SUMMONS BY PUBLICATION STATE OF INDIANA SS: COUNTY OF KOSCIUSKO FIRST FEDERAL SAVINGS Plaintiff vs. EDWIN R. RODRIGUEZ ANGIE K. RODRIGUEZ, a/k/a ANGELINA K. RODRIGUEZ CHUCK BRETZ & ASSOCIATES, PC Defendants KOSCIUSKO CIRCUIT COURT 2013 CALENDAR TERM CAUSE NO. 43C01-1212-MF-317 The State of Indiana to the defendants above named, and any other person who may be concerned. You are hereby notified the Defendants, Edwin R. Rodriguez, Angie K. Rodriguez, a/k/a Angelina K. Rodriguez, are being sued by First Federal Savings Bank in the above captioned matter in the Kosciusko Circuit Court, Kosciusko County, State of Indiana. The nature of the suit is a civil action wherein the plaintiff has filed a Complaint on a Promissory Note and to Foreclose A Mortgage demanding judgment on a promissory note and the foreclosure of a mortgage on the defendant at the property located at 7 EMS T13B, Leesburg, Indiana, 46538, in Kosciusko County, Indiana which property is more particularly described as follows to-wit: Tract 1 (Parcel Number 43-08-18-200-275.000-023) Lot Number 1 in Du-Cu-Nee Village on the South Shore of Tippecanoe Lake according to the Plat thereof as recorded in Plat Book 5, page 157 in the Office of the Recorder of Kosciusko County, Indiana. Tract 2 (Parcel Number 43-08-18-200-276.000-023) A portion of Lot Number 4 in Popenfoose Addition to Tippecanoe Lake, as recorded in Plat Book 5, page 116 in the Office of the Recorder of Kosciusko County, Indiana, better described as follows: Beginning at the Southeast corner of Lot Number 4 in Popenfoose Addition to Tippecanoe Lake; thence North 12 degrees 16 minutes West along the east line of said Lot Number 4, 80 feet to a point; thence South 86 degrees 50 minutes West, 35 feet to a point; thence Southeasterly, 87.3 feet to the Place of beginning. MORE COMMONLY KNOWN AS: 7 EMS T13B, Leesburg, Indiana 46538. This Summons by Publication and Notice is specifically direct to the Defendant, Angie K. Rodriguez, a/k/a Angelina K. Rodriguez, whose whereabouts are unknown. You must answer or otherwise respond to the Complaint in writing, by you or your attorney, on or before the 5th may be entered against you for the relief demanded by the plaintiff in the Complaint. If you have a claim for relief against the plaintiff arising out of the transaction of occurrence that is the subject matter of the plaintiffs claim, you must assert it in your written answer. _________Clerk, Kosciusko Circuit Court This is an attempt to collect a debt and any information obtained will be used for that purpose Christopher G. Walter, #17601-85 Law Office of Christopher G. Walter PC 1051 East Market Street Nappanee, Indiana 46550 (574) 773-7728 Attorney for Plaintiff, f22, m1,8