Laserfiche WebLink
200403744 <br />or deny the remaining allegations set forth in Paragraph #2 of Plaintiff's Complaint; and for this <br />reason alleges that the Plaintiff should be allowed to prove such allegations. <br />3. Alleges that for lack of sufficient information, this Defendant is unable to either admit <br />or deny the allegations set forth in Paragraph #3 of Plaintiff's Complaint; and for this reason <br />alleges that the Plaintiff should be allowed to prove such allegations. <br />4. Alleges that for lack of sufficient information, this Defendant is unable to either admit <br />or deny the allegations set forth in Paragraph #4 of Plaintiff s Complaint; and for this reason <br />alleges that the Plaintiff should be allowed to prove such allegations. <br />5. Alleges that for lack of sufficient information, this Defendant is unable to either admit <br />or deny the allegations set forth in Paragraph #5 of Plaintiff s Complaint; and for this reason <br />alleges that the Plaintiff should be allowed to prove such allegations. <br />6. Admits that portion of Paragraph #6 of the Plaintiff s Complaint wherein it is alleged <br />that this Defendant, C & C Millwork, Inc., claims a right, title and interest in and to the real estate <br />described in Paragraph #2 of Petitioner's Complaint by virtue of a Construction Lien filed on <br />December 1, 2003 by said Defendant against the subject real estate, which Lien appears as <br />Instrument #200315460 of the records of the Register of Deeds of Hall County, Nebraska. <br />Alleges that for lack of sufficient information, this Defendant is unable to either admit <br />or deny the remaining allegations set forth in Paragraph #6 of Plaintiffs Complaint; and for this <br />reason alleges that the Plaintiff should be allowed to prove such allegations. <br />7. Specifically denies the allegations set forth in Paragraph #7 of Plaintiff's Complaint; <br />and alleges that the Plaintiff should be placed upon strict proof thereof. <br />Page 2 of 7 <br />