NOTICES
Service of Notice of Motor Carrier Applications
[32 Pa.B. 3451] The following temporary authority and/or permanent authority applications for the right to render service as a common carrier or contract carrier in this Commonwealth have been filed with the Pennsylvania Public Utility Commission (Commission). Publication of this notice shall be considered as sufficient notice to all carriers holding authority from this Commission. Applications will be considered without hearing in the absence of protests to the application. Protests to the applications published herein are due on or before August 5, 2002, as set forth at 52 Pa. Code § 3.381 (relating to the applications for transportation of property, household goods in use and persons). The protest shall also indicate whether it applies to the temporary authority application or the permanent application or both.
Applications of the following for approval to begin operating as common carriers for transportation of persons as described under each application.
A-00114985, Folder 2. Cranberry Limousine Services, Inc. (133 Glenbrook Drive, Cranberry Township, Allegheny County, PA 16066)--persons in limousine service, between points in the Counties of Allegheny, Beaver and Butler.
A-00119025. Scott F. Lengyel (601 Bascom Avenue, Pittsburgh, Allegheny County, PA 15212)--between points in the County of Allegheny, and from points in said county, to points in Pennsylvania, and return. Attorney: William A. Gray, 2310 Grant Building, 310 Grant Street, Pittsburgh, PA 15219.
A-00119031. Paul Liberati t/d/b/a A-1 Limo (3117 Woodridge Drive, Pittsburgh, Allegheny County, PA 15227)--persons in limousine service, between points in Allegheny County. Attorney: David M. O'Boyle, 450 Two Chatham Center, Pittsburgh, PA 15219.
A-00119032. Matthew Charles Scrabis t/d/b/a A Diamond Limousine Service (903 Fairfield Road, Pittsburgh, Allegheny County, PA 15237)--to transport as a common carrier, by motor vehicle, persons in limousine service, between points in the County of Allegheny, and from points in said county, to points in Pennsylvania, and return.
Applications of the following for amendment to the certificate of public convenience approving the operation of motor vehicles as common carriers for transportation of persons as described under each application.
A-00108879, Folder 1, Am-A. Jeffries Enterprises, Inc. t/d/b/a A Silver Fox Limousine Service t/d/b/a Silver Fox Limousine Service t/d/b/a Aladdin Limousine Service (5500 Grand Avenue, Pittsburgh, Allegheny County, PA 15225), inter alia--a corporation of the Commonwealth, to transport, as a common carrier, by motor vehicle, persons in limousine service, between points in Pennsylvania: So As to Permit the transportation of persons in limousine service, between points in the County of Allegheny. Attorney: Gianni Floro, 510 Third Avenue, Pittsburgh, PA 15219.
A-00109668, Folder 1, Am-E. Kirk Livery, Inc. (126 McClellan Drive, Pittsburgh, Allegheny County, PA 15236), inter alia--a corporation of the Commonwealth, to transport, as a common carrier, by motor vehicle, persons in limousine service, between points in Pennsylvania: So As to Permit the transportation of persons in limousine service, between points in the county of Allegheny. Attorney: William A. Gray, 2310 Grant Building, 310 Grant Street, Pittsburgh, PA 15219.
A-00111153, Folder 1, Am-B. Absolute Limousine Service, Inc. t/d/b/a Absolute Transportation Services (1115 Farragut Street, Pittsburgh, Allegheny County, PA 15206), inter alia--a corporation of the Commonwealth, to transport, as a common carrier, by motor vehicle, persons in limousine service, between points in Pennsylvania: So As to Permit the transportation of persons in limousine service, between points in the County of Allegheny. Attorney: William A. Gray, 2310 Grant Building, 310 Grant Street, Pittsburgh, PA 15219.
A-00112166, Folder 2, Am-B. Classic Limousine Transportation, LLC (345 Rouser Road, Coraopolis, Allegheny County, PA 15108), a limited liability company of the Commonwealth--inter alia--persons in limousine service, between points in Pennsylvania: So As to Permit the transportation of persons in limousine service, between points in the County of Allegheny. Attorney: William A. Gray, 2310 Grant Building, Pittsburgh, PA 15219-2382.
A-00112415, Folder 1, Am-A. Armando Ocando t/d/b/a All Star Limousines (2307 Harrow Road, Pittsburgh, Allegheny County, PA 15241), inter alia, to transport, as a common carrier, by motor vehicle, persons in limousine service, between points in Pennsylvania: So As to Permit the transportation of persons in limousine service, between points in the County of Allegheny.
A-00115254, Folder 1, Am-B. Majesty Company, Inc. (200 Green Tree Road, Munhall, Allegheny County, PA 15120), a corporation of the Commonwealth--persons in airport transfer service, from points in the Counties of Armstrong, Indiana, Washington and Westmoreland, to the Pittsburgh International Airport, in the County of Allegheny, subject to the following condition: That no right, power or privilege is granted to provide service to or from hotels or motels located in the said counties: So As to Permit the transportation of persons in airport transfer service, from points in the County of Butler, to the Greater Pittsburgh International Airport, located in Allegheny County.
