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HomeMy WebLinkAbout06-3244 MYERS WELDING AND FABRICATION, INC.,: Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA vs. CIVIL ACTION - LAW R. C. SKELLY, INC., CIVIL TERM el-u~L'-r~1 Defendant 0(. - 3~44 NOT ICE You have been sued in court. If you wish to defend against the claims set forth in the following pages, you must take action within twenty (20) days after this complaint and notice are served, by enter- ing a written appearance personally or by attorney and filing in writing with the court your defenses or objections to the claims set forth against you. You are warned that if you fail to do so the case may proceed without you and a judgment may be entered against you by the court without further notice for any money claimed in the complaint or for any other claim or relief requested by the plaintiff. You may lose money or property or other rights important to you. 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. Lawyer Referral Service Cumberland County Cumberland County Bar Association 32 S. Bedford Street Carlisle, Pennsylvania 17013 (800) 990-9108 By: B. Hipp, Esquire No. 86556 James D. Bogar Law Offices One West Main Street Shiremanstown, PA 17011 (717) 737-8761 Attorneys for Plaintiff, Myers Welding and Fabrication, Inc. MYERS WELDING AND FABRICATION, INC.,: Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA vs. CIVIL ACTION - LAW R. C. SKELLY, INC., CIVIL TERM l?/~~L~~ Defendant ~-32~~ COMPLAINT Myers Welding and Fabrication, Inc., Plaintiff, by and through its attorneys, James D. Bogar, Esquire and Jennifer B. Hipp, Esquire, respectfully represent as follows: 1. Plaintiff herein is Myers Welding and Fabrication, Inc., a corporation organized and existing under the laws of the Commonwealth of Pennsylvania, having its principal office and a mailing address of 10 Big Oak Road, Dillsburg, Pennsylvania 17019. 2. Defendant herein is R. C. Skelly, Inc., a corporation orga- nized and existing under the laws of the Commonwealth of Pennsylvania, having its registered office of 29 Pine Tree Drive, Mechanicsburg, Pennsylvania 17055, and a mailing address of 18 E. Lisburn Road, Suite 100, Mechanicsburg, Pennsylvania 17008. 3. Upon the requests of Defendant, all of which occurred in Cumberland County, Pennsylvania, Defendant requested and Plaintiff agreed to supply certain material, equipment, services and goods, all in conjunction with requests made by Defendant to supply that equipment and materials to Defendant at its job-cite locations of the West Shore Evangelical Free Church located at 1345 Williams Grove Road, 2 Mechanicsburg, Pennsylvania and the Slate Hill Mennonite Church located at 1352 Slate Hill Road, Camp Hill, Pennsylvania, to aid Defendant in his occupation of commercial construction work. 4. Plaintiff fully and adequately provided the materials and services ordered by Defendant, all provided in an acceptable and workman like manner, said materials, equipment, services and goods being provided to Defendant during the time period commencing on or about September 1, 2005 and concluding on or about February 28, 2006. 