Details for 116088 Summons PROBATE NOTICE TO CREDITORS NO: 18-4-00939-4 IN THE

Updated

116088 Summons PROBATE NOTICE TO CREDITORS NO: 18-4-00939-4 IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF PIERCE ANDREA C. FLINT and SARAH L. FLINT, Co-Trustees of The SARAH and THOMAS FLINT TRUST, Plaintiff, vs. L.F. VANDIVER and EVA VANDIVER, husband and wife, and their their successors and assigns; TERRY VANDIVER, an individual; Defendant VANDIVER heirs IV through X, individually and as to their respective marital communities; HAROLD G. GOODWIN and ELIZABETH S. GOODWIN, husband and wife, and their successors and assigns; Defendant Goodwin heirs XIII through XX, individually and as to their respective marital communities; NATHAN HENDERSON and BETTY I. HENDERSON, husband and wife, and their successors and assigns; Defendant HENDERSON heirs XXIII through XXX, individually and as to their respective marital communities; Defendants XXXI through XL, Defendants. THE STATE OF WASHINGTON TO: Nathan W. Henderson, Betty I. Henderson, Larry Henderson, Dale Henderson, Ilonka Henderson, and all their successors and assigns, being Defendant Henderson heirs XXIII through XXX; AND TO: L.F. Vandiver, Eve Vandiver, Terry Vandiver, and all their successors and assigns, being Defendant Vandiver heirs IV through X; AND TO: Defendants XXI through XL, being other possible interest holders. YOU ARE HEREBY summoned to appear, within sixty (60) days after the date of the first publication of this Summons, to-wit, within sixty days after the 8th day of October, 2020, and defend the above-entitled action in the above-entitled Court, and answer the Complaint of the Plaintiff, ANDREA C. FLINT and SARAH L. FLINT, Co-Trustees of THE SARAH AND THOMAS FLINT TRUST, and serve a copy of your Answer upon the undersigned attorney for Plaintiff, Todd J. Tuell, at his office below stated; and in case of your failure so to do, judgment will be rendered against you according to the demand of the Complaint, which has been filed with the Clerk of said court. The object of this cause of action is to quiet title to real property resulting from Defendant's vacation of the premises and the Plaintiff's sole payment of the outstanding mortgage balance due thereon, as well as payment of insurance and real estate taxes, and the failure of the Defendant to provide a properly prepared Quit Claim Deed conveying her interest to the Plaintiff. DATED this 10th day of October, 2020. TUELL & YOUNG, P.S. Attorneys for Plaintiff By /s/ Todd J. Tuell Todd J. Tuell, #19176 1457 S. Union Tacoma, WA 98405 (253) 759-0070 Published: The Reflector October 8, 15, 22 & 29, 2020 November 5 & 12, 2020

Categories

Welcome to the discussion.

Keep it Clean. Please avoid obscene, vulgar, lewd, racist or sexually-oriented language.
PLEASE TURN OFF YOUR CAPS LOCK.
Don't Threaten. Threats of harming another person will not be tolerated.
Be Truthful. Don't knowingly lie about anyone or anything.
Be Nice. No racism, sexism or any sort of -ism that is degrading to another person.
Be Proactive. Use the 'Report' link on each comment to let us know of abusive posts.
Share with Us. We'd love to hear eyewitness accounts, the history behind an article.