Courier Legals 4-9-14
STATE OF SOUTH CAROLINA
COUNTY OF PICKENS
IN THE FAMILY COURT
THIRTEENTH JUDICIAL CIRCUIT
COUNTY OF PICKENS
C.A. No.: 2013-DR-39-507
2013-DR-39-1250
South Carolina Department of Social Services, vs. Kristen Collins, Carlos Toj De La Cruz, John Doe, Defendants. In the Interest of: McKengie De La Cruz, 05/11/2013 Minors Under the Age of 18
TO: DEFENDANT JOHN DOE:
YOU ARE HEREBY SUMMONED and required to answer the Complaint for Removal for the minor children in this action filed against you, the original of which has been filed in the Office of the Clerk of Court for Pickens County on May 14, 2013 and the Complaint for Termination of Parental Rights for the minor child in this action filed against you, the original of which has been filed in the Office of the Clerk of Court for Pickens County on December 23, 2013, copies of which will be delivered to you upon your request, and to serve a copy of your Answer to said Complaint upon the undersigned attorney for the Plaintiff to Patti Brady, Pickens County Department of Social Services, P.O. Box 158, Pickens, S.C. 29671 within thirty (30) days following the date of service upon you, exclusive of the date of service, and if you fail to answer said Complaint within the time stated, Plaintiff will apply for a Judgment by Default against you for the relief demanded in the Complaint.
A hearing on this matter has been scheduled for Wednesday, May 14, 2014 at 1:30 p.m. at the Pickens County Courthouse.
____________________________
Patti Brady
Staff Attorney, South Carolina Department
of Social Services
Post Office Box 158
Pickens, South Carolina 29671
(864) 898-5288
March 26, April 2, 9
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NOTICE
Freedom Tower Company proposes to construct a 250-foot self-supporting lattice telecommunications structure (254-foot overall height with appurtenances). The structure would be located off of Sunset Community Road near Patrice Lane, Sunset, Pickens County, South Carolina, Tax Parcel ID 4165-00-43-5128. The tower is anticipated to have FAA Style E (L-864/L-865/L-810) lighting.
Freedom Tower Company invites comments from any interested party on the impact the proposed undertaking may have on any districts, sites, buildings, structures or objects significant in American history, archaeology, engineering, or culture that are listed or determined eligible for listing in the National Register of Historic Places. Comments pertaining specifically to historic resources may be sent to Environmental Corporation of America, ATTN: Dina Bazzill, 1375 Union Hill Industrial Court, Suite A, Alpharetta, Georgia 30004. Ms. Bazzill can be reached at (770) 667-2040 ext. 111. Comments must be received within 30 days of the date of this notice.
In addition, any interested party may also request further environmental review of the proposed action by notifying the FCC of the specific reasons that the action may have a significant impact on the quality of the human environment pursuant to 47 CFR Section 1.1307. This request must only raise environmental concerns and can be filed online using the FCC pleadings system or mailed to FCC Requests for Environmental Review, Attn: Ramon Williams, 445 12th Street SW, Washington, DC 20554 within 30 days of the date that this notice is published. Instruction for filing an online Request for Environmental Review can be found at www.fcc.gov/asr/environmentalrequest. Refer to File No. A0895778 when submitting the request and to view the specific information about the proposed action.
April 2, 9, 16
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EQUITY COURT SALE
STATE OF SOUTH CAROLINA
PICKENS COUNTY
COURT OF COMMON PLEAS
2013–CP–39–1406
Pursuant to Court Decree in Appleton, LLC, Plaintiff, vs. Lorie L. Reid and Amanda Michelle Chapman, Defendant(s), I will sell at public auction to the highest bidder at the Pickens County Court House at Main Street, Pickens, South Carolina on May 5, 2014 at 11:00 a.m. the following property:
All that certain piece, parcel or lot of land situate, lying and being in the State of South Carolina, County of Pickens, being known and designated as Tract A, containing 7.0 acres more or less, on B.D. Johnston Road, according to a survey entitled “Survey for Ray Haskett”, prepared by Robert R. Spearman, Surveyor, dated August 21, 1995, recorded in Plat Book 71 at Page 199 reference to which is hereby craved for a more complete and accurate description.
This conveyance is subject to an easement and right of way lying at the Southeastern most corner of the property now or formerly of Powell and the right of way for B.D. Johnston Road in and to the above described property.
This being the same property conveyed to Appleton, LLC by deed of Haskett Realty Corporation dated June 30, 2005 and recorded July 5, 2005 in Deed Book 917 at Page 184 in the Register of Deeds Office for Pickens County, SC.
TMS# 4068-18-40-1188
Property Address:
111 B D Johnston Road,
Central, SC 29630
The property will be sold subject to any past due or accruing property taxes, assessments, existing easements, and restrictions of record and any other senior encumbrances.
The successful bidder must pay interim interest from the date of sale through date of compliance at the rate of 9.5%.
Each successful bidder other than the Plaintiff at time bid is accepted will be immediately required to deposit with the Special Referee as evidence of good faith, five (5%) percent of bid in cash or certified check at the time of the bid. In the event purchaser fails or refuses to comply with terms of sale within twenty (20) days, deposit shall be forfeited and applied first to cost and then to Plaintiff’s debt, and the Special Referee shall forthwith re-advertise and resell said property upon the same terms on some subsequent sales day at the risk of former purchaser until obtaining full compliance with sale.
Bidding will close on sales day.
Terms of Sale-Cash; purchaser to pay for deed and stamps. The sale will not take place unless Representative of Plaintiff is at the Sale.
R. Murray Hughes, Special Referee
Pickens County
William J. McDonald
Attorney for Plaintiff
(864) 298-0084
April 9, 16, 23
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SUMMONS
NOTICE OF FILING OF COMPLAINT AND NOTICE OF FORECLOSURE INTERVENTION (NON-JURY MORTGAGE FORECLOSURE)
STATE OF SOUTH CAROLINA
COUNTY OF PICKENS
IN THE COURT OF COMMON PLEAS
C/A NO: 2013-CP-39-1576
First Citizens Bank and Trust Company, Inc., Plaintiff, vs. Callie Kosnoff, Defendant
Deficiency Judgment Demanded TO THE DEFENDANT ABOVE NAMED: YOU ARE HEREBY SUMMONED and required to answer the Complaint in the above entitled action, a copy of which is herewith served upon you, and to serve a copy of your answer upon the undersigned at their office, 704 E McBee Ave, Greenville, SC 29601 within thirty (30) days after service hereof upon you, 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 in the Complaint, and judgment by default will be rendered against you for the relief demanded in the Complaint.
NOTICE IS HEREBY GIVEN that the original Complaint in the above entitled action was filed in the office of the Clerk of Court for Pickens County on December 30, 2013.
NOTICE OF FORECLOSURE INTERVENTION PLEASE TAKE NOTICE THAT pursuant to the South Carolina Supreme Court Administrative Order 2011-05-02-01, (hereinafter “Order”), 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, Kenison, Dudley & Crawford, LLC, 704 E McBee Ave, Greenville, SC 29601, or call (864) 242-4899. Kenison, Dudley & Crawford, LLC 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.
THIS IS AN ATTEMPT TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE. THIS COMMUNICATION IS FROM A DEBT COLLECTOR.
Kenison, Dudley & Crawford,
LLC, 704 E McBee Ave,
Greenville, SC 29601
BY: F. LEE PRICKETT, III
Attorney for Plaintiff ,
Greenville, SC April 2, 2014
April 9, 16, 23
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