CITATIONS

THE STATE OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 323-91991J-09

IN THE INTEREST OF A CHILD: ESHANTI VICTORIA CAMP

TO: REBECCA ANN JONES, 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 a Child, for Conservatorship, and for Termination in Suit Affecting Parent-Child Relations, a default judgment may be taken against you. The Petition of Texas Dept. of Family and Protective Services as Petitioner was filed in the 323rd Court of Tarrant County, Texas; on 30th day of December, 2009 against Rebecca Ann Jones, numbered 323-91991J-09, and entitled: In the Interest of a Child: Eshanti Victoria Camp, the suit requests to terminate the parent-child relationship. Said child was born on the 16th day of December, 2009, Eshanti Victoria Camp, birthplace, Tarrant County, Texas.

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 02/02/2010.

THOMAS A. WILDER

Clerk of District Courts of

Tarrant County, Texas

By /s/ Cheryl Ginunas

Cheryl Ginunas, Deputy

2-4

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CITATION BY

PUBLICATION

CAUSE NO. 09-PR02748-2

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 February 22, 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 James E. Kinderman aka James Kinderman filed herein January 19th, 2010 and show cause why this Court should not determine who are the heirs and the only heirs in the estate of Allen D. Kinderman, Deceased.

Petitioner alleges that the decedent died in Eau Claire, Texas on September 10, 2009 and prays that the Court hear evidence sufficient to determine who are the heirs and the only heirs of Allen D. Kinderman, Deceased.

GIVEN UNDER MY HAND AND SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County, Texas on the 1st day of February 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 Rothman, Deputy

2-4

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CITATION BY

PUBLICATION

CAUSE NO. 10-PR00195-1

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 February 15th, 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 Kelly Renfro aka Kelly Davis Renfro filed herein January 26th, 2010 and show cause why this Court should not determine who are the heirs and the only heirs in the estate of Woodie Leslie Hofman, Deceased.

Petitioner alleges that the decedent died in Fort Worth, Texas on July 06, 2003 and prays that the Court hear evidence sufficient to determine who are the heirs and the only heirs of Woodie Leslie Hofman, Deceased.

GIVEN UNDER MY HAND AND SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County, Texas on the 27th day of January 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

2-4

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CITATION BY

PUBLICATION

CAUSE NO. 10-PR00209-2

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 February 15, 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 Matthew Allen Amo aka Matthew Amo aka Matt Amo filed herein January 27th, 2010 and show cause why this Court should not determine who are the heirs and the only heirs in the estate of Gregory Dean Amo, Deceased.

Petitioner alleges that the decedent died in Fort Worth, Texas on December 03, 2009 and prays that the Court hear evidence sufficient to determine who are the heirs and the only heirs of Gregory Dean Amo, Deceased.

GIVEN UNDER MY HAND AND SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County, Texas on the 28th day of January 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

2-4

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CITATION BY

PUBLICATION

CAUSE NO. 10-PR00200-2

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 February 15th, 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 Gerald Glynn Osburn aka Gerald G. Osburn filed herein January 27th, 2010 and show cause why this Court should not determine who are the heirs and the only heirs in the estate of Eleanor Valentine Osburn, Deceased.

Petitioner alleges that the decedent died in Fort Worth, Texas on November 14th, 2009 and prays that the Court hear evidence sufficient to determine who are the heirs and the only heirs of Eleanor Valentine Osburn, Deceased.

GIVEN UNDER MY HAND AND SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County, Texas on the 28th day of January A.D., 2010

SUZANNE HENDERSON

Clerk of the

Probate Courts of

Tarrant County, Texas

100 W. Weatherford

Street

Fort Worth, Texas

76196-0401

/s/ Darlene McKown

Darlene McKown, Deputy

2-4

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CITATION BY

PUBLICATION

CAUSE NO. 10-PR00175-1

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 February 15th, 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 Naomi Janice Reyes aka Naomi Reyes filed herein January 25th, 2010 and show cause why this Court should not determine who are the heirs and the only heirs in the estate of Arthur Alexander Reyes, Deceased.

Petitioner alleges that the decedent died in Fort Worth, Texas on November 22nd, 2009 and prays that the Court hear evidence sufficient to determine who are the heirs and the only heirs of Arthur Alexander Reyes, Deceased.

GIVEN UNDER MY HAND AND SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County, Texas on the 26th day of January A.D., 2010

SUZANNE HENDERSON

Clerk of the

Probate Courts of

Tarrant County, Texas

100 W. Weatherford

Street

Fort Worth, Texas

76196-0401

/s/ Darlene McKown

Darlene McKown, Deputy

2-4

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CITATION BY

PUBLICATION

CAUSE NO. 10-PR00179-2

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 February 15th, 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 Helen Lois Newman filed herein January 25th, 2010 and show cause why this Court should not determine who are the heirs and the only heirs in the estate of Lois Stella Yow, Deceased.

Petitioner alleges that the decedent died in Fort Worth, Texas on July 20, 2008 and prays that the Court hear evidence sufficient to determine who are the heirs and the only heirs of Lois Stella Yow, Deceased.

GIVEN UNDER MY HAND AND SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County, Texas on the 26th day of January 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 Rothman, Deputy

2-4

----------

 

CITATION BY

PUBLICATION

CAUSE NO. 10-PR00203-2

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 February 15th, 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 Annita Sue Driscoll Kuehler aka Annita Sue Kuehler filed herein January 27th, 2010 and show cause why this Court should not determine who are the heirs and the only heirs in the estate of George Otis Driscoll, Deceased.

Petitioner alleges that the decedent died in Fort Worth, Texas on November 16th, 1969 and prays that the Court hear evidence sufficient to determine who are the heirs and the only heirs of George Otis Driscoll, Deceased.

GIVEN UNDER MY HAND AND SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County, Texas on the 27th day of January 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 Rothman, Deputy

2-4

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-E24024-08

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:

The unknown heirs, executors, administrators and assigns of William A Tooley deceased, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 1, Blk 1 out of Londonderry Add. Acct #40900460, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $5,491.28 Dollars, 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 herein.

