Friday, September 10, 2010

RETURN TO NOTICES

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO THE UNKNOWN HEIRS AT LAW OF IRA WIGGINS, DECEASED 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 the issuance of this citation, same being Monday the OCTOBER 4, 2010, at or before ten o’clock A.M. before the Honorable 101ST 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 14TH day of APRIL, 2010, in this cause, numbered DC-10-04426-E on the docket of said Court, and styled: CITIMORTGAGE, INC., Petitioner vs. EVELYN WIGGINS AND SHEILA WARD Respondent. A brief statement of the nature of this suit is as follows: TO ENFORCE THE HOME EQUITY SECURITY INSTRUMENT ON AND ASSERT SUPERIOR TITLE TO THE PROPERTY LOCATED AT 1106 WOBURN DRIVE GARLAND, TEXAS 75043 AND LEGALLY DESCRIBED AS: BEING UNIT NO. 1106 IN BUILDING H, AND ITS APPURTENANT UNDIVIDED INTEREST IN AND TO THE GENERAL AND LIMITED COMMON ELEMENTS OF WYKEHAM CONDOMINIUMS, A CONDOMINIUM REGIME SITUATED IN THE CITY OF GARLAND DALLAS COUNTY, TEXAS, ACCORDING TO THE DECLARATION FILED ON JULY 24, 1991, RECORDED IN VOLUME 91143, PAGE 3249 AND REFILED AUGUST 23, 1991, RECORDED IN VOLUME 91166, PAGE 1717, DEED RECORDS, DALLAS COUNTY, TEXAS
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 seal of said Court at Dallas, Texas ON This the 13TH day of AUGUST, 2010
GARY FITZSIMMONS
Clerk of the District Courts of Dallas County, Texas
George Allen Courts Building
600 Commerce Street Suite 103
Dallas, Texas, 75202
By EDITH CIUCCIO, Deputy

8/20,8/27,9/3,9/10

CITATION
BY PUBLICATION
THE STATE OF TEXAS
DIVERSITY IN PROMOTIONS, LLC, AND RODNEY J. WOODS 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 the issuance of this citation, same being Monday the OCTOBER 4, 2010, at or before ten o’clock A.M. before the Honorable 95TH 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 10TH day of AUGUST, 2010, in this cause, numbered DC-10-09825-D on the docket of said Court, and styled: GPI TOLLWAY-MADISON, LLC, Petitioner vs. DIVERSITY IN PROMOTIONS, LLC, AND RODNEY J. WOODS Respondent. A brief statement of the nature of this suit is as follows: THIS IS SUIT FOR BREACH OF CONTRACT IN THAT DEFENDANT DIVERSITY IN PROMOTION, LLC BREACHED A LEASE WITH PLAINTIFF. PLAINTIFF IS SEEKING DAMAGES AGAINST DEFENDANTS DIVERSITY IN PROMOTIONS, LLC AND RODNEY J. WOODS FOR $84,480.51.
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 seal of said Court at Dallas, Texas ON This the 16TH day of AUGUST, 2010
GARY FITZSIMMONS
Clerk of the District Courts of Dallas County, Texas
George Allen Courts Building
600 Commerce Street Suite 103
Dallas, Texas, 75202
By EDITH CIUCCIO, Deputy

8/20,8/27,9/3,9/10

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO THE UNKNOWN HEIRS AT LAW OF BILLY RAY SMALLWOOD AND THE UNKNOWN HEIRS AT LAW OF OLLIE M. SMALLWOOD, DECEASED 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 the issuance of this citation, same being Monday the OCTOBER 11, 2010, at or before ten o’clock A.M. before the Honorable 95TH 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 6TH day of AUGUST, 2010, in this cause, numbered DC-10-04005-D on the docket of said Court, and styled: CITIFINANCIAL INC, Petitioner vs. TINA HOOBLER, BILLY SMALLWOOD, DOUGLASS SMALLWOOD, DONNA WELLS, CHARLES ANTHONY, KENNETH ANTHONY, THE UNKNOWN HEIRS AT LAW OF BILLY RAY SMALLWOOD AND THE UNKNOWN HEIRS AT LAW OF OLLIE M. SMALLWOOD Respondent. A brief statement of the nature of this suit is as follows: TO ENFORCE THE HOME EQUITY SECURITY INSTRUMENT ON AND ASSERT SUPERIOR TITLE TO THE PROPERTY LOCATED AT 11424 SMALL DRIVE BALCH SPRINGS, TEXAS 75180 AND LEGALLY DESCRIBED AS: BEING LOT 6, BLOCK “B” OF LEISURE WORLD ADDITION, AND ADDITION TO THE CITY OF BALCH SPRINGS, TEXAS, ACCORDING TO THE MAP OF RECORD IN VOLUME 71083, PAGE 0999, MAP RECORDS, DALLAS COUNTY, TEXAS.
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 seal of said Court at Dallas, Texas ON This the 23RD day of AUGUST, 2010
GARY FITZSIMMONS
Clerk of the District Courts of Dallas County, Texas
George Allen Courts Building
600 Commerce Street Suite 103
Dallas, Texas, 75202
By EDITH CIUCCIO, Deputy

