Sunday, May 27, 2018

RETURN TO NOTICES

CITATION
BY PUBLICATION
THE STATE OF TEXAS
COUNTY OF DALLAS
In the name and by the authority of the State of Texas
Notice is hereby given as follows:
To LORENZO BENNETT, JR., and all 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 Plaintiff herein, for taxes, to-wit:
BEING ALL OF LOT 15 AND THE SOUTH ONE-HALF (1/2) OF LOT 14 IN BLOCK 15/4201 OF BROADMOOR, AN ADDITION TO THE CITY OF DALLAS, ACCORDING TO THE MAP OF SAID ADDITION RECORDED IN VOLUME 2, PAGE 126, MAP RECORDS OF DALLAS COUNTY, TEXAS.
and commonly known as: 2605 Alabama Ave, Dallas, TX 75216
Which said property is delinquent to Plaintiff for taxes in the following amounts: $14,920.76, exclusive of interest, penalties, and costs, and there is included in this suit in addition to the taxes all said interest, penalties, and costs thereon, allowed by law up to and including the day of judgment herein.
You are hereby notified that suit has been brought by Propel Financial Services, LLC, as Agent and Attorney in Fact for Propel Funding National 1, LLC as Plaintiffs, against Lorenzo Bennett, Jr., Dallas County, City of Dallas, Dallas County Community College District, Dallas Independent School District, Parkland Hospital District and Dallas County School Equalization, by petition filed on June 16, 2017, in a suit styled Propel Financial Services, LLC, as Agent and Attorney in Fact for Propel Funding National 1, LLC vs. LORENZO BENNETT, JR., ET AL for collection of taxes on said property and that said suit is now pending in the District Court of Dallas County, Texas, 160th Judicial District, and the file number is TX-17-01049, that the names of all taxing units which assess and collect taxes on the property hereinabove described are parties to this suit.
Plaintiff and all other taxing units who may set up their tax claims herein seek recovery of delinquent ad valorem taxes on the property hereinabove described, and in addition to the taxes all interest, penalties, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of liens, if any, securing the payment of same, as provided by law.
All parties to this suit, including plaintiff, 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 costs 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 hereinafter 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 and defend such suit on the first Monday after the expiration of forty-two days from and after the date of issuance hereof, the same being the June 11, 2018 (Expiration Date: the first Monday following 42 days after Issuance Date) before the honorable District Court of Dallas County, Texas, to be held at the courthouse thereof, then and there to show cause why judgment shall not be rendered for such taxes, penalties, interest, and costs, and condemning said property and ordering foreclosure of the constitutional and statutory tax liens thereon for taxes due the plaintiff 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 Dallas, Dallas County, Texas on April 24, 2018.
FELICIA PITRE
Clerk of the District Court
Dallas County, Texas,
160th Judicial District
By: S., Deputy

5/4,5/11,5/18,5/25

CITATION
BY PUBLICATION
THE STATE OF TEXAS
FERNANDO SERRANO LOPEZ AND SELVINO LOPEZ
GREETINGS:
You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the Clerk on or before ten o’clock A.M., of the first Monday after the expiration of forty-two days from the date of issuance of this citation, same being Monday the 25TH DAY OF JUNE 2018, at or before ten o’clock A.M. before the Honorable 191ST DISTRICT COURT of Dallas County, Texas, at the George Allen Courthouse, 600 Commerce Street, Dallas, Texas, 75202, a Default Judgment may be taken against you.
Said Petitioner’s Petition was filed in said court, ON THIS THE 31ST DAY OF OCTOBER, 2017, in this cause, numbered DC-17-14969 on the docket of said Court, and styled: OMOZOGIE IKHINE, ET AL PETITIONER VS. FERNANDO SERRANO LOPEZ, ET AL RESPONDENT. A BRIEF STATEMENT OF THE NATURE OF THIS suit is as follows:
ON OR ABOUT DECEMBER 6, 2015, AT THE INTERSECTION OF BUCKNER BLVD. AND BRUTON ROAD IN DALLAS, TEXAS, PLAINTIFFS WERE IN A MOTOR VEHICLE STOPPED AT A RED LIGHT WHEN THEIR VEHICLE WAS SUDDENLY AND VIOLENTLY STRUCK FROM THE REAR BY A VEHICLE OWNED BY DEFENDANT SELVIN LOPEZ AND DEFENDANT FERNANDO SERRANO LOPEZ. THE ACCIDENT WAS CAUSED BY HIS NEGLIGENCE AND GROSS NEGLIGENCE, AND AS A RESULT OF DEFENDANT FERNANDO SERRANO LOPEZ’ CONDUCT, PLAINTIFFS SUFFERED A SEVERE PERSONAL INJURIES. IT WAS DEFENDANT FERNANDO SERRANO LOPEZ’ NEGLIGENCE, GROSS NEGLIGENCE AND/OR NEGLIGENCE PER SE, WHICH WAS THE PROXIMATE CAUSE OF PLAINTIFF’S PERSONAL INJURIES AND DAMAGES
as is more fully shown by Petitioner’s Petition on file in this suit.
If this citation is not served within ninety days after the date of its issuance, it shall be returned unserved.
The officer executing this process shall promptly execute the same according to law, and make due return as the law directs.
Issued and given under my hand and seal of said Court at Dallas, Texas ON THIS THE 7TH DAY OF MAY, 2018
FELICIA PITRE
Clerk of the District Court of Dallas County, Texas
George Allen Courts Building
600 Commerce Street Suite 103
Dallas, Texas, 75202
By: SPRINGE MCKINLEY, Deputy

