STATE OF SOUTH
CAROLINA IN THE
COURT OF COMMON
PLEAS COUNTY OF
AIKEN DOCKET NO.
2020-CP-02-01121,
Second Amended
Complaint, Second
Amended Summons,
Second Amended
Lis Pendens,
Notice of Hearing, Karen Lou Edmonds vs. The Estate of Norma Jean Storey, The Estate of Donald Alexander Storey, The Estate of Linda Marie Ciancio, The Estate of Robert Dale Goss, The Estate of Deborah White, Joshua White, Josiah White, Abigail White, James Matthew Goss, Stephanie Lynn Henderson, Tami Jo Wildrick, Robert Brandon Goss, Donald Alexander Storey, and Richard Roe and Jane Doe a fictitious name constituting and representing all unknown heirs-at-law, legatees, devisees, grantees, assignees and lien creditors not named above, a fictitious name constituting and representing all unknown parties who may be minors or suffering under any legal disability or person in Armed Services of the United States and all other persons unknown claiming any right, title, interest or estate in or lien upon the real estate described in the Complaint herein or persons claiming interest in properties identified as TMS 163-00-08-005 and 163-00- 08-004. YOU ARE HEREBY SUMMONED and required to appear and defend by answering the Complaint in this action on property above designated of which a copy is herewith served upon you, and to serve a copy of your Answer on the subscribers at their office 319 Park Ave. SE Aiken, SC 29801, within thirty( 30) days after the service hereof, exclusive of the day of such service; and if you fail to do so, judgment may be rendered against you. PLEASE TAKE NOTICE that the Order appointing James D. Mosteller,III , whose address is 322 Laurens Street NW, Aiken, SC 29801 as Guardian ad Litem Nisi for all persons whomsoever herein collectively designated as John Doe and Jane Roe,, was filed in the Office of the Clerk of Court for Aiken County. YOU WILL FURTHER TAKE NOTICE that unless said Defendants, or someone in their behalf or in behalf of any of them, shall within ( 30) days after service of notice of this order upon them by publication, exclusive of the day of such service, procure to be appointed for them, or any of them, a Guardian ad Litem to represent them or any of them for the purposes of this action, the Plaintiff will apply for an order making the appointment of said Guardian ad Litem Nisi absolute. ATTORNEY FOR PLAINTIFFS Brad M. Owensby, Esq (803)648-5777
SUMMONS
STATE OF
SOUTH CAROLINA
COUNTY OF
RICHLAND
IN THE FAMILY
COURT, FIFTH
JUDICIAL CIRCUIT
2021-DR-40-3317 AARON BRANHAM vs. ASHLEY BOSWELL TO: THE DEFENDANT, ASHLEY BOSWELL You are hereby summoned and required to answer the Complaint in this action and to serve a copy of your Answer to this Complaint on Kathryn F. Free, attorney for the Plaintiff at 2512 Main Street Elgin, SC 29045 within thirty ( 30) days after the service hereof, exclusive of the day of such service; and if you fail to answer the Complaint within the time aforesaid, judgment by default will be rendered against you for the relief demanded in the Complaint.
