(Published in The Norman Transcript September 24, October 1, 8, 2016, 3t) IN THE DISTRICT COURT FOR CLEVELAND COUNTY STATE OF OKLAHOMA FLOYD E. SMITH, Plaintiff, v. MILDRED CHRISTINE SMITH aka MILDRED SMITH aka DEAN SMITH, Deceased; HER UNKNOWN HEIRS, EXECUTORS, ADMINISTRATORS, DEVISEES and ASSIGNS, Defendants. Case No. CJ-2004-1701 AMENDED NOTICE BY PUBLICATION THE STATE OF OKLAHOMA TO THE ABOVE DEFENDANTS MILDRED CHRISTINE SMITH A/K/A MILDRED SMITH A/K/A DEAN SMITH, DECEASED, HER UNKNOWN HEIRS, EXECUTORS, ADMINISTRATORS, DEVISEES AND ASSIGNS AND TERRY L. SMITH. YOU, AND EACH OF YOU, ARE HEREBY NOTIFIED that the Plaintiff, Floyd E. Smith, has filed an Amended Petition in the District Court of Cleveland County, State of Oklahoma, Case No. CJ-2004-1701, against MILDRED CHRISTINE SMITH A/K/A MILDRED SMITH A/K/A DEAN SMITH deceased, her respective unknown heirs, executors, administrators, devisees, trustees and assigns, immediate and remote, alleging that Plaintiff is the fee simple owner of the following described real property situated in Cleveland County, State of Oklahoma, to wit: The Southwest Quarter of the Southwest Quarter of the Northwest Quarter of the Northwest Quarter (SW/4 SW/4 NW/4 NW/4) of Section Fourteen, Township Nine North, Range One West (§14-T9N-R1W) of the Indian Meridian, Cleveland County, State of Oklahoma. That said Defendants, and each of them named herein along with the said Terry L. Smith (known surviving heir), claim some right, title, lien, estate, encumbrance, claim, assessment or interest in and to said real property involved herein adverse to that of said Plaintiff, which constitutes a cloud upon the title of said Plaintiff; and the said Defendants, and each of them along with the said Terry L. Smith (known surviving heir), have no such right, title, lien, estate, encumbrance, claim, assessment or interest either in law or equity, in and to said property, as is set forth in the Amended Petition filed herein, reference made thereto. That the Defendants, and each of them along with Terry L. Smith (known surviving heir), be adjudged to have no right, title, claim, estate or interest in and to the real property involved in this cause of action and that they, and each of them, be perpetually barred and enjoined from setting up or asserting any right, title, claim, estate or interest in and to said property. That said Defendants, and each of them along with the said Terry L. Smith (known surviving heir), must answer the Amended Petition filed herein on or before the November 7, 2016, or said Amended Petition will be taken as true and correct and judgment rendered accordingly decreeing that Defendants (and Terry L. Smith, known surviving heir), if living, or if deceased, their respective unknown heirs, executors, administrators, devisees, trustees, and assigns, areas set forth in the Amended Petition filed herein and that said Plaintiff is the owner of the property described in said Amended Petition, free and clear of any right, title, lien or interest in or to said real estate and premises or any part thereof. Given under my hand and seal the 20 day of September, 2016. s/ Marilyn Williams CLEVELAND COUNTY COURT CLERK By: S/ Carol Frazier Deputy Court Clerk (SEAL) JON W. LURTZ, OBA #12382 JON W. LURTZ, P.C. 3801 North Classen, Suite 7 Oklahoma City, Oklahoma 73118 (405) 557-1706 Attorney for Plaintiff
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