A-00117103, Folder 1, Am-A. John J. Valasek t/d/b/a Extreme Limousines (1532 Leishman Avenue, Arnold, Westmoreland County, PA 15069), inter alia, to transport, as a common carrier, by motor vehicle, persons in limousine service, between points in Pennsylvania: So As to Permit the transportation of persons in limousine service, between points in the County of Allegheny.
A-00117375, Folder 1, Am-A. Snow White Dove Limousine, Inc. (312 Wendel Road, Irwin, Westmoreland County, PA 15642), inter alia--a corporation of the Commonwealth--to transport, as a common carrier, by motor vehicle, persons in limousine service, between points in Pennsylvania: So As to Permit the transportation of persons in limousine service, between points in the County of Allegheny. Attorney: William A. Gray, 2310 Grant Building, Pittsburgh, PA 15219.
A-00117490, Folder 1, Am-A. Raymond J. Lech t/d/b/a Twilight Limousine Service (9509 Perry Highway, Pittsburgh, Allegheny County, Pittsburgh, PA 15237)--to transport, by motor vehicle, persons in limousine service, between points in Pennsylvania: So As to Permit the transportation of persons in limousine service, between points in the County of Allegheny. Attorney: David M. O'Boyle, 1450 Two Chatham Center, Pittsburgh, PA 15219-3427.
A-00117748, Folder 1, Am-A. Harper's Transportation, Inc. (2728 Espy Avenue, Pittsburgh, Allegheny County, PA 15216), a corporation of the Commonwealth--to transport, by motor vehicle, persons in limousine service, between points in Pennsylvania: So As to Permit the transportation of persons in limousine service, between points in the County of Allegheny. Attorney: David M. O'Boyle, 1450 Two Chatham Center, Pittsburgh, PA 15219.
A-00118037, Folder 1, Am-A. Brian P. Haenze t/d/b/a Exotic Limousine Service (5155 Library Road, Bethel Park, Allegheny County, PA 15102), inter alia, to transport, as a common carrier, by motor vehicle, persons in limousine service, between points in Pennsylvania: So As to Permit the transportation of persons in limousine service, between points in the County of Allegheny.
Application of the following for approval of the additional right and privilege of operating motor vehicles as common carriers for transportation of persons as described the application.
A-00110323, Folder 2. John Finnegan t/d/b/a A-1 Limousine (504 Stanton Avenue, Millvale, Allegheny County, PA 15209)--persons in limousine service, between points in the County of Allegheny, and from points in said county, to points in Pennsylvania, and return.
Complaint
Pennsylvania Public Utility Commission, Bureau of Transportation and Safety v. Tommy P. B. Wizard Corp.; Doc. No. A-00102397C02; A-00102397, F. 3
Complaint The Pennsylvania Public Utility Commission (Commission) is a duly constituted agency of the Commonwealth of Pennsylvania empowered to regulate public utilities within the Commonwealth. The Commission has delegated its authority to initiate proceedings which are prosecutory in nature to the Bureau of Transportation and Safety and other bureaus with enforcement responsibilities. Pursuant to that delegated authority and Section 701 of the Public Utility Code, the Bureau of Transportation and Safety Prosecutory Staff hereby represents as follows:
1. That Tommy P. B. Wizard Corp., respondent, maintains its principal place of business at 5201 Media Street, Philadelphia, PA 19131.
2. That respondent was issued a certificate of public convenience by this Commission on October 31, 1988 at Application Docket No. A-00102397, F. 3.
3. That respondent abandoned or discontinued service without having first filed an application with this Commission for abandonment or discontinuance of service. Respondent has not reported intrastate revenue for the years 1999, 2000 and 2001.
4. That respondent, by failing to file an application with this Commission prior to abandoning or discontinuing service, violated 52 Pa. Code § 3.381(a)(1)(v) and 66 Pa.C.S. § 1102(a)(2) and, by failing to maintain adequate, efficient and safe service and facilities, violated 66 Pa.C.S. § 1501.
WHEREFORE, the Bureau of Transportation and Safety Prosecutory Staff hereby requests that the Commission revoke Tommy P. B. Wizard Corp.'s Certificate of Public Convenience at A-00102397, F. 3.
Respectfully submitted,
Michael E. Hoffman, Director
Bureau of Transportation and Safety
P. O. Box 3265
Harrisburg, PA 17105-3265
Verification I, Michael E. Hoffman, hereby state that the facts above set forth are true and correct to the best of my knowledge, information and belief and that I expect to be able to prove the same at any hearing held in this matter. I understand that the statements herein are made subject to the penalties of 18 Pa.C.S. § 4904 relating to unsworn falsification to authorities.
