SUMMONS
IN THE CHANCERY COURT OF LAMAR COUNTY, MISSISSIPPI
CAUSE NO.: 2025-cv-38 CS
MSTREO, LLC
PLAINTIFF
v.
JAMES E. HUDSON, SR., ET AL.
DEFENDANTS
SUMMONS
STATE OF MISSISSIPPI
TO: James E. Hudson Sr.; James Hudson, Jr; Deborah Floyd; Paul Hudson; Kathryn Carpenter; Cynthia Hudson; Derrick Johnson; Joseph Hudson; Callie Stoulig; Jason Pendergrass; Candice Sciba; the unknown Heirs of: James E. Hudson Sr., James Hudson, Jr, Deborah Floyd, Paul Hudson, Kathryn Carpenter, Cynthia Hudson, Derrick Johnson, Joseph Hudson, Callie Stoulig, Jason Pendergrass, Candice Sciba; and any and all individuals or legal entities, firms and corporations who or which may have or claim any legal or equitable interest in the real property described herein.
NOTICE TO DEFENDANT
You have been made a Defendant in the suit filed in this Court by MSTREO, LLC, Plaintiff, seeking to confirm and quiet title in Plaintiff's name to that property described as: 10 James Hudson Lane, Purvis, Mississippi 39475; Parcel #: 0864-24-042.000 PPIN: 8470; Which also has a legal description of: Beginning at the Southwest corner of the Southeast Quarter of the Northwest Quarter of Section 24, Township 2 North, Range 15 West, Lamar County, Mississippi, and thence run East 505 feet; thence run North 263 feet; thence run Westerly 505 feet to a point 275 feet due North of the point of the beginning, thence South 275 feet to the point of beginning, containing 3 acres, more or less, and situated in the Southwest corner of the Southeast Quarter of the Northwest Quarter of Section 24, Township 2 North, Range 15 West, Lamar County, Mississippi. And also: Begin at the Southeast corner of the Southwest ¼ of the Northwest ¼ of Section 24, Township 2 North, Range 15 West, Lamar County, Mississippi, for the Point of Beginning; thence run North 50 feet; thence run West 50 feet; thence run South 50 feet; thence run East 50 feet back to the Point of Beginning; and being situated in the Southwest ¼ of the Northwest ¼ of Section 24, Township 2 North, Range 15 West, Lamar County, Mississippi.
Defendants other than you in this action are Lynn Fitch, in her capacity as Attorney General of the State of Mississippi, Lamar County, Mississippi and Hal Kitrell, in his capacity as District Attorney for Lamar County Mississippi.
You are required to mail or hand deliver a copy of a written response to the Complaint to Joel L. Blackledge, Attorney for the Plaintiff, whose post office address is Post Office Box 8155, Gulfport, MS 39506, and whose street address is 250 Beauvoir Road, Suite 5A., Biloxi, Mississippi 39531.
YOUR RESPONSE MUST BE MAILED OR DELIVERED NOT LATER THAN THIRTY (30) DAYS AFTER THE 5TH DAY OF NOVEMBER, WHICH IS THE DATE OF THE FIRST PUBLICATION OF THIS SUMMONS. IF YOUR RESPONSE IS NOT SO MAILED OR DELIVERED, A JUDGMENT BY DEFAULT WILL BE ENTERED AGAINST YOU FOR THE MONEY OR OTHER RELIEF DEMANDED IN THE COMPLAINT.
You must also file the original of your response with the Clerk of this Court within a reasonable time afterward.
ISSUED under my hand and seal of said Court, this 24 day of October, 2025.
JAMIE AULTMAN, CHANCERY CLERK
LAMAR COUNTY, MISSISSIPPI
BY: LeAnn Hardwick D.C.
November 5, 12, 19 2025
LMSS0397767