The Mecklenburg Times November 8, 2022

Page 18

18

Tuesday, November 8, 2022 Public Notice

as it relates to Tax Parcel No. 101­11C­99. You are required to make defense of such pleading not later than twelve months after the first date of publication of this Notice, and upon failure to do so, the Plaintiff, City of Charlotte, will apply to the Court for the relief sought. This the 2nd day of November, 2022. CITY OF CHARLOTTE Bert Concepciün, Sr. Asst. City Attorney, I 600 East 4th Street, 4th Floor, Suite 456 Charlotte, North Carolina 28202 james.concepcion@charlottenc. gov (704) 336­8158 (telephone) 12171241 11/8, 11/15, 11/22 NOTICE OF SERVICE OF PROCESS BY PUBLICATION IN COMPLIANCE WITH N.C.G.S. 1A‑1, Rule 4(j1) IN THE GENERAL COURT OF JUSTICE SUPERIOR COURT DIVISION 22­CVS­11812 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG CITY OF CHARLOTTE, Plaintiff, v. ZCM REAL ESTATE, LLC, HEIRS OF HILDA J. PACE, DONALD PACE, JOEL PACE, KIMBERLY PACE SMITH and CAMERON ZELL, Defendants. TO: JOEL PACE, KIMBERLY PACE SMITH and CAMERON ZELL TAKE NOTICE that a pleading seeking relief against you has been filed in the above­entitled condemnation action. The nature of the relief being sought is as follows: The determination of just compensation for the acquisition of property necessary for the Charlotte Cross Trail Tryon Street to Orr Road (Hidden Valley) and estimated to be approximately 14,516 square feet (0.333 acre) of greenway easement and 10,272 square feet (0.236 acre) of temporary construction easement and any additional property or interest as the City may determine necessary to complete the project as it relates to Tax Parcel No. 089­023­21. You are required to make defense of such pleading not later than 120 days after the first date of publication of this Notice, and upon failure to do so, the Plaintiff, City of Charlotte, will apply to the Court for the relief sought. This the 24th day of October, 2022. CITY OF CHARLOTTE Bert Concepciün Senior Assistant City Attorney I 600 East 4th Street, 4th Floor Charlotte, NC 28202 (704) 336­8158 (phone) 12168099 11/1, 11/8, 11/15 NOTICE OF SERVICE OF PROCESS BY PUBLICATION IN COMPLIANCE WITH N.C.G.S. 1A‑1, Rule 4(j1) IN THE GENERAL COURT OF JUSTICE SUPERIOR COURT DIVISION 22­CVS­2920 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG CITY OF CHARLOTTE, Plaintiff, v. ELIZABETH KATTER SIMONINI and husband, ALAN SIMONINI; FIRST BANK; and JEANNE ELIZ­ ABETH SIMONINI, Defendants. TO: ELIZABETH KATTER SIMONINI and ALAN SIMONINI TAKE NOTICE that a pleading seeking relief against you has been filed in the above­entitled condemnation action. The nature of the relief being sought is as follows:

