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IN THE STATE OF NORTH DAKOTA, COUNTY OF CASS IN THE DISTRICT COURT, EAST CENTRAL JUDICIAL DISTRICT The Bank of New York Mellon F/K/A The Bank of New York as successor in interest to JP Morgan Chase Bank, N.

IN THE STATE OF NORTH DAKOTA, COUNTY OF CASS
IN THE DISTRICT COURT, EAST CENTRAL JUDICIAL DISTRICT
The Bank of New York Mellon F/K/A The Bank of New York as successor in interest to JP Morgan Chase Bank, N.A. as Trustee for Nationstar Home Equity Loan Trust 2006-B,
Plaintiff,
vs.
Darlene Mason and Raymond Mason, and any person in possession, and all persons unknown, claiming any estate or interest in, or lien or encumbrance upon, the real estate described in the complaint,
Defendants.
SUMMONS
CIVIL NUMBER: 09-2019-CV-03655
1.To the above mentioned Defendants including all persons unknown, claiming any estate or interest in, or lien or encumbrance upon, the real estate described in the complaint.
2.You are hereby summoned to appear and defend against the Complaint in this
action, which has been filed with the Clerk of Court and is herewith served upon you, by serving upon the undersigned a copy of an Answer or other proper response within twenty-one (21) days after the service of this Summons upon you, exclusive of the day of service. If you fail to do so, Judgment by default will be taken against you for the relief demanded in the Complaint. The original Complaint is filed with the Clerk of the District Court in the County in which this action is commenced.
3.This action relates to the foreclosure of a mortgage upon the following described real property in the County of Cass, State of North Dakota:
Lot 4, in Block 1, of Peter Sway's Third Addition to the City of Fargo, situate in the County of Cass and the State on North Dakota, according to the recorded plat thereof, MORE CORRECTLY DESCRIBED AS FOLLOWS:
Lot 4, in Block 1, of Peter Sway's Third Addition to the City of Fargo, situate in the County of Cass and the State of North Dakota, according to the recorded plat thereof.
Property Address: 2402 Broadway, Fargo, ND 58102
4. The Plaintiff is not seeking a personal judgment against the above-named Defendants.
Dated: October 1, 2019.

By_/s/ Benjamin J. Mann______
Benjamin J. Mann
Attorneys for Plaintiff
Halliday, Watkins & Mann, P.C.
376 East 400 South, Suite 300
Salt Lake City, UT 84111
801-355-2886
Email: benjamin@hwmlawfirm.com
Bar: 08371
(Nov. 4, 11 & 18, 2019) 2803640