5/11,5/18,5/25,6/1

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO: BRANDY PETERS GREETINGS:
You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the Clerk on or before ten o’clock A.M., of the first Monday after the expiration of forty-two days from the date of issuance of this citation, same being Monday the 25TH DAY OF JUNE 2018, at or before ten o’clock A.M. before the Honorable 298TH DISTRICT COURT of Dallas County, Texas, at the George Allen Courthouse, 600 Commerce Street, Dallas, Texas, 75202, a Default Judgment may be taken against you.
Said Petitioner’s Petition was filed in said court, ON THE 14TH DAY OF FEBRUARY, 2017, in this cause, numbered DC-17-01788 on the docket of said Court, and styled: FEDERAL NATIONAL MORTGAGE ASSOCIATION (“FANNIE MAE”), A CORPORATION ORGANIZED AND EXISTING UNDER THE LAWS OF THE UNITED STATES OF AMERICA Petitioner vs. LAURA YORKE, CHRISTIAN EDWARD BEACH AKA CHRISTOPHER BEACH, JOANN DESCALLAR, LAUREN GARLINGHOUSE, BRANDY PETERS, THE UNKNOWN HEIRS OF JASON PENNELLA, AND 107 W. HOLLAND DR, IRVING, TX 75062, INREM Respondents. A brief statement of the nature of this suit is as follows: SETERUS, INC., AS AUTHORIZED SUBSERVICER FOR FEDERAL NATIONAL MORTGAGE ASSOCIATION (“FANNIE MAE”), A CORPORATION ORGANIZED AND EXISTING UNDER THE LAWS OF THE UNITED STATES OF AMERICA (“PLAINTIFF”), ITS SUCCESSORS IN INTEREST OR ASSIGNS, BY AND THROUGH ITS ATTORNEY OF RECORD, CHRISTOPHER R. BAXTER OR MARINOSCI LAW GROUP, PC, DBA MARINOSCI & BAXTER, 14643 DALLAS PARKWAY, SUITE 750, DALLAS, TEXAS 75254, (972) 331-2300, BROUGHT SUIT AGAINST LAURA YORKE, CHRISTIAN EDWARD BEACH AKA CHRISTOPHER BEACH, JOANN DESCALLAR, LAUREN GARLINGHOUSE, BRANDY PETERS, AND THE UNKNOWN HEIRS OF JASON PENNELLA (“DEFENDANTS”), TO ENFORCE THE NOTE (“NOTE”) ON THE PROPERTY LOCATED AT 107 W. HOLLAND DR, IRVING, TX 75062 AND LEGALLY DESCRIBED AS: BRING THE WEST 10 FEET OF LOT 8 AND ALL OF LOT 9, IN BLOCK F OF NICHOLS PARK, SECOND INSTALLMENT, AN ADDITION TO THE CITY OF IRVING, DALLAS COUNTY, TEXAS, ACCORDING TO THE PLAT THEREOF RECORDED IN VOLUME 19, PAGE 367, MAP RECORDS, DALLAS COUNTY, TEXAS
as is more fully shown by Plaintiff’s Petition on file in this suit.
If this citation is not served within ninety days after the date of its issuance, it shall be returned unserved.
The officer executing this process shall promptly execute the same according to law, and make due return as the law directs.
Issued and given under my hand and seal of said Court at Dallas, Texas ON THIS THE 8TH DAY OF MAY, 2018
FELICIA PITRE
Clerk of the District Court of Dallas County, Texas
George Allen Courts Building
600 Commerce Street Suite 103
Dallas, Texas, 75202
By: RITA DRONES, Deputy