SUMMONS AND
NOTICE OF
FILING OF
COMPLAINT AND
NOTICE OF
FORECLOSURE
INTERVENTION AND
CERTIFICATION OF
COMPLIANCE WITH
THE CORONAVIRUS
AID RELIEF AND
ECONOMIC
RECOVERY ACT
STATE OF
SOUTH CAROLINA
COUNTY OF
RICHLAND
IN THE COURT OF
COMMON PLEAS
(NON-JURY
MORTGAGE
FORECLOSURE) DEFICIENCY WAIVED
C/A#:2021–CP-40-05896 Fifth Third Bank, National Association as Successor by Merger to Fifth Third Mortgage Company, PLAINTIFF, vs. Charles Jermaine Jordan; The Summit Community Association, Inc., DEFENDANT(S) TO THE DEFENDANTS, ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint herein, a copy of which is herewith served upon you, or otherwise appear and defend, and to serve a copy of your Answer to said Complaint upon the subscriber at his office, Hutchens Law Firm LLP P. O. Box 8237, Columbia, SC 29202, within thirty ( 30) days after service hereof, except as to the United States of America, which shall have sixty (60) days, exclusive of the day of such service, and if you fail to answer the Complaint within the time aforesaid, or otherwise appear and defend, the Plaintiff in this action will apply to the Court for the relief demanded therein, and judgment by default will be rendered against you for the relief demanded in the Complaint. YOU WILL ALSO TAKE NOTICE that should you fail to Answer the foregoing Summons, the Plaintiff will move for an Order of Reference of this case to the Master in Equity for Richland County, which Order shall, pursuant to Rule 53 of the South Carolina Rules of Civil Procedure, specifically provide that the said Master in Equity is authorized and empowered to enter a final judgment in this case with appeal only to the South Carolina Court of Appeals pursuant to Rule 203(d)(1) of the SCACR, effective June 1, 1999. TO MINOR( S) OVER FOURTEEN YEARS OF AGE, AND/ OR TO MINOR( S) UNDER FOURTEEN YEARS OF AGE AND THE PERSON WITH WHOM THE MINOR( S) RESIDES, AND/ OR TO PERSONS UNDER SOME LEGAL DISABILITY: YOU ARE FURTHER SUMMONED AND NOTIFIED to apply for the appointment of a guardian ad litem within thirty (30) days after the service of this Summons and Notice upon you. If you fail to do so, application for such appointment will be made by the Plaintiff immediately and separately and such application will be deemed absolute and total in the absence of your application for such an appointment within thirty (30) days after the service of the Summons and Complaint upon you. YOU WILL ALSO TAKE NOTICE that should you fail to Answer the foregoing Summons, the Plaintiff will move for an Order of Reference of this case to the Master in Equity in/for this County, which Order shall, pursuant to Rule 53 of the South Carolina Rules of Civil Procedure, specifically provide that the said Master in Equity is authorized and empowered to enter a final judgment in this case with appeal only to the South Carolina Court of Appeals pursuant to Rule 203(d)(1) of the SCACR, effective June 1, 1999.
NOTICE OF FILING
OF SUMMONS AND
COMPLAINT TO THE DEFENDANTS ABOVE NAMED: YOU WILL PLEASE TAKE NOTICE that the foregoing Summons, along with the Complaint, was filed with the Clerk of Court for Richland County, South Carolina, on December 3, 2021.
NOTICE OF
FORECLOSURE
INTERVENTION PLEASE TAKE NOTICE THAT pursuant to the South Carolina Supreme Court Administrative Order 2011-05-02-01, you may have a right to Foreclosure Intervention. To be considered for any available Foreclosure Intervention, you may communicate with and otherwise deal with the Plaintiff through its law firm, Hutchens Law Firm LLP, P. O. Box 8237, Columbia, SC 29202 or call 803- 726- 2700. Hutchens Law Firm LLP represents the Plaintiff in this action and does not represent you. Under our ethical rules, we are prohibited from giving you any legal advice. You must submit any requests for Foreclosure Intervention consideration within 30 days from the date of this Notice. IF YOU FAIL, REFUSE, OR VOLUNTARILY ELECT NOT TO PARTICIPATE IN FORECLOSURE INTERVENTION, YOUR MORTGAGE COMPANY/ AGENT MAY PROCEED WITH A FORECLOSURE ACTION. If you have already pursued loss mitigation with the Plaintiff, this Notice does not guarantee the availability of loss mitigation options or further review of your qualifications.
CERTIFICATION OF
COMPLIANCE WITH
THE CORONAVIRUS
AID, RELIEF, AND
ECONOMIC
SECURITY ACT My name is: Ashley Z. Stanley I am (check one) the Plaintiff or an authorized agent of the Plaintiff in the foreclosure case described at the top of this page. I am capable of making this certification. The facts stated in the certification are within my personal knowledge and are true and correct.
