Details for SUMMONS- SERVICE BY PUBLICATION STATE OF INDIANA COUNTY OF WARRICK IN THE WARRICK SUPERIOR COURT I CAUSE NO.

SUMMONS- SERVICE

BY PUBLICATION

STATE OF INDIANA

COUNTY OF WARRICK

IN THE WARRICK SUPERIOR COURT I

CAUSE NO. 87D01-1804-MF-000498

BAYVIEW LOAN SERVICING, LLC,

Plaintiff,

vs.

THE UNKNOWN HEIRS AND DEVISEES OF DONNA C. BROOKS, DECEASED, PORTFOLIO RECOVERY ASSOCIATES, LLC, MIDLAND FUNDING LLC, INDIANA HOUSING & COMMUNITY DEVELOPMENT AUTHORITY and THE UNKNOWN TENANT,

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 311 S 7th St, Boonville, IN 47601-1866 and described as follows:

Part of Lot Number Seventeen (17) in Master's Addition to the Town (now City) of Boonville, located in Warrick County, Indiana, more particularly described as follows:

Beginning at the Southeast comer of said Lot Seventeen (17) in said Master's Enlargement and running thence North along the West line of Seventh Street in said City of Boonville, a distance of Fifty (50) feet; thence West parallel with the South line of said lot a distance of One Hundred (100) feet; thence South a distance of Fifty (50) feet to the South line of said

Lot Seventeen (17); thence East along the South line of said Lot Seventeen (17), a distance of One Hundred (100) feet to the place of beginning.

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

Portfolio Recovery Associates, LLC, Midland Funding LLC, Indiana Housing & Community Development Authority and The Unknown Tenant

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

The Unknown Heirs and Devisees of Donna C. Brooks, 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

/s/ Bryan K Redmond

By BRIAN 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.

4/26, 5/03, 5/12 hspaxlp

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