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Trustee

Trustee

Administrator of the Theodore Roosevelt Wall, III File No. 22‑E‑2433 12128754 6/21, 6/28, 7/5, 7/12

NOTICE OF ADMINISTRATION

Having qualified as Administrator of the estate of Joyce Dean Weddington Joyce Cureton Weddington, deceased, late of Mecklenburg 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 11662 Eastwind Drive, Charlotte, NC 28273 on or before the 14th 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 settle‑ ment with the undersigned.

This the 14th day of June, 2022. Doris E Cureton, Administrator File # 2022 E 001549 12127371 6/14, 6/21, 6/28, 7/5

NOTICE TO CREDITORS

Having qualified as Administrator CTA of the Estate of Ronald G. Whilden, late of Meck‑ lenburg County, North Carolina, the undersigned does hereby notify all persons, firms and corpo‑ rations having claims against the estate of said decedent to exhibit them to the undersigned at 409 East Boulevard, Charlotte, North Carolina 28203, on or before October 5, 2022, or this notice will be pleaded in bar of their recovery. All persons, firms and corporations indebted to the said estate will please make immediate payment to the undersigned.

This the 5th day of July, 2022.

Jeremy P. Whilden, Administrator CTA Estate of Ronald G. Whilden Estate File No. 22‑E‑2552 Erin Patterson Law, PLLC Erin B. Patterson 409 East Boulevard Charlotte, NC 28203 12134038 7/5, 7/12, 7/19, 7/26

NOTICE TO CREDITORS

Cheryl Mathes, having qualified as Executor of the Estate of Patricia Wilkinson late of Mecklenburg County, North Carolina, the Executor does hereby notify all person, firms and corporations having claims against the estate of said descendant to exhibit them to the Executor at 9620 Sherrill Estates Rd, Huntersville, NC 28078 on or before the 19th day of July 2022, or this notice will be pleaded in bar of their recovery. All persons, firms and corporations indebted to the said estate will please make immediate payment to the Executor. 12129126 6/21, 6/28, 7/5, 7/12

NOTICE OF ADMINISTRATION

Having qualified as Administrator CTA of the estate of Frances Osteen Williams, deceased, late of Mecklenburg County, North Carolina, this is to notify all persons, firms and corpo‑ rations having claims against said estate to present them, duly verified, to the undersigned at 6419 Burlwood Road, Charlotte, NC 28211 on or before the 21st 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 21st day of June, 2022. Alan T Williams, Administrator CTA File # 2022 E 001454 12128468 6/21, 6/28, 7/5, 7/12

NOTICE TO CREDITORS AND DEBTORS OF JOAN MARIE WOODWARD a/k/a JOAN ROWEN WOODWARD

All persons, firms and corporations having claims against

JOAN MARIE WOODWARD a/k/a JOAN ROWEN WOODWARD,

deceased, are notified to exhibit them to RICHARD P. WOODWARD, as Executor (Estate File 22 E 2582) of the decedent’s estate c/o Richard P. Woodward, 9115 Shackleford Terrace, Charlotte, NC 28227, on or before September 20, 2022 or be barred from their recovery. Debtors of the decedent are asked to make immediate payment to the above‑named Executor.

This the 16th day of June, 2022. Richard P. Woodward, Executor For the Estate of Joan Marie Woodward a/k/a Joan Rowen Woodward 12129374 6/21, 6/28, 7/5, 7/12

Having qualified as Administrator of the estate of Tamela Y. Williams ‘aka’ Tammy Y. Williams ‘aka’ Tamela Williams ‘aka’ Tammy Williams ‘aka’ Tamela Yvonne Williams ‘aka’ Tammy Yvonne Williams, deceased, late of Mecklenburg 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 95 Huckanum Blvd, Unit 5025, Vernon, CT 06066 on or before the 5th day of October, 2022, or this notice will be pleaded in bar of their recovery. All persons indebted to said estate will please make immediate settle‑ ment with the undersigned.