The determination of just compensation for the acquisition of property necessary for the Upper Little Sugar Creek Trunk Sewer Atrium Segment Project and esti­ mated to be approximately 2,091 square feet (0.05 acre) of sanitary sewer easement and any additional property or interest as the City may determine necessary to complete the project as it relates to Tax Parcel No. 153­021­34. You are required to make defense of such pleading not later than twelve months after the first date of publication of this Notice, and upon failure to do so, the Plaintiff, City of Charlotte, will apply to the Court for the relief sought. This the 2nd day of November, 2022. CITY OF CHARLOTTE Bert Concepciün, Sr. Asst. City Attorney, I 600 East 4th Street, 4th Floor, Suite 456 Charlotte, North Carolina 28202 james.concepcion@charlottenc. gov (704) 336­8158 (telephone) 12171247 11/8, 11/15, 11/22 NOTICE OF SERVICE OF PROCESS BY PUBLICATION IN THE GENERAL COURT OF JUSTICE SUPERIOR COURT DIVISION 22­CVS­3613 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG LEROY CRAWFORD, Plaintiff, vs. MAURO MARTINEZ CONTRERAS, a/k/a MARTINEZ CONTRERAS MAURO, GEINER BARRANTES, And NATURAL VIEW LANDSCAPING, f/k/a NATURAL VIEW LANSCAPING, LLC, Defendants. TO: MAURO MARTINEZ CONTRERAS, a/k/a MARTINEZ CONTRERAS MAURO. Take notice that a pleading seeking relief against you has been filed in the above­entitled action. The nature of the relief being sought is as follows: Plaintiff is seeking a judgment for negligence in connection with the personal injuries Plaintiff sustained as a result of a motor vehicle acci­ dent which occurred on August 6, 2015, and was caused by the Defendant, MAURO MARTINEZ CONTRERAS, a/k/a MARTINEZ CONTRERAS MAURO. You are required to make defense to such pleading not later than December 17, 2022, which is 40 days from the first publication of this notice. Upon your failure to file a pleading by the above date, the party seeking service against you will apply to the Court for the relief sought. This the 7th day of November, 2022. /s/ Paul A. Tharp N.C. Bar No.: 34244 ARNOLD & SMITH, PLLC The Historic John Price Carr House 200 North McDowell Street Charlotte, North Carolina 28204 Telephone: 704.370.2828 Facsimile: 704.370.2202 E m a i l : Paul.Tharp@arnoldsmithlaw.com 12170860 11/8, 11/15, 11/22 NOTICE OF SERVICE OF PROCESS BY PUBLICATION State of North Carolina Mecklenburg County: In the General Court of Justice District Court Absolute Divorce to Kenneth Deaton Jr Take notice that a pleading seeking relief against you has been filed in the above­entitled Absolute Divorce. The nature of the relief being sought is as follows: Absolute Divorce. You are

{ The Mecklenburg Times } required to make a defense to such pleading not later than November 14, 2022 and upon your failure to do so the party seeking service against you will apply to the court for the relief sought. This, the 25th day of October 25, 2022. Sharon Deaton 1208 Pegram St Charlotte, NC 28205 12167074 10/25, 11/1, 11/8 NOTICE OF NOTICE OF FILING FOREIGN JUDGMENT IN THE COURT OF COMMON PLEAS SIXTEENTH JUDICIAL CIRCUIT CIVIL ACTION NO. 2022­CP­46­0686 STATE OF SOUTH CAROLINA COUNTY OF YORK DYKEMA, LLP, Plaintiff, v. BEAU MARKOLF a/k/a WILLIAM BUDELL MARKOLF a/k/a BILL MARKOLF and MAX MARKOLF a/k/a MAXWELL MARKOLF a/k/a MAXWELL FRANKLIN MARKOLF, Defendants. TO: MAX MARKOLF. YOU WILL PLEASE TAKE NOTICE that a Notice of Filing Foreign Judgment and Affidavit in the above­captioned action were filed by Plaintiff on March 3, 2022 in the York County Court of Common Pleas, York, South Carolina under Case Number 2022­CP­46­0686. October 6, 2022 Raleigh, North Carolina SMITH DEBNAM NARRON DRAKE SAINTSING & MYERS, LLP s/ Melissa Tulis Smith Melissa Tulis Smith, SC Bar No. 104464 PO Box 176010 Raleigh, NC 27619­6010 Telephone: 919­250­2000 mtulis@smithdebnamlaw.com Byron L. Saintsing, NC Bar No. 16035 PO Box 176010 Raleigh, NC 27619­6010 Telephone: 919­250­2000 bsaintsing@smithdebnamlaw.com ATTORNEYS FOR PLAINTIFF ORDER FOR PUBLICATION IN THE COURT OF COMMON PLEAS SIXTEENTH JUDICIAL CIRCUIT CIVIL ACTION NO. 2022­CP­46­0686 STATE OF SOUTH CAROLINA COUNTY OF YORK DYKEMA, LLP, Plaintiff, v. BEAU MARKOLF a/k/a WILLIAM BUDELL MARKOLF a/k/a BILL MARKOLF and MAX MARKOLF a/k/a MAXWELL MARKOLF a/k/a MAXWELL FRANKLIN MARKOLF, Defendants. Having read the Affidavit of Melissa Tulis Smith, attorney for the Plaintiff herein, and it appearing that this is an action for breach of contract and that Defendant MAX MARKOLF a/k/a MAXWELL MARKOLF a/k/a MAXWELL FRANKLIN MARKOLF, after due diligence, cannot be located. IT IS ORDERED that service in this matter be made on Defendant MAX MARKOLF a/k/a MAXWELL MARKOLF a/k/a MAXWELL FRANKLIN MARKOLF by publishing copies of the Notice of Notice of Filing Foreign Judgment and this Order for Publication in The Mecklenburg Times, a paper of general circulation in Mecklenburg County, North Carolina, once weekly for three (3) consecutive weeks and by forwarding a copy of the pleadings to said Defendant at the last known address. York County, South Carolina October 6, 2022 I SO MOVE: SMITH DEBNAM NARRON DRAKE SAINTSING & MYERS, LLP s/ Melissa Tulis Smith Melissa Tulis Smith, S.C. Bar No. 104464 Attorneys for Plaintiff