8/27,9/3,9/10,9/17

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO THE UNKNOWN HEIRS AT LAW OF MARY L. GRIFFIN DECEASED 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 the issuance of this citation, same being Monday the OCTOBER 11, 2010, at or before ten o’clock A.M. before the Honorable 162ND 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 4TH day of AUGUST, 2010, in this cause, numbered DC-10-03094-I on the docket of said Court, and styled: DEUTSCHE BANK NATIONAL TRUST COMPANY ON BEHALF OF THE CERTIFICATEHOLDERS OF MORGAN STANLEY ABS CAPITAL I INC. TRUST 2005-NC2 MORTGAGE PASS THROUGH CERTIFICATES, SERIES 2005-NC2, Petitioner vs. BRENDA GRIFFIN WALKER, MELVIN GRIFFIN, BENNY JOE GRIFFIN, AND THE UNKNOWN HEIRS AT LAW OF MARY L. GRIFFIN, DECEASED Respondent. A brief statement of the nature of this suit is as follows: PLAINTIFF’S SUIT SEEKS TO ENFORCE ITS HOME EQUITY LIEN AND STATUTORY PROBATE LIEN AGAINST THE REAL PROPERTY AND IMPROVEMENTS COMMONLY KNOWN AS 2139 LEA CREST DRIVE, DALLAS, TEXAS 75216 AND MORE PARTICULARLY DESCRIBED AS: BEING LOT 21, BLOCK 3/4382 OF LEA CREST ADDITION, AN ADDITION TO THE CITY OF DALLAS, DALLAS COUNTY, TEXAS ACCORDING TO THE PLAT THEREOF RECORDED IN VOLUME 4, PAGE 33, MAP RECORDS, DALLAS COUNTY, TEXAS.
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 seal of said Court at Dallas, Texas ON This the 23RD day of AUGUST, 2010
GARY FITZSIMMONS
Clerk of the District Courts of Dallas County, Texas
George Allen Courts Building
600 Commerce Street Suite 103
Dallas, Texas, 75202
By EDITH CIUCCIO, Deputy

8/27,9/3,9/10,9/17
CITATION
BY PUBLICATION
THE STATE OF TEXAS
CESAR MEDINA AND UNKNOWN DRIVER 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 the issuance of this citation, same being Monday the OCTOBER 18, 2010, at or before ten o’clock A.M. before the Honorable 193RD 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 PLAINTIFF’S, PLAINTIFF’S FIRST AMENDED PETITION was filed in said court, on this the 1ST day of JULY, 2010, in this cause, numbered DC-10-03929-L on the docket of said Court, and styled: MALVON BROWN, Petitioner vs. CESAR MEDINA AND UNKNOWN DRIVER Respondent. A brief statement of the nature of this suit is as follows: MALVON BROWN HAS FILED A LAWSUIT FILE MARKED ON MONDAY, APRIL 5, 2010 IN THE 193RD DISTRICT COURT OF DALLAS COUNTY, TEXAS. THE LAWSUIT ASSERTS A CLAIM AGAINST CESAR MEDINA AND AN UNKNOWN DRIVER. THE CLAIM IS FOR PERSONAL INJURIES AND DAMAGES SUSTAINED AS A RESULT OF A MOTOR VEHICLE ACCIDENT THAT OCCURRED ON APRIL 4, 2008. ON APRIL 4, 2008, MALVON BROWN WAS DRIVING HIS VEHICLE ON U.S. HIGHWAY 67 AFTER ITS INTERSECTION WITH REDBIRD LANE WHEN THE VEHICLE OWNED BY CESAR MEDINA, AND DRIVEN EITHER BY CESAR MEDINA OR AN UNKNOWN DRIVER, SWITCHED LANES AND STRUCK THE VEHICLE DRIVEN BY MALVON BROWN. MALVON BROWN SUFFERED INJURIES AND DAMAGES AS A RESULT OF THIS ACCIDENT AND THE NEGLIGENCE OF CESAR MEDINA AND/OR THE UNKNOWN DRIVER
COPY OF ANY ANSWER TO THIS PETITION THAT IS FILED WITH THE 193RD DISTRICT COURT OF DALLAS COUNTY, TEXAS SHOULD ALSO BE SENT TO MAJED NACHAWATI, 4925 GREENVILLE AVE., SUITE 715, DALLAS, TEXAS 75206, TELEPHONE: (214) 890-0711, FACSIMILE: (214) 890-0712
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 seal of said Court at Dallas, Texas ON This the 2ND day of SEPTEMBER, 2010
GARY FITZSIMMONS
Clerk of the District Courts of Dallas County, Texas
George Allen Courts Building
600 Commerce Street Suite 103
Dallas, Texas, 75202
By EDITH CIUCCIO, Deputy

