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MCCLAIN COUNTY • CJ-2026-00060

CM & D ENTERPRISES, LLC v. NICHELLE SHERMAN s/p/a NICHELLE M. DELAWARE

Filed: Feb 19, 2026
Type: CJ

What's This Case About?

Let’s get one thing straight: you do not promise “NO PAYMENT UNTIL ALL WORK IS COMPLETE” and then sue someone for $10,300 when they don’t pay. That’s not a business model — that’s a hostage negotiation with shingles.

And yet, here we are. In the hallowed (and probably slightly air-conditioned) halls of the District Court of McClain County, Oklahoma, a roofing company has launched a full-scale legal assault on a married couple because they allegedly failed to pay for a new roof. But wait — it gets juicier. The company that did the work didn’t even file the lawsuit. Nope. They sold the debt to another company — which just so happens to be run by the same guy. And now that second company is trying to foreclose on the homeowners’ house over the unpaid bill. Oh, and the USDA is involved too, because of course it is. This isn’t just a roofing dispute — it’s a real estate thriller with better warranties.

So who are these people? On one side, we’ve got Nichelle and Joshua Sherman, a married couple living in Newcastle, Oklahoma, in a modest neighborhood called Bradford Place. They own a house — 1805 Bradford Place, to be exact — and like many homeowners who’ve stared up at a leaky ceiling during a spring thunderstorm, they decided it was time for a new roof. Enter Extreme Roofing Solutions, LLC, a company that, judging by its contract, really leans into the whole “We treat your home as if it were our own” vibe. They’re BBB-accredited! They’re members of the National Roofing Contractors Association! They even offer a 3-year workmanship warranty! This is not some fly-by-night tarp crew — this is professional-grade peace of mind, complete with laminated lifetime shingles and drip edge (246 feet of it, to be precise).

The contract was signed on March 28, 2025. The job was done — allegedly — by May 3, 2025. The total? $10,300. And here’s the kicker: the contract literally says “NO PAYMENT UNTIL ALL WORK IS COMPLETE.” That’s not a typo. That’s a promise. That’s a bold, underlined, probably printed in slightly larger font than the rest of the document because they wanted you to see it. It’s the roofing equivalent of “Try before you buy,” except with asphalt and ladders.

But somewhere between May 3 and July 3, things went sideways. The Shermans, according to the filing, refused to pay. Not a penny. Not a partial check. Not even a polite “Hey, we’re having a cash flow issue.” Just radio silence. So Extreme Roofing did what any self-respecting contractor would do: they filed a mechanic’s lien on the property. That means they basically said, “You didn’t pay, so now we have a legal claim against your house.” It’s not a mortgage, but it’s close — it clouds the title, makes it harder to sell, and gives the contractor the right to eventually force a sale if the debt isn’t settled. They filed it on July 3, 2025. A month later, on August 21, someone named Tammy S. Rekstmother (and Nichelle Delaware — who may or may not be Nichelle Sherman, the “s/p/a” in the case title stands for “same person as,” so we’re assuming yes) was personally served with notice of the lien. Message received: pay up, or we take the house.

But here’s where it gets weird. By December 31, 2025 — just five months later — Extreme Roofing assigned the entire claim to a different company: CM & D Enterprises, LLC. And who runs that? Chris Manion. Who also happens to be the owner of Extreme Roofing Solutions. That’s right. The same guy who promised “no payment until work is complete” then transferred the debt to his other company so that company could sue the homeowners. It’s like if your barber cut your hair, refused to take payment, then sold your IOU to his cousin’s debt collection agency, which then sued you for double the price. It’s not illegal — assignments like this happen all the time — but it does feel a little… circular. A little slick. A little “let’s see how many LLCs we can stack before someone notices.”

Now CM & D is the plaintiff, suing the Shermans for breach of contract, for failing to pay an open account (fancy legal speak for “you owe us money”), and — most dramatically — to foreclose on the lien. That means they want the court to order the house sold so they can get their $10,300 out of the proceeds. And yes, the USDA is named as a defendant too — not because they did anything wrong, but because they hold a mortgage on the property from 2017, and the court needs to sort out who gets paid first. Spoiler: the USDA wins. Their mortgage is “prior and superior,” as the filing admits. So even if the roof guys win, they’re getting paid after the government. Which means if the house isn’t worth enough to cover both, CM & D might end up with squat.

