HomeMy WebLinkAbout10-6257
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
TRACY SMITH, NO. ID-W57 MLD
Claimant
c=
VS. r'00 C/3 s-n-
STEVEN L. BROWN and JANET BROWN, Mechanics Lien (tn `C)
Husband and Wife, -n
Owners
MECHANICS' LIEN CLAIM
Claimant, Tracy Smith, by and through the undersigned counsel, files this claim against the
improvements and property at 596 Baltimore Pike, in Cumberland County, Pennsylvania (UPI #:
40-14-0142-003A) for the payment of a debt due to the Claimant as a contractor for electrical
services (labor and materials) furnished by the Claimant in the alteration and repair of the
improvements said property. In support of the claim, the Claimant makes the following statement:
1. The Owners of the property are Steven L. Brown and Janet Brown, husband and wife, with
an address at 596 Baltimore Pike, Gardners, Cumberland County, PA 17324 (UPI #: 40-14-
0142-003A).
2. The improvement and the property which are subject to this claim are a
modular/prefabricated home with appurtenant land at 596 Baltimore Pike, in Cumberland
County, Pennsylvania (UPI #: 40-14-0142-003A).
3. The labor and material relating to the electrical services for which the debt is due were
furnished for the agreed sum of $2,258.50 pursuant to a written bid proposal furnished by the
cETTLE & vELTRI Claimant to the Owners dated June 24, 2010, which was orally agreed to by the Owners. A
ATTORNEYS AT LAW
13 East Market Street
York, PA 17401 true and correct copy of said bid proposal is attached hereto, marked as Exhibit "A", and
(717) 854-4849 *1Q.oo Po ATM
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4.
Incorporated herein by reference thereto.
The labor and materials for which the debt is due consisted of electrical services. A detailed
description of those services are listed in the bid proposal as well as the Claimant's invoice
dated June 27, 2010.
5
6.
7
The Claimant completed his work at the property on June 26, 2010, which is less than six
months before the filing of this claim.
The Claimant invoiced the Owners for services rendered by invoice dated June 27, 2010. A
true and correct copy of said invoice is attached hereto, marked as Exhibit "B", and
incorporated herein by reference thereto.
The Claimant has been paid nothing and there is due and owing a balance of $2,258.50, for
which amount a claim is made.
Respectfully submitted,
GETTLE & VELTRI
by:
i'
f
GETTLE & VELTRI
ATTORNEYS AT LAW
13 East Market Street
York, PA 17401
Jeffrey e tl , s u' e
I.D. No. 7
13 East reet
York, Pennsylvania 17401
Telephone (717) 854-4899
Attorney for Claimant
(717) 8544899
VERIFICATION
GETTLE & VELTRI
ATTORNEYS AT LAW
13 East Market Street
York, PA 17401
(717) 854-4899
I, Tracy Smith, do hereby certify that the facts contained in the foregoing Mechanics Lien
Claim are correct to the best ofmy knowledge, information and belief and that I understand that false
statements made herein are made subject to penalties of 18
Pa. C. S. Section 4904 relating to unsworn
falsification to authorities.
Dated: -Stib-4m &'r a9 , 2010
By'
T y
f
FILEO-Q~~'IYE
Q THE PROTHQ~+QTAR'!
2Q10 OCT -6 P~1 3~ 17
~'l.1MBt;RLAPJD CQ~J~T'~
~~~d~Sl'~.NANIf'~
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
TRACY SMITH,
vs.
Claimant
STEVEN L. BROWN and JANET BROWN,
Husband and Wife,
Owners
NO. 10-6257 MLD
Mechanics Lien Claim
AFFIDAVIT OF SERVICE
Before rne, a Notary Public, personally appeared Donald E. Gettys, Constable, who, being
duly sworn according to law, deposes and says that he served a copy of the Notice to Owner of Filing
of Mechanics Lien with attached Mechanics Lien Claim in the above-captioned matter on the
Owners, (Steven L. Brown and Janet Brown), by personally handing two copies to the person/agent
in charge on the 3 day of O ~-~ 2010, at o'35f A.M./~M. at
DONALD E. GETTYS, Cons
•= SWORN and SUBSCRIBED
before me this _~ day of
(~~'~, 2010.
GETTLE & VELTRI `' --~~~'G~ /Q(
ATTORNEYS AT LAW //~~LL..
's ~S` Market street NOTARY PUBLIC
York, PA 1740]
(717)854-4899
NOTARIAL SEAL
PAULINE H. HUETER, Notary Public
City of York, York County, PA
M Commission Expires Feb. 26, 2013
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
TRACY SMITH,
Claimant
vs.
STEVEN L. BROWN and JANET BROWN,
Husband and Wife,
Owners
NO. 10-6257 MLD
Mechanics Lien Claim
TO: Steven L. Brown
;! 596 Baltimore Pike
Gardners PA 17324
Janet Brown
596 Baltimore Pike
Gardners PA 17324
NOTICE TO OWNER OF FILING OF MECHANICS' LIEN CLAIM
You are notified that a mechanics' lien claim in the amount of $2,258.50 has been filed on
~~
behalf of Tracy Smith, against the property at 596 Baltimore Pike, in Cumberland County,
~;
(I Pennsylvania (UPI #:40-14-0142-003A) of which you are the owners or reputed owners. The
~l
'' claim was filed on September 30, 2010, in the Court of Common Pleas of Cumberland County,
;~ Pennsylvania to docket number 10-6257 MLD. A true and correct time-stamped copy of the claim
4J
~..
is attached.
