STATE OF INDIANA VIGO COUNTY SUPERIOR COURT 2018 TERM City of Terre Haute, for the Use and Benefit of Its Department of Redevelopment, Plaintiff, vs. CLAYTON F. ASHBY, LVNV FUNDING LLC, CORVEE, INC. ALSO THE UNKNOWN SURVIVING SPOUSES OF ANY OF THE PERSONS ABOVE NAMED, AND ALSO, THE UNKNOWN HUSBANDS, WIVES, WIDOWERS, WIDOWS, SPOUSES, HEIRS, DEVISEES, LEGATEES, CHILDREN, DESCENDANTS, EXECUTORS, PERSONAL REPRESENTATIVES, GUARDIANS, TRUSTEES, SUCCESSORS, ASSIGNS, RECEIVERS, LESSEES, PARTNERS, CREDITORS, AND/OR GRANTEES OF EACH AND EVERY ONE OF SAID ABOVE NAMED PERSONS OR ENTITIES AND EACH AND EVERY PERSON OR ENTITY CLAIMING BY, THROUGH OR UNDER ANY OR SOME OF THE SAID PERSONS OR ENTITIES REFERRED TO ABOVE WHETHER NAMED OR UNNAMED, THE NAMES OF EACH OF WHOM ARE UNKNOWN TO PLAINTIFFS, Defendants. CAUSE NO8. 4D02-1809-MI-007142 SUMMONS BY PUBLICATION The above named defendants are hereby notified that the above-named Plaintiff, on the 17day ofSeptember , 2018, filed its Complaint to Quiet Title in the Court and cause stated above by which each of you named or identified above as defendant(s) have been sued by said Plaintiff. The Plaintiff has caused to be filed an affidavit on said date showing that the Defendants are not residents of the State of Indiana, or their residence is unknown or that they may be dead, and that the Plaintiff does not know the names of their heirs, devisees, legatees, children, descendants, executors, administrators, successors, assigns or grantees, or any persons claiming from, through or under them, or any of them, the names of each of all of whom are unknown to the Plaintiff and who may be non-residents of the State of Indiana and whose residence, after diligent inquiry and search is unknown to the Plaintiff, that said Defendants are necessary parties to this suit, and that the suit involves a Res situated in Vigo County, Indiana. The nature of the suit against you as stated in the Complaint is that Plaintiffs assert title to the real estate described herein below against any and all of the defendants referred to in said caption, (whether named specifically or by description) and Plaintiffs claim that your interest in and to the said real estate described herein below is unfounded and without right and is a cloud upon the Plaintiffs' right and title to said real estate and is adverse to the Plaintiffs' claim and title to said real estate. It is the intent of the Plaintiffs that is title in and to the real estate describe herein below be quieted and forever set at rest against any and all claims of or by you, the defendants herein above listed (whether named specifically or by description), and for all other just and proper relief. Any of the Defendants to this cause who have not already received Service of Summons by personal service, must answer the Complaint in writing, either individually or by your attorney or attorneys on or before the 14th day of November, 2018, which date is more than thirty (30) days following the date of the last publication of this notice, or a judgment may be entered for the relief Plaintiff has demanded against you if you fail to so answer. The attorneys representing the plaintiff are COX, ZWERNER, GAMBILL&SULLIVAN, LLP, 511 Wabash Avenue, Terre Haute, Indiana 47807, phone (812) 232-6003. You are hereby notified that said action involves your title and interest in the following described real estate located in Vigo County, Indiana: Lot 7 in William Paddock's Subdivision of 175 feet off the East side of Lot 1 of Nathaniel Preston's Subdivision of the West half of the Northeast quarter of Section 27, Township 12 North, Range 9 West. Commonly known as: 427 S 14th St, Terre Haute 47807 Parcel number: 84-06-27-202-013.000-002 Dated this 18 day of September, 2018 Bradley Newman CLERK, VIGO SUPERIOR COURT 226066 TS 10/1, 10/8, 10/15/18 hspaxlp
↧