5. On September 20, 2005, February 15, 2006 and February 17, 2006, Plaintiff submitted to Defendant it's invoices in the total amount of $39,245.00, which invoice statements represent the agreed- upon charges for the items, services and materials provided by Plain- tiff to Defendant. True and correct copies of those invoices are attached hereto as Exhibit "A" and incorporated herein. 6. Defendant remitted payment to Plaintiff in regards to Invoice No. 567 in the amount of $22,961.12, with a balance thereby remaining of $3,000.00. 7. The total amount due and owing to Plaintiff is $16,283.88. 8. Despite Plaintiff's repeated demands, Defendant has failed and refused to bring current and pay in full the amount billed as set forth in Plaintiff's invoice statements (~Exhibit "A") for a total amount due and owing of $16,283.88. 3 9. Payments of all amounts were due to be made to Plaintiff at 10 Big Oak Road, Dillsburg, Pennsylvania. COUNT NO. 1 - BREACH OF CONTRACT 10. The averments of Paragraphs 1 through and including 9 hereinabove are incorporated herein by reference thereto. 11. By virtue of the contract between Plaintiff and Defendant, Defendant agreed to pay, in full, the reasonable and necessary costs of material, equipment, services and goods provided, which outstanding balance as of June 7, 2006, was $16,283.88. 12. To date, Defendant, despite proper requests and demand by Plaintiff, has not brought its account current. WHEREFORE, Plaintiff demands judgment against Defendant, R. C. Skelly, Inc., in the amount of $16,283.88, plus interest, together with the costs of this action, attorneys' fees and any and all other relief deemed just and appropriate. COUNT NO. 2 - OUANTUM MERUIT/IMPLIED CONTRACT 13. The averments of Paragraphs 1 through and including 12 hereinabove are incorporated herein by reference thereto. 4 14. Pursuant to the request made by Defendant, Plaintiff provided materials, equipment, services and goods to Defendant. 15. The reasonable and necessary charges for said materials, equipment, services and goods provided as requested by Defendant are in the total amount of $16,283.88. 16. To date, Defendant, despite proper requests and demands by Plaintiff, has not brought its account current. 17. By reason of Defendant's request for the provision of materi- als, equipment, services and goods, Defendant impliedly promised to pay the reasonable and necessary charges for same. WHEREFORE, Plaintiff demands judgment against Defendant, R. C. Skelly, Inc., in the amount of $16,283.88, plus interest, together with the cost of this action, attorneys' fees and any and all other relief deemed just and appropriate. COUNT NO. 3 - UNJUST ENRICHMENT 18. The averments of Paragraphs 1 through and including 17 hereinabove are incorporated herein by reference thereto. 19. Defendant obtained materials, equipment, services and goods from Plaintiff as set forth herein. Plaintiff fully and adequately provided those materials, equipment, services and goods to Defendant as requested by Defendant. 