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Public Notices NOTICE OF UNCLAIMED VEHICLES/PUBLIC SALE The following vehicles are subject to towing, repair and/or storage liens; are declared to be abandoned pursuant to Section 56-5-5810, 56-5-5635 and/or 29-15-10 SC Law as Amended; and are in the custody of Puff Howard's Towing, 2426 Waites Rd., Cola., SC 29204 1992 CHEVY S10 SU VIN# 1GNCS13W1N2203348, owners: Michon Gregg & GB Vehicle CO LTD. 2001 MITSUB GALANT ES, VIN# 4A3AA46G71E163727 1996 CHEVY S-10 Vin#1GCCS1447TK229133 2002 CHEVY CAMARO VIN# 2G1FP22K722172035 owners: Rudy Fulmore Jr. & Capitol One Auto. 1988 BUICK PARK AVE VIN# 1G4CW51C6J1608839 owners: Tammy S. Samuels & Carolina Title Loans. The owner/lienholder may reclaim vehicle within fifteen (15) days of this notice by paying to the custodian of the vehicle all charges authorized by law. Additional storage and/or processing costs may be added after the date of this notice. The failure of the owner/lienholder to exercise their right to reclaim the vehicle within the time provided may be deemed a waiver of all right, title and interest in the vehicle and their consent to sale of the vehicle at public auction. Public sale will take place at the business of the custodian of the vehicle at 10 a.m. on the first Monday of the month following the expiration of 30 days from the date of this notice. April 10, 2007
NOTICE OF UNCLAIMED VEHICLES/PUBLIC SALE The following vehicles were Ordered Towed by Law Enforcement or Customer ordered tows and no one has claimed these vehicles as of 04/09/07. There is a lien on these vehicles for towing and storage charges and any additional storage or costs from the date of this notice. After fifteen (15) days from the date of this notice, Columbia Paint and Automotive at 821 Pepper Street, Columbia, SC 29209 will apply to the Lykesland Magistrate to sell these vehicles at Public Auction. If sold at Public Auction the successful bidder will get a title free and clear of any liens and encumbrances under section 56-5-5640. All parties that have any interest in the following vehicles have until the day of the auction to reclaim the vehicle upon payment of all charges. 1997 Dodge Caravan, VIN # 1B4GP44RXVB405141 Owner: Synthia Sullivan, 7074 Grove Street, B-1, Irvington, NJ 07111 1993 Chevrolet Cavalier, VIN # 1G1JC5446P7160299 Owner: Daniel J. Farrell, 1101 Hallbrook Dr., Apt. F7, Columbia, SC 29209 1991 Pontiac Grand Am, VIN # 1G2NG54U4MC548071 Owner: Heather Leigh Cooke, 10 Jadetree Ct., Hopkins, SC 29061. Owner: Vanessa A. James, 886 Finley Road, Rock Hill, SC 29730 1994 Mitsubishi Mirage, VIN # JA3EA21A0RU041593 Owner: Ronald D. Davis, 1001 True Street, Apt. 710, Columbia, SC 29209 1995 Saturn SC1, VIN # 1G8ZE1280SZ206848 Owner: Lareece G. Chambers, 204 Goff Pond Road, Hopkins, SC 29061 1994 Mazda 626, VIN # 1YVGE22C0R5115369 Owner: Norma L. Wages, 323 Ballentine Estates Rd, Irmo, SC 29063
NOTICE OF UNCLAIMED VEHICLES/PUBLIC SALE The following vehicles are subject to towing, repair and/or storage liens; are declared to be abandoned pursuant to Section 56-5-5810, 56-5-5635 and/or 29-15-10 SC Law as Amended; and are in the custody of Auto & Truck Alignment And Frame Service, Inc. 6207 Two Notch Rd. Columbia, SC 29223 1968 Cadillac Calais VIN # G8141399 Owners:Clifford M. Wilson The owner/lienholder may reclaim vehicle within fifteen (15) days of this notice by paying to the custodian of the vehicle all charges authorized by law. Additional storage and/or processing costs may be added after the date of this notice. The failure of the owner/lienholder to exercise their right to reclaim the vehicle within the time provided may be deemed a waiver of all right, title and interest in the vehicle and their consent to sale of the vehicle at public auction. Public sale will take place at the business of the custodian of the vehicle at 10 a.m. on the first Monday of the month following the expiration of 30 days from the date of this notice. April 10, 2007
NOTICE AND ORDER TO DEMOLISH April 3, 2007 City of Columbia vs. Christiana Bank and Trust 323 Fifth Street Eureka, CA 95501 RE: 3109 Carver Street TMS# 11507-20-02 Dear Sirs or Mame: Upon inspection of the remaining structure of the above-mentioned address, I have determined this house to be an imminent danger as provided for in §109 of the International Proper Maintenance Code (IPMC) as adopted by the City of Columbia. You are therefore ordered by the Department of Development Services pursuant to § 110 of the IPMC to demolish this structure and clear the premises of debris by May 3, 2007. § 111.1 Appeals:: Any person receiving the Order from this office of deficiencies under this Code may within twenty (20) days following the date of such notice enter an appeal in writing to the Property Maintenance Board. The appeal must state the location of the property and the grounds for appeal. An application for appeal shall be based on a claim that the true intent of this code or the rules legally adopted thereunder have been incorrectly interpreted, the provisions of this code do not fully apply. Or the requirements of this code are adequately satisfied by other means. Failure to comply with this Order will cause legal action or demolition by the City of Columbia without further notice and the amount of the cost of such removal or demolition shall be billed directly to the owner of the property upon which the cost was incurred as well as a lien attached to the subject property in the amount of the cost for the demolition and removal. Sincerely: Billy Kennett Housing Official
SUMMONS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS DEFICIENCY - NONJURY 07-CP-40-1337 SOUTH CAROLINA FEDERAL CREDIT UNION, Plaintiff, vs. TYRON A. BUTLER A/K/A TYRON A. BUTLER, SR., Defendant. TO THE DEFENDANT ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint in this action, a copy of which is hereby served upon you and to serve a copy of your Answer to said Complaint on the subscribers at their offices, Moore & Van Allen PLLC, 40 Calhoun Street, Suite 300, Post Office Box 22828, Charleston, South Carolina 29413-2828, or to otherwise appear and defend, within thirty (30) days after the service hereof, exclusive of the day of such service, and if you fail to answer the Complaint, or otherwise to appear and defend, within the time aforesaid, the Plaintiff in this action will obtain a judgment by default against you for the relief demanded in the Complaint. Cynthia Jordan Lowery Colleen A. McConnell MOORE & VAN ALLEN, PLLC 40 Calhoun Street, Suite 300 Post Office Box 22828 Charleston, SC 29413-2828 Telephone: (843) 579-7000 Facsimile: (843) 579-8714 cynthialowery@mvalaw.com colleenmcconnell@mvalaw.com ATTORNEYS FOR PLAINTIFF SOUTH CAROLINA FEDERAL CREDIT UNION February 27, 2007 CHARLESTON, SC NOTICE OF FILING COMPLAINT TO DEFENDANT Tyron A. Butler a/k/a Tyron A. Butler, Sr.: YOU WILL PLEASE TAKE NOTICE that the original Complaint in the above-entitled action, together with the Summons and Civil Action Coversheet, were filed in the Office of the Clerk of Court for Richland County, South Carolina, on March 1, 2007, at 10:18 a.m., the object and prayer of which is the recovery a sum certain due Plaintiff by Defendant and for such other and further relief as set forth in the Complaint. Cynthia Jordan Lowery Colleen A. McConnell MOORE & VAN ALLEN, PLLC 40 Calhoun Street, Suite 300 Post Office Box 22828 Charleston, SC 29413-2828 Telephone: (843) 579-7000 Facsimile: (843) 579-8714 cynthialowery@mvalaw.com colleenmcconnell@mvalaw.com ATTORNEYS FOR PLAINTIFF SOUTH CAROLINA FEDERAL CREDIT UNION CHARLESTON, SC April 9, 2007
SUMMONS AND NOTICE STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE FAMILY COURT FIFTH JUDICIAL CIRCUIT 07DR401194 HORTENSIA JESUS OLIVA, PLAINTIFF, vs. JOSE NOE OLIVA, DEFENDANT. TO THE DEFENDANT: JOSE NOE OLIVA YOU ARE HEREBY SUMMONED and required to answer the Complaint in this action, a copy of which is herewith served upon you, and to serve a copy of your answer on the subscriber in his office, 5115 forest Dr., Suite G, Post Office Box 6833, Columbia, South Carolina, within thirty (30) days after the service hereof, exclusive of the day of such service, and if you fail to answer the Complaint within the time aforesaid, the Plaintiff in this action will apply to the Court for the relief demanded in the Complaint. YOU WILL PLEASE TAKE NOTICE, that the Summons in the above captioned action, of which the foregoing is a copy, together with the Complaint, therein, were filed in the Office of the Clerk of Court for Richland County on the 30th day of March, 2007. Melvin D. Bannister Columbia, South Carolina 27th day of March, 2007.
