{ The Mecklenburg Times } All that certain lot or parcel of land, situate, lying and being in Mecklenburg County, North Carolina, and more particularly described and defined as follows: Being all of Lot A in Block 22 of HOLLY VISTA as the same is shown on map thereof recorded in Map Book 3 at Page 625 in the Mecklenburg County Public Registry. BEING the same property conveyed to Henry A. Long by Deed recorded in Book 869 at Page 144 in said Registry. Designated as tax code number 03722532 and being commonly known as a lot on Wildwood Street, Charlotte, NC 28269. The successful bidder of each sale will be required to deposit five percent (5%) of the bid price. The bid will remain open for ten (10) days for increased bids. The property will be sold subject to taxes for the year 2022, and all local improvement assessments against the property not included in the judgment in the aboveentitled action. The bid will be subject to confir mation by the Court. This the 19th day of May, 2022. /s/ Charles R. Buckley, III Charles R. Buckley, III, Commis sioner c/o J.D. DuPuy, Attorney RUFF, BOND, COBB, WADE & BETHUNE, L.L.P. 831 East Morehead Street, Ste. 560 Charlotte, North Carolina 28202 Phone (704) 3771634, Ext. 103; Fax (704) 3423308 12122082 5/31, 6/7 NOTICE OF SERVICE BY PROCESS BY PUBLICATION IN THE GENERAL COURT OF JUSTICE SUPERIOR COURT DIVISION FILE NO. 22 CvS 3953 NORTH CAROLINA MECKLENBURG COUNTY Mecklenburg County, A Body Politic and Corporate vs. Unknown Heirs at Law of W.S. Williams, a/k/a Walter S. Williams, a/k/a Walter Scott Williams, Roy L. Williams, Willie Gene Williams, United States Finance Company, Inc., Unknown Officers, Directors, and Managing Agents of United States Finance Company, Inc. TO: Unknown Heirs at Law of W.S. Williams, a/k/a Walter S. Williams, a/k/a Walter Scott Williams, Roy L. Williams, Willie Gene Williams, United States Finance Company, Inc., Unknown Officers, Directors, and Managing Agents of United States Finance Company, Inc. Take notice that a pleading seeking relief against you has been filed in the aboveentitled action. The nature of the relief being sought is as follows: Foreclosure sale to satisfy unpaid property taxes owing to Mecklenburg County on your interest in the property described as follows: BEING all of Lots 174, 175, 176 and 177 in the subdivision of the C.K. Thomas Property and recorded in the office of the Register of Deeds for Mecklenburg County in Map Book 5, Page 61. LESS and EXCEPTING the following tract: Being all of the property as described in a deed from W. S. Williams and wife, Grace Williams to United States Finance Company, Inc. dated June 18, 1964, and of record in Deed Book 2542, Page 247, Mecklenburg County Registry, and containing 0.211 acres, more or less, and being more particularly described as follows: Lying and being in Clear Creek Township, Mecklenburg County, North Carolina, and being the Eastern half of Lots Nos. 174, 175, 176, 177 of the C.K. Thomas prop erty Subdivision as surveyed and mapped by, G. Sam Rowe, as recorded in Map Book 5, Page 61, in Mecklenburg County Register of Deeds Office. Subject to easements, restrictions and rights of way of record, and matters of survey. Also being identified as Parcel ID# 11114307, Mecklenburg County Tax Office. Address: 7600 Harrisburg Rd Plaintiff seeks to extinguish any and all claims and interests that you may have in the property, to have a commissioner appointed to sell the Property and to deliver to the purchaser a deed to said real estate in fee simple, free and clear of all encumbrances, and that the interests and equities of redemption of the Defendants in the property be forever barred and foreclosed. You are required to make defense to such pleading not later than July 18, 2022 and upon your failure to do so the party seeking service against you will apply to the court for the relief sought.
