In this dispute out of Adams County, a Property Owner attempted to prevent a Township from clear cutting a portion of his property in accordance with a 10 year old right-of-way agreement (“ROW Agreement”) for a sewage easement. In affirming the Court of Common Pleas of Adams County’s grant of declaratory relief to the Township, the Commonwealth Court emphasized that the trial court had merely been interpreting the ROW agreement, and various factual disputes raised by the Property Owner were not properly before the lower court.