SUMMONS - SERVICE BY PUBLICATION
IN THE MORGAN SUPERIOR COURT 3
SS:
CAUSE NO. 55D03-2602-MF-000381
STATE OF INDIANA
COUNTY OF MORGAN
AMERISAVE MORTGAGE CORPORATION,
Plaintiff,
vs.
WILLIAM D. ROBERTSON, CRYSTAL RUSSELL
and MARINER FINANCE LLC,
Defendants.
NOTICE OF SUIT
The State of Indiana to the Defendant(s) above named, and any other person who may be concerned.
You are hereby notified that you have been sued in the Court above named.
The nature of the suit against you is:
Complaint on Note and to Foreclose Mortgage on Real Estate Against the property commonly known as 6615 Crooked Creek Dr, Martinsville, IN 46151-8179 and described as follows:
Tract 1: A part of Lot #21, Crooked Creek Subdivision, Section 1, located in Section 35, Township 13 North, Range 2 East, Morgan County, Indiana, described as follows: Beginning at the Southeasterly corner of said Lot 21; thence North 80 degrees 08 minutes West 150.0 feet along the Southerly line of said lot; thence North 80 degrees 38 minutes East 149.3 feet to the East line of said lot; thence South no degrees 32 minutes East 50.0 feet along said lot line to the point of beginning. Tract 2: Lot #20 Crooked Creek Subdivision, Section 1, located in Section 35, Township 13 North, Range 2 East, Morgan County, Indiana. Tract 3: A part of the Northeast Quarter, Section 35, Township 13 North, Range 2 East, Morgan County, Indiana, described as follows: Commencing at an iron pin at the Southeast corner of the above described Quarter Section; thence South 89 degrees 35 minutes West 1188.8 feet to an iron pin; thence North no degrees 16 minutes East 466.9 feet (formerly 461.83 feet) to an iron pin at the Southeast corner of Lot 20 in Crooked Creek Subdivision, Section 1 and the true point of beginning of the tract herein described; thence South no degrees 16 minutes West 267.3 feet to an iron pin; thence with the extended center and center of a relocated creek South 87 degrees 36 minutes West 219.4 feet to the centerline of a roadway easement; thence with said roadway easement centerline North 31 degrees 27 minutes West 300.0 feet to an iron pin; thence North 10 degrees 40 minutes East 90.0 feet to an iron pin on the centerline of Crooked Creek Drive; thence with the extended South line and South line of the aforementioned Lot 20, South 79 degrees 20 minutes East 366.6 feet to the point of beginning. Containing 2.195 acres, more or less. Subject to a roadway easement of 25 feet of even width off the entire Westerly side of the herein described tract and also subject to the right of way of the Cul-de-sac that terminates Crooked Creek Drive.
This summons by publication is specifically directed to the following named defendant(s): William D. Robertson and Mariner Finance LLC
This summons by publication is specifically directed to the following named defendant(s) whose whereabouts are unknown: Crystal Russell
If you have a claim for relief against the plaintiff arising from the same transaction or occurrence, you must assert it in your written answer or response.
You must answer the Complaint in writing, by you or your attorney, within thirty (30) days after the Third Notice of Suit, and if you fail to do so a judgment by default may be entered against you for the relief demanded, by the Plaintiff.
FEIWELL & HANNOY, P.C.
By /s/ Barry T. Barnes
BARRY T. BARNES
Attorney No. 19657-49
Attorney for Plaintiff
BARRY T. BARNES
FEIWELL & HANNOY, P.C.
8415 Allison Pointe Blvd., Suite 400
Indianapolis, IN 46250
(317) 237-2727
NOTICE
FEIWELL & HANNOY, P.C. IS A DEBT COLLECTOR.