NOTICE TO ABSENT DEFENDANTS
SUPERIOR COURT OF NEW JERSEY
GENERAL EQUITY
CAMDEN COUNTY
DOCKET NO. F-13569-25
NOTICE TO ABSENT DEFENDANTS
STATE OF NEW JERSEY
TO
SHARON TROUTMAN, MABEL TROUTMAN-JENKINS, ESTATE OF SHARON TROUTMAN; ESTATE OF MABEL TROUTMAN-JENKINS; MR. TROUTMAN, HUSBAND OF SHARON TROUTMAN; MR. TROUTMAN-JENKINS, HUBAND OF MABEL TROUTMAN-JENKINS, JOHN A WHITNEY, INDIVIDUALLY AND AS ADMINISTRATOR OF THE ESTATE OF MABEL TROUTMAN-JENKINS, and UNKNOWN TENANT(S) AND/OR OCCUPANT(S) 1-10
YOU ARE HEREBY summoned and required to serve upon THE LAW OFFICE OF SIMEONE & RAYNOR, LLC, attorneys for plaintiff, whose address is 1522 ROUTE 38, CHERRY HILL, NEW JERSEY 08002, 856-663-6700, an Answer to the Complaint filed in a Civil Action, in which PARK PLACE CONDOMINIUM ASSOCIATION, INC. is plaintiff, SHARON TROUTMAN, MABEL TROUTMAN-JENKINS, ESTATE OF SHARON TROUTMAN, ESTATE OF MABEL TROUTMAN-JENKINS, MR. TROUTMAN, HUSBAND OF SHARON TROUTMAN, MR. TROUTMAN-JENKINS, HUSBAND OF MABEL TROUTMAN-JENKINS, JOHN A WHITNEY, INDIVIDUALLY AND AS ADMINISTRATOR OF THE ESTATE OF MABEL TROUTMAN-JENKINS, and UNKNOWN TENANT(S) AND/OR OCCUPANT(S) 1-10, are defendants, pending in the Superior Court of New Jersey, within thirty-five (35) days after December 15, 2025, exclusive of such date. If you fail to do so, judgment by default may be rendered against you for the relief demanded in Complaint. You should file your Answer and Proof of Service in duplicate with the Clerk of the Superior Court of New Jersey, Hughes Justice Complex, P.O. Box 971, Trenton, New Jersey 08625, in accordance with the Rules of Civil Practice and Procedure.
THIS ACTION has been instituted for the purpose of foreclosing on a Notice of Lien Claim for assessments, special assessments, late charges and attorney fees due to plaintiff in the amount of $7,946.03 which was recorded in the Office of the Clerk/Register of Camden County on July 15, 2025 in Book OR12868, Page 121.
If you cannot afford an attorney, you may call the Legal Services Office in the county where you live or the Legal Services of New Jersey Statewide Hotline at 1-888-LSNJ-LAW (1-888-576-5529).
1. YOU, SHARON TROUTMAN, are named as a defendant as you are the record owner of the premises which is known as BLOCK 52.01, LOT 1-C0208 on the Tax Map of Cherry Hill commonly known as 208 PARK PLACE DRIVE, CHERRY HILL, NEW JERSEY 08002.
2. YOU, MABEL TROUTMAN-JENKINS, are named as a defendant as you are the record owner of the premises which is known as BLOCK 52.01, LOT 1-C0208 on the Tax Map of Cherry Hill commonly known as 208 PARK PLACE DRIVE, CHERRY HILL, NEW JERSEY 08002.
3. YOU, ESTATE OF SHARON TROUTMAN, are named as a defendant as you are made a party defendant herein for any lien, claim or interest he may have in, to or on the Premises described in Paragraph 2. The defendant is also joined for any lien, claim or interest he may have in, to or on the Premises described in Paragraph 2 by virtue of the Domestic Partnership Act N.J.S.A. 26:8A-6.
4. YOU, MR. TROUTMAN, HUSBAND OF SHARON TROUTMAN, are made a party defendant herein for any lien, claim or interest he may have in, to or on the Premises described in Paragraph 2 because he is the husband of Sharon Troutman, and it not being known whether Sharon Troutman is married. The defendant is also joined for any lien, claim or interest he may have in, to or on the Premises described in Paragraph 2 by virtue of the Domestic Partnership Act N.J.S.A. 26:8A-6.
5. YOU, ESTATE OF MABEL TROUTMAN-JENKINS, are named as a defendant as you are made a party defendant herein for any lien, claim or interest he may have in, to or on the Premises described in Paragraph 2. The defendant is also joined for any lien, claim or interest he may have in, to or on the Premises described in Paragraph 2 by virtue of the Domestic Partnership Act N.J.S.A. 26:8A-6.
6. YOU, MR. TROUTMAN-JENKINS, HUSBAND OF SHARON TROUTMAN, are made a party defendant herein for any lien, claim or interest he may have in, to or on the Premises described in Paragraph 2 because he is the husband of Mabel Troutman-Jenkins, and is deceased. The defendant is also joined for any lien, claim or interest he may have in, to or on the Premises described in Paragraph 2 by virtue of the Domestic Partnership Act N.J.S.A. 26:8A-6.
7. YOU, JOHN A WHITNEY, INDIVIDUALLY AND AS ADMINISTRATOR OF THE ESTATE OF MABEL TROUTMAN-JENKINS, are made a party defendant herein for any lien, claim or interest he may have in, to or on the Premises described in Paragraph 2 because he is the Administrator of the Estate of Mabel Troutman-Jenkins. The defendant is also joined for any lien, claim or interest he may have in, to or on the Premises described in Paragraph 2 by virtue of the Domestic Partnership Act N.J.S.A. 26:8A-6.
8. YOU, UNKNOWN TENANT(S) AND/OR OCCUPANT(S) 1-10, are
named as (a) Defendant(s) herein because each of them may be in possession of a portion of the Property and for any lien, claim or interest each of them may have in, to or against the Property. However, the Association shall not seek a Writ of Possession to evict any occupant protected by the New Jersey Anti-Eviction Act N.J.S.A. 2A:18-16.1, et seq.
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, a copy of which will be furnished to you on request addressed to the attorneys of the Plaintiff at the above-mentioned address.
Michelle M. Smith, Esq.
Clerk of the Superior Court
December 15 2025
LNYS0423239
$89.70