CITATIONS
THE STATE
OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 342-244049-10
FINANCIAL FREEDOM
ACQUISITION LLC VS. DIANA WOOD, ET AL
TO: DIANA WOOD, BOBBY
LACKEY, THERESA CREED, UNKNOWN HEIRS AT LAW OF DWAYNE WOOD, UNKNOWN HEIRS AT
LAW OF ADELIA C. WOOD, Whose residence is unknown, GREETINGS:
You said DEFENDANT are
hereby commanded to appear by filing a written answer to Plaintiff’s Original
Petition before the 342nd District Court of Tarrant County, Texas at or before
10 o’clock A.M. of the Monday next after the expiration of 42 days from the
date of issuance of this Citation, said Monday being September 13, 2010, then
and there to answer the petition of Financial Freedom Acquisition LLC as
Plaintiffs.
Filed in said Court on
March 04, 2010 Against Diana Wood, Bobby Lackey, Theresa Creed, Unknown Heirs
at Law of Dwayne Wood, Unknown Heirs at Law of Adelia C. Wood as Defendants.
Said suit being numbered
342-244049-10 on the docket of said Court, the nature of which demand is as
follow, to wit:
SYNOPSIS
Plaintiff, Financial
Freedom Acquisition, LLC, its successors and assigns by and through its
attorney of record, Mark G. Torabi of Barrett Daffin Frappier Turner &
Engel, LLP, 15000 Surveyor Blvd., Addison, Texas 75001, 972-386-5040, brought
suit against Defendants Diana Wood, Irma Fountain, Deedee Gonzalez a/k/a
Deaundra Gonzalez, Bobby Lackey, Mario Lozano, Carlos Lozano, Theresa Creed,
Unknown Heirs at Law of Dwayne Wood, Deceased, and The Unknown Heirs At Law of
Adela C. Wood, Deceased, to enforce its security interest on and assert
superior title to the property located at 6941 Maryhill Road, Forest Hill,
Texas 76140-1805 and legally described as:
Lot 20, Block 6, Heritage
West, an addition to the City of Forest Hill, Tarrant County, Texas, according
to the Plat recorded in Volume 388-65, Page 17, Deed Records, Tarrant County,
Texas.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, of legal circulation, published in the County of Tarrant, once each
week for four consecutive weeks, the first publication to be at least 28 days
before the return day of the Citation.
Herein Fail not, but on
the return herein above named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and Given under my
hand and seal of said Court in Fort Worth, Tarrant County, Texas this the July
29, 2010.
Thomas A. Wilder
Clerk of District
Courts of Tarrant
County, Texas
Tarrant County, Texas
By /s/ Juanita Vega
Juanita Vega, Deputy
NOTICE: You have been
sued. You may employ an attorney. If you or your attorney do not file a written
answer according to rule 114 in the Texas Rules of Court, a default judgment
may be taken against you.
8-4-11-18-25
----------
THE STATE OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 233-483221-10
IN RE: A CHILD
TO: PERCY BROWN, And to
all whom it may concern GREETINGS:
You have been sued. You
may employ an attorney. If you or your attorney do not file a written answer
with the clerk who issued this citation by 10:00 a.m. on the Monday next
following the expiration of 20 days after you were served this citation and
Original Petition for Termination of the Parent-Child Relationship, a default
judgment may be taken against you. The Petition of The Gladney Center, as
Petitioner was filed in 233rd Court of Tarrant County, Texas; on 19th day of August,
2010 Against Percy Brown, numbered 233-483221-10, and entitled: In Re: A Child,
the suit requests terminate the parent-child relationship between Percy Brown
and Baby Girl Law. Said child was born on the 7th day of July, 2010 - Baby Girl
Law.
The court has authority in
this suit to enter any judgment or decree in the child’s interest which will be
binding upon you, including the termination of the parent-child relationship,
the determination of paternity and the appointment of a conservator with
authority to consent to the child’s adoption.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, of legal circulation, published in the County of Tarrant for one
time, the first publication to be at least 20 days before the return day of the
Citation.
Herein Fail not, but on
the return hereinabove named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and given under my
hand and seal of said Court at Tarrant County, Texas, this the 20th day of
August, 2010.
THOMAS A. WILDER
Clerk of District Courts
of
Tarrant County, Texas
By /s/ Daniel T. Bina
Daniel T. Bina, Deputy
8-25
----------
THE STATE OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 322-483286-10
IN RE: JULIUS MAURISE REID
TO: REGINALD REID, And to
all whom it may concern GREETINGS:
You have been sued. You
may employ an attorney. If you or your attorney do not file a written answer
with the clerk who issued this citation by 10:00 a.m. on the Monday next
following the expiration of 20 days after you were served this citation and
Petition to Change the Name of a Child, a default judgment may be taken against
you. The Petition of Shernita A. McMillan, as Petitioner was filed in 322nd
Court of Tarrant County, Texas; on 19th day of August, 2010 Against Reginald
Reid, numbered 322-483286-10, and entitled: In Re: Julius Maurise Reid, the
suit requests change the name of the child, Julius Maurise Reid to Julius
Maurise McMillan. Said child was born on the 9th day of February, 2000 - Julius
Maurise Reid.
The court has authority in
this suit to enter any judgment or decree in the child’s interest which will be
binding upon you, including the termination of the parent-child relationship,
the determination of paternity and the appointment of a conservator with
authority to consent to the child’s adoption.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, of legal circulation, published in the County of Tarrant for one
time, the first publication to be at least 20 days before the return day of the
Citation.
Herein Fail not, but on
the return hereinabove named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and given under my
hand and seal of said Court at Tarrant County, Texas, this the 20th day of
August, 2010.
THOMAS A. WILDER
Clerk of District Courts
of
Tarrant County, Texas
By /s/ Daniel T. Bina
Daniel T. Bina, Deputy
8-25
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B36101-07
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Dorothy Rainge, Deceased
if living, and if any or
all of the above named Defendant(s) be dead, the unknown heirs of each or all
of the said named persons who may be dead; and the unknown heirs of the unknown
heirs of said above named persons; and the unknown owner or owners of the
described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
PROPERTY
LOT 12, BLOCK 1 OUT OF
PARK VIEW SITUATED IN THE CITY OF FORT WORTH, TARRANT COUNTY, TEXAS, AND
LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL DISTRICT, AS SHOWN BY A DEED
OF RECORD IN VOLUME 11702 PAGE 556 OF THE DEED RECORDS OF TARRANT COUNTY,
TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $1,504.77, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
COUNTY RIGHT OF WAY DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT, TARRANT COUNTY
COLLEGE DISTRICT and TARRANT REGIONAL WATER DISTRICT as Plaintiff(s), against
the above named person(s) as Defendant(s), by First Amended Petition filed on
the 12th day of August, 2010, in a certain suit styled CITY OF FORT WORTH, ET
AL vs. DOROTHY RAINGE, ET AL, which includes the following defendants: Dorothy Rainge,
Deceased and City Of Fort Worth (lienholder, in rem only), for collection of
the taxes on the property and that the suit is now pending in the District
Court of Tarrant County, Texas, 236th Judicial District, and the file number of
said suit is NO. B36101-07, that the names of all taxing units which assess and
collect taxes on the property above described, not made parties to this suit,
are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 27th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 12th day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-25/9-1
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. E22792-07
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
The unknown members,
successors and assigns of Affordable Homes, a/k/a Affordable Custom Homes, Ltd
if living, and if any or
all of the above named Defendant(s) be dead, the unknown heirs of each or all
of the said named persons who may be dead; and the unknown heirs of the unknown
heirs of said above named persons; and the unknown owner or owners of the
described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
PROPERTY
PERSONAL PROPERTY
CONSISTING OF A 1998 OAKWOOD 16 X 72 MANUFACTURED HOME, LB# NTA0769289, LOCATED
IN TARRANT COUNTY, TEXAS
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $1,934.07, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by TARRANT COUNTY, CITY OF FORT WORTH, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as
Defendant(s), by Third Amended Petition filed on the 12th day of August, 2010,
in a certain suit styled COUNTY OF TARRANT, ET AL vs. GREGORY S. ENSEY, ET AL,
which includes the following defendants: Gregory S.
Ensey, The unknown members, successors and assigns of Affordable Homes, a/k/a
Affordable Custom Homes, Ltd and Vanderbilt Mortgage & Finance Inc
(lienholder, in rem only), for collection of the taxes on the property and that
the suit is now pending in the District Court of Tarrant County, Texas, 236th
Judicial District, and the file number of said suit is NO. E22792-07, that the
names of all taxing units which assess and collect taxes on the property above
described, not made parties to this suit, are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 27th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and including
the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 12th day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-25/9-1
----------
CITATION BY
PUBLICATION
CAUSE NO. 10-PR01939-2
TO ANY SHERIFF OR ANY
CONSTABLE WITHIN THE STATE OF TEXAS, GREETINGS:
You are hereby commanded
that by making publication of this citation once, ten days before September 06,
2010, the day of the hearing hereof, you summon ALL PERSONS INTERESTED, ANY
UNKNOWN HEIRS to be and appear before the Probate Court of Tarrant County,
Texas at the Courthouse thereof in the City of Fort Worth, then and there to
answer the petition of Diana Oliveira filed herein August 17, 2010 and show
cause why this Court should not determine who are the heirs and the only heirs
in the estate of Antonio Oliveira, III, Deceased.
Petitioner alleges that
the decedent died in Dallas County, Texas on December 23, 2009 and prays that
the Court hear evidence sufficient to determine who are the heirs and the only
heirs of Antonio Oliveira, III, Deceased.
GIVEN UNDER MY HAND AND
SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County,
Texas on the 18th day of August 2010 A.D.
SUZANNE HENDERSON
Clerk of the
Probate Courts of
Tarrant County, Texas
100 W. Weatherford
Street
Fort Worth, Texas
76196-0401
/s/ Kelly Reyna
Kelly Reyna, Deputy
8-25
----------
CITATION BY
PUBLICATION
CAUSE NO. 10-PR01960-1
TO ANY SHERIFF OR ANY
CONSTABLE WITHIN THE STATE OF TEXAS, GREETINGS:
You are hereby commanded
that by making publication of this citation once, ten days before September 13,
2010, the day of the hearing hereof, you summon ALL PERSONS INTERESTED, ANY
UNKNOWN HEIRS to be and appear before the Probate Court of Tarrant County,
Texas at the Courthouse thereof in the City of Fort Worth, then and there to
answer the petition of Robert Edward McHatten, Jr., filed herein August 19,
2010 and show cause why this Court should not determine who are the heirs and the
only heirs in the estate of Berdina McHatten, Deceased.
Petitioner alleges that
the decedent died in Arlington, Texas on December 16, 2009 and prays that the
Court hear evidence sufficient to determine who are the heirs and the only
heirs of Berdina McHatten, Deceased.
GIVEN UNDER MY HAND AND
SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County,
Texas on the 20th day of August 2010 A.D.
SUZANNE HENDERSON
Clerk of the
Probate Courts of
Tarrant County, Texas
100 W. Weatherford
Street
Fort Worth, Texas
76196-0401
/s/ Barry Patrick
Barry Patrick, Deputy
8-25
----------
CITATION BY
PUBLICATION
CAUSE NO. 10-PR01964-1
TO ANY SHERIFF OR ANY
CONSTABLE WITHIN THE STATE OF TEXAS, GREETINGS:
You are hereby commanded
that by making publication of this citation once, ten days before September 13,
2010, the day of the hearing hereof, you summon ALL PERSONS INTERESTED, ANY
UNKNOWN HEIRS to be and appear before the Probate Court of Tarrant County,
Texas at the Courthouse thereof in the City of Fort Worth, then and there to
answer the petition of Tristan Wilson filed herein August 19, 2010 and show
cause why this Court should not determine who are the heirs and the only heirs
in the estate of Terrell Wilson, Deceased.
Petitioner alleges that
the decedent died in Bedford, Texas on June 20, 2009 and prays that the Court
hear evidence sufficient to determine who are the heirs and the only heirs of
Terrell Wilson, Deceased.
GIVEN UNDER MY HAND AND
SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County,
Texas on the 20th day of August 2010 A.D.
SUZANNE HENDERSON
Clerk of the
Probate Courts of
Tarrant County, Texas
100 W. Weatherford
Street
Fort Worth, Texas
76196-0401
/s/ Barry Patrick
Barry Patrick, Deputy
8-25
----------
THE STATE
OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 017-244379-10
MAUREEN KERSEY VS. JEFF B.
HANCOCK, ET AL
TO: DAVID PARISH AND THE
UNKNOWN HEIRS AT LAW OF LONETA JUE HANCOCK, Whose residence is unknown,
GREETINGS:
You said DEFENDANT are
hereby commanded to appear by filing a written answer to Plaintiff’s Original
Petition before the 17th District Court of Tarrant County, Texas at or before
10 o’clock A.M. of the Monday next after the expiration of 42 days from the
date of issuance of this Citation, said Monday being September 27, 2010, then
and there to answer the petition of Maureen Kersey, Citimortgage Inc. as
Plaintiffs.
Filed in said Court on
March 19, 2010 Against Jeff B. Hancock, Debbie Sifuentes, David Parrish,
Unknown Heirs at Law of Loneta Sue Hancock, as Defendant.
