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Journal-World classified (published 02/17/2014)

(First published in the
Lawrence Daily
Journal-World January 27,
2014)

IN THE DISTRICT COURT OF
DOUGLAS COUNTY, KANSAS
CIVIL DEPARTMENT

The Bank of New York
Mellon Trust Company,
N.A., as trustee on behalf
of CWABS Asset-Backed
Certificates Trust 2006-6
Plaintiff,

vs.

Sarah E. Ritchie, Jane Doe,
John Doe, and Beneficial
Financial I, Inc., sbm to
Beneficial Kansas, Inc.,
et al.,
Defendants

Case No. 14CV13
Court No. 1
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
The Bank of New York Mellon Trust Company, N.A.,
as trustee on behalf of
CWABS Asset-Backed Certificates Trust 2006-6,
praying for foreclosure of
certain real property legally described as follows:

LOT 2, IN BLOCK 1, IN BELLE
HAVEN SOUTH ADDITION
NUMBER 2, AN ADDITION
TO THE CITY OF LAWRENCE, AS SHOWN BY THE
RECORDED PLAT THEREOF,
IN DOUGLAS COUNTY, KANSAS. Tax ID No. U11656

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 March 10,
2014. 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
Travis Gardner, #25662
tgardner@msfirm.com
11460 Tomahawk Creek
Parkway, Ste. 300
Leawood, KS 66211
(913) 339-9132
(913) 339-9045 (fax)

By:
Jennifer M. Walker, #24713
jwalker@msfirm.com
Aaron M. Schuckman,
#22251
aschuckman@msfirm.com
612 Spirit Dr.
St. Louis, MO 63005
(636) 537-0110
(636) 537-0067 (fax)
ATTORNEYS FOR PLAINTIFF

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