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HomeMy WebLinkAbout05-1092 TOWNSHIP OF HAMPDEN, Claimant V: Kevin Milakovic and Tracey Milakovic, Owners IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA MUD TERM 2005 MUNICIPAL LIEN DOCKET MUNICIPAL CLAIM 0,___ (U I), /yjc, a JeAA- AND NOW, comes the claimant, TOWNSHIP OF HAMPDEN, by the Township Manager, who and files the following claim against Kevin & Tracey MilakoviAhat certain tract of land including improvements thereon, owned by them and described as follows: 4727 E. Trindle Road Mechanicsburg, PA 17050 Tax Property Map: 10-22-0527 Parcel No: 075 For sewer/trash services rendered from 1/01/04 to 1/31/05. Said services were rendered and charged pursuant to ordinance. Attached hereto is a statement of the kind and character of the services so rendered and the price charged therefor, said statement being a true copy of the owner's account with Hampden Township which sum of $661.54 was duly assessed against the hereinabove-named owner and the premises on 01/31/05 and for which sum, with interest, penalties and costs, a lien is claimed against the above-described premises in accordance with the Act of May 16, 1923, P.L. 207 (53 P.S. Section 7101, et seq), as amended and supplemented, and the Act of June 19, 2001, P.L. 287 (53 P.S. Section 5601, et seq), as amended and supplemented. BY* M ch 1 H. Gossert Tow ship Manager Hampden Township TOWNSHIP OF HAMPDEN COMMONWEALTH OF PENNSYLVANIA 55. COUNTY OF CUMBERLAND MICHAEL H. GOSSERT, according to law, deposes and says that he is The Township Manager of Hampden Township, 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. chael H. G Bert Sworn to and subscribed before me This ??clay of rr?-4?. ('ll , 2005 Notary Public ?p"v „uwrte.Nwmy Pub W. ... L, i 1:.0. GfSC1bEf{AGO CL,: L!iC Customer # - MILAKKM001 Location ID - 728256 Tax Parcel - 075 Property Map - 10-22-0527 CD 5RV BL 02 CL PT SW 02 BALANCE $661.54 ?. ? ?' G• -• ? J ?> (7 U -c? C? ; ? ?M ? ? ,. , . ','',',,t?`. ? ??t t s?? t'..y c7???`, ,.. ' e. c ? ?"? .,,, - ? ?-- \ PRAECIPE FOR LISTING CASE FOR ARGUMENT (Must be typewritten and submitted in duplicate) TO THE PROTHONOTARY OF CUMBERLAND COUNTY: Please list the within matter for the next Argument Court. CAPTION OF CASE (entire caption must be stated in full) Francis Ferri (Plaintiff) V5. Brother International Corporation (Defendant) No. 04-1092 Civil Term 19 1. State matter to be argued (i.e., plaintiff's motion for new trial, defendant's demurrer to complaint, etc.): Defendant's Motion for Summary Judgment (filed with the Court on 4/29/05) 2. Identify counsel who will argue case: (a) for plaintiff: Francis Ferri, pro se 2500 Lisburn Road P.O. Box 200 - EN0177 Camp Hill, PA 17001-0200 (b) for defendant: Address: Michael P. Maguire, Esquire 100 W. Elm Street, Suite 101 Conshohocken, PA 19428 3. I will notify all parties in writing within two days that this case has been listed for arg npnt. 4. Argument Court Date: Jame 1, Dated: IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY CIVIL ACTION - LAW FRANCIS FERRI vs. BROTHER INTERNATIONAL CORPORATION Defendant Plaintiffs No.: 04-1092 Civil Term CERTIFICATE OF SERVICE MICHAEL P. MAGUIRE, ESQUIRE, attorney for Brother International Corporation, hereby certifies that a true and correct copy of the Defendant's Praecipe for Listing Case for Argument was served upon all parties and/or counsel of record by United States first class mail. DATE: IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY CIVIL ACTION - LAW FRANCIS FERRI vs. BROTHER INTERNATIONAL CORPORATION Defendant No.: 04-1092 Civil Term PRAECIPE TO WITHDRAW DEFENDANT'S PRAECIPE FOR LISTING CASE FOR ARGUMENT To the Prothonotary: Kindly withdraw Defendant's Praecipe for Listing Case for Argument with regard to Defendant's Motion for Summary Judgment which was filed on March 29, 2005. Plaintiffs 100 West Elm Street, Suite 101 Conshohocken, PA 19428 I.D. No.: 83028 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY CIVIL ACTION - LAW FRANCIS FERRI vs. BROTHER INTERNATIONAL CORPORATION Defendant No.: 04-1092 Civil Term CERTIFICATE OF SERVICE I, MICHAEL P. MAGUIRE, ESQUIRE, attorney for Brother International Corporation, hereby certifies that a true and correct copy of the Defendant's Praecipe to Withdraw was served upon all parties and/or counsel of record by United States first class mail. DATE: 2? Plaintiffs rv° ? C? ? 'i: C;; -t -:j h: f. J '::; r ?, - c:= (TOWNSHIP OF HAMPDEN, Claimant V. KEVIN MILAKOVIC and TRACEY MILAKOVIC, Owners IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. 2005 - 1092 MLD MUNICIPAL LIEN DOCKET PRAECIPE I TO THE PROTHONOTARY: Please mark the above-captioned Municipal Claim satisfied upon your docket and I indices. SNELBAKER & BRENNEMAN, P. C. Date: September 17, 2008 I / BY: Keith O. Brenneman, Esquire 44 W. Main Street Mechanicsburg, PA 17055 (717) 697-8528 Attorneys for Hampden Township LAW OFFICES SNELBAKER 8C BRENNEMAN, P.G. ?O "'.0 vr { , C d aQ ---r? -0 3E v IT p sacs en rn -v Co rv c n ^?' l V M33 -Ta rep