SUMMONS AND NOTICE OF FILING OF COMPLAINT STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS (NON-JURY MORTGAGE FORECLOSURE) 2007-CP-40-1350 DEFICIENCY WAIVED Bank of New York, as Trustee for fhe Ccrtificateholders CWABS, Inc., Asset-Backed Certificates, Series 2006-8, PLAINTIFF, vs. Darryl-Arthur T. Wright, DEFENDANT. F27-01499 TO THE DEFENDANTS, ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint in the above entitled action, a copy of which is herewith served upon you, and to serve a copy of your answer upon the undersigned at their office, 1300 Pickens Street, Columbia, South Carolina, within thirty (30) days after service hereof upon you, exclusive of the day of such service, and if you fail to answer fhe Complaint within the time aforesaid or otherwise appear and defend, the Plaintiff, in this action will apply to the Court for the relief demanded in the Complaint, and judgment by default will be rendered against you for the relief demanded in the Complaint. NOTICE IS HEREBY GIVEN that the original Complaint in the above entitled action was filed in the Office of the Clerk of Court for Richland County on March 1, 2007. KORN LAW FIRM, P.A. P.O. Box 11264 1300 Pickens Street Columbia, SC 29211-1264 JOHN S. KAY Attorney for Plaintiff Columbia, South Carolina April 5, 2007 LIS PENDENS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS (NON-JURY MORTGAGE FORECLOSURE) 2007-CP-40-1350 DEFICIENCY WAIVED Bank of New York, as Trustee for fhe Ccrtificateholders CWABS, Inc., Asset-Backed Certificates, Series 2006-8, PLAINTIFF, vs. Darryl-Arthur T. Wright, DEFENDANT. F27-01499 NOTICE IS HEREBY GIVEN that an action has been commenced and is now pending in this court upon Complaint of the above-named Plaintiff against the above-named Defendant for foreclosure of a certain mortgage of real estate given by Darryl-Arthur T. Wright to Mortgage Electronic Registration Systems, Inc., acting solely as a nominee for America's Wholesale Lender in the amount of One Hundred Thirty- One Thousand One Hundred And 00/100 ($131,100.00) Dollars, dated May 26, 2006, and recorded in the Office of the Register of Deeds for Richland County in Book 1194 Page 574. Thereafter, by virtue of an assignment to Mortgage Electronic Registration Systems, Inc., acting solely as a nominee for America's Wholesale Lender assigned said mortgage unto Bank of New York, as Trustee for the Certificateholders CWABS, Inc., Asset-Backed Certificates, Series 2006-8. Bank of New York, as Trustee for the Certificateholders CWABS, Inc., Asset-Backed Certificates, Series 2006-8 is present lienholder and Plaintiff herein. The premises covered and affected by the said mortgage as by the foreclosure thereof, were, at the time of the making thereof, and at the time of the filing of this Notice, described as follows: LEGAL DESCRIPTION AND PROPERTY ADDRESS: All that certain piece. Parcel or tract of land, with any improvements thereon, situate, lying and being in the City of Irmo, County of Richland, State of South Carolina, being shown and delineated as Lot 45 of Park Place on a plat of said subdivision prepared for Dream Homes, Inc. by Associated E & S, Inc., dated June 12, 2000, recorded August 22, 2000 in Record Book 436 at page 781, Office of the Register of Deeds for Richland County, said property being more fully shown and delineated as Lot 45 of Park Place, containing 0.25 acres, on a plat prepared for T&J Padalino, LLC by Cox and Dinkins dated November 8, 2001, recorded in Record Book 593 at page 2635, Office of the Register of Deeds for Richland County, and having such boundaries and measurements as shown on the last above described plat, which is specifically incorporated by reference herein. This being the same property conveyed to Darryl-Arthur T. Wright by deed of Diane B. Jones dated May 26, 2006 and recorded June 13, 2006 in Book 1194 at Page 571 in the Office of the Register of Deeds for Richland County, South Carolina. 108 Jonathan Lane, Irmo, SC 29063 TMS #: 04003-05-12 KORN LAW FIRM, PA. 1300 Pickens Street. P.O. Box 11264 Columbia, SC 29211-1264 J. SCOTT WALLS Attorney for Plaintiff Columbia, South Carolina February 27, 2007 NOTICE TO APPOINT AN ATTORNEY FOR DEFENDANT IN THE MILITARY STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS (NON-JURY MORTGAGE FORECLOSURE) 2007-CP-40-1350 DEFICIENCY WAIVED Bank of New York, as Trustee for fhe Ccrtificateholders CWABS, Inc., Asset-Backed Certificates, Series 2006-8, PLAINTIFF, vs. Darryl-Arthur T. Wright, DEFENDANT. F27-01499 TO THE DEFENDANT: Darryl-Arthur T. Wright NOTICE IS HEREBY GIVEN that as a Defendant in the Military Service of the United States of America, you may be entitled to the benefits of the Soldiers and Sailors Civil Relief Act of 1940 and any amendments thereto, and that unless you apply for the appointment of an attorney to represent you as a defendant in the Military Services of the United States of America in the above entitled action within thirty days of the service of this notice upon you that the Plaintiff will move the court to have the appointment of an attorney for you made absolute. KORN LAW FIRM, P.A. PO BOX 11264 1300 PICKENS STREET COLUMBIA, SC 29211-1264 J. Scott Walls Attomey for Plaintiff Columbia, South Carolina 2-28-2007
SUMMONS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE FAMILY COURT 07-DR-40-1226 Jacquelyn Edge, Plaintiff vs. Andrew Wayne Edge, Defendant TO THE DEFENDANT NAMED ABOVE: YOU ARE HEREBY SUMMONED and required to answer the Complaint in this action of which a copy is hereby served upon you. Serve a copy of your Answer to this action, on the subscriber at his office at 6708 Lake Arcadia Lane, Columbia, South Carolina 29206 within thirty (30) days after date of service, exclusive of the day of such service. If you fail to answer the Complaint within the time prescribed, the Plaintiff will apply to the Court for a judgment by default, and for the relief requested in the Complaint. RESPECTFULLY SUBMITTED, Eric Mohn,Esq. 6708 Lake Arcadia Lane Columbia SC 29206 803-920-0220 April 2, 2007
SUMMONS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE FAMILY COURT OF THE FIFTH JUDICIAL CIRCUIT 06-DR-40-3538 ANTHONY WILLIAMS, PLAINTIFF, vs. TERRI L. WILLIAMS, DEFENDANT. TO: TERRI L. WILLIAMS, DEFENDANT NAMED ABOVE: YOU ARE HEREBY SUMMONED and required to Answer the Complaint in this action of which a copy is herewith served upon you and to serve a copy of your Answer on the subscriber at his office, 2008 Marion Street, Suite G, Columbia, South Carolina 29201, within thirty (30) days after service thereof, exclusive of the day of such service; and, if you fall to answer the Complaint within the time aforesaid, a judgment by Default will be rendered against you for relief demanded in this Complaint. LAW OFFICES OF STEPHEN L. HUDSON, P.C. Stephen L. Hudson, Esquire 2008 Marion Street, Suite G Post Office Box 5782 Columbia, SC 29201 Columbia, South Carolina September 26, 2006.
