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(PUBLISHED IN THE NORMAN TRANS...

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(Published in The Norman Transcript September 27, October 4, 11, 2016, 3t) IN THE DISTRICT COURT WITHIN AND FOR CLEVELAND COUNTY STATE OF OKLAHOMA THE BANK OF NEW YORK MELLON TRUST COMPANY, NATIONAL ASSOCIATION, F/K/A THE BANK OF NEW YORK TRUST COMPANY, N.A., AS SUCCESSOR TO JPMORGAN CHASE BANK N.A., AS TRUSTEE, Plaintiff, vs. JESSICA BENNETT, et al., Defendant(s). No. CJ-2016-791 JUDGE THAD BALKMAN NOTICE BY PUBLICATION THE STATE OF OKLAHOMA TO: Jessica Bennett, Spouse of Jessica Bennett, if married TAKE NOTICE that you have been sued by The Bank of New York Mellon Trust Company, National Association, f/k/a The Bank of New York Trust Company, N.A., as Successor to JPMorgan Chase Bank, N.A., as Trustee, and that you must answer the Petition of said Plaintiff on file in said cause on or before November 18, 2016, or the allegations of said Petition will be taken as true and judgment rendered, foreclosing any interest you may have in the following-described real estate (property) situated in Cleveland County, Oklahoma, to-wit: Unit 4-124 of THE EDGE AT NORMAN CONDOMINIUMS SECTION 2, a unit ownership estate (according to the recorded Declaration and Bylaws filed May 12, 2004, in Book 3823, Page 1026-1076 and Amendment to Declaration filed August 16, 2004 in Book 3875, Page 153-155 and First Supplemental Declaration filed April 1, 2005 in Book 3977, Page 391) and the undivided interest in the common elements appertaining thereto situated in Lot One (1) Block Two (2) of the Edge at Norman Condominiums Section 2, a planned unit development, to Norman, Cleveland County, Oklahoma, according to the recorded plat thereof, for the sum of: Reason Amount Unpaid Principal Balance: $128,839.01 Date of Default: 11/01/2015 Interest Due From: 10/01/2015 Lender’s Fees & Costs: Escrow Advance $89.87 Property Inspection $66.25 Accrued Late Charges $274.53 Other Fees $6.53 Property Preservation $115.00 Fees & Costs of this Action: Title Costs $925.00 including all subsequent advances by Plaintiff, if any, for taxes, insurance premiums, or expenses necessary for the preservation of the subject property, all costs of this action; reasonable attorney’s fees and costs as the Court may allow, and the costs of foreclosing your interest in the property and ordering said property sold with or without appraisement as Plaintiff may elect, all of which you will take due notice. WITNESS my hand and official seal this 19 day of September, 2016. Marilyn Williams Court Clerk By: S/ Debbie Stevenson DEPUTY COURT CLERK (SEAL) Don Timberlake - #9021 Gary D. Baer - #0407 Jim Timberlake - #14945 Chynna Scruggs - #32663 William H. Sullivan - #8761 BAER & TIMBERLAKE, P.C. P.O. Box 18486 Oklahoma City, OK 73154-0486 Telephone: (405) 842-7722 Facsimile: (405) 848-9349 don@baer-timberlake.com

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