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Wednesday, March 10, 2010
RETURN TO NOTICES
LIQUOR NOTICE Application has been made for a Mixed Beverage Restaurant Permit with FB for C & F Pizza Inc, DBA Alfredo's Pasta & Pizza at 4851 Legacy Dr., Suite 606 Frisco, Collin County, Texas 75034. Said application has been made to the Texas Alcoholic Beverage Commission in accordance with the provisions of the Texas Alcoholic Beverage Code. Officers: Cemal Staraveci, Pres Feti Staraveci, VP
3/2, 3/9
NOTICE TO ALL PERSONS HAVING CLAIMS AGAINST THE ESTATE OF JAMES KRISTOPHER CLARK, DECEASED Notice is hereby given that original Letters Testamentary for the Estate of JAMES KRISTOPHER CLARK, deceased (the “Estate”), were issued on the 3rd day of March, 2010, in Cause No. PB1-0105-2010, pending in Probate Court No. 1 of Collin County, Texas, to DARLINA ADAMS CLARK, who is the Independent Executor of the Estate. The mailing address of the Independent Executor, DARLINA ADAMS CLARK, and the address to which claims against the Estate should be presented, is 2929 Elmridge Drive, Flower Mound, Texas 75022. All persons having claims against the Estate, which is currently being administered, are required to present such claims within the time and in the manner that is prescribed by law. All such claims should be addressed in care of DARLINA ADAMS CLARK, Independent Executor, Estate of JAMES KRISTOPHER CLARK, and may be presented or mailed to the following address: 2929 Elmridge Drive, Flower, Texas 75022. Dated on the 3rd day of March, 2010. DARLINA ADAMS CLARK, Independent Executor Respectfully submitted, MARC F. VILFORDI State Bar No. 20581100 Attorney for the Estate 8117 Preston Road, Suite No. 800 Dallas, Texas 75225-6328 (214) 696-3200, extension 3363 (telephone) (214) 691-2528 (facsimile)
3/9
NOTICE TO CREDITORS Notice is hereby given that original Letters Testamentary for the Estate of Louis J. Kobus, Deceased, were issued on March 3, 2010, in Cause No. PB1-0115-2010, pending in the Probate Court No. 1, Collin County, Texas, to: Irene H. Kobus. All persons having claims against this Estate which is currently being administered are required to present them to the undersigned within the time and in the manner prescribed by law. c/o: Irene H. Kobus 1501 Heidi Drive Plano, Texas 75025 DATED the 4 day of March, 2010. William A. Wollard Attorney for Irene H. Kobus State Bar No.: 00788706 4800 Scoter Lane McKinney, Texas 75070 Telephone: (888) 271-3566 Facsimile: (972) 529-5609
3/9
Notice to Creditors of THE ESTATE OF Jeffrey S. Strobel, Deceased Notice is hereby given that Letters of Administration upon the Estate of Jeffrey S. Strobel, Deceased were granted to the undersigned on the 11th of February, 2010 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to Tomasina D. Strobel within the time prescribed by law. My address is Tomasina D. Strobel c/o Janet P. Hope Attorney at Law 4121 Candlewyck Drive Plano, TX 75024 Independent Administrator of the Estate of Jeffrey S. Strobel Deceased. CAUSE NO. PB1-0003-2010
3/9
Notice to Creditors of THE ESTATE OF Samuel Ray Hardesty, Deceased Notice is hereby given that Letters Testamentary upon the Estate of Samuel Ray Hardesty, Deceased were granted to the undersigned on the 1st of March, 2010 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to Raymond Edward Hardesty within the time prescribed by law. My address is c/o D. Kevin McCorkindale, 5032 Hummingbird Lane, Plano, Texas 75093 Executor of the Estate of Samuel Ray Hardesty Deceased. CAUSE NO. PB1-0110-2010
3/9
Notice to Creditors of THE ESTATE OF Leo J. Hudson, Deceased Notice is hereby given that Letters Testamentary upon the Estate of Leo J. Hudson, Deceased were granted to the undersigned on the 16th of February, 2010 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to Honey Hudson within the time prescribed by law. My address is Honey Hudson c/o Janet P. Hope Attorney at Law 4121 Candlewyck Drive Plano, TX 75024 Independent Executor of the Estate of Leo J. Hudson Deceased. CAUSE NO. PB1-0048-2010
3/9