You are hereby notified that suit has been brought by: County of Tarrant, City of North Richland Hills, Birdville Independent School as Plaintiffs against William A Tooley as defendants.

By Plaintiffs Second Amended Original Petition filed on January 12th, 2010 in a certain suit styled: County of Tarrant, Et Al vs Daniel B Kent, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-E24024-08 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 14th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-28/2-4

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-E23464-08

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:

The unknown heirs, executors, administrators and assigns of Bernice P Blakney deceased, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 29, Blk 30 out of Indian Oaks Sub. Acct #01418793, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $4,317.34 Dollars, 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 herein.

You are hereby notified that suit has been brought by: County of Tarrant, Lake Worth ISD as Plaintiffs against Bernice P Blakney as defendants.

By Plaintiffs Second Amended Original Petition filed on January 12th, 2010 in a certain suit styled: County of Tarrant, Et Al vs Bernice P Blakney. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-E23464-08 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: City of Lake Worth.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 14th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-28/2-4

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-E19194-04

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:

The unknown heirs, executors, administrators and assigns of Lottie M.H. Phillips, Edward A Hogg, Ruby L Augmon deceased, all of whose names and residences are unknown; Mary Lawson, Noveline Young, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 9, Blk 55 out of M.G. Ellis Add. Acct #00834467, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $5,233.99 Dollars, 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 herein.

You are hereby notified that suit has been brought by: County of Tarrant, City of Fort Worth, Pltfs. Fort Worth Independent School, Intv. against Lottie M.H. Phillips, Edward A Hogg, Ruby L Augmon, Mary Lawson, Noveline Young as defendants.

By Plaintiffs Second Amended Original Petition filed on January 12th, 2010 in a certain suit styled: County of Tarrant, Et Al vs Lottie M. H. Phillips. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-E19194-04 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 14th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-28/2-4

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B35349-07

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:

The unknown officers, agents, successors and assigns of James B Williams & Company, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 5, Blk 5 out of Winston Add. Acct #03575829, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $2,245.11 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant, Pltfs. Fort Worth Independent School, Tarrant County Education District, Intv. against James B Williams & Company as defendants.

By Plaintiff’s First Amended Original Petition filed on January 13th, 2010 in a certain suit styled: City of Fort Worth, Et Al VS James B Williams & Company, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B35349-07 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 15th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-28/2-4

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-E14780-00

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:

The unknown officers, agents, successors and assigns of Centurion Capital Corporation (lienholder), all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 5R, Blk B out of the Virgil Adams Sub. Acct #00012033, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $5,052.89 Dollars, 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 herein.

You are hereby notified that suit has been brought by: State of Texas, County of Tarrant Et Al, City of Fort Worth, Pltfs. Fort Worth Independent School, Intv. as Plaintiffs against Centurion Capital Corporation as defendants.

By Plaintiff’s Second Amended Original Petition filed on January 12th, 2010 in a certain suit styled: State of Texas, County of Tarrant, Et Al VS Major Attaway. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-E14780-00 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 14th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-28/2-4

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B34467-06

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:

The unknwn heirs, executors, administrators and assigns of Willie L. Hunt, deceased, all of whose names and residences are unknown; The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 17, Blk 1, out of Greenwood Subdivision #3 Evans of 12 Acct # 01137220, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $2,137.88 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant, Pltfs., Fort Worth Independent School District, Intv. against Willie L. Hunt as defendants.

By Plaintiff’s Second Amended Original Petition filed on January 14th, 2010 in a certain suit styled: City of Fort Worth, Et Al VS Willie L. Hunt, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B34467-06 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 15th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-28/2-4

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B33519-04

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:

The unknown heirs, executors, administrators and assigns of Bernice Jones, deceased, all of whose names and residences are unknown; The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 8, Blk 12 out of the Ryan Southeast Add. Acct #02609894, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $5,662.57 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, Fort Worth Independent School District, County of Tarrant, as Plaintiffs, against Bernice Jones as defendants.

By Plaintiff’s Fourth Amended Original Petition filed on January 12th, 2010 in a certain suit styled: City of Fort Worth VS Verna G. Hendricks. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B33519-04 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 13th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-28/2-4

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THE STATE OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 324-303252-00

IN RE JUSTIN T. OWENS

TO: GINGER KAY STEWARD, 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 Motion for Enforcement of Uninsured Medical Expense and Order to Appear, a default judgment may be taken against you. The Petition of Coty B. Owens as Petitioner was filed in the 324th Court of Tarrant County, Texas; on 27th day of January, 2010 against Ginger Kay Steward, numbered 324-303252-00, and entitled: In Re Justin T. Owens, the suit requests to enforce prior order. Said child was born on 14th day of September, 1991, Justin T. Owens.

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 01/28/2010.

THOMAS A. WILDER

Clerk of District Courts of

Tarrant County, Texas

By /s/ Scott Elledge

Scott Elledge, Deputy

2-3

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THE STATE OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 324-303252-00

IN RE JUSTIN T. OWENS

TO: GINGER KAY STEWARD, 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 Modify Parent-Child Relationship, a default judgment may be taken against you. The Petition of Coty B. Owens as Petitioner was filed in the 324th Court of Tarrant County, Texas; on 27th day of January, 2010 against Ginger Kay Steward, numbered 324-303252-00, and entitled: In Re Justin T. Owens, the suit requests to make temporary orders for the safety and welfare of the child. Said child was born on 14th day of September, 1991, Justin T. Owens.

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 01/28/2010.

