(Published in the Stillwater News Press November 5, 12, 19, 2015. 3t) CASE NO. CJ-2015-426 PUBLICATION NOTICE STATE OF OKLAHOMA TO: Minnie Mae Gaines, if living, or if deceased, her unknown heirs, executors, administrators, devisees, trustees, grantees, successors and assigns; Mary Toal, if living, or if deceased, her unknown heirs, executors, administrators, devisees, trustees, grantees, successors and assigns; Clarence E. Dennis, if living, or if deceased, his unknown heirs, executors, administrators, devisees, trustees, grantees, successors and assigns; Charles E. Dennis, if living, or if deceased, his unknown heirs, executors, administrators, devisees, trustees, grantees, successors and assigns; The heirs, successors, executors, successors, and assigns of Josephine R. Dennis, deceased; Phillip Joe Fitzsimmons, if living, or if deceased, his unknown heirs, executors, administrators, devisees, trustees, grantees, successors and assigns; Estle Theodoria Fitzsimmons, if living, or if deceased, her unknown heirs, executors, administrators, devisees, trustees, grantees, successors and assigns; the heirs, successors, executors, successors, and assigns of Bessie Lorene Buntin, deceased; the heirs, successors, executors, successors, and assigns of Floyd Arthur Buntin, deceased; and Floyd Arthur Buntin, Bessie Lorene Buntin, Patricia Imboden, or currently serving Trustee of the Floyd Arthur Buntin Revocable Trust of 1993. You, and each of you, the above named, are hereby notified that you have been sued in the District Court of Payne County, Oklahoma, in Cause No. CJ-2015-426 wherein Leslie D. Imboden, Trustee of the Leslie D. Imboden Revocable Trust is Plaintiff, and you and each of you above named, are Defendants. THEREFORE, take notice that unless you answer on or before the 18th day of December, 2015, the Petition of the Plaintiff filed in said cause will be taken as true and judgment will be rendered as prayed for therein, quieting title in Plaintiff in and to the following-described property situated in Payne County, Oklahoma, to-wit: All of the Northeast Quarter (NE/4) of Section Thirteen (13), Township Nineteen (19) North, Range Three (3) East of the Indian Meridian, Payne County, State of Oklahoma, LESS AND EXCEPT all that part of the East Half (E/2) of the Northeast Quarter (NE/4) of Section Thirteen (13), Township Nineteen (19) North, Range Three (3) East of the Indian Meridian which lies South and East of the right of way for State Highway No. 51 (now known as Old Highway 51), containing 17 acres, more or less, And LESS AND EXCEPT a tract in the Northeast Quarter (NE/4) of Section Thirteen (13), Township Nineteen (19) North, Range Three (3) East of the Indian Meridian, more particularly described as follows: Beginning at a point on the section line 1482.7 feet West of the NE corner of said NE/4, thence South 577.5 feet, thence West 400 feet, thence North 577.5 feet, then East 400 feet to the point of beginning, Payne County, Oklahoma (The interests described above will hereinafter be referred to as the “Subject Property”); and forever barring the Defendants, and each of them, from claiming or asserting any title or interest of any kind or nature in and to the Subject Property, and for such other and further relief as the Court might deem just and proper. For further particulars, you are referred to the Petition filed herein. Lori Allen Court Clerk Michelle Nabors (OBA #31666) Harrison& Mecklenburg, Inc. 205 West Seventh, Suite 104 P.O. Box 2354 Stillwater, OK 74076 Attorney for the Plaintiff
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