(Published in The Norman Transcript February 3, 10, 17, 2017, 3t) IN THE DISTRICT COURT WITHIN AND FOR CLEVELAND COUNTY STATE OF OKLAHOMA GABRIELLE MCGARRAH and BRANDON MCGARRAH, Plaintiffs, v. M. MOHSEN DUROODCHI, THE SPOUSE OF M. MOHSEN DUROODCHI, IF ANY, (IF LIVING, AND IF DEAD, HIS UNKNOWN HEIRS, DEVISEES, PERSONAL REPRESENTATIVES, TRUSTEES AND ASSIGNS, IMMEDIATE AND REMOTE); AND TEALWOOD DOWNS-HOLLOW OAKS PROPERTY OWNERS ASSOC., OFFICERS OF TEALWOOD DOWNS - HOLLOW OAKS PROPERTY OWNERS ASSOC., (IF IN EXISTENCE, IF NOT IN EXISTENCE, ITS SUCCESSORS Defendants. Case No. CJ-2017-194 NOTICE BY PUBLICATION THE STATE OF OKLAHOMA TO: M. Mohsen Duroodchi, the Spouse of M. Mohsen Duroodchi, if any, (if living, and if dead, his unknown heirs, devisees, personal representatives, trustees and assigns, immediate and remote), and Tealwood Downs - Hollow Oaks Property Owners Association, its officers, (if in existence, and if not in existence, its successors) YOU, AND EACH OF YOU, are hereby notified that Gabrielle McGarrah and Brandon McGarrah has filed in the District Court of Cleveland County, State of Oklahoma, their Petition in the above-styled and numbered cause, alleging that she is the owner of the fee simple title and in possession of the following-described real property, to-wit: Lot 33 of Hollow Oaks Estates, SE/4 of Section 36, Township 10 North, Range 1 East, Cleveland County, Oklahoma. and further alleging that the above-named defendants claim an interest therein adverse to the title and possession of Plaintiffs which is junior and inferior to the title of Plaintiff, but casts a cloud thereon. YOU ARE FURTHER NOTIFIED that you must answer the Petition herein on or before the 4th day of April, 2017, or the allegations of said Petition will be taken as true, and judgment will be rendered in favor of Plaintiff, and against said Defendants, quieting title in Plaintiff, confirming the possession to Plaintiff and decreeing Plaintiff to be the fee simple owner of said premises, and enjoining said Defendants from asserting any right, title, lien, estate, encumbrance, assessment or interest in or to the real property above described, and further adjudging that Plaintiff is the legal owner of the title in fee simple in and to the said premises, free and clear of all right, title, lien, estate, encumbrance, claim, assessment or interest of said Defendants. WITNESS MY HAND AND SEAL of this Court this 31 day of January, 2017. Marilyn Williams, DISTRICT COURT CLERK CLEVELAND COUNTY, OKLAHOMA BY: S/ Carol Frazier Deputy (SEAL) Elizabeth Tennery, OBA #21380 LEGAL AID SERVICES OF OKLAHOMA, INC. Attorney for Plaintiff 2600 Van Buren Street, Suite 2606 Norman, Oklahoma 73072 (405) 360-6631
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