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Foreclosure: Johnson

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April 22, 29, 2009

May 6, 2009

STATE OF WISCONSIN CIRCUIT COURT

PIERCE COUNTY

PUBLICATION AMENDED SUMMONS

(Foreclosure of Mortgage)

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Case Code 30404

The Honorable

Robert W. Wing

Case No. 08-CV-392

The Bank of New York Mellon Trust Company, National Association fka The Bank of

New York Trust Company, N.A.

as successor to JPMorgan Chase

Bank N.A. as Trustee.., c/o GMAC-RFC,

One Meridian Crossing, Suite 100, 03-03-10

Richfield, MN 55423

Plaintiff, v. James A. Johnson and Michelle A. Johnson

N7265 County Road BB

Spring Valley, WI 54767

Defendant(s),

GB Home Equity, LLC,

A Wisconsin Limited Liability Company

4000 West Brown Deer Road

Brown Deer, WI 53209

American Builders Contract Supply Company

2997 Yarmouth Greenway Drive

Fitchburg, WI 53711

Christopher Willgrubs

N1557 721st Street

Bay City, WI 54723

Paul Hotchkiss and Bonnie Hotchkiss

N3044 County Road OO

Hager City, WI 54014

Leo H. Rohl

888 Coulee Trail

Hudson, WI 54016

Plaza I, Inc.

9617 Oak Ridge Trail

Minnetonka, MN 55305

Added Defendants.

THE STATE OF WISCONSIN

To each person named above as a defendant:

You are hereby notified that the plaintiff named above has filed a lawsuit or other legal action against you.

Within 40 days after April 22, 2009, you must respond with a written demand for a copy of the amended complaint. The demand must be sent or delivered to the court, whose address is 414 W. Main Street, Ellsworth, WI 54011 and to GRAY & ASSOCIATES, L.L.P., plaintiff's attorney, whose address is 600 North Broadway, Suite 300, Milwaukee, WI 53202. You may have an attorney help or represent you.

If you do not demand a copy of the amended complaint within 40 days, the court may grant judgment against you for the award of money or other legal action requested in the complaint, and you may lose your right to object to anything that is or may be incorrect in the complaint. A judgment may be enforced as provided by law. A judgment awarding money may become a lien against any real estate you own now or in the future, and may also be enforced by garnishment or seizure of property.

GRAY & ASSOCIATES, L.L.P.

Attorneys for Plaintiff

By: Brian M. Quirk

State Bar No. 1052446

Dated: April 15, 2009

Gray & Associates, L.L.P. is attempting to collect a debt on our client's behalf and any information obtained will be used for that purpose. If you have previously received a discharge in a chapter 7 bankruptcy case, this communication should not be construed as an attempt to hold you personally liable for the debt.

6961-16-3C

WNAXLP

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