This the 5th day of July, 2022. Curtis D Williams, Administrator File # 22‑E‑2339 12131546 7/5, 7/12, 7/19, 7/26

Individual & Family

Civil Suits

NOTICE OF SERVICE OF PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE DISTRICT COURT DIVISION 21 ‑CVD‑017992 STATE OF NORTH CAROLINA MECKLENBURG COUNTY BRIAN CUNNINGHAM, d/b/a CROSSROADS SPEED EQUIPMENT and BRIAN CUNNINGHAM, individually, Plaintiffs, v. JABBAR GATEWOOD, Defendant. TO: JABBAR GATEWOOD

TAKE NOTICE that a pleading seeking relief against you has been filed in the above entitled action. The nature of the relief being sought is as follows: The Plaintiffs, Brian Cunningham, d/b/a Crossroads Speed Equipment and Brian Cunningham, individually have filed a Complaint for collection on an unpaid account, unjust enrichment and unfair & deceptive trade practices from work and repair services provided on or about 07/01/2021 in North Carolina.

You are required to make defense to such pleading not later than forty (40) days after June 28, 2022 (exclusive of said date), and upon your failure to do so the party seeking service against you will apply to the Court for the relief sought.

This the 28th day of June, 2022. /s/ David W. Gilpin North Carolina State Bar No. 18779 GILPIN LAW OFFICES, PLLC 126 North McDowell Street Charlotte, North Carolina 28204 Telephone: (704) 375‑3641 Fax: (704) 372‑8783 12127042 6/28, 7/5, 7/12

NOTICE OF SERVICE OF

PROCESS BY PUBLICATION

IN COMPLIANCE WITH

N.C.G.S. 1A1, Rule 4(j1)

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION 22‑CVS‑4189 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG CITY OF CHARLOTTE, Plaintiff, v. ANY UNKNOWN HEIRS OF MARSHALL GRIER, SADIE M. GRIER‑HENRIQUES, BERTIE G. THOMAS, BARBARA A. GRIER, ANTHONY L. GRIER, JEFFREY J. GRIER, DONA’ R. MASON, LEONARD N. GRIER, HEIRS AND LINEAL DESCENDANTS OF SAMUEL N. GRIER, MARY P. FRAZIER AND ERNESTINE G. FRYE, CO‑TRUSTEES OF ROBBIE LEE GRIER REVOCABLE LIVING TRUST AGREEMENT DATE MARCH 10, 2005, RAYMOND LEWIS MITCHELL, PATRICIA GAIL MITCHELL, KENNETH LEE MITCHELL, and HEIRS AND LINEAL DESCENDANTS OF MINNIE GRIER, Defendants. TO: ANTHONY L. GRIER

TAKE NOTICE that a pleading seeking relief against you has been filed in the above‑entitled condemnation action. The nature of the relief being sought is as follows:

The determination of just compensation for the acquisition of property necessary for the Dixie River Road Water Main Project and estimated to be approximately 6,216 square feet (0.143 acre) of utility easement, and 10,303 square feet (0.237 acre) of temporary construction easement and any additional property or interest as the City may determine necessary to complete the project as it relates to Tax Parcel No. 141‑161‑20.

You are required to make defense of such pleading not later than twelve months after the first date of publication of this Notice, and upon failure to do so, the Plaintiff, City of Charlotte, will apply to the Court for the relief sought.

This the 24th day of June, 2022. CITY OF CHARLOTTE Bert Concepciün, Sr. Asst. City Attorney, I 600 East 4th Street, 4th Floor, Suite 456 Charlotte, North Carolina 28202 james.concepcion@charlottenc. gov (704) 336‑8158 (telephone) 12133585 7/5, 7/12, 7/19

NOTICE OF SERVICE OF

PROCESS BY PUBLICATION

IN COMPLIANCE WITH

N.C.G.S. 1A1, Rule 4(j1)

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION 22‑CVS‑5205 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG CITY OF CHARLOTTE, Plaintiff, v. NORTH CORRIDOR, LLC and JAYESH H. PATEL, Defendants. TO: JAYESH H. PATEL

TAKE NOTICE that a pleading seeking relief against you has been filed in the above‑entitled condemnation action. The nature of the relief being sought is as follows:

The determination of just compensation for the acquisition of property necessary for the Hidden Valley Water System Improvements Project and estimated to be approximately 13,112 square feet (0.301 acre) of utility easement, and 2,574 square feet (0.059 acre) in Area 1 of temporary construction easement and 726 square feet (0.017 acre) in Area 2 and any additional property or interest as the City may determine necessary to complete the project as it relates to Tax Parcel No. 047‑011‑37.

