CHILD, CHILDREN DESCENDANTS, HEIRS, SURVIVING SPOUSES, CREDITORS AND ADMINISTRATORS OF THE ESTATE; DEVISEES, LEGATEES, TRUSTEES, EXECUTORS OF THE LAST WILL AND TESTAMENT; SUCCESSORS IN INTEREST AND ASSIGNS, RESPECTFULLY, OF EACH OF THE FOREGOING PERSONS, ALL OF WHOM ARE UNKNOWN TO PLAINTIFF; ALL OF
THE WOMEN ONCE KNOWN BY ANY OF THE NAMES AND DESIGNATIONS ABOVE STATED WHOSE NAMES MAY HAVE BEEN CHANGED AND WHO ARE NOW KNOWN BY OTHER NAMES, THE NAMES OF ALL WHO ARE UNKNOWN TO THE PLAINTIFF; AS THE SPOUSES OF EACH OF THE PERSONS NAMED ABOVE, OF DESCRIBED AND DESIGNATED AS DEFENDANTS IN THIS ACTION WHO ARE MARRIED, THE NAMES
OF ALL OF WHOM ARE UNKNOWN TO PLAINTIFF; ALL PERSONS AND CORPORATIONS WHO ASSERT OR MIGHT ASSERT ANY TITLE CLAIM OR INTEREST IN OR LIEN UPON THE REAL ESTATE AND INTEREST THEREIN DESCRIBED IN THE COMPLAINT IN THIS ACTION BY, UNDER OR THROUGH ANY OF THE DEFENDANTS IN THIS ACTION NAMED, DESCRIBED, OR DESIGNATED IN THIS COMPLAINT AND
ABOVE NAMED, ALL OF WHO ARE UNKNOWN
TO THIS PLAINTIFF, Defendants
TO: All Persons who may assert a claim or right or interest in certain real estate in Kosciusko County located between 21 EMS C19 Lane, Warsaw, Indiana 46582 and 9 EMS C19 Lane. Warsaw, Indiana 46582.
You are hereby notified that on the 28th day of March, 2018, the above-named Plaintiff, by his attorney, Kehler Law Firm (Christopher D. Kehler), 208 West Fort Wayne Street, Warsaw, Indiana 46580, filed in the Office of the Clerk of Kosciusko Superior Court 1, Kosciusko County, Indiana, his Complaint to Quiet Title to certain real estate situate in Kosciusko County, Indiana, more particularly described as follows:
Part of the Southeast Quarter of Section 26, Township 33 North, Range 6 East, Kosciusko County, Indiana, more particularly described as follows, to wit:
Commencing at an iron pin found at the Northwest corner of Lot Number 28 in Rosnagle Camden Addition to Arrowhead Park, Kosciusko County, Indiana; thence N80º-00'-00" E (plat bearing and used as the basis of bearings for this description), on and along the North line of said Lot Number 28, a distance of 120.00 feet to an iron pin found in an iron pipe at the Northeast corner of said Lot Number 28, said corner being at the POINT OF BEGINNING; thence continuing N80º-00'-00", on and along the Easterly projection of said North line, a distance of 61.22 feet to a 5/8-inch iron pin capped "Walker" at the point of intersection with Northerly projection of the West face of an existing concrete seawall; thence S19°-04'-20"E, on and along said Northerly projection, a distance of 30.90 feet to a corner of said existing concrete seawall, said corner being situated S19°-04'-20"E, a distance of 2.9 feet from a 5/8- inch iron pin capped "Walker"; thence N48º-02'-50"W, on and along the Southwesterly face of an existing concrete seawall, a distance of 1.97 feet to a corner of said existing concrete seawall; thence S78º-23'-30"W, on and along a Southerly face of an existing concrete seawall, a distance of 52.78 feet to a corner of said existing concrete seawall; thence S69º-52'00"W, on and along a Southerly face of an existing concrete seawall, a distance of 1.61 feet to a corner of said existing concrete seawall; thence S17º-08'-40"E, on and along the Easterly face of said concrete seawall, a distance of 30.45 feet to the point of intersection with the Easterly projection of the South line of said Lot Number 28; thence S76°-00'-46"W, on and along said Easterly projection, a distance of 5.04 feet to an iron pin found in an iron pipe found at the Southeast corner of said Lot Number 28; thence N18°-37'-06"W, on and along the East line of said Lot Number 28, a distance of 62.00 feet to the point of beginning, containing 0.05 acres of land, more or less, subject to all legal right-or-way, subject to all legal drain easements and all other easements of record.
This action is instituted and prosecuted by the Plaintiff for the purpose of quieting title to the above-described real estate as against any and all named Defendants, claims, and claimants, whatsoever and whomsoever. and as against the world.
You and each of you, or your respective attorneys on your behalf must respond to the Complaint by answer or other response thereto on or before the 17th day of May, 2018, the same being ore than 30 days after the third and last publication of this notice. If you fail to do so, the matters and things alleged in the Plaintiff's Complaint may be taken as true and a judgment by default may be entered against you for the relief demanded in the Complaint.
IN WITNESS WHEREOF, I have hereunto affixed my hand and official seal at my office in Warsaw, Indiana, this 29th day of March, 2018.