This day of May 31, 2022. Hunter Frederick Attorney for Plaintiff Capital Center 82 Patton Avenue, Suite 500 Asheville, North Carolina 28801 12124999 6/7, 6/14, 6/21 NOTICE OF SERVICE BY PROCESS BY PUBLICATION IN THE GENERAL COURT OF JUSTICE SUPERIOR COURT DIVISION FILE NO. 22 CvS 8272 NORTH CAROLINA MECKLENBURG COUNTY Mecklenburg County, A Body Politic and Corporate vs. Thomas Anthony Wright, Unknown Spouse of Thomas Anthony Wright, Valerie Kaye Crockett, Unknown Spouse of Valerie Kaye Crockett, Unknown Issue of Brian O’Keith Wright, Unknown Issue of Eugenia Dargan TO: Thomas Anthony Wright, Unknown Spouse of Thomas Anthony Wright, Valerie Kaye Crockett, Unknown Spouse of Valerie Kaye Crockett, Unknown Issue of Brian O’Keith Wright, Unknown Issue of Eugenia Dargan Take notice that a pleading seeking relief against you has been filed in the aboveentitled action. The nature of the relief being sought is as follows: Foreclosure sale to satisfy unpaid property taxes owing to Mecklenburg County on your interest in the property described as follows: BEING known and designated as all of Lot 44 of the subdivision known as HIDDEN VALLEY ADDI TION #3, as same is shown on map thereof recorded in Map Book 9, at Page 197 of the Mecklenburg County Public Registry, reference to which is hereby made for a more particular description. Subject to easements, restrictions and rights of way of record, and matters of survey. Also being identified as Parcel ID# 08905304, Mecklenburg County Tax Office. Address: 4507 Hidden Valley Road Plaintiff seeks to extinguish any and all claims and interests that you may have in the property, to have a commissioner appointed to sell the Property and to deliver to the purchaser a deed to said real estate in fee simple, free and clear of all encumbrances, and that the interests and equities of redemption of the Defendants in the property be forever barred and foreclosed. You are required to make defense to such pleading not later than July 18, 2022 and upon your failure to do so the party seeking service against you will apply to the court for the relief sought. This day of May 25, 2022. Hunter Frederick Attorney for Plaintiff Capital Center 82 Patton Avenue, Suite 500 Asheville, North Carolina 28801 (828) 2528010 12124359 6/7, 6/14, 6/21 NOTICE OF SERVICE OF PROCESS BY PUBLICATION IN THE GENERAL COURT OF JUSTICE DISTRICT COURT DIVISION 22‑CVD‑7774 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG MECKLENBURG COUNTY, Plaintiff, vs. Heirs of Donna M. Sinnett; Mieke Lavery and Spouse, if any; Kristin L. Sinnett and Spouse, if any; City of Charlotte (lien holder); and any and all other interested persons, whether sane or insane, adult or minor, in esse or en ventra sa mere, known or unknown, resident or nonresident, live corporations or dissolved corporations, who might have or claim any right or title to the property which is the subject of this action, Defendants. To: Heirs of Donna M. Sinnett; Mieke Lavery and Spouse, if any; Kristin L. Sinnett and Spouse, if any; City of Charlotte (lien holder); and any and all other interested persons, whether sane or insane, adult or minor, in esse or en ventra sa mere, known or unknown, resident or nonresident, live corporations or dissolved corpora tions, who might have or claim any right or title to the property which is the subject of this action. TAKE NOTICE that a pleading seeking relief against you has been filed in the aboveentitled action. The nature of relief being sought is as follows: Foreclosure of the tax liens for the County of Mecklenburg for the years 2017 through and including 2021 against the following described property: All that certain lot or parcel of land, situate, lying and being in
Mecklenburg County, North Carolina, and more particularly described and defined as follows: BEGINNING at a point in the center of the Old Concord Road (formerly the Old Salisbury Road) which said point is S. 8623 W. 181.72 feet along said center of said road from the southwest corner of the Sinkoe Brothers, Inc. property (now or formerly), and runs thence from said beginning point N. 2235 W. 195.38 feet to a point in the paved portion of the present North Tryon Street (formerly New Salisbury Road); thence within the paved portion of said North Tryon Street and with the arc of a circle with the radius of 3183.23 feet to the left, and in a northeasterly direction 181.70 feet to a point in the paved portion of North Tryon Street, said line running parallel to the northerly margin