Notice to Creditors of THE ESTATE OF ARTEMA BUIE, Deceased Notice is hereby given that Letters Testamentary upon the Estate of ARTEMA BUIE, Deceased were granted to the undersigned on the 3rd of March, 2010 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to April Nordhaus, attorney for Independent Administrator within the time prescribed by law. My address is LUCE NORDHAUS & WALPOLE, PLLC PO Box 3280 McKinney, Texas 75070 Independent Executor of the Estate of ARTEMA BUIE Deceased. CAUSE NO. PB1-0119-2010
3/9
THE STATE OF TEXAS Cause No. PB1-0161-2010 To: THE KNOWN HEIRS OF BONNIE J. PERRY, DECEASED AND THE UNKNOWN HEIRS WHOSE ADDRESSES CANNOT BE ASCERTAINED. You and each of you are hereby cited, required and commanded to appear before the Probate Court No. 1 of COLLIN County, Texas at the University Drive Courts Facility of said county in the city of McKinney, Collin County, Texas, such appearance to be at or before ten o’clock a.m. of the first Monday next after the expiration of ten days from the date of service, exclusive of the day of such service, which day and date of service shall be the date of publication that this newspaper bears, and which appearance shall be at such time on such Monday, which will be on this the 15th day of March, 2010, by filing written answer to the application hereinafter mentioned, contesting same, should they or any of them desire to do so, which application will, at such 10 o’clock hour and such place be acted on, said application having been filed by Richard Clark in said court on March 04, 2010 and now pending there, in a proceeding on the probate docket of said court, styled IN THE ESTATE OF Bonnie J. Perry, Deceased the file number of which application and the docket number of which proceedings is PB1-0161-2010 the nature of such application being for APPLICATION FOR LETTERS OF ADMINISTRATION CONTAINING APPLICATION TO DETERMINE HEIRSHIP. If this citation is not served within 90 days after date of its issuance, it shall be returned unserved. Witness, Stacey Kemp, County Clerk of Collin County, Texas. Given under my hand and seal of said court, at office in the City of McKinney, Texas on this the 4th day of March, 2010 Stacey Kemp, County Clerk Collin County, Texas By: Jean Feagins, Deputy
3/9
CITATION BY PUBLICATION THE STATE OF TEXAS CASE NO: 296-03521-2009 Chase Home Finance, LLC v. William Nihart and the Unknown Heirs of Joan A Nihart In Re: 2501 Delmar Dr, Plano TX 75075 In the 296th District Court Of Collin County, Texas NOTICE TO DEFENDANT: “You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the clerk who issued this citation by 10:00 a.m. on the Monday next following the expiration of forty two days after you were served this citation and petition, a default judgment may be taken against you.” TO: Unknown Heirs of Joan A Nihart, Deceased Address Unknown Defendant, Greeting: You are hereby commanded to appear by filing a written answer to the Plaintiff’s petition at or before 10:00 o’clock a.m. of the first Monday after the expiration of 42 days from the date of issuance of this citation, the same being Monday the 19th day of April, 2010 at or before 10 o’clock a.m., before the 296th District Court of Collin County, at the Courthouse in McKinney, Texas. Said Plaintiffs Petition was filed on the 14th day of September, 2009 in this case, numbered 296-03521-2009 on the docket of said court, and styled: Chase Home Finance, LLC v. William Nihart and the Unknown Heirs of Joan A Nihart In Re: 2501 Delmar Dr, Plano, TX 75075. The names of the parties to the cause are as follows: Chase Home Finance, LLC are Plaintiffs and William Nihart; Unknown Heirs of Joan A Nihart are Defendants. A brief statement of the nature of the suit is as follows, to-wit: to recind the vendor’s lien, as is more fully shown by Plaintiff’s Petition on file in this suit. Issued and given under my hand and the Seal of said Court, at office in McKinney, Texas, on this the 4th day of March, 2010. ATTEST: Hannah Kunkle, District Clerk Collin County, Texas Collin County Courthouse 2100 Bloomdale Road McKinney, Texas 75071 972-548-4320, METRO 972-424-1460 EXT. 4320 By: Becky Cain, Deputy
3/9, 3/16, 3/23, 3/30