Now, let’s talk about that $10,300. Is it a lot? For a roof, maybe not. For a family in Newcastle, Oklahoma, it’s not nothing — that’s a car payment, or a year of groceries, or a solid chunk of a down payment on a slightly bigger house. But is it enough to risk losing your home over? That’s the nuclear option. Mechanic’s liens exist to protect contractors — and they should! No one should do $10,000 worth of work and get stiffed. But suing to sell someone’s house over a debt that could’ve been settled with a payment plan, a mediation, or even a sternly worded letter? That’s escalation with a capital E.

And here’s what we’re really scratching our heads over: the “no payment until work is complete” clause. Was the work actually complete? Did the Shermans complain about the job? Was there a dispute about quality? The filing doesn’t say. It just says they “refused to pay.” But if the work was done, and it was up to code, and they just decided not to pay… well, that’s on them. You can’t enjoy a new roof and then pretend it grew there like moss. But if the work wasn’t complete, or it was subpar, or there was a misunderstanding — then Extreme Roofing didn’t just get stiffed. They set themselves up for this by promising payment only after completion, and then acting shocked when no one paid.

Our take? We’re not rooting for the lien. We’re not rooting for the foreclosure. We’re not even rooting for the USDA, though they are the least dramatic party here. We’re rooting for common sense. For a phone call. For a conversation. For a contractor who promised “honesty” and “treating your home as our own” to maybe, just maybe, pick up the phone before dragging a family to court and threatening to sell their house. Because at the end of the day, this isn’t just about $10,300. It’s about trust. And once that’s gone — whether it’s between a homeowner and a roofer, or a business and its customers — no amount of laminated shingles can cover the leak.

Case Overview

$10,300 Demand Petition
Jurisdiction
District Court, Oklahoma
Relief Sought
Plaintiffs
Claims
# Cause of Action Description
1 Suit on an Open Account Plaintiff seeks payment for work performed by Extreme Roofing Solutions on the Sherman Residence
2 Breach of Contract Plaintiff alleges that Defendants breached their contract with Extreme Roofing Solutions
3 Lien Foreclosure Plaintiff seeks to foreclose on a mechanic's lien filed against the Sherman Residence

