as the place of trial because the
real property affected by this
action is located in said county.
NOTICE
YOU ARE IN DANGER OF
LOSING YOUR HOME
If you do not respond to this
summons and complaint by
serving a copy of the answer on
the attorney for the mortgage
company who fi led this
foreclosure proceeding against
you and fi ling the answer with
the court, a default judgment
may be entered and you can
lose your home.
Speak to an attorney or go to
the court where your case is
pending for further information
on how to answer the summons
and protect your property.
Sending a payment to the
mortgage company will not stop
the foreclosure action.
YOU MUST RESPOND BY
SERVING A COPY OF THE
ANSWER ON THE ATTORNEY
FOR THE PLAINTIFF
(MORTGAGE COMPANY)
AND FILING THE ANSWER
WITH THE COURT.
Date: September 2 nd , 2021
ROBERTSON, ANSCHUTZ,
SCHNEID, CRANE &
PARTNERS, PLLC
Attorney for Plaintiff
VERONICA M. RUNDLE, ESQ
900 Merchants Concourse,
Suite 310
Westbury, NY 11590
516-280-7675
Summons and Notice of Object
of Action SUPREME COURT
OF THE STATE OF NEW YORK
COUNTY OF QUEENS QUIET
TITLE INDEX #: 713457/2019
FREEDOM MORTGAGE CORPORATION
Plaintiff, Vs UNKNOWN
HEIRS OF ROSA LEE SMITH,
IF LIVING, AND IF HE/SHE BE
DEAD, ANY AND ALL PERSONS
UNKNOWN TO PLAINTIFF,
CLAIMING, OR WHO MAY CLAIM
TO HAVE AN INTEREST IN, OR
GENERAL OR SPECIFIC LIEN
UPON THE REAL PROPERTY
DESCRIBED IN THIS ACTION;
SUCH UNKNOWN PERSONS
BEING HEREIN GENERALLY
DESCRIBED AND INTENDED
TO BE INCLUDED IN WIFE,
WIDOW, HUSBAND, WIDOWER,
HEIRS AT LAW, NEXT OF KIN,
DESCENDANTS, EXECUTORS,
ADMINISTRATORS, DEVISEES,
LEGATEES, CREDITORS,
TRUSTEES, COMMITTEES,
LIENORS, AND ASSIGNEES OF
SUCH DECEASED, ANY AND ALL
PERSONS DERIVING INTEREST
IN OR LIEN UPON, OR TITLE
TO SAID REAL PROPERTY BY,
THROUGH OR UNDER THEM,
OR EITHER OF THEM, AND
THEIR RESPECTIVE WIVES,
WIDOWS, HUSBANDS, WIDOWERS,
HEIRS AT LAW, NEXT OF
KIN, DESCENDANTS, EXECUTORS,
ADMINISTRATORS, DEVISEES,
LEGATEES, CREDITORS,
TRUSTEES, COMMITTEES,
LIENORS, AND ASSIGNS, ALL
OF WHOM AND WHOSE NAMES,
EXCEPT AS STATED, ARE UNKNOWN
TO PLAINTIFF, CITY
REGISTER OF THE CITY OF
NEW YORK Defendant(s). MORTGAGED
PREMISES: 130-57 224th
Street Laurelton, NY 11413 DSBL
#: 12902–8 To the Above named
Defendant: You are hereby summoned
to answer the Complaint in
this action, and to serve a copy of
your answer, or, if the Complaint is
not served with this Summons, to
serve a notice of appearance, on
the Plaintiff(s) attorney(s) within
twenty days after the service of
this Summons, exclusive of the day
of service (or within 30 days after
the service is complete if this Summons
is not personally delivered to
you within the State of New York).
In case of your failure to appear
or answer, judgment will be taken
against you by default for the relief
demanded in the Complaint. The
Attorney for Plaintiff has an offi ce
for business in the County of Erie.
Trial to be held in the County of
Queens. The basis of the venue
designated above is the location
of the Mortgaged Premises. TO
UNKNOWN HEIRS OF ROSA LEE
SMITH Defendant In this Action.
The foregoing Summons is served
upon you by publication, pursuant
to an order of HON. Pam Jackman
Brown of the Supreme Court
Of The State Of New York, dated
the Twenty-Fourth day of August,
2021 and fi led with the Complaint
in the Offi ce of the Clerk of the
County of Queens, in the City of
Jamaica. The object of this action
is to Quite Title a mortgage upon
the premises described below, dated
the November 10, 2010, and recorded
at CFRN 20100000408067
in the Offi ce of the Queens County
Clerk, on the December 6, 2010.
On March 7, 1979, the prior owners
of the Subject Property transferred
the Subject Property to
Rosa Lee Smith. The deed was
recorded at Reel 1146 Page 9292
in the Offi ce of the City Register,
Queens County (“Smith Deed”).
The next deed of record executed
on or about November 7, 1995
was from Rosa May Thomas as
executor of the last will and testament
of Rosa Lee Smith to Leslie
A. Waldron and Merlene J. Waldron,
his wife. (“Waldron Deed”).