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SUMMONS AND NOTICES STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS 2006-CP-40-7259 JIMMIE DIXON, Plaintiff vs. MARY GASKINS, A/K/A MARYE A. THOMPSON, AND THE SOUTH CAROLINA DEPARTMENT OF REVENUE, Defendant(s) TO THE DEFENDANT : YOU ARE HEREBY SUMMONED and required to answer the Complaint in the above action, a copy which is herewith served upon you, and to serve a copy of your Answer upon the,undersigned at his office, 7335 Saint Andrews Road, Irmo, South Carolina, 29063, within thirty (30) days after service upon you, exclusive of the day of such service, and, if you fail to answer the Complaint within the time aforesaid, judgment by default will be rendered against you for relief demanded in the Complaint. NOTICE NOTICE IS HEREBY GIVEN that the original Complaint in this action was filed in the Office of the Clerk of Court for Richland County on January 16, 2007. NOTICE OF PENDENCY OF ACTION NOTICE IS HEREBY GIVEN THAT an action has been commenced and is now pending or is about to be commenced in the Circuit Court upon the Complaint of the above named Plaintiff against the above named Defendant for the purpose of reformation of a deed and that the premises effected are situated in the County ofRichland, State of South Carolina, and is described as follows: Lot 29 and Lot 30 of Cabin Creek Subdivision TMS# 24505-05-02 and TMS# 24505-05-03 Douglas E. Leadbitter Harvey, Casterline & Vallini, L.L.P. 7335 Saint Andrews Road Irmo, S.C. 29063 Attorney's for Plaintiff 803-212-1010 telephone 803-409-1414 facsimile
SUMMONS AND NOTICES STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS 2007-CP-40-0505 JESSE D. SIMMONS, Plaintiff vs. DAVID A. ADAMS AS TREASURER OF RICHLAND COUNTY; J.R.P., INC., AS DEFAULTING TAXPAPER A/K/A JRP., INC.JRP, INC. JRP INC., ITS SUCCESSORS AND/OR ASSIGNS Defendant(s) TO THE DEFENDANT : YOU ARE HEREBY SUMMONED and required to answer the Complaint in the above action, a copy wliich is herewith served upon you, and to serve a copy of your Answer upon the undersigned at his office, 7335 Saint Andrews Road, Irmo, South Carolina, 29063, within thirty (30) days after service upon you, exclusive of the day of such service, and, if you fail to answer the Complaint within the time aforesaid, judgment by default will be rendered against you for relief demanded in the Complaint. NOTICE NOTICE IS HEREBY GIVEN that the original Complaint in this action was filed in the Office of the Clerk of Court for Richland County on January 23, 2007. NOTICE OF PENDENCY OF ACTION NOTICE IS HEREBY GIVEN THAT an action has been commenced and is now pending or is about to be commenced in the Circuit Court upon the Complaint of the above named Plaintiff against the above named Defendant for the purpose of terminating any and all interest the Defendant has in and to the property which is the subject of this action, that the premises effected are situated in the County of Richland, State of South Carolina, and is described as follows: All that certain piece, parcel, lot of land, situate, lying and being in the County of Richland, State of South Carolina, being shown and delineated as Lot 1, Block G on a Plat of Raintree Acres Subdivision prepared by Palmetto Engineering Company, dated November 14, 1972 and recorded in the office of the Richland County ROD in Plat Book X at page 2716, said plat being hereto craved for a more complete and accurate description. Douglas E.Leadbitter Harvey, Casterline & Vallini, L.L.P. 7335 Saint Andrews Irmo, SC 29063 803-212-1010 telephone 803-409-1414 facsimile
SUMMONS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS 07-CP-40-0684 Warren B. Giese, Solicitor, Fifth Judicial Circuit, Plaintiff, vs. Five Thousand Three Hundred Eighty Five and 00/100ths ($5,385.00) Dollars US Currency, One (1) Gram Marijuana, A Quantity of Crack Cocaine, and Anthony Titus, An Interested Party, Defendants. TO: TO THE DEFENDANT ABOVE NAMED: ANTHONY TITUS AND AGENT LLOYD DUNHAM, AND THE RICHLAND COUNTY SHERIFF'S DEPARTMENT, PERSONS KNOWN TO HAVE AN INTEREST IN THE DEFENDANT PROPERTY: YOU ARE HEREBY SUMMONED and required to answer the Complaint in this proceeding, copy of which is herewith served upon you, and to serve a copy of your Answer to the said Complaint on the undersigned at 2229 Bull Street, Columbia, South Carolina 29201 within thirty (30) days after the service hereof, exclusive of the date of such service, and if you fail to answer the Complaint within die time aforesaid, judgment by default will be rendered against you for the relief demanded in the Complaint. NOTICE IS HEREBY GIVEN mat the original Complaint in this action was filed in the Office of the Richland County Clerk of Court on January 30, 2007. David W. Farrell 2229 Bull Street Columbia, SC 29201 (803)256-7011 ATTORNEY FOR THE PLAINTIFF Columbia, South Carolina
AMENDED SUMMONS STATE OF SOUTH CAROLINACOUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS 2006-CP-40-007475 Mooring Tax Asset Group a/k/a Mooring Tax Asset Group, LLC,Plaintiff, vs.Melanie Steerman, Defendant. TO THE ABOVE-NAMED DEFENDANT IN THIS ACTION: YOU ARE HEREBY SUMMONED and required to answer the Complaint, filed on December 18, 2006, at the Office of the Clerk of Court for Richland County, South Carolina in this action, a copy of which is herewith served upon you, and to serve a copy of your Answer to the said Complaint on the subscribers at their offices listed below, within thirty (30) days after the service hereof, exclusive of the day of such service; and if you fail to answer the Complaint within time aforesaid, the Plaintiff in this action will apply to the Court for the relief demanded in the Complaint. Kristin Burnett Barber, SC Bar No. 70420 Johnson, Smith, Hibbard and Wildman Law Firm, LLP 220 North Church St, Ste 4 (29306) Post Office Drawer 5587 Spartanburg, SC 29304-5587 (864) 582-8121Attorneys for the Plaintiff Mooring Tax Asset Group, LLC March _____, 2007 Spartanburg, South Carolina
SUMMONS AND NOTICES STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS (NON-JURY MORTGAGE FORECLOSURE) 2007-CP-40-1867 NovaStar Mortgage, Inc.,PLAINTIFF, vs. Theodore J. Bittner,DEFENDANT(S). TO THE DEFENDANTS ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint herein, a copy of which is herewith served upon you, or to otherwise appear and defend, and to serve a copy of your Answer to said Complaint upon the subscribers at their office, 3955 Faber Place, Suite 200, P.O. Box 71727, North Charleston, South Carolina, 29415, or to otherwise appear and defend the action pursuant to applicable court rules, within thirty (30) days after service hereof, exclusive of the day of such service; except that the United States of America, if named, shall have sixty (60) days to answer after the service hereof, exclusive of such service; and if you fail to answer the Complaint or otherwise appear and defend within the time aforesaid, the Plaintiff in this action will apply to the Court for relief demanded therein, and judgment by default will be rendered against you for the relief demanded in the Complaint. TO MINOR(S) OVER FOURTEEN YEARS OF AGE, AND/OR TO MINOR(S) UNDER FOURTEEN YEARS OF AGE AND THE PERSON WITH WHOM THE MINOR(S) RESIDE(S) AND/OR TO PERSONS UNDER SOME LEGAL DISABILITY: YOU ARE FURTHER SUMMONED AND NOTIFIED to apply for the appointment of a guardian ad litem within thirty (30) days after the service of this Summons and Notice upon you. If you fail to do so, application for such appointment will be made by the Plaintiff. YOU WILL ALSO TAKE NOTICE that pursuant to Rule 53(b) SCRCP, as amended effective September 1, 2002, the Plaintiff will move for a general Order of Reference to the Master in Equity for Richland County, which Order shall, pursuant to Rule 53(b) of the South Carolina Rules of Civil Procedure, specifically provide that the said Master in Equity is authorized and empowered to enter a final judgment in this action. If there are counterclaims requiring a jury trial, any party may file a demand under rule 38, SCRCP and the case will be returned to the Circuit Court. FINKEL LAW FIRM LLC Post Office Box 71727 3955 Faber Place, Suite 200 North Charleston, SC 29415 (843) 577-5460 BEVERLY J. FINKEL THOMAS A. SHOOK ELIZABETH A. SHUFFLER/SUSAN S. WHITE RICHARD G. DUERINSKX JOSEPH T. MERLI NOTICE OF FILING COMPLAINT NOTICE IS HEREBY GIVEN that the original Complaint in the above entitled action, together with the Summons, was filed in the Office of the Clerk of Court for Richland County on March 22, 2007 at 3:30 P.M. FINKEL LAW FIRM LLC Post Office Box 71727 3955 Faber Place, Suite 200 North Charleston, SC 29415 (843) 577-5460 BEVERLY J. FINKEL THOMAS A. SHOOK ELIZABETH A. SHUFFLER/SUSAN S. WHITE RICHARD G. DUERINSKX JOSEPH T. MERLI LIS PENDENS NOTICE IS HEREBY GIVEN that an action has been commenced and is now pending in this court upon Complaint of the above-named Plaintiff against the above-named Defendants for foreclosure