Thursday, December 2, 2021

RETURN TO NOTICES

CITATION
BY PUBLICATION
THE STATE OF TEXAS
THE UNKNOWN HEIRS AT LAW OF GLADYS LINDSAY BUFFORD, DECEASED 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 20TH DAY OF DECEMBER, 2021, at or before ten o’clock A.M. before the Honorable 95TH 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. In addition to filing a written answer with the clerk, you may be required to make initial disclosures to the other parties of this suit. These disclosures generally must be made no later than 30 days after you file your answer with the clerk. Find out more at TexasLawHelp.org
Said Petitioner’s Petition was filed in said court, ON THIS THE 30TH DAY OF JULY, 2021, in this cause, numbered DC-21-09969 on the docket of said Court, and styled: DEUTSCHE BANK NATIONAL TRUST COMPANY, Petitioner vs. THE UNKNOWN HEIRS AT LAW OF GLADYS LINDSAY BUFFORD, DECEASED Respondent. A brief statement of the nature of this suit is as follows:
“PLAINTIFFIS 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: LOT 23, BLOCK A/2228 OF WOODSIDE, AN ADDITION TO THE CITY OF DALLAS, DALLAS COUNTY, TEXAS, ACCORDING TO THE MAP THEREOF RECORDED IN VOLUME 4, PAGE 163, MAP RECORDS, 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 2ND DAY OF NOVEMBER, 2021
FELICIA PITRE
Clerk of the District Court of Dallas County, Texas
George Allen Courts Building
600 Commerce Street Suite 103
Dallas, Texas, 75202
By: CARLENIA BOULIGNY, Deputy

11/10,11/17,11/24,12/1

CITATION BY
PUBLICATION
The State of Texas
MIR KHAN
871 LAKE CAROLYN PARKWAY
APARTMENT 537
IRVING, TEXAS 75039
Defendant.......... in the hereinafter styled and numbered cause: CC-21-03546-C
YOU are hereby commanded to appear before the County Court at Law No. 3, 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, 27th day of December, 2021, a Default Judgment may be taken against you.
Said Plaintiff's Original Petition was filed on in cause number CC-21-03546-C, Styled VERONICA BERRY, Plaintiff(s) vs MIR KHAN, Defendant (s). The nature of plaintiff's demand being as follows: DAMAGES (COLLISION) (ACCOUNT).
STATEMENT
"On or about September 9, 2019, at approximately 9:52 a.m., Plaintiff VERONICA BERRY and Defendant MIR KHAN were traveling northbound at or near the 500 block of North Central Expressway. Defendant MIR KHAN used faulty evasive action and lost control of his vehicle, causing his vehicle to spin and collide with Plaintiff’s vehicle head-on. At such time Defendant Khan owed to Plaintiff a duty to operate his vehicle in a safe and lawful manner, but in violation of such duty, the Defendant operated his vehicle in a negligent and careless manner, thus causing and bringing about a collision which damaged Plaintiffs vehicle and physically injuring the Plaintiff."
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 JAY JOSEPH MURRAY 2512 STATE STREET DALLAS TX 75201
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.3, George Allen Courthouse, 600 Commerce Street, Dallas, Texas 75202.
GIVEN UNDER MY HAND AND SEAL OF OFFICE, at Dallas, Texas, this 12th day of November, 2021 A.D.
JOHN F. WARREN, County Clerk
Of the County Court of Dallas County
By: Momodou Bayo, Deputy

