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  • CENTRA NCFL PROPERTIES LLC vs BAILEY, JAMES R et alCircuit Civil 3-C document preview
  • CENTRA NCFL PROPERTIES LLC vs BAILEY, JAMES R et alCircuit Civil 3-C document preview
  • CENTRA NCFL PROPERTIES LLC vs BAILEY, JAMES R et alCircuit Civil 3-C document preview
  • CENTRA NCFL PROPERTIES LLC vs BAILEY, JAMES R et alCircuit Civil 3-C document preview
						
                                

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Filing # 172370605 E-Filed 05/03/2023 03:21:35 PM Inst: 202340002795 Date: 06/28/21 023 Tim fe: AZ OPM. Page 1 of 2 B: 1505 P: 331, WM D. W; Madison, Count ‘ashington, Clerk of Court Deputy Clerk IN THE CIRCUIT COURT OF THE THIRD JUDICIAL CIRCUIT- IN AND FOR MADISON COUNTY, FLORIDA CIVIL DIVISION CENTRA NCFL PROPERTIES LLC caseno. 27 1--CA Plaintiff, vs. Division No. S&S SENIOR HOUSING OF MADISON, LLC; KENNETH MARK SIMONS ; JAMES R BAILEY; trp,On, VICTOR W MASON; UNITED STATES OF AMERICA DEPARTMENT OF TREASURY; STATE OF FLORIDA DEPARTMENT OF REVENUE ; STEVE os HALL CARPET & TILE; LLC; UNKNOWN TENANT Scone TRUE COPY 1 1; UNKNOWN TENANT 2; S & S SENIOR HOUSING WILLIAM Pee CUITCOURT = OF BURNSVILLE, LLC; S & S SENIOR HOUSING OF LOUISBURG, LLC = “Ei Defendants/ M, NOTICE OF LIS PENDENS TO. THE DEFENDANTS NAMED ABOVE AND ALL OTHERS TO WHOM IT MAY CONCERN: NOTICE IS HEREBY GIVEN that a suit has been instituted in the above Court by the above named Plaintiffs) and against you seeking to foreclose the Note and Mortgage encumbering the described property and the decreeing of a sale of the property under the direction of the Court in default of the payment of the amount found to be’ due the Plaintiff(s) under the Note and Mortgage, and for other, further and general relief set forth in the Complaint. The property involved is that certain parcel(s), lot(s) or unit(s) situate, lying and being in MADISON County, Florida, as set forth in the Mortgage recorded on May 25, 2022, in Official Records Book 1454, at Page 300 more particularly described as follows: A portion of the Southeast Quarter (SE 1/4) of the Southwest Quarter (SW 1/4) of Section 30, Township 2 North, Range 10 East, Madison County, Florida, being more particularly described as follows: Commence at the Northwest comer of the Southwest Quarter (SW 1/4) of the Southwest Quarter (SW 1/4) of said Section 30; thence South 89°35'54" East along the North line of the South half (S 1/2) of the Southwest Quarter (SW 1/4) of said Section 30 a distance of 1550.89 feet to a rebar marking the point of beginning of the following described parcel; thence continue South 89°35'54" Bast along said North line a distance of 380.82 feet to a rebar; thence South 01°39'22" West a distance of 265.32 feet to a rebar; thence South 81°06'05" East a distance of 202.02 feet to a rebar on the Westerly maintenance line of NE Delphinium Drive, as shown on the maintenance map for NE Delphinium Drive recorded in the Office of the Clerk of the Court for Madison County, Florida; thence along said Westerly maintenance line the following courses: Electronically Filed Madison Case # 2023000071CAAXMX 05/03/2023 03:21:35 PM South 30°58'13" West a distance of 29.17 feet to a rebar, thence South 29°30'41" West a distance of 73.57 feet to a rebar, thence South 30°07'50" West a distance of 216.21 feet to a rebar, thence South -32°44'16" West a distance of 116.09 feet to a rebar; thence leaving said westerly maintenance line North 89°35'54" West a distance of 48.71 feet to a rebar; thence North 18°05'19" West a distance of 238.03 feet to a rebar; thence North 66°25'14" West.a distance of 250.94 feet to a rebar, thence North 00°24'07" East a distance of 345.84 feet to the point of beginning. Containing 5.00 acres, more or less. Said Jands situate, lying and being in Madison County, Florida. Dated this Q day of Mw aan J 2023 By: wy Amy M. Kiser, Esq. Florida Bar No. 46196 GILBERT GARCIA GROUP, P.A. Attorney for Plaintiff 2313 W. Violet St. Tampa, Florida 33603 Telephone: (813) 443-5087 Pax: (813) 443-5089 emailservice@gilbertgrouplaw.com 980977.033594/BRG