of a certain mortgage of real estate given by Theodore J. Bittner to Mortgage Electronic Registration Systems, Inc., as nominee for NovaStar Mortgage, Inc., in the amount of $ 82,400.00 dated November 10, 2005, and recorded in the Office of the Register of Deeds for Richland County in Book 1123 at Page 2740 on November 22, 2005. The premises covered and affected by the said mortgage as by the foreclosure thereof, were, at the time of the making thereof, and at the time of the filing of this Notice, described as follows: All that certain parcel or lot of land with improvements thereon, situate, lying and being in Harbison, County of Richland, State of South Carolina, being designated as Lot No. 13, Block No. 39, on a plat prepared for Van Nguyen and Eva Michell Partlow by Cox & Dinkins, Inc., dated February 26, 1986 and recorded in Plat Book 50 at Page 7575 in the Richland County ROD office. Reference is hereby made to aforesaid plat for a more complete description as to metes and bounds, all measurements a little more or less. TMS#: 05009-01-42 Property Address: 51 Westgrove Court, Columbia, SC FINKEL LAW FIRM LLC Post Office Box 71727 3955 Faber Place, Suite 200 North Charleston, SC 29415 (843) 577-5460 BEVERLY J. FINKEL THOMAS A. SHOOK ELIZABETH A. SHUFFLER/SUSAN S. WHITE RICHARD G. DUERINSKX JOSEPH T. MERLI Charleston, South Carolina March 21, 2007
SUMMONS AND NOTICES STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS (NON-JURY MORTGAGE FORECLOSURE) 2007-CP-40-1833 HSBC Bank USA, National Association, as Trustee for the holders of the certificates issued by Deutsche Alt-A Securities Mortgage Loan Trust, Series 2006-AR3,PLAINTIFF, vs. Annie Richardson; Mortgage Electronic Registration Systems, Inc., as nominee for Oak Street Mortgage LLC; and Willie Mae Garrick,DEFENDANT(S). TO THE DEFENDANTS ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint herein, a copy of which is herewith served upon you, or to otherwise appear and defend, and to serve a copy of your Answer to said Complaint upon the subscribers at their office, 3955 Faber Place, Suite 200, P.O. Box 71727, North Charleston, South Carolina, 29415, or to otherwise appear and defend the action pursuant to applicable court rules, within thirty (30) days after service hereof, exclusive of the day of such service; except that the United States of America, if named, shall have sixty (60) days to answer after the service hereof, exclusive of such service; and if you fail to answer the Complaint or otherwise appear and defend within the time aforesaid, the Plaintiff in this action will apply to the Court for relief demanded therein, and judgment by default will be rendered against you for the relief demanded in the Complaint. TO MINOR(S) OVER FOURTEEN YEARS OF AGE, AND/OR TO MINOR(S) UNDER FOURTEEN YEARS OF AGE AND THE PERSON WITH WHOM THE MINOR(S) RESIDE(S) AND/OR TO PERSONS UNDER SOME LEGAL DISABILITY: YOU ARE FURTHER SUMMONED AND NOTIFIED to apply for the appointment of a guardian ad litem within thirty (30) days after the service of this Summons and Notice upon you. If you fail to do so, application for such appointment will be made by the Plaintiff. YOU WILL ALSO TAKE NOTICE that pursuant to Rule 53(b) SCRCP, as amended effective September 1, 2002, the Plaintiff will move for a general Order of Reference to the Master in Equity for Richland County, which Order shall, pursuant to Rule 53(b) of the South Carolina Rules of Civil Procedure, specifically provide that the said Master in Equity is authorized and empowered to enter a final judgment in this action. If there are counterclaims requiring a jury trial, any party may file a demand under rule 38, SCRCP and the case will be returned to the Circuit Court. FINKEL LAW FIRM LLC Post Office Box 71727 3955 Faber Place, Suite 200 North Charleston, SC 29415 (843) 577-5460 BEVERLY J. FINKE /THOMAS A. SHOOK ELIZABETH A. SHUFFLER SUSAN S. WHITE RICHARD G. DUERINSKX JOSEPH T. MERLI NOTICE OF FILING COMPLAINT NOTICE IS HEREBY GIVEN that the original Complaint in the above entitled action, together with the Summons, was filed in the Office of the Clerk of Court for Richland County on March 21, 2007 at 1:09 P.M. FINKEL LAW FIRM LLC Post Office Box 71727 3955 Faber Place, Suite 200 North Charleston, SC 29415 (843) 577-5460 BEVERLY J. FINKE /THOMAS A. SHOOK ELIZABETH A. SHUFFLER SUSAN S. WHITE RICHARD G. DUERINSKX JOSEPH T. MERLI LIS PENDENS NOTICE IS HEREBY GIVEN that an action has been commenced and is now pending in this court upon Complaint of the above-named Plaintiff against the above-named Defendants for foreclosure of a certain mortgage of real estate given by Annie Richardson to Mortgage Electronic Registration Systems, Inc., as nominee for Oak Street Mortgage LLC, in the amount of $ 88,000.00 dated May 2, 2006, and recorded in the Office of the Register of Deeds for Richland County in Book 1184 at Page 1139 on May 18, 2006. The premises covered and affected by the said mortgage as by the foreclosure thereof, were, at the time of the making thereof, and at the time of the filing of this Notice, described as follows: All that certain piece, parcel or lot of land, with any improvements thereon, situate, lying and being in the County of Richland, in the State of South Carolina, being shown and designated as Lot No. 23, Block A, on a plat of Mandel Hall by William Wingfield, RLS, dated March 7, 1958 revised June 10, 1958 and recorded June 11, 1958 in Plat Book 11, at Page 83, and being more particularly shown and delineated on that certain plat prepared for Donald Ray Parish by McMillan Engineering Company, dated March 7, 1968 and recorded May 16, 1968 in Book 32, at Page 588. Said property further shown and delineated on a plat prepared for Latisha McCanic by J. Don Rawls, Jr., of Cox and Dinkins, Inc., dated March 15, 2002. Reference to said latter plat is hereby craved for a more complete and accurate description thereof. All measurements being a little more or less. TMS#: 06112-05-23 Property Address: 1753 Haviland Circle, Columbia, SC FINKEL LAW FIRM LLC Post Office Box 71727 3955 Faber Place, Suite 200 North Charleston, SC 29415 (843) 577-5460 BEVERLY J. FINKE /THOMAS A. SHOOK ELIZABETH A. SHUFFLER SUSAN S. WHITE RICHARD G. DUERINSKX JOSEPH T. MERLI Charleston, South Carolina March 19, 2007
SUMMONS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS 2007-CP-40-01850 Lori Corley Plaintiff, vs. David A. Adams, as Treasurer of Richland County, Arthur R. Ladia, Linda H. Ladia aka Linda K. Harp as defaulting taxpayers, Associates Financial Services of South Carolina, Inc., its Successors and assigns, Congaree Girl Scout Council, its successors and assigns, and also any and all persons, corporations, or entities claiming any right, title, interest in or lein upon the property subject of this action, through the named Defendants, any known adult, or otherwise, claiming such an interest being as a class designated as John Doe, and any unknown minor, or person under other legal disability being designated as a class a Richard Doe, Defendants. TO: TO THE DEFENDANTS ABOVE NAMED: David A. Adams, as Treasurer of Richland County, Arthur R. Ladia, Linda H. Ladia aka Linda K. Harp as defaulting taxpayers, Associates Financial Services of South Carolina, Inc., its Successors and assigns, Congaree Girl Scout Council, its successors and assigns, and also any and all persons, corporations, or entities claiming any right, title, interest in or lein upon the property subject of this action, through the named Defendants, any known adult, or otherwise, claiming such an interest being as a class designated as John Doe, and any unknown minor, or person under other legal disability being designated as a class a Richard Doe: YOU ARE HEREBY SUMMONED and required to answer the Complaint in this proceeding, copy of which is hereby served upon you, and to serve a copy of your answer to the said Complaint on the undersigned at 2229 Bull Street, Columbia, South Carolina 29201 within thirty (30) days after the service hereof, exclusive of the date of such service, and if you fail to answer the Complaint within the time aforesaid, judgment by default will be rendered against you for the relief demanded in the Complaint. NOTICE IS HEREBY GIVEN that the original Complaint in this action was filed in the Office of the Richland County Clerk of Court on March 22, 2007. George R. McElveen, III 2229 Bull Street Columbia, SC 29201 (803) 799-9581 ATTORNEY FORPLANTIFF Columbia, South Carolina