9/10,9/17,9/24,10/1

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO: DIANE R. LIMA 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 FIRST AMENDED Petition of AARON D SMITH, Petitioner, was filed in the 330TH DISTRICT COURT of Dallas County, Texas, at the George Allen Courthouse, 600 Commerce Street, Dallas, Texas, 75202, ON THIS THE 2ND DAY OF SEPTEMBER, 2010, against DIANE R LIMA, Respondent, numbered. DF-10-04451 and entitled “In the Matter of the Marriage of AARON D SMITH and DIANE R LIMA” and In the Interest of JOSHUA SMITH A CHILD”. The suit requests A DIVORCE AND YOUR RIGHTS REGARDING THE CHILD JOSHUA SMITH DOB: DECEMBER 18, 1998 POB: NOT STATED.
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: GARY FITZSIMMONS, Clerk of the District Courts, Dallas County, Texas.
Issued and given under my hand seal of said Court, at Dallas, Texas, ON THIS THE 3RD DAY OF SEPTEMBER, 2010.
ATTEST: GARY FITZSIMMONS
Clerk of the District Courts of Dallas County, Texas
George Allen Courts Building
600 Commerce Street Suite 103
Dallas, Texas, 75202
By SHELIA BRADLEY, Deputy

9/10

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO: Jermaine Hayden and Unknown and to all whom it may concern, GREETINGS:
You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the clerk who issued this citation by 10:00 A.M. on the Monday next following the expiration of 20 days after you were served this citation and petition, same being Monday the 4th day of October, 2010, a default judgment may be taken against you. Your answer should be addressed to the clerk of the 304th Judicial District Court at the Henry Wade Juvenile Justice Center, 2600 Lone Star Drive, 3rd Floor, Dallas, Texas 75212. The Petition of the Dallas County Child Protective Services Unit of the Texas Department of Family and Protective Services, Petitioner, was filed in the Court of Dallas County, Texas on the 11th day of November, 2009, against Ofelia Ortega, Jermaine Hayden and Unknown, Respondent(s), numbered 09-1119-W-304TH, and entitled, IN THE INTEREST OF Desiree Ortega, A Child, An Original Petition For protection for protection of a child(ren), for conservatorship and for termination, in suit affecting the parent-child relationship. The petition is a request to TERMINATE THE PARENT-CHILD RELATIONSHIP AND APPOINT THE DIRECTOR OF THE DALLAS COUNTY CHILD PROTECTIVE SERVICES UNIT OF THE TEXAS DEPARTMENT OF Family and PROTECTIVE SERVICES AS MANAGING CONSERVATOR. The date and place of birth of the child who is the subject of the suit: Desiree Ortega was born on the 24th day of October, 1992, in Sacramento, California.
The Court has authority in this suit to enter any judgment or decree in the child’s interest which will be binding upon you including the termination of the parent-child relationship, the determination of paternity and the appointment of a conservator with authority to consent to the child’s adoption.
as is more fully shown by Petitioner’s Petition on file in this suit.
HEREIN FAIL NOT, but of this writ make due return showing how you have executed the same.
WITNESS: GARY FITZSIMMONS, Clerk of the District Courts, Dallas County, Texas.
Given under my hand and seal of said Court, at the office in the City of Dallas, this the 30 day of August, 2010.
ATTEST: GARY FITZSIMMONS
Clerk of the District Courts
Dallas County, Texas
By: JOYCE COLBERT Deputy