of said street; thence S. 2235 E. 251.62 feet with the line of the Sinkoe Brothers, Inc. property, to a point in said property line; thence S. 602440 W. 64.79 feet to a point in the right of way line of Old Concord Road; thence with the northerly margin of Old Concord Road N. 8623 E. 68.0 feet to a point in said margin; thence S. 2235 E. 31.72 feet to a point in the center of Old Concord Road; thence with the center of Old Concord Road S. 8623 W. 181.72 feet to the beginning point, LESS AND EXCEPT that portion of the abovedescribed property conveyed to the City of Charlotte by instrument recorded in Book 28615 at Page 967 in the Mecklen burg County Public Registry. BEING a portion of the same property conveyed to Buzz R. Sinnett and wife, Donna M. Sinnett by Deed recorded in Book 4000 at Page 949 in said Registry. Designated as tax code number 04901101 and being commonly known as 5636 N. Tryon Street Charlotte, NC 28213. You are required to make defense to such pleading not later than July 5, 2022, and upon your failure to do so, the parties seeking service against you will apply to the Court for the relief sought. This 13th day of May, 2022. /S/ J.D. DuPuy J.D. DuPuy RUFF, BOND, COBB, WADE & BETHUNE, L.L.P. 831 East Morehead Street, Ste. 560 Charlotte, North Carolina 28202 Telephone: (704) 3771634, Ext. 103, Fax (704)3423308 12119955 5/24, 5/31, 6/7 NOTICE OF SERVICE OF PROCESS BY PUBLICATION IN THE GENERAL COURT OF JUSTICE DISTRICT COURT DIVISION 22‑CVD‑7775 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG MECKLENBURG COUNTY, Plaintiff, vs. Arthur George Goldner, Jr., and Spouse, if any; State) of North Carolina (lien holder); City of Charlotte (lien holder); and any and all other interested persons, whether sane or insane, adult or minor, in esse or en ventra sa mere, known or unknown, resident or nonresident, live corporations or dissolved corporations, who might have or claim any right or title to the property which is the subject of this action, Defendants. To: Arthur George Goldner, Jr., and Spouse, if any; State of North Carolina (lien holder); City of Char lotte (lien holder); and any and all other interested persons, whether sane or insane, adult or minor, in esse or en ventra sa mere, known or unknown, resident or nonresident, live corporations or dissolved corporations, who might have or claim any right or title to the property which is the subject of this action. TAKE NOTICE that a pleading seeking relief against you has been filed in the aboveentitled action. The nature of relief being sought is as follows: Foreclosure of the tax liens for the County of Mecklenburg for the years 2018 through and including 2021 against the following described property: All that certain lot or parcel of land, situate, lying and being in Mecklenburg County, North Carolina, and more particularly described and defined as follows: Being all of Lots 3 and 4 in Block 4 of WESTERWOOD as the same is shown on map thereof recorded in the Mecklenburg County Public Registry in Map Book 6 at Page 949, to which reference is hereby made. BEING the same property conveyed to Arthur George Goldner, Jr., by Deed recorded in
Book 30047 at Page 862 in said Registry. Designated as tax code number 05529409 and being commonly known as 2417 Kendrick Drive, Charlotte, NC 28214. You are required to make defense to such pleading not later than July 5, 2022, and upon your failure to do so, the parties seeking service against you will apply to the Court for the relief sought. This 13th day of May, 2022. /S/ J.D. DuPuy J.D. DuPuy RUFF, BOND, COBB, WADE & BETHUNE, L.L.P. 831 East Morehead Street, Ste. 560 Charlotte, North Carolina 28202 Telephone: (704) 3771634, Ext. 103, Fax (704)3423308 12119949 5/24, 5/31, 6/7 NOTICE OF SERVICE OF PROCESS BY PUBLICATION IN THE GENERAL COURT OF JUSTICE DISTRICT COURT DIVISION 22‑CVD‑8152 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG MECKLENBURG COUNTY, Plaintiff, vs. Valerie Regina Howell and Spouse, if any; CCRx of Charlotte (lien holder); FMCNA Dialysis Services of Duluth/Lawrenceville (lien holder); BMA of North Carolina (lien holder); Park Village Rehab and Health, Inc. (lien holder); Huntersville Health & Rehabili‑ tation Center, L.P. (lien holder); and any and all other interested persons, whether sane or insane, adult or minor, in esse or en ventra sa mere, known or unknown, resident or nonresident, live corpo rations or dissolved corporations, who might have or claim any right or title to the property which is