You are required to make defense of such pleading not later than twelve months after the first date of publication of this Notice, and upon failure to do so, the Plaintiff, City of Charlotte, will apply to the Court for the relief sought.

This the 24th day of June, 2022. CITY OF CHARLOTTE Bert Concepciün Senior Assistant City Attorney I 600 East 4th Street, 4th Floor Charlotte, NC 28202 (704) 336‑8158 (phone) 12133586 7/5, 7/12, 7/19

NOTICE OF SERVICE OF

PROCESS BY PUBLICATION

STATE OF NORTH CAROLINA

COUNTY OF MECKLENBURG

IN THE GENERAL COURT OF JUSTICE

DISTRICT COURT DIVISION

FILE NO. 21‑CVD‑19760 COASTAL FEDERAL CREDIT UNION, Plaintiff, Vs. THEODORE OKOR EKONG, Defendant. TO:THEODORE OKOR EKONG

TAKE NOTICE that a pleading seeking relief against you has been filed in the above‑entitled action. The nature of the relief being sought is as follows: The Plaintiff is seeking to renew a Judgment entered against you on February 9, 2012, for monies owed as a result of default under the terms of a VISA credit card account.

You are required to make defense to such pleading not later than August 14, 2022. Upon your failure to do so, the Plaintiff will apply to the Court for the relief sought.

This law firm is a debt collector within the meaning of the Fair Debt Collection Practices Act. This communication is an attempt to collect a debt, and any information obtained will be used for that purpose.

This the 28th day of June, 2022. Sarah Dalonzo‑Baker Kirschbaum, Nanney, Keenan & Griffin, P.A. Attorney for Plaintiff Post Office Box 19806 Raleigh, NC 27619 (919) 848‑9640 12134000 7/5, 7/12, 7/19

NOTICE OF SERVICE BY PUBLICATION

STATE OF NORTH CAROLINA MECKLENBURG COUNTY IN THE GENERAL COURT OF JUSTICE DISTRICT COURT DIVISION Karla Cruz v. Juan Antonio Cruz 22‑CVD‑5999 Attention “JUAN ANTONIO CRUZ”

Take notice that a pleading seeking relief against you has been filed in the above‑entitled action. The nature of the relief being sought is as follows: Divorce & Equitable Distribution. You are required to make defense to such pleading no later than August 2, 2022, and upon your failure to do so the party seeking service against you will apply to the court for the relief sought.

This the 16th day of June 2022. Christine L. Camacho Sussman Law Firm, PLLC 9916 Monroe Road Charlotte, NC 28270 Ph# (980) 598‑8180 12129368 6/28, 7/5, 7/12

NOTICE OF SERVICE OF

PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

DISTRICT COURT DIVISION 21‑CVS‑8459 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG MARY A. HILL Plaintiff, vs, RENEE P. EWING, CURTIS E. EWING, TONY M. EWING, HERMAN T. EWING, NATHANIEL V. EWING, and MONICA Y. EWING, the heirs of Annie Marie Ewing, and CORA LEE BRANHAM, HERMAN BRANHAM,ROSLYN) BRANHAM PAULING, LARUE BRANHAM, and LEROY BRANHAM, the heirs of Annie Branham, and BRIGHT & NEAT INVESTMENT LLC, Defendants. TO: TONY M. EWING

TAKE NOTICE that a pleading seeking relief against you has been filed in the above‑entitled action. Pursuant to N.C.G.S. §1A‑1, Rule 4(j1) and Rule 4(k1), and N.C.G.S. §1‑75.8, this notice lists the nature of the relief sought is as follows: 1. The Court declare Plaintiff Mary Hill the rightful owner of a 1/2, undivided interest in the prop‑ erty parcel, tax parcel 141‑181‑53; and the Court declare who is/are the rightful owner(s) of the other 1/2, undivided interest in the property, tax parcel 141‑181‑53; 2. The Court quiet title and remove the cloud of defendants’ wrongful claims of title asserted in the quitclaim deed recorded on May 14, 2020, the Easement recorded on November 18, 2020, and the non‑warranty deed dated August 11, 2021; 3. The Court award Plaintiff Mary Hill compensatory dam ages against the defendants, jointly and severally, in an amount in excess of 25,000.00, plus interest at the legal rate ; 4. The Court award Plaintiff Mary Hill consequential and special damages and costs, including reasonable attorney fees, against the defendants, jointly and severally;

You are required to make defense to such pleading not later than forty days after July 5, 2022, the first publication of this notice ; upon your failure to file answer within the time prescribed, Plaintiff Mary Hill will apply to the Court for the relief sought.