Said suit being numbered
017-244379-10 on the docket of said Court, the nature of which demand is as
follow, to wit:
SYNOPSIS
Plaintiff Maureen Kersey,
as Trustee for CitiMortgage, Inc., its successors and assigns by and through
its attorney of record, Jason A. LeBoeuf of Barrett Daffin Frappier Turner
& Engel, LLP, 15000 Surveyor Blvd., Addison, Texas 75001, 972-386-5040,
brought suit against Defendants Jeff B. Hancock, Debbie Sifuentes, David
Parrish, and the Unknown Heirs of Loneta Sue Hancock, to enforce the Loan
Agreement on the property located at 3605 Stephenson Drive, Bedford, TX 76021
and legally described as:
Being Lot 11, Block 4 of
Harwood Terrace Addition, an Addition to the City of Bedford, Tarrant County,
Texas, according to the Plat thereof recorded in Volume 388-45, Page 39, of the
Plat Records of Tarrant County, Texas.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, of legal circulation, published in the County of Tarrant, once each
week for four consecutive weeks, the first publication to be at least 28 days
before the return day of the Citation.
Herein Fail not, but on
the return herein above named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and Given under my
hand and seal of said Court in Fort Worth, Tarrant County, Texas this the
August 09, 2010.
Thomas A. Wilder
Clerk of District
Courts of Tarrant
County, Texas
Tarrant County, Texas
By /s/ Juanita Vega
Juanita Vega, Deputy
NOTICE: You have been
sued. You may employ an attorney. If you or your attorney do not file a written
answer according to rule 114 in the Texas Rules of Court, a default judgment
may be taken against you.
8-11-18-25/9-1
----------
THE STATE
OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 067-246227-10
BENEFICIAL TEXAS, INC. VS.
CAROL Y. WILSON, ET AL
TO: THE UNKNOWN HEIRS OF
STEPHEN McGEE WILSON, DECEASED, Whose residence is unknown, GREETINGS:
You said DEFENDANT are
hereby commanded to appear by filing a written answer to Plaintiff’s Original
Petition before the 67th District Court of Tarrant County, Texas at or before
10 o’clock A.M. of the Monday next after the expiration of 42 days from the date
of issuance of this Citation, said Monday being September 27, 2010, then and
there to answer the petition of: Beneficial Texas, Inc., as Plaintiffs.
Filed in said Court on
June 21, 2010 Against Carol Y. Wilson, Jeremy Bryan Martin, Stephen McGee
Wilson, Unknown Heirs of Stephen McGee Wilson, Deceased, Jeremy Bryan Martin,
as Defendants.
Said suit being numbered
067-246227-10 on the docket of said Court, the nature of which demand is as
follow, to wit:
SYNOPSIS
Foreclosure of Deed of
Trust Lien on the following described real property of which Defendants Carol
Y. Wilson, Jeremy Bryan Martin and The Unknown Heirs of Stephen McGee Wilson,
Deceased, are the owners:
ALL THAT CERTAIN LOT,
TRACT OR PARCEL OF LAND LYING AND BEING SITUATED IN TARRANT COUNTY, TEXAS AND
BEING PART OF THE N.B. BREEDING SURVEY ABSTRACT NUMBER 189, AND BEING THE SAME
TRACT CONVEYED TO WENDELL GORDON WILSON BY DEED RECORDED IN VOLUME 15095, PAGE
75 DEED RECORDS, TARRANT COUNTY, TEXAS;
BEGINNING AT A 5/8 INCH
IRON ROD FOUND IN THE WEST LINE OF GLENVAR ROAD, AND BEING THE SOUTHEAST CORNER
OF LOT ONE (1), SECRET OAKS ADDITION PET CABINET B, SLIDE 2649, PLAT RECORDS
TARRANT COUNTY, TEXAS;
THENCE ALONG THE WEST LINE
OF GLENVAR ROAD, SOUTH 13 DEG. 39’ 54’ WEST, 104.91 FEET TO A POINT, WHEN A FENCE
POST BEARS NORTH 03 DEG. 49’ 50’ WEST, 0.86 FEET;
THENCE NORTH 79 DEG. 17’
WEST, 125.00 FEET TO A 1/2 INCH IRON ROD SET;
THENCE SOUTH 13 DEG. 33’
WEST, 20.20 FEET TO A POINT, WHENCE A FENCE POST BEARS NORTH 75 DGE. 33’ 19’
WEST, 0.56 FEET;
THENCE NORTH 79 DEG. 17’
WEST, 150.00 FEET TO A _ INCH IRON PIPE FOUND, IN THE EAST LINE OF HODGKINS
ROAD;
THENCE ALONG THE EAST LINE
OF HODGKINS ROAD, NORTH 13 DEG. 17’ 32’ EAST, 126.10 FEET TO A 3/4 INCH PIPE
FOUND;
THENCE LEAVING SAID EAST
LINE SOUTH 79 DEG. 04’ 11’ EAST, 275.73 FEET TO A POINT OF BEGINNING AND
CONTAINING 0.735 ACRES OF LAND, MORE OR LESS.
TAX MAP OR PARCEL ID NO.:
03777413
which has the address of
4632 HODGKINS RD, FORT WORTH, TX 76135.
THE STATE OF TEXAS
To the Sheriff, Constable or
Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, of legal circulation, published in the County of Tarrant, once each
week for four consecutive weeks, the first publication to be at least 28 days
before the return day of the Citation.
Herein Fail not, but on
the return herein above named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and Given under my
hand and seal of said Court in Fort Worth, Tarrant County, Texas this the
August 11, 2010.
Thomas A. Wilder
Clerk of District
Courts of Tarrant
County, Texas
Tarrant County, Texas
By /s/ Juanita Vega
Juanita Vega, Deputy
NOTICE: You have been
sued. You may employ an attorney. If you or your attorney do not file a written
answer according to rule 114 in the Texas Rules of Court, a default judgment
may be taken against you.
8-17-24-31/9-7
----------
CITATION BY
PUBLICATION
CAUSE NO. 10-PR01956-1
TO ANY SHERIFF OR ANY
CONSTABLE WITHIN THE STATE OF TEXAS, GREETINGS:
You are hereby commanded
that by making publication of this citation once, ten days before September 06,
2010, the day of the hearing hereof, you summon ALL PERSONS INTERESTED, ANY
UNKNOWN HEIRS to be and appear before the Probate Court of Tarrant County,
Texas at the Courthouse thereof in the City of Fort Worth, then and there to
answer the petition of Maria Bernal filed herein August 18, 2010 and show cause
why this Court should not determine who are the heirs and the only heirs in the
estate of Joe Bernal, Deceased.
Petitioner alleges that
the decedent died in Fort Worth, Texas on March 28, 2008 and prays that the
Court hear evidence sufficient to determine who are the heirs and the only
heirs of Joe Bernal, Deceased.
GIVEN UNDER MY HAND AND
SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County,
Texas on the 19th day of August 2010 A.D.
SUZANNE HENDERSON
Clerk of the
Probate Courts of
Tarrant County, Texas
100 W. Weatherford
Street
Fort Worth, Texas
76196-0401
/s/ Kelly Reyna
Kelly Reyna, Deputy
8-24
----------
CITATION BY
PUBLICATION
CAUSE NO. 10-PR01617-2
TO ANY SHERIFF OR ANY
CONSTABLE WITHIN THE STATE OF TEXAS, GREETINGS:
You are hereby commanded
that by making publication of this citation once, ten days before September 06,
2010, the day of the hearing hereof, you summon ALL PERSONS INTERESTED, ANY
UNKNOWN HEIRS to be and appear before the Probate Court of Tarrant County, Texas
at the Courthouse thereof in the City of Fort Worth, then and there to answer
the petition of Robert C. Dorn filed herein August 16, 2010 and show cause why
this Court should not determine who are the heirs and the only heirs in the
estate of Leslie Louise White, Deceased.
Petitioner alleges that
the decedent died in Arlington, Texas on May 14, 2010 and prays that the Court
hear evidence sufficient to determine who are the heirs and the only heirs of
Leslie Louise White, Deceased.
GIVEN UNDER MY HAND AND
SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County,
Texas on the 17th day of August 2010 A.D.
SUZANNE HENDERSON
Clerk of the
Probate Courts of
Tarrant County, Texas
100 W. Weatherford
Street
Fort Worth, Texas
76196-0401
/s/ Kelly Reyna
Kelly Reyna, Deputy
8-24
----------
CITATION BY
PUBLICATION
CAUSE NO. 10-PR01909-2
TO ANY SHERIFF OR ANY
CONSTABLE WITHIN THE STATE OF TEXAS, GREETINGS:
You are hereby commanded that
by making publication of this citation once, ten days before September 06,
2010, the day of the hearing hereof, you summon ALL PERSONS INTERESTED, ANY
UNKNOWN HEIRS to be and appear before the Probate Court of Tarrant County,
Texas at the Courthouse thereof in the City of Fort Worth, then and there to
answer the petition of Cecilia Colon filed herein August 17, 2010 and show
cause why this Court should not determine who are the heirs and the only heirs
in the estate of Fernando Ernesto Colon, Deceased.
Petitioner alleges that
the decedent died in Carolina, Puerto Rico, on February 19, 2010 and prays that
the Court hear evidence sufficient to determine who are the heirs and the only
heirs of Fernando Ernesto Colon, Deceased.
GIVEN UNDER MY HAND AND
SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County,
Texas on the 18th day of August 2010 A.D.
SUZANNE HENDERSON
Clerk of the
Probate Courts of
Tarrant County, Texas
100 W. Weatherford
Street
Fort Worth, Texas
76196-0401
/s/ Sylvia Rothman
Sylvia Rothman, Deputy
8-24
----------
CITATION BY
PUBLICATION
CAUSE NO. 02-3562-2
TO ANY SHERIFF OR ANY
CONSTABLE WITHIN THE STATE OF TEXAS, GREETINGS:
You are hereby commanded
that by making publication of this citation once, ten days before September 06,
2010, the day of the hearing hereof, you summon ALL PERSONS INTERESTED, ANY
UNKNOWN HEIRS to be and appear before the Probate Court of Tarrant County,
Texas at the Courthouse thereof in the City of Fort Worth, then and there to
answer the petition of Christos Routsis, Evaggelos Routsis, Panayiotis Routsis
and Vasilios Routsis filed herein August 17, 2010 and show cause why this Court
should not determine who are the heirs and the only heirs in the estate of
Dimitri Karadimetris, Deceased.
Petitioner alleges that
the decedent died in Fort Worth, Texas on November 23, 2002 and prays that
the Court hear evidence sufficient to determine who are the heirs and the only
heirs of Dimitri Karadimetris, Deceased.
GIVEN UNDER MY HAND AND
SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County,
Texas on the 18th day of August 2010 A.D.
SUZANNE HENDERSON
Clerk of the
Probate Courts of
Tarrant County, Texas
100 W. Weatherford
Street
Fort Worth, Texas
76196-0401
/s/ Sylvia Rothman
Sylvia Rothman, Deputy
8-24
----------
CITATION BY
PUBLICATION
CAUSE NO. 08-1984-1
TO ANY SHERIFF OR ANY
CONSTABLE WITHIN THE STATE OF TEXAS, GREETINGS:
You are hereby commanded
that by making publication of this citation once, ten days before September 06,
2010, the day of the hearing hereof, you summon ALL PERSONS INTERESTED, ANY
UNKNOWN HEIRS to be and appear before the Probate Court of Tarrant County,
Texas at the Courthouse thereof in the City of Fort Worth, then and there to
answer the petition of Sarah Hearn filed herein August 10, 2010 and show cause
why this Court should not determine who are the heirs and the only heirs in the
estate of Charles John Hearn, Deceased.
Petitioner alleges that
the decedent died in Bedford, Texas on May 20, 2008 and prays that the Court
hear evidence sufficient to determine who are the heirs and the only heirs of
Charles John Hearn, Deceased.
GIVEN UNDER MY HAND AND
SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County,
Texas on the 17th day of August 2010 A.D.
SUZANNE HENDERSON
Clerk of the
Probate Courts of
Tarrant County, Texas
100 W. Weatherford
Street
Fort Worth, Texas
76196-0401
/s/ Sylvia Rothman
Sylvia Rothman, Deputy
8-24
----------
THE STATE OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 324-483170-10
IN THE MATTER OF THE
MARRIAGE OF:
ANITA MARQUEZ VS. JOSE
MANUEL RUIZ
TO: JOSE MANUEL RUIZ,
RESPONDENT, And to all whom it may concern GREETINGS:
You have been sued. You
may employ an attorney. If you or your attorney do not file a written answer
with the clerk who issued this citation by 10:00 a.m. on the Monday next
following the expiration of 20 days after you were served this citation and
Original Petition for Divorce, a default judgment may be taken against you. The
Petition of Anita Marquez, as Petitioner was filed in the 324th Court of
Tarrant County, Texas; on 17th day of August, 2010 Against Jose Manuel Ruiz,
numbered 324-483170-10, and entitled in the Matter of the Marriage of: Anita
Marquez and Jose Manuel Ruiz the suit requests dissolve the bonds of matrimony
and decree such other relief requested in this petition.
The court has authority in
this suit to enter any judgment or decree dissolving the marriage and providing
for the division of property which will be binding on you.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, of legal circulation, published in the County of Tarrant for one
time, the first publication to be at least 20 days before the return day of the
Citation.
