arrow left
arrow right
  • WELLS FARGO BANK NAvs.SALES, BROOKS et al. 3 document preview
  • WELLS FARGO BANK NAvs.SALES, BROOKS et al. 3 document preview
  • WELLS FARGO BANK NAvs.SALES, BROOKS et al. 3 document preview
  • WELLS FARGO BANK NAvs.SALES, BROOKS et al. 3 document preview
						
                                

Preview

Filing #60319261 E-Filed 08/11/2017 07:04:54 PM space above reserved for recording information IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT IN AND FOR ORANGE COUNTY, FLORIDA CIVIL ACTION Wells Fargo Bank, N.A. Case #: Plaintiff, “VS.- Brooks Sales; Unknown Spouse of Brooks Sales; Magnolia Park Estates Homeowners Association, 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). OTICE OF LIS PENDENS TO: ‘THE ABOVE NAMED DEFENDANT(S) AND ALL OTHERS WHOM IT MAY CONCERN: YOU ARE HEREBY NOTIFIED that suit was instituted by the above-named Plaintiff against the above-named Defendant(s), in the above styled cause, involving the following described property, situated, lying and being in Orange County, Florida, to-wit: LOT 34 MAGNOLIA PARK ESTATES, ACCORDING TO THE PLAT THEREOF AS RECORDED IN PLAT BOOK 67, PAGES 10 THROUGH 12, INCLUSIVE, OF THE PUBLIC RECORDS OF ORANGE COUNTY, FLORIDA. Relief sought as to such property is for foreclosure of mortgage held by Plaintiff against the premises and recorded in Official Records Book 09543, Page 0653 of the Public Records of Orange County, Florida. Yt ‘OU will, therefore, please govern yourselves accordingly. DATED: $li , 2017 *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: SFGBocaService@logs.com* SHAPIRO, FISHMAN & GACHE, LLP Attomeys for Plaintiff 2424 North Federal Highway, Ste 360 Boca Raton, Florida 33431 Telephone: (561) 998-6700 Ext. 6672 Fax: (561) 998-6707 For Email Service Only: SFGBocaService@logs.com For all other inquiries: kdulay@logs.com ARD J MCDONOUGH ( By: Kate Dulay, Esq. EDW FL BAR # 93249 FL Bar # 22506 may be Pursuant to the Fair Debt Collections Practices Act, you are advised that this office deemed a debt collector and any information obtained may be used for that purpose. 17-308809 FCO] WNI