Details for LEGAL NOTICE IN THE DISTRICT COURT OF HALL COUNTY, NEBRASKA

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LEGAL NOTICE IN THE DISTRICT COURT OF HALL COUNTY, NEBRASKA, Case No. CI20-1160 First Cause of Action: City of Grand Island vs. A. C. Nelsen Enterprises, Inc., et al.: TO: C. CLIFTON NELSEN; THE JUDITH LYNN NELSEN TRUST, C. CLIFTON NELSEN TRUSTEE; THE KAREN ELLEN NELSEN TRUST, C. CLIFTON NELSEN TRUSTEE; THE ANDREW CLIFTON NELSEN TRUST, C. CLIFTON NELSEN TRUSTEE; JOHN DOE#1 and JANE DOE#1, husband and wife, real names unknown, tenants in possession of COMMERCIAL INDUSTRIAL PARK SUBDIVISION PT LT 5, aka THE SOUTH 300 FEET LESS THE SOUTHMOST 35 FEET OF LOT 5, COMMERCIAL INDUSTRIAL PARK SUBDIVISION OF PART OF BLOCK 1, NELSEN SUBDIVISION, HALL COUNTY, NEBRASKA, AS SHOWN IN QUIT CLAIM DEED RECORDED IN BOOK 145, PAGE 666; WARRANTY DEED RECORDED IN BOOK 173, PAGE 275; AND DOCUMENT NO. 77-0001916 AND EXCEPT WARRANTY DEED RECORDED AS DOCUMENT NO. 78-0005691 AND QUITCLAIM DEED RECORED AS DOCUMENT NO 820002730; COMMERCIAL INDUSTRIAL PARK SUBDIVISION PT LT 5, aka THE SOUTH 300 FEET LESS THE SOUTHMOST 35 FEET OF LOT 5, COMMERCIAL INDUSTRIAL PARK SUBDIVISION OF PART OF BLOCK 1, NELSEN SUBDIVISION, HALL COUNTY, NEBRASKA, AS SHOWN IN QUIT CLAIM DEED RECORDED IN BOOK 145, PAGE 666; WARRANTY DEED RECORDED IN BOOK 173, PAGE 275; DOCUMENT NO. 77-0001916 AND EXCEPT WARRANTY DEED RECORDED AS DOCUMENT NO. 78-0005691 AND QUITCLAIM DEED RECORED AS DOCUMENT NO 820002730; and ALL PERSONS HAVING OR CLAIMING SOME RIGHT, TITLE OR INTEREST IN AND TO COMMERCIAL INDUSTRIAL PARK SUBDIVISION PT LT 5, aka THE SOUTH 300 FEET LESS THE SOUTHMOST 35 FEET OF LOT 5, COMMERCIAL INDUSTRIAL PARK SUBDIVISION OF PART OF BLOCK 1, NELSEN SUBDIVISION, HALL COUNTY, NEBRASKA, AS SHOWN IN QUIT CLAIM DEED RECORDED IN BOOK 145, PAGE 666; WARRANTY DEED RECORDED IN BOOK 173, PAGE 275; DOCUMENT NO. 77-0001916 AND EXCEPT WARRANTY DEED RECORDED AS DOCUMENT NO. 78-0005691 AND QUITCLAIM DEED RECORED AS DOCUMENT NO 820002730, real names unknown, Defendants; Second Cause of Action: City of Grand Island vs. A. C. Nelsen Enterprises, Inc., et al.: TO: C. CLIFTON NELSEN; THE JUDITH LYNN NELSEN TRUST, C. CLIFTON NELSEN TRUSTEE; THE KAREN ELLEN NELSEN TRUST, C. CLIFTON NELSEN TRUSTEE; THE ANDREW CLIFTON NELSEN TRUST, C. CLIFTON NELSEN TRUSTEE; JOHN DOE #2 and JANE DOE#2, husband and wife, real names unknown, tenants in possession of COMMERCIAL INDUSTRIAL PARK SUBDIVISION PT LT 6, aka THE SOUTH 300 FEET LESS THE SOUTHMOST 35 FEET OF LOT 6, COMMERCIAL INDUSTRIAL PARK SUBDIVISION OF PART OF BLOCK 1, NELSEN SUBDIVISION, HALL COUNTY, NEBRASKA, AS SHOWN IN QUIT CLAIM DEED RECORDED IN BOOK 145, PAGE 666; WARRANTY DEED RECORDED IN BOOK 173, PAGE 275; AND DOCUMENT NO. 77-0001916; COMMERCIAL INDUSTRIAL PARK SUBDIVISION PT LT 6, aka THE SOUTH 300 FEET LESS THE SOUTHMOST 35 FEET OF LOT 6, COMMERCIAL INDUSTRIAL PARK SUBDIVISION OF PART OF BLOCK 1, NELSEN SUBDIVISION, HALL COUNTY, NEBRASKA, AS SHOWN IN QUIT CLAIM DEED RECORDED IN BOOK 145, PAGE 666; WARRANTY DEED RECORDED IN BOOK 173, PAGE 275; AND DOCUMENT NO. 77-0001916; and ALL PERSONS HAVING OR CLAIMING SOME RIGHT, TITLE OR INTEREST IN AND TO COMMERCIAL INDUSTRIAL PARK SUBDIVISION PT LT 6, aka THE SOUTH 300 FEET LESS THE SOUTHMOST 35 FEET OF LOT 6, COMMERCIAL INDUSTRIAL PARK SUBDIVISION OF PART OF BLOCK 1, NELSEN SUBDIVISION, HALL COUNTY, NEBRASKA, AS SHOWN IN QUIT CLAIM DEED RECORDED IN BOOK 145, PAGE 666; WARRANTY DEED RECORDED IN BOOK 173, PAGE 275; AND DOCUMENT NO. 77-0001916, Defendants, real names unknown. Defendants, you and each of you, are hereby notified that on or about December 2, 2020, the Plaintiff City of Grand Island, Nebraska filed its complaint in the District Court of Hall County, Nebraska, Case No. CI20-1160, against each of you and others, the object and prayer of which is to foreclose county treasurer certificate of tax sales no. 20170217 and 20170218, which were purchased by the Plaintiff on or about March 10, 2017 covering taxes for 2016 and subsequent tax years; Plaintiff prays for a Decree granting Plaintiff the relief requested in Plaintiff's Complaint; an accounting of the aggregate amount due against each of said parcels of real estate, for foreclosure of the liens, and sale of the said properties and satisfaction in the amounts so found due in each cause of action. You and each of you are required to answer said Complaint on or before May 17, 2021 and if you fail to do so, your default will be taken and judgment entered accordingly Dated this 29th day of March, 2021. City of Grand Island, Nebraska, Plaintiff By: Jerom E. Janulewicz NSB#16747 Attorney for Plaintiff 100 East First Street PO Box 1968 Grand Island, NE 68802 (308) 385-5390 jerryj@grand-island.com 2-9-16

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