Service by Publication
SUMMONS-SERVICE BY PUBLICATION
United States District Court
Eastern District of Michigan, Detroit Division
Case No. 2:25-cv-13656
Panhandle Eastern Pipe Line Company, LP v. David Bielat, et al.
NOTICE OF SUIT
To: Unknown Owners of any interest in the following parcel in Monroe County, MI
A Complaint for condemnation of an easement interest in real estate by eminent domain has been filed and is pending against you. You claim or may claim an interest in the following property, which is the subject of this suit:
The "Property" which Panhandle seeks to condemn easement rights in is part of parcel 08-007-002-37, Monroe County, Michigan, and consists of the following:
Beginning at a point 1255 feet South and 33 feet West of the Northeast corner of Section 7, Township 7 South, Range 7 East, Monroe County, Michigan; thence West a distance of 150 feet; thence South a distance of 63.57 feet to Grantor's south property line; thence East a distance of 150 feet; thence North a distance of 63.57 feet to the Point of Beginning, containing 0.22 acres more or less (the "Property").
The nature of the action filed against you is an action to condemn easement rights in the Property (See Complaint). The authority for the taking is 15 U.S.C. § 717f(h). The use for which the Property is to be taken is the operation and maintenance of an interstate natural gas pipeline measurement and regulation station. You may serve an answer to the Complaint in writing within twenty-one (21) days after being served with this notice; failure to do so constitutes consent to the taking and to the Court's authority to proceed with the action and to fix the compensation, if any, to be paid to you for the taking. A defendant who does not serve an answer may file a Notice of Appearance.
Plaintiff's attorney may be served at the following address:
Erik G. Chappell (P51332)
Lyden, Chappell & Dewhirst, Ltd.
3309 Quail Hollow Drive, Suite E
Lambertville, Michigan 48144
Telephone: (419) 867-8900
Telefax: (419) 867-3647
Email: egc@lydenlaw.com
Attorney for Plaintiff
December 8, 15, 22 2025
LPET0419565