Claremore Daily Progress

April 4, 2013

CV-2013-24

Staff Writer
Claremore Progress

CLAREMORE —  

Public Notice

PUBLISHED IN THE CLAREMORE DAILY PROGRESS, CLAREMORE, OKLAHOMA, MARCH 21, 28 & APRIL 4, 2013.

IN THE DISTRICT COURT

IN AND FOR

ROGERS COUNTY

STATE OF OKLAHOMA

ELLA MARIE DUNCAN now CHASTEEN, Plaintiff,

v.

REX ALLEN DUNCAN, RANDY DEWAYNE DUNCAN, ROGER BRUCE DUNCAN, VERONICA HENDRICKS, if living, or if deceased, the heirs, executors, administrators, devisees, trustees, assigns and successors, immediate and remote, both known and unknown, of such Defendants who are deceased; AND the heirs, executors, administrators, devisees, trustees, assigns and successors, immediate and remote, both known and unknown of RICHARD DUNCAN, deceased, Defendants.

Case No. CV-2013-24

NOTICE BY PUBLICATION

STATE OF OKLAHOMA TO:  Rex Allen Duncan, Randy Dewayne Duncan, Roger Bruce Duncan, Veronica Hendricks, if living, or if deceased, the heirs, executors, administrators, devisees, trustees, assigns and successors, immediate and remote, both known and unknown, of such Defendants who are deceased; AND the heirs, executors, administrators, devisees, trustees, assigns and successors, immediate and remote, both known and unknown, of Richard Duncan, deceased

GREETINGS:

YOU ARE HEREBY NOTIFIED that on the 19th day of March, 2013, Plaintiff filed her Petition in the District Court of Rogers County, Oklahoma, whereby she seeks to establish her ownership as against each and every Defendant and all parties claiming by, through and under them, in and to the following described real property situated in Rogers County, State of Oklahoma, to-wit:

The NW/4 of the NE/4 of SE/4 of Section 7, Township 22 North, Range 17 East of the I.B.&M., according to the U.S. Government Survey thereof.

YOU ARE FURTHER NOTIFIED that you must answer the Petition filed by the Plaintiff on or before the 3rd day of May, 2013, or said Petition will be taken as true and judgment rendered for the Plaintiff and against you quieting the title to said property as a matter of record and by prescription, and admitting that none of the Defendants own any interest in said property of any nature whatsoever and perpetually barring and enjoining said Defendants from ever asserting or attempting to assert any claim with reference to said property adverse to that of the Plaintiff.  You are hereby referred to the Petition in said case for further particulars.

Dated this 19th day of March, 2013.

s/ Cathy Edward,

Deputy

Kim Henry,

Court Clerk

James P. Tanner, OBA 8842

P.O. Box 1246

Claremore, OK 74018

918/341-9575

Attorney for Plaintiff