PO Box 176010 Raleigh, NC 27619 Telephone: (919)250­2000 12168424 11/1, 11/8, 11/15 NOTICE OF SERVICE OF PROCESS BY PUBLICATION STATE OF NORTH CAROLINA MECKLENBURG COUNTY In the General Court of Justice District Court Division 22CVD13701 JENNIFER M. LLAMAS, PLAINTIFF V. JESSIE R. LLAMAS, DEFENDANT TO: Jessie R. Llamas, Defendant Take notice that a pleading seeking relief against you has been filed in the above­entitled action. The nature of the relief being sought is as follows: Plaintiff is seeking judgment of absolute divorce. You are required to make defense to such pleading not later than December 18, 2022 which is 40 days from the first publication of this notice. Upon your failure to file a pleading by the above date, the party seeking service against you will apply to the court for the relief sought. This, the 8th day of November, 2022. Christina M. Collier The Collier Law Firm, P.C. 17505 W. Catawba Ave., Ste. 180 Cornelius, NC 28031 704­997­6211 12170554 11/8, 11/15, 11/22 NOTICE OF SERVICE BY PUBLICATION STATE OF NORTH CAROLINA MECKLENBURG COUNTY IN THE GENERAL COURT OF JUSTICE DISTRICT COURT DIVISION Shabria Mayne vs Leslie Hamil Mayne 22­CVD­12199 Attention Mr. Mayne, Take notice that a pleading seeking relief against you has been filed in the above­entitled action. The nature of the relief being sought is as follows: Divorce You are required to make defense to such pleading no later than December 7, 2022 , and upon your failure to do so the party seeking service against you will apply to the court for the relief sought. This the 27th day of October 2022. Christine L. Camacho Sussman Law Firm, PLLC 9916 Monroe Road Charlotte, NC 28270 Ph# (980) 598­8180 12169170 11/1, 11/8, 11/15 NOTICE OF SERVICE BY PUBLICATION IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF NORTH CAROLINA CHARLOTTE DIVISION Case No. 3:22­cv­00050­FDW­DSC NORTH AMERICAN SPECIALTY INSURANCE COMPANY, Plaintiff, v. JOHN M. CAVES, JR., Defendant. TO: John M. Caves, Jr. 1337 Brittle Creek Drive Matthews, NC 28105 John M. Caves, Jr. 5724 S. Rocky River Road Monroe, NC 28112 TAKE NOTICE THAT a pleading seeking relief against you has been filed in the above­entitled action. Plaintiff, North American Specialty Insurance Company (“NAS”) seeks relief for: (A) DAMAGES IN THE AMOUNT OF $6,996,301.31, PLUS PRE AND POST­JU­ DGMENT INTEREST AND NAS’S REASONABLE ATTORNEYS’ FEES AND COSTS, AS A RESULT OF YOUR BREACH OF THE GENERAL INDEMNITY

AGREEMENT IN NAS’S FAVOR THAT YOU EXECUTED AND HAD NOTARIZED ON JANUARY 16, 2018, AND (B) THAT YOU PROVIDE COLLATERAL SECURITY IN THE AMOUNT OF $6,996,301.31 AS REQUIRED UNDER THE GENERAL INDEMNITY AGREEMENT YOU ARE REQUIRED to make a defense to such pleading not later than forty (40) days after first publication of this Notice (said date being Tuesday, October 25, 2022), and upon your failure to do so the party seeking service against you will apply to the court for the relief sought. This the 20th day of October, 2022. WOMBLE BOND DICKINSON (US) LLP /s/ Patrick G. Spaugh Patrick G. Spaugh (N.C. State Bar No. 49532) One Wells Fargo Center, Suite 3500 301 South College Street Charlotte, North Carolina 28202­6037 Telephone: (704) 331­4962 Facsimile: (704) 343­4869 E m a i l : patrick.spaugh@wbd­us.com Counsel for Plaintiff North American Specialty Insurance Company 12167192 10/25, 11/1, 11/8 NOTICE OF SERVICE OF PROCESS BY PUBLICATION State of North Carolina Mecklenburg County In the District Court Carmen Monserrate Zarco v. Victor Manuel Zarco Gutierrez; 22­CVD­15530 [Person to be served: Victor Manuel Zarco Gutierrez]: Take notice that a pleading seeking relief against you has been filed in the above­entitled action. The nature of the relief being sought is as follows: Complaint for Absolute Divorce and Request for Resumption of Maiden Name. You are required to make defense to such pleading not later than November 10, 2022 and upon your failure to do so the party seeking service against you will apply to the court for the relief sought. This the 13th day of October,2022. Carmen Monserrate Zarco, Plaintiff 7804 Rabbits Foot Lane Charlotte, N.C. 28217 12165235 10/25, 11/1, 11/8

