|
Tuesday, February 9, 2010
RETURN TO NOTICES
LIQUOR NOTICE Application has been made with the Texas Alcoholic Beverage Commission for a Mixed Beverage Restaurant Permit with FB and PE by WICB Enterprises LLC dba Monkey's Pub N Grub, located at 7340 Hwy 78., Ste 500, Sachse, Collin County, Texas. Managers of said LLC are: Charlene Ethel Winter, Mgr./Mem.; Clifford Lawrence Boaz, Mgr./Mem.
2/2, 2/9
No. PB1-1145-2009 IN THE ESTATE OF DONNIE MARVIN KING, DECEASED IN PROBATE COURT COLLIN COUNTY, TEXAS NOTICE TO CREDITORS ESTATE OF DONNIE MARVIN KING, DECEASED Notice is hereby given that original Letters Testamentary for the Estate of Donnie Marvin King, Deceased, were issued on January 20, 2010, in Cause No. PB1-1145-2009, pending in the Probate Court, Collin County, Texas to Carol Bridge King. All persons having claims against this Estate which is currently being administered are required to present them within the time and in the manner prescribed by law. Claims should be addressed in care of “Representative, Estate of Donnie Marvin King, Deceased” and may be presented to the Representative at the following address: Mark McCraw, P.C. McCraw Gantt 1415 Harroun McKinney, Texas 75069 DATED January 20, 2010. Mark McCraw, Attorney for Carol Bridge King, Independent Executor Estate of Donnie Marvin King Cause No. PB1-1145-2009 Probate Court, Collin County, Texas
2/2
NOTICE TO CREDITORS Notice is hereby given that original Letters of Testamentary for the Estate of Frances Chesney, Deceased, were issued on January 26, 2010, under Docket No. PB1-0023-2010 pending in the Collin County Probate Court in Collin County, Texas, to Ernie Chesney, Jr. Claims may be presented in care of the attorney for the Estate addressed as follows: Representative, Ernie Chesney, Jr. Estate of Frances Chesney, Deceased c/o Robert H. Roeder Abernathy, Roeder, Boyd & Joplin, P.C. 1700 Redbud Blvd., Suite 300 McKinney, TX 75069 All persons having claims against this Estate which is currently being administered are required to present them within the time and in the manner prescribed by law. Dated this 26th day of January, 2010. By: Ernie Chesney, Jr., Representative By: Robert H. Roeder, Attorney for Representative
2/2
NOTICE TO CREDITORS Notice is hereby given that original Letters Testamentary for the Estate of BENITO JOSE ZAMORA, Deceased, were issued on January 21, 2010, Docket No. PB1-563-2007, pending in the Probate Court of Collin County, Texas, to: LINDA TANIKO ZAMORA. The residence of LINDA TANIKO ZAMORA, is in Collin County, Texas. The post office address is: c/o Stuart Evan Glass Attorney at Law Weiner, Glass & Reed, L.L.P. 6440 North Central Expressway, Suite 700 Dallas, Texas 75206 All persons having claims against this Estate which is currently being administered are required to present them within the time and in the manner prescribed by law. DATED the 26th day of January, 2010. WEINER, GLASS & REED, L.L.P. By: Stuart Evan Glass Attorney for the Estate
2/2
NO. PB1-1154-2009 IN THE ESTATE OF BETSY DONALDSON WILSON, DECEASED IN PROBATE COURT NO. 1 OF COLLIN COUNTY, TEXAS NOTICE TO CREDITORS Notice is hereby given that original Letters Testamentary for the Estate of Betsy Donaldson Wilson, Deceased, were issued on January 28, 2010, in Cause No. PB1-1154-2009, pending in the Probate Court No. 1 of Collin County, Texas, to BANK OF TEXAS, N.A. Claims may be presented in care of the attorney for the Independent Executor addressed as follows: Bank of Texas, N.A., Independent Executor of the Estate of Betsy Donaldson Wilson, Deceased c/o James E. Walker Attorney at Law MUNSON, MUNSON, CARDWELL & TILLETT, P.C. 123 South Travis Sherman, Texas 75090-5928 All persons having claims against this Estate which is currently being administered are required to present them within the time and in the manner prescribed by law. DATED the 28 day of January, 2010. MUNSON, MUNSON, CARDWELL & TILLETT, P.C. 123 South Travis Sherman, Texas 75090-5928 Telephone: 903-893-8161 Facsimile: 903-893-1345 By: James E. Walker State Bar No.: 20706500 ATTORNEY FOR THE INDEPENDENT EXECUTOR
