MDK # 25-015582
STATE OF INDIANA
COUNTY OF MORGAN
IN THE MORGAN
SUPERIOR COURT #1
CAUSE NO. 55D01-2507-
MF-001703
The Bank of New York Mellon f/k/a The Bank of New York as successor trustee for JPMorgan Chase Bank, N.A., as Trus-tee for the benefit of the Certificateholders of Equity One ABS, Inc. Mortgage Pass-Through Certificates Series 2004-3
Plaintiff,
vs.
Debra L. Reid, et al.
Defendants.
NOTICE OF SUIT SUMMONS
BY PUBLICATION
TO: Erik Reid, as Possible Heir to the Estate of Keith A. Reid:
BE IT KNOWN, that The Bank of New York Mellon f/k/a The Bank of New York as successor trustee for JPMorgan Chase Bank, N.A., as Trustee for the benefit of the Certificateholders of Equity One ABS, Inc. Mortgage Pass-Through Certi-ficates Series 2004-3, the above-named Plaintiff, by its attorney, J. Dustin Smith, has filed in the office of the Clerk of the Morgan Superior Court #1 its Complaint against De-fendant Erik Reid, as Possible Heir to the Estate of Keith A. Reid, and the said Plaintiff having also filed in said Clerk’s office the affidavit of a com-petent person showing that the residence and whereabouts of the Defendant, Erik Reid, as Possible Heir to the Estate of Keith A. Reid, upon diligent inquiry is unknown, and that said cause of action is for default on the promissory note and to foreclose a mortgage on the following described real estate in Mor-gan County, State of Indiana, to wit:
Lot Numbered 90 in Karrington Estates, Section Two, an Addition to the town of Mooresville, as per plat there-of recorded in Deed Record 418, page 470 in the Office of the Recorder of Morgan County, Indiana.
commonly known as 104 Ca-mella Court, Mooresville, IN 46158.
NOW, THEREFORE, said Defendant is hereby notified of the filing and pendency of said Complaint against them and that unless they appear and answer or otherwise defend thereto within thirty (30) days after the last notice of this action is published, judgment by default may be entered against said Defendant for the relief demanded in the Com-plaint.
Dated Clerk, Morgan
Superior Court #1
J. Dustin Smith (29493-06)
Stephanie A. Reinhart
(25071-06)
Nicholas M. Smith (31800-15)
Chris Wiley (26936-10)
Attorneys for Plaintiff
MDK LEGAL
P.O. Box 165028
Columbus OH 43216-5028
Telephone: 614-220-5611
Facsimile: 614-220-5613
Email:
sef-JDSmith@mdklegal.com
HSPAXLP