XXXXXXX SUMMONS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS (Non-Jury Foreclosure) 2006-CP-40-7183 Washington Mutual Bank, successor in interest to Fleet Mortgage Corp., Plaintiff, vs. David M. Robison III, Lamplighter Village Homeowners Association, Incorporated, and Evelyn C. Lucien, Defendants. TO THE DEFENDANTS ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint in this action of which a copy is herewith served upon you, and to serve a copy of your Answer on the subscribers at their offices, 1704 Main Street, Post Office Box 58, Columbia, South Carolina 29202, within thirty (30) days after the service hereof, exclusive of the day of such service, and if you fail to answer the Complaint within the time aforesaid, the Plaintiff in this action will apply to the Court for judgment by default for the relief demanded in the Complaint. Your answer must be in writing and signed by you or by your attorney and must state your address or the address of your attorney, if signed by your attorney. This communication is an attempt to collect a debt, and any information will be used for that purpose. McDONALD, McKENZIE, RUBIN, MILLER AND LYBRAND, L.L.P. Post Office Box 58 Columbia, SC 29202 (803) 252-0500 Ben N. Miller III Attorney for the Plaintiff December 4, 2006 NOTICE TO THE DEFENDANT DAVID M. ROBISON III: Notice is hereby given that the Complaint in the foregoing action, together with the Summons, of which the foregoing is a copy, was filed in the Office of the Clerk of Court for Richland County on the 4th day of December, 2006. McDONALD, McKENZIE, RUBIN, MILLER AND LYBRAND, L.L.P. Post Office Box 58 Columbia, SC 29202 (803) 252-0500 Ben N. Miller III Attorney for the Plaintiff March 22, 2007
SUMMONS STATE OF SOUTH CAROLINACOUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS (NON-JURY) 2007-CP-40-01856 CENTRAL CAPITAL, LLC,Plaintiff, vs.DAVID A. ADAMS, AS TREASURER OF RICHLAND COUNTY, McNEAL ROBINSON, PHILIP ROBINSON, NELLIE REID, ELIZABETH BELLAMY, TROY NEALRO ROBINSON, AND IF THE SAID McNEAL ROBINSON, PHILIP ROBINSON, NELLIE REID, ELIZABETH BELLAMY OR TROY NEALRO ROBINSON ARE DECEASED, THEN TO THEIR HEIRS OR DEVISEES AT LAW AND ALL OTHER PERSONS UNKNOWN CLAIMING ANY RIGHT, TITLE, INTEREST IN OR LIEN UPON THE REAL ESTATE DESCRIBED HEREIN AND ANY UNKNOWN INFANTS OR PERSON UNDER DISABLITY OR PERSONS IN THE MILITARY SERVICE HEREBY DESIGNATED AS A CLASS AS JOHN DOE,Defendants. YOU ARE HEREBY SUMMONED AND REQUIRED to answer the Complaint in this action, a copy of which is hereby served upon you and to serve a copy of your Answer upon the Subscriber at 1418 Park Street, Columbia, South Carolina, within thirty (30) days, thirty-five (35) days if service is by certified mail, exclusive of the day of said service, and if you fail to answer, appear or defend this action within the time aforesaid, judgment by default will be rendered against you for the relief demanded in the Complaint. H. Ronald Stanley Attorney for Plaintiff 1418 Park Street Post Office Box 7722 Columbia, SC 29202 (803) 799-4700 Columbia, South Carolina Dated: 3/21/07 NOTICE OF FILING NOTICE IS HEREBY GIVEN that the Summons and Complaint in the above entitled action was filed in the Office of the Clerk of Court for Richland County on March 21, 2007. H. Ronald Stanley Attorney for Plaintiff NOTICE OF PENDENCY OF ACTION LIS PENDENS NOTICE IS HEREBY GIVEN THAT an action has been commenced and is now pending in this Court upon a Complaint of the above named Plaintiff against the above named Defendants for the purpose of quieting title to the hereinafter described property and forever barring all claims, rights, title, interest or lien of the above named Defendants in and to the property hereinafter described. The property affected by this action is situated in the County of Richland, State of South Carolina, and is described as follows: All that certain piece, parcel or lot of land, with improvements thereon, situate, lying in the County of Richland, State of South Carolina, being shown as Lots 11 and 12, Block 10 on a plat of Colonial Heights, made by T.I. Weston, CE & recorded in the Office of the Register of Deeds for Richland County in Plat Book A Page 171. Said lots have a combined distance on the Northern and Southern sides, whereon it measures a distance of 104 feet; on its Eastern and Western sides; whereon it measures a distance of 125 feet, with all measurements being a little more or less. The said property being bounded as follows: on the North by Lots 6 and 7, block 10, of said plat; on the East by Lot 13, Block 10; on the South whereon it fronts on Shealy Street; on the West by Lots 3, 4 and 5, Block 10, of said plat. This being the same property conveyed by deed of distribution unto McNeal Robinson, et. al. and recorded in the Office of the Register of Deeds for Richland County on June 11, 2002 in Deed Book R672 at Page 2152. LAW OFFICES OF H. RONALD STANLEY H. Ronald Stanley Attorney for Plaintiff 1418 Park Street Post Office Box 7722 Columbia, SC 29202 (803) 799-4700 Columbia, South Carolina Dated: 3/21/07
SUMMONS AND NOTICES STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS 2007-CP-40-0611 Deutsche Bank National Trust Company, as Trustee under the applicable agreement, Plaintiff, vs. Henry Streater, Alexis Streater, Reputable Homes, LLC, MDC Financial Inc., The Summit Community Association, Inc., Residential Mortgage, Inc. and G.J. Smith, as Trustee of 214 Faircrest Way Land Trust, a Land Trust (an executory trust), Defendant(s). ( 737.050499) TO THE DEFENDANT(S) G.J. Smith, as Trustee of 214 Faircrest Way Land Trust, a Land Trust (an executory trust): YOU ARE HEREBY SUMMONED and required to appear and defend by answering the Complaint in this action, of which a copy is herewith served upon you, and to serve a copy of your Answer on the subscribers at their offices, 1301 Gervais Street, Suite 500, Post Office Box 12125, Columbia, SC 29211, within thirty (30) days after the service hereof, exclusive of the day of such service; except that the United States of America, if named, shall have sixty (60) days to answer after the service hereof, exclusive of the day of such service; and if you fail to do so, judgment by default will be rendered against you for the relief demanded in the complaint. TO MINOR(S) OVER FOURTEEN YEARS OF AGE, AND/OR TO MINOR(S) UNDER FOURTEEN YEARS OF AGE AND THE PERSON WITH WHOM THE MINOR(S) RESIDES, AND/OR TO PERSONS UNDER SOME LEGAL DISABILITY: YOU ARE FURTHER SUMMONED AND NOTIFIED to apply for the appointment of a guardian ad litem within thirty (30) days after the service of this Summons and Notice upon you. If you fail to do so, application for such appointment will be made by the Plaintiff. YOU WILL ALSO TAKE NOTICE that under the provisions of South Carolina Code §29-3-100, effective June 16, 1993, any collateral assignment of rents contained in the attached mortgage is perfected and Plaintiff hereby gives notice that all rents shall be payable directly to it by delivery to its undersigned attorneys from the date of default. In the alternative, Plaintiff will move before a judge of this Circuit on the 10th day after service hereof, or as soon thereafter as counsel may be heard, for an Order enforcing the assignment of rents, if any, and compelling payment of all rents covered by such assignment directly to the Plaintiff, which motion is to be based upon the original note and mortgage and the Complaint attached hereto. Pearce W. Fleming, S.C. Bar No. 2038 D. Randolph Whitt, S.C. Bar No. 13068 Martha S. Phillips, S.C. Bar No. 73661 FLEMING & WHITT, P. A. 1301 Gervais Street, Suite 500 Post Office Box 12125 Columbia, SC 29211-2125 (803) 254-4751 Attorneys for Deutsche Bank National Trust Company, as Trustee under the applicable agreement Columbia, South Carolina March 22, 2007 NOTICE TO THE DEFENDANT(S) G.J. Smith, as Trustee of 214 Faircrest Way Land Trust, a Land Trust (an executory trust): YOU WILL PLEASE TAKE NOTICE that the Cover Sheet for Civil Actions, Certificate of Exemption/Withdrawal from Arbitration and Mediation, Summons and Notices, and Complaint, of which the foregoing is a copy of the Summons, were filed with the Clerk of Court for Richland County, South Carolina on January 26, 2007. Pearce W. Fleming, S.C. Bar No. 2038 D. Randolph Whitt, S.C. Bar No. 13068 Martha S. Phillips, S.C. Bar No. 73661 FLEMING & WHITT, P. A. 1301 Gervais Street, Suite 500 Post Office Box 12125 Columbia, SC 29211-2125 (803) 254-4751 Attorneys for Deutsche Bank National Trust Company, as Trustee under the applicable agreement
SUMMONS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS 07-CP-40-0673 Warren B. Giese, Solicitor, Fifth Judicial Circuit, Plaintiff, vs. Eight Hundred Sixty Nine and 00/100ths ($869.00) Dollars US Currency, Twenty Nine and 30/100ths (29.30) Grams Marijuana, and Gregory McNeil, An Interested Party, Defendants. TO: TO THE DEFENDANT ABOVE NAMED: GREGORY McNEIL AND AGENT LLOYD DUNHAM, AND THE RICHLAND COUNTY SHERIFF'S DEPARTMENT, PERSONS KNOWN TO HAVE AN INTEREST IN THE DEFENDANT PROPERTY: YOU ARE HEREBY SUMMONED and required to answer the Complaint in this proceeding, copy of which is herewith served upon you, and to serve a copy of your Answer to the said Complaint on the undersigned at 2229 Bull Street, Columbia, South Carolina 29201 within thirty (30) days after me service hereof, exclusive of the date of such service, and if you fail to answer the Complaint within the time aforesaid, judgment by default will be rendered against you for the relief demanded in the Complaint. NOTICE IS HEREBY GIVEN that the original Complaint in this action was filed in the Office of the Richland County Clerk of Court on January 30, 2007. David W. Farrell 2229 Bull Street Columbia, SC 29201 (803)256-7011 ATTORNEY FOR THE PLAINTIFF Columbia, South Carolina