Herein Fail not, but on
the return hereinabove named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and given under my
hand and seal of said Court at Tarrant County, Texas, this the 18th day of
August, 2010.
THOMAS A. WILDER
Clerk of District Courts
of
Tarrant County, Texas
By /s/ Scott Elledge
Scott Elledge, Deputy
8-23
----------
THE STATE OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 360-480515-10
IN RE INFINITY BRIDGES
TO: KYMBER BRIDGES, And to
all whom it may concern GREETINGS:
You have been sued. You
may employ an attorney. If you or your attorney do not file a written answer
with the clerk who issued this citation by 10:00 a.m. on the Monday next
following the expiration of 20 days after you were served this citation and
Original Petition in Suit Affecting the Parent-Child Relationship, a default
judgment may be taken against you. The Petition of Jennifer Gail Poer, as
Petitioner was filed in 360th Court of Tarrant County, Texas; on 6th day of
July, 2010 Against Kymber Bridges, numbered 360-480515-10, and entitled: In Re
Infinity Bridges, the suit requests appoint Jennifer Gail Poer as sole managing
conservator. Said child was born on the 5th day of June, 2009 - Infinity
Bridges.
The court has authority in
this suit to enter any judgment or decree in the child’s interest which will be
binding upon you, including the termination of the parent-child relationship,
the determination of paternity and the appointment of a conservator with
authority to consent to the child’s adoption.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, of legal circulation, published in the County of Tarrant for one
time, the first publication to be at least 20 days before the return day of the
Citation.
Herein Fail not, but on
the return hereinabove named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and given under my
hand and seal of said Court at Tarrant County, Texas, this the 17th day of
August, 2010.
THOMAS A. WILDER
Clerk of District Courts
of
Tarrant County, Texas
By /s/ Daniel T. Bina
Daniel T. Bina, Deputy
8-23
----------
THE STATE OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 233-483087-10
IN RE ILLIANNA WENONA
SEGURA
TO: MONICA SEGURA, And to
all whom it may concern GREETINGS:
You have been sued. You
may employ an attorney. If you or your attorney do not file a written answer
with the clerk who issued this citation by 10:00 a.m. on the Monday next
following the expiration of 20 days after you were served this citation and
Original Petition in Suit Affecting the Parent-Child Relationship, a default
judgment may be taken against you. The Petition of Erna Marvelli Hastings, as
Petitioner was filed in 233rd Court of Tarrant County, Texas; on 17th day of
August, 2010 Against Monica Segura, numbered 233-483087-10, and entitled: In Re
Illianna Wenona Segura, the suit requests have Erna Marvelli Hastings made sole
managing conservator of the child, subject of this suit. Said child was born on
the 12th day of June, 2008 - Illianna Wenona Segura.
The court has authority in
this suit to enter any judgment or decree in the child’s interest which will be
binding upon you, including the termination of the parent-child relationship,
the determination of paternity and the appointment of a conservator with
authority to consent to the child’s adoption.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some newspaper,
of legal circulation, published in the County of Tarrant for one time, the
first publication to be at least 20 days before the return day of the Citation.
Herein Fail not, but on
the return hereinabove named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and given under my
hand and seal of said Court at Tarrant County, Texas, this the 18th day of
August, 2010.
THOMAS A. WILDER
Clerk of District Courts
of
Tarrant County, Texas
By /s/ Scott Elledge
Scott Elledge, Deputy
8-23
----------
THE STATE OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 360-453739-09
IN RE SKYLER WILLIAM
AMERSON
TO: DEREK AMERSON, And to
all whom it may concern GREETINGS:
You have been sued. You
may employ an attorney. If you or your attorney do not file a written answer
with the clerk who issued this citation by 10:00 a.m. on the Monday next
following the expiration of 20 days after you were served this citation and
Second Amended Original Petition to Terminate Parent-Child Relationship, a
default judgment may be taken against you. The Petition of Arielle Amanda
Chaffin, as Petitioner was filed in 360th Court of Tarrant County, Texas; on
16th day of August, 2010 Against Derek Amerson, numbered 360-453739-09, and
entitled: In Re Skyler William Amerson, the suit requests terminate the
parental rights of Derek Amerson and appoint Arielle Amanda Chaffin as managing
conservator. Said child was born on the 28th day of March, 2008 - Skylar
William Amerson.
The court has authority in
this suit to enter any judgment or decree in the child’s interest which will be
binding upon you, including the termination of the parent-child relationship,
the determination of paternity and the appointment of a conservator with
authority to consent to the child’s adoption.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, of legal circulation, published in the County of Tarrant for one
time, the first publication to be at least 20 days before the return day of the
Citation.
Herein Fail not, but on
the return hereinabove named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and given under my
hand and seal of said Court at Tarrant County, Texas, this the 18th day of
August, 2010.
THOMAS A. WILDER
Clerk of District Courts
of
Tarrant County, Texas
By /s/ Scott Elledge
Scott Elledge, Deputy
8-23
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. E23489-08
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the authority
of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Cecil R. Green, Deceased,
Individually and as Heir to the Estate of Gertrude Green, if living, and if any
or all of the above named Defendant(s) be dead, the unknown heirs of each or
all of the said named persons who may be dead; and the unknown heirs of the
unknown heirs of said above named persons; and the unknown owner or owners of
the described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
PROPERTY
LOT 16R, BLOCK 26 OUT OF
RICHLAND TERRACE ADDITION SITUATED IN THE CITY OF NORTH RICHLAND HILLS, TARRANT
COUNTY, TEXAS, AND LOCATED WITHIN THE BIRDVILLE INDEPENDENT SCHOOL DISTRICT AS
SHOWN BY A DEED OF RECORD IN VOLUME 3188 PAGE 172 OF THE DEED RECORDS OF
TARRANT COUNTY, TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $2,653.24, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by TARRANT COUNTY, CITY OF NORTH RICHLAND HILLS,
BIRDVILLE INDEPENDENT SCHOOL DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and
TARRANT COUNTY COLLEGE DISTRICT as Plaintiff(s), against the above named
person(s) as Defendant(s), by Second Amended Petition filed on the 9th day of
August, 2010, in a certain suit styled COUNTY OF TARRANT, ET AL vs. CECIL R.
GREEN, ET AL, which includes the following defendants: Cecil R. Green,
Deceased Individually and as Heir to the Estate of Gertrude Green, Sue Marie
Green Heir to the Estate of Cecil R. Green and City of North Richland Hills
(lienholder, in rem only), for collection of the taxes on the property and that
the suit is now pending in the District Court of Tarrant County, Texas, 236th
Judicial District, and the file number of said suit is NO. E23489-08, that the
names of all taxing units which assess and collect taxes on the property above
described, not made parties to this suit, are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 27th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 9th day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-13-20
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B36576-07
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Pauline L. Walker, Address
Unknown, if living, and if any or all of the above named Defendant(s) be dead,
the unknown heirs of each or all of the said named persons who may be dead; and
the unknown heirs of the unknown heirs of said above named persons; and the
unknown owner or owners of the described property; and the executors, administrators,
guardians, legal representatives, legatees, devisees of the above named
persons, and who own or claim some interest in the described property and any
and all other persons, including adverse claimants, owning or having any legal
or equitable interest in or lien upon the following described property.
PROPERTY
TRACT 1: LOT 16AR, BLOCK 1
OUT OF SUNSET HEIGHTS SOUTH ADDITION SITUATED IN THE CITY OF FORT WORTH,
TARRANT COUNTY, TEXAS, AND LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL
DISTRICT, AS SHOWN BY A DEED OF RECORD IN VOLUME 9816 PAGE 183 OF THE DEED
RECORDS OF TARRANT COUNTY, TEXAS.
TRACT 2: LOT 17AR, BLOCK 1
OUT OF SUNSET HEIGHTS SOUTH ADDITION SITUATED IN THE CITY OF FORT WORTH,
TARRANT COUNTY, TEXAS, AND LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL
DISTRICT, AS SHOWN BY A DEED OF RECORD IN VOLUME 9816 PAGE 183 OF THE DEED
RECORDS OF TARRANT COUNTY, TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $1,817.48, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as
Defendant(s), by Second Amended Petition filed on the 9th day of August, 2010,
in a certain suit styled CITY OF FORT WORTH, ET AL vs. BRENTWOOD LANGDON, ET
AL, which includes the following defendants: Pauline L.
Walker, Address Unknown, Charles R. Chesnutt, Sara Langdon Joplin Heir to the
Estate of Brentwood Langdon and City of Fort Worth (lienholder, in rem only),
for collection of the taxes on the property and that the suit is now pending in
the District Court of Tarrant County, Texas, 236th Judicial District, and the
file number of said suit is NO. B36576-07, that the names of all taxing units
which assess and collect taxes on the property above described, not made
parties to this suit, are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 27th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 9th day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-13-20
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B39146-09
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Floyd D. Coleman, Deceased;
Irene Coleman, Deceased, Individually and as Heir to the Estate of Floyd D.
Coleman, if living, and if any or all of the above named Defendant(s) be dead,
the unknown heirs of each or all of the said named persons who may be dead; and
the unknown heirs of the unknown heirs of said above named persons; and the
unknown owner or owners of the described property; and the executors,
administrators, guardians, legal representatives, legatees, devisees of the
above named persons, and who own or claim some interest in the described
property and any and all other persons, including adverse claimants, owning or
having any legal or equitable interest in or lien upon the following described
property.
PROPERTY
LOTS 3 & 4, BLOCK 4,
OUT OF THE STALLCUP ADDITION, SITUATED IN THE CITY OF FORT WORTH, TARRANT
COUNTY, TEXAS AND LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL DISTRICT AS
SHOWN BY A DEED OF RECORD AT VOLUME 6790, PAGE 1315 OF THE DEED RECORDS OF
TARRANT COUNTY, TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $2,014.18, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as Defendant(s),
by Second Amended Petition filed on the 9th day of August, 2010, in a certain
suit styled CITY OF FORT WORTH, ET AL vs. FLOYD D. COLEMAN, ET AL, which
includes the following defendants: Floyd D.
Coleman, Deceased, Irene Coleman, Deceased Individually and as Heir to the
Estate of Floyd D. Coleman, Michael Coleman Heir to the Estate of Floyd D.
Coleman and Irene Coleman, Diedra Coleman Heir to the Estate of Floyd D.
Coleman and Irene Coleman, Deneice McGriff Heir to the Estate of Floyd D.
Coleman and Irene Coleman, Sandra Bennett Heir to the Estate of Floyd D.
Coleman and Irene Coleman and City of Fort Worth (lienholder, in rem only), for
collection of the taxes on the property and that the suit is now pending in the
District Court of Tarrant County, Texas, 236th Judicial District, and the file
number of said suit is NO. B39146-09, that the names of all taxing units which
assess and collect taxes on the property above described, not made parties to
this suit, are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 27th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and including
the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 9th day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-13-20
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B38765-09
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Christy Ann Barnes aka
Christian A. Idrissi, Address Unknown, if living, and if any or all of the
above named Defendant(s) be dead, the unknown heirs of each or all of the said
named persons who may be dead; and the unknown heirs of the unknown heirs of
said above named persons; and the unknown owner or owners of the described
property; and the executors, administrators, guardians, legal representatives,
legatees, devisees of the above named persons, and who own or claim some
interest in the described property and any and all other persons, including
adverse claimants, owning or having any legal or equitable interest in or lien
upon the following described property.
PROPERTY
LOT 3, BLOCK 2, OUT OF THE
DOUGLAS PARK ADDITION, AN ADDITION TO THE CITY OF FORT WORTH, TARRANT COUNTY,
TEXAS AND LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL DISTRICT AND BEING
FURTHER DESCRIBED IN VOLUME 9280, PAGE 1370 OF THE DEED RECORDS OF TARRANT
COUNTY, TEXAS
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $1,604.57, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as
Defendant(s), by Second Amended Petition filed on the 9th day of August, 2010,
in a certain suit styled CITY OF FORT WORTH, ET AL vs. CHRISTY ANN BARNES, ET
AL, which includes the following defendants: Christy Ann
Barnes, Address Unknown aka Christian A. Idrissi and City of Fort Worth
(lienholder, in rem only), for collection of the taxes on the property and that
the suit is now pending in the District Court of Tarrant County, Texas, 236th
Judicial District, and the file number of said suit is NO. B38765-09, that the
names of all taxing units which assess and collect taxes on the property above
described, not made parties to this suit, are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 27th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 9th day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-13-20
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. L26616-09
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Richard C. Hinkle,
Deceased, if living, and if any or all of the above named Defendant(s) be dead,
the unknown heirs of each or all of the said named persons who may be dead; and
the unknown heirs of the unknown heirs of said above named persons; and the
unknown owner or owners of the described property; and the executors,
administrators, guardians, legal representatives, legatees, devisees of the
above named persons, and who own or claim some interest in the described
property and any and all other persons, including adverse claimants, owning or
having any legal or equitable interest in or lien upon the following described
property.
PROPERTY
LOT 762 OUT OF TROPHY CLUB
#9 SITUATED IN THE TOWN OF TROPHY CLUB, TARRANT COUNTY, TEXAS AND LOCATED
WITHIN THE NORTHWEST INDEPENDENT SCHOOL DISTRICT, AS SHOWN BY A DEED OF RECORD
IN DOCUMENT #2005-14277 OF THE DEED RECORDS OF DENTON COUNTY, TEXAS
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $2,308.03, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by NORTHWEST INDEPENDENT SCHOOL DISTRICT as
Plaintiff(s), against the above named person(s) as Defendant(s), by First
Amended Petition filed on the 9th day of August, 2010, in a certain suit styled
NORTHWEST INDEPENDENT SCHOOL DISTRICT vs. RICHARD C. HINKLE, ET AL, which
includes the following defendants: Richard C.