THOMAS A. WILDER

Clerk of District Courts of

Tarrant County, Texas

By /s/ Scott Elledge

Scott Elledge, Deputy

2-3

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THE STATE OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 322-466475-09

IN THE INTEREST OF A CHILD

TO: UNKNOWN FATHER, 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 Parent Child Relationship and Adoption of Child, a default judgment may be taken against you. The Petition of Robert Wai, Shelby Wai as Petitioners was filed in the 322nd Court of Tarrant County, Texas; on 9th day of October, 2009 against Unknown Father, numbered 322-466475-09, and entitled: In the Interest of a Child, the suit requests terminate the parent child relationship between unknown father and the child. Said child was born on 6th day of August, 2006 unknown child.

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 01/28/2010.

THOMAS A. WILDER

Clerk of District Courts of

Tarrant County, Texas

By /s/ Scott Elledge

Scott Elledge, Deputy

2-3

 

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THE STATE OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 323-90700J-09

IN THE INTEREST OF A CHILD: AERI-HANNAH BORINSKY

TO: STEVEN HUNT, 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 2nd Amended Petition for Protection of Child, Conservatorship and Termination in Suit Affecting Parent-Child Relationship, a default judgment may be taken against you. The Petition of Dept. of Family and Protective Services, as Petitioner was filed in the 323rd Court of Tarrant County, Texas; on 23rd day of November, 2009 against Steven Hunt, numbered 323-90700J-09, and entitled: In the Interest of a Child: Aeri-Hannah Borinsky, the suit requests terminate the Parent-Child Relationship. Said child was born on Aeri-Hannah Borinsky, born on the 16th day of May, 2009, Birthplace, Arlington, Texas.

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 01/29/2010.

THOMAS A. WILDER

Clerk of District Courts of

Tarrant County, Texas

By /s/ Teri Wright

Teri Wright, Deputy

2-3

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THE STATE OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 322-471530-10

IN THE MATTER OF THE MARRIAGE OF:

MARLON LARRIE VS. TENISHA JONE LARRIE

TO: TENISHA JONES LARRIE, 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 Marlon Larrie, as Petitioner was filed in the 322nd Court of Tarrant County, Texas; on 27th day of January, 2010 Against Tenisha Jones Larrie, numbered 322-471530-10, and entitled in the Matter of the Marriage of: Marlon Larrie and Tenisha Jone Larrie, 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 week, 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 28th day of January, 2010.

THOMAS A. WILDER

Clerk of District Courts of

Tarrant County, Texas

By /s/ Scott Elledge

Scott Elledge, Deputy

2-3

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THE STATE OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 322-469458-09

IN THE MATTER OF THE MARRIAGE OF:

IRENE LAGUNAS VS. DAVID ERNESTO L. HERNANDEZ

TO: DAVID ERNESTO LAGUNAS HERNANDEZ, 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 Amended Original Petition for Divorce, a default judgment may be taken against you. The Petition of Irene Lagunas, as Petitioner was filed in the 322nd Court of Tarrant County, Texas; on 28th day of January, 2010 Against David Ernesto Lagunas Hernandez, numbered 322-469458-09, and entitled in the Matter of the Marriage of: Irene Lagunas and David Ernesto L. Hernandez, 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 week, 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 29th day of January, 2010.

THOMAS A. WILDER

Clerk of District Courts of

Tarrant County, Texas

By /s/ Scott Elledge

Scott Elledge, Deputy

2-3

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B35491-07

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:

The unknown heirs, executors, administrators and assigns of Hester Hopkins deceased, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lots 19 & 20, Blk 57 out of Chamberlain Arlington Heights Acct #00503096, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $1,928.01 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant, Pltfs. Fort Worth Independent School, Intv. against Hester Hopkins as defendants.

By Plaintiffs First Amended Original Petition filed on January 13th, 2010 in a certain suit styled: City of Fort Worth, Et Al vs Hester Hopkins, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B35491-07 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 15th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-27/2-3

----------

 

CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B35605-07

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:

The unknown heirs, executors, administrators and assigns of Elizabeth Maddox, Fannie Maddie Whitehead deceased, all of whose names and residences are unknown; Taylor Davis, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown; The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lots 9 & 10, Blk 322 out of Chamberlain Arlington Heights Acct #00517992, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $1,701.92 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant, Pltfs. Fort Worth Independent School, Tarrant County Education District, Intv. against Elizabeth Maddox, Fannie Maddie Whitehead Davis, Taylor Davis as defendants.

By Plaintiffs First Amended Original Petition filed on January 13th, 2010 in a certain suit styled: City of Fort Worth, Et Al vs Elizabeth Maddox Dec, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B35605-07 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 15th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-27/2-3

----------

 

CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-E24069-08

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:

The unknown heirs, executors, administrators and assigns of Dorothy M Williams & R.L. Williams deceased, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 13, Blk 5 out of Bellvue Add. Acct #00165417, an addition to the City of Hurst, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $3,227.92 Dollars, 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 herein.

You are hereby notified that suit has been brought by: County of Tarrant, Hurst-Euless-Bedford ISD as Plaintiffs against Dorothy M Williams & R.L. Williams as defendants.

By Plaintiffs First Amended Original Petition filed on January 13th, 2010 in a certain suit styled: County of Tarrant, Et Al vs Dorothy M Williams, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-E24069-08 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: City of Hurst.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 14th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-27/2-3

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B36183-07

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:

The unknown heirs, executors, administrators and assigns of Curtis Session deceased, all of whose names and residences are unknown; Nettie Session, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown; The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 8, Blk 83 out of Riverside Add. Acct #40208281, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $2,718.35 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant as Plaintiffs against Curtis Session, Nettie Session as defendants.

By Plaintiffs First Amended Original Petition filed on January 13th, 2010 in a certain suit styled: City of Fort Worth, Et Al vs Curtis Session, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B36183-07 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: Fort Worth Independent School.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 14th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-27/2-3

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B31089-01

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:

The unknown heirs, executors, administrators and assigns of Richard Kirby, Clara Kirby deceased, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lots 23 & 14, Blk 112 out of Chamberlain Arlington Hts. Acct #00512923, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $1,596.74 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, Fort Worth Independent School, Tarrant County Education District, Pltfs. County of Tarrant Et Al, Intv. against Richard Kirby, Clara Kirby as defendants.

