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STATE OF NORTH CAROLINA MECKLENBURG COUNTY In the Mecklenburg court divorce notice

Take notice pleading seeking relief against you tito. D. Ordonez Rivas

You are required to make defense to such pleading no later than September 10, 2021. And apon your fauiler to do so the party seeking service against you will apply to the court for the relief sought. 12030272 8/31, 9/7, 9/14

NOTICE OF SERVICE OF

PROCESS BY PUBLICATION

STATE OF NORTH CAROLINA MECKLENBURG COUNTY In the Mecklenburg Court Absolute Divorce to Gregory McCoy:

Take notice that a pleading seeking relief against you has been filed in the above‑entitled Absolute Divorce. The nature of the relief being sought is as follows: an absolute divorce. You are required to make defense to such pleading not later than Tuesday, September 28th 2021 and upon your failure to do so the party seeking service against you will apply to the court for the relief sought.

This, the 30th day of August, 2021 Lakeisha Robinson 3325 Glamorgan ct. 28269 12032003 9/14, 9/21, 9/28

NOTICE OF SERVICE OF

PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION 21CVD2756 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG CARLOS TRINIDAD, Plaintiff, v. FRANCISCO SALOME QUINTANILLA, Defendant. TO: Francisco S. Quintanilla 5743 Justins Forest Drive Charlotte, NC. 28212

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: Claim for personal injury as a result of an automobile accident on or about December 6, 2019.

You are required to make defense to such pleading not later than forty (40) days after September 7, 2021, 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 30 day of August, 2021.

Joseph H. Downer NC Bar 29184 521 East Morehead Street, Suite 120

Charlotte, North Carolina 28202 Telephone: (704) 719‑9080 12031647 9/7, 9/14, 9/21

NOTICE OF SERVICE OF

PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION 21CVS12645 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG LARRY WILLIAMS, Plaintiff, v. ANDRU COLEMAN and PV HOLDING CORP, Defendant. TO: Andru Coleman Date of Birth: 12/14/2001 459 Preterson Ave Mooresville, NC 28115

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: Claim for personal injury as a result of an automobile accident on or about December 26, 2019.

You are required to make defense to such pleading not later than forty (40) days after September 7, 2021, 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 30 day of August, 2021.

Joseph H. Downer NC Bar 29184 521 East Morehead Street, Suite 120

Charlotte, North Carolina 28202 Telephone: (704) 719‑9080 12031635 9/7, 9/14, 9/21

Family

NOTICE OF SERVICE OF PROCESS BY PUBLICATION

STATE OF NORTH CAROLINA,

COUNTY OF MECKLENBURG

IN THE GENERAL COURT OF JUSTICE

DISTRICT COURT DIVISION 21 CvD 11165 In the matter of LORETTA JEAN MORRISON v. NYKISHA NEVONNE MORRISON [Deceased] and JOHN DOE, Defendants ATTENTION JOHN DOE:

Take notice that a pleading seeking relief against you has been filed in the above‑referenced action. The nature of the relief being sought is Permanent Custody of the Minor Male Child born 16 February 2006 in Charlotte, North Carolina.

You are required to make defense to such pleading not later than 6th October 2021. Upon your failure to do so, the party seeking seeking service against you will apply to the court for the relief sought. This the 23rd day of August 2021. Angelina M. Maletto, Attorney for Plaintiff 2125 Southend Drive, Unit 439 Charlotte, North Carolina 28203 12032825 9/14, 9/21, 9/28

Government

Hearings

The City of Charlotte Housing Code Enforcement Section Legal Notices

We will hold a hearing upon the Housing Code complaint regarding the property listed below. We will hold the hearing at East Service Area, 3505 Central Ave, Charlotte, NC, at the time indicated, for the purpose of determining whether the property contains the Code violations that the inspector has determined to exist. For additional information concerning the case, contact the inspector for that case. Interested parties: Williams Farrow Builders LLC Case Number: 20210028301 Property: 1241 Pegram St, Charlotte, NC 28205 Hearing Date: October 13, 2021 @ 10:30 a.m. Inspector: Brooke Humphrey, 704‑353‑1889 Submitted by: Jerry Green, East Service Area Supervisor and Designated Agent. 12034711 9/14

The City of Charlotte

Housing Code Enforcement Section Legal Notices

In the following case we have held or will have a hearing, deter‑ mined that the dwelling located on the property is deteriorated and issued an order requiring the owner(s) to repair the dwelling by the date indicated. Failure to repair by the date indicated may result in penalties against the owner(s). For more information concerning a case, contact the inspector for that case: Interested parties: Edward M. Torrence, Known and Unknown Heirs of Edward M. Torrence, Bernie G. Torrence A/K/A Bernice G. Torrence, Known and Unknown Heirs of Bernie G. Torrence A/K/A Bernice G. Torrence Case Number: 20210033194 Property: 1717 Beatties Ford Rd Charlotte, NC 28216 Repair by: October 3, 2021 Inspector: Kenyon Haye, 704‑432‑2438 Submitted by Marty Taylor, South Service Area Supervisor and Designated Agent. 12033981 9/14

The City of Charlotte

Housing Code Enforcement Section Legal Notices

the property is deteriorated and issued an order requiring the owner(s) to repair the dwelling by the date indicated. Failure to repair by the date indicated may result in penalties against the owner(s). For more information concerning a case, contact the inspector for that case: Interested parties: LATIGO 5102 LLC Case Number: 20210035659 Property: 2633 Westhampton Dr, Charlotte, NC 28208 Repair by: October 8, 2021 Inspector: Madeline Rodriguez, 704‑336‑5429 Submitted by: Jessica Freeze, West Service Area Supervisor and Designated Agent. 12034714 9/14

The City of Charlotte Housing Code Enforcement Section Legal Notices

In the following case we have held or will have a hearing, deter‑ mined that the dwelling located on the property is deteriorated and issued an order requiring the owner(s) to repair the dwelling by the date indicated. Failure to repair by the date indicated may result in penalties against the owner(s). For more information concerning a case, contact the inspector for that case: Interested parties: Esther Onyoni and Kaunda Matoke Case Number: 20210028683 Property: 323 Lakewood Av #2, Charlotte, NC 28208 Repair by: October 8, 2021 Inspector: Madeline Rodriguez, 704‑336‑5429 Submitted by: Jessica Freeze, West Service Area Supervisor and Designated Agent. 12034720 9/14

