Notice Of Suit MF-000100 Combs

October 9, 2019 at 4:23 p.m.

By -

SUMMONS - SERVICE BY PUBLICATION

STATE OF INDIANA

SS:

COUNTY OF KOSCIUSKO

Deutsche Bank National Trust Company, As Trustee for the registered holders of Morgan Stanley ABS Capital I INC. Trust 2007-HE5 Mortgage Pass-Through Certificates, Series 2007-HE5,  Plaintiff,

vs.

Courtney Combs, as Possible Heir to the

Estate of Jesse Combs, et al., Defendants.

IN THE KOSCIUSKO SUPERIOR COURT #4

CAUSE NO. 43D04-1909-MF-000100

    TO:  The Unknown heirs, devisees, legatees, beneficiaries of Jesse Combs and their unknown creditors; and, the unknown executor, administrator, or personal representative of the Estate of Jesse Combs:

    BE IT KNOWN, that Deutsche Bank National Trust Company, As Trustee for the registered holders of Morgan Stanley ABS Capital I INC. Trust 2007-HE5 Mortgage Pass-Through Certificates, Series 2007-HE5, the above-named Plaintiff, by its attorney, J. Dustin Smith, has filed in the office of the Clerk of the Kosciusko Superior Court #4 its Complaint against Defendant The Unknown heirs, devisees, legatees, beneficiaries of Jesse Combs and their unknown creditors; and, the unknown executor, administrator, or personal representative of the Estate of Jesse Combs, and the said Plaintiff having also filed in said Clerk’s office the affidavit of a competent person showing that the residence and whereabouts of the Defendant, The Unknown heirs, devisees, legatees, beneficiaries of Jesse Combs and their unknown creditors; and, the unknown executor, administrator, or personal representative of the Estate of Jesse Combs, upon diligent inquiry is unknown, and that said cause of action is for default on the promissory note and to foreclose a mortgage on the following described real estate in Kosciusko County, State of Indiana, to wit:

    Tract I: The East Halves of Lots Numbered 79 and 80 in the Village of Palestine.

    Also, the West Half of a vacated alley in the Village of Palestine which lies between Lots 79 and 80 on the West and Lots 66 and 65 on the East, and being 132 feet North and South by 8 1/4 feet East and West.

    Tract II: Commencing 8 1/4 feet West of the Southwest corner of Lot Number 65 in the Original Plat of Palestine, said point of beginning being in the middle of the vacated alley between Lot Number 65 and Lot Number 80 in said Plat of Palestine, and running thence as follows: East over the extended South line of said Lot Number 65 and the South line of said Lot Number 65, a distance of 18 1/4 feet; thence North and parallel to the West line of said Lot Number 65 and Lot Number 66 in the Original Plat of the Town of Palestine to the North line of said Lot Number 66; thence West 18 1/4 feet to a point in the middle of said vacated alleyway and North of the place of beginning; thence South along the centerline of said vacated alleyway to the place of beginning.

    Tract III: The West Halves of Lots Numbered 79 and 80 in the Village of Palestine.

    Also, all that part of vacated Columbus Street in the Village of Palestine which lies between Lots 89 and 90 on the West and Lots 79 and 80 on the East.

    commonly known as 5662 West Palestine 2nd Street, Mentone, IN 46539.

    NOW, THEREFORE, said Defendant is hereby notified of the filing and pendency of said Complaint against them and that unless they appear and answer or otherwise defend thereto within thirty (30) days after the last notice of this action is published, judgment by default may be entered against said Defendant for the relief demanded in the Complaint.

Dated    Clerk, Kosciusko Superior Court #4

J. Dustin Smith (29493-06)

Stephanie A. Reinhart (25071-06)

Sarah E. Barngrover (28840-64)

Chris Wiley (26936-10)

Nicholas M. Smith (31800-15)

Elyssa M. Meade (25352-64)

Attorneys for Plaintiff

MANLEY DEAS KOCHALSKI, LLC

PO Box 441039

Indianapolis, IN 46244

Telephone: 614-947-5703

Facsimile: 614-220-5613

Email:  [email protected]

10-15,22,29 hspaxlp

    









SUMMONS - SERVICE BY PUBLICATION

STATE OF INDIANA

SS:

COUNTY OF KOSCIUSKO

Deutsche Bank National Trust Company, As Trustee for the registered holders of Morgan Stanley ABS Capital I INC. Trust 2007-HE5 Mortgage Pass-Through Certificates, Series 2007-HE5,  Plaintiff,

vs.