9/10

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO: Julio Cesar Medrano, Julian Sandoval, Bruce Etheridge, and to all whom it may concern, GREETINGS
You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the clerk who issued this citation by 10:00 A.M. on the Monday next following the expiration of 20 days after you were served this citation and petition, same being Monday the 27th day of September, 2010, a default judgment may be taken against you. Your answer should be addressed to the clerk of the 305th Judicial District Court at the Henry Wade Juvenile Justice Center, 2600 Lone Star Drive, 3rd Floor, Dallas, Texas 75212. The Petition of the Dallas County Child Protective Services Unit of the Texas Department of Family and Protective Services, Petitioner, was filed in the Court of Dallas County, Texas on the 30th day of July, 2010, against Ana Marisela Medrano aka Ana Sanchez Medrano, Julio Cesar Medrano, Julian Sandoval, and Bruce Etheridge, Respondent(s), numbered 10-778-x-305th, and entitled, In the Interest of Samantha Sandoval, et al, Child(ren), Original Petition for Temporary Managing Conservatorship, for Permanent Managing Conservatorship, and for Termination, in Suit Affecting the Parent-Child Relationship. The petition is a request to terminate the parent-child relationship and appoint the Director of the Dallas County Child Protective Services Unit of the Texas DepartMENT OF Family and protective services as managing conservator. The date and place of birth of the children who are the subjects of the suit are Samantha M. Sandoval, a female born on the 30th day of April, 1994, in Dallas County, Texas; Dezeray Medrano, a female born on the 3rd day of June, 1998, in Dallas County, Texas; and Mariah Etheridge, a female born on the 19th day of February, 2008, in Dallas County, Texas.
The Court has authority in this suit to enter any judgment or decree in the child’s interest which will be binding upon you including the termination of the parent-child relationship, the determination of paternity and the appointment of a conservator with authority to consent to the child’s adoption.
as is more fully shown by Petitioner’s Petition on file in this suit.
HEREIN FAIL NOT, but of this writ make due return showing how you have executed the same.
WITNESS: GARY FITZSIMMONS, Clerk of the District Courts, Dallas County, Texas.
Given under my hand and seal of said Court, at the office in the City of Dallas, this the 23 day of August, 2010.
ATTEST: GARY FITZSIMMONS
Clerk of the District Courts
Dallas County, Texas
By: SHERIA N LINSCOME, Deputy

9/10

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO: Tinikwa Milton aka Ta’Nequa Meekins, and to all whom it may concern, GREETINGS
You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the clerk who issued this citation by 10:00 A.M. on the Monday next following the expiration of 20 days after you were served this citation and petition, same being Monday the 27th day of September, 2010, a default judgment may be taken against you. Your answer should be addressed to the clerk of the 305th Judicial District Court at the Henry Wade Juvenile Justice Center, 2600 Lone Star Drive, 3rd Floor, Dallas, Texas 75212. The Petition of the Dallas County Child Protective Services Unit of the Texas Department of Family and Protective Services, Petitioner, was filed in the Court of Dallas County, Texas on the 14th day of July, 2010, against Respondents Tinikwa Milton aka Ta’Nequa Meekins and Ikenna Okwesa aka Ike Okwesa, numbered 10-710-x-305th, and entitled, In the Interest of Michael Okwesa, Child(ren), Original Petition for Protection of a Child(ren), for Conservatorship and for Termination, in Suit Affecting the Parent-Child Relationship. The petition is a request to terminate the parent-child relationship and appoint the Director of the Dallas County Child Protective Services Unit of the Texas DepartMENT OF Family and protective services as managing conservator. The date and place of birth of the child who is the subject of the suit is Michael Okwesa aka Michael Okwisa, who was born on the 31st day of July, 2001, in Dallas, Texas.
The Court has authority in this suit to enter any judgment or decree in the child’s interest which will be binding upon you including the termination of the parent-child relationship, the determination of paternity and the appointment of a conservator with authority to consent to the child’s adoption.
as is more fully shown by Petitioner’s Petition on file in this suit.
HEREIN FAIL NOT, but of this writ make due return showing how you have executed the same.
WITNESS: GARY FITZSIMMONS, Clerk of the District Courts, Dallas County, Texas.
Given under my hand and seal of said Court, at the office in the City of Dallas, this the 23 day of August, 2010.
ATTEST: GARY FITZSIMMONS
Clerk of the District Courts
Dallas County, Texas
By: SHERIA N LINSCOME, Deputy