The City of Charlotte Housing Code Enforcement Section Legal Notices

In the following case we have held or will have a hearing, deter‑ mined that the dwelling located on the property is deteriorated and issued an order requiring the owner(s) to demolish the dwelling by the date indicated. This is to serve notice that Lis Pendens for a Complaint & Notice of Hearing and Findings of Fact and Order has been filed with the Clerk of Court. For more information concerning a case, contact the inspector for that case. Interested Parties: The Trustees of the Primitive Baptist Church Case Number: 20210008109 Property: 344 Nance Rd, Charlotte, NC 28214 Lis Pendens Filed: Complaint & Notice of Hearing: June 2, 2021, Findings of Fact & Order to Demolish: June 2, 2021 Inspector: Andrew Burgesser, 704‑336‑5243 Submitted by: Jessica Freeze, West Service Area Supervisor and Designated Agent. 12034860 9/14

The City of Charlotte Housing Code Enforcement Section Legal Notices

In the following case we have held or will have a hearing, deter‑ mined that the dwelling located on the property is deteriorated and issued an order requiring the owner(s) to demolish the dwelling by the date indicated. This is to serve notice that Lis Pendens for a Complaint & Notice of Hearing and Findings of Fact and Order has been filed with the Clerk of Court. For more information concerning a case, contact the inspector for that case. Interested Parties: Known & Unknown Heirs of Samuel J. White Case Number: 20210002238 Property: 3803 Sharyn Dr, Charlotte, NC 28214 Lis Pendens Filed: Complaint & Notice of Hearing: August 19, 2021 Findings of Fact & Order to Demolish: August 19, 2021 Inspector: Madeline Rodriguez, 704‑336‑5429 Submitted by: Jessica Freeze, West Service Area Supervisor and Designated Agent. 12034740 9/14

The City of Charlotte Housing Code Enforcement Section Legal Notices

In the following case we have held or will have a hearing, deter‑ mined that the dwelling located on the property is deteriorated and issued an order requiring the owner(s) to repair the dwelling by the date indicated. Failure to repair by the date indicated may result in penalties against the owner(s). For more information concerning a case, contact the inspector for that case: Interested parties: Samson JRH Properites LLC Case Number: 20210035158 Property: 3914 Barlowe Rd, Char‑ lotte, NC 28208 Repair by: October 4, 2021 Inspector: Madeline Rodriguez, 704‑336‑5429 Submitted by: Jessica Freeze, West Service Area Supervisor and Designated Agent. 12033750 9/14

The City of Charlotte Housing Code Enforcement Section Legal Notices

In the following case we have held or will have a hearing, deter‑ mined that the dwelling located on the property is deteriorated and issued an order requiring the owner(s) to repair the dwelling by the date indicated. Failure to repair by the date indicated may result in penalties against the owner(s). For more information concerning a case, contact the inspector for that case: Interested parties: Camp Greene Properties LLC Case Number: 20210035664 Property: 4007 Rutgers Ave, Char‑ lotte, NC 28206 Repair by: October 4, 2021 Inspector: Alex Gregory, 704‑336‑7986 Submitted by: Mark Fowler, West Service Area Supervisor and Designated Agent. 12033746 9/14

The City of Charlotte Housing Code Enforcement Section Legal Notices

We will hold a hearing upon the Housing Code complaint regarding the property listed below. We will hold the hearing at East Service Area, 3505 Central Ave, Charlotte, NC, at the time indicated, for the purpose of determining whether the property contains the Code violations that the inspector has determined to exist. For additional information concerning the case, contact the inspector for that case. Interested parties: Jo Ann Foster Case Number: 20210028301 Property: 5822 Craftbury Dr, Char‑ lotte, NC 28215 Hearing Date: October 13, 2021 @ 10:45 a.m. Inspector: Brooke Humphrey, 704‑353‑1889 Submitted by: Jerry Green, East Service Area Supervisor and Designated Agent. 12034507 9/14

The City of Charlotte Housing Code Enforcement Section Legal Notices

We will hold a hearing upon the Housing Code complaint regarding the property listed below. We will hold the hearing at South Service Area, 11217 Providence Rd West, Charlotte, NC at the time indicated, for the purpose of determining whether the property contains the Code violations that the inspector has determined to exist. For addi‑ tional information concerning the case, contact the inspector for that case. Interested parties: CG AT MALLARD CREEK c/o COLONIAL REALTY LP; MID‑AMERICA APARTMENTS LP c/o SCHINDLER 121101 Case Number: 20210042705 Property: 6917 Shannopin Dr # 1217 Charlotte, NC 28270 Hearing Date: October 7, 2021 @ 8:15 a.m. Inspector: John Barrett, 704‑353‑1882 Submitted by: Kim Sauer, South Service Area Supervisor and Designated Agent. 12034841 9/14

The City of Charlotte Housing Code Enforcement Section Legal Notices

We will hold a hearing upon the Housing Code complaint regarding the property listed below. We will hold the hearing at South Service Area, 11217 Providence Rd West, Charlotte, NC at the time indicated, for the purpose of determining whether the property contains the Code violations that the inspector has determined to exist. For addi‑ tional information concerning the case, contact the inspector for that case. Interested parties: STATION HILL LLC; c/o K.E. ANDREWS & CO. Case Number: 20210038173 Property: 7709 Cedar Creek Ln # 206, Charlotte, NC 28210 Hearing Date: October 13, 2021 @ 9:00 a.m. Inspector: Kerri Terry, 704‑336‑4972

Submitted by: Kim Sauer, South Service Area Supervisor and Designated Agent. 12034843 9/14

The City of Charlotte Housing Code Enforcement Section Legal Notices

In the following case we have held or will have a hearing, deter‑ mined that the dwelling located on the property is deteriorated and issued an order requiring the owner(s) to repair the dwelling by the date indicated. Failure to repair by the date indicated may result in penalties against the owner(s). For more information concerning a case, contact the inspector for that case: Interested parties: RUNAWAY BAY PROPERTY HOLDINGS LLC; c/o STONECUTTER CAPITAL MANAGEMENT LLC Case Number: 20210033271 Property: 8312 Runaway Bay Dr # K, Charlotte, NC 28212 Repair By: October 4, 2021 Inspector: Kerri Terry, 704‑336‑4972 Submitted by: Kim Sauer, South Service Area Supervisor and Designated Agent. 12033744 9/14

The City of Charlotte Housing Code Enforcement Section Legal Notices

We will hold a hearing upon the Housing Code complaint regarding the property listed below. We will hold the hearing at East Service Area‑A, 3505 Central Avenue, Charlotte, NC, at the time indicated, for the purpose of determining whether the property contains the Code violations that the inspector has determined to exist. For additional information concerning the case, contact the inspector for that case. Interested parties: Jacinio Garcia & Norma I Garcia Case Number: 20210009387 Property: 8318 Hornwood CT, Charlotte, NC 28215 Hearing Date: October 13, 2021 @ 8:00 a.m. Inspector: Brandon Coes,704‑336‑3253 Submitted by: Justin Privette, East Service Area‑A Supervisor and Designated Agent. 12034703 9/14