5/11,5/18,5/25,6/1

CITATION
BY PUBLICATION
THE STATE OF TEXAS
DUDLEY C. MARTIN AND HIS UNKNOWN HEIRS AND ALL PERSONS CLAIMING ANY TITLE OR INTEREST IN LAND UNDER DEED HERETOFORE GIVEN TO DUDLEY C. MARTIN OF 2538 W. BROOKLYN AVE., DALLAS, TX 75211-5303.
GREETINGS:
You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the Clerk on or before ten o’clock A.M., of the first Monday after the expiration of forty-two days from the date of issuance of this citation, same being Monday the 2ND DAY OF JULY 2018, at or before ten o’clock A.M. before the Honorable 191ST DISTRICT COURT of Dallas County, Texas, at the George Allen Courthouse, 600 Commerce Street, Dallas, Texas, 75202, a Default Judgment may be taken against you.
Said Petitioner’s Petition was filed in said court, ON THIS THE 21ST DAY FEBRUARY, 2018, in this cause, numbered DC-18-02438 on the docket of said Court, and styled: RESCOM INVESTMENT GROUP LLC, Petitioner vs. DUDLEY C. MARTIN AND HIS UNKNOWN HEIRS AND ALL PERSONS CLAIMING ANY TITLE OR INTEREST IN LAND UNDER DEED HERETOFORE GIVEN TO DUDLEY C. MARTIN OF 2538 W. BROOKLYN AVE., DALLAS, TX 75211-5303 Respondent. A brief statement of the nature of this suit is as follows:
SUIT TO QUIET TITLE ON REAL PROPERTY DESCRIBED AS BEING LOT 3, IN BLOCK 2/3485, OF WINNETKA SUMMIT ADDITION, AN ADDITION TO THE CITY OF DALLAS, DALLAS COUNTY, TEXAS, ACCORDING TO THE MAP THEREOF RECORDED IN VOLUME 1, PAGE 528, OF THE MAP RECORDS OF DALLAS COUNTY, TEXAS, LOCATED AT 2538 W. BROOKLYN AVE., DALLAS, TX 75211-5303. PLAINTIFF AND ITS PREDECESSORS IN TITLE OBTAINED EXCLUSIVE POSSESSION OF THE PROPERTY ON MARCH 17, 2006, AND HAVE OCCUPIED AND HELD THE PROPERTY IN OPEN, ADVERSE AND CONTINUOUS POSSESSION AT ALL TIMES SINCE MARCH 17, 2006, DEFENDANT DUDLEY C. MARTIN AND HIS UNKNOWN HEIRS AND ALL PERSONS CLAIMING ANY TITLE OR INTEREST IN LAND UNDER DEED HERETOFORE GIVEN TO DUDLEY C. MARTIN OF 2538 W. BROOKLYN AVE., DALLAS, TX 75211-5303, PURPORT TO HAVE AN ADVERSE CLAIM OR INTEREST IN THE PROPERTY THAT OPERATES AS A CLOUD ON PLAINTIFF’S TITLE TO THE PROPERTY. PURSUANT TO SECTION 37.001 ET SEQ OF THE TEXAS CIVIL PRACTICE AND REMEDIES CODE, PLAINTIFF REQUESTS A DECLARATORY JUDGMENT THAT PLAINTIFF IS THE SOLE AND RIGHTFUL OWNER OF THE PROPERTY.
as is more fully shown by Petitioner’s Petition on file in this suit.
If this citation is not served within ninety days after the date of its issuance, it shall be returned unserved.
The officer executing this process shall promptly execute the same according to law, and make due return as the law directs.
Issued and given under my hand and seal of said Court at Dallas, Texas ON THIS THE 15TH DAY OF MAY, 2018
FELICIA PITRE
Clerk of the District Court of Dallas County, Texas
George Allen Courts Building
600 Commerce Street Suite 103
Dallas, Texas, 75202
By: KARI MALONE, Deputy