CITATION BY PUBLICATION THE STATE OF TEXAS CASE NO: 416-00412-2010 U.S. Bank National Association vs. Sara Lou Craig, Deceased, David E Miller, Mary Elizabeth Miller, Douglas Alexander Miller, Betty Miller, John P Miller, Ginger Rogers, The Unknown Heirs at Law of Decedents Sara Lou Craig In the 416th District Court Of Collin County, Texas NOTICE TO DEFENDANT: “You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the clerk who issued this citation by 10:00 a.m. on the Monday next following the expiration of forty two days after you were served this citation and petition, a default judgment may be taken against you.” TO: The Unknown Heirs at Law of Decedents Sara Lou Craig Defendant, Greetings: You are hereby commanded to appear by filing a written answer to the Plaintiff’s petition at or before 10:00 o’clock a.m. of the first Monday after the expiration of 42 days from the date of issuance of this citation, the same being Monday the 7th day of April, 2010 at or before 10 o’clock a.m., before the 416th District Court of Collin County, at the Courthouse in McKinney, Texas. Said Plaintiffs Petition was filed on the 28th day of January, 2010 in this case, numbered 416-00412-2010 on the docket of said court, and styled: U.S. Bank National Association vs. Sara Lou Craig, Deceased, David E Miller, Mary Elizabeth Miller, Douglas Alexander Miller, Betty Miller, John P Miller, Ginger Rogers, The Unknown Heirs at Law of Decedents Sara Lou Craig The names of the parties to the cause are as follows: U.S. Bank National Association are Plaintiffs and Sara Lou Craig; David E Miller; Mary Elizabeth Miller; Douglas Alexander Miller; Betty Miller; John P Miller; Ginger Rogers; The Unknown Heirs at Law of Decedents Sara Lou Craig are Defendants. A brief statement of the nature of the suit is as follows, to-wit: Vendor’s Lien and Foreclosure of Deed of Trust as is more fully shown by Plaintiff’s Petition on file in this suit. Issued and given under my hand and the Seal of said Court, at office in McKinney, Texas, on this the 24th day of February, 2010. ATTEST: Hannah Kunkle, District Clerk Collin County, Texas Collin County Courthouse 2100 Bloomdale Road McKinney, Texas 75071 972-548-4320, METRO 972-424-1460 EXT. 4320 By: Nancy Self, Deputy
3/9, 3/16, 3/23, 3/30
CITATION BY PUBLICATION THE STATE OF TEXAS CASE NO: 416-03675-2009 Harvey Firestone and Valerie Firestone v. Larry Sanders, John Ready, and other unknown heirs of Nugent Dillard Ready and Lillian Maude Ready In the 416th District Court Of Collin County, Texas NOTICE TO DEFENDANT: “You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the clerk who issued this citation by 10:00 a.m. on the Monday next following the expiration of forty two days after you were served this citation and petition, a default judgment may be taken against you.” TO: Unknown Heirs of Nugent Dillard Ready and Lillian Maude Ready Defendant, Greeting: You are hereby commanded to appear by filing a written answer to the Plaintiff’s petition at or before 10:00 o’clock a.m. of the first Monday after the expiration of 42 days from the date of issuance of this citation, the same being Monday the 12th day of April, 2010 at or before 10 o’clock a.m., before the 416th District Court of Collin County, at the Courthouse in McKinney, Texas. Said Plaintiffs Petition was filed on the 23rd day of September, 2009 in this case, numbered 416-03675-2009 on the docket of said court, and styled: Harvey Firestone and Valerie Firestone v. Larry Sanders, John Ready, and other unknown heirs of Nugent Dillard Ready and Lillian Maude Ready. The names of the parties to the cause are as follows: Harvey Firestone; Valerie Firestone are Plaintiffs and Larry Sanders; John Ready; Unknown Heirs of Nugent Dillard Ready and Lillian Maude Ready are Defendants. A brief statement of the nature of the suit is as follows, to-wit: Judgment for Title and Possession of Real Property as is more fully shown by Plaintiff’s Petition on file in this suit. Issued and given under my hand and the Seal of said Court, at office in McKinney, Texas, on this the 26th day of February, 2010. ATTEST: Hannah Kunkle, District Clerk Collin County, Texas Collin County Courthouse 2100 Bloomdale Road McKinney, Texas 75071 972-548-4320, METRO 972-424-1460 EXT. 4320 By: Shelia Schopmeyer, Deputy
3/9, 3/16, 3/23, 3/30