By Plaintiffs First Amended Original Petition filed on January 13th, 2010 in a certain suit styled: City of Fort Worth, Et Al vs Richard Kirby, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B31089-01 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 14th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-27/2-3

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THE STATE

OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 141-238201-09

BANK OF NEW YORK VS. KRISTI HINKLE, ET AL

TO: UNKNOWN HEIRS AT LAW OF RICHARD C. HINKLE, Whose residence is unknown, GREETINGS:

You said DEFENDANTS are hereby commanded to appear by filing a written answer to Plaintiff’s Original Petition before the 141st 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 March 01, 2010, then and there to answer the petition of Bank of New York, as Plaintiff.

Filed in said Court on June 15, 2009 Against Unknown Heirs at Law of Richard C. Hinkle, as Defendant.

Said suit being numbered 141-238201-09 on the docket of said Court, the nature of which demand is as follow, to wit:

SYNOPSIS

You are hereby notified that suit has been brought to rescind the vendor’s lien by Plaintiff, Bank of New York as Trustee for the Certificate holders CWABS, Inc. Asset-Backed Certificates, Series 2005-3, its successors and assigns by and through its attorney of record, Chris Pochyla of Barrett Daffin Frappier Turner & Engel, LLP., 15000 Surveyor Blvd., Addison, TX 75001, against Kristi Hinkle, Individually, and as next friend on Frances Christine Hinkle, Brittney Nicoal Hinkle and the Unknown Heirs at Law of Richard C. Hinkle and any other person claiming any right, title, interest on 318 Inverness Drive, Roanoke, Texas 76262, and legally described to wit:

Being Lot 762, of Trophy Club, Section Nine, an addition to the Town of Trophy Club, Tarrant County, Texas, according to the Map thereof recorded in Volume 16, Page 17, of the plat records of Denton County, Texas. Property was originally located in Denton County but is now located in Tarrant County per order filed in Tarrant County Real Property Records instrument Number D205189519 and Survey filed in the Tarrant County Real Property records Instrument Number D205189520.

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 January 15, 2010.

Thomas A. Wilder

Clerk of District

Courts of Tarrant

County, Texas

Tarrant County, Texas

By /s/ Marilyn A. Sheppard

Marilyn A. Sheppard, 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.

1-20-27/2-3-10

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THE STATE

OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 017-242639-09

GMAC MORTGAGE, LLC VS. ERICK D. MCNAIR, ET AL

TO: UNKNOWN HEIRS AT LAW OF EFFIE M. CARTER, DECEASED, Whose residence is unknown, GREETINGS:

You said DEFENDANTS are hereby commanded to appear by filing a written answer to Original Petition for Declaratory Relief 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 March 01, 2010, then and there to answer the petition of GMAC Mortgage LLC, as Plaintiff.

Filed in said Court on December 23, 2009 Against Unknown Heirs at Law of Effie M. Carter, Deceased, as Defendant.

Said suit being numbered 017-242639-09 on the docket of said Court, the nature of which demand is as follow, to wit:

SYNOPSIS

Plaintiff filed the instant suit against the Defendants for declaratory relief and judicial foreclosure. Plaintiff seeks to foreclose on the property legally described as: Lot 24 in Block 10 of Garden Springs, Phase VI, an addition to the City of Fort Worth, Tarrant County, Texas, according to the plat thereof recorded in Cabinet A, Slide 6524, Plat Records, Tarrant County, Texas and commonly known as: 8404 Orlando Springs Drive, Fort Worth, Texas 76123.

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 January 15, 2010.

Thomas A. Wilder

Clerk of District

Courts of Tarrant

County, Texas

Tarrant County, Texas

By /s/ Marilyn A. Sheppard

Marilyn A. Sheppard, 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.

1-20-27/2-3-10

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THE STATE

OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 348-242640-09

GMAC MORTGAGE, LLC VS. WAYNE WESLEY, ET AL

TO: THE UNKNOWN HEIRS AT LAW OF HELEN WESLEY, Whose residence is unknown, GREETINGS:

You said DEFENDANT are hereby commanded to appear by filing a written answer to Original Petition for Declaratory Relief 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 March 01, 2010, then and there to answer the petition of GMAC Mortgage L.L.C. as Plaintiff.

Filed in said Court on December 23, 2009 Against The Unknown Heirs at Law of Helen Wesley, as Defendant.

Said suit being numbered 348-242640-09 on the docket of said Court, the nature of which demand is as follow, to wit:

SYNOPSIS

Plaintiff filed the instant suit against the Defendants for declaratory relief and judicial foreclosure. Plaintiff seeks to foreclose on the property legally described as: Lot 19, Block 3, of North Glen Addition, an addition to the City of Fort Worth, Tarant County, Texas, according to the plat thereof recorded in Volume 388-6, Page 137, of the Plat Records of Tarrant County, Texas and commonly known as: 2416 Robert Burns Drive, Fort Worth, Texas 76119.

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 January 11, 2010.

Thomas A. Wilder

Clerk of District

Courts of Tarrant

County, Texas

Tarrant County, Texas

By /s/ Marilyn A. Sheppard

Marilyn A. Sheppard, 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.

1-13-20-27/2-3

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THE STATE

OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 348-242643-09

IN RE: ORD FOR FORECLOSURE CNCRNG PAMALA SENGPHANLA VS.

TO: THE UNKNOWN HEIRS OF DAENG SENGPHANLAYA, Whose residence is unknown, GREETINGS:

You said DEFENDANTS are hereby commanded to appear by filing a written answer to Original Petition for Foreclosure 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 March 01, 2010, then and there to answer the petition of Suntrust Mortgage Inc., as Plaintiff.

Filed in said Court on December 23, 2009 Against The Unknown Heirs of Daeng Sengphanlaya, as Defendant.

