Brooklyn Spectator_20180727

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Week of July 27-August 2, 2018 • HOME REPORTER • 33

2ND DEPARTMENT/ PUBLIC LEGAL NOTICES REFEREE’S NOTICE OF SALE IN FORECLOSURE SUPREME COURT - COUNTY OF KINGS NATIONSTAR MORTGAGE LLC, Plaintiff against - AVI COHEN, et al Defendant(s). Pursuant to a Judgment of Foreclosure and Sale entered on October 30, 2017. I, the undersigned Referee will sell at public auction, in Room 224 of Kings County Supreme Court, 360 Adams Street, Brooklyn, NY 11201 on the 16th Day of August, 2018 at 2:30 p.m. All that certain plot, piece or parcel of land, situate, lying and being in the Borough of Brooklyn, County of Kings, City and State of New York. Premises known as 1372 East 66th Street, Brooklyn, NY 11234. (Block: 8365 and Lot: 71) Approximate amount of lien $353,047.40 plus interest and costs. Premises will be sold subject to provisions of led judgment and terms of sale. Index No. 4826/2009. Frank R. Hurley Jr., Esq., Referee. Davidson Fink LLP Attorney(s) for Plaintiff 28 East Main Street, Suite 1700 Rochester, NY 14614-1990 Tel. 585/7608218 Dated: June 12, 2018 #161199

SUPPLEMENTAL SUMMONS AND NOTICE SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF KINGS; Index No.: 520120/2016 Filed: July 10, 2018. NNPL TRUST SERIES 2015-1 C/O CHRISTIANA TRUST, A DIVISION OF WILMINGTON SAVINGS FUND SOCIETY, FSB, PLAINTIFF, V. THE ESTATE OF WINSTON H. DONALDSON A/K/A WINSTON DONALDSON; UNKNOWN HEIRS OF THE ESTATE OF WINSTON H. DONALDSON A/K/A WINSTON DONALDSON; KERWIN DONALDSON, HEIR-AT-LAW; CITIBANK (SOUTH DAKOTA), NA; NEW YORK STATE DEPARTMENT OF TAXATION AND FINANCE; UNITED STATES OF AMERICA O/B/O INTERNAL REVENUE SERVICE; BRIEN HEWAN, IVY HEWAN, LAWRENCE HEWAN, SUPPLEMENTAL SUMMONS AND NOTICE. TO THE ABOVE NAMED DEFENDANTS: YOU ARE HEREBY SUMMONED to answer the Amended Complaint in the above captioned action and to serve a copy of your Answer on the Plaintiff’s attorney within twenty (20) days after the service of this Supplemental Summons, exclusive of the day of service, or within thirty (30) days after completion of service where service is made in any other manner than by personal delivery within the State. The United States of America, if desig-

nated as a Defendant in this action may answer to appear within sixty (60) days of service hereof. In case of your failure to appear or answer, judgment will be taken against you by default for the relief demanded in the Amended Complaint. NOTICE YOU ARE IN DANGER OF LOSING YOUR HOME If you do not respond to this Supplemental Summons and Amended Complaint by serving a copy of the answer on the attorney for the mortgage company who led this foreclosure proceeding against you and ling the answer with the court, a default judgment may be entered and you can lose your home. Speak to an attorney or go to the court where your case is pending for further information on how to answer the Supplemental Summons and protect your property. Sending payment to your mortgage company will not stop this foreclosure action. YOU MUST RESPOND BY SERVING A COPY OF THE ANSWER ON THE ATTORNEY FOR THE PLAINTIFF (MORTGAGE COMPANY) AND FILING THE ANSWER WITH THE COURT. To the above named defendants: The foregoing Supplemental Summons is served upon you by publication pursuant to an order of the Hon. Mark Partnow, a Justice of the Supreme Court of the State of N.Y., dated May 14, 2018 and led along with the supporting papers in the Kings County Clerk’s Ofce. This is an action to foreclose a mortgage on the property 905 Troy Avenue, Brooklyn, NY 11203 also known as Block: 4898 Lot: 57. Kings County is designated as the place of trial based upon the location of the property being foreclosed. Attorneys for Plaintiff: Stern & Eisenberg, PC, 485 B Route 1 South, Suite 330, Iselin, NJ 08830, T: (516) 630-0288. #161784

