AD#11616564 9/4 9/11/2025
IN THE CIRCUIT COURT OF THE EIGHTEENTH JUDICIAL CIRCUIT IN AND FOR BREVARD COUNTY, FLORIDA GENERAL JURISDICTION DIVISION
BARBIZON CONDOMINIUM ASSOCIATION, INC., A FLORIDA NOT FOR PROFIT CORPORATION,
PLAINTIFF,
V.
JOHANNES H. MANHAVE; THOMAS J. MANHAVE; PAUL C. MANHAVE; BOB M. MANHAVE; CORNELIA C. MANHAVE; UNKNOWN SPOUSE OF JOHANNES H. MANHAVE; UNKNOWN SPOUSE OF THOMAS J. MANHAVE; UNKNOWN SPOUSE OF PAUL C. MANHAVE; UNKNOWN SPOUSE OF BOB M. MANHAVE; and UNKNOWN SPOUSE OF CORNELIA C. MANHAVE
DEFENDANTS.
CASE NO. 2024-CA-053998 XXCA BC
NOTICE OF ACTION
TO:
Thomas J. Manhave
412 Kearley Dr #A
Hallsville, TX 75650
Unknown Spouse of Thomas J. Manhave
412 Kearley Dr #A
Hallsville, TX 75650
Cornelia C. Manhave
412 Kearley Dr #A
Hallsville, TX 75650
Unknow Spouse of Cornelia C. Manhave
412 Kearley Dr #A
Hallsville, TX 75650
Bob M. Manhave
412 Kearley Dr #A
Hallsville, TX 75650
Unknown Spouse of Bob M. Manhave
412 Kearley Dr #A
Hallsville, TX 75650
Paul C. Manhave
3702 Shawnee Dr
Sierra Vista, AZ 85650
Unknown Spouse of Paul C. Manhave
3702 Shawnee Dr
Sierra Vista, AZ 85650
YOU ARE HEREBY NOTIFIED that an action to enforce and foreclose a Claim of Lien for condominium assessments and to foreclose any claims which are inferior to the right, title and interest of the Plaintiff herein in the following described property:
Unit #6 of the Barbizon Condominium according to the Declaration of Condominium according to the Declaration of Condominium thereof, recorded ORB 1671, Page 131, of Public Records of Brevard County, Florida.
has been filed against you and you are required to serve a copy of your written defenses, if any, to it on:
CAROLYN C. MEADOWS, ESQ. (JH)
Plaintiff’s attorney, whose address is:
BECKER & POLIAKOFF, P.A.
1 East Broward Blvd., Suite 1700
Fort Lauderdale, FL 33301
Phone: (954) 985-4102
Fax: (954) 987-5940
Primary email: cofoservicemail@beckerlawyers.com
on or before within 30 days from first publication , and to file the original of the defenses with the Clerk of this Court either before service on Plaintiff’s attorney or immediately thereafter. If a Defendant fails to do so, a default will be entered against that Defendant for the relief demanded in the Complaint.
WITNESS my hand and the seal of said Court August 22, 2025.
Rachel M. Sadoff,
as Clerk of said Court
By: GINNI CULLIFER
As Deputy Clerk