The City of Charlotte Housing Code Enforcement Section Legal Notices

We will hold a hearing upon the Housing Code complaint regarding the property listed below. We will hold the hearing at South Service Area, 11217 Providence Rd West, Charlotte, NC 28277 at the time indicated, for the purpose of determining whether the property contains the Code violations that the inspector has determined to exist. For additional information concerning the case, contact the inspector for that case. Interested parties: BH Arrowood LLC, MM Arrowood LLC Case Number: 20210038157 Property: 8541 Lodge South Cr #6 Charlotte, NC 28217 Hearing Date: October 1, 2021 @ 9:00 AM Inspector: Kenyon Haye, 704‑432‑2438 Submitted by: Marty Taylor, South Service Area Supervisor and Designated Agent. 12033745 9/14

NOTICE OF PUBLIC HEARING

BOND ORDER AUTHORIZING

THE ISSUANCE OF NOT TO

EXCEED $150,000,000

GENERAL OBLIGATION

REFUNDING BONDS OF THE CITY OF CHARLOTTE, NORTH CAROLINA

WHEREAS, the City of Charlotte, North Carolina (the “City”) has previously issued its General Obligation Bond, Series 2019C (the “2019C Bond”);

WHEREAS, the City Council of the City (the “City Council”) deems it advisable to refund all of the outstanding principal amount of the 2019C Bond;

WHEREAS, an application has been filed with the Secretary of the Local Government Commission of North Carolina requesting Commission approval of the bonds hereinafter described as required by the Local Government Bond Act, and the Secretary of the Local Government Commission has notified the City Council that the application has been accepted for submission to the Local Government Commission.

NOW, THEREFORE, BE IT ORDERED by the City Council of the City of Charlotte, North Carolina, as follows:

Section 1.

The City Council deems it advisable to refund the 2019C Bond.

Section 2.

To raise the money required to pay the costs of refunding the 2019C Bond as set forth above, General Obligation Refunding Bonds of the City (the “Refunding Bonds”) are hereby authorized and shall be issued pursuant to the Local Government Bond Act of North Carolina. The maximum aggregate principal amount of such Refunding Bonds authorized by this bond order shall be and not exceed $150,000,000.

Section 3.

Taxes will be levied in an amount sufficient to pay the principal and interest of the Refunding Bonds.

Section 4.

A sworn statement of the City’s debt has been filed with the City Clerk and is open to public inspection.

Section 5.

This bond order shall take effect on its adoption.

The foregoing bond order has been introduced and a sworn statement of debt has been filed under the Local Government Bond Act showing the appraised value of the City of Charlotte, North Carolina to be $143,821,836,000 and the net debt thereof, including the proposed bonds, to be $2,216,070,000. The finance officer of the City has filed a state‑ ment estimating that the total amount of interest that will be paid on the bonds over the expected term of the bonds, if issued, is $57,514,548. The estimate is preliminary, is for general informa‑ tional purposes only, and may differ from the actual interest paid on the bonds. A tax will be levied to pay the principal of and interest on the bonds if they are issued. Anyone who wishes to be heard on the questions of the validity of the bond order and the advisability of issuing the bonds may appear at a public hearing or an adjournment thereof to be held at 5:00 p.m., or as soon thereafter as practicable, on September 27, 2021 at the Charlotte‑Mecklenburg Government Center, 600 East Fourth Street, Charlotte, North Carolina 28202, by such method, including in a virtual manner, necessary in response to the COVID‑19 pandemic. The meeting will be accessible via the Govern‑ ment Channel, the City’s Facebook page, or the City’s YouTube page. To speak at the public hearing, please call the City Clerk’s office at 704‑336‑2248 or sign up online at https://charlottenc.gov/CityClerk/ Pages/Speak.aspx. Alternatively, written comments of 350 words or less on the subject of the public hearing may be submitted to the City Clerk’s Office at cityclerk@charlottenc.gov, between publication of this notice and 24 hours prior to the scheduled time for the beginning of the public hearing. /s/ Stephanie C. Kelly City Clerk

City of Charlotte, North Carolina 12033749 9/14

NOTICE OF PUBLIC HEARING ON REQUEST FOR ANNEXATION

NORTHLAKE CENTRE

PARKWAY APARTMENTS AREA ANNEXATION

The public will take notice that, pursuant to N.C.G.S. § 143‑318.12 of the General Statutes of North Carolina, the City Council of the City of Charlotte has called a public hearing to be conducted virtually at 5:00 p.m., or as soon thereafter as practicable, on Monday, September 27, 2021 at the Charlotte‑Mecklenburg Government Center, 600 East Fourth Street; Charlotte, North Carolina 28202, by such method, including in a virtual manner, necessary in response to the COVID‑19 pandemic.

The meeting will be accessible v i a https://charlottenc.legistar.com/ Calendar.aspx. All interested parties are invited to present comments at the public hearing regarding the annexation. To speak at the public hearing, please call the City Clerk’s Office at 704‑336‑2248 or sign up

online at https://charlottenc. gov/CityClerk/Pages/ Speak.aspx. Participants who would like to participate virtually must contact the City Clerk’s Office by 9:00 a.m. on

the day of the meeting. Alterna‑ tively, comments of 350 words or less on the subject of the public hearing may be submitted to the City Clerk’s Office at cityclerk@charlottenc.gov, between publication of this notice and 24 hours prior to the scheduled time for the beginning of

the public hearing. Anyone requiring special accommodations when calling into the meeting and/or if you require information to be provided in an alternative format, please email char‑ lotteada@charlottenc.gov or call 704‑336‑5271.