Date: __________
__________
Michael E. Hoffman
Notice A. You must file an answer within twenty days of the date of service of this Complaint. The date of service is the mailing date, as indicated at the top of the Secretarial Cover Letter for this Complaint and Notice, 52 Pa. Code § 1.56(a). An answer is a written explanation of circumstances wished to be considered in determining the outcome. The answer shall raise all factual and legal arguments that you wish to claim in your defense and must include the reference number of this Complaint. Your answer must be verified and the original and three copies sent to:
James J. McNulty, Secretary
Pennsylvania Public Utility Commission
P. O. Box 3265
Harrisburg, PA 17105-3265B. If you fail to answer this Complaint within twenty days, the Bureau of Transportation and Safety will request that the Commission issue a Secretarial Letter imposing a penalty, which will include the revocation of your Certificate of Public Convenience.
C. If you file an answer which admits or fails to deny the allegations of the Complaint, the Bureau of Transportation and Safety will request that the Commission issue a Secretarial Letter imposing a penalty, which may include the revocation of your Certificate of Public Convenience.
D. If you file an answer which contests the Complaint, the matter will be assigned to an Administrative Law Judge for hearing and decision.
E. Alternative formats of this material are available, for persons with disabilities, by contacting the Compliance Office at 717-787-1168.
Complaint
Pennsylvania Public Utility Commission, Bureau of Transportation and Safety v. Barclay Hotel Associates; Doc. No. A-00103186C02; A-00103186
Complaint The Pennsylvania Public Utility Commission (Commission) is a duly constituted agency of the Commonwealth of Pennsylvania empowered to regulate public utilities within the Commonwealth. The Commission has delegated its authority to initiate proceedings which are prosecutory in nature to the Bureau of Transportation and Safety and other bureaus with enforcement responsibilities. Pursuant to that delegated authority and Section 701 of the Public Utility Code, the Bureau of Transportation and Safety Prosecutory Staff hereby represents as follows:
1. That Barclay Hotel Associates, respondent, maintains its principal place of business at 1315 Walnut Street, Suite 1024, Philadelphia, PA 19107.
2. That respondent was issued a certificate of public convenience by this Commission on September 18, 1981 at Application Docket No. A-00103186.
3. That respondent abandoned or discontinued service without having first filed an application with this Commission for abandonment or discontinuance of service. Respondent has not reported intrastate revenue for the years 1999, 2000 and 2001.
4. That respondent, by failing to file an application with this Commission prior to abandoning or discontinuing service, violated 52 Pa. Code § 3.381(a)(1)(v) and 66 Pa.C.S. § 1102(a)(2) and, by failing to maintain adequate, efficient and safe service and facilities, violated 66 Pa.C.S. § 1501.
WHEREFORE, the Bureau of Transportation and Safety Prosecutory Staff hereby requests that the Commission revoke Barclay Hotel Associates' Certificate of Public Convenience at A-00103186.
Respectfully submitted,
Michael E. Hoffman, Director
Bureau of Transportation and Safety
P. O. Box 3265
Harrisburg, PA 17105-3265
Verification I, Michael E. Hoffman, hereby state that the facts above set forth are true and correct to the best of my knowledge, information and belief and that I expect to be able to prove the same at any hearing held in this matter. I understand that the statements herein are made subject to the penalties of 18 Pa. C.S. § 4904 relating to unsworn falsification to authorities.
Date: __________
__________
Michael E. Hoffman
Notice E. You must file an answer within twenty days of the date of service of this Complaint. The date of service is the mailing date, as indicated at the top of the Secretarial Cover Letter for this Complaint and Notice, 52 Pa. Code § 1.56(a). An answer is a written explanation of circumstances wished to be considered in determining the outcome. The answer shall raise all factual and legal arguments that you wish to claim in your defense and must include the reference number of this Complaint. Your answer must be verified and the original and three copies sent to:
James J. McNulty, Secretary
Pennsylvania Public Utility Commission
P. O. Box 3265
Harrisburg, PA 17105-3265F. If you fail to answer this Complaint within twenty days, the Bureau of Transportation and Safety will request that the Commission issue a Secretarial Letter imposing a penalty, which will include the revocation of your Certificate of Public Convenience.
G. If you file an answer which admits or fails to deny the allegations of the Complaint, the Bureau of Transportation and Safety will request that the Commission issue a Secretarial Letter imposing a penalty, which may include the revocation of your Certificate of Public Convenience.
H. If you file an answer which contests the Complaint, the matter will be assigned to an Administrative Law Judge for hearing and decision.
E. Alternative formats of this material are available, for persons with disabilities, by contacting the Compliance Office at 717-787-1168.
JAMES J. MCNULTY,
Secretary
[Pa.B. Doc. No. 02-1224. Filed for public inspection July 12, 2002, 9:00 a.m.]
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