5 20. As a direct and proximate result of Defendant's refusal to pay the reasonable value of Plaintiff's materials, equipment, services and goods from which Defendant benefitted, Defendant has been unjustly enriched in the amount of $16,283.88. WHEREFORE, Plaintiff demands judgment against Defendant, R. C. Skelly, Inc., in the amount of $16,283.88, plus interest, together with the costs of this action, attorneys' fees and any and all other relief deemed just and appropriate. COUNT NO. 4 - BREACH OF CONTRACTOR AND SUBCONTRACTOR PAYMENT ACT. 73 P.S. ~ 501. et seo. 21. The averments of Paragraphs 1 through and including 20 hereinabove are incorporated herein by reference thereto. 22. Plaintiff and Defendant entered into a written construction contract requiring Plaintiff to provide certain materials, equipment, services and goods to Defendant's business locations at 1345 Williams Grove Road, Mechanicsburg, Pennsylvania and 1352 Slate Hill Road, Camp Hill, Pennsylvania. See Exhibit "A". 23. Defendant obtained the materials, equipment, services and goods from Plaintiff pursuant to the terms of their written construc- tion contract as set forth herein. 6 24. Plaintiff fully and adequately provided the materials, equipment, services and goods as requested by Defendant pursuant to the terms of their written construction contract as set forth herein. 25. Defendant breached it's payment obligations to Plaintiff as set forth in the Contractor and Subcontractor Payment Act, 73 P.S. ~ 501, et sea., by failing to make payment to Plaintiff in a timely manner. WHEREFORE, Plaintiff demands judgment against Defendant, R. C. Skelly, Inc., in the amount of $16,283.88, plus interest and applicable penalties, together with the costs of this action, attorneys' fees and any and all other relief deemed just and appropriate. Date: June 7, 2006 Hipp, Esquire r, Esquire Attorneys for Plaintiff, Myers Welding and Fabrication, Inc. 7 ~..... 10 BlgOakRd Oltlsburg, pa. 17019 PIlo!l.: .(. 7.502.7473 7 7.S02 PIPE Fax: 7 7- 502.. 8080 Welding & Fabricati"n Inc. sole! To: RC Skelly Ine . 19~ E u5burn Rd. Pc' Box 28 5LAk. I q() Bowm<lnsq<lle, Pa. 17008 I IJvoice #~ 953 2/17/2006 D.te: Buil<!io"l' Custorne' PO#4.e9 Requesteq By: 1 n, 'oice MYERS JOB#: 1~-'lS (5409 I~ ~o DESCRiPTION ][ DVE DATE ]1 3/19/2006 DATE 1/10/2006 (5) Pieces of 2 x 2 x: 114 <llJgle ~;<lles Tax' Coll.eoUcma DatA~~ Contoll.t: r:. Message: ......--fft hlOaon: - - <'":p',1a:cka: Call_Uns DatA, 'iraq. Cont8Qt: ~11 do..rJ -11&98'_ :It> Peracm,_ -"""'s: CoU.oUona DatA: b-g' Contaot: 11:r\J~ Message: c...- In ~aon: - - R(.'!oqarks: ' CoUectiona III Cont:aqt: .....- -. --....' L.--""""' ~.:- - Th<llJk you rot your business. . IT~I . . ~ ,,'. r ~ . " ' 1 I '_ ..... .'. _ r 1 .".. ..;.. .. a'o! ~ ! EXHIBrr \\A /1 AMOVNT - 118.00 7.08 ,t.:-f.0::f () J::ii,c~ llI1 Pelr_: -" -. $125.081 H 90:S 900a 50 unr ,. ~ 10 Blg Oak Rd Dllloburg, Po. 17019 PhOll': 7 7- 502. 74 73 11-502.PtPE F",,:17-502..8080 Welding & Fabrlcati )n a.,c. Sol~ To. RC skelly JlJe 1~~ E Lisburo Rd. Po Box 28 Bowm<llJsQale, Pa. 17008 In,'oice Invoice Number 933 D.te, 2/15/2006 Builqing: Slat!: Hill MelJlJolJite Church Customer PO#451-004 Requestccl By: D,lve Wllli<lms C5~46 I~>S ]1 DVEDATE II Nei: ~O ] I 3117/2006 Myers PO DATE HRS. REG/OT . DESCRIPTION 2/2/2006 6 T&M ChalJge Orqer1: Extra 80' 2x3 x ~/16' angle with holes- labor matetial. 2/~/2006 0.01 PO Purch<l5e Ordet 451-004: Extetior Sial' alJq Rililing System Sales T<lx. Coll_t I.... Di ta: l-/r~O ~-~: Contact Collaotion. Date: Maa.age In Poor.on: Contact: {'U:.IV'- .