Hinkle, Deceased, Kristi Hinkle and Country Wide Home Loans, Inc. (lienholder,
in rem only), for collection of the taxes on the property and that the suit is now
pending in the District Court of Tarrant County, Texas, 236th Judicial
District, and the file number of said suit is NO. L26616-09, that the names of
all taxing units which assess and collect taxes on the property above
described, not made parties to this suit, are: TARRANT COUNTY; TARRANT COUNTY
COLLEGE DISTRICT; TARRANT COUNTY HOSPITAL DISTRICT; CITY OF TROPHY CLUB AND
TROPHY CLUB MUNICIPAL UTILITY DISTRICT #1
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 27th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 9th day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-13-20
----------
CITATION BY
PUBLICATION
CAUSE NO. 10-PR01908-1
TO ANY SHERIFF OR ANY
CONSTABLE WITHIN THE STATE OF TEXAS, GREETINGS:
You are hereby commanded
that by making publication of this citation once, ten days before September 06,
2010, the day of the hearing hereof, you summon ALL PERSONS INTERESTED, ANY
UNKNOWN HEIRS to be and appear before the Probate Court of Tarrant County,
Texas at the Courthouse thereof in the City of Fort Worth, then and there to
answer the petition of Oxana A. Williams filed herein August 13, 2010 and show
cause why this Court should not determine who are the heirs and the only heirs
in the estate of James Charles Williams, Deceased.
Petitioner alleges that
the decedent died in Tarrant County, Texas on June 28, 2010 and prays that the
Court hear evidence sufficient to determine who are the heirs and the only
heirs of James Charles Williams, Deceased.
GIVEN UNDER MY HAND AND
SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County,
Texas on this the 16th day of August A.D. 2010.
SUZANNE HENDERSON
Clerk of the
Probate Courts of
Tarrant County, Texas
100 W. Weatherford
Street
Fort Worth, Texas
76196-0401
/s/ Sylvia Rothman
Sylvia Rotman, Deputy
8-20
----------
CITATION BY
PUBLICATION
CAUSE NO. 10-PR01928-2
TO ANY SHERIFF OR ANY
CONSTABLE WITHIN THE STATE OF TEXAS, GREETINGS:
You are hereby commanded
that by making publication of this citation once, ten days before September 06,
2010, the day of the hearing hereof, you summon ALL PERSONS INTERESTED, ANY
UNKNOWN HEIRS to be and appear before the Probate Court of Tarrant County,
Texas at the Courthouse thereof in the City of Fort Worth, then and there to
answer the petition of Leigh Pilkington filed herein August 16, 2010 and show
cause why this Court should not determine who are the heirs and the only heirs
in the estate of Charles L. London, Deceased.
Petitioner alleges that
the decedent died in Tarrant County, Texas on November 12, 1995 and prays that
the Court hear evidence sufficient to determine who are the heirs and the only
heirs of Charles L. London, Deceased.
GIVEN UNDER MY HAND AND
SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County,
Texas on this the 17th day of August A.D. 2010.
SUZANNE HENDERSON
Clerk of the
Probate Courts of
Tarrant County, Texas
100 W. Weatherford
Street
Fort Worth, Texas
76196-0401
/s/ Sylvia Rothman
Sylvia Rotman, Deputy
8-20
----------
THE STATE OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 323-93088J-10
IN RE: BABY BOY ASHER
TO: HALEY ASHER, And to
all whom it may concern GREETINGS:
You have been sued. You
may employ an attorney. If you or your attorney do not file a written answer
with the clerk who issued this citation by 10:00 a.m. on the Monday next
following the expiration of 20 days after you were served this citation and
Petition for Protection of Children, for Conservatorship & for Termination
in suit affecting the parent-child relationship, a default judgment may be
taken against you. The Petition of Department of Family and Protective
Services, as Petitioner was filed in 323rd Court of Tarrant County, Texas; on
28th day of July, 2010 Against Haley Asher, numbered 323-93088J-10, and
entitled: In Re: Baby Boy Asher, the suit requests petition for protection of
child, for conservatorship & termination in suit affecting the parent child
relationship & Exparte Order for Protection & Notice of Hearing. Said
child Baby Boy Asher, was born on July 27, 2010 in Tarrant County.
The court has authority in
this suit to enter any judgment or decree in the child’s interest which will be
binding upon you, including the termination of the parent-child relationship,
the determination of paternity and the appointment of a conservator with
authority to consent to the child’s adoption.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, of legal circulation, published in the County of Tarrant for one
time, the first publication to be at least 20 days before the return day of the
Citation.
Herein Fail not, but on
the return hereinabove named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and given under my
hand and seal of said Court at Tarrant County, Texas, this the 13th day of
August, 2010.
THOMAS A. WILDER
Clerk of District Courts
of
Tarrant County, Texas
By /s/ Danna Robbins
Danna Robbins, Deputy
8-20
----------
CITATION BY
PUBLICATION
THE STATE OF TEXAS
CAUSE NO. S-10802
TO: MARIA ELENA REYES,
Respondent(s) in the Cause herein described, whose residence is/are unknown.
Greetings:
You, and each of you, are
hereby commanded to appear by filing a written answer to Petitioner’s Notice of
Seizure and Intended Forfeiture with the Clerk of the 213TH District Court, a
District Court in and for Tarrant County, Texas, in the Tarrant County Justice
Center, 401 West Belknap Street, Fort Worth, Texas, at or before 10:00 o’clock
a.m. on the first Monday after the expiration of forty-two (42) days from the
date of issuance of this Citation, being at or before 10:00 o’clock a.m. on
Monday, the 6th day of September, 2010; then and there to answer the Notice of
Seizure and Intended Forfeiture of Petitioner, the State of Texas, in Cause No.
S-10802, styled THE STATE OF TEXAS VS. $3,601.00 in U.S. Currency; and 1999
Honda Prelude in which the State of Texas is Petitioner, and Maria Elena Reyes
is Respondent. The said Notice of Seizure and Intended Forfeiture, filed in
said Court on the 8th day of June, 2010, disclosed
that the nature of said suit is as follows, to wit: The disposition of property
seized pursuant to the provisions of Chapter 59 of the Texas Code of Criminal
Procedure. The interest of said Respondent in said property is:
Possessor/Owner.
YOU HAVE BEEN SUED. YOU
MAY EMPLOY AN ATTORNEY. IF YOU OR YOUR ATTORNEY DO NOT FILE A WRITTEN ANSWER
WITH THE CLERK WHO ISSUED THIS CITATION BY 10:00 A.M. ON THE MONDAY NEXT AFTER
THE EXPIRATION OF 42 DAYS FROM THE DATE OF ISSUANCE OF THIS CITATION, A DEFAULT
JUDGMENT MAY BE TAKEN AGAINST YOU.
ATTORNEY FOR PETITIONER:
Debra Lockhart, Assistant Criminal District Attorney, P.O. Box 24148, Fort
Worth, Texas 76124, (817) 492-5222.
To the Sheriff or any
Constable of any County of the State of Texas, or the Clerk of the Court in
which this suit is pending:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, published in the County of Tarrant, once each week for four (4)
consecutive weeks, the first publication to be at least twenty-eight days
before the return date of the Citation.
HEREIN FAIL NOT, but have
you then and there before said Court this Citation, with your return thereon,
showing how you have executed same.
WITNESS: THOMAS A. WILDER,
CLERK OF THE DISTRICT COURT OF TARRANT COUNTY, TEXAS, 401 WEST BELKNAP STREET,
FORT WORTH, TEXAS 76196-0402. GIVEN UNDER MY HAND AND THE SEAL OF SAID COURT,
THIS 23RD DAY OF JULY, 2010.
Issued:
By: /s/ A. Cornelious
Deputy
7-29/8-5-12-19
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. 236-B37388-08
THE STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
Defendants: Mark R.
George, Deceased; Gary D. George, Address Unknown, if living, and if any or all
of the above named Defendant(s) be dead, the unknown heirs of each or all of
the said named persons who may be dead; and the unknown heirs of the unknown
heirs of said above named persons; and the unknown owner or owners of the
described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
Property
Lot 32, Block 9 out of
South Side Addition Situated in the City of Fort Worth, Tarrant County, Texas,
and located within the Fort Worth Independent School District, as shown by a
Deed of Record in Volume 7658 Page 18 of the Deed Records of Tarrant County,
Texas.’
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $2,112.84, exclusive of
interest, penalties, and costs, and there is included in this suit in addition to
the taxes all said interest, penalties and cost thereon, allowed by law up to
and including the day of judgment.
You are hereby notified
that suit has been brought by: City of Fort Worth, Tarrant County, Tarrant
Regional Water District, Tarrant County Hospital District and Tarrant County
College District, as Plaintiff(s), against the above named person(s) as
Defendant(s), by Second Amended Petition filed on the 29th day of July, 2010 in
a certain suit styled: City of Fort Worth, Et Al vs. Mark R. George, Et Al,
which includes the following defendants: Mark R. George, Deceased; Gary D.
George, Address Unknown; State of Texas (lienholder, in
rem only) and City of Fort Worth (lienholder, in rem only), for collection of
the taxes on the property and that the suit is now pending in the District
Court of Tarrant County, Texas, 236th Judicial District, and the file number of
said suit is 236-B37388-08, that the names of all taxing units which assess and
collect taxes on the property above described, not made parties to this suit
are: Fort Worth Independent School District.
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and cost allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of forty-two
(42) days from and after the date of issuance hereof, the same being the 13th
day of September, 2010, before the Honorable District Court of Tarrant County,
Texas, to be held at the courthouse thereof, then and there to show cause why
judgment shall not be rendered for such taxes, penalties, interest, and costs,
and condemning said property and ordering foreclosure of the constitutional and
statutory tax liens thereon for taxes due the Plaintiff(s) and the taxing units
parties hereto, and those who may intervene herein, together with all interest,
penalties and costs allowed by law up to and including the day of judgment, and
all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said Court in the
City of Fort Worth, Tarrant County, Texas, this the 30th day of July, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the
District Court
Tarrant County, Texas
236th Judicial District
By: /s/ Brenda Burks
Brenda Burks, Deputy
8-19-26
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. 236-E24095-08
THE STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
Defendants: Americana
Estates, Inc., its unknown shareholders, successors and assigns, if living, and
if any or all of the above named Defendant(s) be dead, the unknown heirs of
each or all of the said named persons who may be dead; and the unknown heirs of
the unknown heirs of said above named persons; and the unknown owner or owners
of the described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
Property
Being 0.6500 Acres, more or less,
out of the Alfred M. Smith Survey, Abstract 1420, a/k/a Tract 2R situated in
the City of Arlington, Tarrant County, Texas, and located within the Arlington
Independent School District, as shown by a Deed of Record in Volume 166 Page 72
of the Deed Records of Tarrant County, Texas.’
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $1,663.17, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties and cost thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by: Tarrant County, City of Arlington, Arlington
Independent School District, Tarrant County Hospital District and Tarrant
County College District, as Plaintiff(s), against the above named person(s) as
Defendant(s), by Second Amended Petition filed on the 4th day of May, 2010 in a
certain suit styled: County of Tarrant, Et Al vs. Americana Estates, Inc.,
which includes the following defendants: Americana Estates, Inc., for
collection of the taxes on the property and that the suit is now pending in the
District Court of Tarrant County, Texas, 236th Judicial District, and the file
number of said suit is 236-E24095-08, that the names of all taxing units which
assess and collect taxes on the property above described, not made parties to
this suit are: None.
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes all
interest, penalties, and costs allowed by law thereon up to and including the
day of judgment, post judgment interest at the maximum rate allowed by law; and
the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and cost allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the Honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing units parties hereto, and those who may intervene herein,
together with all interest, penalties and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said Court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the
District Court
Tarrant County, Texas
236th Judicial District
By: /s/ Annette Knight
Annette Knight, Deputy
8-19-26
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. 236-E24265-08
THE STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
Defendants: A. C.
McDonnell, Deceased, if living, and if any or all of the above named
Defendant(s) be dead, the unknown heirs of each or all of the said named
persons who may be dead; and the unknown heirs of the unknown heirs of said
above named persons; and the unknown owner or owners of the described property;
and the executors, administrators, guardians, legal representatives, legatees,
devisees of the above named persons, and who own or claim some interest in the
described property and any and all other persons, including adverse claimants,
owning or having any legal or equitable interest in or lien upon the following
described property.
Property
Being . 024200 Acres, More
or Less, out of the Joel Walker Survey, Abstract 1654, a/k/a Tract 18B10A and
18B10B, situated in the City of Haltom City, Tarrant County, Texas, and located
within the Fort Worth Independent School District, as shown by a Deed of Record
in Instrument #D196116458 of the Deed Records of Tarrant County, Texas.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $491.80, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties and cost thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by: Tarrant County, City of Haltom City, Tarrant
County Hospital District and Tarrant County College District, as Plaintiff(s),
against the above named person(s) as Defendant(s), by First Amended Petition
filed on the 4th day of February, 2010 in a certain suit styled: County of
Tarrant, Et Al vs. A. C. McDonnell, Et Al, which includes the following
defendants: A. C. McDonnell, Deceased and City of Haltom City, (lienholder, in
rem only), for collection of the taxes on the property and that the suit is now
pending in the District Court of Tarrant County, Texas, 236th Judicial
District, and the file number of said suit is 236-E24265-08, that the names of
all taxing units which assess and collect taxes on the property above
described, not made parties to this suit are: None.