11/17,11/24,12/1,12/8

CITATION BY
PUBLICATION
The State of Texas
BILLY MILLER
9600 LAKEWAY CIRCLE
APARTMENT 5108
FORT WORTH, TEXAS 76179
Defendant ....... in the hereinafter styled and numbered cause: CC-21-02040-C
YOU are hereby commanded to appear before the County Court at Law No. 3, 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, 27th day of December, 2021, a Default Judgment may be taken against you.
Said Plaintiff's Original Petition was filed on in cause number CC-21-02040-C, Styled MONICA MOORE; MARCUS MOORE, Plaintiff (s) vs BILLY MILLER; GENE KIZZIAR; GENE KIZZIAR, INDIVIDUALLY AND D/B/A D&G CONTRACTING, Defendant(s). The nature of plaintiff's demand being as fo llows: DAMAGES (COLLISION) (ACCOUNT).
STATEMENT
On June 19, 2019, the Plaintiffs, Monica Moore, individually and as next friend of L.M., a minor, and Marcus Moore, were involved in a collision with the Defendant, Billy Miller. Plaintiff Monica Moore was operating a vehicle occupied by the other Plaintiffs on June 19, 2019 in Denton, Texas. The Defendant Billy Miller was negligent by striking the Plaintiff’s vehicle from the rear. The Defendant failed to control his speed, failed to turn in any direction to avoid an impending collision, failed to maintain a proper distance, and/or failed to maintain a proper lookout. The Plaintiffs sustained injuries to their persons and seek damages for same from the Defendant for his negligence.
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. Plaintiffs attorney JARED P. MULLOWNEY THE BARBER LAW FIRM PC 1751 W. PLANO PKWY.,PLANO TX 75075
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. 3, George Allen Courthouse, 600 Commerce Street, Dallas, Texas 75202.
GIVEN UNDER MY HAND AND SEAL OF OFFICE, at Dallas, Texas, this 11th day of November, 2021 A.D.
JOHN F. WARREN, County Clerk
Of the County Court of Dallas County
By: Momodou Bayo: Deputy

11/17,11/24,12/1,12/8

CITATION BY
PUBLICATION
The State of Texas
UCHECHUKWU ASHIBOGWU,
Defendant ............. in the hereinafter styled and numbered cause: CC-21-02462-C
YOU are hereby commanded to appear before the County Court at Law No. 3, 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, 27TH day of December, 2021, a Default Judgment may be taken against you.
Said Plaintiff’s Original Petition was filed on in cause number CC-21-02462-C, Styled BRITTANY WALKER, Plaintiff (s) vs UCHECHUKWU ASHIBOGWU, Defendant (s). The nature of plaintiff’s demand being as follows: DAMAGES (COLLISION) (ACCOUNT).
STATEMENT
ON OR ABOUT NOVEMBER 16, 2019, PLAINTIFF BRITANY WALKER, WAS AN OPERATOR OF A MOTOR VEHICLE ON AUDELIA ROAD IN DALLAS, TEXAS. SHE HAD PASSENGERS, V.S., A.W., AND M.V., MINORS, IN THE VEHICLE WITH HER AT THE TIME. DEFENDANT, UCHECHUKWU ASHIBOGWU, WAS AN OPERATOR OF MOTOR VEHICLE ON AUDELIA ROAD IN DALLAS, TEXAS. PLAINTIFF WAS TRAVELING SOUTHBOUND AT THE 12100 BLOCK OF AUDELIA ROAD THROUGH THE INTERSECTION WITH THE LBJ FREEWAY WESTBOUND SERVICE ROAD, WITH A GREEN LIGHT .. DEFENDANT WAS IN THE LEFT TURN LANE ATTEMPTING TO TURN LEFT ONTO THE ENTRANCE RAMP FAILED TO YIELD THE RIGHT OF WAY TURNING LEFT AND VIOLENTLY COLLIDED INTO PLAINTIFFS' VEHICLE. PLAINTIFFS WERE STRUCK WITH SUCH FORCE THAT THE THEY SUSTAINED SEVERE BODILY INURIES AND DAMAGES.
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 JAMES TRUJILLO 500 E JOHN CARPENTER FWY STE 140 IRVING TX 75062
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. 3, George Allen Courthouse, 600 Commerce Street, Dallas, Texas 75202.
GIVEN UNDER MY HAND AND SEAL OF OFFICE, at Dallas, Texas, this 11th day of November, 2021 A.D.
JOHN F. WARREN, County Clerk
Of the County Court of Dallas County
By: Lupe Perez, Deputy

11/17,11/24,12/1,12/8

 

 

Legal Notices
Publications Contact Us
HOME


The Daily Commercial Record complies with the guidelines as set forth in Texas Gov't. Code Ann. § 2051.044 (Guidelines).
© 2021 Daily Commercial Record, Inc. All Rights Reserved.
706 Main Street, Dallas, Texas, 75202
TEL (214) 741-6366   FAX (214) 741-6373
notices@Dailycommercialrecord.com
Read Our Privacy Policy