THE STATE OF TEXAS CITATION BY PUBLICATION DIVORCE CASE NO. 199-51119-2010 In The Matter Of The Marriage Of Lupe Longoria Araiza Vasquez vs. Martin Euseda Vasquez In The 199th District Court Of Collin County, Texas To: Martin Euseda Vasquez Address Unknown Respondent NOTICE TO RESPONDENT: “You have been sued. You may employ an attorney. If you or your attorney does not file a written answer with the clerk who issued this citation by 10:00 a.m. on the Monday next following the expiration of twenty days after you were served this citation and petition, a default judgment may be taken against you.” Greetings: You are hereby commanded to appear by filing a written answer to the Petitioner’s petition at or before 10:00 o’clock a.m. of the first Monday after the expiration of 20 days from the date of service of this citation, then and there to answer the petition of Lupe Longoria Araiza Vasquez, Petitioner, filed in said court on the 4th day of March, 2010 against Martin Euseda Vasquez, Respondent, and the said suit being numbered 199-51119-2010 on the docket of said court, and entitled “In The Matter Of The Marriage Of Lupe Longoria Araiza Vasquez vs. Martin Euseda Vasquez”, the nature of which suit is a request to Obtain a Divorce. The Court has authority in this suit to enter any judgment or decree dissolving the marriage and providing for the division of property which will be binding on you. Issued and given under my hand and Seal of said Court, at office in McKinney, Texas, on this the 5th day of March, 2010. ATTEST: Hannah Kunkle, District Clerk Collin County, Texas Collin County Courthouse 2100 Bloomdale Road McKinney, Texas 75071 972-548-4320, Metro 972-424-1460 ext. 4320 By: Monette McCollom, Deputy
3/9
THE STATE OF TEXAS CITATION BY PUBLICATION PARENT AND CHILD CASE NO. 417-30026-2009 In the Interest of: Justin Bechara In The 417th District Court Of Collin County, Texas TO: Hani Bechara, Defendant NOTICE TO RESPONDENT: “You have been sued. You may employ an attorney. If you or your attorney does not file a written answer with the clerk who issued this citation by 10:00 a.m. on the Monday next following the expiration of twenty days after you were served this citation and petition, a default judgment may be taken against you.” Greetings: You are hereby commanded to appear by filing a written answer in the 417th District Court, Collin County, Texas, at the courthouse of said county in McKinney, Texas, at or before 10:00 o’clock a.m. of the Monday next after the expiration of 20 days from the date of service of this citation then and there to answer the petition of TDFPS, Petitioner, filed in the Court of Collin County, Texas on the 9th day of October, 2009, against Hani Bechara, Respondent, and suit being numbered 417-30026-2009 on the docket of said court, and styled “In The Interest of: Justin Bechara”, the nature of which suit is First Amended Petition in Suit Affecting the Parent-Child Relationship-Termination and Temporary Managing Conservatorship. Said Child(ren) Justin Hani Bechara born June 10, 2007 in New York. The court has Authority in this suit to enter any judgment or decree in the child/children interest which will be binding upon you, including the termination of the parent-child relationship and the appointment of a conservator with authority to consent to the child/children adoption. Issued and given under my hand and the Seal of said Court, at office in McKinney, Texas, on this the 3rd day of March, 2010. ATTEST: Hannah Kunkle, District Clerk Collin County, Texas Collin County Courthouse 2100 Bloomdale Road McKinney, Texas 75071 972-548-4320, Metro 972-424-1460 ext. 4320 By: Teresa Parnell, Deputy
3/9
THE STATE OF TEXAS CITATION BY PUBLICATION PARENT AND CHILD CASE NO. 401-30046-2009 In the Interest of: Kayla Rodriguez In The 401st District Court Of Collin County, Texas TO: Mauricio Murge aka Mauricio Murga aka Mauricio Murgas, Defendant NOTICE TO RESPONDENT: “You have been sued. You may employ an attorney. If you or your attorney does not file a written answer with the clerk who issued this citation by 10:00 a.m. on the Monday next following the expiration of twenty days after you were served this citation and petition, a default judgment may be taken against you.” Greetings: You are hereby commanded to appear by filing a written answer in the 401st District Court, Collin County, Texas, at the courthouse of said county in McKinney, Texas, at or before 10:00 o’clock a.m. of the Monday next after the expiration of 20 days from the date of service