This the 27th day of June, 2022. THE ODOM FIRM, PLLC Martha C. Odom NC State Bar #20643 1109 Greenwood Cliff Charlotte, North Carolina 28204 P: (704)377‑7333 marthaodom@mecklaw.com 12134071 7/5, 7/12, 7/19

NOTICE OF SERVICE OF

PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

DISTRICT COURT DIVISION 21‑CVS‑8459 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG MARY A. HILL Plaintiff, vs, RENEE P. EWING, CURTIS E. EWING, TONY M. EWING, HERMAN T. EWING, NATHANIEL V. EWING, and MONICA Y. EWING, the heirs of Annie Marie Ewing, and CORA LEE BRANHAM, HERMAN BRANHAM,ROSLYN) BRANHAM PAULING, LARUE BRANHAM, and LEROY BRANHAM, the heirs of Annie Branham, and BRIGHT & NEAT INVESTMENT LLC, Defendants. TO: MONICA Y. EWING

TAKE NOTICE that a pleading seeking relief against you has been filed in the above‑entitled action. Pursuant to N.C.G.S. §1A‑1, Rule 4(j1) and Rule 4(k1), and N.C.G.S. §1‑75.8, this notice lists the nature of the relief sought is as follows: 1. The Court declare Plaintiff Mary Hill the rightful owner of a 1/2, undivided interest in the prop‑ erty parcel, tax parcel 141‑181‑53; and Court declare who is/are the rightful owner(s) of the other 1/2, undivided interest in the property, tax parcel 141‑181‑53; 2. The Court quiet title and remove the cloud of defendants’ wrongful claims of title asserted in the quitclaim deed recorded on May 14, 2020, the Easement recorded on November 18, 2020, and the non‑warranty deed dated August 11, 2021; 3. The Court award Plaintiff Mary Hill compensatory dam ages against the defendants, jointly and severally, in an amount in excess of 25,000.00, plus interest at the legal rate ; 4. The Court award Plaintiff Mary Hill consequential and special damages and costs, including reasonable attorney fees, against the defendants, jointly and severally;

You are required to make defense to such pleading not later than forty days after July 5, 2022, the first publication of this notice ; upon your failure to file answer within the time prescribed, Plaintiff Mary Hill will apply to the Court for the relief sought.

This the 27th day of June, 2022. THE ODOM FIRM, PLLC Martha C. Odom NC State Bar #20643 1109 Greenwood Cliff Charlotte, North Carolina 28204 P: (704)377‑7333 marthaodom@mecklaw.com 12134065 7/5, 7/12, 7/19

NOTICE OF SERVICE OF

PROCESS BY PUBLICATION

STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG IN THE GENERAL COURT OF JUSTICE DISTRICT COURT DIVISION FILE NO. 22‑CVD‑9556 GISELLE MARZAN, Plaintiff vs. ERICK CARLOS ROSARIO PICHARDO, Defendant TO: ERICK CARLOS ROSARIO PICHARDO, the above named defendant: TAKE NOTICE, that a Complaint seeking relief against you has been filed in the above entitled action. The nature of the relief being sought is as follows: That the plaintiff be granted an ABSOLUTE DIVORCE. TAKE NOTICE that you are required to make a defense to such pleading not later than the 16th DAY OF AUGUST, 2022, said date being forty (40) days from the first publi‑ cation of this notice; and upon your failure to do so, the party seeking service against you will apply to the court for the relief sought. This the 27th day of JUNE, 2022. Burke & Associates, Raymond A. Burke, Attorney for Plaintiff 6135 Park South Drive, Ste.510, Charlotte, NC 28210 Tel: 704‑248‑5100 State Bar #23028 12133571 7/5, 7/12, 7/19