~ -.:1<. . Me..9sage;_~ Par.on: .. ~k.s: .. ~--. ...-- Col1_t on. IllI ta: t.f.a.4 Con1:l11.t: (' ._. Coll.aotioaa Date: 5=- He..age: V--' .. -arks: - n. hr.oll: Contact: ~ _..~:~ In hr., . -- a-arlta , AMOVNT 1,780.00 mq 11,272.00 106.80 'CJ -.- ~ -- n: -- -- Th<l!1totllllbml*fil"'jng Mye~'. Cont8Qt:_ II rota! .J$13.158.80 . -.~_._-,,~~..- '---'I-'-~.::::"'- 'I" "I"J'L l'-.'.i1li.-.;Ul,' 1','1'Ill.'J ~~....... 1..'.: 1 ., . ., ". E'''' ... Xl:l.:l .l3r~3Sl:l" dH 90'6 900a so unr ',~~ . 10 Big Oa~ Rd OIllsbUrg,l'a. 17019 Phoo.: 1 7- 50.2. 74 73 1 1-S02..P IPE Fox: 1 7.502..8080 W e I din g & F ab r i cat i ) n I n c . Solq To, RC Ske[ly Inc 1~~ E Usburo Rq. PC' Box 28 Bowm<llJsdale. Pa. 17008 Invoice Invoice Number 567 Date, 9/20/2005 Builqio"l' WSEFC Customer PO#, R.equesteq By: DATE 9/15/2005 C5060 I~:~:; ]r lJUEDATE I I~ro ]110/20/20051 AMOUNT 24.,339.61 Myers PO 9/2/2005 2 T&M DESCRIPTION -. Supply Strudurq( Steel fOr West shore Evangel al church Sit~. Extra: cut beams alJ~ grl1J4 (2) W11x14x 1'0, ( 2) W14-x22 X 1'0_ Sales T.x . 152.00 HPS. REG/OT 0.01 Quote~ t.iAU OWl: 1,.{. ~: O<h ~~ Coll.DUona Dau,.5.:i (J h Con . t---vc.. ~.~ .t&c:lt. .J..A:A -.....:--:::::::- In Perac ~.. ~k.t -'. 1,469.50 -'. .2l/-<Jb CoUaot1.o... Data: !;;- rd .-0.6 --'- ContaClt;, OOv/:. __"'~ In Pen ~:_ ~"'., r..--" :In I - ThalJk you for your busIness. [rotal 'Jf25.961.12 J --=:- ~~%J.I IllbmltlonenClloaedl.cMdldlll\t\el\ftfOm\llIOfttQhM"*" ' nlJI"-.('\I. 3rJl'lQ,0i"'\ thltl.lepJlY~~ Thtlnfol'm8tlolt'* Intwldedonly lor.... UN of 11M Indlvldu.1 r#enttt;y ......dh.. Sold to filld: ~tHi ldendttd..:ipl9JJl. )'NaNn.iibv nUdtI.T ck~#= 334::0 1~/r()( p'''' XlLJ .l3r~3SI:l" dH -..- .:'.0'6 900a so unr - . VERIFICATION I verify that the statements made in this Complaint are true and correct. I understand that unsworn statements herein are made subject to the penalties of 18. Pa. C.S.A. ~ 4904, relating to unsworn falsifi- cation to authorities. Date: June 7, 2006 i S. Myers, Myers Welding Inc. e President Fabrication, 8 ....~ 0 tJ c.:) c-.~. -n ~ ~:.:. cr< sJ..n ""'..,. c- O 0 r:: jI'F 8 ~:."i~ 1 1. I -::,,': ,( CJJ " .c.. (; " i.~-' Irt -,:-'\ 2~, :~)\7'f; () ~',. l1"\ CD -. ~,.-". ~ ~ ~ <..1'1 ~ " Ci' ~ ~ ...() :D -- +- c -.:t: . " MYERS WELDING AND FABRICATION, INC.,: Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA vs. CIVIL ACTION - LAW R. C. SKELLY, INC., CIVIL TERM No. 06-3244 Civil Term Defendant TO: R. C. Skelly, Inc. 18 E. Lisburn Road Suite 100 Mechanicsburg, PA 17008 DATE OF NOTICE: July 7, 2006 IMPORTANT NOTICE YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN APPEARANCE PERSONALLY OR BY ATTORNEY AND FILE IN WRITING WITH THE COURT YOUR DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU. UNLESS YOU ACT WITHIN TEN DAYS FROM THE DATE OF THIS NOTICE, A JUDGMENT MAY BE ENTERED AGAINST YOU WITHOUT A HEARING AND YOU MAY LOSE YOUR PROPERTY OR OTHER IMPORTANT RIGHTS. YOU SHOULD TAKE THIS NOTICE TO A LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE FOLLOWING OFFICE TO FIND OUT WHERE YOU CAN GET LEGAL HELP: Lawyer Referral Service Cumberland County Cumberland County Bar Association 32 S. Bedford Street Carlisle, pennsylvania 17013 (800) 990-9108 ~'"7t~ ER B. HIPP, ESQUIRE P . I.D. No. 86556 One West Main Street Shiremanstown, PA 17011 (717) 737-8761 Attorney for Plaintiff Myers Welding and Fabrication By: w , CERTIFICATE OF SERVICE I, Jennifer B. Hipp, Esquire, hereby certify that I am this day serving the foregoing Notice as required by Pa. R.C.P. 237.1 upon the following named individual this day by depositing same in the United States Mail, Certified Mail, Return Receipt Requested, at Shiremanstown, pennsyl- vania, addressed as follows: R. C. Skelly, Inc. 18 E. Lisburn Road, Suite 100 Mechanicsburg, PA 17008 Date: July 7, 2006 (~'"'l '---~. -\ ---I ---\ .:-- .'~". c:- MYERS WELDING AND FABRICATION, INC.,: Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA vs. CIVIL ACTION - LAW R. C. SKELLY. INC., Defendant CIVIL TERM No. 06-3244 Civil Term PRAECIPE FOR DEFAULT JUDGMENT TO: Curtis R. Long, Prothonotary Cumberland County Courthouse One Courthouse Square Carlisle, PA 17013 Please enter a Default Judgment in favor of Plaintiff, Myers Welding and Fabrication, Inc., and against R. C. Skelly, Inc., Defen- dant, in the amount of $16,283.88. plus costs and interests from June 8. 2006. Written notice of Plaintiff's Notice of Intention to file for Entry of Default Judgment was mailed to the Defendant and is attached to this Praecipe as Exhibit "A". Respectfully, Date: July 21, 2006 I ER B. HIPP, ESQUIRE LD. No, 86556 One West Main Street Shiremanstown, PA 17011 (717) 737-8761 Attorney for Plaintiff Myers Welding and Fabrication, Inc. , . CERTIFICATE OF SERVICE I, Jennifer B. Hipp, Esquire, hereby certify that I am this day serving the foregoing Praecipe for Default Judgment upon the following by depositing same in the United States Mail, Certified Mail, Return Receipt Requested, and first class mail, at Shiremanstown, Pennsyl- vania, addressed as follows: R. C. Skelly, Inc. 18 E. Lisburn Road, Suite 100 Mechanicsburg, PA 17008 Date: July 21, 2006 er B. Hipp, Esquire MYERS WELDING AND FABRICATION, INC..: Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA vs. CIVIL ACTION - LAW R. C. SKELLY, INC., Defendant CIVIL TERM No. 06-3244 Civil Term TO: R. C. Skelly, Inc. 18 E. Lisburn Road Suite 100 Mechanicsburg, PA 17008 "'. o :-:-; '" <:::".:0 .= c-... o ., . ,~ c. c-~ r~:;;;: I ...., ::;:I . tnl: ~ ::~, ~. ~?~] ~~:j ~~ \ DATE OF NOTICE: July 7, 2006 '~? ::'...',' '--,V l..D ~rll :5 -< IMPORTANT NOTICE ,-( .0:- YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN APPEARANCE PERSONALLY OR BY ATTORNEY AND FILE IN WRITING WITH THE COURT YOUR DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU. UNLESS YOU ACT WITHIN TEN DAYS FROM THE DATE OF THIS NOTICE, A JUDGMENT MAY BE ENTERED AGAINST YOU WITHOUT A HEARING AND YOU MAY LOSE YOUR PROPERTY OR OTHER IMPORTANT RIGHTS. YOU SHOULD TAKE THIS NOTICE TO A LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE FOLLOWING OFFICE TO FIND OUT WHERE YOU CAN GET LEGAL HELP: Lawyer Referral Service Cumberland County Cumberland County Bar Association 32 S. Bedford Street Carlisle, Pennsylvania 17013 (800) 990-9108 By: J ER B. HIPP, ESQUIRE . I.D. No. 86556 One West Main Street Shiremanstown, PA 17011 (717) 737-8761 Attorney for Plaintiff Myers Welding and Fabrication EXHlBrr ~ ~ \' A /I . . CERTIFICATE