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  • FIRST NIAGARA BANK NATIONAL ASSOCIATION vs JENNIFER TAYLOR document preview
  • FIRST NIAGARA BANK NATIONAL ASSOCIATION vs JENNIFER TAYLOR document preview
  • FIRST NIAGARA BANK NATIONAL ASSOCIATION vs JENNIFER TAYLOR document preview
  • FIRST NIAGARA BANK NATIONAL ASSOCIATION vs JENNIFER TAYLOR document preview
						
                                

Preview

Filing # 41721625 E-Filed 05/19/2016 12:19:25 PM IN THE CIRCUIT COURT OF THE FOURTH JUDICIAL CIRCUIT IN AND FOR DUVAL COUNTY, FLORIDA CIVIL DIVISION First Niagara Bank, National Association Case #: 2016-CA-002283 Plaintiff, -VS.- Jennifer C. Taylor; Kennith L. Taylor; Community Association of Deer Ridge, Inc.; Unknown Parties in Possession #1, If living, and all Unknown Parties claiming by, through, under and against the above named Defendant(s) who are not known to be dead or alive, whether said Unknown Parties may claim an interest as Spouse, Heirs, Devisees, Grantees, or Other Claimants; Unknown Parties in Possession #2, If living, and all Unknown Parties claiming by, through, under and against the above named Defendant(s) who are not known to be dead or alive, whether said Unknown Parties may claim an interest as Spouse, Heirs, Devisees, Grantees, or Other Claimants Defendant(s). NOTICE OF DROPPING PARTY Plaintiff, First Niagara Bank, National Association, hereby gives Notice of Dropping Party Defendants, Unknown Parties in Possession #1, If living, and all Unknown Parties claiming by, through, under and against the above named Defendant(s) who are not known to be dead or alive, whether said Unknown Parties may claim an interest as Spouse, Heirs, Devisees, Grantees, or Other Claimants and Unknown Parties in Possession #2, If living, and all Unknown Parties claiming by, through, under and FILED: DUVAL COUNTY, RONNIE FUSSELL, CLERK, 05/19/2016 04:24:13 PM against the above named Defendant(s) who are not known to be dead or alive, whether said Unknown Parties may claim an interest as Spouse, Heirs, Devisees, Grantees, or Other Claimants pursuant to Fla. R. Civ. P. 1. 250(b). CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnjéhed by U.S. Mail and/or email service if an email address is so listed below on this day of. 2016 to the following: Kennith L. Taylor, 8595 Beach Blvd., Jacksonville, FL 32216 Community Association of Deer Ridge, Inc., c/o Gerald Dake & Associates, Inc., R.A., 13617 Atlantic Boulevard, Jacksonville, FL 32225 cc: Kennith, L. Taylor, 1700 Mindanao Dr, Jacksonville, FL 32246 Jennifer C. Taylor, c/o Robert J. Slama, Esquire, support@robertjslamapa.com *Pursuant to Fla. R. Jud. Admin. 2.516(b)(1)(A), Plaintiff's counsel hereby designates its primary email address for the purposes of email service as: SFGTampaService@logs.com* SHAPIRO, FISHMAN & GACHE, LLP Attorneys for Plaintiff 4630 Woodland Corporate Blvd., Ste 100 Tampa, FL 33614 Telephone: (813) 880-8888 Fax: (813) 880-8800 For Email Servi Only: SFGTampaService@logs.com For all other i aul s: cgiacinto@logs.com By: _—Christoph jiacinto, Esq. FL Bar # 55866 Pursuant to the Fair Debt Collections Practices Act, you are advised that this office may be deemed a debt collector and any information obtained may be used for that purpose. 16-297534 FCO] PHH