of this citation then and there to answer the petition of Texas Department of Family and Protective Services, Petitioner, filed in the Court of Collin County, Texas on the 20th day of October, 2009, against Mauricio Murge aka Mauricio Murga aka Mauricio Murgas, Respondent, and suit being numbered 401-30046-2009 on the docket of said court, and styled “In The Interest of: Kayla Rodriguez”, the nature of which suit is First Amended Original Petition in Suit Affecting the Parent-Child Relationship. Said Child(ren) Kayla Rodriguez born May 12, 2009 in Denton County, Texas. The court has Authority in this suit to enter any judgment or decree in the child/children interest which will be binding upon you, including the termination of the parent-child relationship and the appointment of a conservator with authority to consent to the child/children adoption. Issued and given under my hand and the Seal of said Court, at office in McKinney, Texas, on this the 26th day of February, 2010. ATTEST: Hannah Kunkle, District Clerk Collin County, Texas Collin County Courthouse 2100 Bloomdale Road McKinney, Texas 75071 972-548-4320, Metro 972-424-1460 ext. 4320 By: Deborah Hill, Deputy
3/9
THE STATE OF TEXAS CITATION BY PUBLICATION DIVORCE CASE NO. 296-51015-2010 In the Matter of the Marriage of Joel Martinez v. Maurilla Rodriguez De La Fuente and in the Interest of Maria Julisa Martinez and Joel Alexis Martinez In The 296th District Court Of Collin County, Texas To: Maurilla Rodriguez De La Fuente Address Unknown Respondent NOTICE TO RESPONDENT: “You have been sued. You may employ an attorney. If you or your attorney does not file a written answer with the clerk who issued this citation by 10:00 a.m. on the Monday next following the expiration of twenty days after you were served this citation and petition, a default judgment may be taken against you.” Greetings: You are hereby commanded to appear by filing a written answer to the Petitioner’s petition at or before 10:00 o’clock a.m. of the first Monday after the expiration of 20 days from the date of service of this citation, then and there to answer the petition of Joel Martinez, Petitioner, filed in said court on the 1st day of March, 2010 against Maurilla Rodriguez De La Fuente, Respondent, and the said suit being numbered 296-51015-2010 on the docket of said court, and entitled “In The Matter of the Marriage of Joel Martinez v. Maurilla Rodriguez De La Fuente and in the Interest of Maria Julisa Martinez and Joel Alexis Martinez”, the nature of which suit is a request to Obtain a Divorce. The Court has authority in this suit to enter any judgment or decree dissolving the marriage and providing for the division of property for any matter in the interest of the child/children including, but not limited to, the appointment of a conservator and order for child-support, all of which will be binding upon you. Issued and given under my hand and Seal of said Court, at office in McKinney, Texas, on this the 2nd day of March, 2010. ATTEST: Hannah Kunkle, District Clerk Collin County, Texas Collin County Courthouse 2100 Bloomdale Road McKinney, Texas 75071 972-548-4320, Metro 972-424-1460 ext. 4320 By: Becky Cain, Deputy
3/9
THE STATE OF TEXAS CITATION BY PUBLICATION PARENT AND CHILD CASE NO. 416-50940-2010 In the Interest of Nicole Megan Sellers a Child In The 416th District Court Of Collin County, Texas TO: Donya Potts and Mitch John Sellers, Defendant NOTICE TO RESPONDENT: “You have been sued. You may employ an attorney. If you or your attorney does not file a written answer with the clerk who issued this citation by 10:00 a.m. on the Monday next following the expiration of twenty days after you were served this citation and petition, a default judgment may be taken against you.” Greetings: You are hereby commanded to appear by filing a written answer in the 416th District Court, Collin County, Texas, at the courthouse of said county in McKinney, Texas, at or before 10:00 o’clock a.m. of the Monday next after the expiration of 20 days from the date of service of this citation then and there to answer the petition of Terry Lynn & Michele Rene Benjamin, Petitioners, filed in the Court of Collin County, Texas on the 24th day of February, 2010 against Donya Potts and Mitch John