1. Verification Pursuant to the South Carolina Supreme Court Administrative Orders 2020-04-30-02 and 2020- 05-06-01 and based upon the information provided by the Plaintiff and/or its authorized servicer as maintained in its case management/ database records, the undersigned makes the following certifications: Plaintiff is seeking to foreclose upon the following property commonly known as: 106 Hunters Pond Road, Columbia, SC 29229 Street Address & Unit No. (if any) City County State ZIP I verify that this property and specifically the mortgage loan subject to this action: [ ] is NOT a “Federally Backed Mortgage Loan” as defined by § 4022(a)(2) of the federal Coronavirus Aid, Relief, and Economic Security (“CARES”) Act. [X] is a “Federally Backed Mortgage Loan” as defined by § 4022(a)(2) of the federal Coronavirus Aid, Relief, and Economic Security (“CARES”) Act. Specifically, the foreclosure moratorium cited in Section 4022(c)(2) of the CARES Act has expired as of May 18, 2020, and the property and mortgage are not currently subject to a forbearance plan as solely defined in Sections 4022( b) and ( c) of the CARES Act. The subject property is vacant. I hereby certify that I have reviewed the loan servicing records and case management/ data base records of the Plaintiff or its authorized mortgage servicer, in either digital or printed form, and that this mortgage loan is not currently subject to a forbearance plan as solely defined in Sections 4022( b) and ( c) of the CARES Act. Pursuant thereto, I certify that the facts stated in this Certification are within my personal knowledge, excepting those matters based upon my information and belief as to the said loan servicing records and case management/ data base records of the Plaintiff or mortgage servicer, and to those matters I believe them to be true. See, Rule 11(c), SCRCP; BB&T of South Carolina v. Fleming, 360 S. C. 341, 601 S.E.2d 540 (2004).
2. Declaration: I certify that the foregoing statements made by me are true and correct. I am aware that if any of the foregoing statements made by me are willfully false, I am subject to punishment by contempt.
NOTICE TO APPOINT
ATTORNEY FOR
DEFENDANT(S) IN
MILITARY SERVICE TO UNKNOWN OR KNOWN DEFENDANTS THAT MAY BE IN THE MILITARY SERVICE OF THE UNITED STATES OF AMERICA ALL BEING A CLASS DESIGNATED AS RICHARD ROE: YOU ARE FURTHER SUMMONED AND NOTIFIED that Plaintiff’s attorney has applied for the appointment of an attorney to represent you. If you fail to apply for the appointment of an attorney to represent you within thirty (30) days after the service of this Summons and Notice upon you Plaintiff’s appointment will be made absolute with no further action from Plaintiff. THIS IS A COMMUNICATION FROM A DEBT COLLECTOR. THE PURPOSE OF THIS COMMUNICATION IS TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE, except as stated below in the instance of bankruptcy protection. IF YOU ARE UNDER THE PROTECTION OF THE BANKRUPTCY COURT OR HAVE BEEN DISCHARGED AS A RESULT OF A BANKRUPTCY PROCEEDING, THIS NOTICE IS GIVEN TO YOU PURSUANT TO STATUTORY REQUIREMENT AND FOR INFORMATIONAL PURPOSES AND IS NOT INTENDED AS AN ATTEMPT TO COLLECT A DEBT OR AS AN ACT TO COLLECT, ASSESS, OR RECOVER ALL OR ANY PORTION OF THE DEBT FROM YOU PERSONALLY. Hutchens Law Firm LLP
SUMMONS AND
NOTICE OF
FILING OF
COMPLAINT AND
NOTICE OF
FORECLOSURE
INTERVENTION AND
CERTIFICATION OF
COMPLIANCE WITH
THE CORONAVIRUS
AID RELIEF AND
ECONOMIC
RECOVERY ACT
STATE OF
SOUTH CAROLINA
COUNTY OF
RICHLAND
IN THE COURT OF
COMMON PLEAS
(NON-JURY
MORTGAGE
FORECLOSURE) DEFICIENCY WAIVED
C/A#: 2021-CP-40-06176 Guild Mortgage Company LLC, PLAINTIFF, vs. John Bernard Bell; Sageland Place Homeowners Association, Inc.; East Richland County Public Service District; South Carolina Department of Probation, Parole, and Pardon Services; Richland County Clerk of Court, DEFENDANT(S) TO THE DEFENDANTS, ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint herein, a copy of which is herewith served upon you, or otherwise appear and defend, and to serve a copy of your Answer to said Complaint upon the subscriber at his office, Hutchens Law Firm LLP, P. O. Box 8237, Columbia, SC 29202, within thirty ( 30) days after service hereof, except as to the United States of America, which shall have sixty (60) days, exclusive of the day of such service, and if you fail to answer the Complaint within the time aforesaid, or otherwise appear and defend, the Plaintiff in this action will apply to the Court for the relief demanded therein, and judgment by default will be rendered against you for the relief demanded in the Complaint. YOU WILL ALSO TAKE NOTICE that should you fail to Answer the foregoing Summons, the Plaintiff will move for an Order of Reference of this case to the Master-in-Equity/Special Referee for Richland County, which Order shall, pursuant to Rule 53 of the South Carolina Rules of Civil Procedure, specifically provide that