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HomeMy WebLinkAbout94-06824 3. The Claimant contracted with Charles J. Mallios, agent for Owners or Reputed Owners, pursuant to a wr.itten contract to perform the installstion of a heating and air conditioning syatem for the alteration and repair of the building on the property described in paragraph 7 herein. Charles J. Mallios, as agent for Owners or Reputed Owners, also requested that Claimant furnish materials and labor for installing the electrical wiring of three air conditioning units including new SUb-panels and for the installation of an air conditioning duct run to the office area in connection with the alteration and repair of the building on thl! property described in paragraph 7 herein. A true and correct copy of the written contract is attached hereto, made a part hereof, and marked Exhibit "A". 4. The nature and character of the materials furnished pursuant to the written contract and the oral contract were all materials necessary for the fitting up and equipping of the improvement with fixtures, machinery and equipment suitable for the purposes for which the alteration or repair was intended, including gas furnaces, air conditioning units, coils, line sets, ductboard, fi ttings, flex and registers, gas piping, wiring, sUb-panels, and related items. The price charged for the materials and installation, specifically set forth in Exhibit "A", was $15,500.00. The agreed to price for the furnishing of materials - 2 - and labor for installing the electrical wiring of the three air conditioning units including new sub-panels and for the installation of an air conditioning duct run to the office area was $2,570.53. Claimant was paid a total of $5,000.00 leaving a balance due of $13,070.53. 5. The amount or sum claimed to be due for the labor, goods, materials and structures is $13,070.53, plus interest at the rate of 6% per annum on the unpaid balance from the date of completion of the work. 6. Claimant delivered the goods, materials and structures and completed the equipping and fitting up of the improvement with fixtures on August 3, 1994. 7. The labor, goods, materials and improvements were continuously furnished in and about the alteration and repair of the building located on the piece of ground with curtilage appurtenant thereto, constituting the premises subject to the lien, situate at 1161 Harrisburg Pike, Carlisle, Middlesex Township, Cumberland County, pennsylvania, Deed Book Y-32, Page 353. 8. This lien is claimed against the fee simple interest of the Owners or Reputed Owners in the aforesaid premises. - 3 - .' H. L. STONEBERGER PLUMBING & HEATING, INC. Claimant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY PENNSYLVANIA vs. NO. 94-6824 MLD MU CHING CHU and CHIN CHUN CHU, Owners or Reputed Ownare MECHANICS' LIEN CLAIM NOTICE OF MECHANICS' LIEN TO . . Mu Ching Chu Chin Chun Chu Please be advised that a Mechanics I Lien Claim was filed in the Court of Common Pleas of Cumberland County on December 2, 1994 at Docket No. 94-6824 MLD. A c9rtified copy of the Mechanics' Lien Claim is attached hereto for your convenience. Date: [)eCI'n.t.fr /5 /99L/ ( CLECKNER AND FEAR EN By: ;: f)~ue~ ()J+fp.trO P. Dan el A tland, Esqu re Attorney 1.0. No. 25438 31 North Second Street P. O. Box 11847 Harrisburg, PA 17108-1847 (717) 238-1731 CUCkHU . ,tAU" AnO'I("' '" UW lAllllIUlG, PlN".nUN'" -~.... .~.. _ . il4D"nUr-;. ,',' -. ..........-'-.VWIi(;-~il. ,; ~tt 11 ? 1I'.l ~\\ ,~~ \ ~ f' \ ~_,~\l \ \ '1 I'':' 1 ~',;) ~ , , , , .1'''''< - t r I i \ I ~ .. J. ~ iT -~ ..I.i.. ~ l r . .J 1 .' . , ... .. ~'..; ,-~ :!;:!ti-r;~~PJ '.. :'v.'i,+;;,'" T"~~~' ;'-'.~;:~J ,'.,' .". .,It\""Q,,,.N "",u.. ,.~;~.!,~j~~~'\l;,'s:rt~~:;~~'~,~~~~~~\~~~i::n;:;"l~'; ,;F..,;,;;:.~,..tfAI'"I"URG, !'CNNlI'fI,.WiNlA 1~loe.l""; ","""..1,' '".' i >,)f,,'i;;'.',r::);,;:i- "--;; ',.';_ ,- 'P",o~c~,~~::: ;', . ~,:_"-" "'., .-". '''>;_:.,:,'L:y<'',',;~, Owners or Reputed Owners . IN THE COURT OF COMMON PLEAS . CUMBERLAND COUNTY . PENNSYLVANIA . . . . NO. 94-6824 MLD . : MECHANICS' LIEN CLAIM H. L. STONEBERGER PLUMBING & HEATING, INC. Claimant vs. MU CHING CHU and CHIN CHUN cnu, PRAECIPE FOR DISCONTINUANCE TO THE PROTHONOTARY: Please mark the above-captioned action settled and discontinued with prejudice and Plaintiff satisfied in full. Date: /Jf!u..,..L Z~ /11'1,1 , CLECKNER AND FEAREN P t1 ,. .... By: ,. tJ~/e;d~(~ P. Dan el Altland, Esqu re Attorney 1.0. No. 25438 31 North Second Street P. O. Box 11847 Harrisburg, PA 17108-1847 (717) 238-1731