• NOTICE BY PUBLICATION

Published in The Muskogee Phoenix February 3, 10 & 17, 2017
IN THE DISTRICT COURT OF MUSKOGEE COUNTY STATE OF OKLAHOMA
ALLEN J. OWEN Plaintiffs, vs. JIMMY D. JOICE, SR., JEREMIAH BERRY, and PAMELA WARD, and if married, their spouse, if deceased, the known and unknown heirs, executors, administrators, trustees and assigns of JIMMY D. JOICE, SR., JEREMIAH BERRY, and PAMELA WARD, LONG BEACH MORTGAGE COMPANY and DEUTSCHE BANK NATIONAL TRUST COMPANY, AS TRUSTEE FOR LONG BEACH MORTGAGE LOAN TRUST 2006- 5, their successors and assigns Defendants
Case No CV-2017-34
NOTICE BY PUBLICATION
THE STATE OF OKLAHOMA
Jimmy D. Joice, Sr., Jeremiah Berry and Pamela Ward, and if married, their spouse, if deceased, the known and unknown heirs, executors, administrators, trustees and assigns of Jimmy D. Joice, Sr., Jeremiah Berry and
Pamela Ward, Long Beach Mortgage Company and Deutsche Bank National Trust Company, as Trustee for Long Beach Mortgage Loan Trust 2006-5, their successors and assigns and each of them YOU, and each of you, are hereby notified that the Plaintiff named in the caption hereof has filed a Petition in the District Court of Muskogee County, State of Oklahoma, Case No. CV-2017-34 against you, and each of you, et al., alleging that he is the owner of the following described real property situated in Muskogee County, State of Oklahoma, to-wit: Lot 4 Block 31, Monticello Addition to the City of Muskogee, according to the official plat thereof, Muskogee County, State of Oklahoma
That said Defendants, and each of them named herein, claim some right, title, lien, estate, encumbrance, claim, assessment or interest in and to said real property involved herein adverse to that of said Plaintiff, which constitutes a cloud upon the title of said property, as is set forth in the Petition filed herein, reference made thereto. That the Defendants, and each of them, be adjudged to have no right, title, claim, estate or interest in and to the real property involved in this cause of action and that they, and each of them, be perpetually barred and enjoined from setting
up or asserting any right, title, claim, estate or interest in and to said property. That said Defendants, and each of them, must answer the Petition filed herein by Plaintiff on or before the 21st day of March, 2017, or said Petition will be taken as true and correct and judgment rendered accordingly decreeing that said Plaintiff is the owner of the property described in said Petition, to the exclusion of the Defendants named therein.
Given under my hand and seal the 1st day of February, 2017.
By:
Crisandra Smith
Deputy
PAULA SEXTON, COURT CLERK
MUSKOGEE COUNTY, OKLAHOMA
WRIGHT STOUT & WILBURN, P.L.L.C. Paula Ranallo Wilburn, OBA # 12446 300 W. Broadway, Suite A ; P.O. Box 707 Muskogee, Oklahoma 74402 -0707
(918) 682-0091
/ Fax: (918) 683-6340 Attorney for Plaintiff
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PostedFebruary 03, 2017