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  • INEST THACKER VS. BYRON HALCROMB, ET AL. Other Real Property (not eminent domain, landlord/tenant, foreclosure) (General Jurisdiction) document preview
  • INEST THACKER VS. BYRON HALCROMB, ET AL. Other Real Property (not eminent domain, landlord/tenant, foreclosure) (General Jurisdiction) document preview
						
                                

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Electronically FILED by Superior Court of California, County of Los Angeles on 03/06/2020 09:57 AM Sherri R. Carter, Executive Officer/Clerk of Court, by R. Marquez,Deputy Clerk Paul Orloff (SBN 216791) ORLOFF & ASSOCIATES APC 8402 Florence Avenue Suite B 1 Downey, California 90240 Telephone (562) 869-3034 Facsimile (562) 869-3539 Attorney for Plaintiff INEST THACKER SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF LOS ANGELES — COMPTON COURTHOUSE 10 INEST THACKER, an individual, Case No. TC029189 11 Plaintiff; PLAINTIFF'S EX PARTE APPLICATION FOR 12 ORDER FOR PUBLICATION OF SUMMONS vs. OR IN THE ALTERNATIVE FOR AN ORDER 13 SHORTENING TIME BYRON LAMONT HALCROMB aka BYRON 14 HALCROMB, an individual; EARLE HYMAN Original Complaint filed: 6l22l18 DEFINED BENEFIT PENSION PLAN; entity type Assigned to: Hon. Maurice A. Leiter 15 unknown; MICHAEL BLAISE REYES; an Dept: A individual, CHARITY LAURA MOSTAFA; an 16 individual; UNITED WHOLESALE MORTGAGE, LLC, a Michigan Limited Liability Company; and DATE: March 9, 2020 17 DOES 1-20; and all persons unknown claiming legal or TIME: 8:30 AM equitable right, title, estate, lien, or interest in the real DEPT: A 18 property described in the Complaint adverse to Plainti(Fs title and interest, or any cloud upon (Memorandum of Points and Authorities; Declaration 19 Plaintiff s title or interest thereto, named herein as of Paul Or(off, and /Proposed) Orderfiled DOES 21-50 inclusive; contemporaneously herewith) 20 21 Defendant. 22 Application is hereby made for an order directing that summons or citation in this action be 23 served on the Defendants identified as "all persons unknown claiming legal or equitable right, title, 24 estate, lien, or interest in the real property described in the Complaint adverse to PlaintiiTs title and 25 interest, or any cloud upon Plaintiff s title or interest thereto, named herein as DOES 21-50 inclusive," 26 by publication of the summons or citation in The Bulletin, which is a newspaper of general circulation 27 in this state and is most likely to give defendant actual notice of the pendency of this action because 28 the defendant was last known to reside in this county. 1 PLAINTIFF'S EX PARTE APPLICATION FOR PUBLICATION OF SUMMONS & COMPLAINT