Petition Text

3,939 words
IN THE DISTRICT COURT OF MCCLAIN COUNTY STATE OF OKLAHOMA CM & D ENTERPRISES, LLC, an } Oklahoma limited liability company, { } { } Plaintiff, v. NICHELLE SHERMAN s/p/a NICHELLE { } Case No. CJ-2026-600 M. DELAWARE AND JOSHUA SHERMAN, } Husband and wife, and the UNITED } STATES DEPARTMENT OF AGRICULTURE, } Defendants. PETITION COMES NOW the Plaintiff, CM & D ENTERPRISES, LLC, an Oklahoma limited liability company, (hereinafter, "Plaintiff" or "CM & D"), and for its cause of action against Defendants, NICHELLE SHERMAN s/p/a NICHELLE M. DELAWARE AND JOSHUA SHERMAN, Husband and wife, and the UNITED STATES DEPARTMENT OF AGRICULTURE, alleges and states as follows: JURISDICTION AND VENUE 1. The Plaintiff, CM & D ENTERPRISES, LLC, is an Oklahoma limited liability company, with its principal place of business in Pottawatomie County, Oklahoma. HENRY HOPKINS ATWOOD BRACKEEN PLLC 116 N. BELL SHAWNEE, OK 74801 405-275-7600 2. Defendants, Nichelle Sherman S/P/A Nichelle M. Delaware and Joshua Sherman, Husband and wife, are residents of Newcastle, Oklahoma, McClain County, Oklahoma. 3. Defendant, United States Department of Agriculture, is a federal agency. 4. The actions and/or omissions of Defendants which give rise to Plaintiff’s cause of action and other requests for relief set forth herein, were committed, in whole or in part, in McClain County, Oklahoma. 5. Real property associated with this litigation is situated in McClain County, Oklahoma. 6. This Court has jurisdiction of the parties and the subject matter of Plaintiff’s causes of action contained herein. 7. Venue is proper with this court. RELEVANT FACTS AND BACKGROUND 8. Defendants, Nichelle Sherman S/P/A Nichelle M. Delaware and Joshua Sherman, Husband and wife (hereinafter, “Sherman”), contracted with Extreme Roofing Solutions, LLC, (hereinafter, “Extreme”) to perform roofing work on their house located at 1805 Bradford Place, Newcastle, OK 73065 (hereinafter “Sherman Residence”). See Contract dated 3/28/2025, attached hereto as Exhibit “A.” HENRY HOPKINS ATWOOD BRACKEEN PLLC 116 N. BELL SHAWNEE, OK 74801 405-275-7600 9. Extreme performed the work contracted for on the Sherman Residence and thereafter made demand of Sherman for the balance of $10,300.00 owed on the Contract. 10. Since that time the Shermans have refused to pay for the work performed by Extreme. 11. The Shermans owe Extreme a total of $10,300.00 for the work Extreme did on the Sherman Residence. 12. Extreme subsequently assigned its interest in the Sherman contract and any claims associated there with to the Plaintiff, CM & D ENTERPRISES, LLC. SEE Assignment of a Claim, dated 12/31/2025, attached hereto as exhibit "B." CAUSE OF ACTION COUNT ONE- SUIT ON AN OPEN ACCOUNT 13. The Plaintiff incorporates paragraphs 1-12 herein by reference. 14. As fully set forth supra, the Shermans contracted with Extreme to perform roofing work on the Sherman Residence. Extreme provided those services and the Shermans have refused to pay the same. The Shermans now have a balance due in the amount of $10,300.00 on its account payable to Plaintiff ("Accounts Payable"). The Accounts Payable is due and owing, together with interest thereon. Accordingly, Plaintiff is entitled to judgment against Sherman on the Accounts Payable. HENRY HOPKINS ATWOOD BRACKEEN PLLC 116 N. BELL SHAWNEE, OK 74801 405-275-7600 COUNT TWO- BREACH OF CONTRACT 15. The Plaintiff incorporates paragraphs 1-12 herein by reference. 16. Extreme entered into a contract with Sherman whereby Extreme was to perform roofing work on the Sherman Residence. The Accounts Payable arose as a result of Extreme’s services to the Sherman Residence. Sherman breached the contract by failing to pay Extreme the amounts due under the accounts payable. As a result of that breach, Extreme suffered damages which were later assigned to Plaintiff. COUNT THREE- LIEN FORECLOSURE 17. The Plaintiff incorporates paragraphs 1-14 herein by reference. 18. As fully set forth supra, Sherman contracted with Extreme to provide roofing services to the Sherman Residence and Extreme provided those services which services have not been paid. 19. To secure payment of the indebtedness described hereinabove Extreme did execute and file with the McClain County Clerk a Mechanic and Materialman’s Lien Statement against the Sherman Residence located at 1805 Bradford Place, Newcastle, Oklahoma, 73065. Said Lien was prepared and filed pursuant to and in compliance with Oklahoma Statutes title 42 and was perfected on July 3rd, 2025, at Book 3009. Page 739 of the McClain County Clerk's Records. A copy of this lien is attached hereto as Exhibit “C,” (hereinafter, “Lien”). 