2/2
NO. PB1-1094-2009 IN RE: ESTATE OF STANLEY RAY LILJEKVIST, DECEASED IN THE PROBATE COURT OF COLLIN COUNTY, TEXAS NOTICE TO CREDITORS IN RE: Estate of STANLEY RAY LILJEKVIST, Deceased Notice is hereby given that Letters Of Administration Without Bond of the Estate of STANLEY RAY LILJEKVIST, Deceased, were granted to the undersigned on January 25, 2010, by the Probate Court of Collin County, Texas. All persons having claims against said Estate are hereby required to present the same to EDWARD LILJEKVIST, Independent Administrator of the Estate of STANLEY RAY LILJEKVIST, Deceased, within the time prescribed by law. Claims should be mailed to: EDWARD LILJEKVIST, Independent Administrator of the Estate of STANLEY RAY LILJEKVIST, Deceased, c/o NATHAN K. GRIFFIN, 2626 Cole Avenue, Suite 510, Dallas, Texas 75204. EDWARD LILJEKVIST, Independent Administrator of the Estate of STANLEY RAY LILJEKVIST, Deceased
2/2
NOTICE TO CREDITORS OF The Estate of JASON LANIER HIGHSMITH, Deceased Notice is hereby given that Letters Testamentary upon the Estate of JASON LANIER HIGHSMITH, Deceased were granted to the undersigned on the 20th day of January, 2010 by the Probate Court No. One of Collin County, TX. All persons having claims against said estate are hereby required to present the same to SCOTT WESLEY MORGAN within the time prescribed by law. My post office address is 3681 CR 1193, Farmersville, TX 75442. Scott Wesley Morgan, Independent Executor of the Estate of Jason Lanier Highsmith, deceased. Cause No PB1-1110-2009.
2/2
Notice to Creditors of THE ESTATE OF Barbara Ivy Ashby, Deceased Notice is hereby given that Letters Testamentary upon the Estate of Barbara Ivy Ashby, Deceased were granted to the undersigned on the 27th of January, 2010 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to Laurie Ann Ashby Kneeland within the time prescribed by law. My address is c/o Sharpe & Associates, PLLC 4925 Greenville Ave., Suite 425 Dallas, Texas 75206 Independent Executor of the Estate of Barbara Ivy Ashby Deceased. CAUSE NO. PB1-0019-2010
2/2
Notice to Creditors of THE ESTATE OF Johnnie Edward Pearson, Deceased Notice is hereby given that Letters Testamentary upon the Estate of Johnnie Edward Pearson, Deceased were granted to the undersigned on the 28th of January, 2010 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to Pamela Kay Pearson within the time prescribed by law. My address is Pamela Kay Pearson c/o Ryan A. Randall Staubus & Randall, L.L.P. 8401 N. Central Expwy., Ste. 210 Dallas, Texas 75225 Executor of the Estate of Johnnie Edward Pearson Deceased. CAUSE NO. PB1-0008-2010
2/2
Notice to Creditors of THE ESTATE OF ROBERT LAWRENCE LEAKE, Deceased Notice is hereby given that Letters Testamentary upon the Estate of Robert Lawrence Leake, Deceased were granted to the undersigned on the 27th day of January, 2010 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to Ann Louise Leake within the time prescribed by law. My address is c/o G. Lynn Smith Smith & Hammond, P.C. 16475 Dallas Pkwy Ste 300 Addison, TX 75001 Independent Executrix of the Estate of Robert Lawrence Leake Deceased. CAUSE NO. PB1-1149-2009
2/2
Notice to Creditors of THE ESTATE OF Thomas D. Pufpaff, Deceased Notice is hereby given that Letters Testamentary upon the Estate of Thomas D. Pufpaff, Deceased were granted to the undersigned on the 27 of January, 2010 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to Shelly J. Marnock, Independent Executor within the time prescribed by law. My address is 6750 Hillcrest Plaza Drive Suite 204 Dallas, Texas 75230 Independent Executor of the Estate of Thomas D. Pufpaff Deceased. CAUSE NO. PB1-1121-2009
2/2