Seller, Respondents, and suit being numbered 416-50940-2010 on the docket of said court, and styled “In the Interest of Nicole Megan Sellers a Child”, the nature of which suit is Original Petition to Terminate Parent-Child Relationship and for Adoption of a Child. Said Child(ren) Nicole Megan Sellers born May 29, 1994 in Calcasieu Parish County, Louisiana. The court has Authority in this suit to enter any judgment or decree in the child’s interest which will be binding upon you, including the termination of the parent-child relationship and the appointment of a conservator with authority to consent to the child’s adoption. Issued and given under my hand and the Seal of said Court, at office in McKinney, Texas, on this the 3rd day of March, 2010. ATTEST: Hannah Kunkle, District Clerk Collin County, Texas Collin County Courthouse 2100 Bloomdale Road McKinney, Texas 75071 972-548-4320, Metro 972-424-1460 ext. 4320 By: Shelia Schopmeyer, Deputy
3/9
CITATION BY PUBLICATION THE STATE OF TEXAS COUNTY OF COLLIN In the name and by the authority of the State of Texas, Notice is hereby given as follows: TO: JULIEN BISCARRO AND THE HEIRS AND UNKNOWN HEIRS OF JULIEN BISCARRO, and any and all other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiff(s) herein, for taxes, to writ: PROPERTY DESCRIPTION: BEING LOT 8, BLOCK A, MCKINNEY EAST ESTATES #01 ADDITION, aka 1017 KINGS ROW, CITY OF MCKINNEY, COLLIN COUNTY, TEXAS, AS RECORDED IN VOL. 92, PAGE 589990, OF THE COLLIN COUNTY DEED RECORDS. YOU HAVE BEEN SUED. You may employ an attorney. If you or your attorney do not file a written answer with the clerk who issued this citation by 10:00 A.M. on the Monday following the expiration of forty-two (42) days after the issuance of this citation, a default judgment may be taken against you. Said property is delinquent to Plaintiff(s) for taxes in the following amount: CITY OF McKINNEY / COLLIN COUNTY / COLLIN COUNTY CCD / McKINNEY INDEPENDENT SCHOOL DISTRICT $1,651.30 exclusive of interest, penalties, and costs and there is included in this suit, in addition to the taxes, all said interest, penalties, and costs thereon, allowed by law up to and including the day of judgment herein. You are hereby notified that suit has been brought by City of McKinney / Collin County / Collin County CCD / McKinney Independent School District as Plaintiffs, against JULIEN BISCARRO AND THE HEIRS AND UNKNOWN HEIRS OF JULIEN BISCARRO as Defendants, by petition filed on the 27th day of MARCH, 2008, in a certain suit styled City of McKinney / Collin County / Collin County CCD / McKinney Independent School District vs. MARIA C-LE BISCARRO, ET AL for collection of the taxes on said property and that said suit is now pending in the District Court of Collin County, Texas, 219th Judicial District, and the file number of said suit is 219-00380-2008. Plaintiff and all other taxing units who may set up their tax claims herein seek recovery of delinquent ad valorem taxes on the property described above and in addition to the taxes all interest, penalties, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of liens, if any; securing payment of same, as provided by law. All parties to this suit, including Plaintiff(s), Defendant(s) and Intervenor(s) shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties and costs allowed by law thereon, may, upon request therefor, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property. You are hereby commanded to appear and defend such suit on the first Monday after the expiration of forty-two (42) days from and after the date of issuance hereof, the same being the 7th day of April, 2010 (which is the return day of such citation) before the Honorable District Court of Collin County, Texas, to be held at the Courthouse thereof, then and there to show cause why judgment shall not be rendered for such taxes, penalties, interest, and costs, and condemning said property and ordering foreclosure of the constitutional and statutory tax liens thereon for taxes due the Plaintiff and the taxing unit(s) parties hereto, and those who may intervene herein, together with all interest, penalties, and costs allowed by law up to and including the day of judgment herein, and all costs of this suit. Issued and given under my hand and seal of said Court in the City of McKinney, Collin County, Texas, this 24th day of Feb., 2010. HANNAH KUNKLE DISTRICT CLERK BY: PAM ENGLISH, DEPUTY