NOTICE OF SERVICE OF

PROCESS BY PUBLICATION

STATE OF NORTH CAROLINA, COUNTY OF MECKLENBURG IN THE GENERAL COURT OF JUSTICE DISTRICT COURT Re: ERIKA GRISELDA MATUL V. JOHN DOE TO: JOHN DOE

TAKE NOTICE that a pleading seeking relief against you has been filed in the above‑entitled action by Erika Griselda Matul in the District Court Division of Meck‑ lenburg County, 832 East Fourth Street, Charlotte, NC 28202. The nature of the relief being sought is Child Custody and Juvenile Special Immigration Status. TAKE NOTICE that you are required to make defense to such pleading, no later than forty (40) days after the first publication of this notice on June 21, 2022. If you fail to do so, the party seeking service against you will apply to the court for the relief sought.

This the 21st of June, 2022 Kathryn E. Yates Easterling Law, PLLC 2526 Plantation Center Drive, Suite B Matthews, NC 28105 OFF: (980) 272‑1365 FAX: (704) 269‑6220 12128446 6/21, 6/28, 7/5 IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION 2022 CVS 7590 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG PENSKE TRUCK LEASING CO., L.P. and d/b/a PENSKE LEASING & RENTAL COMPANY Plaintiff, v. WHEELZ TRUCKING LLC, Defendant. TO: Wheelz Trucking LLC

TAKE NOTICE that a pleading seeking relief against you has been filed in the above‑entitled action. The nature of the relief being sought is as follows: Recovery of principal sum of $111,690.58 plus interest on the principal balance at the rate of 18.00% per annum from January 28, 2022 to the date of judgment plus interest at the legal rate from and after entry of the Judgment, plus costs.

You are required to make defense to such pleading not later than August 10, 2022 and upon your failure to do so, the parties seeking service against you will apply to the Court for the relief sought.

This the 28th day of June, 2022. CRANFORD, BUCKLEY, SCHULTZE, TOMCHIN, ALLEN & BUIE, P.A. By: Michael F. Schultze 7257 Pineville‑Matthews Road, Ste. 2100 Charlotte, NC 28226 (704) 442‑1010 State Bar No.: 12547 Attorney for Plaintiff 12131401 6/28, 7/5, 7/12

SUMMONS By Publication

TO: Jose Martinez

You have been sued by Racquel Steele, the Petitioner, in the District Court in and for ADA County, Idaho, Case No. CV01‑22‑4943

The nature of the claim against you is for Divorce with minor children.

Any time after 21 days following the last publication of this Summons, the court may enter a judgment against you without further notice, unless prior to that time you have filed a written response in the proper form, including the case number, and paid any required filing fee to the Clerk of the Court at [mailing address, physical address (if different from the mailing address) and telephone number of the district court clerk] 200 West Front Street, Boise, ID 83702 (208) 287‑6900 and served a copy of your response on the other party, whose mailing address and telephone number are: 2020 S. Luxury Ln Meridian, ID 83642.

A copy of the Summons and Petition/Motion can be obtained by contacting either the Clerk of the Court or the other party. If you wish legal assistance, you should immediately retain an attomey to advise you in this matter.

Date: 5/11/2022 ADA County District Court PHIL McGRANE Racquel Steele By: /s/ Deputy Clerk 12129060 6/21, 6/28, 7/5

NOTICE OF SERVICE OF PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE DISTRICT COURT DIVI‑ SION 21 CVD 12879 STATE OF NORTH CAROLINA MECKLENBURG COUNTY CARMEN WASHINGTON, Plaintiff, vs. MICHAEL WASHINGTON, Defendant.

MICHAEL WASHINGTON:

Take notice that a pleading seeking relief against you has been filed in the above‑entitled action. The nature of the relief being sought is as follows: Complaint for Divorce. Plaintiff and Defendant separated from each other on or about June 16, 2020 and have lived separate and apart from each other continuously since said time, without resuming the marital relationship which previ‑ ously existed between them. Plaintiff is entitled to an absolute divorce from the Defendant based on the grounds of one year separa‑ tion. Plaintiff prays the Court for an absolute divorce form the Defendant and that the marriage existing between the Plaintiff and the Defendant be dissolved.

You are required to make defense to such pleading not later than August 14, 2022 (forty days after last publication) and upon

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