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Journal-World classified (published 07/11/2013)

(First Published in the Lawrence Daily Journal-World,
June 20, 2013)

IN THE DISTRICT COURT OF
DOUGLAS COUNTY, KANSAS

U.S. BANK NATIONAL ASSOCIATION, AS TRUSTEE, SUCCESSOR IN INTEREST TO
BANK OF AMERICA, NATIONAL ASSOCIATION, AS
TRUSTEE, SUCCESSOR BY
MERGER TO LASALLE BANK
NATIONAL ASSOCIATION,
AS TRUSTEE FOR MORGAN
STANLEY MORTGAGE LOAN
TRUST 2007-7AX
Plaintiff,

vs.

ROBERT JUMP,
Defendants.

Case No. 13CV275
Div. No. 5
K.S.A. 60
Mortgage Foreclosure

NOTICE OF SUIT

The State of Kansas to:
ROBERT JUMP; JOHN DOE
(REAL NAME UNKNOWN);
MARY DOE (REAL NAME UNKNOWN)

and the unknown heirs, executors, administrators,
devisees, trustees, creditors, and assigns of such of
the defendants as may be
deceased; the unknown
spouses of the defendants;
the unknown officers, successors, trustees, creditors
and assigns of such defendants as are existing,
dissolved or dormant corporations; the unknown
guardians and trustees of
such of the defendants as
are minors or are in anywise under legal disability;
and all other persons who
are or may be concerned:

You are hereby notified
that a petition has been
filed in the District Court of
Douglas County, Kansas, by
U.S. Bank National Association, As Trustee, Successor
In Interest To Bank Of
America, National Association, As Trustee, Successor
By Merger To Lasalle Bank
National Association, As
Trustee For Morgan Stanley
Mortgage Loan Trust
2007-7Ax for judgment in
the sum of $109,949.84, plus
interest, costs and other relief; judgment that
plaintiff's lien is a first lien
on the said real property
and sale of said property to
satisfy the indebtedness,
said property described as
follows, to wit:

THE WEST 75 FEET OF LOTS
70 AND 72, IN BLOCK 13, IN
WEST LAWRENCE, AN ADDITION TO THE CITY OF LAWRENCE, DOUGLAS COUNTY,
KANSAS Commonly known
as 918 W. 3rd Street, Lawrence, Kansas 66044

and you are hereby required to plead to said petition in said Court at Lawrence, Kansas on or before
the 5th day of August, 2013.

Should you fail therein
judgment and decree will
be entered in due course
upon said petition.

THIS IS AN ATTEMPT TO
COLLECT A DEBT AND ANY
INFORMATION OBTAINED
WILL BE USED FOR THAT
PURPOSE
.

SHAPIRO & MOCK, LLC
Attorneys for Plaintiff
6310 Lamar - Suite 235
Overland Park, KS 66202
(913)831-3000
Fax No. (913)831-3320
Our File No. 13-006234/dkb
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