20. Notice of said Lien was served upon the Sherman Defendants on the 21st day of August, 2025. See Proof of Service Affidavit, attached hereto as Exhibit “D.” COUNT FOUR- ADDITIONAL PARTIES 21. The Plaintiff incorporates paragraphs 1-17 herein by reference. 22. That UNITED STATES DEPARTMENT OF AGRICULTURE ("USDA") may claim some right title or interest based upon a Mortgage filed on July 11, 2017 in the McClain County Clerk’s Records at Book 2392, Page 512. That USDA should be required to appear and assert any claim they may have in and to this action. Plaintiff acknowledges that USDA’s mortgage is a prior and superior lien right to that of Plaintiff’s Lien. 23. Defendants named herein may claim some right, title, lien, estate, encumbrance, claim in and to the Sherman Residence, the exact nature being unknown to the Plaintiff. WHEREFORE, premises considered, Plaintiff prays that this Court: (A) Enter Judgment against the Sherman Defendants; (B) Award it damages as setout herein; (C) Award it reasonable attorneys’ fees and costs pursuant to 12 O.S. §§ 928, 936, and 942 and 42 O.S. § 176; (D) Declare that Extreme’s lien is a valid lien against the Sherman Residence; (E) Determine the priority of all claims with Plaintiff’s acknowledgement that USDA’s Mortgage is a prior and superior lien; (F) Ordering that said Lien be foreclosed and the property interest and proceeds subject thereto be sold and the proceeds be applied first to satisfy the costs herein, then to the payment and satisfaction of Plaintiff’s claim and judgment as demanded herein; and (G) Grant it all other and further relief that this Court deems just and fair. Respectfully submitted, Craig N. Brackeen, OBA #31488 HENRY HOPKINS ATWOOD & BRACKEEN, PLLC 116 N. Bell Ave. Shawnee, OK 74801 PH: 405-275-7600 [email protected] Attorneys for the Plaintiff ATTORNEY’S LIEN CLAIMED: VERIFICATION ATTACHED HENRY HOPKINS ATWOOD BRACKEEN PLLC 116 N. BELL SHAWNEE, OK 74801 405-275-7600 VERIFICATION STATE OF OKLAHOMA } } SS. COUNTY OF POTTAWATOMIE } I, CHRIS MANION, managing member of CM & D ENTERPRISES, LLC, being of lawful age, being first duly sworn on oath, depose and say: I have read the above and foregoing Petition, know the contents thereof, and that the matters and things therein set forth are true and correct. CM & D ENTERPRISES, LLC BY: ________________________________ CHRIS MANION, managing member PLAINTIFF Subscribed and sworn to me this 19 day of February, 2026. My commission expires: July 12, 2028 When you have Problems. We have Solutions. EXTREME ROOFING SOLUTIONS CODY MANION (405)219-2015 www.extremeroofingsolutionsok.com Home Owner: JOSHUA SHERMAN Address: 1805 BRADFORD PL NEWCASTLE 73065 Phone #: 405-519-3156 Date: Friday, March 28, 2025 PREFERRED CONTRACTOR 1813 N. Harrison Shawnee, OK 74804 Office: (405)301-2270 Qty | Removal 24.64 | Remove existing shingles & check for bad decking Estate Gray Replacement 28.34 | Replace LAMINATED LIFETIME Shingles (including Synthetic Felt) Additions <table> <tr> <th></th> <th>Qty</th> <th>Description</th> <th>I-2025-006605 Book 3009 Pg 740<br>07/03/2025 11:15am Pg 0739-0740<br>Fee: $22.00 Doc: $0.00<br>Rebekah Couch - McClain County Clerk<br>State of OK</th> </tr> <tr> <td>246</td> <td>Drip Edge</td> <td></td> <td></td> </tr> <tr> <td>4</td> <td>Pipe Jacks</td> <td></td> <td></td> </tr> <tr> <td>6</td> <td>Low Profile Vents</td> <td></td> <td></td> </tr> <tr> <td>0</td> <td>Shingle Over Ridge Vent</td> <td></td> <td></td> </tr> <tr> <td>0</td> <td>Turbine Vent</td> <td></td> <td></td> </tr> <tr> <td>0</td> <td>Power vent</td> <td></td> <td></td> </tr> <tr> <td>0</td> <td>Decking as needed</td> <td></td> <td></td> </tr> <tr> <td>0.00</td> <td>Labor for Extra Layers of Roofing</td> <td># of Extra Layers 0</td> <td></td> </tr> <tr> <td>0.00</td> <td>Peelin stick flat roof (Removal & Replacement)</td> <td></td> <td></td> </tr> <tr> <td>0.00</td> <td>Removal of Wood shingles</td> <td></td> <td></td> </tr> <tr> <td>0.00</td> <td>Steep Charge (7/12 - 9/12 