Quiet Title Suit PL-000038 Long
April 23, 2020 at 12:19 p.m.
By -
STATE OF INDIANA
SS
COUNTY OF KOSCIUSKO
KOSCIUSKO SUPERIOR COURT 4
CAUSE NUMBER 43D04-2004-PL-000038
DOUGLAS R. LONG, DARLENE M. HALL, ROSALYN J. HODGE,
REBECCA J. JEFFERIES, CAROLYN K. LONG and
SUZANNE L. MENDENHALL, Plaintiffs
VS.
KEITH ROHDE, TERESA L. TARGGART, MILTON E. & HELEN C. GOUGH
IRREVOCABLE TRUST, TAB L. CASPER REVOCABLE TRUST,
DEBBIE S. CASPER REVOCABLE TRUST,
LISA RENEE ZACHARY, BRYAN A. ZACHARY AND
ALL PERSONS CLAIMING AN INTEREST IN THE REAL ESTATE
DESCRIBED HEREIN, Defendants.
Notice is hereby given that on the 16th day of April, 2020, the above named plaintiffs by their attorney, filed in the office of the Clerk of Superior Court 4 of Kosciusko County, in the State of Indiana, their complaint against the above named defendants under cause number 43D04-2004-PL-000038, and said plaintiffs having also filed in said Clerk's Office the affidavit of a competent person showing that the defendants, consisting off all persons claiming an interest in the real estate described herein, represented all persons described by the public records of the County to have an interest in the property, and that as to any person whose name or address is unknown, that the plaintiffs do not know whether the persons named are living or dead or their legal residence, whether they are married or not, and that they do not know the name or whereabouts of the husband or wife or widower or widow of such person, as the case may be, if in fact there were such husband or wife or widower or widow, and that if such person be dead, leaving heirs or devisees of said lands, the plaintiffs do not know their names or legal residence, and said cause of action is to quiet title to the following described real estate situate in Kosciusko County, Indiana, to-wit:
All that part of land in Long's First Addition to Long's Park, Kosciusko County, Indiana as recorded in Plat Book 3, page 305, in the Office of the Recorder of Kosciusko County, bounded by Lot's 21, 22, 23, 24, 25, 26 (less 5 feet strip in width on West side of lot 26), 27 and 5' strip in width on West side of Lot 26, 28, 29, 30 and 31, North-South property lines extended Southerly to the water's edge of James Lake.
That said action is instituted and prosecuted by said plaintiffs for the purpose of quieting the title to the above described real estate as against all defendants, claims and claimants, whatsoever and whomsoever, and as against the world.
The attorneys requesting the plaintiffs as Harris & Harris, 222 N. Buffalo St., Warsaw, IN 46580.
Now, therefore, said defendants consisting of all persons who may claim an interest in the above described real estate are hereby notified of the filing and pendency of said complaint against them, and they or their representative attorneys on their behalf must respond to plaintiff's complaint against them, on or before the 12th day of June, 2020, the same being more than thirty (30) days after the third and last publication of this notice, and if they fail to do so matters and things alleged in the plaintiff's said complaint may be determined and a judgment by default may be entered against them for the relief demanded in said complaint.
In Witness Whereof, I, the Clerk of Kosciusko Superior Court 4, by the authority duly vested, hereunto set my hand and affix the official seal of said Court in my offices in Warsaw, Indiana this 20th day of April, 2020.
Ann Torpy, Clerk
Kosciusko Circuit and Superior Courts
4-27, 5-4, 11 hspaxlp
STATE OF INDIANA
SS
COUNTY OF KOSCIUSKO
KOSCIUSKO SUPERIOR COURT 4
CAUSE NUMBER 43D04-2004-PL-000038
DOUGLAS R. LONG, DARLENE M. HALL, ROSALYN J. HODGE,
REBECCA J. JEFFERIES, CAROLYN K. LONG and
SUZANNE L. MENDENHALL, Plaintiffs
VS.
KEITH ROHDE, TERESA L. TARGGART, MILTON E. & HELEN C. GOUGH
IRREVOCABLE TRUST, TAB L. CASPER REVOCABLE TRUST,
DEBBIE S. CASPER REVOCABLE TRUST,
LISA RENEE ZACHARY, BRYAN A. ZACHARY AND
ALL PERSONS CLAIMING AN INTEREST IN THE REAL ESTATE
DESCRIBED HEREIN, Defendants.
Notice is hereby given that on the 16th day of April, 2020, the above named plaintiffs by their attorney, filed in the office of the Clerk of Superior Court 4 of Kosciusko County, in the State of Indiana, their complaint against the above named defendants under cause number 43D04-2004-PL-000038, and said plaintiffs having also filed in said Clerk's Office the affidavit of a competent person showing that the defendants, consisting off all persons claiming an interest in the real estate described herein, represented all persons described by the public records of the County to have an interest in the property, and that as to any person whose name or address is unknown, that the plaintiffs do not know whether the persons named are living or dead or their legal residence, whether they are married or not, and that they do not know the name or whereabouts of the husband or wife or widower or widow of such person, as the case may be, if in fact there were such husband or wife or widower or widow, and that if such person be dead, leaving heirs or devisees of said lands, the plaintiffs do not know their names or legal residence, and said cause of action is to quiet title to the following described real estate situate in Kosciusko County, Indiana, to-wit:
All that part of land in Long's First Addition to Long's Park, Kosciusko County, Indiana as recorded in Plat Book 3, page 305, in the Office of the Recorder of Kosciusko County, bounded by Lot's 21, 22, 23, 24, 25, 26 (less 5 feet strip in width on West side of lot 26), 27 and 5' strip in width on West side of Lot 26, 28, 29, 30 and 31, North-South property lines extended Southerly to the water's edge of James Lake.
That said action is instituted and prosecuted by said plaintiffs for the purpose of quieting the title to the above described real estate as against all defendants, claims and claimants, whatsoever and whomsoever, and as against the world.
The attorneys requesting the plaintiffs as Harris & Harris, 222 N. Buffalo St., Warsaw, IN 46580.
Now, therefore, said defendants consisting of all persons who may claim an interest in the above described real estate are hereby notified of the filing and pendency of said complaint against them, and they or their representative attorneys on their behalf must respond to plaintiff's complaint against them, on or before the 12th day of June, 2020, the same being more than thirty (30) days after the third and last publication of this notice, and if they fail to do so matters and things alleged in the plaintiff's said complaint may be determined and a judgment by default may be entered against them for the relief demanded in said complaint.
In Witness Whereof, I, the Clerk of Kosciusko Superior Court 4, by the authority duly vested, hereunto set my hand and affix the official seal of said Court in my offices in Warsaw, Indiana this 20th day of April, 2020.
Ann Torpy, Clerk
Kosciusko Circuit and Superior Courts
4-27, 5-4, 11 hspaxlp
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