5/18,5/25,6/1,6/8

CITATION
BY PUBLICATION
THE STATE OF TEXAS
GERALD E. SMITH,
Defendant(s).......in the hereinafter styled and numbered cause: CC-17-02020-C
YOU are hereby commanded to appear before the County Court at Law No. 3, of Dallas County, Texas and file a written answer at George Allen Courthouse, 600 Commerce Street, Dallas, Texas at or before 10:00 o’clock a.m. of the first Monday after the expiration of 42 days from the date of issuance hereof, being Monday, 2nd day of July, 2018, a Default Judgment may be taken against you.
Said Plaintiff’s Original Petition was filed on in cause number CC-17-02020-C, Styled FROST BANK, Plaintiff(s), vs GERALD E. SMITH, Defendant (s). The nature of plaintiff’s demand being as follows: DEBT/CONTRACT ACCOUNT (ACCOUNT).
STATEMENT
Frost Bank filed suit against GERALD E SMITH, for breach of contract on a promissory note and a checking account agreement and to Reduce its claims to a money judgment. The case is pending in Dallas County Court, At Law No. 3, style Frost Bank v. Gerald E Smith, Cause No. CC-17-02020-C; filed April 14, 2017.
If this citation is not served within ninety days after the date of its issuance, it shall be returned unserved. The officer executing this process shall promptly execute the same according to law, and make due return as the law directs.
Plaintiff’s attorney JOHN RESENDEZ FRIDGE & RESENDEZ LLC 111 SOLEDAD SUITE 1700 SAN ANTONIO TX 78205-2230
HEREIN FAIL NOT, but of this writ make answer as the law requires.
WITNESS: JOHN F. WARREN, Clerk of the County Court of Dallas County Court at Law No. 3, George Allen Courthouse, 600 Commerce Street, Dallas County, Texas 75202.
GIVEN UNDER MY HAND AND SEAL OF OFFICE, at Dallas, Texas, this 14th day of May, 2018 A.D.
JOHN F. WARREN, County Clerk Of the County Court of Dallas County
By: Guisla Hernandez, Deputy

5/18,5/25,6/1,6/8

49C01-1804-MI-01946
STATE OF INDIANA
IN THE MARION COUNTY CIRCUIT COURT
COUNTY OF MARION
IN THE MATTER OF THE PETITION OF:
Brooklyn Nicole Bolden, Minor,
Paula Frazier, Petitioner.
NOTICE OF PETITION FOR CHANGE OF NAME
Notice is hereby given that I have filed in the Office of the Clerk of Marion County Circuit Court my Petition for change of name of Brooklyn Nicole Bolden from Brooklyn Nicole Bolden to Brooklyn Nicole Frazier and that said Petition will be heard by the Court on the 24th day of July, 2018, or as soon thereafter as may be convenient with the Court, at 9:00 A.M. Any person has the right to appear at this hearing and file an objection.
Ms. Paula Frazier, Petitioner
Myla A. Eldridge
CLERK OF THE CIRCUIT COURT OF MARION COUNTY
By: Lauren Harrell, # 34047-53
INDIANAPOLIS LEGAL AID SOCIETY, INC.
615 North Alabama Street, #122
Indianapolis, IN 46204
(317) 635-9538
laurenh@indylas.org

5/18,5/25,6/1

49C01-1804-MI-014945
STATE OF INDIANA
IN THE MARION COUNTY CIRCUIT COURT
COUNTY OF MARION
IN THE MATTER OF THE PETITION OF:
Bayleigh Neriah Bolden,Minor,
Paula Frazier, Petitioner.
NOTICE OF PETITION FOR CHANGE OF NAME
Notice is hereby given that I have filed in the Office of the Clerk of Marion County Circuit Court my Petition for change of name of Bayleigh Neriah Bolden from Bayliegh Neriah Bolden to Bayleigh Neriah Frazier and that said Petition will be heard by the Court on the 24th day of July, 2018, or as soon thereafter as may be convenient with the Court, at W506 at 9:00 A.M. Any person has the right to appear at this hearing and file an objection.
Ms. Paula Frazier, Petitioner
Myla A. Eldridge
CLERK OF THE CIRCUIT COURT OF MARION COUNTY
By: Lauren Harrell, # 34047-53
INDIANAPOLIS LEGAL AID SOCIETY, INC.
615 North Alabama Street, #122
Indianapolis, IN 46204
(317) 635-9538
laurenh@indylas.org