OF SERVICE I. Jennifer B. Hipp, Esquire, hereby certify that I am this day serving the foregoing Notice as required by Pa. R.C.P. 237.1 upon the following named individual this day by depositing same in the United States Mail, Certified Mail, Return Receipt Requested, at Shiremanstown, pennsyl- vania, addressed as follows: R. C. Skelly. Inc. 18 E. Lisburn Road, Suite 100 Mechanicsburg, PA 17008 Date: July 7, 2006 B. Hipp, Esquire . , JAMES D, BOGAR ATfORNEY AT LAW ONE WEST MAIN STREET SHIREMANSTOWN. PENNSYLVANIA 1701 I e-mail mall@bogarlaw.com TELEPHONE (717) 737-8761 FACSIMILE (7 I 7) 737-2086 JAMES D. BOGAR JENNIFER B. HIPp. "Also admitted to New Jersey Bar Direct e-mallJh1ppObogarlaw.com July 7, 2006 VIA CERTIFIED MAIL/ RETURN RECEIPT REQUESTED R. C. Skelly, Inc. 18 E. Lisburn Road Suite 100 Mechanicsburg, PA 17008 RE: Myers Welding and Fabrication, Inc. v. R. C. Skelly, Inc. Dear Sir or Madam: Enclosed, constituting service upon you, please find a date- stamped copy of the 10-day notice filed today on behalf of Myers Welding and Fabrication for your failure to answer the Compla1nt filed in the above-referenced matter. Very truly yours, ~~fs mp JBH/blw Enclosure cc: Myers Welding and Fabrication, Inc., Attn: Lisa S. Myers, Vice-President (via facsimile - 502-8080; w/enclosure) , , SENDER C,-, 1PLETE THIS SECT/ON . Complete ttems 1, 2, and 3. Also complete Item 4 ff Restricted Delivery Is desired. . Print your name and addreell on the reverse so that we can relIim'the card to you. . Attach this card to the back of the mallplace, or on the front ff space permits. :';~~SKei'14) 9nc. 15 E.. LlsblArn Rd Sfe.. J.DO 3._1YPe (YkchQn)(5bur~ PA 11:v'5 ~~sJ1 o Insured MaR 0 C.O.O. ~4ta"') 4. _DeI1wry'I(&tnIFee) 7004 2510 0007 6456 '15805 A. Signature B. Received by (P o Agent 0' Add_ ! C. ~. of Delivery I '1-10 x o Yes 2. MIcIe Number (IlBnsferfrom _ /abt PS Fonn 3811, February 2004 Domestic Ratum ReceIpt <;.~"" , 1 "., -- 102595-()2..M.1640 i , U1 >OJ U1 <r ..II U1 :T ..II U.S. Postal Service - CERTIFIED LlAIL RECEIPT. (Domest/( M,lI! Onl",. N') In', iJ,'n(" l-nvf'r,/(w Prt'.J(Jcd) :T CI CI r'- -' r'- CI C ReUnfle9llptFw Cl (Elldoraem8Id RequIred) CI __Fee ~ (tndQlalIment Reqiiied) U1 ru CerIIlIodFee 1btaI_&F.- $1.85 $0.00 H.64... ~. ~t oCl 0- V-, \ c ...:1 'I." "- , "" r , "f::::> 1;'" ~ " .p ~ () C~ ::::! ;':1 :-~} ,>-,) ;;'~ c:' SHERIFF'S RETURN - REGULAR CASE NO: 2006-03244 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND MYERS WELDING AND FABRICATION VS - - - -- - R C SKELLY INC JESSICA HERMANSEN , Sheriff or Deputy Sheriff of cumberland County, Pennsylvania, who being duly sworn according to law, says, the within COMPLAINT & NOTICE was served upon R C SKELLY INC the DEFENDANT I at 1407:00 HOURS, on the 13th day of June , 2006 at 18 E LISBURN ROAD SUITE 100 MECHANICSBURG, PA 17008 by handing to ALLEN SKELLY OWNER a true and attested copy of COMPLAINT & NOTICE together with - - - -- ...... -- and at the same time directing His attention to the contents thereof. Sheriff's Costs: Docketing Service Postage Surcharge 18.00 10.56 .39 10.00 .00 38.95/ 00/00/0000 Ch 1_1'1.oc... So ::;~.; ~ "iI'(. #6' '7 ~ R. Thomas Kline Sworn and Subscibed to By: - - - - before me this day of A.D.