Pitch)</td> <td></td> <td></td> </tr> <tr> <td>0.00</td> <td>Steep Charge (10/12 - 12/12 Pitch)</td> <td></td> <td></td> </tr> <tr> <td>0.00</td> <td>High Charge for 2 Story</td> <td></td> <td></td> </tr> <tr> <td>Included</td> <td>Clean-up and Debris Removal</td> <td></td> <td></td> </tr> <tr> <td>Included</td> <td>3 yr Workmanship Warranty</td> <td></td> <td></td> </tr> </table> $10,300.00 We at Extreme Roofing Solutions take pride in our workmanship as well as our honesty. We treat your home as if it were our own. This is why we expect NO PAYMENT UNTIL ALL WORK IS COMPLETE. We value you as a costumer and look forward to working with you. Thank you for the opportunity. NATIONAL ROOFING CONTRACTORS ASSOCIATION MEMBER BBB ACCREDITED BUSINESS GREAT SHAWNEE CHAMBER OF COMMERCE Submitted by (Contractor): [signature] Accepted by: (Home Owner or Representative): [signature] Date: 3/28/25 Date: 4/28/25 "A" ASSIGNMENT OF A CLAIM Assignment made as of December 31, 2025, EXTREME ROOFING SOLUTIONS, LLC, hereinafter called Assignor, to CM & D ENTERPRISES, LLC, hereinafter called Assignee. For good and valuable consideration, the receipt and sufficiency of which is hereby acknowledged, the undersigned Assignor unconditionally sells, transfers and assigns to Assignee, all Assignor's interest in any and all claims, demands, and cause or causes of action of any kind whatsoever which the undersigned Assignor has or may have against Nichelle Sherman s/p/a Nichelle M. Delaware and Joshua Sherman, Husband and wife, arising from the following matter: A mechanic's and materialmen's lien filed in McClain County, State of Oklahoma arising from work performed by Extreme Roofing Solutions, LLC on the 3rd day of May, 2025. The Lien was filed on the 3rd day of July, 2025, at instrument number I-2025-006605 at Book 3009 Page 739 of the McClain County Records. The undersigned Assignor agrees that Assignee may in his own name and for its own benefit prosecute, collect, settle, compromise and grant releases on the said claim in its sole discretion as it deems advisable. This Assignment shall be governed by, construed, and enforced in accordance with the laws of the State of Oklahoma. Assignor has caused this Assignment to be executed as of this 31st day of December, 2025. CHRIS MANION, owner/member Extreme Roofing Solutions, LLC Subscribed and sworn to before me this 31st day of December, 2025. "MY COMMISSION EXPIRES: JULY 12, 2028" PHYLLIS M. MARTEL 16006659 STATE OF OKLAHOMA NOTARY PUBLIC MECHANIC'S AND MATERIALMAN'S LIEN STATEMENT STATE OF OKLAHOMA, COUNTY OF POTAWATOMIE ) ss. Extreme Roofing Solutions, LLC, P.O. Box 957, Meeker, OK 74855, has a claim against NICHELLE SHERMAN S/P/A NICHELLE M. DELAWARE AND JOSHUA SHERMAN, husband and wife, 1805 BRADFORD PLACE, NEWCASTLE, OK 73065, for the sum of $10,300.00, due to EXTREME ROOFING SOLUTIONS, LLC, and that the claim is made for and on account for materials and services furnished and performed and that such materials and services were last furnished by EXTREME ROOFING SOLUTIONS, LLC, on the 3rd day of May, 2025, according to itemized statements attached hereto, marked Exhibit "A" and made a part of this statement; and that such materials and services were furnished pursuant to a contract with EXTREME ROOFING SOLUTIONS, LLC, also attached hereto, and were furnished for and used on the building and premises described as follows, to-wit: 1805 Bradford Place, Newcastle, OK 73065 LOT FOUR (4), BLOCK FOUR (4), FINAL PLAT OF BRADFORD PLACE PHASE V, a part of the Northwest Quarter (NW/4) of Section Eleven (11), Township Nine (9) North, Range Four (4) West, I.M., McClain County, Newcastle, Oklahoma, according to the recorded plat thereof. that the said sum is just, due and unpaid, Extreme Roofing Solutions, LLC, has and claims a lien upon said building and upon the said premises on which the same is situated, to the amount of $10,300.00 as above set forth, according to the laws of the State of Oklahoma. Finally, this lien is being filed in compliance with 42 O.S. § 142 et al., and as the "original contractor" with the owner of the property therein is not required to submit a pre-lien notice to the owner of the property. See 42 O.S. § 142b. CHRI$ lANION, owner/member Extreme Roofing Solutions, LLC STATE OF OKLAHOMA, COUNTY OF POTAWATOMIE ) ss: I, Chris Manion, owner/member of Extreme Roofing