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N ~ <br />0 ~ <br />0 <br />A <br />0 <br />d~ <br />z <br />z <br />n <br />o <br />Return Address: <br />c°n <br />Ken Knosp <br />12919 Virginia Ave <br />Kansas City, MO 64146 <br />NOTICE OF LIS PENDENS <br />TO WHOM IT MAY CONCERN: <br />rV <br />H-d <br />C> <br /> <br />-.i rn <br />C <br />o <br />o -n <br />H <br />t1~ <br />z <br />C3 <br />X m <br />N <br />3~- CX? <br />CM <br />3 <br />rn <br />N <br />rV <br />cn <br />x <br />O <br />n <br />N <br />Cn <br />C <br />v7 <br />Notice is hereby given that a Foreclosure Petition has been filed in the District Court of <br />Hall County, Nebraska, as Case No. Cl 12- 215 where Ken Knosp is the Plaintiff ("Plaintiff') <br />and DAWN M PEARD; PATHWAY BANK; John Doe and Jane Doe, real names unknown, <br />and all other persons/entities UNKNOWN having or claiming any right, interest, lien upon, or <br />title in the Real Estate described below, are defendants (collectively "Defendants"), the object <br />and request of which is to obtain a court order entitling Plaintiff to foreclose County Tax <br />Certificate No. 20090267 issued by the Hall County Treasurer on March 9, 2009 (the "Tax <br />Certificate"), all as more particularly described in said Foreclosure Petition. Per said Tax <br />Certificate the following described real estate is encumbered in favor of the Plaintiff: <br />Parcel Number 400087472 <br />THE NORTH FORTY-FOUR AND FIVE TENTHS (44.5) FEET OF <br />LOT FOURTEEN (14), BLOCK ONE (1), SCARFF'S ADDITION TO <br />WEST LAWN, GRAND ISLAND, HALL COUNTY, NEBRASKA. <br />Also Know As: 2107 North Lafayette, Grand Island, NE 68803 <br />In said Foreclosure Petition, Plaintiff seeks to obtain foreclosure of Plaintiffs interest, <br />and to have the same declared a first lien upon the interests of Defendants in the Real Estate; to <br />have the Real Estate sold to satisfy the amounts so found due, together with the reasonable costs <br />incurred by Plaintiff in abstracting and obtaining other title information regarding the Real <br />Estate, the costs for filing this Notice of Lis Pendens, the filing fee for the Foreclosure Petition, <br />service costs of serving the Foreclosure Petition on the Defendants, and attorney's fees in an <br />amount equal to 10% of all amounts due for taxes, special assessments, interest and costs; and to <br />foreclose Defendants of all right, title, interest, lien, claim, demand, and equity of redemption <br />whatever in and to the Real Estate, together with such other and further relief as the court may <br />deem just and equitable. <br />t~- <br />Dated: March If 2012. <br />f <br />By: _ 4 zz_-_-_- ~ <br />Ken Knosp, Plaintiff <br />12919 Virginia Ave <br />Kansas City, MO 64146 <br />816/941-8249 <br />STATE OF MISSOURI ) <br />) ss <br />COUNTY OF JACKSON ) lei. <br />The foregoing instrument was acknowledged before me on March 4 2012 by Ken <br />Knosp. <br />Notary Pub i <br />CHAMW YOUNG <br />Notarlâ–º Pubec - Notary Seal <br />State of Missouri <br />Comedsebned for Jackson Counly <br />Cwmbft CWW&ft rv = i SeSf1141ti7, 2015 <br />