SUMMONS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS 07-CP-40-0665 Warren B. Giese, Solicitor, Fifth Judicial Circuit, Plaintiff, vs. Eight Hundred Sixty Six and 00/100ths (866.00) Dollars US Currency, Sixty Six and 00/100ths ($66.00) Dollars US Currency, Approximately One and 5/10ths (1.5) Grams Cocaine, Two Hundred Twenty Two and 78/100ths (222.78) Grams Marijuana, and Cartney Gordon and Sara Wisecarver, Interested Parties, Defendants. TO: TO THE DEFENDANT ABOVE NAMED: CARTNEY GORDON AND SARA WISECARVER AND AGENT LLOYD DUNHAM, AND THE RICHLAND COUNTY SHERIFF'S DEPARTMENT, PERSONS KNOWN TO HAVE AN INTEREST IN THE DEFENDANT PROPERTY: YOU ARE HEREBY SUMMONED and required to answer the Complaint in this proceeding, copy of which is herewith served upon you, and to serve a copy of your Answer to the said Complaint on the undersigned at 2229 Bull Street, Columbia, South Carolina 29201 within thirty (30) days after the service hereof, exclusive of the date of such service, and if you fail to answer the Complaint within the time aforesaid, judgment by default will be rendered against you for me relief demanded in me Complaint. NOTICE IS HEREBY GIVEN that the original Complaint in this action was filed in the Office of the Richland County Clerk of Court on January 30, 2007. David W. Farrell 2229 Bull Street Columbia, SC 29201 (803)256-7011 ATTORNEY FOR THE PLAINTIFF Columbia, South Carolina
SUMMONS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS 06-CP-40-6713 Warren B. Giese, Solicitor, Fifth Judicial Circuit, Plaintiff, vs. One Thousand Four Hundred Thirty Nine and 00/100ths ($1,439.00) Dollars US Currency, Five Hundred Sixty Seven and 51/100ths (567.51) Grams Marijuana, and James Gasque, An Interested Party, Defendants. TO: TO THE DEFENDANT ABOVE NAMED: JAMES GASQUE AND AGENT LLOYD DUNHAM, AND THE RICHLAND COUNTY SHERIFF'S DEPARTMENT, PERSONS KNOWN TO HAVE AN INTEREST IN THE DEFENDANT PROPERTY: YOU ARE HEREBY SUMMONED and required to answer the Complaint in this proceeding, copy of which is herewith served upon you, and to serve a copy of your Answer to the said Complaint on the undersigned at 2229 Bull Street, Columbia, South Carolina 29201 within thirty (30) days after the service hereof, exclusive of the date of such service, and if you fail to answer the Complaint within the time aforesaid, judgment by default will be rendered against you for the relief demanded in the Complaint. NOTICE IS HEREBY GIVEN that the original Complaint in this action was filed in the Office of the Richland County Clerk of Court on November 13, 2006. David W. Farrell 2229 Bull Street Columbia, SC 29201 (803)256-7011 ATTORNEY FOR THE PLAINTIFF Columbia, South Carolina
SUMMONS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS 2006-CP-40-5994 (Jury Trial Requested) Wannell Green, Sr., Plaintiff, vs. Erica Latisha Branch, Defendant. TO THE DEFENDANT ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint in this action, a copy of which is herewith served upon you, and to serve a copy of your Answer to said Complaint on the subscriber at his offices, located at 1634 Main Street, Suite 201, Columbia, South Carolina 29201, within thirty (30) days after the service hereof, exclusive of the date of such service; and if you fail to answer, appear and defend within thirty (30) days after service hereof, exclusive of the date of such service, judgment by default will be rendered against you for the relief demanded in the Complaint. Columbia, South Carolina October 11, 2006 COMPLAINT (Jury Trial Requested) Plaintiff complaining of Defendant alleges: 1. That Plaintiff is a citizen and resident of Richland County, South Carolina. 2. That Defendant is a citizen and resident ofRichland County, South Carolina. 3. That this court has jurisdiction and venue over the matters contained herein. 4. That on or about the 17th day of October, 2003, at or about 7:30 p.m.. Plaintiff was a passenger of a vehicle operated by Sheila Massey, which was at a complete stop for a red traffic signal light ready to proceed in an easterly direction, facing east on Beltline Blvd., at the intersection of Grant St. and Beltline Blvd., in the City of Columbia, Richland County, South Carolina. 5. That at the same time and place, Defendant was the operator of a vehicle traveling east on Beltline Blvd. at some distance behind the vehicle in which Plaintiff was a passenger. 6. That on or about the aforementioned date, at the said time and place, as the vehicles were proceeding as aforesaid, Defendant negligently, carelessly, recklessly, and with flagrant disregard for the traffic in front of her, caused her vehicle to run into the rear of the vehicle in which Plaintiff was a passenger with force and violence, causing injuries and damages to Plaintiff as hereinafter set forth. 7. That the aforementioned collision was directly, solely and proximately caused by the negligence, carelessness and recklessness of Defendant. 8. That by reason of the negligence, carelessness and recklessness of Defendant, and as a direct and proximate result thereof. Plaintiff has been injured and has suffered and will continue to suffer damages in the following respects: He has sustained injuries in and about various parts of his body including but not limited to his neck, right shoulder, left hand and back, on account of which he has been caused to suffer and endure considerable pain and suffering; he has incurred various expenses for medical treatment; he has been and will continue to be prevented from attending to his ordinary affairs and duties; he has suffered a potential loss of earnings; he has been and will continue to be deprived of the normal enjoyments of life he otherwise would have had; and he will continue to endure pain and suffering which he otherwise would not have had; and he has been otherwise damaged all to his damage. WHEREFORE, Plaintiff prays for judgment against the Defendant for actual and punitive damages as shall fairly, justly, and adequately compensate him for his losses in such an amount not to exceed Ten Thousand and No/100ths ($10,000.00) Dollars, and for such punitive damages as the Court may deem just and proper. NOTICE IS HEREBY GIVEN that the original Complaint in the above entitled action was filed in the office of the Clerk of Court for Richland County on October 11, 2006. HAMMER & HAMMER, L.L.C. Howard Hammer, P.A. John C. Potterfield 1634 Main Street, Suite 201 Post Office Box 1421 Columbia, SC 29202 (803) 799-8600 Attorneys for Plaintiff
SUMMONS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS (Jury Trial Requested) 2006-CP-40-5992 Sheila Massey, Plaintiff, vs. Erica Latisha Branch, Defendant. TO THE DEFENDANT ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint in this action, a copy of which is herewith served upon you, and to serve a copy of your Answer to said Complaint on the subscriber at his offices, located at 1634 Main Street, Suite 201, Columbia, South Carolina 29201, within thirty (30) days after the service hereof, exclusive of the date of such service; and if you fail to answer, appear and defend within thirty (30) days after service hereof, exclusive of the date of such service, judgment by default will be rendered against you for the relief demanded in the Complaint. Columbia, South Carolina October 11, 2006 COMPLAINT (Jury Trial Requested) Plaintiff complaining of Defendant alleges: 1. That Plaintiff is a citizen and resident of Richland County, South Carolina. 2. That Defendant is a citizen and resident ofRichland County, South Carolina. 3. That this court has jurisdiction and venue over the matters contained herein. 4. That on or about the 17th day of October, 2003, at or about 7:30 p.m.. Plaintiff was the driver of a vehicle which was at a complete stop for a red traffic signal light ready to proceed in an easterly direction, facing east on Beltline Blvd., at the intersection of Grant St. and Beltline Blvd., in the City of Columbia, Richland County, South Carolina. 5. That at the same time and place. Defendant was the operator of a vehicle also traveling east on Beltline Blvd. at some distance behind the vehicle being driven by Plaintiff. 6. That on or about the aforementioned date, at the said time and place, as the vehicles were proceeding as aforesaid. Defendant negligently, carelessly, recklessly, and with flagrant disregard for the traffic in front of her, caused her vehicle to run into the rear of the vehicle Plaintiff was driving with force and violence, causing injuries and damages to Plaintiff as hereinafter set forth. 7. That the aforementioned collision was directly, solely and proximately caused by the negligence, carelessness and recklessness of Defendant. 