Family SUMMONS DOCKET NO.: 2022­DR­29 IN THE FAMILY COURT SIXTH JUDICIAL CIRCUIT STATE OF SOUTH CAROLINA COUNTY OF LANCASTER Patti Diamond, Michael Diamond, And Tessa Ackerman, Plaintiffs, vs. Tara Sauchelli and Daniel Diamond, Defendants. IN THE INTEREST OF: A.H.D., DOB: 11/16/2019 TO THE NAMED DEFENDANTS ABOVE: YOU ARE HEREBY SUMMONED and notified that an action has been filed against you in this Court. Within thirty (30) days of the day you receive this Summons, you must respond in writing to this Complaint by filing and Answer with this Court. You must also serve a copy of your Answer to this Complaint upon the Plaintiff or the Plaintiff’s Attorney at the address shown below. If you fail to answer this Complaint, judg­

ment by default could be rendered against you for the relief requested in the Complaint. 6/10, 2022 Lancaster, South Carolina HYATT LAW, LLC /s/ Elizabeth A. Hyatt by: Elizabeth A. Hyatt 105 W. Dunlap Street Post Office Box 2252 Lancaster, SC 29721 (T) 803.286­4646 (F) 866­412­4835 ATTORNEY FOR THE PLAINTIFFS 12167199 11/1, 11/8, 11/15, 11/22 NOTICE OF SERVICE OF PROCESS BY PUBLICATION IN THE GENERAL COURT OF JUSTICE DISTRICT COURT DIVISION FILE NO.: 22CVD6109 STATE OF NORTH CAROLINA COUNTY OF MECKLENBURG, Sayda Josselyn Puerto Gonzales VS. John Doe: TAKE NOTICE that a pleading seeking relief against you has been filed on April 12, 2022, in the above­entitled action. The nature of the relief being sought is as follows: CHILD CUSTODY. You are required to make defense to such pleading not later than at least 40 days from the first publication of this notice; and upon your failure to do so, the parties seeking service against you will apply to the Court for the relief sought. P. Scott Harvey, Esq. By: P. Scott Harvey Attorney for Sayda Josselyn Puerto Gonzales 4801 E. Independence Blvd. Suite 605 Charlotte, NC 28212 State Bar Number 54349. 12165555 11/1, 11/8, 11/15 NOTICE OF SERVICE BY PUBLICATION STATE OF NORTH CAROLINA MECKLENBURG COUNTY IN THE GENERAL COURT OF JUSTICE SUPERIOR COURT DIVISION Ermelinda Herrera Sortano v. Administrator John Doe of Jacobo Deras Arita’s Estate 22­CVD­16615 Attention “JOHN DOE” Take notice that a pleading seeking relief against you has been filed in the above­entitled action. The nature of the relief being sought is as follows: Child Custody. You are required to make defense to such pleading no later than December 12, 2022 , and upon your failure to do so the party seeking service against you will apply to the court for the relief sought. This the 1st day of November 2022. Jessica V. Shaddock Sussman Law Firm, PLLC 9916 Monroe Road Charlotte, NC 28270 Ph# (980) 598­8180 12170903 11/8, 11/15, 11/22

Government

Hearings 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


Turn static files into dynamic content formats.

Create a flipbook
Issuu converts static files into: digital portfolios, online yearbooks, online catalogs, digital photo albums and more. Sign up and create your flipbook.
The Mecklenburg Times November 8, 2022 by SC Biz News - Issuu