Solutions, LLC, of lawful age, being first duly sworn, upon oath says: that he is the person mentioned in the foregoing statement of Mechanic's and Materialmen's lien; that he has read this statement and knows the contents thereof; that the name of the owner, the name of the contractor, the name of the claimant, the description of the property upon which the lien is claimed, and the times of the account as therein set forth, are just, true, correct and unpaid and verifies these items under penalty of perjury by affidavit by his signature below. CHRI$ MANION, owner/member Extreme Roofing Solutions, LLC When you have Problems, We have Solutions. EXTREME ROOFING SOLUTIONS OWENS CORNING PREFERRED CONTRACTOR CODY MANION (405)219-2015 www.extremeroofingsolutionsok.com Home Owner: JOSHUA SHERMAN Phone #: 405-519-3156 Address: 1805 BRADFORD PL Date: Friday, March 28, 2025 NEWCASTLE 73065 <table> <tr> <th>Qty</th> <th colspan="2">Removal</th> </tr> <tr> <td>24.64</td> <td>Remove existing shingles & check for bad decking</td> <td>Estate Gray</td> </tr> <tr> <th colspan="3">Replacement</th> </tr> <tr> <td>28.34</td> <td>Replace LAMINATED LIFETIME Shingles (including Synthetic Felt)</td> <td></td> </tr> <tr> <th colspan="3">Additions</th> </tr> <tr> <td>246</td> <td>Drip Edge</td> <td>I-2025-006605 Book 3009 Pg 740</td> </tr> <tr> <td>4</td> <td>Pipe Jacks</td> <td>07/03/2025 11:15am Pg 0739-0740</td> </tr> <tr> <td>6</td> <td>Low Profile Vents</td> <td>Fee: $22.00 Doc: $0.00 Rebekah Couch - McClain County Clerk State of OK</td> </tr> <tr> <td>0</td> <td>Shingle Over Ridge Vent</td> <td></td> </tr> <tr> <td>0</td> <td>Turbine Vent</td> <td></td> </tr> <tr> <td>0</td> <td>Power vent</td> <td></td> </tr> <tr> <td>0</td> <td>Decking as needed</td> <td></td> </tr> <tr> <td>0.00</td> <td>Labor for Extra Layers of Roofing</td> <td># of Extra Layers 0</td> </tr> <tr> <td>0.00</td> <td>Peelin stick flat roof (Removal & Replacement)</td> <td></td> </tr> <tr> <td>0.00</td> <td>Removal of Wood shingles</td> <td></td> </tr> <tr> <td>0.00</td> <td>Steep Charge (7/12 - 9/12 Pitch)</td> <td></td> </tr> <tr> <td>0.00</td> <td>Steep Charge (10/12 - 12/12 Pitch)</td> <td></td> </tr> <tr> <td>0.00</td> <td>High Charge for 2 Story</td> <td></td> </tr> <tr> <td>Included</td> <td>Clean-up and Debris Removal</td> <td></td> </tr> <tr> <td>Included</td> <td>3 yr Workmanship Warranty</td> <td></td> </tr> </table> $10,300.00 We at Extreme Roofing Solutions take pride in our workmanship as well as our honesty. We treat your home as if it were our own. This is why we expect NO PAYMENT UNTIL ALL WORK IS COMPLETE. We value you as a costumer and look forward to working with you. Thank you for the opportunity. NATIONAL ROOFING CONTRACTORS ASSOCIATION MEMBER BBB ACCREDITED BUSINESS GREATER SHAWNEE CHAMBER OF COMMERCE Submitted by (Contractor): [signature] Accepted by (Home Owner or Representative): [signature] Date: 3/28/25 Date: 3/28/25 Extreme Roofing Solutions, LLC PROOF OF SERVICE AFFIDAVIT Nichelle Sherman S/P/A Nichelle M Delaware and Joshua Sherman, husband & wife 1805 Bradford Pl. Newcastle, OK 73065 vs. Case No. County Pottawtomie Date Rec. 8/21/25 Court Date Client Craig N Breckken I, being duly sworn, certify that I received on 8/21/25 the following documents: Summons w/Petition Amended Petition/Complaint Petition/3rd Party Defendant Small Claims Affidavit Forcible Entry & Detainer Hearing on Assets Citation for Contempt Other Injunction Garnishment Subpoena Duces Tacum Deposition Subpoena Witness Fees Notice to Take Deposition Notice of Hearing Motion to Modify Motion for Leave/Vacate/Enter Motion/Summary Judgment Motion/Deficiency Judgment Request for Admissions Request for Production Order/Affidavit Interrogations Brief-Plaintiffs/Defendant's Journal Entry Cross/Counter Claim Lis Pendens Letter Temporary Restraining Order Notice of Filing 2 lien statement Copy from Extreme Mechanics and Materialman's Lien Statement M-2004-40 METHOD OF SERVICE: And served the same according to law in the following manner, to wit: PERSONAL SERVICE ☐ by delivering a true copy of said process personally to ____________________________________________ at ___________________________________________________________ Date: ______________ Time: __________ ☐ by delivering a true copy of said process personally to ____________________________________________ at ___________________________________________________________ Date: ______________ Time: __________ USUAL PLACE OF RESIDENCE ☐ by leaving a true copy of said process for ____________________________________________ a resident/family member, fifteen years of age or older, at ___________________________________________________________ with ___________________________________________________________ which is his/her usual place of residence. Date:____________ Time: __________ CORPORATION/PARTNERSHIP, ETC. ☐ by delivering a true copy of said process to ____________________________________________ he/she/it, being the service agent, agent in charge, an officer or partner of said entity, to wit: ________________________________ __________________________________________ Date: ______________ Time: ________ POSTED SERVICE ☐ by affixing a true copy of said process to the premises located at ____________________________ which is in the possession of the defendant to wit: ____________________________________________ SERVICE BY MAIL ☐ by mailing a true copy of said process to ____________________________________________ by certified mail, restricted delivery, return receipt requested, at ____________________________________________ Date: ______________ NOT FOUND ☐ Said process WAS NOT SERVED on the following named for reasons stated: ____________________________ OTHER INFORMATION 8/21/25 served Tammy S. Rekstmother & Nichelle Delaware at 1805 Bradford Pl. Newcastle, Ok 73065 3PM Subscribed and sworn to before me this ___ day of ____________ 20 ____. Notary Public Commission Exp. __________________________ (SEAL) Fee for service $ see B.11 Mileage $ __________ Total $ see B.11 Undersigned declares under penalty of perjury that the foregoing is true and correct. Name of Server ______________ License No. PSS-2024-34 (date) ______________ NOTICE OF FILING LIEN STATEMENT STATE OF OKLAHOMA, COUNTY OF POTTAWATOMIE ) ss: TO: NICHELLE SHERMAN S/P/A NICHELLE M. DELAWARE AND JOSHUA SHERMAN, husband and wife 1805 BRADFORD PLACE NEWCASTLE, OK 73065 YOU ARE HEREBY NOTIFIED THAT on the 3rd day of July, 2025, Extreme Roofing Solutions, LLC, P.O. Box 957, Meeker, OK 74855, did file, in the offices of the County Clerk located in McClain County, a LIEN STATEMENT, under oath, claiming a lien, the same being Lien No. M-2025-40, at Book 3009, Page 739, in McClain County, against the following described property: 1805 Bradford Place, Newcastle, OK 73065 LOT FOUR (4), BLOCK FOUR (4), FINAL PLAT OF BRADFORD PLACE PHASE V, a part of the Northwest Quarter (NW/4) of Section Eleven (11), Township Nine (9) North, Range Four (4) West, I.M., McClain County, Newcastle, Oklahoma, according to the recorded plat thereof. Said lien being for materials and service furnished by said Claimant upon the above described properties under agreement with NICHELLE SHERMAN S/P/A NICHELLE M. DELAWARE AND JOSHUA SHERMAN. YOU ARE FURTHER NOTIFIED THAT the above-named Claimant claims said lien against the above described properties in the amount of $10,300.00 I, Craig N. Brackeen, attorney for Extreme Roofing Solutions, LLC, give notice that the original of the within and foregoing NOTICE OF FILING LIEN STATEMENT was served upon the above-named Lien Holder. Dated this 20th day of August, 2025. Craig N. Brackeen, attorney for Extreme Roofing Solutions, LLC Subscribed and sworn to before me this 20th day August 2025. NOTARY PUBLIC LAWYERS BUILDING 102 E. HIGHLAND SHAWNEE, OK 74801 405-273-2910 When you have Problems, We have Solutions. EXTREME ROOFING SOLUTIONS PREFERRED CONTRACTOR OWENS CORNING CODY MANION (405)219-2015 www.extremeroofingsolutionsok.com Home Owner: JOSHUA SHERMAN Address: 1805 BRADFORD PL NEWCASTLE 73065 Phone #: 405-519-3156 Date: Friday, March 28, 2025 Qty Removal 24.64 Remove existing shingles & check for bad decking Estate Gray Replacement 28.34 Replace LAMINATED LIFETIME Shingles (including Synthetic Felt) Additions <table> <tr> <th>Qty</th> <th>Description</th> <th>Notes</th> <th>Book</th> <th>Pg</th> <th>Total</th> </tr> <tr> <td>246</td> <td>Drip Edge</td> <td></td> <td>1-2025-006605</td> <td>Book 3009 Pg 740</td> <td></td> </tr> <tr> <td>4</td> <td>Pipe Jacks</td> <td></td> <td>07/03/2025 11:15am</td> <td>Pg 0739-0740</td> <td>Fee: $22.00 Doc: $0.00</td> </tr> <tr> <td>6</td> <td>Low Profile