Courier Legal Notices 9-6-23
SUMMONS
STATE OF SOUTH CAROLNA
COUNTY OF PICKENS
IN THE COURT OF COMMON PLEAS
THIRTEENTH JUDICIAL CIRCUIT
2023-CP-39-00896
Action to Quiet Title
and to a Confirm Tax Sale
Derrick Jordan Plaintiff, v. Nancy Durham;
Defendants unknown claiming any Right, title, estate, interest in or Lien upon the real estate described in the Complaint and any unknown Hiers of Nancy Durham, being as a class designated as John Doe, and any such unknown infants or persons under disability being as a class designated as Richard Roe. Defendants.
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, and to serve a copy of your answer to said Complaint upon the subscriber, at his office at 450 By-Pass, 123, Suite D, Seneca, S.C. 29678, 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, Plaintiff will apply to the Court for judgment by default for the relief demanded in the Complaint.
Bradley K. Richardson, P.C.
BY: s/S. Tanner Riley
SC Bar No. 104736
Tanner Riley
Attorney for the Plaintiff
450 By-Pass 123, Suite D
Seneca, SC 29678
864-844-9578
August 4, 2023
Seneca, South Carolina
Aug. 23, 30 Sept. 6
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NOTICE OF APPLICATION
Notice is hereby given that Tropical Burger, Inc. Intends to apply to the South Carolina Department of Revenue for a license and/or permit that will allow the sale and ON premises consumption of beer and wine at 207 NE MAIN St., EASLEY SC 29640. To object to the Issuance of this license and/ or permit, you must submit Form ABL-20, postmarked no later than September 15, 2023.
Mall protests to SCDOR, ABL Section, PO Box 125, Columbia, SC 29214-0907, or emall to ABL@dor.sc.gov (mailto:ABL@dor.sc.gov)
Aug. 30 Sept. 6, 13
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NOTICE
To all persons claiming an intererst in 1976 – 18’ – sleekwood – SLER5370M76C, Micheal Sitz will apply to SCDNR for title on watercraft/outboard motor.If you have any claim tio the watercraft/outboard motor, contact SCDNR at (803) 734-3699. Upon thirty days after the date of the last advertisement if no claim of interest is made and the watercraft/outboard motor has not been reported stolen SCDNR shall issue clear title. Case No.: 20230224950124.
Aug. 30 Sept. 6, 13
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Notice of Self Storage Sale
Please take notice Prime Storage – Clemson Central located at 1737 Old Central Rd., Central SC 29630 intends to hold a Auction of storage units in default of payment. The sale will occur as an Online Auction via www.storagetreasures.com on 9/18/2023 at 12:00PM. This sale is pursuant to the assertion of lien for rental at the self-storage facility. Unless listed otherwise below, the contents consist of household goods and furnishings. Ronnie Young unit #M085. This sale may be withdrawn at any time without notice. Certain terms and conditions apply.
Aug. 30, Sept. 6
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Summons
(JURY TRIAL)
IN THE COURT OF COMMON PLEAS
STATE OF SOUTH CAROLINA
COUNTY OF GREENVILLE
ELECTRONICALLY FILED –
2023 Jul 18 12:08 PM
GREENVILLE – COMMON PLEAS –
C. A. No.: 2023-CP-23-03646
Brandy Cody, Individually, and as Parent and Guardian o f V.C., a minor, and Z.C., a minor, Plaintiff vs. Jacob Seth Sloan, Defendant.
YOU ARE HEREBY SUMMONED and required to answer the Complaint in this action, a copy of which is attached herewith served upon you, and to serve a copy of your answer to said Complaint on the subscribers at their office at Post Office Box 2765, 229 Magnolia Street, Spartanburg, South Carolina, 29304, within thirty (30) days after such service; and if you fail to answer the Complaint within the time aforesaid, the Plaintiff in this action will apply to the Court for the relief demanded in this Complaint.
HODGE & LANGLEY LAW FIRM, P.C.
