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Journal-World classified (published 08/21/2013)

(First published in The Mirror, Wednesday, July 31
2013)

IN THE DISTRICT COURT OF
LEAVENWORTH COUNTY,
KANSAS
CIVIL DEPARTMENT

Green Tree Servicing LLC
Plaintiff,

vs.

John C. Lewis a/k/a John
Claude Lewis; Deborah L.
Lewis a/k/a Deborah Lynn
Lewis; John Doe
(Tenant/Occupant); Mary
Doe (Tenant/Occupant);
Unknown spouse, if any, of
John C. Lewis; Unknown
spouse, if any, of Deborah
L. Lewis,
Defendants.

Case No. 13CV309
Court Number:
Pursuant to K.S.A.
Chapter 60

NOTICE OF SUIT

THE 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
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;
the unknown guardians,
conservators and trustees
of any defendants that 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, and all
other persons who are or
may be concerned.

You are notified that a Petition has been filed in the
District Court of Leavenworth County, Kansas,
praying to foreclose a real
estate mortgage on the following described real estate:

Lot 2, GRIGGS REPLAT, City
of Leavenworth, Leavenworth County, Kansas
,
commonly known as 1301
Quincy Street, Leavenworth, KS 66048 (the
"Property")

and all those defendants
who have not otherwise
been served are required
to
plead to the Petition on or
before the 10th day of September, 2013, in the District
Court of Leavenworth
County,Kansas. If you fail
to plead, judgment and decree will be entered in due
course upon the Petition.

NOTICE
Pursuant to the Fair Debt
Collection Practices Act, 15
U.S.C. 1692c(b), no information concerning the collection of this debt may be
given without the prior consent of the consumer given
directly to the debt collector or the express permission of a court of competent jurisdiction. The debt
collector is attempting to
collect a debt and any information obtained will be
used for that purpose.
Prepared By:
South & Associates, P.C.
Brian R. Hazel (KS # 21804)
6363 College Blvd., Suite 100
Overland Park, KS 66211
(913)663-7600
(913)663-7899 (Fax)
Attorneys For Plaintiff
(144196)
________