LEGAL DESCRIPTION

LEGAL DESCRIPTION TAX PARCEL: 02510304 DEED BOOK: 35491 PAGES: 343 & 347 BEING ALL OF THAT CERTAIN PARCEL OF LAND LYING IN LONG CREEK TOWNSHIP, MECKLENBURG COUNTY, NORTH CAROLINA AND MORE PARTICULARLY DESCRIBED AS FOLLOWS: COMMENCING AT A FOUND #4 REBAR ON THE RIGHT‑OF‑WAY OF NORTHLAKE CENTRE PARKWAY, HAVING A NC NAD 83/2011 GRID COORDINATE OF: NORTHING: 589,931.73 FEET, EASTING: 1,447,216.60 FEET AND AVERAGE COMBINED FACTOR OF: 0.999842833; THENCE SOUTH 41‑23‑33 EAST, 86.88 FEET TO A FOUND #4 REBAR ON THE SOUTHERN RIGHT‑OF‑WAY OF NORTHLAKE CENTRE PARKWAY AND ON THE COMMON LINE OF METROLINA PROPERTIES PARTNERSHIP, LLC PROPERTY (DEED BOOK: 5809, PAGE: 855), SAID REBAR BEING THE POINT OF BEGINNING, THENCE WITH THE METROLINA PROPERTIES PARTNERSHIP, LLC PROPERTY AND A NEW CITY LIMIT LINE SOUTH 41‑23‑33 EAST, 168.85 FEET TO A FOUND 1 INCH PIPE; THENCE CONTINUING WITH THE METROLINA PROPERTIES PARTNERSHIP, LLC PROPERTY AND A NEW CITY LIMIT LINE SOUTH 20‑28‑44 EAST, 139.59 FEET TO A FOUND #5 REBAR, SAID REBAR BEING A COMMON CORNER WITH THE FCD‑REAMS ROAD LIMITED PARTNERSHIP PROPERTY (DEED BOOK: 10990, PAGE: 932 & PORTION OF TRACT 5, MAP BOOK: 10, PAGE: 17); THENCE WITH THE COMMON LINE OF THE FCD‑REAMS ROAD LIMITED PARTNERSHIP PROPERTY AND A NEW CITY LIMIT LINE SOUTH 49‑20‑03 WEST, 622.94 FEET TO A COMPUTED POINT; THENCE WITH THE COMMON LINE OF THE MECKLENBURG COUNTY PROPERTY (DEED BOOK: 20054, PAGE: 289 & LOT 1, MAP BOOK: 41, PAGE: 766), TM NORTHLAKE MALL LIMITED PARTNERSHIP PROPERTY (DEED BOOK: 29517, PAGE: 261 & LOT 1, MAP BOOK: 41, PAGE: 766) AND THE EXISTING CITY LIMIT LINE SOUTH 49‑20‑03 WEST, 433.92 FEET TO A COMPUTED POINT ON THE EASTERN RIGHT‑OF‑WAY OF NORTHLAKE CENTRE PARKWAY; THENCE CONTINUING WITH SAID RIGHT‑OF‑WAY AND THE EXISTING CITY LIMIT LINE SOUTH 49‑20‑03 WEST, 3.47 FEET TO A SET #5 REBAR ON THE EASTERN RIGHT‑OF‑WAY OF NORTHLAKE CENTRE PARKWAY; THENCE WITH SAID RIGHT‑OF‑WAY AND THE EXISTING CITY LIMIT LINE THE NEXT SEVEN (7) COURSES AND DISTANCES: 1) ON A CURVE TO THE RIGHT HAVING AN RADIUS OF 633.61 FEET AND ARC DISTANCE OF 255.80 FEET (CHORD BEARING & DISTANCE: NORTH 01‑42‑18 EAST, 254.07 FEET) TO A FOUND #4 REBAR; 2) CONTINUING ON A CURVE TO THE RIGHT HAVING AN RADIUS OF 633.61 FEET AND ARC DISTANCE OF 60.25 FEET (CHORD BEARING & DISTANCE: NORTH 15‑59‑43 EAST, 60.23 FEET) TO A FOUND #4 REBAR; 3) CONTINUING ON A CURVE TO THE RIGHT HAVING AN RADIUS OF 633.61 FEET AND ARC DISTANCE OF 30.17 FEET (CHORD BEARING & DISTANCE: NORTH 20‑05‑01 EAST, 30.17 FEET) TO A FOUND #4 REBAR; 4) CONITUNING ON A CURVE TO THE RIGHT HAVING AN RADIUS OF 633.61 FEET AND ARC DISTANCE OF 30.17 FEET (CHORD BEARING & DISTANCE: NORTH 22‑48‑43 EAST, 30.17 FEET) TO A FOUND #4 REBAR; 5) CONTINUING ON A CURVE TO THE RIGHT HAVING AN RADIUS OF 633.61 FEET AND ARC DISTANCE OF 150.41 FEET (CHORD BEARING & DISTANCE: NORTH 30‑58‑36 EAST, 150.05 FEET) TO A FOUND #4 REBAR; 6) NORTH 40‑32‑30 EAST, 23.36 FEET TO A FOUND #4 REBAR; 7) NORTH 49‑20‑02 EAST, A TOTAL DISTANCE OF 665.99 FEET (PASSING THRU A FOUND #4 REBAR AT 25.11 FEET) TO THE POINT OF BEGINNING. CONTAINING 6.526 ACRES MORE OR LESS. AS SHOWN ON AN UNRECORDED SURVEY PREPARED BY JIMMY N. FAIRES, GEOMATIC CONCEPTS, PLLC, DATED OCTOBER 19, 2020. Stephanie Kelly, CMC Charlotte City Clerk

12032953 9/14

Official Publication

UNCLAIMED PROPERTY

The Charlotte Mecklenburg Police Department has unclaimed property and unclaimed firearms. A list of these unclaimed items is available at our web site, CMPD.org, under “CMPD e‑POLICING RESOURCES”.

You may also call 704‑336‑2378 or email cmpdproperty@cmpd.org with any questions. Copies of these listings can be mailed by request. 12033979 9/14, 9/28

Tax Liens

RESOLUTION DECLARING INTENT TO ABANDON AND CLOSE THE ALLEYWAY BETWEEN 1825 AND 1831 ROZZELLES FERRY ROAD in the City of Charlotte, Mecklenburg County, North Carolina.

Whereas, Period Design Concepts, LLC has filed a petition to close the Alleyway between 1825 and 1835 Rozzelles Ferry Road in the City of Charlotte; and

Whereas, the Alleyway between 1825 and 1835 Rozzelles Ferry Road containing 1,396 square feet or 0.032 acres as shown in the map marked “Exhibit A” and are more particularly described by metes and bounds in the document marked “Exhibit B” all of which are available for inspection in the office of the City Clerk, CMGC, Charlotte, North Carolina; and

Whereas, the procedure for closing streets and alleys as outlined in North Carolina General Statutes, Section 160A‑299, requires that City Council first adopt a resolution declaring its intent to close the street and calling a public hearing on the question; said statute further requires that the resolution shall be published once a week for two successive weeks prior to the hearing, and a copy thereof be sent by registered or certified mail to all owners of property adjoining the street as shown on the county tax records, and a notice of the closing and public hearing shall be prominently posted in at least two places along said street or alley.