Said suit being numbered 348-242643-09 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, Pamala Sengphanlaya, Arthur Sengphanlaya, Sengkeo Sengphanlaya, Sengkam Sengphanlaya, Sengphachanh Sengphanlaya, Sengphet Sengphanlaya, Khammoon Sengphanlaya and the Unknown Heirs of Daeng Sengphanlaya, Deceased, are the owners:

Lot 5, in Block 19, Sylvan Heights, an addition to the City of Ft. Worth, Tarrant County, Texas, according to the plat thereof recorded in Volume 1019, Page 376, of the Plat Records of Tarrant County, Texas.

which has the address of 3111 Primrose Ave., Fort Worth, TX 76111.

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 January 11, 2010.

Thomas A. Wilder

Clerk of District

Courts of Tarrant

County, Texas

Tarrant County, Texas

By /s/ Marilyn A. Sheppard

Marilyn A. Sheppard, 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.

1-13-20-27/2-3

----------

 

CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-E22261-07

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:

Patricia A Lineschmidt, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 16 out of Campbell Estates Acct #00409839, an addition to the City of Arlington, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $2,766.15 Dollars, 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 herein.

You are hereby notified that suit has been brought by: County of Tarrant, City of Arlington as Plaintiffs against Patricia A Lineschmidt as defendants.

By Plaintiff’s Second Amended Original Petition filed on January 13th, 2010 in a certain suit styled: County of Tarrant, Et Al VS Patricia A Lineschmidt, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-E22261-07 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: Mansfield Independent School.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 15th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-26/2-2

----------

 

CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B34343-06

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:

William P Campbell, Franciso A Hernandez, Yolanda Hernandez, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 6, Blk 97 out of Polytechnic Heights Add. Acct #02246074, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $2,793.33 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant, Pltfs. Fort Worth Independent School, Intv. against William P Campbell, Franciso A Hernandez, Yolanda Hernandez as defendants.

By Plaintiff’s Second Amended Original Petition filed on January 13th, 2010 in a certain suit styled: City of Fort Worth, Et Al VS Martin Ibarra, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B34343-06 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 15th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-26/2-2

----------

 

CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B28947-92

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:

Glen Springfield, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown; The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 1 less S10, Blk 12 out of A S Hall Add. Acct #01146033, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $1,764.34 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, State of Texas, County of Tarrant Et Al, Fort Worth Independent School, Tarrant County Education District as Plaintiffs against Glen Springfield as defendants.

By Plaintiff’s Sixth Amended Original Petition filed on January 13th, 2010 in a certain suit styled: City of Fort Worth, Et Al VS Glen Springfield, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B28947-92 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 15th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-26/2-2

----------

 

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:

Daniel Little, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Personal Property Acct #07263406, an addition to the City of Azle, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $911.02 Dollars, 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 herein.

You are hereby notified that suit has been brought by: Et Al Tarrant County, Pltfs. City of Pelican Bay Texas, Azle Independent School, Intv. against Daniel Little as defendants.

By Plaintiff’s First Amended Original Petition filed on January 12th, 2010 in a certain suit styled: Tarrant County Et Al VS Daniel Little Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-E25022-09 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 14th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-26/2-2

 

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-E24405-08

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:

James L Moore, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown; The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 9, Blk 1 out of Mayfair Hills Add. Acct #01666185, an addition to the City of Bedford, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $7,356.41 Dollars, 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 herein.

You are hereby notified that suit has been brought by: Tarrant County Et Al, Hurst-Euless-Bedford Independent School, City of Bedford as Plaintiffs against James L Moore as defendants.

By Plaintiff’s Second Amended Original Petition filed on January 12th, 2010 in a certain suit styled: Tarrant County, Et Al VS James L Moore Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-E24405-08 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 14th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-26/2-2

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-E18913-04

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:

Kelly G Avant DBA Lone Star Tickets, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Business Personal Property Acct #10298541, an addition to the City of Arlington, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: Two Thousand Nine Hundred Seventeen & 11/100 ($2,917.11) Dollars, 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 herein.

You are hereby notified that suit has been brought by: County of Tarrant, City of Arlington, Pltfs. Arlington Independent School, Intv. against Kelly G Avant DBA Lone Star Tickets as defendants.

By Plaintiff’s First Amended Original Petition filed on January 27th, 2010 in a certain suit styled: County of Tarrant, Et Al VS Kelly G Avant Individually & DBA Lone Star Tickets. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-E18913-04 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 15th day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 27th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

2-1-8

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B35693-07

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:

J.B. Cushing, Frieda Cushing, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown; The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot “F” Less Row, Blk 5 out of Wesleyan Hills Acct #03388816, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $2,758.37 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant, Pltfs. Fort Worth Independent School, Tarrant County Ed District, Intv. against J.B. Cushing, Frieda Cushing as defendants.

By Plaintiff’s First Amended Original Petition filed on January 27th, 2010 in a certain suit styled: City of Fort Worth, Et Al VS J.B. Cushing, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B35693-07 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 15th day of March,2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 27th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

2-1-8

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B35815-07

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:

Bernice C Daniels, B.C. Daniels, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 1, Blk ‘B’ out of South Eastlawn Add. Acct #02803003, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $2,658.32 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant, Pltfs. Fort Worth Independent School, Tarrant County Education District, Intv. against Bernice C Daniels, B.C. Daniels as defendants.

By Plaintiff’s First Amended Original Petition filed on January 27th, 2010 in a certain suit styled: City of Fort Worth, Et Al VS Bernice C Daniels, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B35815-07 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 15th day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 27th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

2-1-8

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B35800-07

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:

The unknown heirs, executors, administrators and assigns of Lessie B Page deceased, all of whose names and residences are unknown; Larry Page, Artis Lee Washington, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown; The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 2, Blk 2 out of F.W. Murphy Add., an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $2,810.73 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant, Pltfs. Fort Worth Independent School, Tarrant County Education District, Intv. against Lessie B Page, Larry Page, Artis Washington, as defendants.

