IN THE CIRCUIT COURT OF WOOD COUNTY,
WEST VIRGINIA
QUALITY SUPPLY & RENTAL, INC.,
d/b/a CALLAHAN DO IT BEST HARDWARE
Plaintiff,
- CASE NO.: 14-C-2630
WILLIAM MCINNIS and
MARJORIE MCINNIS,
Defendants,
AND
WILLIAM MCINNIS and
MARJORIE MCINNIS,
Third Party Plaintiffs,
vs.
JIM SICKLES, PAUL SICKLES &
RON SICKLES dba IRON CITY LOG HOMES, and
KATAHDIN FOREST PRODUCTS COMPANY dba
KATAHDIN CEDAR LOG HOMES,
a Maine Corporation,
Third-Party Defendants.
ORDER OF PUBLICATION
The object of the above entitled action is to obtain damages and other compensation for breach of contract, fraud, indemnification and other causes of action arising from a construction contract with the Third Party Defendants, Jim Sickles, Paul Sickles & Ron Sickles dba Iron City Log Homes, on or about January of 2013 in Walker, Wood County, West Virginia.
And it appearing by an affidavit filed in this action that the Defendants/Third Party Plaintiffs, by Counsel John N. Ellem, have attempted to serve the Defendants, Jim Sickles, Paul Sickles & Ron Sickles dba Iron City Log Homes, via certified mailer addressee restricted from this Clerkás Office to their last known address without success. Furthermore, the affiant represented that the Defendants, Jim Sickles, Paul Sickles & Ron Sickles dba Iron City Log Homes, are non-residents believed to have their principal place of business and residence in Jackson, Ohio. It is ordered that Jim Sickles, Paul Sickles & Ron Sickles dba Iron City Log Homes do serve upon the Wood County Circuit Court Clerk Carole Jones at #2 Government Square, Parkersburg WV 26101 and Defendants/Third Party Plaintiffs William and Marjorie McInnis, via their attorney, John N. Ellem, at PO Box 322, Parkersburg WV 26102 an answer or other defense to the Third Party Complaint filed in this action on or before June 15, 2015, otherwise judgment by default will be taken against the Third Party Defendants, Jim Sickles, Paul Sickles & Ron Sickles dba Iron City Log Homes, at any time thereafter. A copy of said Third Party Complaint can be obtained from the undersigned Clerkás office.
Dated this 5th day May 2015.
ENTER: /s/: Carole Jones
By: T Williams, Deputy
(Clerk/Deputy Clerk)
/s/: John N. Ellem (WV #6027
(Ohio S. Ct. #0062842)
ELLEM LAW OFFICE
P.O. Box 322 ó 914 Market Street
Parkersburg, WV 26102-0322
(304) 424-5297 – Telephone
(304)865-1585 – Telecopier
Counsel for the Defendants/Third Party Plaintiffs
May 11, 18