SUPERIOR COURT OF NEW JERSEY
CHANCERY DIVISION
CAMDEN COUNTY
DOCKET NO. F-005375-25
NOTICE TO ABSENT DEFENDANTS
STATE OF NEW JERSEY
TO
ALBERT GREENWOOD and MARY GREENWOOD
YOU ARE HEREBY summoned and required to serve upon the Law Office of Jason N. Sunkett, Esq., Attorney for Plaintiff, whose address is 1916 Route 70 East, Suite 6, Cherry Hill, New Jersey, 08003, an Answer to the Complaint (and Amended Complaints, if any) filed in a civil action in which VIP CONSTRUCTION / VIP INDUSTRIES is plaintiff and ALBERT GREENWOOD, MARY GREENWOOD, NEW JERSEY DEPARTMENT OF COMMUNITY AFFAIRS, and STATE OF NEW JERSEY, are Defendants, pending in the Superior Court of New Jersey, Chancery Division, CAMDEN County, and bearing docket number F-005375-25, within thirty-five (35) days after the date of publication of this notice, exclusive of such date. If you fail to do so, judgment by default may be rendered against you for the relief demanded in the Complaint (and Amended Complaints, if any). You shall file your answer and proof of service in duplicate with the Clerk of the Superior Court, 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 New Jersey State Bar Association or 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 names and telephone numbers of such agencies are as follows:
Lawyer Referral Service: (856) 964-4520
Legal Services: (856) 964-2010
THE ACTION has been instituted for the purpose of foreclosing a tax sale certificate #27848, dated August 13, 1982, made by Thomas Quattrochi, Collector of Taxes of the City of Camden, County of Camden, and State of New Jersey, known as Block 341, Lot 9, as shown on the Tax Assessment Map and Tax Map duplicate of the City of Camden, and commonly known as 1411-1415 Broadway, Camden, New Jersey.
Pursuant to Tyler v. Hennepin County, 598 U.S. ____, 143 S. Ct. 1369 (2023), the NJ Supreme Court ordered that surplus equity may be a defense to foreclosure. If this defense is asserted, Plaintiff reserves the right to request that a sheriff's sale be held and the property sold at sheriff's sale. If you want Plaintiff to hold a Sheriff's Sale, you need to send a letter to the Court or our Firm and we will ask the court to order one. If we do not receive any response, we will proceed with a strict foreclosure and no Sheriff's Sale. You could lose the property as a result and there would be no money paid to you.
YOU, ALBERT GREENWOOD and MARY GREENWOOD, recorded property owners, are made a defendant in the above-entitled action by virtue of a deed from Fairmore, Inc., successor to Penn Jersey Auto Store, Inc., dated December 22, 1986, and recorded February 4, 1987, in the Camden County Clerk's/Register's Office in Deed Book 4190, Page 851.
The nature of which and the reason that you and each of you are joined as Defendants is set forth with particularity in the complaint (and amended complaint, if any), a copy of which will be furnished you on request addressed to the attorney of the Plaintiff at the above-mentioned address.
DATED: 11/17/2025 Michelle M. Smith /s/
Clerk,
Superior Court of New Jersey
Publication Dates
LNYS0410006
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