Tuesday, February 19, 2019
RETURN TO NOTICES
THE STATE OF TEXAS
JOSE VAZQUEZ AND VALENTIN VAZQUEZ GREETINGS:
You have been sued. You may employ an attorney. If you or your attorney do not file a written answer with the Clerk on or before ten o’clock A.M., of the first Monday after the expiration of forty-two days from the date of issuance of this citation, same being Monday the 11TH DAY OF MARCH 2019, at or before ten o’clock A.M. before the Honorable 116TH DISTRICT COURT of Dallas County, Texas, at the George Allen Courthouse, 600 Commerce Street, Dallas, Texas, 75202, a Default Judgment may be taken against you.
Said Petitioner’s Petition was filed in said court, ON THIS THE 15TH DAY OF MAY, 2018, in this cause, numbered DC-18-06386 on the docket of said Court, and styled: WELLS FARGO BANK, N.A., Petitioner vs. JOSE VAZQUEZ AND VALENTIN VAZQUEZ Respondent. A brief statement of the nature of this suit is as follows:
“PLAINTIFF IS SEEKING A JUDICIAL DECLARATION THAT, AS RECOURSE FOR DEFAULT UNDER THAT ONE CERTAIN VOLUNTARY SECURITY INSTRUMENT, IT MAY PROCEED IN ACCORDANCE WITH THE TERMS OF SUCH SECURITY INSTRUMENT AND THE TEXAS PROPERTY CODE WITH THE NON-JUDICIAL FORECLOSURE OF THAT CERTAIN REAL PROPERTY, TO WIT: BEING LOT 8 IN BLOCK 32/5372 OF CASA VIEW HEIGHTS ADDITION NO. 6 AN ADDITION TO THE CITY OF DALLAS, DALLAS COUNTY, TEXAS, ACCORDING TO THE MAP THEREOF RECORDED IN VOLUME 19, PAGE 39 OF THE MAP RECORDS OF DALLAS COUNTY, TEXAS.”
as is more fully shown by Petitioner’s Petition on file in this suit.
If this citation is not served within ninety days after the date of its issuance, it shall be returned unserved.
The officer executing this process shall promptly execute the same according to law, and make due return as the law directs.
Issued and given under my hand and seal of said Court at Dallas, Texas ON THIS THE 24TH DAY OF JANUARY, 2019
Clerk of the District Court
of Dallas County, Texas
George Allen Courts Building
600 Commerce Street Suite 103
Dallas, Texas, 75202
By: COURTNEY RUTLEDGE, Deputy
THE STATE OF TEXAS
Defendant.........in the hereinafter styled and numbered cause: CC-18-03344-B
YOU are hereby commanded to appear before the County Court at Law No. 2, of Dallas County, Texas, and file a written answer at George Allen Courthouse, 600 Commerce Street, Dallas, Texas at or before 10:00 o’clock a.m. of the first Monday after the expiration of 42 days from the date of issuance hereof, being Monday, 12th day of March, 2019, a Default Judgment may be taken against you.
Said Plaintiff’s Original Petition was filed on in cause number CC-18-03344-B, Styled HUGO C. SANDOVAL-GOMEZ; GERARDO PADILLA, Plaintiff (s) vs JESSICA BRAVO; ESUEBIA DE LA CRUZ; GERARDO PADILLA; JESSICA BRAVO; EUSEBIA DE LA GARZA, Defendant (s). The nature of plaintiff’s demand being damages is as follows: DAMAGES (COLLISION) (ACCOUNT).
On or about June 28, 2016, Plaintiff HUGO C. SANDOVAL-GOMEZ driving in a safe and prudent manner in Dallas County, Texas. Plaintiff HUGO C. SANDOVAL-GOMEZ was acting in a reasonable and prudent manner, exercising ordinary care for his personal safety and the safety of others. Plaintiff HUGO C. SANDOVAL-GOMEZ was then involved in a collision with Defendant JESSICA BRAVO who was driving a vehicle owned by Defendant EUSEBIA DELACRUZ.
The collision, which was proximately caused by the Defendants’ negligence, occurred as follows: JESSICA BRAVO was traveling EB 4800 W. Kiest when Defendant GERARDO PADILLA was traveling NB 3100 S. Walton Walker, Blvd and Plaintiff was stopped at the red light WB 4800 W. Kiest at Walton Walker, Blvd, Suddenly, Defendant Jessica Bravo ran a red light and pulled in front of Defendant Gerardo Padilla causing a collision between their vehicles. After this impact, Defendant Jessica Bravo rotated clockwise and impacted Plaintiff vehicle. As a result of the Defendants negligent conduct and the resulting collision, Plaintiff HUGO C. SANDOVAL-GOMEZ, sustained substantial injuries to his person and property.
If this citation is not served within ninety days after the date of its issuance, it shall be returned unserved. The officer executing this process shall promptly execute the same according to law, and make due return as the law directs.
Plaintiff’s attorney ERIC CEDILLO LAW OFFICE OF ERIC CEDILLO PC 1725 GREENVILLE AVE DALLAS TX 75206
HEREIN FAIL NOT, but of this writ make answer as the law requires.
WITNESS: JOHN F. WARREN, Clerk of the County Court of Dallas County Court at Law No. 2, George Allen Courthouse, 600 Commerce Street, Dallas, Texas
GIVEN UNDER MY HAND AND SEAL OF OFFICE, at Dallas, Texas, this 22nd day of January, 2019 A.D.
JOHN F. WARREN, County Clerk Of the County Court of Dallas County
By: Momodou Bayo, Deputy