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SUPERIOR COURT OF WASHINGTON

| December 4, 2015 12:00 PM

THE STATE OF WASHINGTON TO: GEORGE W. BURTON and CECELIA L. BURTON, both individually and as trustees of the GEORGE W. BURTON AND CECELIA L. BURTON REVOCABLE TRUST dated March 19, 1992, if living, and all other persons or partiesunknown claiming any right, title, estate, lien, or interest in the real estate described in the Complaint herein, defendants.

COUNTY OF GRANT

BRADLEY M. BROWN and JANE E. )

BROWN, husband and wife, )

) No. 15-2-01269-6

Plaintiffs, )

v. )

)

GEORGE W. BURTON and CECELIA L. ) SUMMONS BY PUBLICATION

BURTON, husband and wife, individually as )

trustees of the GEORGE W. BURTON AND )

CECELIA L. BURTON REVOCABLE TRUST )

dated March 19, 1992, )

)

Defendants. )

THE STATE OF WASHINGTON TO: GEORGE W. BURTON and CECELIA L.

BURTON, both individually and as trustees of the GEORGE W. BURTON AND CECELIA L.

BURTON REVOCABLE TRUST dated March 19, 1992, if living, and all other persons or parties

unknown claiming any right, title, estate, lien, or interest in the real estate described in the

Complaint herein, defendants.

You are hereby summoned to appear within sixty (60) days after the date of the first

publication of this summons, to wit, within sixty (60) days after the 30th day of

October, 2015, and defend the above entitled action in the above entitled court, and answer

the complaint of the plaintiffs, Bradley and Jane Brown, husband and wife, and serve a copy of

your answer upon the undersigned attorney for plaintiffs, Daniel Appel, at his office below stated;

and in case of your failure so to do, judgment will be rendered against you according to the

demand of the complaint, which has been filed with the clerk of said court.

The object of the action is to quiet title to the plaintiffs' real property, in which you may

claim an interest and/or of which you may be the record title owner, situated in Grant County

described as:

Apartment No. 517 of Crescent Bar Hotel Condominium, a Condominium, intended for the following use only: single family residential use, on an ownership, rental, or lease basis, and transient hotel use. Post Office address of the property Crescent Bar, Grant County, Washington 98848; according to the Survey Map and Plans, delineating said Apartment, recorded in Volume 1 of Condominiums, page 17 to 24, under Grant County Recording No. 678646, and according to Condominium Declaration recorded under Grant County Recording No. 678645; together with a 1.0330 percentage of undivided interest in the Common Areas and Facilities for Phase I of the Condominium and the use of all the Limited Common Area and Facilities, if any, appertaining to the Apartment; subject, however, to possible partial defeasance of this undivided interest upon inclusion of any subsequent phase(s) to the Condominium by recorded Amendment to the Declaration; and together with that pro-rata portion of the Declarants' interest in the Common Areas and Facilities of the Property in any subsequently added phase(s); all as expressly provided for in the Declaration, as so amended of record.

DATED this 27th day of October, 2015.

Foreman, Appel, Hotchkiss & Zimmerman, PLLC

/s/Daniel Appel_____________

Daniel Appel, WSBA #35544

Attorney for Plaintiffs

124 N. Wenatchee Ave., Suite A

P.O. Box 3125

Wenatchee, WA 98807-3125

(509) 662-9602

#12001/4747670

Pub.: October 30 & November 6, 13, 20, 27 & December 4, 2015