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IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON

| September 4, 2015 1:00 PM

To: Bruce A. Ostella, Deceased; UNKNOWN HEIRS, SPOUSE, LEGATEES AND DEVISEES OF BRUCE A. OSTELLA, DECEASED; DOES 1-10 inclusive; UNKNOWN OCCUPANTS of the subject real property; PARTIES IN POSSESSION of the subject real property; PARTIES CLAIMING A RIGHT TO POSSESSION of the subject property; and also, all other unknown persons or parties claiming any right, title, estate, lien, or interest in the real estate described in the Complaint herein

FOR THE COUNTY OF GRANT

BAYVIEW LOAN SERVICING, LLC, | Case No.: 15-2-00612-2

|

Plaintiff, |

| SUMMONS BY PUBLICATION

vs. |

|

BRUCE A. OSTELLA, DECEASED; |

HARLEIGH OSTELLA; UNKNOWN |

HEIRS, SPOUSE, LEGATEES, AND |

DEVISEES OF BRUCE A. OSTELLA, |

DECEASED; DOES 1-10 INCLUSIVE; |

UNKNOWN OCCUPANTS OF THE |

SUBJECT REAL PROPERTY; PARTIES IN |

POSSESSION OF THE SUBJECT REAL |

PROPERTY; PARTIES CLAIMING A |

RIGHT TO POSSESSION OF THE |

SUBJECT PROPERTY; AND ALSO, ALL |

OTHER UNKNOWN PERSONS OR PARTIES |

CLAIMING ANY RIGHT, TITLE, ESTATE, |

LIEN, OR INTEREST IN THE REAL ESTATE |

DESCRIBED IN THE COMPLAINT HEREIN |

|

Defendants. |

To: Bruce A. Ostella, Deceased; UNKNOWN HEIRS, SPOUSE, LEGATEES AND DEVISEES OF BRUCE A. OSTELLA, DECEASED; DOES 1-10 inclusive; UNKNOWN OCCUPANTS of the subject real property; PARTIES IN POSSESSION of the subject real property; PARTIES CLAIMING A RIGHT TO POSSESSION of the subject property; and also, all other unknown persons or parties claiming any right, title, estate, lien, or interest in the real estate described in the Complaint herein

THE STATE OF WASHINGTON TO THE SAID DEFENDANTS:

You are hereby summoned to appear within sixty days after the date of the first publication of this

summons, to wit, within sixty days after the 21st day of August, 2015, and defend the above

entitled action in the above entitled court, and answer the complaint of the Plaintiff, BAYVIEW

LOAN SERVICING, LLC, and serve a copy of your answer upon the undersigned attorneys for

Plaintiff, McCarthy & Holthus, LLP at the 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 basis for the complaint is a foreclosure of the property

commonly known as 428 3rd Ave SE, Soap Lake, WA 98851, GRANT County, Washington as a

result of a default under the terms of the note and deed of trust.

DATED: August 19, 2015 McCarthy & Holthus, LLP

/s/ Christopher A. Luhrs

[x] Christopher Luhrs, WSBA #43175

108 1st Avenue South, Ste. 300

Seattle, WA 98104

(855) 809-3977

Attorneys for Plaintiff

#09012/4618686

Pub.: August 21, 28, September 4, 11, 18 & 25, 2015