(Published in The Norman Transcript September 30, October 7, 14, 2015, 3t) IN THE DISTRICT COURT OF CLEVELAND COUNTY STATE OF OKLAHOMA BEVERLY ROUNDTREE, Plaintiff, v. JENNIFER WOOD, RANDIE DAWN LEE, JAMES ANTHONY ROUNDTREE, deceased, his heirs, executors, administrators, devisees, trustees & assigns, MIKALIA N. ROUNDTREE and MEGGAN J. ROUNDTREE, Defendants. NOTICE BY PUBLICATION THE STATE OF OKLAHOMA TO: JAMES ANTHONY ROUNDTREE, deceased, his heirs, executors, administrators, devisees, trustees & assigns YOU AND EACH OF YOU are hereby notified that BEVERLY ROUNDTREE, as Plaintiff, has filed in the District Court of Cleveland County, State of Oklahoma, her Petition against the above named Defendants concerning the following described real property in Cleveland County, State of Oklahoma: LOT SIXTEEN (16), of BLOCK EIGHTY-SEVEN (87), in SOUTH GATE ADDITION, Blocks 75 thru 87, to Moore, Cleveland County, Oklahoma, according to the recorded plat thereof a/k/a 1116 N. Southminister, Moore, Oklahoma. The Plaintiff is an fee owner of said real property, together with a homestead interest and is in the actual and peaceable possession thereof; that Defendants, as named hereinabove claim some right, title or interest in and to said real property which constitutes a cloud on the Plaintiffs title which Plaintiff seeks to have determined and the real property partitioned; and praying that the Plaintiff have judgment against the Defendants, and each of them, judicially determining the names and individual identity of each and all the persons who took, or were entitled to take, said real property under the intestate laws of succession or by will in force at the time of the death of any named Defendants, if deceased, and applicable to the distribution of said real property; that the Defendants or their heirs, executors, administrators, devisees, trustees and assigns, be required to show what right, title or interest of Plaintiff; that the title of the Plaintiff in and to said real property be quieted against the Defendants or their heirs, executors, administrators, devisees, trustees and assigns, as applicable, with the Defendants, required to set up or assert any right, title or interest in said real property they may have. That said Defendants, and each of them, must answer the Petition filed by the Plaintiff on or before the 19 day of November, 2015, or said Petition will be taken as true and judgment rendered adjudging and decreeing the Plaintiff and the Defendants, as applicable, to be the owners of said real property and the property to be partitioned as alleged in the Plaintiffs Petition, and that the Defendants assert any right, title or interest therein, and quieting the title against all adverse claims of said Defendants all as per the Petition filed herein. Dated this 28 day of September, 2015. Rhonda Hall DISTRICT COURT CLERK, BY: S/ Larry Bierman DEPUTY (SEAL) M. JOE CROSTHWAIT, JR. #2045 AARON M. ARNALL #21589 The Crosthwait Law Firm Attorneys for Plaintiff 1384 S. Douglas Boulevard Midwest City, Oklahoma 73130 (405) 733-1683 phone (405) 741-1688 facsimile joe@CrosthwaitLaw.com aaron@CrosthwaitLaw.com
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