HomeMy WebLinkAbout12-3223IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
SILVER SPRING TOWNSHIP AUTHORITY
5 WILLOW MILL PARK ROAD, SUITE #3
MECHANICSBURG, PA 17050
Plaintiff,
vs.
DWAYNE A. DEIMLER
224 HOGESTOWN ROAD
MECHANICSBURG, PA 17050
PARCEL ID# 38-21-0289-005
Defendant
CIVIL DIVISION
No.: /01-3o1oZ3 MLD, ,
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MUNICIPAL CLAIM FOR SEWER RATES
TO: PROTHONOTARY
SIR/MADAM:
Silver Spring Township Authority, Cumberland County, Pennsylvania, by its attorneys
JAMES, SMITH, DIETTERICK & CONNELLY, LLP, hereby files its claim for the sewer rate
charged against the real estate hereinafter described, located in Silver Spring Township,
Cumberland County, Pennsylvania, and sets forth its claim as follows:
Statement of Claim
The name of the municipality by which this claim is filed is Silver Spring
Township Authority.
2. The Authority under and by virtue of which this sewer rate was charged is as
follows: (a) Section 4 of the Act of 1945, P.L. 382, 53 P.S. §306, Municipalities
Authorities Act of 1945, as amended; and (b) Resolution of Silver Spring
Township Authority, adopted December 11, 1991, establishing the sewer rates
and regulations of Silver Spring Township Authority for the sewer system for the
Township of Silver Spring, and authorizing the collection and enforcement of
sewer rates in this manner prescribed by law.
3. All acts, conditions, events and things required to be done by Silver Spring
Township Authority under the Acts of Assembly of the Commonwealth of
Pennsylvania have been done and performed in due and legal form so as to entitle
Silver Spring Township Authority to a lien for the payment of the sewer rates for
which this claim is filed.
4. The name of the owner(s) or reputed owner(s), of the property against which this
claim is filed, is/are DWAYNE A. DEIMLER. ?a1.50 Pn grn/
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Lf a 7ss-ya
5. The property against which this claim is filed is known and numbered as 224
HOGESTOWN ROAD, MECHANICSBURG, PA 17050.
6. This sewer rate was charged for sewer service furnished to the above-described
property, the sewer lines which services same being installed in 1979 and the
sewer rate being charged for the period commencing July 11, 2011 to and
including the present.
Rental, Penalties, Interest, Collection Fee and Costs
AS OF May 18, 2012 and/or December 5, 2012
Sewer Rents through 4th Quarter 2012 Billing $ 636.00
Penalties through 4th Quarter 2012 Billing $ 75.53
Attorney' Fees through December 5, 2012 Sheriff Sale $ 3,465.00
TOTAL:
$ 4,176.53
Plus additional attorneys' fees and costs incurred by Silver Spring Township Authority in
collection of the above claim in accordance with the attached fee schedule authorized by
Resolution of Silver Spring Township Authority.
7. Pursuant to the Fair Debt Collection Practices Act, 15 U.S.C. § 1692 et seq.
(1977), Defendant(s) may dispute the validity of the debt or any portion thereof.
If Defendant(s) does so in writing within thirty (30) days of receipt of this
pleading, Counsel for Plaintiff will obtain and provide Defendant(s) with written
verification thereof, otherwise, the debt will be assumed to be valid. Likewise, if
requested within thirty (30) days of receipt of this pleading, Counsel for Plaintiff
will send Defendant(s) the name and address of the original creditor if different
from above.
Payment of the above claim riot having been made, enter the same in the proper
Municipal Lien Docket and Judgment Index.
JAMES, S ITH, DIETTERICK &
CONNEI jV, LLP
Date:- - By:° -
Scott i t , Esquire
R
Attorney 1 tiff
PA I.D. #556`
P.O. Box 650
Hershey, PA 17033
(717) 533-3280
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
SILVER SPRING TOWNSHIP AUTHORITY
5 WILLOW MILL PARK ROAD, SUITE #3
MECHANICSBURG, PA 17050
Plaintiff,
vs.
