Details for SUMMONS - SERVICE BY PUBLICATION STATE OF INDIANA COUNTY OF WARRICK SS: IN THE WARRICK CIRCUIT/SUPERIOR COURT CAUSE NO.

SUMMONS -

SERVICE BY PUBLICATION

STATE OF INDIANA

COUNTY OF WARRICK

SS:

IN THE WARRICK CIRCUIT/SUPERIOR COURT

CAUSE NO. 87D02-1803-MF-000444

BAYVIEW LOAN SERVICING, LLC, Plaintiff

vs.

THE UNKNOWN HEIRS AND DEVISEES OF DOROTHY M BOURLAND, DECEASED and WILMINGTON SAVINGS FUND SOCIETY, FSB AS TRUSTEE OF STANWICH MORTGAGE LOAN TRUST, Defendants.

NOTICE OF SUIT

The State of Indiana to the Defendants above named, and any other person who may be concerned.

You are hereby notified that you have been sued in the Court above named. The nature of the suit against you is:

Complaint on Note and to Foreclose Mortgage on Real Estate

Against the property commonly known as 211 Oak Ln, Lynnville, IN 47619-2064 and described as follows:

All that certain parcel of land in the Town of Lynnville, Warrick County, State of IN, as more fully described in book 2 page 4488, and in Book 1, Page 1590, ID# 041-4050-0010 and 0011, being known and designated as Lots 10 and 11, Walnut Grove Subdivision, an addition, filed in the Plat file 1 at Card 57.Being the property conveyed by fee simple deed from Earl B. Woodall and Judith Woodall to James E. Bourland and Dorothy M. Bourland, husband and wife, as tenants by the entirety, dated 8/16/1978 recorded on 8/29/1978 in Book 2, Page 4488 and by fee simple deed dated 10/14/1976 and recorded I 011511976 in Book 1, Page 1590, in Warrick County Records, State of Indiana.

This summons by publication is specifically directed to the following named defendant:

Wilmington Savings Fund Society, FSB as Trustee of Stanwich Mortgage Loan Trust

This summons by publication is specifically directed to the following named defendant(s) whose whereabouts are unknown:

The Unknown Heirs and Devisees of Dorothy M. Bourland, Deceased

If you have a claim for relief against the plaintiff arising from the same transaction or occurrence, you must assert it in your written answer or response.

You must answer the Complaint in writing, by you or your attorney, within thirty (30) days after the Third Notice of Suit, and if you fail to do so a judgment by default may be entered against you for the relief demanded, by the Plaintiff.

FEIWELL & HANNOY, P.C.

By /s/ Bryan K. Redmond

BRYAN K. REDMOND

Attorney No. 22108-29

Attorney for Plaintiff

BRYAN K. REDMOND

FEIWELL & HANNOY, P.C.

8415 Allison Pointe Blvd., Suite 400

Indianapolis, IN 46250

(317) 237-2727

NOTICE

FEIWELL & HANNOY, P.C. IS A

DEBT COLLECTOR.

3t 4/26, 5/3, 5/10 hspaxlp

Categories

Welcome to the discussion.

Keep it Clean. Please avoid obscene, vulgar, lewd, racist or sexually-oriented language.
PLEASE TURN OFF YOUR CAPS LOCK.
Don't Threaten. Threats of harming another person will not be tolerated.
Be Truthful. Don't knowingly lie about anyone or anything.
Be Nice. No racism, sexism or any sort of -ism that is degrading to another person.
Be Proactive. Use the 'Report' link on each comment to let us know of abusive posts.
Share with Us. We'd love to hear eyewitness accounts, the history behind an article.