Now, therefore, be it resolved, by the City Council of the City of Charlotte, at its regularly scheduled session of August 23, 2021, that it intends to close the Alleyway between 1825 and 1835 Rozzelles Ferry Road and that said right‑of‑way (or portion thereof) is more particularly described on a map. The public will take notice that, pursuant 160A‑299 of the General Statutes of North Carolina, the City Council of the City of Charlotte has called a public hearing on Monday, the 27th day of September 2021, to be conducted at 5:00 p.m., or as soon thereafter as practicable, on the closure of the Alleyway between 1825 and 1835 Rozzelles Ferry Road at the Charlotte‑Mecklenburg Government Center, 600 East Fourth Street; Charlotte, North Carolina 28202, by such method, including in a virtual manner, necessary in response to the COVID‑19 pandemic. The meeting will be accessible via the Govern‑ ment Channel, the City’s Facebook page, or the City’s YouTube page. All interested parties are invited to present comments at the public hearing regarding the closure of the Alleyway between 1825 and 1835 Rozzelles Ferry Road. To speak at the public hearing, please call the City Clerk’s office (at 704‑336‑2248) or sign up online at https://charlottenc.gov/CityClerk/ Pages/Speak.aspx. Alternatively, comments of 350 words or less on the subject of the public hearing may be submitted to the City Clerk’s Office at cityclerk@charlottenc.gov, between publication of this notice and 24 hours prior to the scheduled time for the beginning of the public hearing.

The City Clerk is hereby directed to publish a copy of this resolution in the Mecklenburg Times once a week for two successive weeks preceding the date fixed here for such hearing as required by N.C.G.S. 160A‑299. 12032852 9/7, 9/14

NOTICE OF SERVICE BY

PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION FILE NO. 21 CvS 1070 NORTH CAROLINA

MECKLENBURG COUNTY Mecklenburg County, A Body Politic and Corporate vs. Cathy R. Johnson, Unknown Spouse of Cathy R. Johnson, Patty B. Johnson, Robert Clayton Johnson, Nicole Johnson, Lienholder, Donquel Johnson, Lienholder, The City of Charlotte, Lienholder, Citibank, N.A., Lienholder, a/k/a Citibank South Dakota NA, MP Cross Creek LLC, Lienholder, Karen Busman, Lienholder, Norma Westmoreland, Lienholder, Comprehensive Legal Solutions Inc., Lienholder, Stephen Borrelli, Lienholder, Shawn L. Moore, Lienholder, Blanco GMBH + COKG, Lienholder, Dogwood Trail of Mint Hill LLC, Lienholder, Griffin Masonry Inc., Lienholder, Outlook Flooring Inc., Lienholder, Ford Motor Credit Co. LLC, Lienholder, United States of America, Internal Revenue Service, Lienholder, The State of North Carolina, Lienholder, Insight Talent, Inc., Lienholder TO: Cathy R. Johnson, Unknown Spouse of Cathy R. Johnson, Patty B. Johnson, Robert Clayton Johnson, Nicole Johnson, Lienholder, Donquel Johnson, Lienholder, The City of Charlotte, Lienholder, Citibank, N.A., Lienholder, a/k/a Citibank South Dakota NA, MP Cross Creek LLC, Lienholder, Karen Busman, Lienholder, Norma Westmoreland, Lienholder, Comprehensive Legal Solutions Inc., Lienholder, Stephen Borrelli, Lienholder, Shawn L. Moore, Lienholder, Blanco GMBH + COKG, Lienholder, Dogwood Trail of Mint Hill LLC, Lienholder, Griffin Masonry Inc., Lienholder, Outlook Flooring Inc., Lienholder, Ford Motor Credit Co. LLC, Lienholder, United States of America, Internal Revenue Service, Lienholder, The State of North Carolina, Lienholder, Insight Talent, Inc., Lienholder

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:

Foreclosure sale to satisfy unpaid property taxes owing to Mecklenburg County on your interest in the property described as follows:

BEGINNING at an iron in the southeasterly line of ROCKWAY DRIVE the same being the south‑ west corner of Lot 1 in Block 4 of Shenandoah Park as shown on the map thereof recorded in Map Book 5, Page 171, in the Mecklenburg Public Registry; and from said iron, running thence N 33‑42 E 189.66 feet to an iron in the southerly edge of the right of way of Inde‑ pendence Boulevard; thence, in and along said edge of Independence Boulevard, in an easterly direction with the arc of a circular curve having a radius of 1005.0 for a distance of 62.59 feet to an iron; thence S 33‑42 W 172.05 feet to an old iron, the southeasterly corner of said Lot 1 in Block 4; thence N 56‑18 W 60.0 feet to the place of BEGINNING, all as shown on survey plat thereof dated January 7, 1960, by H.E. McCauley of General Surveyors Inc., reference to which is hereby made. The foregoing described land includes all of Lot 1 in Block 4 of the aforesaid map and all of the lands lying between the northerly line of said lot and the southerly edge of the Independence Boulevard right of way.

Subject to easements, restrictions and rights of way of record, and matters of survey.

Also being identified as Parcel ID# 15901616, Mecklenburg County Tax Office. Address: 2300 E Independence Blvd

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 October 25, 2021 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 September 1, 2021. Hunter Frederick Attorney for Plaintiff 600‑A Centrepark Drive Asheville, North Carolina 28805 (828) 252‑8010 12033754 9/14, 9/21, 9/28

NOTICE OF SERVICE BY

PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION FILE NO. 21 CvS 12944 NORTH CAROLINA

MECKLENBURG COUNTY Mecklenburg County, A Body Politic and Corporate vs. Carrie Moseley, Unknown Spouse of Carrie Moseley, Carol Ann Moore, Unknown Spouse of Carol Ann Moore, Unknown Heirs at Law of Carrie Moseley, Unknown Heirs at Law of Carol Ann Moore TO: Carrie Moseley, Unknown Spouse of Carrie Moseley, Carol Ann Moore, Unknown Spouse of Carol Ann Moore, Unknown Heirs at Law of Carrie Moseley, Unknown Heirs at Law of Carol Ann Moore

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:

Foreclosure sale to satisfy unpaid property taxes owing to Mecklenburg County on your interest in the property described as follows:

Being Lots 3, 4 and 5 in Block H of Rockwell Park as shown on map recorded in Map Book 6 at pages 943 and 945 in the Mecklenburg County Registry. Reference is hereby made to deed recorded in Book 1625 at page 112, in the Mecklenburg Registry. The foregoing property is conveyed subject to that certain restrictive covenant agreement recorded in Book 1712 at page 145, in said Registry.

Subject to easements, restrictions and rights of way of record, and matters of survey.

Also being identified as Parcel ID# 043‑011‑28, Mecklenburg County Tax Office.