Notice to Creditors of THE ESTATE OF ESTELLE HARRY NAUSLEY, Deceased Notice is hereby given that Letters Testamentary upon the Estate of ESTELLE HARRY NAUSLEY, Deceased were granted to the undersigned on the 27th of January, 2010 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to PAMELA KAREN LAREAU within the time prescribed by law. My address is 3106 RAINTREE DRIVE, PLANO, TX 75074 Independent Executor of the Estate of ESTELLE HARRY NAUSLEY Deceased. CAUSE NO. PB1-1125-2009
2/2
Notice to Creditors of THE ESTATE OF Philip Jack Kestner, Jr A/K/A Phillip Jack Kestner, Jr, Deceased Notice is hereby given that Letters Testamentary upon the Estate of Philip Jack Kestner, Jr A/K/A Phillip Jack Kestner Jr, Deceased were granted to the undersigned on the 27 of January, 2010 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to Adele M. Kestner within the time prescribed by law. My address is 4048 Bramley Way Plano, TX 75093 Independent Executrix of the Estate of Philip Jack Kestner, Jr A/K/A Phillip Jack Kestner, Jr Deceased. CAUSE NO. PB1-1063-2009
2/2
Notice to Creditors of THE ESTATE OF Lance Craig Johs, Deceased Notice is hereby given that Letters Testamentary upon the Estate of Lance Craig Johs, Deceased were granted to the undersigned on the 28th of January, 2010 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to Doris A. Johs, Independent Executor within the time prescribed by law. My address is Doris A. Johs c/o Janet P. Hope Attorney at Law 4121 Candlewyck Drive Plano, TX 75024 Independent Executor of the Estate of Lance Craig Johs Deceased. CAUSE NO. PB1-0031-2010
2/2
Notice to Creditors of THE ESTATE OF Sue Congdon a/k/a Susan Baker Congdon, Deceased Notice is hereby given that Letters Testamentary upon the Estate of Sue Congdon a/k/a Susan Baker Congdon, Deceased were granted to the undersigned on the 26th of January, 2010 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to Kathi S. Dye, Independent Executor within the time prescribed by law. My address is Kathi S. Dye c/o Janet P. Hope Attorney at Law 4121 Candlewyck Drive Plano, TX 75024 Independent Executor of the Estate of Sue Congdon a/k/a Susan Baker Congdon Deceased. CAUSE NO. PB1-0032-2010
2/2
Notice to Creditors of THE ESTATE OF Leslie A. Smithers, Deceased Notice is hereby given that Letters Testamentary upon the Estate of Leslie A. Smithers, Deceased were granted to the undersigned on the 25th of January, 2010 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to Steven A. Smithers, Independent Executor within the time prescribed by law. My address is Steven A. Smithers c/o Janet P. Hope Attorney at Law 4121 Candlewyck Drive Plano, TX 75024 Independent Executor of the Estate of Leslie A. Smithers Deceased. CAUSE NO. PB1-1067-2009
2/2
Notice to Creditors of THE ESTATE OF LEVI AUGUST GUHN, Deceased Notice is hereby given that Letters Testamentary upon the Estate of LEVI AUGUST GUHN, Deceased were granted to the undersigned on the 19th of November, 2009 by the Probate Court of Collin County, Texas. All persons having claims against said estate are hereby required to present the same to J. RYAN NORDHAUS, attorney for Independent Executor 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 LEVI AUGUST GUHN Deceased. CAUSE NO. PB1-258-2008
2/2
Notice to Creditors of THE ESTATE OF JERRY WAYNE TAYLOR, Deceased Notice is hereby given that Letters of Administration upon the Estate of JERRY WAYNE TAYLOR, Deceased were granted to the undersigned on the 25th of January, 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 Executrix within the time prescribed by law. My address is Luce Nordhaus & Walpole, PLLC PO Box 3280 McKinney, Texas 75070 Independent Executrix of the Estate of JERRY WAYNE TAYLOR Deceased. CAUSE NO. PB1-1137.2009
2/2
IN THE PROBATE COURT OF CULLMAN COUNTY, ALABAMA IN THE MATTER OF THE ESTATE OF AUDIE HILL, Deceased. CASE NO. PC2009-309 NOTICE OF HEARING OF PETITION TO PROBATE WILL TO: Christopher Griffin and Matt Johnson NOTICE is hereby given that on this day came June Moss and Sharon Wordell and produced to the Court a paper writing, purporting to be the Last Will and Testament of Audie Hill, deceased, and moves the Court to admit the said Will to probate and record. You are hereby notified that you may appear before me, at my office in the Court House of said County at 10:00 o’clock A.M., on the 19th day of February, 2010, when the motion will be considered, and show, if anything you have to allege, why said paper writing should not be admitted to probate and record as the true Last Will and Testament of said decedent, Audie Hill. Leah Patterson Lust Judge of Probate
