STATE OF INDIANA COUNTY OF VIGO IN THE VIGO SUPERIOR COURT #1 CAUSE NO. 84D01-1602-MF-001227 Fifth Third Bank, an Ohio Banking Corporation Plaintiff, vs. Frederic P. Gansz (deceased), et al. Defendants. NOTICE OF SUIT SUMMONS BY PUBLICATION TO: Unknown heirs, legatees, beneficiaries of Frederic P. Gansz and their unknown creditors; and, the unknown executor, administrator, or personal representative of the Estate of Frederic P. Gansz: BE IT KNOWN, that Fifth Third Bank, an Ohio Banking Corporation, the above-named Plaintiff, by its attorney, J. Dustin Smith, has filed in the office of the Clerk of the Vigo Superior Court #1 its Complaint against Defendant Unknown heirs, legatees, beneficiaries of Frederic P. Gansz and their unknown creditors; and, the unknown executor, administrator, or personal representative of the Estate of Frederic P. Gansz, and the said Plaintiff having also filed in said Clerk's office the affidavit of a competent person showing that the residence and whereabouts of the Defendant, Unknown heirs, legatees, beneficiaries of Frederic P. Gansz and their unknown creditors; and, the unknown executor, administrator, or personal representative of the Estate of Frederic P. Gansz, 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 Vigo County, State of Indiana, to wit: The following described Real Estate in Vigo County, in the State of Indiana, to-wit: Lot Number 3 in the Partition Plat of Part of the Charles U. Moore Estate in the East half of the Northwest Quarter of Section 15, Township 12 North, Range 8 West, as per Plat thereof recorded in plat Record 13, page 7 of the records of the Office of the Recorder of Vigo County, Indiana. Except commencing at the Northwest corner of said Lot 3; thence South along the West line of said Lot to the North right of way line of the Penn Central Railroad; thence Northeasterly along said North right of way line to the East line of said Lot 3; thence North along said East line, 998 feet more or less to a point 181.32 foot South of the Northeast corner of said Lot 3; thence West at 90 degrees, 85.92 feet to a point 19 feet East of said West line; thence North and parallel to said West line to the South right of way line of U.S. Highway 40; thence Southwesterly along said South right of way line to the place of beginning. Also, a non-exclusive permanent right of ingress and egrees across the following described tract of land; Beginning at the southwest corner of the above described real estate, thence West to the west line of said Lot 3; thence North to the South right of way line of U.S. Highway 40; thence Northeasterly along said right of way line to the northwest corner of the above described real estate; thence south along the west line of the above described real state to the point of beginning. commonly known as 8451 Wabash Avenue, Terre Haute, IN 47803. 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 Complaint. David Crockett Dated Clerk, Vigo Superior Court #1 J. Dustin Smith (29493-06) Stephanie A. Reinhart (25071-06) Sarah E. Willms (28840-64) John R. Cummins (11532-10) Chris Wiley (26936-10) Miranda D. Bray (23766-30) Gail C. Hersh, Jr. (26224-15) Amanda L. Krenson (28999-61) Nicholas M. Smith (31800-15) Leslie A. Wagers (27327-49) Attorneys for Plaintiff MANLEY DEAS KOCHALSKI LLC P.O. Box 441039 Indianapolis, IN 46244 Telephone: 614-917-1734 Facsimile: 614-220-5613 Email: jdsmith@manleydeas.com 157469 TS 4/11, 4/18, 4/25/16 hspaxlp
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