SUPPLEMENTAL SUMMONS AND NOTICE SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF KINGS; Index No.: 501224/2017. Filed: 07/10/2018. U.S. BANK TRUST, N.A., AS TRUSTEE FOR LSF9 MASTER PARTICIPATION TRUST, PLAINTIFF, V. ESTATE OF ELVIA THOMAS A/K/A ELVIA THOMAS-DOBSON; CORINNE DOBSON; UNKNOWN HEIRS OF THE ESTATE OF ELVIA THOMAS A/K/A ELVIA THOMAS-DOBSON; UNKNOWN HEIRS OF THE ESTATE OF RICHARD DOBSON A/K/A RICHARD A. DOBSON; NATHANIEL CHARLES BURKE, HEIR-AT-LAW; EMERALD BURKE, HEIR-AT-LAW; LUISA OWENS, HEIR-AT-LAW;

ROGELIO BURKE, HEIRAT-LAW; UNITED STATES OF AMERICA O/B/O INTERNAL REVENUE SERVICE; NEW YORK STATE DEPARTMENT OF TAXATION AND FINANCE; CITY OF NEW YORK TRANSIT ADJUDICATION BUREAU; JOHN DOE (Said name being ctitious to represent unknown Tenants/Occupants of the subject property and any other party or entity of any kind, if any, having or claiming an interest or lien upon the mortgaged property), SUPPLEMENTAL SUMMONS AND NOTICE. TO THE ABOVE NAMED DEFENDANTS: YOU ARE HEREBY SUMMONED to answer the Amended Complaint in the above captioned action and to serve a copy of your Answer on the Plaintiff’s attorney within twenty (20) days after the service of this Supplemental Summons, exclusive of the day of service, or within thirty (30) days after completion of service where service is made in any other manner than by personal delivery within the State. The United States of America, if designated as a Defendant in this action may answer to appear within sixty (60) days of service hereof. In case of your failure to appear or answer, judgment will be taken against you by default for the relief demanded in the Amended Complaint. NOTICE YOU ARE IN DANGER OF LOSING YOUR HOME If you do not respond to this Supplemental Summons and Amended Complaint by serving a copy of the answer on the attorney for the mortgage company who led this foreclosure proceeding against you and ling the answer with the court, a default judgment may be entered and you can lose your home. Speak to an attorney or go to the court where your case is pending for further information on how to answer the Supplemental Summons and protect your property. Sending payment to your mortgage company will not stop this foreclosure action. YOU MUST RESPOND BY SERVING A COPY OF THE ANSWER ON THE ATTORNEY FOR THE PLAINTIFF (MORTGAGE COMPANY) AND FILING THE ANSWER WITH THE COURT. To the above named defendants: The foregoing Supplemental Summons is served upon you by publication pursuant to an order of the Hon. Mark I. Partnow, a Justice of the Supreme Court of the State of N.Y., dated May 31, 2018 and led along with the supporting papers in the Kings County Clerk’s Ofce. This is an action to foreclose a mortgage on the property 706 Cleveland Street, Brooklyn, NY 11208 also known as Block:

4080 Lot: 43. Kings County is designated as the place of trial based upon the location of the property being foreclosed. Attorneys for Plaintiff: Stern & Eisenberg, PC, 485 B Route 1 South, Suite 330, Iselin, NJ 08830, T: (516) 630-0288. #161819

