Claremore Daily Progress

Legal Notices

October 16, 2013

CJ-2013-273

CLAREMORE —

Public Notice

PUBLISHED IN THE CLAREMORE DAILY PROGRESS, CLAREMORE, OKLAHOMA, OCTOBER 9, 16 & 23, 2013.

CJ-2013-273

NOTICE BY PUBLICATION

THE STATE OF OKLAHOMA TO: CHARLES W. BECK and AMANDA L. BECK, Husband and Wife

You are hereby notified that you have been sued in the District Court in and for Rogers County, Oklahoma, Case No. CJ-2013-273, wherein BOKF, N.A., a National Banking Association d/b/a Bank of Oklahoma, as Successor in Interest by Merger to Bank of Oklahoma, N.A. is Plaintiff, and you are Defendant and unless you answer the Petition of the Plaintiff filed against you on or before the 19th  day of November, 2013, the allegations of said Petition will be taken as true and judgment rendered against you accordingly as prayed for, and any interest you have in said property will be foreclosed, and the Court will be asked to hold that the Plaintiff is the owner of the note and mortgage therein described covering the following described real property situated in Rogers County, Oklahoma, to-wit:

 A part of the South 174 feet of the North 550 feet of the N/2 of the NE/4 of the SE/4 of Section 17, Township 21 North, Range 16 East of the I.B.&M., Rogers County, Oklahoma, according to the U.S. Government Survey thereof, further described as follows: Beginning at a point 376 feet South of the NW/4 corner of said N/2 of the NE/4 of the SE/4; thence South 174 feet; thence East parallel to the North line of said N/2 of NE/4 of SE/4 150 feet; thence North 174 feet; thence West parallel to the North line of said N/2 of NE/4 of SE/4 150 feet to the point of beginning.

Further, judgment is asked against the Defendants, Charles W. Beck and Amanda L. Beck, Husband and Wife, that there is due and owing under said note the sum of $127,734.37, together with interest thereon at the rate of 5.25% per annum from November 1, 2012, until paid, plus $487.34 escrow deficiency; plus a reasonable attorney's fee, plus advances for taxes and insurance during the pendency of this action, and for foreclosure of first mortgage on the above described property herein, cutting off any right, title, claim, lien, or demand they may be making in the above described real property, foreclosing their interest, and quieting title as to them, and all other proper relief.

WITNESS my hand on the 2nd  day of October, 2013.

Kim Henry, Court Clerk

Rogers County, Oklahoma

By s/ Cathi Edwards

Deputy

THE LAW OFFICES OF HEMRY, HEMRY

& McDONIEL, P.C. - Ken Hemry

P.O. Box 2207

Oklahoma City, Oklahoma 73101

(405) 235-3571; FAX: (405) 235-0944

Email: KenHemry@aol.com

Attorneys for Plaintiff

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