1/19, 1/26, 2/2
CITATION BY PUBLICATION THE STATE OF TEXAS CASE NO: 199-04679-2009 BAC Home Loans Servicing, LP f/k/a Countrywide Home Loans Servicing, LP v. Brittany Nicole Bailey by and Through Her Next Friend Staci Davidson and the Unknown Heirs at Law of Joe S Bailey In Re 2036 Fox Glen Drive, Allen, TX 75013 In the 199th 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 Joe S. Bailey, Deceased and any other person claiming any right, title, or interest 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 8th day of March, 2010 at or before 10 o’clock a.m., before the 199th District Court of Collin County, at the Courthouse in McKinney, Texas. Said Plaintiffs Petition was filed on the 20th day of November, 2009 in this case, numbered 199-04679-2009 on the docket of said court, and styled: BAC Home Loans Servicing, LP f/k/a Countrywide Home Loans Servicing LP v. Brittany Nicole Bailey by and Through Her Next Friend Staci Davidson, and the Unknown Heirs at Law of Joe S Bailey, In Re 2036 Fox Glen Drive, Allen, TX 75013. The names of the parties to the cause are as follows: BAC Home Loan Servicing, LP are Plaintiffs and Staci Davidson; Joe S Bailey are Defendants. A brief statement of the nature of the suit is as follows, to-wit: to rescind the vendor’s lien by Plaintiff regarding 2036 Fox Glen Drive, Allen, Tx 75013, 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 25th day of January, 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
2/2, 2/9, 2/16, 2/23
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: TOM MOCKFORD, his heirs 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: 4023 AKELA WAY, BEING LOT 1, OF W. BARR ESTATES #01, COLLIN COUNTY, TEXAS AS RECORDED IN VOL. 8, PAGE 25, 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 for taxes in the following amount: $12,228.13 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. Answer the Petition of COLLIN COUNTY / COLLIN COUNTY COMMUNITY COLLEGE DISTRICT, Plaintiff’s against DON LEE BRUCE, ET AL, Defendants, by petition filed on the 21ST day of JULY, 2009, in a certain suit styled COLLIN COUNTY / COLLIN COUNTY COMMUNITY COLLEGE DISTRICT VS. DON LEE BRUCE, ET AL, for collection of the taxes on said property and that said suit is now pending in the 429th Judicial District Court of Collin County, Texas, and the file number of said suit is CAUSE NO. 429-02706-2009, that the names of all taxing units which assess and collect taxes on the property described above, not made parties to this suit are NONE. 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, Defendant(s) and Intervenor(s) shall take notice that claims not only for any taxes 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, 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 name 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 8th day of March, 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 25th day of Jan., 2010. HANNAH KUNKLE DISTRICT CLERK BY: PAM ENGLISH, DEPUTY
2/2, 2/9