the subject of this action, Defendants. To: Valerie Regina Howell and Spouse, if any; CCRx of Charlotte (lien holder); FMCNA Dialysis Services of Duluth/Lawrenceville (lien holder); BMA of North Carolina (lien holder); Park Village Rehab and Health, Inc. (lien holder); Huntersville Health & Rehabilitation Center, L.P. (lien holder); and any and all other inter ested persons, whether sane or insane, adult or minor, in esse or en ventra sa mere, known or unknown, resident or nonresident, live corporations or dissolved corporations, who might have or claim any right or title to the property which is the subject of this action. TAKE NOTICE that a pleading seeking relief against you has been filed in the aboveentitled action. The nature of relief being sought is as follows: Foreclosure of the tax liens for the County of Mecklenburg for the years 2017 through and including 2021 against the following described property: All that certain lot or parcel of land, situate, lying and being in Mecklenburg County, North Carolina, and more particularly described and defined as follows: Tract I: Being all of Lots 7 and 8 in Block C of NORMAN WOODS as the same is shown on map thereof recorded in Map Book 9 at Page 571 in the Mecklenburg County Public Registry. BEING the same property conveyed to John P. Howell and wife, Birdie M. Howell, by Deed recorded in Book 4734 at Page 28 in said Registry. Designated as tax code number 01518308 and being commonly known as 7340 Monaco Drive, Huntersville NC 28078. Tract II: Being all of Lots 12 and 13 in Block F of NORMAN WOODS as the same is shown on map thereof recorded in Map Book 9 at Page 571 in the Mecklenburg County Public Registry. BEING the same property conveyed to John P. Howell and wife, Birdie M. Howell, by Deed recorded in Book 4738 at Page 128 in said Registry. Designated as tax code number 01518623 and being commonly known as 10811 Montecarlo Drive, Huntersville NC 28078. You are required to make defense to such pleading not later than July 11, 2022, and upon your failure to do so, the parties seeking service against you will apply to the Court for the relief sought. This 20th day of May, 2022. /S/ J.D. DuPuy J.D. DuPuy RUFF, BOND, COBB, WADE & BETHUNE, L.L.P. 831 East Morehead Street, Ste. 560 Charlotte, North Carolina 28202
Tuesday, June 7, 2022 Public Notice Telephone: (704) 3771634, Ext. 103, Fax (704)3423308 12122092 5/31, 6/7, 6/14 NOTICE OF SERVICE OF PROCESS BY PUBLICATION IN THE GENERAL COURT OF JUSTICE DISTRICT COURT DIVISION 22‑CVD‑8153 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG MECKLENBURG COUNTY, Plaintiff, vs. Wallace Creek Homeowners Association, Inc., a North Carolina non‑profit corporation; United States of America (lien holder); PPG Architectural Finishes, Inc., a Delaware corpo‑ ration (lien holder); Complete Floor Covering, Inc., a North Carolina corporation (lien holder); Guillermo G. Fiallos (d/b/a GGF Drywall) (lien holder); Luxe Salon Studio Suites, LLC, a North Carolina limited liability company (lien holder); The Lloyd Group, Ltd., a North Carolina corporation (lien holder); Builders Mutual Insurance Company, a North Carolina Insurance Company (lien holder); City of Charlotte (lien holder); and any and all other interested persons, whether sane or insane, adult or minor, in esse or en ventra sa mere, known or unknown, resident or nonresident, live corporations or dissolved corporations, who might have or claim any right or title to the property which is the subject of this action, Defendants. To: Wallace Creek Homeowners Association, Inc., a North Carolina nonprofit corporation; United States of America (lien holder); PPG Architectural Finishes, Inc., a Delaware corporation (lien holder); Complete Floor Covering, Inc., a North Carolina corporation (lien holder); Guillermo G. Fiallos (d/b/a GGF Drywall) (lien holder); Luxe Salon Studio Suites, LLC, a North Carolina limited liability company (lien holder); The Lloyd Group, Ltd., a North Carolina corporation (lien holder); Builders Mutual Insur ance Company, a North Carolina Insurance Company (lien holder); City of Charlotte (lien holder); and any and all other interested persons, whether sane or insane, adult or minor, in esse or en ventra sa mere, known or unknown, resident or nonresident, live corpo rations or dissolved corporations, who might have or claim any right or title to the property which is the subject of this action. TAKE NOTICE that a pleading seeking relief against you has been filed in the aboveentitled