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EIGHTH JUDICIAL DISTRICT COURT COUNTY OF COLFAX STATE OF NEW MEXICO No. D-809-CV-2017-00170 MISTY RICHEY, Plaintiff, v. JASON VAN SWEDEN, FIRST NATIONAL BANK OF NEW MEXICO, ALL UNKNOWN CLAIMANTS OF INTEREST ADVERSE IN THE PREMISES TO THE CLAIMS OF THE PLAINTIFF, Defendants, and CHRISTY NORRIS, as Nominal Defendant only. NOTICE OF SUIT THE STATE OF NEW MEXICO TO: ANY AND ALL UNKNOWN CLAIMANTS OF INTEREST IN THE PREMISES ADVERSE TO PLAINTIFF. GREETINGS: You, and each of you, are hereby notified that suit has been filed and is now pending against you, and each of you, in the District Court of Colfax County, New Mexico, Misty Richey, is the Plaintiff and you are Defendants in Cause No. D-809-CV-2017-00170, that the general object in this lawsuit is to foreclose Plaintiff's AMENDED COMPLAINT FOR FORECLOSURE in the principal amount of $1,631,996.20, as of 05/10/2018, with interest accruing at 8.75% from said date and to establish her interest in and to foreclose Defendant Jason Van Sweden's interest, in the following described real estate to-wit: COMMENCING at point 674.8' south of corner common to Sections 1 and 2, Township Twenty-Nine (29) North, Range Twenty-Three (23) East, N.M.P.M and Sections Thirty-Five (35) and Thirty-Six (36) Township Thirty (30) North, Range Twenty-Three (23) East, N.M.P.M., a gray sandstone in pile of rock marked 1E5W with an iron pipe 1 inch O.D. and 3' long placed 2' in the ground; THENCE, West 400 feet; THENCE, N 54'15"W2200 feet; THENCE, N 8423'30" W 1,290 feet; THENCE, N 4214'20"w 325 feet; THENCE, N 8457'10"W 905 feet; THENCE, N 3141'E 2,036 feet; THENCE, East 29.33 chains, more or less, in section line between Sections Thirty-Five (35) and Thirty-Six (36), Township Thirty (30) North, Range Twenty-Three (23) East, N.M.P.M.; THENCE, South along section line 4,384 feet, more or less, to the point of beginning, containing 142.17 acres, more or less; Together with all fixtures and improvements located thereon and all water and water rights appurtenant thereto and together with all other appurtenant rights. The purpose of this action is also to extinguish any and all other claims of interest by each and all of the named Defendants in, to or against the above described real property, except interest of nominal Defendant Christy Norris, which shall not be foreclosed upon in this action. Please be further advised that unless you, and each of you, appear, answer or plead in said cause on or before February 8th, 2019, Plaintiff will take Judgment by Default against you for the relief prayed for in her Complaint for Foreclosure (Of Judgment Lien); and that DOERR & KNUDSON, P.A., 212 West First Street, Portales, NM 88130 are the attorneys for Plaintiff. WITNESS my hand and official seal this 9th day of January, 2019. Bernabe P. Struck CLERK OF THE DISTRICT COURT By: /s/ Jackie McKivergan DEPUTY COURT CLERK Respectfully Submitted By, DOERR & KNUDSON, P.A. By: "Electronically Filed" /s/ R. Knudson DOERR & KNUDSON, P.A. By: RANDY KNUDSON, ESQ. 212 West First Street Portales NM 88130 (575) 359-1289 Telephone (575) 359-1898 Facsimile E-mail: lawyers@yucca.net ATTORNEY FOR PLAINTIFF Journal: January 11, 18, 25, February 1, 2019 Left-red    Print Legal   Email-red   Published on: Fri January 11, 2019