Address: 5904 Carver Bv

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 October 18, 2021 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 August 30, 2021. Hunter Frederick Attorney for Plaintiff 600‑A Centrepark Drive Asheville, North Carolina 28805 (828) 252‑8010 12032878 9/7, 9/14, 9/21

NOTICE OF SERVICE BY

PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION FILE NO. 21 CvS 12945 NORTH CAROLINA

MECKLENBURG COUNTY Mecklenburg County, A Body Politic and Corporate vs. Unknown Heirs at Law of Emma Lester Sheilds, a/k/a Emma Lester Shields, Unknown Heirs at Law of Mary Cruse Holbrooks, a/k/a Mar Holbrooks TO: Unknown Heirs at Law of Emma Lester Sheilds, a/k/a Emma Lester Shields, Unknown Heirs at Law of Mary Cruse Holbrooks, a/k/a Mar Holbrooks

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:

Foreclosure sale to satisfy unpaid property taxes owing to Mecklenburg County on your interest in the property described as follows:

Lots 13 & 14, Block #10, as shown on the Map of Lincoln Heights, recorded in the office of the Register of Deeds of Mecklen‑ burg County, in the Book of Maps #3, Page 309.

Subject to easements, restrictions and rights of way of record, and matters of survey.

Also being identified as Parcel ID# 075‑024‑10, Mecklenburg County Tax Office.

Address: (075‑024‑10) Madrid Street

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 October 18, 2021 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 August 30, 2021. Hunter Frederick Attorney for Plaintiff 600‑A Centrepark Drive Asheville, North Carolina 28805 (828) 252‑8010 12032874 9/7, 9/14, 9/21

NOTICE OF SERVICE BY

PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION FILE NO. 21 CvS 13354 NORTH CAROLINA

MECKLENBURG COUNTY Mecklenburg County, A Body Politic and Corporate vs. Unknown Heirs at Law of Henry Gerome Smith, a/k/a Henry Jerome Smith, Lawrence D. Smith, a/k/a Lawrence Douglas Smith, Unknown Spouse of Lawrence D. Smith, Paul M. Smith, Unknown Spouse of Paul M. Smith, Michelle S. Quinn, a/k/a Lisa Michelle S. Quinn, a/k/a Michelle S. Quinn, Unknown Spouse of Michelle S. Quinn, Robin S. Adams, a/k/a Robin Camille Smith Adams, Unknown Spouse of Robin S. Adams, Jacob S. McIntosh, a/k/a Jacob Scott McIntosh, Unknown Spouse of Jacob S. McIntosh, Harold L. Kuchenbrod, Jr., Unknown Spouse of Harold L. Kuchenbrod, Jr., Brian K. Kuchenbrod, Unknown Spouse of Brian K. Kuchenbrod, City of Char‑ lotte, Lienholder, Unknown Heirs at Law of Lawrence D. Smith, a/k/a Lawrence Douglas Smith TO: Unknown Heirs at Law of Henry Gerome Smith, a/k/a Henry Jerome Smith, Lawrence D. Smith, a/k/a Lawrence Douglas Smith, Unknown Spouse of Lawrence D. Smith, Paul M. Smith, Unknown Spouse of Paul M. Smith, Michelle S. Quinn, a/k/a Lisa Michelle S. Quinn, a/k/a Michelle S. Quinn, Unknown Spouse of Michelle S. Quinn, Robin S. Adams, a/k/a Robin Camille Smith Adams, Unknown Spouse of Robin S. Adams, Jacob S. McIntosh, a/k/a Jacob Scott McIntosh, Unknown Spouse of Jacob S. McIntosh, Harold L. Kuchenbrod, Jr., Unknown Spouse of Harold L. Kuchenbrod, Jr., Brian K. Kuchenbrod, Unknown Spouse of Brian K. Kuchenbrod, City of Char‑ lotte, Lienholder, Unknown Heirs at Law of Lawrence D. Smith, a/k/a Lawrence Douglas Smith

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:

Foreclosure sale to satisfy unpaid property taxes owing to Mecklenburg County on your interest in the property described as follows:

BEING all of Lots 10 and 11 of Trexler Acres No. 2 Subdivision, Block “F”, as per plat thereof recorded in Map Book 5, Page 281, Mecklenburg County Registry, to which reference is made for a more perfect description.

Subject to easements, restrictions and rights of way of record, and matters of survey.

Also being identified as Parcel ID# 045 345 10, Mecklenburg County Tax Office.

Address: 3715 Oakwood 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 October 25, 2021 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 August 31, 2021. Hunter Frederick Attorney for Plaintiff 600‑A Centrepark Drive Asheville, North Carolina 28805 12033752 9/14, 9/21, 9/28 IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION FILE NO. 21 CvS 13355 NORTH CAROLINA

MECKLENBURG COUNTY Mecklenburg County, A Body Politic and Corporate vs. Unknown Heirs at Law of James L. Hampton, Richard C. McRorie,, Jr., City of Charlotte, Lienholder, Bank of America, N.A., Lienholder, a/k/a f/k/a Nationsbank, N.A. TO: Unknown Heirs at Law of James L. Hampton, Richard C. McRorie,, Jr., City of Charlotte, Lienholder, Bank of America, N.A., Lienholder, a/k/a f/k/a Nationsbank, N.A.

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:

Foreclosure sale to satisfy unpaid property taxes owing to Mecklenburg County on your interest in the property described as follows:

BEGINNING at an iron stake in the center of State Highway No. 27 where the most westerly margin of Lee Street intersects it and runs thence to and with the most westerly margin of Lee Street, S 31‑15 W to an iron stake which is 180 feet from the one in the center of said Highway; thence N 63‑45 W 160 feet to a stake; thence N 31‑15 E 180 feet to an iron stake in the center of Charlotte‑Mt. Holly Road (State Highway No. 27); thence with the center of said Road in an easterly direction, S 63‑45 E 160 feet to the BEGINNING.

Subject to easements, restrictions and rights of way of record, and matters of survey.

Also being identified as Parcel ID# 055‑031‑23, Mecklenburg County Tax Office.

Address: 8509 Mount Holly 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 October 25, 2021 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 August 31, 2021. Hunter Frederick Attorney for Plaintiff 600‑A Centrepark Drive Asheville, North Carolina 28805 12033743 9/14, 9/21, 9/28

NOTICE OF SERVICE BY

PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION FILE NO. 21 CvS 13356 NORTH CAROLINA

MECKLENBURG COUNTY Mecklenburg County, A Body Politic and Corporate vs. Unknown heirs at law of Ella Burton, Unknown heirs at law of Mary Burton, City of Charlotte, Lienholder TO: Unknown heirs at law of Ella Burton, Unknown heirs at law of Mary Burton, City of Charlotte, Lienholder

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:

Foreclosure sale to satisfy unpaid property taxes owing to Mecklenburg County on your interest in the property described as follows:

BEING all of Lot No 18, Mayfair Gardens Subdivision, Block B, as per plat thereof recorded in Map Book 3, Page 185, Mecklenburg County Registry, to which reference is made for a more perfect description.

Subject to easements, restrictions and rights of way of record, and matters of survey.

Also being identified as Parcel ID# 115 026 33, Mecklenburg County Tax Office.