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: PAUL BUTLER, his heirs 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: COUNTY RD. 550, BEING 22.0647 ACRES OF LAND OUT OF ABSTRACT 739 IN THE E.B. REED SURVEY AS DESCRIBED IN A WARRANTY DEED, COLLIN COUNTY, TEXAS, AS RECORDED IN VOL. 5823, PAGE 5736 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 for taxes in the following amount: $19,481.61. 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. Answer the Petition of FARMERSVILLE INDEPENDENT SCHOOL DISTRICT / COLLIN COUNTY / COLLIN COUNTY CCD, Plaintiff’s against CARL HUBERT MORROW, Defendants, by petition filed on the 4th day of MAY 2009, in a certain suit styled FARMERSVILLE INDEPENDENT SCHOOL DISTRICT / COLLIN COUNTY / COLLIN COUNTY CCD VS. CARL HUBERT MORROW, ET AL, for collection of the taxes on said property and that said suit is now pending in the Judicial District Court of Collin County, Texas, and the file number of said suit is CAUSE NO. 417-01750-2009, that the names of all taxing units which assess and collect taxes on the property described above, not made parties to this suit are NONE. 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, Defendant(s) and Intervenor(s) shall take notice that claims not only for any taxes 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, 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 name 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 8th day of March, 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 25th day of Jan., 2010. HANNAH KUNKLE DISTRICT CLERK BY: PAM ENGLISH, DEPUTY
2/2, 2/9
THE STATE OF TEXAS CITATION BY PUBLICATION PARENT AND CHILD CASE NO. 296-50176-2010 In the Interest of Baileigh Simone Davis, a child In The 296th District Court Of Collin County, Texas TO: Unknown Father, 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 296th 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 Sally Davis and Larry Davis, Petitioner, filed in the Court of Collin County, Texas on the 14th day of January, 2010 against Jessica Warren and Unknown Father, Respondents, and suit being numbered 296-50176-2010 on the docket of said court, and styled “In the Interest of Baileigh Simone Davis, a child”, the nature of which suit is Original Petition for Termination and Adoption. Said Child(ren) Baileigh Simone Davis born January 24, 2009 in Tarrant 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 22nd day of January, 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
2/2
THE STATE OF TEXAS CITATION BY PUBLICATION PARENT AND CHILD CASE NO. 296-50176-2010 In the Interest of Baileigh Simone Davis, a child In The 296th District Court Of Collin County, Texas TO: Jessica Warren, 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 296th 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 Sally Davis and Larry Davis, Petitioners, filed in the Court of Collin County, Texas on the 14th day of January, 2010 against Jessica Warren and Unknown Father, Respondents, and suit being numbered 296-50176-2010 on the docket of said court, and styled “In the Interest of Baileigh Simone Davis, a child”, the nature of which suit is Original Petition for Termination and Adoption. Said Child(ren) Baileigh Simone Davis born January 24, 2009 in Tarrant 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 22nd day of January, 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
2/2
THE STATE OF TEXAS CITATION BY PUBLICATION DIVORCE CASE NO. 219-55388-2009 In the Matter Of The Marriage Of Hadia M Elnagdi vs. Nashat Saeid Ibrahim-Amir In The 219th District Court Of Collin County, Texas To: Nashat Saeid Ibrahim-Amir 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 Hadia M Elnagdi, Petitioner, filed in said court on the 9th day of November, 2009 against Nashat Saeid Ibrahim-Amir, Respondent, and the said suit being numbered 219-55388-2009 on the docket of said court, and entitled “In The Matter Of The Marriage Of Hadia M Elnagdi vs. Nashat Saeid Ibrahim-Amir”, 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 22nd day of January, 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
2/2
