15-07859H


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NOTICE OF SALE
IN THE CIRCUIT COURT OF THE THIRTEENTH JUDICIAL CIRCUIT
IN AND FOR HILLSBOROUGH COUNTY, FLORIDA
CIVIL DIVISION
Case #: 2011-CA-012981
DIVISION: B
JPMorgan Chase Bank, National Association, as Successor by Merger to Chase Home Finance, LLC
Plaintiff, -vs.-
Brian Thomas Cummings a/k/a Brian T. Cummings; United States of America Department of Treasury; Unknown Parties in Possession #1, If living, and all Unknown Parties claiming by, through, under and against the above named Defendant(s) who are not known to be dead or alive, whether said
Unknown Parties may claim an interest as Spouse, Heirs, Devisees, Grantees, or Other Claimants; Unknown Parties in Possession #2, If living, and all Unknown Parties claiming by, through, under and against the above named Defendant(s) who are not known to be dead or alive, whether said Unknown Parties may claim an interest as Spouse, Heirs, Devisees, Grantees, or Other Claimants
Defendant(s).
NOTICE IS HEREBY GIVEN pursuant to order rescheduling foreclosure sale or Final Judgment, entered in Civil Case No. 2011-CA-012981 of the Circuit Court of the 13th Judicial Circuit in and for Hillsborough County, Florida, wherein JPMorgan Chase Bank, National Association, as Successor by Merger to Chase Home Finance, LLC, Plaintiff and Brian Thomas Cummings a/k/a Brian T. Cummings are defendant(s), I, Clerk of Court, Pat Frank, will sell to the highest and best bidder for cash by electronic sale at http://www.hillsborough.realforeclose.com beginning at 10:00 a.m. on February 5, 2016, the following described property as set forth in said Final Judgment, to-wit:
A PORTION OF TRACT 1 IN THE NORTHWEST 1/4 OF SECTION 1, TOWNSHIP 27 SOUTH, RANGE 17 EAST, KEYSTONE PARK COLONY, AS RECORDED IN PLAT BOOK 5, PAGE 55, OF THE PUBLIC RECORDS OF HILLSBOROUGH COUNTY, FLORIDA, AND A PORTION OF THE EAST 15.0 FEET, OF THE NORTHEAST 1/4, OF THE NORTHEAST 1/4, OF THE NORTHWEST 1/4 OF SAID SECTION 1, LESS THE NORTH 15.0 FEET, MORE PARTICULARLY DESCRIBED AS FOLLOWS:
COMMENCE AT THE NORTHEAST CORNER, OF THE NORTHWEST 1/4 OF SAID SECTION 1; THENCE SOUTH 02º 03' 45” EAST ALONG THE EAST BOUNDARY THEREOF, A DISTANCE OF 15.0 FEET; THENCE SOUTH 89º 41' 08” WEST ALONG THE EASTERLY EXTENSION OF THE NORTH BOUNDARY OF TRACT 1 AND ALONG THE NORTH BOUNDARY OF TRACT 1, A DISTANCE OF 186.32 FEET TO THE POINT OF BEGINNING; THENCE SOUTH 02º 00' 12” EAST, A DISTANCE OF 245.32 FEET; THENCE NORTH 89º 41' 08” EAST, A DISTANCE OF 186.57 FEET TO THE POINT ON THE EAST BOUNDARY OF THE NORTHWEST 1/4 OF SECTION 1; THENCE SOUTH 02º 03' 45” EAST ALONG SAID EAST BOUNDARY, A DISTANCE OF 410.95 FEET TO THE SOUTHEAST CORNER, OF THE NORTHEAST 1/4, OF THE NORTHEAST 1/4, OF THE NORTHWEST 1/4 OF SECTION 1; THENCE SOUTH 89º 42' 20” WEST ALONG THE EASTERLY EXTENSION OF THE SOUTH BOUNDARY OF TRACT 1 AND ALONG THE SOUTH BOUNDARY OF TRACT 1, A DISTANCE OF 207.0 FEET; THENCE NORTH 02º 00' 12” WEST, A DISTANCE OF 656.18 FEET TO THE NORTH BOUNDARY OF SAID TRACT 1; THENCE NORTH 89º 41' 08” EAST ALONG SAID NORTH BOUNDARY OF TRACT 1, A DISTANCE OF 20.0 FEET TO THE POINT OF BEGINNING.
ANY PERSON CLAIMING AN INTEREST IN THE SURPLUS FROM THE SALE, IF ANY, OTHER THAN THE PROPERTY OWNER AS OF THE DATE OF THE LIS PENDENS MUST FILE A CLAIM WITHIN 60 DAYS AFTER THE SALE.
PLEASE PUBLISH TWICE (ONE TIME A WEEK FOR 2 CONSECUTIVE WEEKS) AND PUBLICATIONS LAST RUN MUST FINISH AT LEAST FIVE (5) DAYS PRIOR TO THE SALE DATE
*Pursuant to Fla. R. Jud. Admin. 2.516(b)(1)(A), Plaintiff's counsel hereby designates its primary email address for the purposes of email service as: [email protected]*
Pursuant to the Fair Debt Collections Practices Act, you are advised that this office may be deemed a debt collector and any information obtained may be used for that purpose.
“In accordance with the Americans with Disabilities Act, persons needing a special accommodation to participate in this hearing, should contact A.D.A. Coordinator not later than 1 (one) days prior to the proceeding at (813) 272-7040 or VIA Florida Relay Service at 1-800-955-8770.”
By: Matthew J. Rodriguez, Esq.
FL Bar # 100962
SHAPIRO, FISHMAN & GACHÉ, LLP
Attorneys for Plaintiff
4630 Woodland Corporate Blvd.,
Ste 100
Tampa, FL 33614
Telephone: (813) 880-8888
Fax: (813) 880-8800
For Email Service Only:
[email protected]
For all other inquiries:
[email protected]
10-197810 FC01 WCC
Dec. 25, 2015; Jan. 1, 2016 15-07859H

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