SUPPLEMENTAL SUMMONS AND NOTICE OF OBJECT OF ACTION Supreme Court of the State Of New York County Of Kings Action To Foreclose A Mortgage Index #: 521490/2016 Federal National Mortgage Association (“Fannie Mae”), A Corporation Organized And Existing Under The Laws Of The United States Of America Plaintiff, vs BEATRIX JEAN-FRANCOIS, If Living, Or If Either Or All Be Dead, Their Wives, Husbands, Heirs-At-Law, Next Of Kin, Distributees, Executors, Administrators, Assignees, Lienors And Generally All Persons Having Or Claiming Under, By Or Through Said Beatrix Jean-Francois, By Purchase, Inheritance, Lien Or Otherwise, Or Any Right, Title Or Interest In And Of The Premises Described In The Complaint Herein, And The Respective Husbands, Wives, Widow Or Widower Of The, If Any, All Of Whose Names Are Unknown To Plaintiff; Reginald Osse Aka Reggie Osse A/K/A Reggie Osse, New York City Parking Violations Bureau, New York City Transit Adjudication Bureau, Bank Of America, N.A., New York City Environmental Control Board, New York State Department Of Taxation & Finance, Palisades Collection LLC, United States Of America-Internal Revenue Service; “John Does” And “Jane Does”, Said Names Being Fictitious, Parties Intended Being Possible Tenants Or Occupants Of Premises And Corporations, Other Entities Or Persons Who Claim, Or May Claim, A Lien Against The Premises, Defendant(s). Mortgaged Premises: 1183 Bergen Street Brooklyn, NY 11213 BL #: 1214 - 73 To The Above Named Defendant: You Are Hereby Summoned To Answer The Complaint In This Action, And To Serve A Copy Of Your Answer, Or, If The Complaint Is Not Served With This Supplemental Summons, To Serve A Notice Of Appearance, On The Plaintiff(S) Attorney(S) Within Twenty Days After The Service Of This Supplemental Summons, Exclusive Of The Day Of Service (Or Within 30 Days After The Service Is Complete If This Supplemental Summons Is Not Personally Delivered To You Within The State Of New York). In Case Of Your Failure To Appear Or Answer, Judgment Will Be Taken Against You By Default For The Relief Demanded In The Complaint. The Attorney For Plaintiff Has An Ofce For Business In The County Of Erie. Trial to Be Held In the County Of Kings. The Basis Of The Venue Des-

ignated Above Is The Location Of The Mortgaged Premises. TO Defendant in This Action. The Foregoing Supplemental Summons Is Served Upon You By Publication, Pursuant To An Order Of HON. Mark I. Partnow Of The Supreme Court Of The State Of New York, Dated The Seventh Day Of June, 2018 And Filed With The Complaint In The Ofce Of The Clerk Of The County Of Kings, In The City Of Brooklyn. The Object Of This Action Is To Foreclose A Mortgage Upon The Premises Described Below, Executed By Beatrix Jean-Francois And Reginald Osse A/K/A Reggie Osse Dated The November 15, 2007, Recorded At Instrument No. CRFN 2007000596477 In The Ofce Of The Kings County Clerk, On The December 3, 2007; The Property In Question Is Described As Follows: 1183 BERGEN STREET, BROOKLYN, NY 11213 NOTICE YOU ARE IN DANGER OF LOSING YOUR HOME If You Do Not Respond To This Summons And Complaint By Serving A Copy Of The Answer On The Attorney For The Mortgage Company Who Filed This Foreclosure Proceeding Against You And Filing The Answer With The Court, A Default Judgment May Be Entered And You Can Lose Your Home. Speak To An Attorney Or Go To The Court Where Your Case Is Pending For Further Information On How To Answer The Summons And Protect Your Property. Sending A Payment To Your Mortgage Company Will Not Stop This Foreclosure Action. YOU MUST RESPOND BY SERVING A COPY OF THE ANSWER ON THE ATTORNEY FOR THE PLAINTIFF (MORTGAGE COMPANY) AND FILING THE ANSWER WITH THE COURT. DATED: June 12, 2018 Gross Polowy, LLC Attorney(S) For Plaintiff(S) 1775 Wehrle Drive, Suite 100 Williamsville, NY 14221 The Law Firm Of Gross Polowy, LLC And The Attorneys Whom It Employs Are Debt Collectors Who Are Attempting To Collect A Debt. Any Information Obtained By Them Will Be Used For That Purpose. 55559-1 #161270

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