Vents</td> <td></td> <td></td> <td></td> <td></td> </tr> <tr> <td>0</td> <td>Shingle Over Ridge Vent</td> <td></td> <td></td> <td></td> <td>Rebekah Couch - McClain County Clerk</td> </tr> <tr> <td>0</td> <td>Turbine Vent</td> <td></td> <td></td> <td></td> <td>State of OK</td> </tr> <tr> <td>0</td> <td>Power vent</td> <td></td> <td></td> <td></td> <td></td> </tr> <tr> <td>0</td> <td>Decking as needed</td> <td></td> <td></td> <td></td> <td></td> </tr> <tr> <td>0.00</td> <td>Labor for Extra Layers of Roofing</td> <td>#of Extra Layers</td> <td>0</td> <td></td> <td></td> </tr> <tr> <td>0.00</td> <td>Peelin stick flat roof (Removal & Replacement)</td> <td></td> <td></td> <td></td> <td></td> </tr> <tr> <td>0.00</td> <td>Removal of Wood shingles</td> <td></td> <td></td> <td></td> <td></td> </tr> <tr> <td>0.00</td> <td>Steep Charge (7/12 - 9/12 Pitch)</td> <td></td> <td></td> <td></td> <td></td> </tr> <tr> <td>0.00</td> <td>Steep Charge (10/12 - 12/12 Pitch)</td> <td></td> <td></td> <td></td> <td></td> </tr> <tr> <td>0.00</td> <td>High Charge for 2 Story</td> <td></td> <td></td> <td></td> <td></td> </tr> <tr> <td>Included</td> <td>Clean-up and Debris Removal</td> <td></td> <td></td> <td></td> <td></td> </tr> <tr> <td>Included</td> <td>3 yr Workmanship Warranty</td> <td></td> <td></td> <td></td> <td></td> </tr> </table> $10,300.00 We at Extreme Roofing Solutions take pride in our workmanship as well as our honesty. We treat your home as if it were our own. This is why we expect NO PAYMENT UNTIL ALL WORK IS COMPLETE. We value you as a costumer and look forward to working with you. Thank you for the opportunity. Submitted by (Contractor): [Signature] Accepted by (Home Owner or Representative): [Signature] Date: 3/28/25 Date: 3/28/25 MECHANIC'S AND MATERIALMAN'S LIEN STATEMENT STATE OF OKLAHOMA, COUNTY OF POTTAWATOMIE Extreme Roofing Solutions, LLC, P.O. Box 957, Meeker, OK 74855, has a claim against Nichelle Sherman S/R/A Nichelle M. Delaware and Joshua Sherman, husband and wife, 1805 Bradford Place, Newcastle, OK 73065, for the sum of $10,300.00, due to Extreme Roofing Solutions, LLC, and that the claim is made for and on account for materials and services furnished and performed and that such materials and services were last furnished by Extreme Roofing Solutions, LLC, on the 3rd day of May, 2025, according to itemized statements attached hereto, marked Exhibit "A" and made a part of this statement; and that such materials and services were furnished pursuant to a contract with Extreme Roofing Solutions, LLC, also attached hereto, and were furnished for and used on the building and premises described as follows, to-wit: 1805 Bradford Place, Newcastle, OK 73065 LOT FOUR (4), BLOCK FOUR (4), FINAL PLAT OF BRADFORD PLACE PHASE V, a part of the Northwest Quarter (NW/4) of Section Eleven (11), Township Nine (9) North, Range Four (4) West, T.M., McClain County, Newcastle, Oklahoma, according to the recorded plat thereof. that the said sum is just, due and unpaid, Extreme Roofing Solutions, LLC, has and claims a lien upon said building and upon the said premises on which the same is situated, to the amount of $10,300.00 as above set forth, according to the laws of the State of Oklahoma. Finally, this lien is being filed in compliance with 42 O.S. § 142 et al., and as the “original contractor” with the owner of the property therein is not required to submit a pre-lien notice to the owner of the property. See 42 O.S. § 142.6. CHRIS MANION, owner/member Extreme Roofing Solutions, LLC STATE OF OKLAHOMA, COUNTY OF POTTAWATOMIE I, Chris Manion, owner/member of Extreme Roofing Solutions, LLC, of lawful age, being first duly sworn, upon oath says: that he is the person mentioned in the foregoing statement of Mechanic's and Materialmen's lien; that he has read this statement and knows the contents thereof; that the name of the owner, the name of the contractor, the name of the claimant, the description of the property upon which the lien is claimed, and the times of the account as therein set forth, are just, true, correct and unpaid and verifies these items under penalty of perjury by affidavit by his signature below. CHRIS MANION, owner/member Extreme Roofing Solutions, LLC Subscribed and sworn to this 4 day of June, 2025. Return: Lawyers Building 102 E. Highland Shawnee, OK 74801
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