(Published in The Norman Transcript November 20, 27, December 4, 2015, 3t) IN THE DISTRICT COURT OF CLEVELAND COUNTY, STATE OF OKLAHOMA FAUBION RENTALS, LLC Plaintiff, vs. The heirs, executors, administrators, devisees, trustees and assigns of DALE S. WOOD GLADYS A. WOOD, DALE WILLIS WOOD, GEORGE J. FAUBION, JR., and OLVNA M. FAUBION, deceased; the Unknown Successors of DALE S. WOOD, GLADYS A. WOOD, DALE WILLIS WOOD, GEORGE J. FAUBION, JR., and OLVNA M. FAUBION, deceased; ROBERT L. WEST, ALAN RUFUS WATERS, VIVIAN ADAMS WOOD, RONALD DALE WOOD, DONALD WILLACE WOOD, DRUCE DEON WOOD, TYLA WOOD CRAWFORD, ELLA V. WOOD, ROBERT LELAND WOOD; MONICA MAEVE WATERS, a single person; WILLIAM R. HANCOCK, JR., and NICKOLA K. HANCOCK, husband and wife; WILMA RUTH KELSO; KELSO PROPERTIES, INC., an Oklahoma Corporation; PAMELA FAUBION TROUP, DEBRAH FAUBION ATTORI; PAMELA TROUP and DEBRAH FAUBION ATTORI, SUCCESSOR CO-TRUSTEES OF THE FAUBION LIVING TRUST dated October 2, 1995; PAMELA TROUP and DEBRAH FAUBION ATTORI, SUCCESSOR CO-TRUSTEES OF THE FAUBION SURVIVORS TRUST; PAMELA TROUP and DEBRAH FAUBION ATTORI, SUCCESSOR CO-TRUSTEES OF THE FAUBION FAMILY TRUST and THE STATE OF OKLAHOMA, ex rel, OKLAHOMA TAX COMMISSION, Defendants. NOTICE BY PUBLICATION The State of Oklahoma to: The heirs, executors, administrators, devisees, trustees and assigns of DALE S. WOOD, GLADYS A. WOOD, DALE WILLIS WOOD, GEORGE J. FAUBION, JR., and OLVNA M. FAUBION, deceased; the Unknown Successors of DALE S. WOOD, GLADYS A. WOOD, DALE WILLIS WOOD, GEORGE J. FAUBION, JR., and OLVNA M. FAUBION, deceased; ROBERT L. WEST, ALAN RUFUS WATERS, VIVIAN ADAMS WOOD, RONALD DALE WOOD, DONALD WILLACE WOOD, DRUCE DEON WOOD, TYLA WOOD CRAWFORD, ELLA V. WOOD, ROBERT LELAND WOOD; MONICA MAEVE WATERS, a single person; WILLIAM R. HANCOCK, JR., and NICKOLA K. HANCOCK, husband and wife; WILMA RUTH KELSO; KELSO PROPERTIES, INC., an Oklahoma Corporation; PAMELA FAUBION TROUP, DEBRAH FAUBION ATTORI; PAMELA TROUP and DEBRAH FAUBION ATTORI, SUCCESSOR CO-TRUSTEES OF THE FAUBION LIVING TRUST dated October 2, 1995; PAMELA TROUP and DEBRAH FAUBION ATTORI, SUCCESSOR CO-TRUSTEES OF THE FAUBION SURVIVORS TRUST; PAMELA TROUP and DEBRAH FAUBION ATTORI, SUCCESSOR CO-TRUSTEES OF THE FAUBION FAMILY TRUST and THE STATE OF OKLAHOMA, ex rel, OKLAHOMA TAX COMMISSION, Defendants. Take notice that you have been sued in the above named court by the plaintiff, FAUBION RENTALS, LLC, alleging that by a series of scriveners errors the real property described below was mis-described in a mesne of deeds and that said deeds should be re-formed by the Court to properly describe said property as set forth below; and also that the plaintiff and its predecessors in title have been in the open, adverse, notorious, peaceable, continuous and exclusive claim of title, paying all taxes, claiming and receiving all rents, revenue and income of every kind and character therefrom, for a period of more than fifteen (15) years prior to the date of filing this petition; and by reason thereof the defendants and each of them named in the caption of the petition are barred absolutely by the applicable Statutes of Limitation of the State of Oklahoma from successfully claiming or asserting any right, title or interest in and to said property or any part of same. That the plaintiff is the owner and in the quiet and peaceable possession of the following described real property situated in CLEVELAND County, State of Oklahoma, to-wit: Lots Eight (8) through Twelve (12), inclusive; Lots Fourteen (14) through Eighteen (18), inclusive; and Lot Twenty-two (22), all in Block One (1) of Replat or Replat of Block One, MILLER ADDITION to the City of Norman, Cleveland County, State of Oklahoma, according to the recorded plat thereof. That Plaintiff, FAUBION RENTALS, LLC, is entitled to a judgment of this Court to reform each of the above referenced Deeds and Conveyances to conform with the proper legal description of the property above described; and quieting and confirming title and possession of the real property estate herein described, and forever barring and enjoining the defendants and all persons claiming by, through or under them or any of them, from asserting any right, title, lien, estate, encumbrance, claim or interest in and to said property adverse to the Plaintiff, and for such other and further relief as the Court deems just and proper, and that you must answer the petition filed herein by the said plaintiff, on or before the 6th day of January, 2016, or said petition will be taken as true, and a judgment for said plaintiff accordingly, as prayed, will be rendered. Rhonda Hall, COURT CLERK By: Reba Hamilton, Deputy 11-18-15 (SEAL) s/ K. D. Lackey, Jr. K.D. Lackey, Jr., Attorney for Plaintiff OBA #005153 6 N.E. 63rd Street, Suite 275 Oklahoma City, Oklahoma 73105 (405) 848-5032
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