action. The nature of relief being sought is as follows: Foreclosure of the tax liens for the County of Mecklenburg for the years 2016 through and including 2021 against the following described property: All that certain lot or parcel of land, situate, lying and being in Mecklenburg County, North Carolina, and more particularly described and defined as follows: Being all of Lot 147 of WALLACE CREEK, Phase 1, Map 3, as shown on map thereof recorded in Map Book 38 at Page 379 in the Mecklenburg County Public Registry. BEING the same property conveyed to Wallace Creek Homeowners Association, Inc., by Deed recorded in Book 36035 at Page 870 in said Registry. Designated as tax code number 10326346 and being commonly known as 5723 Wallace Cabin Drive, Charlotte, NC 28212. You are required to make defense to such pleading not later than July 11, 2022, and upon your failure to do so, the parties seeking service against you will apply to the Court for the relief sought. This 20th day of May, 2022. /S/ J.D. DuPuy J.D. DuPuy RUFF, BOND, COBB, WADE & BETHUNE, L.L.P. 831 East Morehead Street, Ste. 560 Charlotte, North Carolina 28202 Telephone: (704) 3771634, Ext. 103, Fax (704)3423308 12122095 5/31, 6/7, 6/14 NOTICE OF SERVICE OF PROCESS BY PUBLICATION IN THE GENERAL COURT OF JUSTICE DISTRICT COURT DIVISION 22‑CVD‑8154 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG MECKLENBURG COUNTY, Plaintiff, vs. Heirs of N.L. Caton; Heirs of Ella Caton; and any and all other inter ested persons, whether sane or
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insane, adult or minor, in esse or en ventra sa mere, known or unknown, resident or nonresident, live corporations or dissolved corporations, who might have or claim any right or title to the property which is the subject of this action, Defendants. To: Heirs of N.L. Caton; Heirs of Ella Caton; and any and all other interested persons, whether sane or insane, adult or minor, in esse or en ventra sa mere, known or unknown, resident or nonresident, live corporations or dissolved corporations, who might have or claim any right or title to the property which is the subject of this action. TAKE NOTICE that a pleading seeking relief against you has been filed in the aboveentitled action. The nature of relief being sought is as follows: Foreclosure of the tax liens for the County of Mecklenburg for the years 2012 through and including 2021 against the following described property: All that certain lot or parcel of land, situate, lying and being in Mecklenburg County, North Carolina, and more particularly described and defined as follows: Being all of Lots 8 and 9 in Block 14 of HOLLY VISTA as the same is shown on map thereof recorded in Map Book 3 at Page 257 (revised Map Book 3 at Page 626) in the Mecklenburg County Public Registry. BEING the same property conveyed to N.L. and Ella Caton by Deed recorded in Book 731 at Page 81 in said Registry. Designated as tax code number 03722126 and being commonly known as 7617 Ocala Street, Charlotte, NC 28269. You are required to make defense to such pleading not later than July 11, 2022, and upon your failure to do so, the parties seeking service against you will apply to the Court for the relief sought. This 20th day of May, 2022. /S/ J.D. DuPuy J.D. DuPuy RUFF, BOND, COBB, WADE & BETHUNE, L.L.P. 831 East Morehead Street, Ste. 560 Charlotte, North Carolina 28202 Telephone: (704) 3771634, Ext. 103, Fax (704)3423308 12122087 5/31, 6/7, 6/14
Probate Probate NOTICE OF ADMINISTRATION Having qualified as Executor of the estate of Douglas M Baity, deceased, late of Iredell County, North Carolina, this is to notify all persons, firms and corporations having claims against said estate to present them, duly verified, to the undersigned at 251 Deerchase Circle, Statesville, NC 28625, on or before the 7th day of September, 2022, or this notice will be pleaded in bar of their recovery. All persons indebted to said estate will please make immediate settlement with the undersigned. This the 7th day of June, 2022. Shayne D Baity, Executor File # 2022 E 000598 Seth J. Johnson, Attorney at Law 239 E. Broad Street Statesville, NC 28677 (704) 8737233 12124166 6/7, 6/14, 6/21, 6/28 NOTICE OF ADMINISTRATION Having qualified as Administrator of the estate of Thomas David Bost, deceased, late of Iredell County, North Carolina, this is to notify all persons, firms and corporations having claims against said estate to present them, duly verified, to the undersigned at 1251 Davie