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Return to: <br />Galen E. Stehlik <br />P 0 Box 400 <br />Grand Island, NE 68802 <br />i• <br />IN THE COUNTY COURT OF HALL COUNTY, NEBRASKA <br />IN THE MATTER OF THE ESTATE CASE NO. PR 22-149 <br />OF <br />VERNA SCHWARZ, NOTICE OF LIS PENDENS <br />Deceased. <br />To Whom It May Concern: <br />I to 61) <br />You are hereby notified that on the 8th day of September, 2022, Russell Schwarz devisee <br />under the Last Will and Testament of Verna Schwarz, filed his "Motion for Appointment of <br />Special Administrator" against Shari Sealock, Personal Representative, the object in prayer of <br />which is to replace Shari Sealock as Personal Representative with a special administrator, to be <br />designated by the County Court, because Russell Schwarz alleges that Shari Sealock is unable to <br />discharge her responsibilities and can not, or should not, act with respect to certain claims made <br />against the Decedent's estate filed by herself (in her individual capacity), her children and an <br />acquaintance totaling in excess of $70,000.00. This claim directly effects title to certain property, <br />hereinafter described, which is specifically devised to Russell Schwarz under the terms of the <br />Last Will and Testament of Verna Schwarz, which states: <br />Third: "The real estate I owned located at 2610 Apache Road, and legally <br />described as Unit E-2, Riverdale Hamlet Condominium Property Regime <br />Grand Island, Hall County, Nebraska, I give, devise and bequeath to my <br />son, Russell Schwarz, if then living. In the event that my son, Russell <br />Schwarz has predeceased me, then I hereby give, devise and bequeath this <br />real estate to my daughter, Shari Sealock." <br />Russell Schwarz is living, and objects to certain claims made by Shari Sealock, <br />individually, and members of her family, which would require Shari Sealcok to sale the real <br />estate devised to Russell Schwarz, as herein after described, in order to pay these claims which <br />the undersigned, Russell Schwarz, believes are excessive and unsupported. <br />The real estate subject to this litigation is described as: <br />Unit E-2, Riverdale Hamlet Condominium Property Regime Grand Island, Hall <br />County, Nebraska. <br />This Lis Pendens is filed pursuant to Neb. Rev. Stat. § 25-531 (reissue of 2016). <br />Pursuant to said statute, every person who's conveyance or encumbrance is subsequently <br />executed or subsequently recorded shall be deemed to be a subsequent purchaser or <br />encumbrancer and shall be bound by all proceeding taken in the action after the filing of such <br />Notice to the same as if he or she were made a party to the action. <br />