9/10

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO: Rigo Castillo, Joe Vega, and to all whom it may concern, GREETINGS
You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the clerk who issued this citation by 10:00 A.M. on the Monday next following the expiration of 20 days after you were served this citation and petition, same being Monday the 27th day of September, 2010, a default judgment may be taken against you. Your answer should be addressed to the clerk of the 305th Judicial District Court at the Henry Wade Juvenile Justice Center, 2600 Lone Star Drive, 3rd Floor, Dallas, Texas 75212. The Petition of the Dallas County Child Protective Services Unit of the Texas Department of Family and Protective Services, Petitioner, was filed in the Court of Dallas County, Texas on the 14th day of July, 2010, against Martha Mireles, Rigo Castillo, and Joe Vega, Respondent(s), numbered 10-711-x-305th, and entitled, In the Interest of Rigo Castillo, et al, Child(ren), Original Petition for Temporary Managing Conservatorship, for Permanent Managing Conservatorship, and for Termination, in Suit Affecting the Parent-Child Relationship. The petition is a request to terminate the parent-child relationship and appoint the Director of the Dallas County Child Protective Services Unit of the Texas DepartMENT OF Family and protective services as managing conservator. The date and place of birth of the children who are the subjects of the suit are: Rigo Castillo, a male child born on September 6, 1998, in Brownsville, Texas; Priscilla Castillo, a female child born on October 26, 1999, in Brownsville, Texas; Joyce Vega, a female child born on September 23, 2001, in Brownsville, Texas; and Joe Vega, a male child born on September 23, 2001, in Brownsville, Texas.
The Court has authority in this suit to enter any judgment or decree in the child’s interest which will be binding upon you including the termination of the parent-child relationship, the determination of paternity and the appointment of a conservator with authority to consent to the child’s adoption.
as is more fully shown by Petitioner’s Petition on file in this suit.
HEREIN FAIL NOT, but of this writ make due return showing how you have executed the same.
WITNESS: GARY FITZSIMMONS, Clerk of the District Courts, Dallas County, Texas.
Given under my hand and seal of said Court, at the office in the City of Dallas, this the 23 day of August, 2010.
ATTEST: GARY FITZSIMMONS
Clerk of the District Courts
Dallas County, Texas
By: SHERIA N LINSCOME, Deputy

9/10

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO: Antonio Ojeda and to all whom it may concern, GREETINGS
You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the clerk who issued this citation by 10:00 A.M. on the Monday next following the expiration of 20 days after you were served this citation and petition, same being Monday the 27th day of September, 2010, a default judgment may be taken against you. Your answer should be addressed to the clerk of the 305th Judicial District Court at the Henry Wade Juvenile Justice Center, 2600 Lone Star Drive, 3rd Floor, Dallas, Texas 75212. The Petition of the Dallas County Child Protective Services Unit of the Texas Department of Family and Protective Services, Petitioner, was filed in the Court of Dallas County, Texas on the 23rd day of June, 2010, against Nora Ojeda aka Nora Mejia (deceased) and Antonio Ojeda, Respondent(s), numbered 10-650-x-305th, and entitled, In the Interest of Erick Ojeda, Child(ren), Original Petition for Protection of a Child(ren), for Conservatorship and for Termination, in Suit Affecting the Parent-Child Relationship. The petition is a request to terminate the parent-child relationship and appoint the Director of the Dallas County Child Protective Services Unit of the Texas DepartMENT OF Family and protective services as managing conservator. The date and place of birth of the child who is the subject of the suit is Erick Ojeda aka Erik Ojeda, who was born on the 20th day of October, 1992, in Mexico.
The Court has authority in this suit to enter any judgment or decree in the child’s interest which will be binding upon you including the termination of the parent-child relationship, the determination of paternity and the appointment of a conservator with authority to consent to the child’s adoption.
as is more fully shown by Petitioner’s Petition on file in this suit.
HEREIN FAIL NOT, but of this writ make due return showing how you have executed the same.
WITNESS: GARY FITZSIMMONS, Clerk of the District Courts, Dallas County, Texas.
Given under my hand and seal of said Court, at the office in the City of Dallas, this the 23 day of August, 2010.
ATTEST: GARY FITZSIMMONS
Clerk of the District Courts
Dallas County, Texas
By: SHERIA N LINSCOME, Deputy

