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§ 712. Loss of rentals because of imminence of condemnation. (a) General rule.--A property owner shall be entitled to receive as special damages compensation for any loss suffered prior to the date of taking caused by a reduction of income from rentals which the property owner establishes was substantially due to the general knowledge of the imminence of condemnation, other than that due to physical deterioration of the property within the reasonable control of the property owner. (b) Applicability.--This section applies only to losses of rental income suffered following a 60-day period subsequent to written notice from the property owner to the acquiring agency that losses of rental income are being suffered. Claims for special damages under this section may be made by any property owner whose property is or was scheduled for condemnation, whether or not a condemnation subsequently occurs. Total damages under this section shall not exceed $30,000. (c) Limited applicability.--Claims for special damages compensation as described in subsection (a) may be made by any property owner against any acquiring agency whether or not a condemnation subsequently occurs for any project related to a convention center in a city of the first class.
IN THE COURT OF COMMON PLEAS OF LANCASTER COUNTY, PENNSYLVANIA CIVIL ACTION - LAW SCOTT SHOEMAKER Plaintiff No. CI-22-01180 v ASSIGNED TO JUDGE BROWN STUART SHOEMAKER Defendant ORDER AND NOW, this day of July, 2022, upon…
Mar 03, 2022
CLOSED
Lancaster County, PA
Jul 01, 2022
DAVID L ASHWORTH (Judge)
FOX ROTHSCHILD LLP Adam G. Silverstein, Esquire Julie D. Goldstein, Esquire Attorney I.D. Nos. 70201/200177 2800 Kelly Road, Suite 200 Attorneys for Plaintiff, Warrington, PA 18976-3624 Barton Winokur, Executor of the Phone: 215-345-7500 Estate of Walter R. Garrison Facsimile: 215-345-7507 Barton Winokur, Executor of the COURT OF COMMON PLE…
Jan 10, 2022
> 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
FOX ROTHSCHILD LLP By: Adam G. Silverstein, Esquire Attorneys for Defendant, Georgios K. Patsalosawvis, Esquire Wells Fargo Bank, N.A. Attorney ID Nos. 70201/320783 2800 Kelly Road, Suite 200 Warrington, PA 18976 (215) 345-7500 (Office) (215) 345-7507 (Facsimile SHELLY CHAUNCEY, Guardian of the COURT OF COMMON PLEAS ESTATE OF DEYONNA GARNETT, …
(No Case Name Available)
FOX ROTHSCHILD LLP By: Adam G. Silverstein, Esquire Attorneys for Defendant, Georgios K. Patsalosawvis, Esquire Wells Fargo Bank, N.A. Attorney ID Nos. 70201/320783 2800 Kelly Road, Suite 200 Warrington, PA 18976 (215) 345-7500 (Office) (215) 345-7507 (Facsimile SHELLY CHAUNCEY, Guardian of the COURT OF COMMON PLEAS ESTATE OF DEYONNA GARNETT, …
Mar 08, 2022
Delaware County, PA
May 03, 2022
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