By Plaintiffs Second Amended Original Petition filed on January 27th, 2010 in a certain suit styled: City of Fort Worth, Et Al vs The Estate of Lessie B Page, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B35800-07 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 15th day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 27th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

2-1-8

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B36431-07

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:

The unknown heirs, executors, administrators and assigns of Virginia Sadler deceased, all of whose names and residences are unknown; Earl Sadler, Roy Sadler, Billie Mason, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown; The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 11A, Blk B Grande Vista Heights Add. Acct #01087614, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $1,382.83 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant, Pltfs. Fort Worth Independent School, Intv. against Virginia Sadler, Earl Sadler, Roy Sadler, Billie Mason as defendants.

By Plaintiffs First Amended Original Petition filed on January 27th, 2010 in a certain suit styled: City of Fort Worth, Et Al vs Virginia Sadler, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B36431-07 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 15th day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 27th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

2-1-8

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-E24183-08

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:

The unknown officers, agents, successors and assigns of Aerial Surveys, Inc, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Aircraft 1967 Cessna 320E, Acct #11411783, an addition to the City of Euless, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $4,358.81 Dollars, 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 herein.

You are hereby notified that suit has been brought by: County of Tarrant, City of Euless, Pltfs. Hurst-Euless-Bedford ISD, Intv. against Aerial Surveys, Inc as defendants.

By Plaintiff’s First Amended Original Petition filed on January 27th, 2010 in a certain suit styled: County of Tarrant, Et Al VS Aerial Surveys, Inc. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-E24183-08 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 15th day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 27th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

2-1-8

----------

 

CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B35334-07

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:

The unknown heirs, executors, administrators and assigns of Frank G Adams deceased, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 8, Blk 6 out of Lakeview Add. Acct #01560131, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $3,243.74 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant, Pltfs. Fort Worth Independent School, Intv. against Frank G Adams as defendants.

By Plaintiffs First Amended Original Petition filed on January 12th, 2010 in a certain suit styled: City of Fort Worth, Et Al vs Estate of Frank G Adams, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B35334-07 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 13th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-25/2-1

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B34931-06

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:

The unknown heirs, executors, administrators and assigns of Lillian L Moyers deceased, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 24, Blk 12 out of Glen Park Add. Acct #01053922, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $3,802.21 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant, Pltfs. Fort Worth Independent School, Intv. against Lillian L Moyers as defendants.

By Plaintiffs First Amended Original Petition filed on January 12th, 2010 in a certain suit styled: City of Fort Worth, Et Al vs Lillian L Moyers, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B34931-06 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 13th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-25/2-1

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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:

The unknown officers, agents, successors and assigns of International Formula, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Personal Property Acct #940234DEN, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $742.80 Dollars, 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 herein.

You are hereby notified that suit has been brought by: Northwest Independent School District as Plaintiffs against International Formula as defendants.

By Plaintiff’s First Amended Original Petition filed on January 8th, 2010 in a certain suit styled: Northwest Independent School District VS International Formula. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-L25068-07 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: Tarrant County.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 13th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-25/2-1

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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:

The unknown officers, agents, successors and assigns of G S C Development Corp, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Being 3.269 Acres, more or less, out of the John M Ross Survey Acct #04643852, an addition to the City of Arlington, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $60,564.00 Dollars, 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 herein.

You are hereby notified that suit has been brought by: Et Al Tarrant County, Et Al City of Arlington as Plaintiffs against G S C Development Corp as defendants.

By Plaintiff’s First Amended Original Petition filed on January 8th, 2010 in a certain suit styled: Tarrant County Et Al VS G S C Development Corp. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-E25645-09 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: Arlington ISD.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 13th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-25/2-1

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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:

The unknown officers, agents, successors and assigns of Consolidated Truck Repair, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Personal Property Acct #950369DEN, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $421.25 Dollars, 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 herein.

You are hereby notified that suit has been brought by: Northwest Independent School District Et Al as Plaintiffs against Consolidated Truck Repair as defendants.

By Plaintiff’s First Amended Original Petition filed on January 8th, 2010 in a certain suit styled: Northwest Independent School District Et Al VS Consolidated Truck Repair. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-L25551-08 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: Tarrant County.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 13th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-25/2-1

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B40003-09

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:

The unknown officers, agents, successors and assigns of Futuro Inc, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Royalty Interest in and to the Stenna Hills Acct #1214268, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $6,793.15 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, Et Al Tarrant County, White Settlement ISD as Plaintiffs against Futuro Inc as defendants.

By Plaintiff’s First Amended Original Petition filed on January 12th, 2010 in a certain suit styled: City of Fort Worth, Et Al VS Futuro Inc. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B40003-09 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010, (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 14th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-25/2-1

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THE STATE OF TEXAS

COUNTY COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 09-75006-2

TO: LOUIE R. RUIZ, 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. Two, 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 22nd day of February, A.D. 2010, and then and there to answer the Original Petition of The American National Bank of Texas as plaintiffs filed in said Court, on the 18th day of August A.D. 2009, against Louie R. Ruiz as defendants, said suit being numbered 09-75006-2, the nature of which demand is as follows, to-wit:

This is a suit on a note.

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 Tuesday, January 05, 2010.

SUZANNE HENDERSON,

County Clerk

County Court at Law No. Two

Tarrant County, Texas

By /s/ Kenyatta Williams

Kenyatta Williams, 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.

1-11-19-25/2-1

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THE STATE

OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 141-241464-09

THE HUNTINGTON NATIONAL BANK VS. THERESA AWUOR, ET AL

TO: THE UNKNOWN HEIRS AT LAW OF ROBINSON AWUOR, Whose residence is unknown, GREETINGS:

You said DEFENDANT are hereby commanded to appear by filing a written answer to Plaintiff’s Affidavit for Cit. By Pub. before the 141st 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 March 15, 2010, then and there to answer the petition of The Huntington National Bank as Plaintiff.