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and cost allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of forty-two
(42) days from and after the date of issuance hereof, the same being the 20th
day of September, 2010, before the Honorable District Court of Tarrant County,
Texas, to be held at the courthouse thereof, then and there to show cause why
judgment shall not be rendered for such taxes, penalties, interest, and costs,
and condemning said property and ordering foreclosure of the constitutional and
statutory tax liens thereon for taxes due the Plaintiff(s) and the taxing units
parties hereto, and those who may intervene herein, together with all interest,
penalties and costs allowed by law up to and including the day of judgment, and
all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said Court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the
District Court
Tarrant County, Texas
236th Judicial District
By: /s/ Annette Knight
Annette Knight, Deputy
8-19-26
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. 236-E25019-09
THE STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
Defendants: Gordon
Novothy, if living, and if any or all of the above named Defendant(s) be dead,
the unknown heirs of each or all of the said named persons who may be dead; and
the unknown heirs of the unknown heirs of said above named persons; and the
unknown owner or owners of the described property; and the executors,
administrators, guardians, legal representatives, legatees, devisees of the
above named persons, and who own or claim some interest in the described
property and any and all other persons, including adverse claimants, owning or
having any legal or equitable interest in or lien upon the following described
property.
Property
Personal Property
Consisting of a 1978 14 X 68 Manufactured Home located in Tarrant County,
Texas.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $1,797.67, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties and cost thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by: Tarrant County, City of Haltom City, Birdville
Independent School District, Tarrant County Right of Way District; Tarrant
County Hospital District, Tarrant County College District and Birdville County
Education District, as Plaintiff(s), against the above named person(s) as
Defendant(s), by First Amended Petition filed on the 14th day of January, 2010
in a certain suit styled: Tarrant County, Et Al vs. Gordon Novothy, which
includes the following defendants: Gordon Novothy, for collection of the taxes
on the property and that the suit is now pending in the District Court of
Tarrant County, Texas, 236th Judicial District, and the file number of said
suit is 236-E25019-09, that the names of all taxing units which assess and
collect taxes on the property above described, not made parties to this suit
are: None.
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest, penalties,
and cost allowed by law, may, upon request, be recovered without further
citation or notice to any parties, and all parties shall take notice of and
plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the Honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing units parties hereto, and those who may intervene herein,
together with all interest, penalties and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said Court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the
District Court
Tarrant County, Texas
236th Judicial District
By: /s/ Annette Knight
Annette Knight, Deputy
8-19-26
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. 236-E25022-09
THE STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
Defendants: Daniel Little,
if living, and if any or all of the above named Defendant(s) be dead, the
unknown heirs of each or all of the said named persons who may be dead; and the
unknown heirs of the unknown heirs of said above named persons; and the unknown
owner or owners of the described property; and the executors, administrators,
guardians, legal representatives, legatees, devisees of the above named
persons, and who own or claim some interest in the described property and any
and all other persons, including adverse claimants, owning or having any legal
or equitable interest in or lien upon the following described property.
Property
Personal Property
consisting of a 1987 Remington Homes 18 X 60 Manufactured Home, LB #
TEX0396861, located in Tarrant County, Texas.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $911.02, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties and cost thereon, allowed by law up
to and including the day of judgment.
You are hereby notified that
suit has been brought by: Tarrant County, Tarrant Regional Water District,
Tarrant County Hospital District and Tarrant County College District, as
Plaintiff(s), against the above named person(s) as Defendant(s), by First
Amended Petition filed on the 12th day of January, 2010 in a certain suit
styled: Tarrant County, Et Al vs. Daniel Little, Et Al, which includes the
following defendants: Daniel Little and Deutsche Financial Capital, LLC
(lienholder, in rem only), for collection of the taxes on the property and that
the suit is now pending in the District Court of Tarrant County, Texas, 236th
Judicial District, and the file number of said suit is No. E25022-09, that the
names of all taxing units which assess and collect taxes on the property above
described, not made parties to this suit are: None.
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and cost allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the Honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing units parties hereto, and those who may intervene herein,
together with all interest, penalties and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said Court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the
District Court
Tarrant County, Texas
236th Judicial District
By: /s/ Annette Knight
Annette Knight, Deputy
8-19-26
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. 236-E25645-09
THE STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
Defendants: G S C
Development Corp., its unknown shareholders, successors and assigns, if living,
and if any or all of the above named Defendant(s) be dead, the unknown heirs of
each or all of the said named persons who may be dead; and the unknown heirs of
the unknown heirs of said above named persons; and the unknown owner or owners of
the described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
Property
Being 3.269 Acres, More or
Less, out of the John M. Ross Survey, Abstract 1349, aka Tract 1HH, Situated in
the City of Arlington, Tarrant County, Texas and located within the Arlington
Independent School District, and being further described in volume 3009, Page
523 of the Tarrant County Deed Records.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $140,556.15, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties and cost thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by: Tarrant County, City of Arlington, Arlington
Independent School District, Tarrant County Right of Way District, Tarrant
County Hospital District, Tarrant County College District and Arlington County
Education District as Plaintiff(s), against the above named person(s) as
Defendant(s), by Second Amended Petition filed on the 4th day of May, 2010 in a
certain suit styled: Tarrant County, Et Al vs. G S C Development Corp., which
includes the following defendants: G S C Development Corp., for collection of
the taxes on the property and that the suit is now pending in the District
Court of Tarrant County, Texas, 236th Judicial District, and the file number of
said suit is No. E25645-09, that the names of all taxing units which assess and
collect taxes on the property above described, not made parties to this suit
are: None.
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest, penalties,
and cost allowed by law, may, upon request, be recovered without further
citation or notice to any parties, and all parties shall take notice of and
plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the Honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing units parties hereto, and those who may intervene herein,
together with all interest, penalties and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said Court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the
District Court
Tarrant County, Texas
236th Judicial District
By: /s/ Annette Knight
Annette Knight, Deputy
8-19-26
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. 236-L25068-07
THE STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
Defendants: International
Formula, it unknown members, successors and assigns, if living, and if any or
all of the above named Defendant(s) be dead, the unknown heirs of each or all
of the said named persons who may be dead; and the unknown heirs of the unknown
heirs of said above named persons; and the unknown owner or owners of the
described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
Property
Personal Property - Race
Fuel Manufacturing Location: 345 Aviator, Haslet G05
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $742.80, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties and cost thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by: Northwest Independent School District, as
Plaintiff(s), against the above named person(s) as Defendant(s), by First
Amended Petition filed on the 8th day of January, 2010 in a certain suit
styled: Northwest Independent School District vs. International Formula, which
includes the following defendants: International Formula, for collection of the
taxes on the property and that the suit is now pending in the District Court of
Tarrant County, Texas, 236th Judicial District, and the file number of said
suit is No. L25068-07, that the names of all taxing units which assess and
collect taxes on the property above described, not made parties to this suit
are: None.
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and cost allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims against
the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the Honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing units parties hereto, and those who may intervene herein,
together with all interest, penalties and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said Court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the
District Court
Tarrant County, Texas
236th Judicial District
By: /s/ Annette Knight
Annette Knight, Deputy
8-19-26
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. 236-L25551-08
THE STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the authority
of the State of Texas, notice is hereby given as follows to:
Defendants: Consolidated
Truck Repair, its unknown members, successors and assigns, if living, and if
any or all of the above named Defendant(s) be dead, the unknown heirs of each
or all of the said named persons who may be dead; and the unknown heirs of the
unknown heirs of said above named persons; and the unknown owner or owners of
the described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
Property
Personal Property -
Automotive Repair - Location - 880 Blue Mound Haslet TX 76052 G05
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $421.25, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties and cost thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by: Northwest Independent School District, as
Plaintiff(s), against the above named person(s) as Defendant(s), by First
Amended Petition filed on the 8th day of January, 2010 in a certain suit
styled: Northwest Independent School District vs. Consolidated Truck Repair,
which includes the following defendants: Consolidated Truck Repair, for
collection of the taxes on the property and that the suit is now pending in the
District Court of Tarrant County, Texas, 236th Judicial District, and the file
number of said suit is No. L25551-08, that the names of all taxing units which
assess and collect taxes on the property above described, not made parties to
this suit are: None.
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and cost allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the Honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing units parties hereto, and those who may intervene herein,
together with all interest, penalties and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said Court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the
District Court
Tarrant County, Texas
236th Judicial District
By: /s/ Annette Knight
Annette Knight, Deputy
8-19-26
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B31938-03
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Effie Jean Rogers,
Deceased
Individually and as Heir
to the Estate of Percy D. Rogers; Percy D. Rogers, Deceased, if living, and if
any or all of the above named Defendant(s) be dead, the unknown heirs of each
or all of the said named persons who may be dead; and the unknown heirs of the
unknown heirs of said above named persons; and the unknown owner or owners of
the described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
PROPERTY
LOT 23, BLK 17, OUT OF
CARVER HEIGHTS, SITUATED IN THE CITY OF FORT WORTH, TARRANT COUNTY, TEXAS, AND
LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL DISTRICT, AS SHOWN BY A DEED
OF RECORD IN VOLUME 3275 PAGE 200 OF THE DEED RECORDS OF TARRANT COUNTY, TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $2,341.97, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as
Defendant(s), by Second Amended Petition filed on the 2nd day of August, 2010,
in a certain suit styled CITY OF FORT WORTH vs. EFFIE JEAN ROGERS ESTATE, which
includes the following defendants: Effie Jean
Rogers, Deceased Individually and as Heir to the Estate of Percy D. Rogers, Percy
D. Rogers, Deceased, Winifred Jones Heir to the Estate of Effie Jean Rogers and
Percy D. Rogers, Joyce Reeves Heir to the Estate of Percy D. Rogers and Percy
Rogers, Jr Heir to the Estate of Percy D. Rogers, for collection of the taxes
on the property and that the suit is now pending in the District Court of
Tarrant County, Texas, 236th Judicial District, and the file number of said
suit is NO. B31938-03, that the names of all taxing units which assess and
collect taxes on the property above described, not made parties to this suit,
are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein, together
with all interest, penalties, and costs allowed by law up to and including the
day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-12-19
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B35658-07
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Julio Ramirez, Deceased;
Maria De Los Angeles Ramirez, Address Unknown, Individually and as Heir to the
Estate of Julio Ramirez; Arturo Ramirez, Address Unknown, if living, and if any
or all of the above named Defendant(s) be dead, the unknown heirs of each or
all of the said named persons who may be dead; and the unknown heirs of the
unknown heirs of said above named persons; and the unknown owner or owners of
the described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
PROPERTY
LOT 20, BLOCK 26 OUT OF
ROSEN HEIGHTS FIRST FILING SITUATED IN THE CITY OF FORT WORTH, TARRANT COUNTY,
TEXAS, AND LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL DISTRICT, AS SHOWN
BY A DEED OF RECORD IN VOLUME 8406 PAGE 704 OF THE DEED RECORDS OF TARRANT
COUNTY, TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $2,280.23, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as
Defendant(s), by Second Amended Petition filed on the 3rd day of August, 2010,
in a certain suit styled CITY OF FORT WORTH, ET AL vs. JULIO RAMIREZ, ET AL,
which includes the following defendants: Julio Ramirez,
Deceased, Maria De Los Angeles Ramirez, Address Unknown Individually and as Heir
to the Estate of Julio Ramirez, Arturo Ramirez, Address Unknown, North Fort
Worth Bank (lienholder, in rem only) and United States Of America (lienholder,
in rem only), for collection of the taxes on the property and that the suit is
now pending in the District Court of Tarrant County, Texas, 236th Judicial
District, and the file number of said suit is NO. B35658-07, that the names of
all taxing units which assess and collect taxes on the property above
described, not made parties to this suit, are: FORT WORTH INDEPENDENT SCHOOL
DISTRICT
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit shall
take notice that claims not only for any taxes which were delinquent on the
property at the time this suit was filed but all taxes becoming delinquent at
any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein, together
with all interest, penalties, and costs allowed by law up to and including the
day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-12-19
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B36111-07
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Austin Todd, Deceased; Mae
Todd, Deceased, if living, and if any or all of the above named Defendant(s) be
dead, the unknown heirs of each or all of the said named persons who may be
dead; and the unknown heirs of the unknown heirs of said above named persons;
and the unknown owner or owners of the described property; and the executors,
administrators, guardians, legal representatives, legatees, devisees of the
above named persons, and who own or claim some interest in the described
property and any and all other persons, including adverse claimants, owning or
having any legal or equitable interest in or lien upon the following described
property.
