Journal-World classified (published 05/15/2013)

(First published in the Lawrence Daily Journal-World
April 16, 2013)

IN THE DISTRICT COURT OF
DOUGLAS COUNTY,
KANSAS
CIVIL DEPARTMENT

Kondaur Capital
Corporation
Plaintiff,

vs.

Sharon Batten, Steve Batten, Jane Doe, John Doe,
Discover Bank, Midwest
Checkrite, Inc., Richard
Haig dba Westside 66, and
Schmidt Builders Supply,
Inc., et al.,
Defendants

Case No. 13CV170
Court No. 5
Title to Real Estate Involved
Pursuant to K.S.A. 60

NOTICE OF SUIT

STATE OF KANSAS to the
above named Defendants
and The Unknown Heirs, executors, 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
that are existing, dissolved
or dormant corporations;
the unknown executors, administrators, devisees,
trustees, creditors, successors and assigns of any defendants that are or were
partners or in partnership;
and the unknown guardians, conservators and trustees of any defendants that
are minors or are under any
legal disability and all other
person who are or may be
concerned:

YOU ARE HEREBY NOTIFIED
that a Petition for Mortgage
Foreclosure has been filed
in the District Court of
Douglas County, Kansas by
Kondaur Capital Corporation, praying for foreclosure of certain real property legally described as
follows:

LOT C23-B, IN REPLAT OF
LOTS 6, 7, 8 AND 9, BLOCK 2,
DEERFIELD VILLAGE SOUTH
NO. 3, AND LOT 13, BLOCK 3,
DEERFIELD VILLAGE SOUTH
AND LOT C-23 OF A REPLAT
OF LOTS 1 THROUGH 15 AND
PART OF TRACT C,
DEERFIELD PARK NO. 2, ALL
IN THE CITY OF LAWRENCE,
AS SHOWN BY THE RECORDED PLAT THEREOF, IN
DOUGLAS COUNTY, KANSAS. Tax ID No. U14822B

for a judgment against defendants and any other interested parties and, unless
otherwise served by personal or mail service of
summons, the time in
which you have to plead to
the Petition for Foreclosure
in the District Court of
Douglas County Kansas will
expire on May 28, 2013. If
you fail to plead, judgment
and decree will be entered
in due course upon the request of plaintiff.

MILLSAP & SINGER, LLC

By:
Chad R. Doornink, #23536
cdoornink@msfirm.com
Jeremy M. Hart, #20886
jhart@msfirm.com
Jason A. Orr, #22222
jorr@msfirm.com
11460 Tomahawk Creek
Parkway, Suite 300
Leawood, KS 66211
(913) 339-9132
(913) 339-9045 (fax)

ATTORNEYS FOR PLAINTIFF

MILLSAP & SINGER, LLC AS
ATTORNEYS FOR KONDAUR
CAPITAL CORPORATION IS
ATTEMPTING TO COLLECT A
DEBT AND ANY INFORMATION OBTAINED WILL BE
USED FOR THAT PURPOSE.
________