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FIRST INSERTION
NOTICE of ACTION
IN THE CIRCUIT COURT OF THE SIXTH JUDICIAL CIRCUIT IN AND FOR PASCO COUNTY, FLORIDA
CIVIL DIVISION
Case No.
2014CA001621CAAXWS/J3
WELLS FARGO BANK, N.A., a national banking association,
Plaintiff, v.
MARTIN J. SMITH, an individual; PEGGY E. SMITH, an individual;
MARTY SMITH AUTO & RV
REPAIR INC., a Florida
corporation; SMITH TIRE
SERVICES INC., a dissolved Florida corporation: JEFFREY P. CADWELL, an individual: CONNIE CADWELL, an individual; JOHN DOE AS UNKNOWN TENANT OF PARCEL 1; JOHN DOE AS UNKNOWN TENANT OF PARCEL 2; JOHN DOE AS UNKNOWN PARTY IN POSSESSION; and ANY AND ALL OTHERS CLAIMING BY, THROUGH OR UNDER SAID DEFENDANTS,
Defendants.
TO: ANY AND ALL OTHERS CLAIMING BY, THROUGH OR UNDER SAID DEFENDANTS
(Addresses Unknown)
YOU ARE NOTIFIED that an action has been filed against you by Plaintiff, WELLS FARGO BANK, N.A., a national banking association, seeking foreclosure of the following real property:
PARCEL 1:
The South 158 feet of Tract 25, in Section 5, Township 26 South, Range 16 East, Pasco County, Florida, LESS right-of-way for U.S. Highway 19 on the East side thereof; said tract being designated in accordance with the plat of the PORT RICHEY LAND COMPANY SUBDIVISION, recorded in Plat Book 1, pages 60 and 61, of the public records of Pasco County, Florida. The South boundary line of said Tract 25 being the same as the South boundary of said Section 5.
PARCEL 2:
A portion of Tract 21 of the TAMPA AND TARPON SPRINGS LAND CO., a subdivision of Section 8, Township 26 South, Range 16 East, shown on the Plat recorded in Plat Book 1, pages 68, 69 and 70, of the public records of Pasco County, Florida, being further described as follows: Commence at the intersection of the Westerly right-of-way line of State Road No. 55, Section 14030 (US Highway No. 19) as it was established in 1955 and the North line of said Tract 21, the same being the South line of the original Tampa-Tarpon Springs 30 foot right-of-way; thence run West, along the North line of said Tract 21, North 89Ëš27'05” West; a distance of 200.00 feet for a POINT OF BEGINNING; thence parallel with the Westerly right-of-way line of said State Road #55, South 0Ëš06'55” West, a distance of 150 feet; thence North 89Ëš27'05” West, a distance of 170 feet; thence North 0Ëš06'55” East, a distance of 150 feet to the North line of said Tract 21; thence along the North line of said Tract 21, South 89Ëš27'05” East, a distance of 170 feet to the POINT OF BEGINNING.
and you are required to serve a copy of a written defense, if any, to J. Martin Knaust, Esquire, Plaintiff's attorney, whose address is 150 Second Avenue North, 17th Floor, St. Petersburg, Florida 33701, on or before 6-16-14, and file the original with the Clerk of this Court, either before service on Plaintiff's attorney or immediately thereafter; otherwise a default will be entered against you for the relief demanded in Plaintiff's Complaint.
If you are a person with a disability who needs any accommodation in order to participate in this proceeding, you are entitled, at no cost to you to the provision of certain assistance. Within two (2) working days of your receipt of this (describe notice/order) please contact the Public Information Dept., Pasco County Government Center, 7530 Little Rd., New Port Richey, FL 34654; (727) 847-8110 (V) in New Port Richey; (352) 521-4274, ext. 8110 (V) in Dade City; via 1-800-955-8771 if you are hearing impaired. The court does not provide transportation and cannot accommodate for this service. Persons with disabilities needing transportation to court should contact their local public transportation providers for information regarding disabled transortation services.
Dated this 7 day of May, 2014.
Paula S. O'Neil,
CLERK OF COURTS
Pasco County, Florida
By: /s/ Jonathon Martin
Deputy Clerk
J. Martin Knaust
Florida Bar No. 84396
Attorneys for Plaintiff:
Adams and Reese LLP
150 Second Avenue North, 17th Floor
St. Petersburg, FL 33701
(727) 502-8250/
Fax: (727) 502-8950
33721600_1.doc
May 16, 23, 2014 14-02667P