3/2, 3/9
CITATION BY PUBLICATION THE STATE OF TEXAS CASE NO: 401-04332-2009 Wells Fargo Bank, NA v. Jonathan Andrew Kiker, Lewis Franke and The Unknown Heirs at Law of Tina M Trotter In the 401st District Court Of Collin County, Texas NOTICE TO DEFENDANT: “You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the clerk who issued this citation by 10:00 a.m. on the Monday next following the expiration of forty two days after you were served this citation and petition, a default judgment may be taken against you.” TO: Lewis Franke and the Unknown Heirs at Law of Tina M Trotter Address Unknown You are hereby commanded to appear by filing a written answer to the Plaintiff’s petition at or before 10:00 o’clock a.m. of the first Monday after the expiration of 42 days from the date of issuance of this citation, the same being Monday the 22nd day of March, 2010 at or before 10 o’clock a.m., before the 401st District Court of Collin County, at the Courthouse in McKinney, Texas. Said Plaintiffs Petition was filed on the 2nd day of November, 2009 in this case, numbered 401-04332-2009 on the docket of said court, and styled: Wells Fargo Bank, NA v. Jonathan Andrew Kiker, Lewis Franke and the Unknown Heirs at Law of Tina M Trotter. The names of the parties to the cause are as follows: Wells Fargo Bank, NA are Plaintiffs and Jonathan Andrew Kiker; Lewis Franke and the Unknown Heirs at Law of Tina M Trotter; are Defendants. A brief statement of the nature of the suit is as follows, to-wit: Loan Agreement in Re: 417 Winding Oaks Drive, Wylie, Texas 75098 as is more fully shown by Plaintiff’s Petition on file in this suit. Issued and given under my hand and the Seal of said Court, at office in McKinney, Texas, on this the 4th day of February, 2010. ATTEST: Hannah Kunkle, District Clerk Collin County, Texas Collin County Courthouse 2100 Bloomdale Road McKinney, Texas 75071 972-548-4320, METRO 972-424-1460 EXT. 4320 By: Angela Alexander, Deputy
2/16, 2/23, 3/2, 3/9
CITATION BY PUBLICATION THE STATE OF TEXAS CASE NO: 296-04195-2009 Wells Fargo Bank NA v. Royce Hatch, Royce Michael Hatch, Minor Child by and through Royce Hatch, as next friend, Danielle Prockish a/k/a Janette Danielle Prockish and the unknown Heirs at Law of Amy Janette Hatch In the 296th District Court Of Collin County, Texas NOTICE TO DEFENDANT: “You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the clerk who issued this citation by 10:00 a.m. on the Monday next following the expiration of forty two days after you were served this citation and petition, a default judgment may be taken against you.” TO: Unknown Heirs at Law of Amy Janette Hatch Defendant Greetings: You are hereby commanded to appear by filing a written answer to the Plaintiff’s petition at or before 10:00 o’clock a.m. of the first Monday after the expiration of 42 days from the date of issuance of this citation, the same being Monday the 29th day of March, 2010 at or before 10 o’clock a.m., before the 296th District Court of Collin County, at the Courthouse in McKinney, Texas. Said Plaintiffs Petition was filed on the 26th day of October, 2009 in this case, numbered 296-04195-2009 on the docket of said court, and styled: Wells Fargo Bank, NA v. Royce Hatch, Royce Michael Hatch, Minor Child by and through Royce Hatch, as next friend, Danielle Prockish a/k/a Janette Danielle Prockish and the unknown Heirs at Law of Amy Janette Hatch. The names of the parties to the cause are as follows: Wells Fargo Bank, NA are Plaintiffs and Royce Hatch; Danielle Prockish; Unknown Heirs at law of Amy Janette Hatch are Defendants. A brief statement of the nature of the suit is as follows, to-wit: Mortgage Loan Agreement, as is more fully shown by Plaintiff’s Petition on file in this suit. Issued and given under my hand and the Seal of said Court, at office in McKinney, Texas, on this the 10th day of February, 2010. ATTEST: Hannah Kunkle, District Clerk Collin County, Texas Collin County Courthouse 2100 Bloomdale Road McKinney, Texas 75071 972-548-4320, METRO 972-424-1460 EXT. 4320 By: Lara Roberge, Deputy
2/16, 2/23, 3/2, 3/9
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