PROPERTY
LOT 3, BLOCK 102 OUT OF
ROSEN HEIGHTS SECOND FILING SITUATED IN THE CITY OF FORT WORTH, TARRANT COUNTY,
TEXAS AND LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL DISTRICT, AS SHOWN BY A
DEED OF RECORD IN VOLUME 6255 PAGE 626 OF THE DEED RECORDS OF TARRANT COUNTY,
TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $1,794.04, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as
Defendant(s), by Second Amended Petition filed on the 3rd day of August, 2010,
in a certain suit styled CITY OF FORT WORTH, ET AL vs. AUSTIN TODD, ET AL,
which includes the following defendants: Austin Todd,
Deceased, Mae Todd, Deceased, Billy Todd Heir to the Estate of Austin Todd,
Rick A. Todd Heir to the Estates of Mae Todd and Austin Todd, Dorothy Jones
Heir to the Estate of Mae Todd and City Of Fort Worth (lienholder, in rem
only), for collection of the taxes on the property and that the suit is now
pending in the District Court of Tarrant County, Texas, 236th Judicial
District, and the file number of said suit is NO. B36111-07, that the names of all
taxing units which assess and collect taxes on the property above described,
not made parties to this suit, are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-12-19
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B36318-07
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Juanita W. Stephens,
Deceased; David H. Stephens, Address Unknown, if living, and if any or all of
the above named Defendant(s) be dead, the unknown heirs of each or all of the
said named persons who may be dead; and the unknown heirs of the unknown heirs of
said above named persons; and the unknown owner or owners of the described
property; and the executors, administrators, guardians, legal representatives,
legatees, devisees of the above named persons, and who own or claim some
interest in the described property and any and all other persons, including
adverse claimants, owning or having any legal or equitable interest in or lien
upon the following described property.
PROPERTY
LOT 23, BLOCK 43 OUT OF
RYAN SOUTHEAST ADDITION SITUATED IN THE CITY OF FORT WORTH, TARRANT COUNTY,
TEXAS, AND LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL DISTRICT, AS SHOWN
BY A DEED OF RECORD IN VOLUME 3868 PAGE 55 OF THE DEED RECORDS OF TARRANT
COUNTY, TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $2,090.88, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as
Defendant(s), by Second Amended Petition filed on the 3rd day of August, 2010,
in a certain suit styled CITY OF FORT WORTH, ET AL vs. JUANITA W. STEPHENS, ET
AL, which includes the following defendants: Juanita W.
Stephens, Deceased, David H. Stephens, Address Unknown, A C. Wilkerson Heir to
the Estate of Juanita W. Stephens, David R. Stephens Heir to the Estate of
Juanita W. Stephens and Lillie Marie Lewis Heir to the Estate of Juanita W.
Stephens, for collection of the taxes on the property and that the suit is now
pending in the District Court of Tarrant County, Texas, 236th Judicial
District, and the file number of said suit is NO. B36318-07, that the names of
all taxing units which assess and collect taxes on the property above
described, not made parties to this suit, are: FORT WORTH INDEPENDENT SCHOOL
DISTRICT
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-12-19
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B36934-08
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Bryant Elliot Peoples,
Deceased, Individually and as Heir to the Estate of Lana Y. Peoples; Lana Y.
Peoples, Deceased, if living, and if any or all of the above named Defendant(s)
be dead, the unknown heirs of each or all of the said named persons who may be
dead; and the unknown heirs of the unknown heirs of said above named persons;
and the unknown owner or owners of the described property; and the executors,
administrators, guardians, legal representatives, legatees, devisees of the
above named persons, and who own or claim some interest in the described
property and any and all other persons, including adverse claimants, owning or
having any legal or equitable interest in or lien upon the following described
property.
PROPERTY
LOT 3, BLOCK 103 OUT OF
HALLMARK ADDITION SITUATED IN THE CITY OF FORT WORTH, TARRANT COUNTY, TEXAS,
AND LOCATED WITHIN THE CROWLEY INDEPENDENT SCHOOL DISTRICT, AS SHOWN BY A DEED
OF RECORD IN VOLUME 6086 PAGE 262 OF THE DEED RECORDS OF TARRANT COUNTY, TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $2,612.42, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as
Defendant(s), by Second Amended Petition filed on the 2nd day of August, 2010,
in a certain suit styled CITY OF FORT WORTH, ET AL vs. BRYANT ELLIOT PEOPLES,
ET AL, which includes the following defendants: Bryant Elliot
Peoples, Deceased Individually and as Heir to the Estate of Lana Y. Peoples,
Lana Y. Peoples, Deceased, Craig Peoples Heir to the Estate of Bryant Elliot
Peoples and Kelly Lionberger Heir to the Estate of Bryant Elliot Peoples, for
collection of the taxes on the property and that the suit is now pending in the
District Court of Tarrant County, Texas, 236th Judicial District, and the file
number of said suit is NO. B36934-08, that the names of all taxing units which
assess and collect taxes on the property above described, not made parties to
this suit, are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-12-19
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B37083-08
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the authority
of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Dolores J. Wright, Address
Unknown (lienholder, in rem only), if living, and if any or all of the above
named Defendant(s) be dead, the unknown heirs of each or all of the said named
persons who may be dead; and the unknown heirs of the unknown heirs of said
above named persons; and the unknown owner or owners of the described property;
and the executors, administrators, guardians, legal representatives, legatees,
devisees of the above named persons, and who own or claim some interest in the
described property and any and all other persons, including adverse claimants,
owning or having any legal or equitable interest in or lien upon the following
described property.
PROPERTY
LOT 23, BLOCK 59 OUT OF
RYAN SOUTHEAST ADDITION SITUATED IN THE CITY OF FORT WORTH, TARRANT COUNTY,
TEXAS, AND LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL DISTRICT, AS SHOWN
BY A DEED OF RECORD IN VOLUME 8597 PAGE 629 OF THE DEED RECORDS OF TARRANT COUNTY,
TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $2,924.33, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as
Defendant(s), by Second Amended Petition filed on the 3rd day of August, 2010,
in a certain suit styled CITY OF FORT WORTH, ET AL vs. MARTIN IBARRA, ET AL,
which includes the following defendants:
Martin Ibarra, Juana Ibarra, Dolores J. Wright, Address Unknown
(lienholder, in rem only) and City of Fort Worth (lienholder, in rem only), for
collection of the taxes on the property and that the suit is now pending in the
District Court of Tarrant County, Texas, 236th Judicial District, and the file
number of said suit is NO. B37083-08, that the names of all taxing units which
assess and collect taxes on the property above described, not made parties to
this suit, are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-12-19
----------
THE STATE
OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 017-244379-10
MAUREEN KERSEY VS. JEFF B.
HANCOCK, ET AL
TO: DAVID PARISH AND THE
UNKNOWN HEIRS AT LAW OF LONETA JUE HANCOCK, Whose residence is unknown,
GREETINGS:
You said DEFENDANT are
hereby commanded to appear by filing a written answer to Plaintiff’s Original Petition
before the 17th District Court of Tarrant County, Texas at or before 10 o’clock
A.M. of the Monday next after the expiration of 42 days from the date of
issuance of this Citation, said Monday being September 27, 2010, then and there
to answer the petition of Maureen Kersey, Citimortgage Inc. as Plaintiffs.
Filed in said Court on
March 19, 2010 Against Jeff B. Hancock, Debbie Sifuentes, David Parrish,
Unknown Heirs at Law of Loneta Sue Hancock, as Defendant.
Said suit being numbered
017-244379-10 on the docket of said Court, the nature of which demand is as
follow, to wit:
SYNOPSIS
Plaintiff Maureen Kersey,
as Trustee for CitiMortgage, Inc., its successors and assigns by and through
its attorney of record, Jason A. LeBoeuf of Barrett Daffin Frappier Turner
& Engel, LLP, 15000 Surveyor Blvd., Addison, Texas 75001, 972-386-5040,
brought suit against Defendants Jeff B. Hancock, Debbie Sifuentes, David
Parrish, and the Unknown Heirs of Loneta Sue Hancock, to enforce the Loan
Agreement on the property located at 3605 Stephenson Drive, Bedford, TX 76021
and legally described as:
Being Lot 11, Block 4 of
Harwood Terrace Addition, an Addition to the City of Bedford, Tarrant County,
Texas, according to the Plat thereof recorded in Volume 388-45, Page 39, of the
Plat Records of Tarrant County, Texas.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some newspaper,
of legal circulation, published in the County of Tarrant, once each week for
four consecutive weeks, the first publication to be at least 28 days before the
return day of the Citation.
Herein Fail not, but on
the return herein above named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and Given under my
hand and seal of said Court in Fort Worth, Tarrant County, Texas this the
August 09, 2010.
Thomas A. Wilder
Clerk of District
Courts of Tarrant
County, Texas
Tarrant County, Texas
By /s/ Juanita Vega
Juanita Vega, Deputy
NOTICE: You have been
sued. You may employ an attorney. If you or your attorney do not file a written
answer according to rule 114 in the Texas Rules of Court, a default judgment
may be taken against you.
8-11-18-25/9-1
----------
CITATION BY
PUBLICATION
CAUSE NO. 10-PR01888-2
TO ANY SHERIFF OR ANY
CONSTABLE WITHIN THE STATE OF TEXAS, GREETINGS:
You are hereby commanded
that by making publication of this citation once, ten days before August 30,
2010, the day of the hearing hereof, you summon ALL PERSONS INTERESTED, ANY
UNKNOWN HEIRS to be and appear before the Probate Court of Tarrant County,
Texas at the Courthouse thereof in the City of Fort Worth, then and there to
answer the petition of Theresa L. Smith filed herein August 11, 2010 and show
cause why this Court should not determine who are the heirs and the only heirs
in the estate of Paul Travis Smith, Deceased.
Petitioner alleges that
the decedent died in Arlington, Texas on March 21, 2010 and prays that the
Court hear evidence sufficient to determine who are the heirs and the only
heirs of Paul Travis Smith, Deceased.
GIVEN UNDER MY HAND AND SEAL
of said Court at office in the City of Fort Worth, Texas, Tarrant County, Texas
on the 12th day of August 2010 A.D.
SUZANNE HENDERSON
Clerk of the
Probate Courts of
Tarrant County, Texas
100 W. Weatherford
Street
Fort Worth, Texas
76196-0401
/s/ Sylvia Rothman
Sylvia Rothman, Deputy
8-18
----------
CITATION BY
PUBLICATION
CAUSE NO. 10-PR01728-2
TO ANY SHERIFF OR ANY
CONSTABLE WITHIN THE STATE OF TEXAS, GREETINGS:
You are hereby commanded
that by making publication of this citation once, ten days before August 30,
2010, the day of the hearing hereof, you summon ALL PERSONS INTERESTED, ANY
UNKNOWN HEIRS to be and appear before the Probate Court of Tarrant County,
Texas at the Courthouse thereof in the City of Fort Worth, then and there to
answer the petition of Glenn O. Lewis filed herein August 11, 2010 and show
cause why this Court should not determine who are the heirs and the only heirs
in the estate of Terry Dean Lewis, Sr., Deceased.
Petitioner alleges that
the decedent died in Fort Worth, Texas on June 14, 2010 and prays that the
Court hear evidence sufficient to determine who are the heirs and the only
heirs of Terry Dean Lewis, Sr., Deceased.
GIVEN UNDER MY HAND AND
SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County,
Texas on the 12th day of August 2010 A.D.
SUZANNE HENDERSON
Clerk of the
Probate Courts of
Tarrant County, Texas
100 W. Weatherford
Street
Fort Worth, Texas
76196-0401
/s/ Kelly Reyna
Kelly Reyna, Deputy
8-18
----------
CITATION BY
PUBLICATION
CAUSE NO. 10-PR01903-1
TO ANY SHERIFF OR ANY
CONSTABLE WITHIN THE STATE OF TEXAS, GREETINGS:
You are hereby commanded
that by making publication of this citation once, ten days before September 06,
2010, the day of the hearing hereof, you summon ALL PERSONS INTERESTED, ANY
UNKNOWN HEIRS to be and appear before the Probate Court of Tarrant County,
Texas at the Courthouse thereof in the City of Fort Worth, then and there to
answer the petition of Kathryn Allen filed herein August 12, 2010 and show
cause why this Court should not determine who are the heirs and the only heirs
in the estate of Nikki Allen, Deceased.
Petitioner alleges that
the decedent died in Euless, Texas on July 14, 2010 and prays that the Court
hear evidence sufficient to determine who are the heirs and the only heirs of
Nikki Allen, Deceased.
GIVEN UNDER MY HAND AND
SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County,
Texas on the 13th day of August 2010 A.D.