THE STATE OF TEXAS CITATION BY PUBLICATION PARENT AND CHILD CASE NO. 4165454705 In the Matter of the Marriage of Margaret Sue Voltzow vs. Bryon Robert Voltzow and in the Interest of Chasen Keir Voltzow and Alexia Ellesse Voltzow, Children In The 416th District Court Of Collin County, Texas TO: Bryon Robert Voltzow, 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 Margaret Sue Voltzow, Petitioner, filed in the Court of Collin County, Texas on the 15th day of January, 2010 against Bryon Robert Voltzow, Respondent, and suit being numbered 4165454705 on the docket of said court, and styled “In the Matter of the Marriage of Margaret Sue Voltzow vs. Bryon Robert Voltzow and in the Interest of Chasen Keir Voltzow and Alexia Ellesse Voltzow, Children”, the nature of which suit is Motion for Enforcement. Said Child(ren) Chasen Keir Voltzow born June 5, 1990 in Texas; Alexia Ellesse Voltzow born July 22, 1993 in 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 21st day of January, 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
2/2
THE STATE OF TEXAS CITATION BY PUBLICATION DIVORCE CASE NO. 401-55999-2009 In the Matter of the Marriage of Courtney Ray Aguilar v. Pablo Huertero Aguilar and in the Interest of Carson Edwin Aguilar, Abigail Rose Aguilar, Carter Joseph Rush In The 401st District Court Of Collin County, Texas To: Pablo Huertero Aguilar 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 Courtney Ray Aguilar, Petitioner, filed in said court on the 23rd day of December, 2009 against Pablo Huertero Aguilar, Respondent, and the said suit being numbered 401-55999-2009 on the docket of said court, and entitled “In the Matter of the Marriage of Courtney Ray Aguilar v. Pablo Huertero Aguilar and in the Interest of Carson Edwin Aguilar, Abigail Rose Aguilar, Carter Joseph Rush”, 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 28th day of January, 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
2/2
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: ROBERT G. CHATHAM, his heirs 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: BEING LOT 7, 8, BLOCK 1, OF NEVADA ORIGINAL DONATION, ADDITION TO THE CITY OF NEVADA, COLLIN COUNTY, TEXAS, AS RECORDED IN VOL. 36, PAGE 300, 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 for taxes in the following amount: $1,640.29 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. Answer the Petition of CITY OF NEVADA / COLLIN COUNTY / COLLIN COUNTY CCD, Plaintiff’s against EDNA CHATHAM, ROBERT G. CHATHAM, Defendants, by petition filed on the 26TH day of MAY, 2009, in a certain suit styled CITY OF NEVADA / COLLIN COUNTY / COLLIN COUNTY CCD VS. EDNA CHATHAM DECEASED AND ALL KNOWN AND UNKNOWN HEIRS, ET AL., for collection of the taxes on said property and that said suit is now pending in the 296th Judicial District Court of Collin County, Texas, and the file number of said suit is CAUSE NO. 296-02069-2009, that the names of all taxing units which assess and collect taxes on the property described above, not made parties to this suit are NONE. 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, Defendant(s) and Intervenor(s) shall take notice that claims not only for any taxes 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, 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 name 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 4th day of March, 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 21st day of January, 2010. HANNAH KUNKLE DISTRICT CLERK BY: PAM ENGLISH, DEPUTY
1/26, 2/2
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: EDNA CHATHAM, her heirs 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: BEING LOT 7, 8, BLOCK 1, OF NEVADA ORIGINAL DONATION, ADDITION TO THE CITY OF NEVADA, COLLIN COUNTY, TEXAS, AS RECORDED IN VOL. 36, PAGE 300, 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 for taxes in the following amount: $1,640.29 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. Answer the Petition of CITY OF NEVADA / COLLIN COUNTY / COLLIN COUNTY CCD, Plaintiff’s against EDNA CHATHAM, ROBERT G. CHATHAM, Defendants, by petition filed on the 26TH day of MAY, 2009, in a certain suit styled CITY OF NEVADA / COLLIN COUNTY / COLLIN COUNTY CCD VS. EDNA CHATHAM DECEASED AND ALL KNOWN AND UNKNOWN HEIRS, ET AL., for collection of the taxes on said property and that said suit is now pending in the 296th Judicial District Court of Collin County, Texas, and the file number of said suit is CAUSE NO. 296-02069-2009, that the names of all taxing units which assess and collect taxes on the property described above, not made parties to this suit are NONE. 