SUPERIOR COURT OF NEW JERSEY
CHANCERY DIVISION
OCEAN COUNTY
DOCKET NO. F-005591-25
FILE NO. 31098-25
NOTICE TO ABSENT DEFENDANT
(L.S.) STATE OF NEW JERSEY TO:
ROBERT D. JONES, HIS HEIRS, DEVISEES AND PERSONAL REPRESENTATIVES AND HIS, HER, THEIR OR ANY OF THEIR SUCCESSORS IN RIGHT, TITLE AND INTEREST; SCOTT JONES; KATHLEEN JONES, HIS WIFE; ROBIN D. JONES; JOHN DOE, HUSBAND OF ROBIN D. JONES, SAID NAME JOHN DOE BEING FICTITIOUS; MALCOLM G COBLENTZ LLC; ANTONIO FERREIRA; WANDA JACKSON; ULISES RODRIGUEZ; JERSEY SHORE ANESTHESIA; GLENN ROGERS;
YOU ARE HEREBY SUMMONED AND REQUIRED to serve upon PELLEGRINO AND FELDSTEIN, LLC, plaintiff's attorneys, whose address is 290 Route 46 West, Denville, NJ, an Answer to the Amended Complaint filed in a Civil Action, in which CHRISTIANA TRUST AS CUSTODIAN GSRAN-Z, LLC is the plaintiff and ROBERT D. JONES, HIS HEIRS, ET ALS; are defendants, pending in the Superior Court of New Jersey, Chancery Division, OCEAN County and bearing Docket No. F-005591-25 within thirty-five (35) days after June 4, 2026 exclusive of such date. If you fail to answer or appear in accordance with Rule 4:4-6, Judgment by Default may be rendered against you for relief demanded in the Amended Complaint. You shall file your Answer and Proof of Service in duplicate with the Clerk of the Superior Court of New Jersey, Hughes Justice Complex - CN 971, Trenton, New Jersey 08625, in accordance with the Rules of Civil Practice and Procedure.
You are further advised that if you are unable to obtain an attorney you may communicate with the Lawyer Referral Service of the County of Venue and that if you cannot afford an attorney, you may communicate with the Legal Services Office of the County of Venue. The telephone number of such agencies are as follows: Lawyer Referral Service 732-240-3666 - Legal Services Office 732-341-2727.
THE ACTION has been instituted for the purpose of foreclosing the following tax sale certificate:
1. A certain tax certificate 22-00005, sold on 12/15/2022, dated 12/20/2022, and was recorded on 3/17/2023 in Mortgage Book 19326 at Page 1131, made by LEIGH SCHENCK, Collector of Taxes of JACKSON TWP, and State of New Jersey to CHRISTIANA TRUST AS CUSTODIAN GSRAN-Z, LLC and subsequently assigned to plaintiff, CHRISTIANA TRUST AS CUSTODIAN GSRAN-Z, LLC. This covers real estate located in JACKSON TWP, County of OCEAN, and State of New Jersey, known as LOT 44 BLOCK 1204 as shown on the Tax Assessment Map and Tax Map duplicate of JACKSON TWP. and concerns premises commonly known as 970 HYSON ROAD, JACKSON TWP, New Jersey.
YOU, ROBERT D. JONES, HIS HEIRS, DEVISEES AND PERSONAL REPRESENTATIVES AND HIS, HER, THEIR OR ANY OF THEIR SUCCESSORS IN RIGHT, TITLE AND INTEREST; SCOTT JONES; KATHLEEN JONES, HIS WIFE; ROBIN D. JONES, are made party defendant to the above foreclosure action because you are the owner of a property which is the subject of the above entitled action.
YOU, JOHN DOE, HUSBAND OF ROBIN D. JONES, SAID NAME JOHN DOE BEING FICTITIOUS, are made party defendant to the above foreclosure action because plaintiff has been unable to determine whether defendant ROBIN D. JONES is married, and if married, the name of ROBIN D. JONES's spouse. If ROBIN D. JONES is married, the plaintiff joins JOHN DOE, HUSBAND OF ROBIN D. JONES, SAID NAME JOHN DOE BEING FICTITIOUS as a defendant for any possessory or marital rights you may have.
YOU, MALCOLM G COBLENTZ LLC, are made party defendant to the above foreclosure action because on December 3, 2010, a judgment was entered in the Superior Court of New Jersey, Essex County, by Malcolm G Coblentz LLC against Robert Jones and Dorian Brown disclosing a debt in the amount of $21,138.08, plus costs. Said judgment was entered as Judgment No. J-309649-2010. Said judgment is subordinate to the Plaintiff's lien.
YOU, ANTONIO FERREIRA, are made party defendant to the above foreclosure action because on December 19, 2013, a judgment was entered in the Superior Court of New Jersey, Ocean County, by Antonio Ferreira against Robert Jones and Arcon Development LLC disclosing a debt in the amount of $373,581.63, plus fees. Said judgment was entered as Judgment No. J-258416-2013. Said judgment is subordinate to the Plaintiff's lien.
YOU, WANDA JACKSON, are made party defendant to the above foreclosure action because on May 4, 1999, a child support judgment was entered in the Superior Court of New Jersey, Passaic County, by Wanda Jackson against Kathy J Jones. Said judgment was entered as Judgment No. J-105175-1999, CS51936999B. Said judgment is subordinate to the Plaintiff's lien.
YOU, ULISES RODRIGUEZ, are made party defendant to the above foreclosure action because on March 14, 2024, a judgment was entered in the Superior Court of New Jersey, Morris County, by Ulises Rodriguez against Willy Mejia; Robert Jones; Jose Rojas and RFJ Properties Investor 3 LLC disclosing a debt in the amount of $234,000.00. Said judgment was entered as Judgment No. J-030971-2024. Said judgment is subordinate to the Plaintiff's lien.
YOU, JERSEY SHORE ANESTHESIA, are made party defendant to the above foreclosure action because on September 23, 2013, a judgment was entered in the Superior Court of New Jersey, Ocean County, by Jersey Shore Anesthesia against Kathleen Jones disclosing a debt in the amount of $520.00, plus costs and interest. Said judgment was entered as Judgment No. DJ-194053-2013. Said judgment is subordinate to the Plaintiff's lien.
YOU, GLENN ROGERS, are made party defendant to the above foreclosure action because on March 21, 2023, a judgment was entered in the Superior Court of New Jersey, Mercer County, by Glenn Rogers against William Snorton; Robin Jones; Seth Taylor; and New Life Health Care Agency LLC disclosing a debt in the amount of $55,990.15, plus costs and fees. Said judgment was entered as Judgment No. J-037471-2023. Said judgment is subordinate to the Plaintiff's lien.
Defendants are hereby provided NOTICE of the right to exercise affirmative defense of surplus equity to this foreclosure action, per Tyler v. Hennepin, 598 U.S. 631 (2023).
A. If the plaintiff's lien is not redeemed, or you do not elect to have this action brought to sheriff's sale, you are at risk to lose your equity in the property.
B. The potential loss of equity in the Property is a valid basis to contest this matter; and
C. You have the right to request a sheriff's sale which would then require any surplus beyond the amount owed to plaintiff to be deposited with the Superior Court Trust Fund.
DATED: June 2, 2026
Michelle M. Smith,
Clerk of the Superior Court of New Jersey
June 4 2026
LNYS0530935
$109.56