DWAYNE A. DEIMLER
224 HOGESTOWN ROAD
MECHANICSBURG, PA 17050
PARCEL ID# 38-21-0289-005
Defendant.
CERTIFICATE OF SERVICE
CIVIL DIVISION
No.:
MLD
The undersigned hereby certifies that a true and correct copy of the Municipal Claim for Sewer
Rents was served on the following this 18`n day of May, 2012, via First Class U. S. Mail, Postage Pre-
paid
Dwayne A. Deimler
224 Hogestown Road
Mechanicsburg, PA 17050
ed:
DIETTERICK & CONNELLY, LLP
U
By: \
Scott A. k, Esq
Attorney I.D. #55650
P.O. Box 650
Hershey, PA 17033
(717) 513-3280
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STHON TA 0
E? !E PR
IN THE COURT OF COMMON PLEAS OF 2012 AUG -1 Ali
CUMBERLAND COUNTY, PENNSYLVANIA S?,UMB RLAHD COUNTY
p tiSYLVA I A
SILVER SPRING TOWNSHIP AUTHORITY CIVIL DIVISION
5 WILLOW MILL PARK ROAD, SUITE #3
MECHANICSBURG, PA 17050
Plaintiff,
VS.
No.: 12-3864 CIVIL
DWAYNE A. DEIMLER
224 HOGESTOWN ROAD
MECHANICSBURG, PA 17050
PARCEL# 38-21-0289-005
Defendant.
PRAECIPE TO SATISFY MUNICIPAL LIEN
TO THE PROTHONOTARY:
SIR/MADAM: Please mark the Municipal Lien filed at the above - captioned term and
satisfied.
Date: ) ?) jc3?'
By:
a,M?sR.s Paal?
C??? ? 975
Attorney for Plaintiff
PA I.D. #55650
P.O. Box 650
Hershey, PA 17033
(717) 533-3280
? A
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
SILVER SPRING TOWNSHIP AUTHORITY CIVIL DIVISION
5 WILLOW MILL PARK ROAD, SUITE #3
MECHANICSBURG, PA 17050
Plaintiff, No.: 12-3223 MLD
VS.
No.: 12-3864 CIVIL
DWAYNE A. DEIMLER
224 HOGESTOWN ROAD :
MECHANICSBURG, PA 17050
PARCEL# 38-21-0289-005 :
Defendant.
CERTIFICATE OF SERVICE
The undersigned hereby certifies that a true and correct copy of the Praecipe to Satisfy
Municipal Lien was served on the following this 3rd day of August, 2012, via First Class U. S.
Mail, Postage Pre-paid:
Dwayne A. Deimler
1655 Stroup Circle
Mechanicsburg, PA 17050
Respectfully ;
JAMES SM1 H E TE CONNELLY, .1"
By:
Scott'A. Dietterick, Esquire
Attorney I.D. #55650
P.O. Box 650
Hershey, PA 17033
(717) 533-3280
ry G I HE -il
PROT ONOTAR'
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA 2012 AUG -7 AM 10: 05
SILVER SPRING TOWNSHIP AUTHORITY CIVIL DPMMMLAN COUNTY
5 WILLOW MILL PARK ROAD, SUITE #3 PENNSYL ANIA
MECHANICSBURG, PA 17050
Plaintiff,
VS.
No.: 12-3864 CIVIL
DWAYNE A. DEIMLER
224 HOGESTOWN ROAD
MECHANICSBURG, PA 17050
PARCEL# 38-21-0289-005
Defendant.
PRAECIPE TO DISCONTINUE ACTION
TO THE PROTHONOTARY:
Please mark the above captioned matter settled and discontinued.
Respectfully Submitted:
JAMES, SM H, D?TT
CONNELLLP
DATE: August 3, 2012
BY:
PA I.D. #55650 v
Attorneys for Plaintiff
P.O. Box 650
Hershey, PA 17033
(717) 533-3280