8. That by reason of the negligence, carelessness and recklessness of Defendant, and as a direct and proximate result thereof. Plaintiff has been injured and has suffered and will continue to suffer damages in the following respects: She has sustained injuries in and about various parts of her body including but not limited to her neck, arms, legs, spine, and nervous system, including a disk herniation all of which has caused her to suffer and endure considerable pain and discomfort; she has been compelled to expend diverse sums of monies for hospitalization, medical treatments and for the services of doctors under whose care she has been and under whose care, upon information and belief, she will have to remain for an indefinite period of time in the future; she has upon information and belief suffered a permanent injury and she will, upon information and belief, be compelled to expend additional monies for further medical and doctors' treatments required in the future; she has suffered a potential loss of earnings and an impairment to her future earning capacity which will continue throughout the rest of her natural life; she has been and will continue to be prevented from attending to her ordinary affairs and duties; she has been and will continue to be deprived of the normal enjoyments of life she otherwise would have; and she will continue to have to endure discomforting pain and suffering which she otherwise would not have; and she has been otherwise injured, all to her damage. WHEREFORE, Plaintiff prays for judgment against the Defendant for actual and punitive damages in such an amount as shall fairly, justly, and adequately compensate her for her losses, and for such punitive damages as the Court may deem just and proper. NOTICE IS HEREBY GIVEN that the original Complaint in the above entitled action was filed in the office of the Clerk of Court for Richland County on October 11, 2006. HAMMER & HAMMER, L.L.C. Howard Hammer, P.A. John C. Potterfield 1634 Main Street, Suite 201 Post Office Box 1421 Columbia, SC 29202 (803) 799-8600 Attorneys for Plaintiff
SUMMONS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS (Jury Trial Requested) 2006-CP-40-5993 Oliver Massey, Plaintiff, vs. Erica Latisha Branch, Defendant. TO THE DEFENDANT ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint in this action, a copy of which is herewith served upon you, and to serve a copy of your Answer to said Complaint on the subscriber at his offices, located at 1634 Main Street, Suite 201, Columbia, South Carolina 29201, within thirty (30) days after the service hereof, exclusive of the date of such service; and if you fail to answer, appear and defend within thirty (30) days after service hereof, exclusive of the date of such service, judgment by default will be rendered against you for the relief demanded in the Complaint. Columbia, South Carolina October 11, 2006 COMPLAINT (Jury Trial Requested) Plaintiff above named complaining of Defendant alleges: 1. That Plaintiff is a citizen and resident ofRichland County, South Carolina. 2. That Defendant is a citizen and resident ofRichland County, South Carolina. 3. That this court has jurisdiction and venue over the matters contained herein. 4. That on or about the 17th day of October, 2003, Plaintiffs wife was the driver of a vehicle owned by Plaintiff, which was at a complete stop for a red traffic signal light ready to proceed in an easterly direction, facing east on Beltline Blvd., at the intersection of Grant St. and Beltline Blvd., in the City of Columbia, Richland County, South Carolina. 5. That at the same time and place, Defendant was the operator of a vehicle traveling east on Beltline Blvd. at some distance behind the vehicle being driven by Plaintiffs wife. 6. That on or about the aforementioned date, at the said time and place, as the vehicles were proceeding as aforesaid. Defendant negligently, carelessly, recklessly, and with flagrant disregard for the traffic in front of her, caused her vehicle to run into the rear of the vehicle Plaintiffs wife was driving with force and violence, causing injuries and damages to Plaintiffs wife as hereinafter set forth. 7. That the aforementioned collision was directly, solely and proximately caused by the negligence, carelessness and recklessness of Defendant. 8. That by reason and in consequence of the aforesaid negligence, carelessness and recklessness of the Defendant, and as a direct and proximate result thereof, Plaintiffs wife, Sheila Massey, was injured, and by reason thereof Plaintiff has been and will be deprived of the services, social relationship and consortium of a loving and affectionate wife and has expended and will be compelled to expend diverse sums of money for hospital, doctors, nurses, x-rays and medicals, and he has been otherwise damaged. Further, Plaintiffs automobile was damaged and required repairs, all to his damage. WHEREFORE, Plaintiff prays for judgment against the Defendant for actual and punitive damages as shall fairly, justly, and adequately compensate him for his losses in such an amount not to exceed Ten Thousand arid No/100ths ($10,000.00) Dollars, for such punitive damages as the Court may deem just and proper, and for the costs of this action. NOTICE IS HEREBY GIVEN that the original Complaint in the above entitled action was filed in the office of the Clerk of Court for Richland County on October 11, 2006. HAMMER & HAMMER, L.L.C. Howard Hammer, P.A. John C. Potterfield 1634 Main Street, Suite 201 Post Office Box 1421 Columbia, SC 29202 (803) 799-8600 Attorneys for Plaintiff
SUMMONS AND NOTICES STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS (NON-JURY MORTGAGE FORECLOSURE) 2007-CP-40-1636 U.S. Bank N.A., PLAINTIFF, vs. Laura B. Kennedy a/k/a Laura Kennedy; First Select Corporation; Richland County Finance Department; and Heatherstone Homeowners' Association, Inc., DEFENDANT(S). TO THE DEFENDANTS ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint herein, a copy of which is herewith served upon you, or to otherwise appear and defend, and to serve a copy of your Answer to said Complaint upon the subscribers at their office, 3955 Faber Place, Suite 200, P.O. Box 71727, North Charleston, South Carolina, 29415, or to otherwise appear and defend the action pursuant to applicable court rules, within thirty (30) days after service hereof, exclusive of the day of such service; except that the United States of America, if named, shall have sixty (60) days to answer after the service hereof, exclusive of such service; and if you fail to answer the Complaint or otherwise appear and defend within the time aforesaid, the Plaintiff in this action will apply to the Court for relief demanded therein, and judgment by default will be rendered against you for the relief demanded in the Complaint. TO MINOR(S) OVER FOURTEEN YEARS OF AGE, AND/OR TO MINOR(S) UNDER FOURTEEN YEARS OF AGE AND THE PERSON WITH WHOM THE MINOR(S) RESIDE(S) AND/OR TO PERSONS UNDER SOME LEGAL DISABILITY: YOU ARE FURTHER SUMMONED AND NOTIFIED to apply for the appointment of a guardian ad litem within thirty (30) days after the service of this Summons and Notice upon you. If you fail to do so, application for such appointment will be made by the Plaintiff. YOU WILL ALSO TAKE NOTICE that pursuant to Rule 53(b) SCRCP, as amended effective September 1, 2002, the Plaintiff will move for a general Order of Reference to the Master in Equity for Richland County, which Order shall, pursuant to Rule 53(b) of the South Carolina Rules of Civil Procedure, specifically provide that the said Master in Equity is authorized and empowered to enter a final judgment in this action. If there are counterclaims requiring a jury trial, any party may file a demand under rule 38, SCRCP and the case will be returned to the Circuit Court. FINKEL LAW FIRM LLC Post Office Box 71727 3955 Faber Place, Suite 200 North Charleston, South Carolina 29415 (843) 577-5460 BEVERLY J. FINKEL THOMAS A. SHOOK ELIZABETH A. SHUFFLERSUSAN S. WHITE RICHARD G. DUERINSKX JOSEPH T. MERLI NOTICE OF FILING COMPLAINT NOTICE IS HEREBY GIVEN that the original Complaint in the above entitled action, together with the Summons, was filed in the Office of the Clerk of Court for Richland County on March 13, 2007 at 12:53 A.M. FINKEL LAW FIRM LLC Post Office Box 71727 3955 Faber Place, Suite 200 North Charleston, South Carolina 29415 (843) 577-5460 BEVERLY J. FINKEL THOMAS A. SHOOK ELIZABETH A. SHUFFLERSUSAN S. WHITE RICHARD G. DUERINSKX JOSEPH T. MERLI LIS PENDENS NOTICE IS HEREBY GIVEN that an action has been commenced and is now pending in this court upon Complaint of the above-named Plaintiff against the above-named Defendants for foreclosure of a certain mortgage of real estate given by Laura B. Kennedy to Three Rivers Mortgage Corporation, in the amount of $113,121.00 dated July 9, 2004, and recorded in the Office of the Register of Deeds for Richland County in Book 955 at Page 3243 on July 13, 2004. The premises covered and affected by the said mortgage as by the foreclosure thereof, were, at the time of the making thereof, and at the time of the filing of this Notice, described as follows: All that certain piece, parcel or lot of land, with the improvements thereon, lying and being in the County of Richland, State of South Carolina, being shown as Lot 406 of Heatherstone Subdivision, Phase 17 and 18 on that plat prepared for Linda D. Brown by Michael T. Arant & Associates, Inc., dated April 28, 1999 and filed in the Office of the ROD for Richland County in Book 303 at Page 2990. TMS#: 04113-01-29 Property Address: 1007 Sweet Thorn Court, Irmo, SC FINKEL LAW FIRM LLC Post Office Box 71727 3955 Faber Place, Suite 200 North Charleston, South Carolina 29415 (843) 577-5460 BEVERLY J. FINKEL THOMAS A. SHOOK ELIZABETH A. SHUFFLERSUSAN S. WHITE RICHARD G. DUERINSKX JOSEPH T. MERLI Charleston, South Carolina March 9, 2007