Filed in said Court on January 20, 2010 Against The Unknown Heirs at Law of Robinson Awuor, as Defendant.

Said suit being numbered 141-241464-09 on the docket of said Court, the nature of which demand is as follow, to wit:

SYNOPSIS

Before me, the undersigned authority, personally appeared Affiant, who under oath administered by me, stated as follows:

“My name is Chalise R. Estes (”Affiant"). I am the attorney or agent for the Plaintiff in this suit, of sound mind, over the age of 18, and competent to make this Affidavit. I have personal knowledge of the matters set forth herein, and swear that they are true and correct.

“Plaintiff is the mortgagee of a certain Loan Agreement that is in default, which is secured by certain real property and improvements (”Property") which is commonly known as 5004 Darrow Lane, Arlington, Texas 76017 and now particularly described as:

Lot 12, Block 3, of Coronet Estates Addition, an Addition to the City of Arlington, Tarrant County, Texas, according to the map thereof recorded in Volume 388-123, Page 88, 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 January 27, 2010.

Thomas A. Wilder

Clerk of District

Courts of Tarrant

County, Texas

Tarrant County, Texas

By /s/ Marilyn A. Sheppard

Marilyn A. Sheppard, 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.

1-29/2-5-12-19

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THE STATE

OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 067-242835-10

IN RE: ORDER FOR FORECLOSURE CONCRNG GAYLA LYN VS.

TO: THE UNKNOWN HEIRS OF EVA FRANCENE JOHNSON, Whose residence is unknown, GREETINGS:

You said DEFENDANT are hereby commanded to appear by filing a written answer to Original Petition for Foreclosure 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 March 15, 2010, then and there to answer the petition of JPMorgan Chase Bank National Association as Plaintiff.

Filed in said Court on January 06, 2010 Against the Unknown Heirs of Eva Francene Johnson, as Defendant.

Said suit being numbered 067-242835-10 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, Gayla Lynn Todd aka Gayla L. Johnson, Lonna Lea Mickler aka Lonna Johnson, Walter Lee Johnson, Jr. and the Unknown Heirs of Eva Francene Johnson, Deceased, are the owners:

Lot 1, in Block 1, of Chisolm Park Estates Addition, an addition to the City of Hurst, Tarrant County, Texas, according to the map or plat thereof recorded in Volume 388-52, Page 34, Plat records, Tarrant County, Texas.

which has the address of 609 Chisolm Trail, Hurst, TX, 76054.

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 January 27, 2010.

Thomas A. Wilder

Clerk of District

Courts of Tarrant

County, Texas

Tarrant County, Texas

By /s/ Marilyn A. Sheppard

Marilyn A. Sheppard, 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.

1-29/2-5-12-19

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CITATION BY

PUBLICATION

CAUSE NO. 2002-1542-2

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 February 15th, 2010 A.D., 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 Dyann McCully aka R. Dyann McCully, Successor Guardian of the Estate filed herein January 26th, 2010 and show cause why this Court should not determine who are the heirs and the only heirs in the estate of Lois Jean Scott, Deceased.

Petitioner prays that the decedent died in Fort Worth, Texas on August 8th, 2009 and prays that the Court hear evidence sufficient to determine who are the heirs and the only heirs of Lois Jean Scott, Deceased.

GIVEN UNDER MY HAND AND SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County, Texas on the 27th day of January, 2010.

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

1-29

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CITATION BY

PUBLICATION

CAUSE NO. 09-PR02435-2

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 February 15th, 2010 A.D., 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 Andrea Joan Williams aka Andrea J. Williams aka Andrea Williams filed herein January 26th, 2010 and show cause why this Court should not determine who are the heirs and the only heirs in the estate of Felica A. Williams, Deceased.

Petitioner prays that the decedent died in Fort Worth, Texas on August 15th, 2009 and prays that the Court hear evidence sufficient to determine who are the heirs and the only heirs of Felica A. Williams, Deceased.

GIVEN UNDER MY HAND AND SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County, Texas on the 26th day of January A.D. 2010.

SUZANNE HENDERSON

Clerk of the

Probate Courts of

Tarrant County, Texas

100 W. Weatherford

Street

Fort Worth, Texas

76196-0401

/s/ Darlene McKown

Darlene McKown, Deputy

1-29

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CITATION BY

PUBLICATION

CAUSE NO. 10-PR00149-2

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 February 15th, 2010 A.D., 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 John Estel Doolin aka John E. Doolin aka John Doolin filed herein January 21st, 2010 and show cause why this Court should not determine who are the heirs and the only heirs in the estate of John Bradford Doolin, Deceased.

Petitioner prays that the decedent died in Fort Worth, Texas on November 18th, 2009 and prays that the Court hear evidence sufficient to determine who are the heirs and the only heirs of John Bradford Doolin, Deceased.

GIVEN UNDER MY HAND AND SEAL of said Court at office in the City of Fort Worth, Texas, Tarrant County, Texas on the 22nd day of January, A.D. 2010.

SUZANNE HENDERSON

Clerk of the

Probate Courts of

Tarrant County, Texas

100 W. Weatherford

Street

Fort Worth, Texas

76196-0401

/s/ Darlene McKown

Darlene McKown, Deputy

1-29

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THE STATE

OF TEXAS

DISTRICT COURT,

TARRANT COUNTY

CITATION BY

PUBLICATION

CAUSE NO. 067-242689-09

BANK OF AMERICA, N.A. VS. MICHAEL J. FUELLER, ET AL

TO: THE UNKNOWN HEIRS OF JOSEPH P. FUELLER, Whose residence is unknown, GREETINGS:

You said DEFENDANT are hereby commanded to appear by filing a written answer to Original Petition for Foreclosure 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 March 08, 2010, then and there to answer the petition of Bank of America, N.A. as Plaintiff. Filed in said Court on December 28, 2009 Against The Unknown Heirs of Joseph P. Fueller as Defendant.

