HomeMy WebLinkAbout10-2166to -Alw M,LD
STIPULATION AGAINST LIENS
THIS AGREEMENT made the 1,55- ?aG?
between Tuckey Mechanical Services, Inc.' of 140 Stover Dr., Carlisle, PA
hereinafter referred to as Contractor,
AND
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Patricia Melodini, of 1406 Simpson Ferry Rd., New Cumberland, PA., 17070
hereinafter referred to as Owner, whereby the former undertook and agreed to furnish
and install a gas fired hot water boiler at 1406 Simpson Ferry Rd., New Cumberland,
PA, 17070 Cumberland County.
NOW THEREFORE, THIS AGREEMENT WITNESSETH: That the said Contractor, for
and in consideration of the sum of One Dollar ($1.00) to and in hand paid by Owner, the
receipt whereof is hereby acknowledged, and the further consideration mentioned in the
Agreement aforesaid, for themselves and their subcontractors, and all parties acting
through or under them, covenant and agree that no mechanic's liens or claims shall be
filed or maintained by them or any of them against the said buildings and the lot of
ground appurtenant thereto for or on account of any work done or materials furnished
by them or any of them under said contract or otherwise, for, towards, in, or about the
erection and construction of the said buildings on the lot above described 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 of lien, shall be an independent covenant.
WITNESS our hands and seals this /-1" 64 ek
Signed, Sealed and Delivered
in the Presence of
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Patricia Melodini
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Ken Tucke
(Tuckey Mechanical Services, Inc.)
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For Petitioner
1INAIi:C, 'IPvad Address:
form 3 • 183
Nathan Edward Vaillette
(IN THE COURT OF COMMON PLEAS OF
PLAINTIFF,
V.
Sarah Adele McGaughey
DEFENDANT.
Cumberland
(CIVIL DIVISION
COUNTY, PENNSYLVANIA
(NO: lo- aZ 14, 7
NOTICE TO DEFEND AND CLAIM RIGHTS
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YOU HAVE BEEN SUED IN COURT. IF YOU WISH TO DEFEND AGAINST THE CLAIM qeT
FORTH IN THE FOLLOWING PAGES, YOU MUST TAKE PROMPT ACTION. YOU ARE ?
THAT IF YOU FAIL TO DO SO, THE CASE MAY PROCEED WITHOUT YOU AND A DECREE?F
DIVORCE OR ANNULMENT MAY BE ENTERED AGAINST YOU BY THE COURT. A JUDGMENT
MAY ALSO BE ENTERED AGAINST YOU FOR ANY OTHER CLAIM OR RELIEF REQUESTED IN
THESE PAPERS BY THE PLAINTIFF. YOU MAY LOSE MONEY OR PROPERTY OR OTHER
RIGHTS IMPORTANT TO YOU, INCLUDING CUSTODY OR VISITATION OF YOUR
CHILD(REN).
WHEN THE GROUND FOR THE DIVORCE ARE INDIGNITIES OR IRRETRIEVABLE
BREAKDOWN OF THE MARRIAGE, YOU MAY REQUEST MARRIAGE COUNSELING. A LIST OF
MARRIAGE COUNSELORS IS AVAILABLE IN THE OFFICE OF THE PROTHONOTARY AT
PENNSYLVANIA.
IF YOU DO NOT FILE A CLAIM FOR ALIMONY, DIVISION OF PROPERTY, LAWYERS FEES,
OR EXPENSES BEFORE A DIVORCE OR ANNULMENT IS GRANTED, YOU MAY LOSE THE
RIGHT TO CLAIM ANY OF THEM.
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.
LAWYERS REFERRAL SERVICE
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form 4 • 185
Nathan Edward Vaillette (IN THE COURT OF COMMON PLEAS OF
PLAINTIFF,
( Cumberland COUNTY, PENNSYLVANIA
V.
(CIVIL DIVISION
(
Sarah Adele McGaughey (NO:
DEFENDANT.
COMPLAINT IN DIVORCE
AND NOW COMES, the Petitioner, Nathan Edward Vaillette by FILING PRO SE,
who files this Complaint in Divorce a statement of which is as follow:
1. The Petitioner is Nathan Edward Vaillette an adult individual currently residing at
108 W South St., Carlisle PA 17013
2. The Defendant is Sarah Adele McGaughey an adult individual currently residing at
108 W South St., Carlisle PA 17013
3. The Petitioner has been a bona fide resident of the Commonwealth of Pennsylvania for at least six (6) months
previous to the filing of this Complaint.
4. The Petitioner and Respondent were married on date: August 6 , 2004 in the State of Oregon
5. There (is) are 0 child(ren) born of this marriage. Name(s)
Birthdate(s):
6. Neither party is a member of any branch of military
7. The marriage is irretrievably broken.
8. The Petitioner, Nathan Edward Vaillette , respectfully requests this Honorable Court
to a grant this Divorce pursuant to Section 3301 (c), or in the alternative, Section 3301 (d) of the Divorce Code.
Respe ul submitte`d, ?
Name: Nathan Edward Vaillette
Full Address: 108 W South St., Carlisle PA
17013
Telephone: (360) 593 3979
I verify that the statements made in the Complaint are true and correct. I understand that false statements made
herein are subject to penalties of 18 Pa. C.S.A. Section 4904, relating to unsworn falsification to authorities.
Dated: March 29, 2010
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form 5 • 187
Nathan Edward Vai l lette (IN THE COURT OF COMMON PLEAS OF
PLAINTIFF,
( Cumberland COUNTY, PENNSYLVANIA
v
Sarah Adele McGaughe
DEFENDANT.
NOTARY PUBLIC
COMMONWEALTH OF PENNSYLVANIA )
) ss:
COUNTY OF: )
Before me, the subscriber, a Notary Public in and for said Commonwealth and County, per-
sonally appeared Nathan Edward Vaillette , who being duly sworn
according to law, deposes and says that the facts contained within the foregoing Complaint in Divorce
are true and correct to the best of his/her knowledge, information, and belief, and that he/she is
authorized to make this Affidavit.
Nathan Edward Vaillette
Name
Sworn to and subscribed before me this
o(? day of u I `O , 20t 4
(
(CIVIL DIVISION
(
(NO:
AFFIDAVIT
OTAW1 SEAL
COYLE, NOTARY PUBLIC
ISLE, CUMBERLAND CO. PA
WE: EXPIRES OCTOBER 17, 2010