SUZANNE HENDERSON
Clerk of the
Probate Courts of
Tarrant County, Texas
100 W. Weatherford
Street
Fort Worth, Texas
76196-0401
/s/ Barry Patrick
Barry Patrick, Deputy
8-18
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. E16479-02
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Mary Alice Goad, Deceased
if living, and if any or
all of the above named Defendant(s) be dead, the unknown heirs of each or all
of the said named persons who may be dead; and the unknown heirs of the unknown
heirs of said above named persons; and the unknown owner or owners of the
described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
PROPERTY
BEING 0.930 ACRES, MORE OR
LESS, OUT OF THE T&P RR CO #23 SURVEY, ABSTRACT 1575 A/K/A TRACT 4,
SITUATED IN TARRANT COUNTY, TEXAS AND LOCATED WITHIN THE NORTHWEST INDEPENDENT
SCHOOL DISTRICT, AS SHOWN BY A DEED OF RECORD AT VOLUME 3601 PAGE 340 OF THE
DEED RECORDS OF TARRANT COUNTY, TEXAS
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $23,376.29, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by TARRANT COUNTY, NORTHWEST INDEPENDENT SCHOOL
DISTRICT, TARRANT COUNTY EMERGENCY SERVICES DISTRICT # 01, TARRANT COUNTY
HOSPITAL DISTRICT and TARRANT COUNTY COLLEGE DISTRICT as Plaintiff(s), against
the above named person(s) as Defendant(s), by Second Amended Petition filed on
the 6th day of August, 2010, in a certain suit styled STATE OF TEXAS, COUNTY OF
TARRANT, ET AL vs. MARY A. GOAD, which includes the following defendants: Bob Goad a/k/a
Robert B. J. Goad, Heir to the Estate of Mary Alice Goad and Mary Alice Goad,
Deceased, for collection of the taxes on the property and that the suit is now
pending in the District Court of Tarrant County, Texas, 236th Judicial
District, and the file number of said suit is NO. E16479-02, that the names of
all taxing units which assess and collect taxes on the property above
described, not made parties to this suit, are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims against
the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the constitutional
and statutory tax liens thereon for taxes due the Plaintiff(s) and the taxing
unit parties hereto, and those who may intervene herein, together with all
interest, penalties, and costs allowed by law up to and including the day of
judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 6th day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-11-18
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B37170-08
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Hazel I. Roach, Deceased;
Earl Paschal, Address Unknown, Heir to the Estate of Hazel I. Roach
if living, and if any or
all of the above named Defendant(s) be dead, the unknown heirs of each or all
of the said named persons who may be dead; and the unknown heirs of the unknown
heirs of said above named persons; and the unknown owner or owners of the
described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
PROPERTY
LOT 18, BLOCK 4 OUT OF
BURCHILL ADDITION 2ND FILING SITUATED IN THE CITY OF FORT WORTH, TARRANT
COUNTY, TEXAS, AND LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL DISTRICT,
AS SHOWN BY A DEED OF RECORD IN VOLUME 4041 PAGE 192 OF THE DEED RECORDS OF
TARRANT COUNTY, TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $1,925.90, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as
Defendant(s), by First Amended Petition filed on the 3rd day of August, 2010,
in a certain suit styled CITY OF FORT WORTH, ET AL vs. HAZEL I. ROACH, ET AL,
which includes the following defendants: Hazel I. Roach,
Deceased, Earl Paschal, Address Unknown Heir to the Estate of Hazel I. Roach
and City Of Fort Worth (lienholder, in rem only), for collection of the taxes
on the property and that the suit is now pending in the District Court of Tarrant
County, Texas, 236th Judicial District, and the file number of said suit is NO.
B37170-08, that the names of all taxing units which assess and collect taxes on
the property above described, not made parties to this suit, are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-11-18
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B37732-08
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
A. Z. Martin, Address
Unknown; Jerry B. Wallace, Address Unknown, Heir to the Estate of Vera Martin
if living, and if any or
all of the above named Defendant(s) be dead, the unknown heirs of each or all
of the said named persons who may be dead; and the unknown heirs of the unknown
heirs of said above named persons; and the unknown owner or owners of the
described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest in
or lien upon the following described property.
PROPERTY
LOT 21, BLOCK 12 OUT OF
LAWN TERRACE ADDITION SITUATED IN THE CITY OF FORT WORTH, TARRANT COUNTY,
TEXAS, AND LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL DISTRICT, AS SHOWN
BY A DEED OF RECORD IN VOLUME 1810 PAGE 64 OF THE DEED RECORDS OF TARRANT
COUNTY, TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $2,281.43, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as
Defendant(s), by First Amended Petition filed on the 2nd day of August, 2010,
in a certain suit styled CITY OF FORT WORTH, ET AL vs. A. Z. MARTIN, which
includes the following defendants: A. Z. Martin,
Address Unknown and Jerry B. Wallace, Address Unknown Heir to the Estate of
Vera Martin, for collection of the taxes on the property and that the suit is
now pending in the District Court of Tarrant County, Texas, 236th Judicial
District, and the file number of said suit is NO. B37732-08, that the names of
all taxing units which assess and collect taxes on the property above
described, not made parties to this suit, are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and including
the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-11-18
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B38427-08
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the authority
of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Larry Brookshire, Deceased
(lienholder, in rem only)
if living, and if any or
all of the above named Defendant(s) be dead, the unknown heirs of each or all
of the said named persons who may be dead; and the unknown heirs of the unknown
heirs of said above named persons; and the unknown owner or owners of the
described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
PROPERTY
LOTS 8 AND 9, BLOCK 230,
OUT OF NORTH FORT WORTH, SITUATED IN THE CITY OF FORT WORTH, TARRANT COUNTY,
TEXAS AND LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL DISTRICT, AS SHOWN
BY A DEED OF RECORD IN VOLUME 11699 PAGE 309 OF THE DEED RECORDS OF TARRANT
COUNTY, TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $2,428.39, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as
Defendant(s), by Second Amended Petition filed on the 2nd day of August, 2010,
in a certain suit styled CITY OF FORT WORTH, ET AL vs. LANBERTO GUITERREZ, ET
AL, which includes the following defendants: Lanberto
Gutierrez, Larry Brookshire, Deceased (lienholder, in rem only) and Delma L.
Brookshire Individually and as Heir to the Estate of Larry Brookshire
(lienholder, in rem only), for collection of the taxes on the property and that
the suit is now pending in the District Court of Tarrant County, Texas, 236th
Judicial District, and the file number of said suit is NO. B38427-08, that the
names of all taxing units which assess and collect taxes on the property above
described, not made parties to this suit, are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including the
day of judgment, post judgment interest at the maximum rate allowed by law; and
the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-11-18
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B39022-09
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Tommie Louise Spencer,
Address Unknown, Heir to the Estate of Marcellus Young; Matthew Young, Jr., Address
Unknown, Heir to the Estate of Marcellus Young; Stacey Young, Address Unknown,
Heir to the Estate of Marcellus Young
if living, and if any or
all of the above named Defendant(s) be dead, the unknown heirs of each or all
of the said named persons who may be dead; and the unknown heirs of the unknown
heirs of said above named persons; and the unknown owner or owners of the
described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
PROPERTY
LOT 8, BLOCK 3, OUT OF THE
EAST ROSEDALE HEIGHTS ADDITION, AN ADDITION TO THE CITY OF FORT WORTH, TARRANT
COUNTY, TEXAS AND LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL DISTRICT AND
BEING FURTHER DESCRIBED IN VOLUME 2041, PAGE 225 OF THE DEED RECORDS OF TARRANT
COUNTY, TEXAS.
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $2,174.19, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
REGIONAL WATER DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT and TARRANT COUNTY
COLLEGE DISTRICT as Plaintiff(s), against the above named person(s) as
Defendant(s), by Second Amended Petition filed on the 2nd day of August, 2010,
in a certain suit styled CITY OF FORT WORTH, ET AL vs. MARCELLUS YOUNG,
DECEASED, which includes the following defendants: Elizabeth
Fillmore Heir to the Estate of Marcellus Young, Barbara Thompson Heir to the
Estate of Marcellus Young, Tommie Louise Spencer, Address Unknown Heir to the
Estate of Marcellus Young, Matthew Young, Jr., Address Unknown Heir to the
Estate of Marcellus Young and Stacey Young, Address Unknown Heir to the Estate
of Marcellus Young, for collection of the taxes on the property and that the
suit is now pending in the District Court of Tarrant County, Texas, 236th
Judicial District, and the file number of said suit is NO. B39022-09, that the
names of all taxing units which assess and collect taxes on the property above
described, not made parties to this suit, are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-11-18
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. B39237-09
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Thomas Green, Deceased
if living, and if any or
all of the above named Defendant(s) be dead, the unknown heirs of each or all
of the said named persons who may be dead; and the unknown heirs of the unknown
heirs of said above named persons; and the unknown owner or owners of the
described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
PROPERTY
LOT C, OUT OF THE A. C.
GEORGE SUBDVISION, SUNSHINE HILL, SITUATED IN THE CITY OF FORT WORTH, TARRANT
COUNTY, TEXAS AND LOCATED WITHIN THE FORT WORTH INDEPENDENT SCHOOL DISTRICT, AS
SHOWN BY A DEED OF RECORD IN VOLUME 9992, PAGE 1249 OF THE DEED RECORDS OF
TARRANT COUNTY, TEXAS
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $1,631.50, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by CITY OF FORT WORTH, TARRANT COUNTY, TARRANT
COUNTY RIGHT OF WAY DISTRICT, TARRANT COUNTY HOSPITAL DISTRICT, TARRANT COUNTY
COLLEGE DISTRICT and TARRANT REGIONAL WATER DISTRICT as Plaintiff(s), against
the above named person(s) as Defendant(s), by First Amended Petition filed on
the 3rd day of August, 2010, in a certain suit styled CITY OF FORT WORTH, ET AL
vs. THOMAS GREEN, DECEASED, which includes the following defendants: Thomas Green,
Deceased and City of Fort Worth (lienholder, in rem only), for collection of
the taxes on the property and that the suit is now pending in the District
Court of Tarrant County, Texas, 236th Judicial District, and the file number of
said suit is NO. B39237-09, that the names of all taxing units which assess and
collect taxes on the property above described, not made parties to this suit,
are: NONE
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-11-18
----------
CITATION BY
PUBLICATION
IN TAX SUIT
NO. E21594-06
STATE OF TEXAS
COUNTY OF TARRANT
In the name and by the
authority of the State of Texas, notice is hereby given as follows to:
DEFENDANTS
Zina R. Anderson, Address
Unknown
if living, and if any or
all of the above named Defendant(s) be dead, the unknown heirs of each or all
of the said named persons who may be dead; and the unknown heirs of the unknown
heirs of said above named persons; and the unknown owner or owners of the
described property; and the executors, administrators, guardians, legal
representatives, legatees, devisees of the above named persons, and who own or
claim some interest in the described property and any and all other persons,
including adverse claimants, owning or having any legal or equitable interest
in or lien upon the following described property.
PROPERTY
PERSONAL PROPERTY
CONSISTING OF A 1999 RIVERVIEW 16 X 48 MANUFACTURED HOME, LB# PFS0576833/34,
LOCATED IN TARRANT COUNTY, TEXAS
Which property is
delinquent to Plaintiff(s) for taxes in the amount of $1,853.42, exclusive of
interest, penalties, and costs, and there is included in this suit in addition
to the taxes all said interest, penalties, and costs thereon, allowed by law up
to and including the day of judgment.
You are hereby notified
that suit has been brought by TARRANT COUNTY, TARRANT COUNTY HOSPITAL DISTRICT
and TARRANT COUNTY COLLEGE DISTRICT as Plaintiff(s), against the above named
person(s) as Defendant(s), by First Amended Petition filed on the 3rd day of
August, 2010, in a certain suit styled COUNTY OF TARRANT, ET AL vs. ZINA R.
ANDERSON, ET AL, which includes the following defendants: Zina R.
Anderson, Address Unknown and Green Tree Servicing, LLC (lienholder, in rem
only), for collection of the taxes on the property and that the suit is now
pending in the District Court of Tarrant County, Texas, 236th Judicial
District, and the file number of said suit is NO. E21594-06, that the names of
all taxing units which assess and collect taxes on the property above
described, not made parties to this suit, are: CITY OF GRAPEVINE AND GRAPEVINE
- COLLEYVILLE INDEPENDENT SCHOOL DISTRICT
Plaintiff(s) and all other
taxing units who may set up their tax claims herein seek recovery of delinquent
ad valorem taxes on the property above described, and in addition to the taxes
all interest, penalties, and costs allowed by law thereon up to and including
the day of judgment, post judgment interest at the maximum rate allowed by law;
and the establishment and foreclosure of liens, if any, securing the payment of
same, as provided by law.
All parties to this suit
shall take notice that claims not only for any taxes which were delinquent on
the property at the time this suit was filed but all taxes becoming delinquent
at any time thereafter up to the day of judgment, including all interest,
penalties, and costs allowed by law, may, upon request, be recovered without
further citation or notice to any parties, and all parties shall take notice of
and plead and answer to all claims and pleadings now on file and which may
hereafter be filed in this cause by all other parties, and all of those taxing
units above named who may intervene and set up their respective tax claims
against the property.
You are hereby commanded
to appear and defend such suit on the first Monday after the expiration of
forty-two (42) days from and after the date of issuance hereof, the same being
the 20th day of September, 2010, before the honorable District Court of Tarrant
County, Texas, to be held at the courthouse thereof, then and there to show
cause why judgment shall not be rendered for such taxes, penalties, interest,
and costs, and condemning said property and ordering foreclosure of the
constitutional and statutory tax liens thereon for taxes due the Plaintiff(s)
and the taxing unit parties hereto, and those who may intervene herein,
together with all interest, penalties, and costs allowed by law up to and
including the day of judgment, and all costs of this suit.
Issued but not prepared by
District Clerk’s Office and given under my hand and seal of said court in the
City of Fort Worth, Tarrant County, Texas, this the 3rd day of August, 2010.
