On May 30, 2024 a
Miscellaneous
was filed
involving a dispute between
Trustees Of The Williamsburg Park Condominium,
and
Able Business Concept, Llc,
for Real Property
in the District Court of Middlesex County.
Preview
a
Massachusetts Trial Court
e
DOCKET NUMBER
CIVIL ACTION COVER SHEET Superior Court
AR OHRS COUNTY |Middlesex Superior Court (Lowell)
Plaintiff Trustees of the Williamsburg Park Condominium Defendant: Able Business Concept LLC
ADDRESS: c/o Silva Associates, 1215 Main St., #121, Tewksbury, MA 018| ADDRESS: 21 Drabbington Way, Weston, MA 02493
Plaintiff Attorney: Paul M. King Defendant Attorney:
ADDRESS: Law Office of Paul M. King PC ADDRESS:
1501 Main Street, Unit 13, Tewksbury, MA 01876
BBO: 654440 BBO:
TYPE OF ACTION AND TRACK DESIGNATION (see instructions section on next page)
CODE NO. TYPE OF ACTION (specify) TRACK HAS A JURY CLAIM BEEN MADE?
0-5 Condominium Lien and Charges Yes CO Yes no
*If "Other" please describe:
Js there a claim under G.L. c. 93A? Is there a class action under Mass. R. Civ. P. 23?
CO Yes no (Yes NO
STATEMENT OF DAMAGES REQUIRED BY G.L. c. 212, § 3A
|The following is a full, itemized and detailed statement of the facts on which the undersigned plaintiff or plaintiffs counsel relies to determine money damages.
(Note to plaintiff: for this form, do not state double or treble damages; indicate single damages only.)
|A. Documented medical expenses to date
1. Total hospital expenses
2. Total doctor expenses INTHE OFFER oF He
CLERK OF
3. Total chiropractic expenses FOR THE COUNTY OF MIDDLESEX
4. Total physical therapy expenses
5. Total other expenses (describe below) MAY 30 2024
_|
Nera (1-5); $0.00
B. Documented lost wages and compensation to date
C. Documented property damages to date
D. Reasonably anticipated future medical and hospital expenses
E. Reasonably anticipated lost wages
F.Other documented items of damages (describe below)
|
TOTAL (A-F): $0.00
G. Briefly describe plaintiffs injury, including the nature and extent of the injury:
CONTRACT CLAIMS
Oo This action includes a claim involving collection of a debt incurred pursuant to a revolving credit agreement. Mass. R. Civ. P. 8.1(a)
Item # T Detailed Description of Each Claim Amount
[7, Action to foreclose on condominium lien. Jurisdiction conferred upon Superior Court per M.G.L. C. 254, §5. Plaintiff
Li
1 also requests other equitable relief. Aside from any equitable relief, Plaintiff, requests monetary damages at the time of $2,384.70
filing and Attorney fees and costs, plus ongoing common area fees. =i Total $2,384.70
Date: 2TH
RELATED ACTIONS: Please provide the case number, case name, and county of any related actions pending in the Superior Court.
CERTIFICATION UNDER S.J.C. RULE 1:18(5)
| hereby certify that | have compli ied wit le 5 of Supreme Judicial Court Rule 1:18: Uniform Rules on Dispute Resolution, requiring that | inform my clients about
court-connected dispute resolution with them the advantages and disadvantages of the various methods of dispute resolution.
Signature of Attorney: X >— [Date: sf pt 7
Document Filed Date
May 30, 2024
Case Filing Date
May 30, 2024
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