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, Defendant(s) and Intervenor(s) shall take notice that claims not only for any taxes 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, 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 name 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 4th day of March, 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 21st day of January, 2010. HANNAH KUNKLE DISTRICT CLERK BY: PAM ENGLISH, DEPUTY
1/26, 2/2
CITATION BY PUBLICATION THE STATE OF TEXAS CASE NO: 401-03544-2009 Plainscapital Bank v. Cindy Smith 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: Cindy Smith 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 22nd day of February, 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 15th day of September, 2009 in this case, numbered 401-03544-2009 on the docket of said court, and styled: Plainscapital Bank v. Cindy Smith The names of the parties to the cause are as follows: Plainscapital Bank are Plaintiffs and Cindy Smith are Defendants. A brief statement of the nature of the suit is as follows, to-wit: Suit on Promissory Note and Breach of Contract 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 7th day of January, 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
1/12, 1/19, 1/26, 2/2
PUBLIC NOTICE ABANDONED VEHICLE AUCTION SIGNATURE TOWING Signature Towing will conduct an online auction of unredeemed vehicles on or around March 1st, 2010. The auction will be held online at Signature Towing, Inc., located at 1204 Municipal, Plano, TX 75074. Viewing will be one available at www.renebates.com. IMP YR MAKE MODEL LIC VIN 603063 2002 Chevrolet Impala PSC239 2G1WF55E629272905 603081 1993 Jeep Cherokee P06DMY 1J4FT78S4PL575902 602635 1989 Toyota Corolla X23NGH 1NXAE92E7KZ003536 602809 1976 Ford DumpTruck 13DYL7 F60DVB50893 603506 1999 Nissan Altima GTR815 1N4DL01D7XC106535 602888 1989 Chrysler New Yorker 4GMHW 1C3BC4633KD458785 602891 1998 Volvo V70 YV1LW564XW2420214 603756 1991 Honda Accord MXY442 1HGCB7151MA054645 603404 1995 Oldsmobile Cutlass Ciera KTM535 1G3AJ55M8S6391120 603806 2000 Chevrolet Cavalier GTP767 1G1JC1245Y7217640 603396 1996 Jeep Cherokee MMR629 1J4FT68S9TL329285 603348 2002 Chevrolet Cavalier N78XBK 1G1JH52T427149080 603721 1987 Honda Accord W34MPY 1HGCA5540HA010375 603530 1996 Chevrolet Corsica 306JFK 1G1LD5547TY117938 596735 1998 Saturn SL2 S64BMH 1G8ZJ5274WZ305835 603438 2008 Honda Civic JMY110 2HGFG12658H562529 604461 2001 Chrysler T&C Van HJT390 2C4GP44321R214484 604115 2003 Jeep Liberty V67TXD 1J4GK48K63W550840 603468 1997 Ford Mustang LCX069 1FALP4041VF124212 596750 1996 Ford Mustang V33NYV 1FALP4040TF205313 604654 1994 Mazda Protege 247XFR JM1BG2249R0803774
2/2
ABANDONED VEHICLE SALE The following vehicle(s) will be sold at public auction at Big Bass Towing Inc., 201 North Main Street, McKinney, TX 75069, on March 25, 2010, provided they are not claimed by the registered owner or lienholder to exercise their right to reclaim the vehicle(s) within the time provided constitutes a waiver by the owner or lienholder of all rights, title, and interest in the vehicle(s) and their consent to the sale of the abandoned vehicle(s) at public auction. The vehicle(s) may be inspected prior to the sale by contacting the storage facility listed below. This sale is pursuant to Section 5.04 of Article V of the Texas Litter Abatement Act, relating to vehicles left in storage facilities. YEAR MAKE MODEL TAG# VIN# 2003 FORD TAURUS BB9-N466 1FAFP55283G143731 2003 HOMEMADE TRAILOR 34X-WNJ 1P9B416248M460770 1984 MERCEDES BENZ T38-YXF WDBAB33A3EA073254 1992 FORD ESCORT CGR-856 1FAPP14J8NW138401 1991 NISSAN NX LYL- 643 JN1EB34C6MU003931 Big Bass Towing, Inc. 201 N. Main St., McKinney, TX 75069 Texas Dept. of Transportation Vehicle Storage Facility, Lic
2/2
|