9/10

CITATION
BY PUBLICATION
THE STATE OF TEXAS
TO: Brandon Mueller, and to whom it may concern, GREETINGS:
You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the clerk who issued this citation by 10:00 A.M. on the Monday next following the expiration of 20 days after you were served this citation and petition, a default judgment may be taken against you. Your answer should be addressed to the clerk of the 256th Judicial District Court at the George Allen Building, 600 Commerce Street, Dallas, Texas 75202. The Petition of the Dallas County Child Protective Services Unit of the Texas Department of Family and Protective Services, Petitioner, was filed in the Court of Dallas County, Texas on the 20th day of April 2010, against Dora Gloria Silva, and Brandon Leslie Mueller, Sr., Respondent(s), numbered 04-06651-Z-256th, and entitled, “IN THE INTEREST OF Brandon Leslile Mueller, Jr., A Child(ren), “Motion To Modify A Prior Order And Original Petition For Protection Of A Child(ren), For Conservatorship And For Termination, In The Suit Affecting The Parent-Child Relationship.” The suit is a request to TERMINATE THE PARENT-CHILD RELATIONSHIP AND APPOINT THE DIRECTOR OF THE DALLAS COUNTY CHILD PROTECTIVE SERVICES UNIT OF THE TEXAS DEPARTMENT OF FAMILY AND PROTECTIVE SERVICES AS MANAGING CONSERVATOR; and/or, in the alternative, to appoint as permanent managing conservator(s) of the subject child, the relative or other suitable person(s) who has/have an approved homestudy filed by TDFPS in this cause and who is/are presently able and prepared to provide an emotionally and financially stable home for the subject child; and/or to establish paternity of a party. The date and place of birth of the child who is the subject of the suit: Brandon Leslie Mueller, Jr., who was born on the 12th day of December 2002, in Dallas, Texas.
The Court has authority in this suit to enter any judgment or decree in the child’s best 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: GARY FITZSIMMONS, Clerk of the District Courts, Dallas County, Texas.
Issued and given under my hand and seal of said Court, at Dallas, Texas this the 7 day of September, 2010.
ATTEST: GARY FITZSIMMONS
Clerk of the District Courts
Dallas County, Texas
By: Shelia Bradley, Deputy

9/10

PUBLIC NOTICE
Anyone knowing the whereabouts of Marion Tate Tatum please contact Chris Dippel, Attorney at Law, at P.O. Box 2027, Baton Rouge, Louisiana 70821 or call (225) 892-5200.

9/10,9/13,9/14
Notice to Creditors of
THE ESTATE OF LEONA HAWKINS, Deceased
Notice is hereby given that Letters of Administration with Will Annexed upon the Estate of LEONA HAWKINS, Deceased were granted to the undersigned on the 24 of August, 2010 by the Probate Court of Dallas County, Texas. All persons having claims against said estate are hereby required to present the same to Cynthia K. Shanklin within the time prescribed by law.
My address is
4245 N. Central Expressway
Suite 250
Dallas, Texas 75205
Administratrix of the Estate of LEONA HAWKINS Deceased. CAUSE NO. 10-1736-P

9/10

NO. PR-1-217-1
THE ESTATE OF JAMES BALLARD CURTIS, DECEASED IN THE PROBATE COURT OF DALLAS COUNTY, TEXAS
NOTICE TO ALL PERSONS HAVING CLAIMS AGAINST THE ESTATE OF JAMES BALLARD CURTIS, DECEASED
Notice is hereby given that on July 13, 2010, Letters of Administration Without Bond upon the Estate of james ballard curtis, Deceased, were granted to the Independent Administrator, mary curtis kellett, by the Honorable Probate Court of Dallas County, Texas, on Cause No. pr-1-217-1, pending upon the Probate Docket of said Court.
All persons having claims against said Estate, which is being administered in Dallas County, Texas, are hereby required to present the same within the time prescribed by law, to mary curtis kellett, Independent Administrator, in care of her attorney, judith p. kenney, at her address, which is:
Judith P. Kenney & Associates, P.C.
16475 Dallas Parkway
Suite 740
Addison, Texas 75001-6863
(972) 713-6133
(972) 713-6233 FAX
Respectfully submitted,
JUDITH P. KENNEY & ASSOCIATES, P.C.
Judith P. Kenney
State Bar No. 11311600
Attorneys for the Estate of James Ballard Curtis, Deceased

9/10

 

 

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