/s/ Thomas A. Wilder
Thomas A. Wilder
Clerk of the District
Court
Tarrant County, Texas
236th Judicial District
/s/ Brenda Burks
Brenda Burks, Deputy
8-11-18
----------
THE STATE
OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 342-244049-10
FINANCIAL FREEDOM
ACQUISITION LLC VS. DIANA WOOD, ET AL
TO: DIANA WOOD, BOBBY
LACKEY, THERESA CREED, UNKNOWN HEIRS AT LAW OF DWAYNE WOOD, UNKNOWN HEIRS AT
LAW OF ADELIA C. WOOD, Whose residence is unknown, GREETINGS:
You said DEFENDANT are
hereby commanded to appear by filing a written answer to Plaintiff’s Original
Petition before the 342nd District Court of Tarrant County, Texas at or before
10 o’clock A.M. of the Monday next after the expiration of 42 days from the
date of issuance of this Citation, said Monday being September 13, 2010, then
and there to answer the petition of Financial Freedom Acquisition LLC as
Plaintiffs.
Filed in said Court on
March 04, 2010 Against Diana Wood, Bobby Lackey, Theresa Creed, Unknown Heirs at
Law of Dwayne Wood, Unknown Heirs at Law of Adelia C. Wood as Defendants.
Said suit being numbered
342-244049-10 on the docket of said Court, the nature of which demand is as
follow, to wit:
SYNOPSIS
Plaintiff, Financial
Freedom Acquisition, LLC, its successors and assigns by and through its
attorney of record, Mark G. Torabi of Barrett Daffin Frappier Turner &
Engel, LLP, 15000 Surveyor Blvd., Addison, Texas 75001, 972-386-5040, brought
suit against Defendants Diana Wood, Irma Fountain, Deedee Gonzalez a/k/a
Deaundra Gonzalez, Bobby Lackey, Mario Lozano, Carlos Lozano, Theresa Creed,
Unknown Heirs at Law of Dwayne Wood, Deceased, and The Unknown Heirs At Law of
Adela C. Wood, Deceased, to enforce its security interest on and assert
superior title to the property located at 6941 Maryhill Road, Forest Hill,
Texas 76140-1805 and legally described as:
Lot 20, Block 6, Heritage
West, an addition to the City of Forest Hill, Tarrant County, Texas, according
to the Plat recorded in Volume 388-65, Page 17, Deed Records, Tarrant County,
Texas.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, of legal circulation, published in the County of Tarrant, once each
week for four consecutive weeks, the first publication to be at least 28 days
before the return day of the Citation.
Herein Fail not, but on
the return herein above named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and Given under my
hand and seal of said Court in Fort Worth, Tarrant County, Texas this the July
29, 2010.
Thomas A. Wilder
Clerk of District
Courts of Tarrant
County, Texas
Tarrant County, Texas
By /s/ Juanita Vega
Juanita Vega, Deputy
NOTICE: You have been
sued. You may employ an attorney. If you or your attorney do not file a written
answer according to rule 114 in the Texas Rules of Court, a default judgment
may be taken against you.
8-4-11-18-25
----------
THE STATE OF TEXAS
COUNTY COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 10-79489-3
TO: NATISHA E. ESCOBAR,
Defendant(s), GREETING: whose residence is unknown,
You are hereby commanded to
appear by filing a written answer to Plaintiff’s Petition before the County
Court at Law No. Three, Tarrant County, Texas, at the Courthouse, located at
100 W. Weatherford St., Fort Worth, Texas 76196-0401, at or before ten o’clock
A.M. on the Monday next following the expiration of 42 days from the date of
issuance of this citation, said Monday being the 6th day of September, A.D.
2010, and then and there to answer the Original Petition of Diana M. Moreno,
Bertha Moreno and Bertha Moreno, Jr., as plaintiffs filed in said Court, on the
11th day of February A.D. 2010, against Natisha E. Escobar as defendant, said
suit being numbered 10-79489-3, the nature of which demand is as follows,
to-wit:
On or about May 20, 2008, Plaintiffs
Diana M. Moreno and Bertha Moreno, Individually and as next friend of Bertha
Moreno, Jr., a Minor Child were traveling northbound on S. Watson & E. Park
Row in Tarrant County, in a safe and prudent manner. Suddenly and without
warning, Defendant, Natisha E. Escobar, negligently, deliberately, and / or
recklessly ran the solid red traffic signal and entered the intersection when
unsafe, striking the Plaintiff’s automobile causing the injuries and damages
complained of in this suit.
The officers executing
this writ shall promptly serve the same according to requirements of law, and
the mandate hereof, and make due return as the law direct.
Issued and Given under my
hand and seal of said Court in Fort Worth, Tarrant County, Texas this Thursday,
July 22, 2010.
SUZANNE HENDERSON,
County Clerk
County Court at Law No.
Three
Tarrant County, Texas
By /s/ Rick Hartmann
Rick Hartmann, Deputy
NOTICE: You have been
sued. You may employ an attorney. If you or your attorney do not file a written
answer with the clerk who issued this citation by 10:00 AM. on Monday next
following the expiration of 42 days after the issuance of this citation, a
default judgment may be taken against you.
7-28/8-4-11-18
----------
THE STATE
OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 348-246630-10
AURORA LOAN SERVICES, LLC
ITS SUCCESSORS AND A VS. DOUG A. REBARD, ET AL.
TO: UNKNOWN HEIRS OF JULIE
K. REBARB, Whose residence is unknown, GREETINGS:
You said DEFENDANT are
hereby commanded to appear by filing a written answer to Plaintiff’s Original
Petition before the 348th District Court of Tarrant County, Texas at or before
10 o’clock A.M. of the Monday next after the expiration of 42 days from the
date of issuance of this Citation, said Monday being September 06, 2010, then
and there to answer the petition of Aurora Loan Services, LLC as Plaintiffs.
Filed in said Court on
July 12, 2010 Against Doug A. Rebard, Mortgage Electronic Registration Systems,
Inc., as Defendants.
Said suit being numbered
348-246630-10 on the docket of said Court, the nature of which demand is as
follow, to wit:
NATURE OF THE CASE
Rescission of the vendor’s
lien of the following described real property of which defendant, Doug A.
Rebard, Mortgage Electronic Registration Systems, Inc. and the unknown heirs of
Julie K. Rebard, Deceased are the owners:
Being Lot 4, in Block 6,
of Willow Vista Estates, Phase 2, an Addition to the City of Saginaw, Texas,
according to the Map thereof recorded in Cabinet A, Slide 9176, of the Map
Records of Tarrant County, Texas.
which has the address of
620 Fossil Wood Dr., Saginaw, TX 76179.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded to
serve the foregoing Citation by making publication thereof in some newspaper,
of legal circulation, published in the County of Tarrant, once each week for
four consecutive weeks, the first publication to be at least 28 days before the
return day of the Citation.
Herein Fail not, but on
the return herein above named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and Given under my
hand and seal of said Court in Fort Worth, Tarrant County, Texas this the July
21, 2010.
Thomas A. Wilder
Clerk of District
Courts of Tarrant
County, Texas
Tarrant County, Texas
By /s/ Juanita Vega
Juanita Vega, Deputy
NOTICE: You have been
sued. You may employ an attorney. If you or your attorney do not file a written
answer according to rule 114 in the Texas Rules of Court, a default judgment
may be taken against you.
7-27/8-3-10-17
----------
THE STATE OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 231-482688-10
IN THE INTEREST OF A
CHILD:
TO: DAVID RUSSELL JAMES
DONOVAN, And to all whom it may concern GREETINGS:
You have been sued. You
may employ an attorney. If you or your attorney do not file a written answer
with the clerk who issued this citation by 10:00 a.m. on the Monday next
following the expiration of 20 days after you were served this citation and
Petition for Termination of Parental Rights & Adoption of Minor Stepchild,
a default judgment may be taken against you. The Petition of John Albert Grigg,
Ariana Eve Grigg, as Petitioners was filed in 231st Court of Tarrant County,
Texas; on 10th day of August, 2010 Against David Russell James Donovan,
numbered 231-482688-10, and entitled: In the Interest of A Child:, the suit
requests terminate the parent-child relationship between the child & the
child’s natural father, David Russell James Donovan. Said
child was born on the 24th day of February, 2004 - Logan Connor Donovan.
The court has authority in
this suit to enter any judgment or decree in the child’s interest which will be
binding upon you, including the termination of the parent-child relationship,
the determination of paternity and the appointment of a conservator with
authority to consent to the child’s adoption.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, of legal circulation, published in the County of Tarrant for one
time, the first publication to be at least 20 days before the return day of the
Citation.
Herein Fail not, but on
the return hereinabove named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and given under my
hand and seal of said Court at Tarrant County, Texas, this the 11th day of
August, 2010.
THOMAS A. WILDER
Clerk of District Courts
of
Tarrant County, Texas
By /s/ Pam Pinyan
Pam Pinyan, Deputy
8-17
----------
THE STATE OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 325-482507-10
IN THE MATTER OF THE
MARRIAGE OF:
LORI IRENE STUCKEY BAUMAN
VS. JEFFREY LYNN BAUMAN
TO: JEFFREY LYNN BAUMAN,
RESPONDENT, And to all whom it may concern GREETINGS:
You have been sued. You
may employ an attorney. If you or your attorney do not file a written answer
with the clerk who issued this citation by 10:00 a.m. on the Monday next
following the expiration of 20 days after you were served this citation and
Original Petition to Annul Marriage, a default judgment may be taken against
you. The Petition of Lori Irene Stuckey Baum, as Petitioner was filed in the
325th Court of Tarrant County, Texas; on 5th day of August, 2010 Against
Jeffrey Lynn Bauman, numbered 325-482507-10, and entitled in the Matter of the
Marriage of: Lori Irene Stuckey Bauman and Jeffrey Lynn Bauman the suit
requests dissolve the bonds of matrimony and decree such other relief requested
in this petition.
The court has authority in
this suit to enter any judgment or decree dissolving the marriage and providing
for the division of property which will be binding on you.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, of legal circulation, published in the County of Tarrant for one
time, the first publication to be at least 20 days before the return day of the
Citation.
Herein Fail not, but on
the return hereinabove named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and given under my
hand and seal of said Court at Tarrant County, Texas, this the 10th day of
August, 2010.
THOMAS A. WILDER
Clerk of District Courts
of
Tarrant County, Texas
By /s/ Daniel T. Bina
Daniel T. Bina, Deputy
8-17
----------
THE STATE OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 324-475037-10
IN THE MATTER OF THE MARRIAGE
OF:
ROLANDA LATACHYA JACKSON
VS. BARRON DEWAYNE BOYD
TO: BARRON DEWAYNE BOYD,
RESPONDENT, And to all whom it may concern GREETINGS:
You have been sued. You
may employ an attorney. If you or your attorney do not file a written answer
with the clerk who issued this citation by 10:00 a.m. on the Monday next
following the expiration of 20 days after you were served this citation and
Petition for Divorce, a default judgment may be taken against you. The Petition
of Rolanda Latachya Jackson, as Petitioner was filed in the 324th Court of
Tarrant County, Texas; on 31st day of March, 2010 Against Barron Dewayne Boyd,
numbered 324-475037-10, and entitled in the Matter of the Marriage of: Rolanda
Latachya Jackson and Barron Dewayne Boyd the suit requests dissolve the bonds
of matrimony and decree such other relief requested in this petition.
The court has authority in
this suit to enter any judgment or decree dissolving the marriage and providing
for the division of property which will be binding on you.
THE STATE OF TEXAS
To the Sheriff, Constable
or Clerk of the Court of any County of the State of Texas, Greeting:
You are hereby commanded
to serve the foregoing Citation by making publication thereof in some
newspaper, of legal circulation, published in the County of Tarrant for one
time, the first publication to be at least 20 days before the return day of the
Citation.
Herein Fail not, but on
the return hereinabove named have you then and there before said Court, this
Writ, with your return thereon, showing how you have executed the same.
Issued and given under my
hand and seal of said Court at Tarrant County, Texas, this the 10th day of
August, 2010.
THOMAS A. WILDER
Clerk of District Courts
of
Tarrant County, Texas
By /s/ Daniel T. Bina
Daniel T. Bina, Deputy
8-17
----------
THE STATE
OF TEXAS
DISTRICT COURT,
TARRANT COUNTY
CITATION BY
PUBLICATION
CAUSE NO. 067-246227-10
BENEFICIAL TEXAS, INC. VS.
CAROL Y. WILSON, ET AL
TO: THE UNKNOWN HEIRS OF STEPHEN
McGEE WILSON, DECEASED, Whose residence is unknown, GREETINGS:
You said DEFENDANT are
hereby commanded to appear by filing a written answer to Plaintiff’s Original
Petition before the 67th District Court of Tarrant County, Texas at or before
10 o’clock A.M. of the Monday next after the expiration of 42 days from the
date of issuance of this Citation, said Monday being September 27, 2010, then
and there to answer the petition of: Beneficial Texas, Inc., as Plaintiffs.
Filed in said Court on
June 21, 2010 Against Carol Y. Wilson, Jeremy Bryan Martin, Stephen McGee
Wilson, Unknown Heirs of Stephen McGee Wilson, Deceased, Jeremy Bryan Martin,
as Defendants.
Said suit being numbered
067-246227-10 on the docket of said Court, the nature of which demand is as
follow, to wit:
SYNOPSIS
Foreclosure of Deed of
Trust Lien on the following described real property of which Defendants Carol
Y. Wilson, Jeremy Bryan Martin and The Unknown Heirs of Stephen McGee Wilson,
Deceased, are the owners: