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SUMMONS - PL-18 - BAUGHER

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SUMMONS BY PUBLICATION
IN THE KOSCIUSKO SUPERIOR COURT NO. 1
KOSCIUSKO COUNTY, INDIANA
ALAN BAUGHER and SALLY ANN LITTLE, Plaintiffs,
v.
MARK B. POLING, AMANDA E. POLING,
and ALL PERSONS WHO ASSERT OR
MIGHT ASSERT ANY TITLE, CLAIM,
OR INTEREST IN THE REAL ESTATE DESCRIBED
IN THIS COMPLAINT, THE NAMES OF WHOM ARE UNKNOWN
TO THE PLAINTIFFS, All as Defendants.
CASE NO. 43D01-1505-PL-81
    To: All Persons who may assert a claim or right or interest in or to certain real estate in Kosciusko County located on Neher Road, in the Town of Silver Lake, adjacent and to the West edge of a tract which lies between 3600 West Neher Road and Silver Lake, all in Silver Lake, Indiana.
    You are hereby notified that on the 27th day of May, 2015, the above-named Plaintiffs, Alan Baugher and Sally Ann Little, by their attorneys, Rockhill Pinnick LLP (Scott E. Reust), 105 East Main Street, Warsaw, IN 46580, have filed in the Office of the Clerk of the Kosciusko Superior Court No. 1, Kosciusko County, Indiana, their Complaint to Quiet Title to certain real estate situate in Kosciusko County, Indiana, more particularly described as follows:
    A tract of land in Section 6, Township 30 North, Range 6 East, Lake Township, Kosciusko County, Indiana, more particularly described as follows:
    Beginning at the Southwest corner of a tract of land owned by Alan Baugher and Sally Ann Little as Described in Document #2015030279; thence North 90°00'00" West, (basis of bearings established from said deed), 29.3 feet more or less to the waters edge of Silver Lake; thence North 00°00'00" West, along said waters edge, 93.6 feet more or less; thence North 17°39'23" East, along said waters edge, 104.6 feet more or less to the intersection of the West line of said tract; thence South 00°44'00" West, along said West line, 193.3 feet more or less to the Point of Beginning, containing 0.10 acres more or less.
    Subject to all covenants, easements, or restrictions of applicable record and all applicable building and zoning laws and ordinances and possible rights of tile and drainage ditches.
    This action is instituted and prosecuted by the Plaintiffs for the purpose of quieting title to the above-described real estate as against any and all of the named Defendants, any and all claims, and any and all claimants, known or unknown, 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 20th day of July, 2015, the same being more 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 Plaintiffs' 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 27th day of May, 2015.
Ann Torpy, Clerk
Kosciusko Superior Court No. 1
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