5/18,5/25,6/1

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO: MARK S AUSTIN 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 twenty days after you were served this citation and petition, a default judgment may be taken against you. The Petition of ROSHANDA L AUSTIN, Petitioner, was filed in the 303RD DISTRICT COURT of Dallas County, Texas, at the George Allen Courthouse, 600 Commerce Street, Dallas, Texas, 75202, ON THIS THE 2ND DAY OF FEBRUARY, 2018, against MARK S AUSTIN, Respondent, numbered DF-17-23527 and entitled “In the Matter of the Marriage of ROSHANDA L AUSTIN and MARK S AUSTIN” the nature of which suit is a request FOR DIVORCE.
as is more fully shown by Petitioner’s Petition on file in this suit.
The Court has authority in this suit to enter any Judgment of Decree dissolving the marriage and providing for the division of property which will be binding on you.
HEREIN FAIL NOT, but of this writ make due return showing how you have executed the same.
WITNESS: FELICIA PITRE, Clerk of the District Courts, Dallas County, Texas.
Issued and given under my hand and seal of said Court, at Dallas, Texas, ON THIS THE 22ND DAY OF MAY, 2018.
ATTEST: FELICIA PITRE
Clerk of the District Courts of Dallas County, Texas
George Allen Courts Building
600 Commerce Street Suite 103
Dallas, Texas, 75202
By: JAVIER HERNANDEZ, Deputy

5/25

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO: ARMANDO PEREZ JR. RESPONDENT:
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 twenty days after you were served this citation and petition, a default judgment may be taken against you. The Petition of RAMONA PEREZ, Petitioner, was filed in the 254TH DISTRICT COURT of Dallas County, Texas, at the George Allen Courthouse, 600 Commerce Street, Dallas, Texas, 75202, ON THE 22ND DAY OF MAY, 2018, against ARMANDO PEREZ JR., Respondent, numbered. DF-18-10651 and entitled “In the Matter of the Marriage of RAMONA PEREZ and ARMANDO PEREZ JR.” and In the Interest of D.A. FEMALE DOB: 06-07-01 POB: UNKNOWN, A.M. MALE DOB: 03-02-05 POB: UNKNOWN, D.E. MALE DOB: 12-16-06 POB: UNKNOWN, J.A. MALE DOB: 04-29-02 POB: UNKNOWN, AND D.E. FEMALE DOB: 05-01-09 POB: UNKNOWN”. The suit requests FOR DIVORCE.
as is more fully shown by Petitioner’s Petition on file in this suit.
The Court has authority in this suit to enter any Judgment of Decree dissolving the marriage and providing for the division of property which will be binding on you.
HEREIN FAIL NOT, but of this writ make due return showing how you have executed the same.
WITNESS: FELICIA PITRE, Clerk of the District Courts, Dallas County, Texas.
Issued and given under my hand seal of said Court, at Dallas, Texas, ON THIS THE 22ND DAY OF MAY, 2018.
ATTEST: FELICIA PITRE
Clerk of the District Courts of Dallas County, Texas
George Allen Courts Building
600 Commerce Street Suite 103
Dallas, Texas, 75202
By: JAVIER HERNANDEZ, Deputy

5/25

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO: KASIE STEPHENS RESPONDENT:
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 twenty days after you were served this citation and petition, a default judgment may be taken against you. The Petition of DE’AMBER J STEPHENS, Petitioner, was filed in the 303RD DISTRICT COURT of Dallas County, Texas, at the George Allen Courthouse, 600 Commerce Street, Dallas, Texas 75202, ON THIS THE 21ST DAY OF MAY, 2018, against KASIE STEPHENS Respondent, numbered DF-18-10564 and entitled “In the Interest of B.A.S. a child (or children)”. The date and place of birth of the child (children) who is (are) the subject of the suit: B.A.S. FEMALE DOB: 05/27/2014 POB: UNKNOWN.
“The Court has authority in this suit to enter any judgment or decree in the child’s (children’s) interest which will be binding on 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 (children’s) adoption.”
HEREIN FAIL NOT, but of this writ make due return showing how you have executed the same.
WITNESS: FELICIA PITRE, Clerk of the District Courts, Dallas County, Texas.
Issued and given under my hand seal of said Court, at Dallas, Texas, ON THIS THE 22ND DAY OF MAY, 2018.
ATTEST: FELICIA PITRE
Clerk of the District Courts
Dallas County, Texas
By: JAVIER HERNANDEZ, Deputy

5/25

 

 

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