;ETTLE & VELTRI
ATTORNEYS AT LAW
I3 East M•rrkel Street
York. PA 17401
by:
Jeffrey ~~. t , E q >re
I.D. N .
13 Eas t Street
York, Pennsylvania 17401
Telephone (717) 854-4899
Attorney for Claimant
(717)fl54-4899
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
TRACY SMLTH,
vs.
Claimant
STEVEN L. BROWN and JANET BROWN,
Husband and Wife,
Owners
NO. Ip- (va5~ MLD
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Mechanics Lien~'l~im~
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MECHANICS' LIEN CLAIM ~'
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Claimant, Tracy Smith, by and through the undersigned counsel, files this claim against the
improvements and property at 596 Baltimore Pike, in Cumberland County, Pennsylvania (UPI #:
('; 40-14-0142-003A) for the payment of a debt due to the Claimant as a contractor for electrical
~,
~;1 services (labor and materials) furnished by the Claimant in the alteration and repair of the
improvements said property. In support of the claim, the Claimant makes the following statement:
1. The Owners of the property are Steven L. Brown and Janet Brown, husband and wife, with
an address at 596 Baltimore Pike, Gardners, Cumberland County, PA 17324 (UPI #: 40-14-
0142-003A).
2
i
~~ 3
~;
ETTLE & VELTRI I~
TTORNEYS AT LAW ~
3 East Market Street fl.
York. PA 17x01 j
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(7i~~asa-aeon
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The improvement and the property which are subject to this claim are a
modular~'prefabricated home with appurtenant land at 596 Baltimore Pike, in Cumberland
County, Pennsylvania (UPI #: 40-14-0142-003A}.
The labor and material relating to the electrical services for which the debt is due were
furnished for the agreed sum of $2,258.50 pursuant to a written bid proposal furnished by the
Claimant to the Owners dated June 24, 2010, which was orally agreed to by the Owners. A
true and correct copy of said bid proposal is attached hereto, marked as Exhibit "A", and
incorporated herein by reference thereto.
I. The labor and materials for which the debt is due consisted of electrical services. A detailed
description of those services aze listed in the bid proposal as well as the Claimant's invoice
dated June 27, 2010.
5. The Claimant completed his work at the property on June 26, 2010, which is less than six
months before the filing of this claim.
6. The Claimant invoiced the Owners for services rendered by invoice dated June 27, 2010. A
true and correct copy of said invoice is attached hereto, marked as Exhibit "B", and
incorporated herein by reference thereto.
7. The Claimant has been paid nothing and there is due and owing a balance of $2,258.50, for
which amount a claim is made.
ETTLE & VELTRI
ATTORNEYS AT !AW
3 East Market Street }
York. PA 17401
Respectfully submitted,
GETTLE & VELTRI
York, Pennsylvania 17401
Telephone (717) 854-4899
Attorney for Claimant
by: 4
Jeffrey a tl , u' e
I.D. No. 1 7
13 East reet
(717 xs4-ax<~~>
VERIFICATION
I, Tracy Smith, do hereby certify that the facts contained in the foregoing Mechanics Lien
Claim are correct to the best of my knowledge, information and belief and that I understand that false
statements made herein are made subject to penalties of 18 Pa. C.S. Section 4904 relating to unsworn
falsification to authorities.
By:
T y Smith
Dated: J~dj~-ems Der ~~ , 2010
ETTLE & VELTRI
TTORNLYS AT LAW
~ East Markey Stmt
York, PA 17401
(717)8i4~3899
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
PENNSYLVANIA
TRACY SMITH,
Vs.
NO. 2010-6257 MLD
Claimant
STEVEN L. BROWN and JANET BROWN,
Husband and Wife,
Owners
TO-THE PROTHONOTARY:
4? V
Mechanics Lien I*i
r'
ro °
ANICS' LIEN CL c
o r?
..c
Please enter satisfaction of the mechanics' lien claim in the
GETTLE &
GETTLE & VELTRI
ATTORNEYS AT LAW
13 East Market Street
York, PA 17401
(717) 854-4899
Dated:
by: e
Jeffrey tt quire
I.D. N 27
13 Eas treet
York, Penns lvania 17401
Telephone (717) 854-4899
Attorney for Claimant
%R. sc
ct- * a.
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action.
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Qgq9
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUN
PENNSYLVANIA
TRACY SMITH, NO. 2010-6257 MLD
Claimant
Vs.
STEVEN L. BROWN and JANET BROWN, Mechanics Lien Claim
GETTLE & VELTRI
ATTORNEYS AT LAW
13 East Market Street
York, PA 17401
a
I, Jeffrey A. Gettle, Esquire, do hereby certify that on the day f August,
2012, served by U.S. Mail, postage pre-paid, a copy of Praecipe/Order to Satisfy Mecha ics' Lien
Claim, upon the following attorneys and/or individuals of record:
Husband and Wife,
Owners
CERTIFICATE OF SERVICE
Steven L. and Janet L. Brown
596 Baltimore Pike
Gardners PA 17324
Respectfully submitted,
GETTLE & VELTRI
by:
7A. t 1 ,' e
N 6 7
k et
York, Pennsylvania 17401
Telephone (717) 854-4899
Attorney for Claimant
(717) 854-4899