_____________________________________ LEGAL NOTICE _____________________________________ IN THE DISTRICT COURT OF PONTOTOC COUNTY STATE OF OKLAHOMA MARILYN C. BAIRD, Plaintiff, v. J.A. CANTER and BIRDIE CANTER aka, BIRDIE E. CANTER, Husband and Wife, both deceased; THEIR UNKNOWN HEIRS and ASSIGNS, Defendants. Case No. CV-16-11 NOTICE BY PUBLICATION THE STATE OF OKLAHOMA TO THE DEFENDANTS: J.A. CANTER AND BIRDIE CANTER AKA BIRDIE E. CANTER, HUSBAND AND WIFE, BOTH DECEASED; AND THEIR UNKNOWN HEIRS AND ASSIGNS. YOU, AND EACH OF YOU, are hereby notified that Plaintiff, MARILYN C. BAIRD, has filed a Petition in District Court of Pontotoc County, State of Oklahoma, Case No. CV-16-11, against you, et al, alleging that Plaintiff is the legal and equitable owner of a 2.5 acre fee simple mineral interest in all the oil, gas and other minerals in and under and that may be produced from the following described tract of real estate and premises situated in Pontotoc County, State of Oklahoma, to-wit: The Southeast Quarter (SE/4) and the West Half of the Northeast Quarter of the Northeast Quarter (W/2 NE/4 NE/4) and the Northeast Quarter of the Southwest Quarter of the Northeast Quarter (NE/4 SW/4 NE/4) of Section Thirty-five (35), Township Five (5) North, Range Four (4) East, Pontotoc County, Oklahoma. and The Northwest Quarter of the Northeast Quarter (NW/4 NE/4) of Section Thirty-five (35), Township Five (5) North, Range Four (4) East, Pontotoc County, Oklahoma Defendants named herein, claim some right, title, lien estate, encumbrance, claim, assessment or interest in and to said real property involved herein adverse to that of the Plaintiff, which constitutes a cloud upon the title of the Plaintiff, and the Defendants, have no such right, title, lien estate, encumbrance, claim, assessment or interest either in law or equity, in and to the property, as is set forth in the Petition filed herein, reference made thereto. Defendants, be adjudged to have no right, title, claim, estate or interest in and to the real property involved in this cause of action and that it, be perpetually barred and enjoined from setting up or asserting any right, title, claim, estate or interest in and to said property. The Defendants, must answer the Petition filed herein by Plaintiff on or before the 21 day of March, 2016, or said Petition will be taken as true and correct and judgment will be rendered accordingly decreeing that the Plaintiff is the owner of the property described in the Petition. Given under my hand and seal the 1st day of February, 2016. KAREN DUNNIGAN, Pontotoc County Clerk BY s://P. Weaver Deputy Clerk s://Jon W. Lurtz Jon W. Lurtz, OBA #12382 Hossein Dabiri, OBA #31829 Jon W. Lurtz, P.C. 3801 North Classen Boulevard, Suites 6 & 7 Oklahoma City, Oklahoma 73118 Telephone: (405)557-1706 Facsimile: (405)521-8121 ATTORNEYS FOR PLAINTIFF
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