Courtney Combs, as Possible Heir to the

Estate of Jesse Combs, et al., Defendants.

IN THE KOSCIUSKO SUPERIOR COURT #4

CAUSE NO. 43D04-1909-MF-000100

    TO:  The Unknown heirs, devisees, legatees, beneficiaries of Jesse Combs and their unknown creditors; and, the unknown executor, administrator, or personal representative of the Estate of Jesse Combs:

    BE IT KNOWN, that Deutsche Bank National Trust Company, As Trustee for the registered holders of Morgan Stanley ABS Capital I INC. Trust 2007-HE5 Mortgage Pass-Through Certificates, Series 2007-HE5, the above-named Plaintiff, by its attorney, J. Dustin Smith, has filed in the office of the Clerk of the Kosciusko Superior Court #4 its Complaint against Defendant The Unknown heirs, devisees, legatees, beneficiaries of Jesse Combs and their unknown creditors; and, the unknown executor, administrator, or personal representative of the Estate of Jesse Combs, and the said Plaintiff having also filed in said Clerk’s office the affidavit of a competent person showing that the residence and whereabouts of the Defendant, The Unknown heirs, devisees, legatees, beneficiaries of Jesse Combs and their unknown creditors; and, the unknown executor, administrator, or personal representative of the Estate of Jesse Combs, upon diligent inquiry is unknown, and that said cause of action is for default on the promissory note and to foreclose a mortgage on the following described real estate in Kosciusko County, State of Indiana, to wit:

    Tract I: The East Halves of Lots Numbered 79 and 80 in the Village of Palestine.

    Also, the West Half of a vacated alley in the Village of Palestine which lies between Lots 79 and 80 on the West and Lots 66 and 65 on the East, and being 132 feet North and South by 8 1/4 feet East and West.

    Tract II: Commencing 8 1/4 feet West of the Southwest corner of Lot Number 65 in the Original Plat of Palestine, said point of beginning being in the middle of the vacated alley between Lot Number 65 and Lot Number 80 in said Plat of Palestine, and running thence as follows: East over the extended South line of said Lot Number 65 and the South line of said Lot Number 65, a distance of 18 1/4 feet; thence North and parallel to the West line of said Lot Number 65 and Lot Number 66 in the Original Plat of the Town of Palestine to the North line of said Lot Number 66; thence West 18 1/4 feet to a point in the middle of said vacated alleyway and North of the place of beginning; thence South along the centerline of said vacated alleyway to the place of beginning.

    Tract III: The West Halves of Lots Numbered 79 and 80 in the Village of Palestine.

    Also, all that part of vacated Columbus Street in the Village of Palestine which lies between Lots 89 and 90 on the West and Lots 79 and 80 on the East.

    commonly known as 5662 West Palestine 2nd Street, Mentone, IN 46539.

    NOW, THEREFORE, said Defendant is hereby notified of the filing and pendency of said Complaint against them and that unless they appear and answer or otherwise defend thereto within thirty (30) days after the last notice of this action is published, judgment by default may be entered against said Defendant for the relief demanded in the Complaint.

Dated    Clerk, Kosciusko Superior Court #4

J. Dustin Smith (29493-06)

Stephanie A. Reinhart (25071-06)

Sarah E. Barngrover (28840-64)

Chris Wiley (26936-10)

Nicholas M. Smith (31800-15)

Elyssa M. Meade (25352-64)

Attorneys for Plaintiff

MANLEY DEAS KOCHALSKI, LLC

PO Box 441039

Indianapolis, IN 46244

Telephone: 614-947-5703

Facsimile: 614-220-5613

Email:  [email protected]

10-15,22,29 hspaxlp

    









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