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Journal-World classified (published 07/04/2013)

(First published in The Mirror, Wednesday, June 12
2013)

IN THE DISTRICT COURT OF
LEAVENWORTH COUNTY,
KANSAS

JPMorgan Chase Bank,
National Association
PLAINTIFF

vs.

Whitney D. Moulden,
John Doe, unknown spouse
DEFENDANTS

No. 13CV140
Div No.
K.S.A. 60
Mortgage Foreclosure

NOTICE OF SUIT

The State of Kansas to
Whitney D. Moulden, John
Doe, unknown spouse and
all other persons who are
or may be concerned and
the unknown heirs, executors, administrators, devisees, trustees, creditors
and assigns of such Defendants as may be deceased; the unknown
spouses of the Defendants;
the unknown executors, administrators, devisees,
trustees, creditors, successors and assigns of such
Defendants as are or were
partners or in partnership;
and the unknown guardians, conservators, and
trustees of such of the Defendants as are minors or
are anywise under legal
disability.

YOU ARE HEREBY NOTIFIED
that a Petition has been
filed in the District Court of
LEAVENWORTH County,
Kansas, by Plaintiff above
named praying for judgment against the
defendant(s) Whitney D.
Moulden in the principal
amount of $63,272.61 with
accrued interest thereon
from November 1, 2012 at
the rate of 7.25% per
annum until paid; for the
sum of $220.00 for title evidence in bringing this action; together with attorney
fees, court costs related to
this action, taxes and any
and all other sums which
Plaintiff may hereafter advance or pay under the
terms and conditions of the
Mortgage executed by the
said Defendants to Plaintiff,
for judgment that Plaintiff
has a first Mortgage loan
for payment of said debt on
the following described
real property, to wit:

LOT L, JOHN KELLY'S
RE-SURVEY OF BLOCK 5 OF
JAMES DAVIS' ADDITION, A
SUBDIVISION IN THE CITY
OF LEAVENWORTH, LEAVENWORTH COUNTY, KANSAS AND THE NORTH 1/2
OF VACATED RANDOLPH
STREET ADJACENT TO SAID
LOT.

more correctly described
as: 1010 Columbia Ave.,
Leavenworth, KS 66048

that the Mortgage be foreclosed; that the rights and
priorities of the parties be
determined; and that said
real property be sold and
the proceeds applied on
the debt owing Plaintiff;
and that you, and each of
you, be forever barred and
foreclosed from and after
three (3) months from date
of said sale from any of all
right, title, interest, lien, estate or equity of redemption in or to said property,
or any part thereof, and
you are hereby required to
plead to said Petition on or
before July 23, 2013 in said
Court at the Courthouse in
LEAVENWORTH County,
Kansas. Should you fail
therein, judgment and decree will be entered in due
course upon said Petition.
SINGER TARPLEY & JONES,
P.A.

___/S/________________
Linda S. Tarpley #22357
ltarpley@stlaw.net
Kenneth C. Jones #10907
kjones@stlaw.net
10484 Marty
Overland Park, KS 66212
Phone: (913) 648-6333
Fax: (913) 642-8742
ATTORNEY FOR PLAINTIFF
________