the said Master-in-Equity/ Special Referee is authorized and empowered to enter a final judgment in this case with appeal only to the South Carolina Court of Appeals pursuant to Rule 203(d)(1) of the SCACR, effective June 1, 1999. TO MINOR( S) OVER FOURTEEN YEARS OF AGE, AND/ OR TO MINOR( S) UNDER FOURTEEN YEARS OF AGE AND THE PERSON WITH WHOM THE MINOR( S) RESIDES, AND/ OR TO PERSONS UNDER SOME LEGAL DISABILITY: YOU ARE FURTHER SUMMONED AND NOTIFIED to apply for the appointment of a guardian ad litem within thirty (30) days after the service of this Summons and Notice upon you. If you fail to do so, application for such appointment will be made by the Plaintiff immediately and separately and such application will be deemed absolute and total in the absence of your application for such an appointment within thirty (30) days after the service of the Summons and Complaint upon you. YOU WILL ALSO TAKE NOTICE that should you fail to Answer the foregoing Summons, the Plaintiff will move for an Order of Reference of this case to the Master-in-Equity/Special Referee in/ for this County, which Order shall, pursuant to Rule 53 of the South Carolina Rules of Civil Procedure, specifically provide that the said Master-in-Equity/ Special Referee is authorized and empowered to enter a final judgment in this case with appeal only to the South Carolina Court of Appeals pursuant to Rule 203(d)(1) of the SCACR, effective June 1, 1999.
NOTICE OF FILING
OF SUMMONS AND
COMPLAINT TO THE DEFENDANTS ABOVE NAMED: YOU WILL PLEASE TAKE NOTICE that the foregoing Summons, along with the Complaint, was filed with the Clerk of Court for Richland County, South Carolina, on December 22, 2021.
NOTICE OF
FORECLOSURE
INTERVENTION PLEASE TAKE NOTICE THAT pursuant to the South Carolina Supreme Court Administrative Order 2011-05-02-01, you may have a right to Foreclosure Intervention. To be considered for any available Foreclosure Intervention, you may communicate with and otherwise deal with the Plaintiff through its law firm, Hutchens Law Firm LLP, P. O. Box 8237, Columbia, SC 29202 or call ( 803) 726- 2700. Hutchens Law Firm LLP represents the Plaintiff in this action and does not represent you. Under our ethical rules, we are prohibited from giving you any legal advice. You must submit any requests for Foreclosure Intervention consideration within 30 days from the date of this Notice. IF YOU FAIL, REFUSE, OR VOLUNTARILY ELECT NOT TO PARTICIPATE IN FORECLOSURE INTERVENTION, YOUR MORTGAGE COMPANY/ AGENT MAY PROCEED WITH A FORECLOSURE ACTION. If you have already pursued loss mitigation with the Plaintiff, this Notice does not guarantee the availability of loss mitigation options or further review of your qualifications.
CERTIFICATION OF
COMPLIANCE WITH
THE CORONAVIRUS
AID, RELIEF, AND
ECONOMIC
SECURITY ACT My name is: Sarah O. Leonard I am (check one) the Plaintiff or an authorized agent of the Plaintiff in the foreclosure case described at the top of this page. I am capable of making this certification. The facts stated in the certification are within my personal knowledge and are true and correct.
1. Verification Pursuant to the South Carolina Supreme Court Administrative Orders 2020-04-30-02 and 2020- 05-06-01 and based upon the information provided by the Plaintiff and/or its authorized servicer as maintained in its case management/ database records, the undersigned makes the following certifications: Plaintiff is seeking to foreclose upon the following property commonly known as: 128 Sageland Place, Columbia, SC 29223 I verify that this property and specifically the mortgage loan subject to this action: [ ] is NOT a “Federally Backed Mortgage Loan” as defined by § 4022(a)(2) of the federal Coronavirus Aid, Relief, and Economic Security (“CARES”) Act. [X] is a “Federally Backed Mortgage Loan” as defined by § 4022(a)(2) of the federal Coronavirus Aid, Relief, and Economic Security (“CARES”) Act. Specifically, the foreclosure moratorium cited in Section 4022(c)(2) of the CARES Act has expired as of May 18, 2020, and the property and mortgage are not currently subject to a forbearance plan as solely defined in Sections 4022( b) and ( c) of the CARES Act. I hereby certify that I have reviewed the loan servicing records and case management/ data base records of the Plaintiff or its authorized mortgage servicer, in either digital or printed form, and that this mortgage loan is not currently subject to a forbearance plan as solely defined in Sections 4022( b) and ( c) of the CARES Act. Pursuant thereto, I certify that the facts stated in this Certification are within my personal knowledge, excepting those matters based upon my information and belief as to the said loan servicing records and case management/ data base records of the Plaintiff or mortgage servicer, and to those matters I believe them to be true. See, Rule 11(c), SCRCP; BB&T of South Carolina v. Fleming, 360 S. C. 341, 601 S.E.2d 540 (2004).
