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§ 1105. Evidence generally. At the hearing before the viewers or at the trial in court on appeal: (1) A qualified valuation expert may, on direct or cross-examination, state any or all facts and data which the expert considered in arriving at an opinion, whether or not the expert has personal knowledge of the facts and data, and a statement of the facts and data and the sources of information shall be subject to impeachment and rebuttal. (2) A qualified valuation expert may, on direct or cross-examination, testify in detail as to the valuation of the property on a comparable market value, reproduction cost or capitalization basis, which testimony may include, but shall not be limited to, the following: (i) The price and other terms of any sale or contract to sell the condemned property or comparable property made within a reasonable time before or after the date of condemnation. (ii) The rent reserved and other terms of any lease of the condemned property or comparable property which was in effect within a reasonable time before or after the date of condemnation. (iii) The capitalization of the net rental or reasonable net rental value of the condemned property, including reasonable net rental values customarily determined by a percentage or other measurable portion of gross sales or gross income of a business which may reasonably be conducted on the premises, as distinguished from the capitalized value of the income or profits attributable to any business conducted on the premises of the condemned property. (iv) The value of the land together with the cost of replacing or reproducing the existing improvements less depreciation or obsolescence. (v) The cost of adjustments and alterations to any remaining property made necessary or reasonably required by the condemnation. (3) Either party may show the difference between the condition of the property and of the immediate neighborhood at the time of condemnation and at the time of view, either by the viewers or jury. (4) The assessed valuations of property condemned shall not be admissible in evidence for any purpose. (5) A qualified valuation expert may testify that the expert has relied upon the written report of another expert as to the cost of adjustments and alterations to any remaining property made necessary or reasonably required by the condemnation, but only if a copy of the written report has been furnished to the opposing party ten days in advance of the trial. (6) If otherwise qualified, a valuation expert shall not be disqualified by reason of not having made sales of property or not having examined the condemned property prior to the condemnation if the expert can show he has acquired knowledge of its condition at the time of the condemnation.
Aug 01, 2018
ORDER ENTERED - FINAL DISPOS
Hon. JUDGE, SUPERVISING
Philadelphia County
Philadelphia County, PA
Jan 05, 2015
AGREEMENT OF SALE APPROVED
Philadelphia County
Philadelphia County, PA
Nov 02, 2017
ORDER ENTERED - FINAL DISPOS
Hon. JUDGE, EMERGENCY
Philadelphia County
Philadelphia County, PA
Nov 08, 2018
ORDER ENTERED - FINAL DISPOS
Hon. JUDGE, SUPERVISING
Philadelphia County
Philadelphia County, PA
Sep 01, 2017
Closed
Hon. JUDGE, SUPERVISING
Philadelphia County
Philadelphia County, PA
DAVIS BUCCO MAKARA & DORSEY By: Paul A. Bucco, Esquire David S. Makara, Esquire Attorney ID. Nos.: 52561/78241 10 East 6"" Avenue, Suite 100 Conshohocken, PA 19428 Attorneys for Plaintiff; (610) 238-0880 George J. Carman IN THE COURT OF COMMON PLEAS OF DELAWARE COUNTY, PENNSYLVANIA GEORGE J. CARMAN P.O. Box 826 : Soda Springs, CA 95728 : CIVIL ACTION Plaintiff, No. Vv. BASTOGNE DEVELOPMENT : JURY TRIAL DEMANDED PARTNERS, LLC p 9242 West Chester Pike Upper Darby, PA 19082 Defendant. …
May 11, 2022
Delaware County, PA
May 11, 2022
DAVIS BUCCO MAKARA & DORSEY By: Paul A. Bucco, Esquire David S. Makara, Esquire Attorney ID. Nos.: 52561/78241 10 East 6"" Avenue, Suite 100 Conshohocken, PA 19428 Attorneys for Plaintiff; (610) 238-0880 George J. Carman IN THE COURT OF COMMON PLEAS OF DELAWARE COUNTY, PENNSYLVANIA GEORGE J. CARMAN P.O. Box 826 : Soda Springs, CA 95728 : CIVIL ACTION Plaintiff, No. Vv. BASTOGNE DEVELOPMENT : JURY TRIAL DEMANDED PARTNERS, LLC p 9242 West Chester Pike Upper Darby, PA 19082 Defendant. …
May 12, 2022
Delaware County, PA
May 11, 2022
CONRAD O’BRIEN PC Attorneys for Plaintiff, Kevin Dooley Kent (No. 85962) Chester Water Authority Megan A. Guernsey (No. 202065) Joseph W. Jesiolowski (No. 307323) Centre Square West Tower 1500 Market Street, Suite 3900 Philadelphia, PA 19102-2100 Phone: (215) 864-9600 …
Nov 03, 2021
Delaware County, PA
Nov 03, 2021
> ZOmsOmD ZOmsAOED a For Prothonotary Use Only: Docket No: The information collected on this form is used solely for court administration purposes. This form does not supplement or replace the filing and service of pleadings or other papers as required by law or rules of court. Commencement of Action: EF] Complaint O writ of Summons O Petition (© Transfer from Another Jurisdiction 0 Declaration of Taking Lead Plaintiff's Name: Lead Defendant’s Name: Chester Water Authority City of Ches…
Mar 13, 2020
Delaware County, PA
Mar 13, 2020
CONRAD O’BRIEN PC Attorneys for Plaintiff, Kevin Dooley Kent (No. 85962) Chester Water Authority Megan A. Guernsey (No. 202065) Joseph W. Jesiolowski (No. 307323) Andrew K. Garden (No. 314708) Centre Square West Tower 1500 Market Street, Suite 3900 Philadelphia, PA 19102-2100 Phone: (215) 864-9600 Fax: (215) 864-9620 Email: kkent@conradobrien.com jjesiolowski@conradobrien.com mguernsey@conradobrien.com …
Mar 13, 2020
Delaware County, PA
May 22, 2020
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