Said suit being numbered 067-242689-09 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, Michael J. Fueller, Joseph Fueller, Bank of America, N.A., and the Unknown Heirs of Joseph P. Fueller, Deceased, are the owners:

Lot 14, Block B, Northridge Addition, Third Section, to the City of Mansfield, Tarrant County, Texas, according to the Plat thereof, as recorded in Volume 388-217, Page 37, of the Public Records of Tarrant County, Texas.

which has the address of 1007 Canary Ln., Mansfield, TX, 76063.

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 January 20, 2010.

Thomas A. Wilder

Clerk of District

Courts of Tarrant

County, Texas

Tarrant County, Texas

By /s/ Marilyn A. Sheppard

Marilyn A. Sheppard, 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.

1-22-29/2-5-12

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B38963-09

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:

Jerry L Terry, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot Q, Blk 1 out of the Hinton Sub. Acct #01312464, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $5,998.73 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, Tarrant County Et Al, Pltfs. Fort Worth Independent School, Intv. against Jerry L Terry as defendants.

By Plaintiff’s Second Amended Original Petition filed on January 8th, 2010 in a certain suit styled: City of Fort Worth, Et Al VS Jerry L Terry, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B38963-09 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 12th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-22-29

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B34990-06

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:

Patricia Ann Meyers, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown. The unknown officers, agents, successors and assigns of Source One Mortgage Services Corporation, all of whose names and residences are unknown; The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 21, Blk 12 out of Candleridge Add. Acct #00412635, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $7,131.41 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant, Pltfs. Fort Worth Independent School, Intv. against Patricia Ann Meyers, Source One Mortgage Corporation as defendants.

By Plaintiff’s Third Amended Original Petition filed on January 8th, 2010 in a certain suit styled: City of Fort Worth, Et Al VS Jackie E Meyers, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B34990-06 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 13th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-22-29

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B34432-06

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:

Bernard L Davis, Maxine Davis, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown; The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lots 7 & 8, Blk 102 out of Chamberlain Arlington Heights Acct #00511242, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $3,636.61 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant, Pltfs. Fort Worth Independent School, Intv. against Bernard Davis & Maxine Davis as defendants.

By Plaintiff’s First Amended Original Petition filed on January 12th, 2010 in a certain suit styled: City of Fort Worth, Et Al VS Bernard L Davis. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B34432-06 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 13th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-22-29

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B32255-03

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:

Buena Maxwell, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown. The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 19 & 20, Blk 62 out of Chamberlain Arlington Heights Acct #00504130, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $4,112.47 Dollars, 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 herein.

You are hereby notified that suit has been brought by: Fort Worth Independent School, Pltf. City of Fort Worth, County of Tarrant, Intv. against Buena Maxwell as defendants.

By Plaintiff’s Second Amended Original Petition filed on January 12th, 2010 in a certain suit styled: City of Fort Worth VS Buena Maxwell. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B32255-03 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 13th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-22-29

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B39632-09

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:

Tom Blanton, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown; The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Business Personal Property Acct #12239038, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $4,811.39 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth Et Al, Northwest Independent School, Tarrant County as Plaintiffs against Tom Blanton as defendants.

By Plaintiff’s First Amended Original Petition filed on January 12th, 2009 in a certain suit styled: City of Fort Worth, Et Al & Northwest Independent Et Al VS Tom Blanton. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B39632-09 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 14th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-22-29

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CITATION BY

PUBLICATION

IN TAX SUIT

NO. 236-B36269-07

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:

Elsa E C Flores, if living, and if married, their unknown spouse(s), and if any party or parties be deceased, then her, his or their unknown heirs, executors, administrators and assigns, all of whose names and residences are unknown; The unknown owner, owners or assigns of the property hereinafter described, all of whose names and residences are unknown; and any other persons, including adverse claimants, owning or having or claiming any legal or equitable interest in or lien upon the following described property delinquent to Plaintiffs herein for taxes, to wit:

Lot 14, Blk 5 out of James Harrison Sub. Acct #01184350, an addition to the City of Fort Worth, Tarrant County, Texas

Which said property is delinquent to plaintiffs for taxes in the following amounts: $5,197.36 Dollars, 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 herein.

You are hereby notified that suit has been brought by: City of Fort Worth, County of Tarrant Et Al, Pltfs. Fort Worth Independent School, Intv. against Elsa E C Flores as defendants.

By Plaintiff’s Second Amended Original Petition filed on January 12th, 2010 in a certain suit styled: City of Fort Worth, Et Al VS Elsa E C Flores, Et Al. For collection of the taxes on said property and that said suit is now pending in the District Court of Tarrant County, Texas, 236th Judicial District, and the file number of said suit is 236-B36269-07 that the names of all taxing units which assess and collect taxes on said property, herein above described, not made parties to this suit are: None.

Plaintiffs and all other taxing units which may set up their tax claims herein seek recovery of delinquent ad valorem taxes on said property hereinabove described, and in addition to the taxes all interest, penalty, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of its liens if any, securing the payment of same, as provided by law.

All parties to this suit, including plaintiffs, defendants and intervenors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delinquent thereon at any time thereafter up to the day of judgment, including all interest, penalties, and cost allowed by law thereon, may, upon request therefore, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may hereafter be filed in said cause by all other parties herein, and all of those taxing units above named who may intervene herein and set up their respective tax claims against said property.

You are hereby commanded to appear by filing a written answer to plaintiffs petition 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 1st day of March, 2010 (which is the return day of such citation), before the Honorable District Court of Tarrant County, Texas, 236th Judicial District, to be held at the court house 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 plaintiffs 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 herein, and all costs of this suit.

Issued and given under my hand and seal of said Court in the City of Ft. Worth, Tarrant County, Texas, this the 14th day of January, 2010.

/s/ Thomas A. Wilder

Thomas A. Wilder

District Clerk

Tarrant County, Texas

By: /s/ Shelly Crooks

Deputy Shelly Crooks

1-22-29

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