2. Declaration I certify that the foregoing statements made by me are true and correct. I am aware that if any of the foregoing statements made by me are willfully false, I am subject to punishment by contempt. THIS IS A COMMUNICATION FROM A DEBT COLLECTOR. THE PURPOSE OF THIS COMMUNICATION IS TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE, except as stated below in the instance of bankruptcy protection. IF YOU ARE UNDER THE PROTECTION OF THE BANKRUPTCY COURT OR HAVE BEEN DISCHARGED AS A RESULT OF A BANKRUPTCY PROCEEDING, THIS NOTICE IS GIVEN TO YOU PURSUANT TO STATUTORY REQUIREMENT AND FOR INFORMATIONAL PURPOSES AND IS NOT INTENDED AS AN ATTEMPT TO COLLECT A DEBT OR AS AN ACT TO COLLECT, ASSESS, OR RECOVER ALL OR ANY PORTION OF THE DEBT FROM YOU PERSONALLY. Hutchens Law Firm
STATE OF
SOUTH CAROLINA
IN THE FAMILY
COURT COUNTY
OF BEAUFORT
Case No.
2022-DR-07-0047 CHRISTOPHER M. KIMMEL Petitioner -v- PATRICK SHANNON POORE and AMBER CHIVON KIMMEL Respondent IN RE: Lindsy Wanda Kimmel, age 12 TO RESPONDENT PATRICK SHANNON POORE:
NOTICE OF PENDING
ADOPTION ACTION YOU WILL PLEASE TAKE NOTICE:
1. That an action for the adoption of Lindsy Wanda Kimmel has been initiated in the Beaufort County Family Court, P.O. Box 1124, Beaufort, South Carolina 29902-1124; and
2. Within thirty (30) days of receiving this notice you must respond in writing by filing with the Court in which the adoption is pending notice and reasons to contest, intervene or otherwise respond; and
3. The Court must be informed of your current address and of any changes in your address during the adoption proceeding; and
4. FAILURE TO FILE A RESPONSE WITHIN THIRTY (30) DAYS OF RECEIVING NOTICE CONSTITUTES CONSENT TO ADOPTION OF THE CHILD AND FORFEITURE OF ALL YOUR RIGHTS AND OBLIGATIONS WITH RESPECT TO THE CHILD.
SUMMONS YOU ARE HEREBY SUMMONED and notified that an action has been filed against you in this court. Thirty (30) days after the day you receive this Summons, you must respond in writing to the Petition for Adoption by filing an Answer to the Petition upon the petitioner or petitioner’s attorney at the address shown below. If you fail to answer the Petition, judgment by default could be rendered against you for the relief requested in the Petition for Adoption. Frederick M. Corley Attorneys for Petitioner 1214 King Street Beaufort, SC 29902 843-524-3232 1/18/22
NOTICE OF SERVICE
OF PROCESS BY
PUBLICATION
STATE OF
NORTH CAROLINA
In The District Court of Lee County
FILE NO. 21 CVD 476 IN THE MATTER OF: SEVERA SUE MORENO vs. RAUL SETH GARCIA TO: RAUL SETH GARCIA Take notice that a pleading seeking relief against you has been filed in the above entitled action. The Nature of the relief being sought is as follows: ABSOLUTE DIVORCE. You are required to make defense to such pleading not later than Monday, February 28, 2022 and upon your failure to do so the party seeking service against you will apply to the Court for the relief sought. This the 19th day of January, 2022. POST, FOUSHEE & PATTON, P.A. Kevin C. Foushee Attorney for Plaintiff Post Office Box 1320 Sanford, NC 27331-1320 (919) 775-5616
XXXXXXX
SUMMONS AND
NOTICE FOR
PUBLICATION
STATE OF
SOUTH CAROLINA
COUNTY OF
RICHLAND IN THE
FAMILY COURT
FIFTH JUDICIAL
CIRCUIT
Case No.
2021-DR-40-3138 South Carolina Department of Social Services, Plaintiff, vs. Jessica Blount Samuel Box Defendants. IN THE INTERESTS OF: Child 1 DOB:2017-08-22 Child 2 DOB:2016-07-15 Minors Under the Age of 18. TO DEFENDANTS: Jessica Blount, Samuel Box, YOU ARE HEREBY SUMMONED and required to answer the Complaint concerning the minor child above and that you have failed to contact the agency in regards to your whereabouts in this action, the original of which has been filed in the office of the Richland County Clerk of Court, October 14, 2021, a copy of which will be delivered to you upon request; and to serve a copy of your answer to said Complaint upon the undersigned attorney for the Plaintiff at her office at 2638 Two Notch Road Ste. 200, Columbia, SC 29204, within 30 days of service upon you, exclusive of the day of such service; and if you fail to answer said Complaint within the statutory time allotted, the Plaintiff in this action will apply to the Court for the relief demanded in said Complaint. S. C. DEPARTMENT OF SOCIAL SERVICES Kathryn Walsh, SC Bar #7002 Attorney for Plaintiff South Carolina Department of Social Services 630 Chesnee Hwy Spartanburg, SC 29303 (803)280-0383 Kathryn.walsh@dss.sc.gov December 31, 2021 Spartanburg, South Carolina
SUMMONS
STATE OF
SOUTH CAROLINA
COUNTY OF
RICHLAND IN THE
MAGISTRATE’S
COURT
CIVIL CASE NUMBER
2021CV4010501988 FOUNDERS FEDERAL CREDIT UNION PLAINTIFF vs. Tommy Suber Jr DEFENDANT(S). TO THE DEFENDANT Tommy Suber Jr : YOU ARE SUMMONED and required to answer the allegations of the attached complaint and present any appropriate counterclaims/crossclaims to the attached Complaint within 30 days from the first day after receipt of this summons. Your answer must be received by the Magistrate’s Court located at: Richland County – Columbia Magistrate, 3875 Lucius Road, Columbia, SC 29201 The Summons and Complaint in this action were filed on October 28,2021 in the RICHLAND Magistrate Court. If you fail to answer within the prescribed time, a judgment by default may be rendered against you for the amount or other remedy requested in the attached complaint, plus interest and costs. If you desire a jury trial, you must request one in writing at least five (5) working days prior to the date set for trial. If no jury trial is timely requested, the matter will be heard and decided by the Judge. Given under my hand, this 23rd day November 2021. JUDGE MICHAEL DAVID SCOTT DUTCH FORK DISTRICT / RICHLAND COUNTY
SUMMONS AND
NOTICE OF FILING
COMPLAINT AND
AMENDED
COMPLAINT
STATE OF
SOUTH CAROLINA
COUNTY OF
RICHLAND
IN THE COURT OF
COMMON PLEAS
C/A # 2021-CP-40-02025 South State Bank, N.A., Plaintiff, vs. Stanley Brazell a/ k/ a Stanley W. Brazell, Defendant. (190651-000843 EBR) TO THE DEFENDANT ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to appear and defend by answering the Amended Complaint in this action, of which a copy is herewith served upon you, and to serve a copy of your Answer on the subscribers at their office, 171 Church Street, Suite 120C, Charleston, SC 29401, or PO Box 22795, Charleston, SC 29413, within thirty (30) days after the service hereof, exclusive of the day of such service, except that the United States of America, if named, shall have sixty ( 60) days to answer after the service hereof, exclusive of the day of such service; and if you fail to do so, judgment by default will be rendered against you for the relief demanded in the Amended Complaint. YOU WILL ALSO TAKE NOTICE that Plaintiff will move for an order of reference or that the Court may issue a general order of reference of this action to a master in equity/ special referee, pursuant to Rule 53 of the South Carolina Rules of Civil Procedure, and that pursuant to S. C. Code Ann. § 14- 11- 110, as amended, Plaintiff’s attorney will submit written testimony on behalf of the Plaintiff at said reference hearing. NOTICE IS HEREBY GIVEN that the original Complaint in the aboveentitled action was filed in the office of the Clerk of Court for Richland County on April 29, 2021, and an Amended Complaint was filed in the office of the Clerk of Court for Richland County on November 23, 2021. Smith Debnam Narron Drake Saintsing & Myers, LLP., is a debt collector attempting to collect a debt, any information we obtain will be used for that purpose. It is our understanding that you are not currently in bankruptcy. If you are in bankruptcy, please disregard this summons in its entirety and have your attorney contact our office as soon as possible.
