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FIRST INSERTION
NOTICE of action
in the circuit court
in and for
SARASOTA county, FLORIDA
civil action
Case #: 2011-CA-001828 NC
city of sarasota, florida,
a municipal corporation,
Plaintiff, v.
ANTHONY TIMMONS; WAYNE MAYS; MICHAEL MAYS;
RHONDA CROCKER;
ANNETTE MAYS; ALICIA MARTIN; BARBARA MAYS; DOMINIC MAYS; NADINE MAYS; SARASOTA COUNTY; AND THE UNKNOWN SPOUSE, HEIRS,
DEVISEES, GRANTEES,
CREDITORS OR OTHER
PARTIES CLAIMING BY, THROUGH, UNDER OR AGAINST ANNIE BELLE JEFFREY FIELDS, WHO IS KNOWN TO BE DEAD,
Defendants
TO: Wayne Mays
The names of the known natural Defendants in this action are Anthony Timmons; Wayne Mays; Michael Mays; Rhonda Crocker; Annette Mays; Alicia Martin; and Sarasota County.
The unknown Defendants in this action are:
unknown spouse, heirs, devisees, grantees, creditors or other parties claiming by, through, under or against Annie Belle Jeffrey Fields, who is known to be dead.
A Complaint has been filed to foreclose a mortgage lien against certain real property in Sarasota County, Florida. The Complaint has been filed in the Circuit Court of the Twelfth Judicial Circuit in and for Sarasota County, Florida. The action is styled City of Sarasota, Florida versus Anthony Timmons, et al.
The real property which Plaintiff, City of Sarasota, Florida seeks to foreclose is the following:
Lot “B”, Plat of a Resubdivision of Lots 51 and the East 60 feet of Lot 52, Block “A”, RIVERSIDE PARK, as per Plat thereof recorded in Plat Book 1, Page 88, of the Public Records of Sarasota County, Florida.
This is Parcel ID No. 2020-05-0014 located at 1258 32nd Street, Sarasota, FL 34234.
Each Defendant is required to serve written defenses to the Complaint on Plaintiff's attorney Michael A. Connolly at Fournier and Connolly, P.A., 1 South School Avenue, Suite 700, Sarasota, Florida 34237 on or before the ___ day of ___, 2011; and to file the original of the defense with the Clerk of Circuit Court either before service on the Plaintiff's attorney or immediately thereafter, showing what right, title, interest or lien the Defendant has in or to the property described above. If any Defendant fails to do so, a default will be entered against that Defendant for the relief demanded in the Complaint.
WITNESS my hand and seal of this Court on the 13 day of May, 2011.
KAREN E. RUSHING
CLERK OF CIRCUIT COURT
(SEAL) By: Colin Overholt
Deputy Clerk
Plaintiff's attorney
MICHAEL A. CONNOLLY
FOURNIER AND CONNOLLY, P.A.,
1 South School Avenue, Suite 700
Sarasota, Florida 34237
May 20, 27, 2011 11-1327S