Journal-World classified (published 02/13/2013)

(Published in the Baldwin
City Signal, Thursday, January 24, 2013)

IN THE DISTRICT COURT OF
DOUGLAS COUNTY, KANSAS

Roger E. Stanley, III,
Plaintiff,

vs.

Sandra C. Eaton and Robert
Eaton,
Rhonda S. Tuggle and David
Tuggle, et al.
Defendants.

No. 13 CV 5
Div. No. 1

Pursuant to Chapter 60 of
the Kansas Statutes
Annotated.
Action Pertaining to Real
Estate.

NOTICE OF SUIT

State of Kansas to the
above-named defendants,
and the unknown heirs, executors, administrators,
devisees, trustees, creditors, and assigns of any deceased defendants; the unknown spouses of any defendants; the unknown officers, successors, trustees,
creditors, and assigns of
any defendants which are
existing, dissolved, or dormant corporations; the unknown executors, administrators, devisees, trustees,
creditors, successors, and
assigns of any defendants
who are or were partners
or in partnership; the unknown guardians, conservators, and trustees of any
defendants who are minors
or are under any legal disability; and the unknown
heirs, executors, administrators, devisees, trustees,
creditors, and assigns of
any person alleged to be
deceased:

You are notified that a petition has been filed in the
District Court of Douglas
County, by Roger E. Stanley,
III, plaintiff, praying for an
order quieting title to the
following described real
property in Douglas
County, Kansas:

The East One-Third (E 1/3)
of North One-Half (N ) of
the Southwest Quarter (SW
1/4) of Section Thirty-Four
(34), Township Thirteen
(13) South, Range
Twenty-One (21) East of the
Sixth Principal Meridian in
the County of Douglas, Kansas, subjects to easements
of record,

being approximately 26.6
acres.

The petition further seeks
an order holding plaintiff to
be the owner of fee simple
title to the above-described
real estate, free of all right,
title, and interest of the
above-named defendants,
and all other persons who
are or may be concerned
and that they and each of
them be forever barred and
foreclosed of and from all
right, title, interest, lien, estate, or equity of redemption in or to the
above-described real estate, or any part thereof.

The petition also seeks an
order that the plaintiff has
open and notoriously utilized said property for over
15 years contrary to any
claimed interest of defendants and is entitled to have
any claimed interest of Defendants be terminated by
virtue of Plaintiff's adverse
possession of the above
described property.

All those defendants who
have not been served are
required to plead to said
petition on or before March
7, 2013, in the District Court
of Douglas County, Kansas.
Should you fail therein,
judgment and decree will
be entered in due course
upon said petition.
Roger E. Stanley, III Plaintiff

BY: Adra E. Burks, #11083
P.O. Box 442192
Lawrence, KS 66044
(785) 841-4269 - office
(785) 841-3624 - fax
Attorney for Plaintiff,
Roger E. Stanley, III
_______