Attorneys for Plaintiff
By: s/ T. Ryan Langley
T. Ryan Langley, Esq.
Matthew T. Foss, Esq.
Post Office Box 2765
Spartanburg, SC 29304
Office: (864) 585-3873
Fax: (864) 585-6485
July 17, 2023
Spartanburg, South Carolina
Aug. 30, Sept. 6, 13, 20
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COMPLAINT
(JURY TRIAL)
IN THE COURT OF COMMON PLEAS
STATE OF SOUTH CAROLINA
COUNTY OF GREENVILLE
ELECTRONICALLY FILED –
2023 Jul 18 12:08 PM
GREENVILLE – COMMON PLEAS –
C. A. No.: 2023-CP-23-03646
Brandy Cody, Individually, and as Parent and Guardian of V.C., a minor, and Z.C., a minor, Plaintiff vs. Jacob Seth Sloan, Defendant.
THE PLAINTIFFS complaining of the Defendant would respectfully show unto the Court as follows:
GENERAL ALLEGATIONS
1. That the Plaintiffs are citizens and residents of Greenville County, South Carolina.
2. That upon information and belief, the Defendant, Jacob Seth Sloan, is a citizen and resident of Pickens County, South Carolina.
3. That the collision which is the subject of this lawsuit occurred in Greenville County, South Carolina.
4. That on or about October 7, 2020, Plaintiffs were passengers in a vehicle stopped for traffic on Hwy 276 facing east in Travelers Rest, SC, when the Defendant, also traveling east on US-276 and negligently traveling too fast for conditions, suddenly and without warning forcefully struck the rear of Plaintiffs’ vehicle. Upon impact, the Plaintiffs were hurled about within the interior of the motor vehicle causing them to suffer serious injuries which will be fully described herein.
5. That the injuries and damages sustained by the Plaintiffs was due to and caused by and were the direct and proximate result of the negligent and/or reckless, willful, and wanton acts of the Defendant in one or more of the following particulars, to wit:
(a) In neglecting to yield the right of way to Plaintiffs;
(b) In colliding with the Plaintiffs’ vehicle;
(c) In choosing not to keep a proper lookout for traffic in general and in particular, the Plaintiffs;
(d) In choosing not to apply brakes timely so as to avoid crashing with the vehicle being driven by Plaintiffs;
(e) In evidencing an utter disregard for the safety of the public in general and in particular, the Plaintiffs;
(f) In choosing not to use that degree of care that an ordinary and prudent person would have used under the same or similar circumstances;
(g) In failing to take advantage of any last clear chance to avoid colliding with the Plaintiffs’ vehicle;
6. That as a direct and proximate result of the negligent and/or reckless, willful, and wanton acts of the Defendant, Plaintiffs have suffered serious painful and personal injuries. That as a result of their injuries, the Plaintiffs have been forced to undergo medical treatment and have incurred medical expenses. That as a result of the Plaintiffs’ injuries, they have been unable to engage in their normal pursuit of happiness, have suffered emotional distress and mental anguish, and have suffered economic losses, all to their great damage.
WHEREFORE, the Plaintiffs pray for judgment against the Defendant as follows:
A. For actual damages found to be just and equitable within the discretion of the fact finder;
B. For punitive damages if proven by clear and convincing evidence;
C. For the costs and disbursements of this action;
D. For prejudgment interest at the rate authorized by the South Carolina Supreme Court and S.C. Code Ann. Sec. 34-31-20 (B); and
E. For such other and further relief as this Court may deem just and proper.
Respectfully submitted,
HODGE & LANGLEY LAW FIRM, P.C.
Attorneys for Plaintiff
By: s/ T. Ryan Langley
T. Ryan Langley, Esq.
Matthew T. Foss, Esq.
Post Office Box 2765
Spartanburg, SC 29304
Office: (864) 585-3873
Fax: (864) 585-6485
July 17, 2023
Spartanburg, South Carolina
Aug. 30, Sept. 6, 13, 20
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