April 22, 29, 2009
May 6, 2009
STATE OF WISCONSIN CIRCUIT COURT
PIERCE COUNTY
PUBLICATION AMENDED SUMMONS
(Foreclosure of Mortgage)
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
Tags: legal, foreclosure, johnson
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