 18 Pa. Cons. Stat. 9 4904 relating to unsworn falsification to authorities. d~J-lfa ~ Linda M. agnoll, D ndant w;m+ilgA Date: tflS,koo CI ' -, ~ - "'c: :'i I:i 11 I,' I. I:: ~ ,~-