NOTICE OF QUIET TITLE SUIT STATE OF INDIANA SS KOSCIUSKO COUNTY SALLY J. SHEPHERD, Plaintiff vs. LUVERNE B. COUCH, SHIRLEY R. COUCH, HEIRS AND DEVISEES OF LUVERNE B. COUCH, HEIRS AND DEVISEES OF SHIRLEY R. COUCH AND ANY OTHER PERSONS CLAIMING AN INTEREST IN THE REAL ESTATE DESCRIBED HEREIN, Defendants IN THE KOSCIUSKO CIRCUIT COURT 2016 TERM CAUSE NUMBER 43C01-1609-PL-110 To: The Defendants above-named, and any other person who may be concerned. NOTICE IS HEREBY GIVEN that on the 27th day of September, 2016, the above named plaintiff, by her attorney, filed in the office of the Clerk of the Circuit Court of Kosciusko County, in the state of Indiana, her complaint against the above named defendants under cause number 43c01-1609-PL-110, and said plaintiff having also filed in said Clerk's Office the affidavit of a competent person showing that the defendants, Luverne B. Couch, Shirley R. Couch, Heirs and Devisees of Luverne B. Couch, Heirs and Devisees of Shirley R. Couch and any other persons claiming an interest in the real estate described herein, represent 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 plaintiff does not know whether the persons named are living or dead or their legal residence, whether they are married or not, and that she does 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 plaintiff does not know their names or legal residence, and said cause o action is to quiet title to the following described real estate situate in Kosciusko county, Indiana, to-wit: Lots Numbered 3 and 4 in Block Number 9n of Unit Number 3 in Oak Grove Beach, as shown in Plat Book 4, page 121B, in the Office of the Recorder of Kosciusko County, Indiana. That said action is instituted and prosecuted by said plaintiff 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 representing the plaintiff are Harris & Harris, 222 N. Buffalo St., Warsaw, IN 46580. NOW, THEREFORE, said defendants last above named and all others 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 17th day of November, 2016, 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 plaintiffs' 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 the Kosciusko Circuit Court, by the authority duly vested, hereunto set my hand and affix the official seal of said Court in my offices in Warsaw, Indiana this 27th day of September, 2016. Ann Torpy, Clerk Kosciusko Circuit Court 9-30, 10-7,14 hspaxlp