Address: Mayfair Avenue

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 October 25, 2021 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 August 31, 2021. Hunter Frederick Attorney for Plaintiff 600‑A Centrepark Drive Asheville, North Carolina 28805 12033751 9/14, 9/21, 9/28

NOTICE OF SERVICE BY

PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION FILE NO. 21 CvS 13357 NORTH CAROLINA

MECKLENBURG COUNTY Mecklenburg County, A Body Politic and Corporate vs. Unknown Heirs at Law of Bernice Quist, Unknown Heirs at Law of Michael L. Stegall TO: Unknown Heirs at Law of Bernice Quist, Unknown Heirs at Law of Michael L. Stegall

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:

Foreclosure sale to satisfy unpaid property taxes owing to Mecklenburg County on your interest in the property described as follows:

BEING all of Lot 26, Block E of Reid Park Subdivision, as per plat thereof recorded in Map Book 5, Page 163, Mecklenburg County Registry, to which reference is made for a more perfect description.

Subject to easements, restrictions and rights of way of record, and matters of survey.

Also being identified as Parcel ID# 145‑185‑10, Mecklenburg County Tax Office.

Address: Reid Avenue

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 October 18, 2021 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 August 30, 2021. Hunter Frederick Attorney for Plaintiff 600‑A Centrepark Drive Asheville, North Carolina 28805 (828) 252‑8010 12032881 9/7, 9/14, 9/21

NOTICE OF SERVICE BY

PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION FILE NO. 21 CvS 13358 NORTH CAROLINA

MECKLENBURG COUNTY Mecklenburg County, A Body Politic and Corporate vs. Unknown heirs at law of Vivian E. Walbaum, City of Charlotte, Lienholder, Sally Sheppard, Unknown Spouse of Sally Sheppard, North Carolina Department of Health and Human Services, Division of Medical Assistance (Medicaid), Lienholder TO: Unknown heirs at law of Vivian E. Walbaum, City of Charlotte, Lienholder, Sally Sheppard, Unknown Spouse of Sally Sheppard, North Carolina Depart‑ ment of Health and Human Services, Division of Medical Assistance (Medicaid), Lienholder

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:

Foreclosure sale to satisfy unpaid property taxes owing to Mecklenburg County on your interest in the property described as follows:

BEING all of Lot No. 154, Virginia Manor Addition #3, as per plat thereof recorded in Map Book 12, Page 515, Mecklenburg County Registry, to which reference is made for a more perfect description.

Subject to easements, restrictions and rights of way of record, and matters of survey.

Also being identified as Parcel ID# 089 142 14, Mecklenburg County Tax Office.

Address: 1040 Rosada Drive

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 October 25, 2021 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 August 31, 2021. Hunter Frederick Attorney for Plaintiff 600‑A Centrepark Drive Asheville, North Carolina 28805 12032842 9/14, 9/21, 9/28

NOTICE OF SERVICE BY

PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION FILE NO. 21 CvS 13360 NORTH CAROLINA

MECKLENBURG COUNTY Mecklenburg County, A Body Politic and Corporate vs. Quail Hill Apartments, a limited partnership TO: Quail Hill Apartments, a limited partnership

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:

Foreclosure sale to satisfy unpaid property taxes owing to Mecklenburg County on your interest in the property described as follows:

BEGINNING at an iron which is located in the western line of Hiddenbrook Drive, the northwestern corner of the property conveyed to Bobby C. Sellers and wife by that certain deed recorded in Book 2561 at Page 36, Mecklen‑ burg County Public Registry, and proceeding thence with the line of the Sellers’ property (now or formerly) S. 40‑52‑50 W. 141.07 feet to an iron; thence N. 11‑55‑15 W. 341.44 feet to an iron; thence N. 89‑45‑40 E. 67.90 feet to an iron in the western line of Hiddenbrook Drive; thence in a southern or southeastern direction, and following the arc of a circular curve to the left of a radius of 352.41 feet, a distance of 252.04 feet with said line of Hiddenbrook Drive, to the point or place of BEGINNING.

Subject to easements, restrictions and rights of way of record, and matters of survey.

Also being identified as Parcel ID# 161 043 08, Mecklenburg County Tax Office.

Address: 4132 Hiddenbrook Drive

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 October 18, 2021 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 August 27, 2021. Hunter Frederick Attorney for Plaintiff 600‑A Centrepark Drive Asheville, North Carolina 28805 12032550 9/07, 9/14, 9/21

NOTICE OF SERVICE OF PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

DISTRICT COURT DIVISION 21CVD13280 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG MECKLENBURG COUNTY,

Plaintiff, vs.

Island Real Estate Holdings, LLC, a North Carolina limited liability company; Equity Trust Company, Custodian FBO Patricia Cummings Account #39277 (lien holder); Equity Trust Company, Custodian FBO Patricia Cummings Roth IRA Account #39279 (lien holder); Equity Trust Company, Custodian FBO Gary Cummings Roth IRA Account #39278 (lien holder); LKN Real Estate Solutions, LLC, a North Carolina limited liability 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: Island Real Estate Holdings, LLC, a North Carolina limited liability company; Equity Trust Company, Custodian FBO Patricia Cummings Account #39277 (lien holder); Equity Trust Company, Custodian FBO Patricia Cummings Roth IRA Account #39279 (lien holder); Equity Trust Company, Custodian FBO Gary Cummings Roth IRA Account #39278 (lien holder); LKN Real Estate Solutions, LLC, a North Carolina limited liability company (lien holder); City of Charlotte (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 above‑entitled 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 Lot 11 in Block D of SPATEX CORPORATION property as the same is shown on map thereof recorded in the Meck‑ lenburg County Public Registry in Map Book 6 at Page 218, to which reference is hereby made.

BEING the same property conveyed to Island Real Estate Holdings, LLC, a North Carolina limited liability company, by Deed recorded in Book 21039 at Page 1 in said Registry.

Designated as tax code number 063‑017‑01 and being commonly known as 101 Goff Street, Charlotte, NC 28208.

You are required to make defense to such pleading not later than October 18, 2021, and upon your failure to do so, the parties seeking service against you will apply to the Court for the relief sought.

This 27th day of August, 2021. /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) 377‑1634, Ext. 103, Fax (704)‑342‑3308 12031622 9/7, 9/14, 9/21

NOTICE OF SERVICE OF PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

DISTRICT COURT DIVISION 21CVD13281 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG MECKLENBURG COUNTY,

Plaintiff, vs.

T.R. Williams Builders, Inc., a

North Carolina corporation; 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: T.R. Williams Builders, Inc., a North Carolina corporation; 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 above‑entitled action. The nature of relief being sought is as follows: Foreclosure of the tax liens for the County of Mecklenburg for the years 2015 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 7 of THORNBLADE HILLS, Map 2, as the same is shown on map thereof recorded in Map Book 29 at Page 54 in the Mecklenburg County Public Registry.