The Waldron Deed was recorded
in the Offi ce of the City Register,
Queens County at Reel 4238 Page
2081; The property in question is
described as follows: 130-57 224th
Street, Laurelton, NY 11413 If you
do not respond to this summons
and complaint by serving a copy of
the answer on the attorney for the
mortgage company who fi led this
Quiet Title proceeding against you
and fi ling the answer with the court,
a default judgment may be entered
and you can lose your home.
TIMESLEDGER | Q 30 NS.COM | SEPT. 24 - SEPT. 30, 2021
Speak to an attorney or go to the
court where your case is pending
for further information on how to
answer the summons and protect
your property. Sending a payment
to your mortgage company will not
stop this foreclosure action. YOU
MUST RESPOND BY SERVING A
COPY OF THE ANSWER ON THE
ATTORNEY FOR THE PLAINTIFF
(MORTGAGE COMPANY) AND
FILING THE ANSWER WITH THE
COURT. DATED: August 25, 2021
Gross Polowy, LLC Attorney(s)
For Plaintiff(s) 1775 Wehrle Drive,
Suite 100, Williamsville, NY 14221.
The law fi rm of Gross Polowy, LLC
and the attorneys whom it employs
are debt collectors who are attempting
to collect a debt. Any information
obtained by them will be
used for that purpose. 69903
SUPREME COURT OF THE
STATE OF NEW YORK
COUNTY OF QUEENS
INDEX NO. 700565/2018
Plaintiff designates QUEENS
as the place of trial situs of the
real property
SUPPLEMENTAL SUMMONS
Mortgaged Premises:
10972 201ST STREET SAINT
ALBANS, NY 11412
District: Section:
Block: 10940 Lot: 116
NATIONSTAR MORTGAGE
LLC D/B/A CHAMPION
MORTGAGE COMPANY,
Plaintiff,
vs.
ANGELA WALLACE HEIR
TO THE ESTATE OF GRACE
WALLACE AKA GRACE
WINIFRED WALLACE AND
DEVISEE UNDER THE LAST
WILL AND TESTAMENT OF
GRACE WALLACE A/K/A
GRACE WINIFRED WALLACE;
PAUL WALLACE, HEIR TO
THE ESTATE OF GRACE
WALLACE A/K/A GRACE
WINIFRED WALLACE AND
AS DEVISEE UNDER THE
LAST WILL AND TESTAMENT
OF GRACE WALLACE A/K/A
GRACE WINIFRED WALLACE,
DONALD WALLACE, HEIR
TO THE ESTATE OF GRACE
WALLACE A/K/A GRACE
WINIFRED WALLACE AND
AS DEVISEE UNDER THE
LAST WILL AND TESTAMENT
OF GRACE WALLACE A/K/A
GRACE WINIFRED WALLACE,
TREVOR WALLACE, HEIR
TO THE ESTATE OF GRACE
WALLACE A/K/A GRACE
WINIFRED WALLACE AND
AS DEVISEE UNDER THE
LAST WILL AND TESTAMENT
OF GRACE WALLACE A/K/A
GRACE WINIFRED WALLACE,
MINERVA BROWN A/K/A
MENERVA BROWN, HEIR
TO THE ESTATE OF GRACE
WALLACE A/K/A GRACE
WINIFRED WALLACE if living,
and if she/he be dead, any
and all persons unknown to
plaintiff, claiming, or who may
claim to have an interest in, or
general or specifi c lien upon
the real property described
in this action; such unknown
persons being herein generally
described and intended to
be included in the following
designation, namely: the wife,
widow, husband, widower, heirs
at law, next of kin, descendants,
executors, administrators,
devisees, legatees, creditors,
trustees, committees, lienors,
and assignees of such
deceased, any and all persons
deriving interest in or lien upon,
or title to said real property by,
through or under them, or either
of them, and their respective
wives, widows, husbands,
widowers, heirs at law, next of
kin, descendants, executors,
administrators, devisees,
legatees, creditors, trustees,
committees, lienors and
assigns, all of whom and whose
names, except as stated, are
unknown to plaintiff, STANLEY
J. BROWN, HEIR TO THE
ESTATE OF GRACE WALLACE
A/K/A GRACE WINIFRED
WALLACE, ANGELA BROWN
HEIR TO THE ESTATE OF
GRACE WALLACE A/K/A
GRACE WINIFRED WALLACE,
HOGARTH BROWN A/K/A
HOUGHARTH BROWN HEIR
TO THE ESTATE OF GRACE
WALLACE A/K/A GRACE
WINIFRED WALLACE,
SELVIN WALLACE HEIR TO
THE ESTATE OF GRACE
WALLACE A/K/A GRACE
WINIFRED WALLACE if living,
and if she/he be dead, any
and all persons unknown to
plaintiff, claiming, or who may
claim to have an interest in, or
general or specifi c lien upon
the real property described
in this action; such unknown
persons being herein generally
described and intended to
be included in the following
designation, namely: the wife,
widow, husband, widower, heirs
at law, next of kin, descendants,
executors, administrators,
devisees, legatees, creditors,
trustees, committees,
lienors, and assignees of
such deceased, any and all
persons deriving interest in or
lien upon, or title to said real
property by, through or under
them, or either of them, and
their respective wives, widows,
husbands, widowers, heirs at
law, next of kin, descendants,