XXXXXXX
NOTICE OF
ADOPTION
STATE OF
SOUTH CAROLINA
COUNTY OF
CHARLESTON
IN THE FAMILY
COURT FOR THE
NINTH JUDICIAL
CIRCUIT
Case 2021-DR-10-3395 JOHN ROE AND MARY ROE, Plaintiffs, vs. BABY GIRL DOE (DOB: 11-10-21) an infant under the age of one (l) year Defendant. TO: “ SAM,” ALLEGED PUTATIVE FATHER OF BABY GIRL DOE: YOU ARE HEREBY NOTIFIED pursuant to the provisions of South Carolina Code Ann. Sec. 63- 9- 730 ( B), that the Plaintiffs, John Roe and Mary Roe, seek to adopt the Defendant, Baby Girl Doe, a female African- American child born on November 10, 2021 at Prisma Health Greenville Memorial Hospital, Greenville, South Carolina. YOU ARE FURTHER NOTIFIED that an adoption action is pending in the Family Court for Charleston County, South Carolina; YOU ARE FURTHER NOTIFIED that within thirty (30) days of receiving this Notice, you shall respond in writing by filing with the Family Court for Charleston County, South Carolina notice and reasons to contest, intervene or otherwise respond in the pending adoption action; YOU ARE FURTHER NOTIFIED the Court must be informed of your current address and of any changes in address during the adoption proceeding; and YOU ARE FURTHER NOTIFIED that the Plaintiffs in the above captioned Notice are not named for the purpose of confidentiality; however, the Court knows the true identity of the Plaintiffs and in responding to this Notice, you are required to use the number 2021-DR- 10-3395. YOU ARE FURTHER NOTIFIED that failure to file a response within thirty (30) days of receiving Notice constitutes consent to adoption of the child and forfeiture of all rights and obligations with respect to the child. BE SO NOTIFIED. EMILY M. BARRETT Attorney for Plaintiffs 44-B Markfield Drive Charleston, SC 29407 (843) 723 1688
NOTICE: A Summons and Complaint for Adoption were filed with the Family Court for the Ninth Judicial Circuit, 100 Broad Street, Charleston, South Carolina under Case No. 2021- DR- 10- 3395 on November 17, 2021. Charleston, South Carolina Dated: December 15, 2021
SUMMONS AND
NOTICE BY
PUBLICATION
STATE OF
SOUTH CAROLINA
COUNTY OF
RICHLAND
IN THE FAMILY
COURT
FIFTH JUDICIAL
CIRCUIT
Case# 2020-DR-40-0953 South Carolina Department of Social Services, Plaintiff, vs. Rosalyn Walker Alexander Dash Defendants, IN THE INTERESTS OF: Child 1 DOB: 2011-11-16 Child 2 DOB: 2005-10-06 Minors Under the Age of 18. TO DEFENDANTS:
Alexander Dash YOU ARE HEREBY SUMMONED und required to answer the Complaint concerning the minor child above and that you have failed to contact the agency in regards to your whereabouts in this action, the original of which has been filed in the office of the Richland County Clerk of Court, March 23, 2020, a copy of which will be delivered to you upon request; and to serve a copy of your answer to said Complaint upon the undersigned attorney for the Plaintiff at her office at 2638 Two Notch Road Ste. 200, Columbia, SC 29204, within 30 days of service upon you, exclusive of the day of such service; and if you fail to answer said Complaint within the statutory time allotted, the Plaintiff in this action will apply to the Court for the relief demanded in said Complaint, S. C. DEPARTMENT OF SOCIAL SERVICES Kathryn Walsh, SC Bar #7002 Attorney for Plaintiff South Carolina Department of Social Services 630 Chesnee Hwy Spartanburg, SC 29303 (803)280-0383 Kathryn.walsh@dss.sc.gov December 30, 2021 Spartanburg, South Carolina
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