BEING the same property conveyed to T.R. Williams Builders, Inc., by Deed recorded in Book 11321 at Page 315 in said Registry.

Designated as tax code number 227‑611‑57 and being commonly known as 2938 Patten Hill Drive, Matthews, NC 28105.

You are required to make defense to such pleading not later than October 18, 2021, and upon your failure to do so, the parties seeking service against you will apply to the Court for the relief sought.

This 27th day of August, 2021. /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) 377‑1634, Ext. 103, Fax (704)‑342‑3308 12031629 9/7, 9/14, 9/21

NOTICE OF SERVICE OF PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

DISTRICT COURT DIVISION 21CVD13640 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG MECKLENBURG COUNTY,

Plaintiff, vs.

837 & 901 Rhyne Road,

Charlotte, NC Trust; 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: 837 & 901 Rhyne Road, Char‑ lotte, NC Trust; 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 above‑entitled 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 of the property known as SADLER ACRES according to a survey by F.B. Rankin, L.S., made on September 13, 1946, and more particularly described as follows:

BEGINNING at a point in the centerline of the Thrift‑Mount Holly Road (now or formerly), said point being 190 feet distant in a north‑ westerly direction down the center‑ line of the Thrift‑Mount Holly Road from the southeast corner of Sadler Acres and the land of Irby McDonald (now or formerly), and running N. 59‑00 E. 200 feet to a stake; thence N. 31‑00 W. 50 feet to a stake; thence S. 59‑00 W. 200 feet to a point in the center of the Thrift‑Mount Holly Road; thence with the center of said road S. 31‑00 E. 50 feet to the point of BEGINNING, LESS AND EXCEPT that portion of said property conveyed to the North Carolina Department of Transpor‑ tation by instrument recorded in Book 10207 at Page 292 in the Mecklenburg County Public Registry.

BEING a portion of the same property conveyed to 837 & 901 Rhyne Road, Charlotte, NC Trust, by Deed recorded in Book 20296 at Page 302 in said Registry.

Designated as tax code number 055‑081‑07 and being commonly known as 837 Rhyne Road, NC 28214.

You are required to make defense to such pleading not later than October 18, 2021, and upon your failure to do so, the parties seeking service against you will apply to the Court for the relief sought.

This 30th day of August, 2021. /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) 377‑1634, Ext. 103, Fax (704)‑342‑3308 12032094 9/7, 9/14, 9/21

IN THE GENERAL COURT OF JUSTICE

DISTRICT COURT DIVISION 21CVD13641 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG MECKLENBURG COUNTY,

Plaintiff, vs.

John H. Small and Spouse, if

any; 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: John H. Small and Spouse, if any; 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 above‑entitled 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 1, 2, 3, 4 and 5 in a division of the LAND OF MRS. LILLIE MAE RHYNE SADLER according to a survey by F.B. Rankin, L.S., made on September 13, 1946, and more particularly described as follows:

BEGINNING at a point in the centerline of the Thrift‑Mount Holly Road (now or formerly) that is on the Irby McDonald property line and is the Southeast corner of the property of Lillie Mae Rhyne Sadler according to the above‑referenced survey, and running thence N. 32‑30 E. 220 feet with Irby McDonald’s line to a stake; thence N. 31‑00 W. 50 feet to a stake; thence S. 59‑00 W 200 feet to a point in the center of said Thrift‑Mount Holly Road; thence S. 31‑00 E. with the center of said road 140 feet to the point and place of BEGINNING, LESS AND EXCEPT those portions of said property conveyed to James A. Blackshear by instrument recorded in Book 2881 at Page 4 and to the North Carolina Department of Transportation by instrument recorded in Book 10289 at Page 243 in the Mecklenburg County Public Registry.

BEING a portion of the same property conveyed to Sam Small and wife, Mary Small, by Deed recorded in Book 1332 at Page 22 in said Registry. Upon information and belief, Sam Small pre‑deceased Mary Small, who died testate on March 13, 1988 (see Mecklenburg County Estate File No. 88‑E‑241), leaving her interest in the subject property to John H. Small.

Designated as tax code number 055‑081‑08 and being commonly known as 905 Rhyne Road, NC 28214.

You are required to make defense to such pleading not later than October 18, 2021, and upon your failure to do so, the parties seeking service against you will apply to the Court for the relief sought.

This 30th day of August, 2021. /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) 377‑1634, Ext. 103, Fax (704)‑342‑3308 12032100 9/7, 9/14, 9/21

NOTICE OF SERVICE OF PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

DISTRICT COURT DIVISION 21CVD14517 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG MECKLENBURG COUNTY,

Plaintiff, vs.

Donald Gill and Spouse, if any; Heirs of John Willie Hinton;

Edna Hinton and Spouse, if any; 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: Donald Gill and Spouse, if any; Heirs of John Willie Hinton; Edna Hinton and Spouse, if any; 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 above‑entitled 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 113, 114 and 115 of ELEANOR PARK as the same is shown on map thereof recorded in the Mecklenburg County Public Registry in Map Book 7 at Page 157.

BEING the same property conveyed to Willie May Brown, John Willie Hinton and Donald Gill by Deed recorded in Book 2930 at Page 372 in said Registry.

Designated as tax code number 055‑111‑22 and being commonly known as 9247 Eleanor Drive, NC 28214.

You are required to make defense to such pleading not later than October 25, 2021, and upon your failure to do so, the parties seeking service against you will apply to the Court for the relief sought.

This 9th day of September, 2021.

/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) 377‑1634, Ext. 103, Fax (704)‑342‑3308 12034824 9/14, 9/21, 9/28

NOTICE OF SERVICE OF PROCESS BY PUBLICATION

IN THE GENERAL COURT OF JUSTICE

DISTRICT COURT DIVISION 21CVD14518 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG MECKLENBURG COUNTY,

Plaintiff, vs.

Osprey Properties Group, LLC; Truist Bank, a North Carolina corporation (S/I/I to Branch Banking and Trust Company)

(lien holder); and any and all other interested persons, whether sane or insane, adult 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: Osprey Properties Group, LLC; Truist Bank, a North Carolina corporation (S/I/I to Branch Banking and Trust Company) (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 above‑entitled 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 Lots 18, 19 and 20 in Block 23 of DILWORTH as the same is shown on map thereof recorded in the Mecklenburg County Public Registry in Map Book 230 at Page 60, to which reference is hereby made. TOGETHER with the right to use and enjoyment of that certain 10 foot alleyway adjacent to the rear of the above‑described lots in common with all other owners in said block.

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