SUMMONS AND NOTICES STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS (NON-JURY MORTGAGE FORECLOSURE) 2007-CP-40-1637 US Bank, N.A., PLAINTIFF, vs. Tammy Sabrina Brown; State of South Carolina; Richland County Clerk of Court; The United States of America acting by and through its agency, Internal Revenue Service; and Green Oaks Town Homes Homeowner's Association, Inc., DEFENDANT(S). TO THE DEFENDANTS ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint herein, a copy of which is herewith served upon you, or to otherwise appear and defend, and to serve a copy of your Answer to said Complaint upon the subscribers at their office, 3955 Faber Place, Suite 200, P.O. Box 71727, North Charleston, South Carolina, 29415, or to otherwise appear and defend the action pursuant to applicable court rules, within thirty (30) days after service hereof, exclusive of the day of such service; except that the United States of America, if named, shall have sixty (60) days to answer after the service hereof, exclusive of such service; and if you fail to answer the Complaint or otherwise appear and defend within the time aforesaid, the Plaintiff in this action will apply to the Court for relief demanded therein, and judgment by default will be rendered against you for the relief demanded in the Complaint. TO MINOR(S) OVER FOURTEEN YEARS OF AGE, AND/OR TO MINOR(S) UNDER FOURTEEN YEARS OF AGE AND THE PERSON WITH WHOM THE MINOR(S) RESIDE(S) AND/OR TO PERSONS UNDER SOME LEGAL DISABILITY: YOU ARE FURTHER SUMMONED AND NOTIFIED to apply for the appointment of a guardian ad litem within thirty (30) days after the service of this Summons and Notice upon you. If you fail to do so, application for such appointment will be made by the Plaintiff. YOU WILL ALSO TAKE NOTICE that pursuant to Rule 53(b) SCRCP, as amended effective September 1, 2002, the Plaintiff will move for a general Order of Reference to the Master in Equity for Richland County, which Order shall, pursuant to Rule 53(b) of the South Carolina Rules of Civil Procedure, specifically provide that the said Master in Equity is authorized and empowered to enter a final judgment in this action. If there are counterclaims requiring a jury trial, any party may file a demand under rule 38, SCRCP and the case will be returned to the Circuit Court. FINKEL LAW FIRM LLC Post Office Box 71727 3955 Faber Place, Suite 200 North Charleston, South Carolina 29415 (843) 577-5460 BEVERLY J. FINKEL THOMAS A. SHOOK ELIZABETH A. SHUFFLERSUSAN S. WHITE RICHARD G. DUERINSKX JOSEPH T. MERLI NOTICE OF FILING COMPLAINT NOTICE IS HEREBY GIVEN that the original Complaint in the above entitled action, together with the Summons, was filed in the Office of the Clerk of Court for Richland County on March 13, 2007 at 12:52 P.M. FINKEL LAW FIRM LLC Post Office Box 71727 3955 Faber Place, Suite 200 North Charleston, South Carolina 29415 (843) 577-5460 BEVERLY J. FINKEL THOMAS A. SHOOK ELIZABETH A. SHUFFLERSUSAN S. WHITE RICHARD G. DUERINSKX JOSEPH T. MERLI LIS PENDENS NOTICE IS HEREBY GIVEN that an action has been commenced and is now pending in this court upon Complaint of the above-named Plaintiff against the above-named Defendants for foreclosure of a certain mortgage of real estate given by Mark R. Floyd, III to Homeowners Mortgage Enterprises, Inc., in the amount of $47,700.00 dated January 31, 1989, and recorded in the Office of the Register of Deeds for Richland County in Book M 1175 at Page 82; and re-recorded in Book 1179 at Page 12 on February 23, 1989 on February 2, 1989. The premises covered and affected by the said mortgage as by the foreclosure thereof, were, at the time of the making thereof, and at the time of the filing of this Notice, described as follows: Apartment Unit 6-B in Green Oaks Town Homes Horizontal Property Regime, Columbia, South Carolina, a horizontal property regime established by Tandem Development, Inc., a South Carolina corporation, pursuant to the South Carolina Horizontal Property Act, Section 27-31-10, et. seq., 1976, South Carolina Code of Laws, as amended, and submitted by Master Deed dated May 31, 1985, and recorded in the Office of the RMC for Richland County in Deed Book D744 at Page 567, which Apartment Unit is shown on Exhibit "A" attached to the Master Deed. TMS#: 16881-01-12 Property Address: 1926-B Green Oaks Road, Columbia, SC FINKEL LAW FIRM LLC Post Office Box 71727 3955 Faber Place, Suite 200 North Charleston, South Carolina 29415 (843) 577-5460 BEVERLY J. FINKEL THOMAS A. SHOOK ELIZABETH A. SHUFFLERSUSAN S. WHITE RICHARD G. DUERINSKX JOSEPH T. MERLI Charleston, South Carolina March 9, 2007
SUMMONS AND NOTICE OF FILING OF COMPLAINT STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS (NON-JURY MORTGAGE FORECLOSURE) 2007-CP-40-834 DEFICIENCY REQUESTED Countrywide Home Loans, Inc., PLAINTIFF, vs. Sherri L. Hudkins and Mark S. Hudkins, DEFENDANTS. F27-01284 TO THE DEFENDANTS, ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint in the above entitled action, a copy of which is herewith served upon you, and to serve a copy of your answer upon the undersigned at their office, 1300 Pickens Street, Columbia, South Carolina, within thirty (30) days after service hereof upon you, exclusive of the day of such service, and if you fail to answer the Complaint within the time aforesaid or otherwise appear and defend, the Plaintiff, in this action will apply to the Court for the relief demanded in the Complaint, and judgment by default will be rendered against you for the relief demanded in the Complaint. NOTICE IS HEREBY GIVEN that the original Complaint in the above entitled action was filed in the Office of the Clerk of Court for Richland County on February 6, 2007. KORN LAW FIRM, P.A. P.O. Box 11264 1300 Pickens Street Columbia, South Carolina 29211-1264 JOHN S. KAY Attorney for Plaintiff Columbia, South Carolina March 28, 2007 LIS PENDENS STATE OF SOUTH CAROLINA COUNTY OF RICHLAND IN THE COURT OF COMMON PLEAS (NON-JURY MORTGAGE FORECLOSURE) C/A NO: 2007-CP-40-834 DEFICIENCY REQUESTED Countrywide Home Loans, Inc., PLAINTIFF, vs. Sherri L. Hudkins and Mark S. Hudkins, DEFENDANTS. F27-01284 NOTICE IS HEREBY GIVEN that an action has been commenced and is now pending in this court upon Complaint of the above-named Plaintiff against the above-named Defendants for foreclosure of a certain mortgage of real estate given by Sherri L. Hudkins and Mark S. Hudkins to America's Wholesale Lender in the amount of Fifty-Nine Thousand Four Hundred Eighty And 00/100 ($59,480.00) Dollars, dated May 8, 1998, and recorded in the Office of the Register of Deeds for Richland County in Book 306 Page 1999. The premises covered and affected by the said mortgage as by the foreclosure thereof, were, at the time of the making thereof, and at the time of the filing of this Notice, described as follows: LEGAL DESCRIPTION AND PROPERTY ADDRESS: All that piece, parcel or lot of land, with improvements thereon, situate, lying an being located in the County of Richland, State of South Carolina, being shown and designated as Lot No. 11 (1213 Chadford Road) on a plat prepared by Donald G. Platt, RLS, dated May 29, 1990 for Mark S. Hudkins and Sherri L. Hudkins. Reference to said plat is hereby craved for a more complete description of said property. Be all measurements a little more or less. Being the same property conveyed to Mark S. Hudkins and Sherri L. Hudkins by deed of James W. Kirby and Marilyn L. Kirby, dated May 31, 1990 and recorded on June 4, 1990 in Book 82 at Page 836 of the Richland County Register of Deeds. Thereafter, Mark S Hudkins conveyed his interest in the property unto Sherri L. Hudkins by quit-claim deed dated May 1, 2006 and recorded on May 18, 2006 in Book 1184 at Page 2872. 1213 Chadford Road, Irmo, SC 29063 TMS #: 03215-04-25 KORN LAW FIRM, P.A. 1300 Pickens Street. P.O. Box 11264 Columbia, SC 29211-1264 J. SCOTT WALLS Attorney for Plaintiff Columbia, South Carolina February 5, 2007
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