executors, administrators,
devisees, legatees, creditors,
trustees, committees, lienors
and assigns, all of whom
and whose names, except
as stated, are unknown to
plaintiff, UNKNOWN HEIRS
AND DISTRIUBTEE OF
THE ESTATE OF GRACE
WALLACE A/K/A GRACE
WINIFRED WALLACE any
and all persons unknown to
plaintiff, claiming, or who may
claim to have an interest in, or
general or specifi c lien upon
the real property described
in this action; such unknown
persons being herein generally
described and intended to
be included in the following
designation, namely: the wife,
widow, husband, widower, heirs
at law, next of kin, descendants,
executors, administrators,
devisees, legatees, creditors,
trustees, committees,
lienors, and assignees of
such deceased, any and all
persons deriving interest in or
lien upon, or title to said real
property by, through or under
them, or either of them, and
their respective wives, widows,
husbands, widowers, heirs at
law, next of kin, descendants,
executors, administrators,
devisees, legatees, creditors,
trustees, committees, lienors
and assigns, all of whom
and whose names, except
as stated, are unknown to
plaintiff; UNITED STATES OF
AMERICA DEPARTMENT
OF TREASURY; NEW YORK
STATE DEPARTMENT OF
TAXATION AND FINANCE–
TAX COMPLIANCE DIVISION–
C.O.-ATC; CITY OF NEW
YORK ENVIRONMENTAL
CONTROL BOARD; TRANSIT
ADJUDICATION BUREAU,
CITY OF NEW YORK
DEPARTMENT OF FINANCE
PARKING VIOLATIONS
BUREAU, NEW YORK STATE
DEPARTMENT OF TAXATION
AND FINANCE; REDSTONE
FEDERAL CREDIT UNION;
MIDLAND FUNDING NCC-2
CORPORATION; CRIMINAL
COURT OF THE CITY OF
NEW YORK; COMMISSIONER
OF SOCIAL SERVICES
OF NYC O/B/O SHAKIEMA
JOHNSON, UNITED STATES
OF AMERICA INTERNAL
REVENUE SERVICE CCP
LIEN UNIT; SECRETARY
OF HOUSING AND URBAN
DEVELOPMENT; and “JOHN
DOE #1” through “JOHN DOE
#7,” names being fi ctitious
and unknown to plaintiff, the
persons or parties intended
being the tenants, occupants,
persons or corporations, if any,
having or claiming an interest
in or lien upon the premises,
described in the complaint,
Defendants.
To the above named
Defendants
YOU ARE HEREBY
SUMMONED to answer the
complaint in this action and to
serve a copy of your answer, or,
if the complaint is not served
with this summons, to serve a
notice of appearance on the
Plaintiff’s Attorney within 20
days after the service of this
summons, exclusive of the day
of service (or within 30 days
after the service is complete if
this summons is not personally
delivered to you within the State
of New York) in the event the
United States of America is
made a party defendant, the
time to answer for the said
United States of America shall
not expire until (60) days after
service of the Summons; and
in case of your failure to appear
or answer, judgment will be
taken against you by default
for the relief demanded in the
complaint.
NOTICE OF NATURE OF
ACTION AND RELIEF
SOUGHT
THE OBJECT of the above
caption action is to foreclose
a Mortgage to secure the sum
of $450,000.00 and interest,
recorded on July 13, 2012,
at Liber Page , of the Public
Records of QUEENS County,
New York, covering premises
known as 10972 201ST
STREET SAINT ALBANS, NY
11412.
The relief sought in the within
action is a fi nal judgment
directing the sale of the
premises described above to
satisfy the debt secured by the
Mortgage described above.
QUEENS County is designated
as the place of trial because the
real property affected by this
action is located in said county.
NOTICE
YOU ARE IN DANGER OF
LOSING YOUR HOME
If you do not respond to this
summons and complaint by
serving a copy of the answer on
the attorney for the mortgage
company who fi led this
foreclosure proceeding against
you and fi ling the answer with
the court, a default judgment
may be entered and you can
lose your home.
Speak to an attorney or go to
the court where your case is
pending for further information
on how to answer the summons
and protect your property.
Sending a payment to the
mortgage company will not stop
the foreclosure action.
YOU MUST RESPOND BY
SERVING A COPY OF THE
ANSWER ON THE ATTORNEY
FOR THE PLAINTIFF
(MORTGAGE COMPANY)
AND FILING THE ANSWER
WITH THE COURT.
Dated: August 17th , 2021
ROBERTSON, ANSCHUTZ,
SCHNEID, CRANE &
PARTNERS, PLLC
Attorney for Plaintiff
ERIC S. SHEIDLOWER, ESQ.
900 Merchants Concourse,
Suite 310
Westbury, NY 11590
516-280-7675
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