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HomeMy WebLinkAbout20162680.tiffDISTRICT COURT, WELD COUNTY. COLORADO 901 9TH AVENUE, P.O. BOX 2038 (80632), GREELEY, CO 80631 In the Matter of the Application of NATIONSTAR MORTGAGE LLC for an Order Authorizing the Public Trustee of WELD County Colorado, to Sell Certain Property Under a Power of Sale Contained in a Deed of Trust. A Court Use Only Case No: Attorneys: Janeway Law Firm, P.C. 9800 S. Meridian Blvd.. Suite 400 Englewood, CO 80112 Phone No: (303) 706-9990 Fax No: (303) 706-9994 Atty Reg#15592 Lynn M. Janeway (lynn@janewaylaw.com) Atty Reg#16092 Elizabeth S. Marcus (lizmarcus@janewaylaw.com Atty Reg#40042 David R. Doughty (david@janewaylaw.com) Atty Reg#34531 Alison L. Berry (alisonberry@janewaylaw.com) Atty Reg#46592 Nicholas H. Santarelli (nicksantarelli@janewaylaw.com) Atty Reg'i46915 Kelly Murdock (kellymurdock@janewaylaw.com) Atty Reg#36637 Sheila J. Finn (sheilafinn@janewaylaw.com) Div: Courtroom: NOTICE OF HEARING ON MOTION FOR ORDER AUTHORIZING SALE TAKE NOTICE THAT YOU MAY BE AFFECTED BY THE FORECLOSURE OF A DEED OF TRUST ON THE PROPERTY DESCRIBED BELOW: NATIONSTAR MORTGAGE LLC ("Applicant') has filed a Motion with this Court, as the holder of an evidence of debt pursuant to C.R.S. 38-38-100.3 (the -Evidence of Debt'). and deed of trust containing the power of sale in the original amount of 8240,000.00. executed by Grantor(s) WOODY KISLOWSKI and ROWENA B. KISLOWSKI dated March 14, 2003 and recorded March 27, 2003 at reception number 3045682 rerecorded on May 2. 2003, at Reception number 3058412 in the real propert) records of WELD County. Colorado (the "Deed of Trust'). The Motion claims that Applicant has the right to foreclose the lien of the Deed of Trust because the covenants of the Deed of Trust have been violated as follows: Violations including, but not limited to, the failure to make timely payments as required under the Deed of Trust. The Motion requests an order authorizing the Public Trustee to sell this property: THE N1/2 OF THE SE1/4 OF SECTION 5, TOWNSHIP 8 NORTH, RANGE 67 WEST OF THE 6TH P.M., COUNTY OF WELD, STATE OF COLORADO. Purported Address: 7925 WCR 96. WELLINGTON. CO 80549 If you dispute the default or other facts claimed by Applicant to justify this foreclosure, or if you are entitled to protection against the foreclosure under the Servicemembers Civil Relief Act 50 U.S.C. § 3901-4043 (2003) you must file and serve a response to the Motion, stating under oath er)O V.%V"\ t2 • Ca. } ion S s-iaai►cO 16-011920 cc,' o5RCCG) , COL( CH) -it(RF) ss le- (Co 2016-2680 the facts upon which you rely and attaching copies of all documents which support your position. This response must be filed with the Clerk of this Court, at WELD COUNTY DISTRICT COURT. 901 9th Avenue, P.O. Box 2038 (80632), Greeley, CO 80631 on or before August 31, 2016, and a copy of the response must also be mailed, delivered or dated on or before the same date to Janeway Law Firm, P.C., 9800 S. Meridian Blvd., Suite 400. Englewood, CO 80112, fax: (303) 706-9994. You may be required to pay a docket fee at the time of the filing the response. A hearing on the Motion is scheduled for 9:00 A.M. on September 7, 2016, in the civil division of WELD COUNTY DISTRICT COURT, 901 9th Avenue, P.O. Box 2038 (80632), Greeley, CO 80631. You may attend this hearing with or without an attorney. IF NO RESPONSE IS FILED BY AUGUST 31, 2016, THE COURT MAY DISPENSE WITH THE HEARING AND AUTHORIZE THE FORECLOSURE AND PUBLIC TRUSTEE'S SALE WITHOUT FURTHER NOTICE. If this case is not filed in the county where your property is located, you have the right to ask the Court to move the case to that county. Your request may be made as a part of your response or any paper you file with the Court at least seven days before the hearing. IF YOU BELIEVE THAT THE LENDER OR SERVICER OF THIS MORTGAGE HAS VIOLATED THE REQUIREMENTS FOR A SINGLE POINT OF CONTACT IN SECTION 38-38-103.1, COLORADO REVISED STATUTES, OR THE PROHIBITION ON DUAL TRACKING IN SECTION 38-38-103.2, COLORADO REVISED STATUTES, YOU MAY FILE A COMPLAINT WITH THE COLORADO ATTORNEY GENERAL, THE FEDERAL CONSUMER FINANCIAL PROTECTION BUREAU, OR BOTH, AT: Office of the Attorney General Ralph L. Carr Colorado Judicial Center 1300 Broadway, 10th Floor Denver, CO 80203 Phone (720) 508-6000 www.colorado alto rneyg en eral.gov Consumer Financial Protection Bureau P.O. Box 4503 Iowa City, Iowa 52244 Phone (855) 411-2372. www.cons um erfinan ce.gov THE FILING OF A COMPLAINT WILL NOT STOP THE FORECLOSURE PROCESS. 16-011920 Notice issued: August 11, 2016 Attorneys for Plaintiff/Applicant JANEWAY LAW FIRM. P.C. i G Lynn Vfaneway #15592 David R. Doughty #40042 Elizabeth S. Marcus #16092 Alison L. Berry #34531 Nicholas H. Santarelli #46592 Kelly Murdock I/16915 Sheila J. Finn #36637 JLFk 16-011920 Address of Plaintiff/Applicant: 8950 Cypress Waters Blvd, Coppell, Texas 75019 The notice and motion are being filed simultaneously with the mailing of this notice. You may obtain the court's case/civil action number by contacting the court or our office. THIS FIRM IS DEEMED TO BE A DEBT COLLECTOR ATTEMPTING TO COLLECT A DEBT AND ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE. IF YOU ARE IN BANKRUPTCY OR THIS DEBT HAS BEEN DISCHARGED IN BANKRUPTCY, THE COLLECTION ACTION DESCRIBED IN THIS NOTICE SHALL BE AGAINST THE REAL PROPERTY THAT SECURES THE DEBT AND NOT AGAINST YOU PERSONALLY. PT # 16-0248 I6-011920 Hello