Public Notices 04/28/2016

2

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street, P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Eagle’s Loft Property

Owner’s Association, Inc.

Plaintiff

v.

Charles Banyard, et al

Defendants

Case No.: 2015CV30100

Attorney for Plaintiff:

John D. Alford

Hayes, Alford, Johnson & Conley, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S   B Y   P U B L I C A T I O N

AGAINST SEPARATE DEFENDANTS, CHARLES BANYARD, POY DEVELOPERS LLC, CHARLES BANYARD AND JAMES P O’GRADY

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Book 200, Page 834, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

Unit Number _____, Building Number ___, Unit Week Number ___ in Phase I of Eagle’s Loft as recorded in Reception No. 117699 in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado and as further described in that Declaration of Individual and/or Interval Ownership of Eagle’s Loft recorded on July 29, 1983, in Book 200, page 834, Reception No. 117700, in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado.

Charles Banyard, Building 1, Unit 1, Week 26, Phase I, $3976.48;Poy Developers LLC, Building 2, Unit 2, Week 42, Phase I, $5213.27; Charles Banyard, Building 3, Unit 3, Week 16, Phase I, $3928.27;James P O’Grady Building 2, Unit 2, Week 48, Phase I, $3982.27.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 31st day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street,

P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Peregrine Property

Owner’s Association, Inc.

Plaintiff

v.

CHRIS HENDERSON et al

Defendants

Case No.: 2015CV30111

Attorney for Plaintiff:

John D. Alford

Hayes, Alford & Johnson, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S    B Y   P U B L I C A T I O N

FOR SEPARATE DEFENDANT C AND S RESORT GETAWAY, LLC

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Reception Number 173556, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

A 84,000/35,486,000 undivided fee simple absolute interest in Units 7817, 7818, 7819, and 7820 in Buildings 9 and 10, as tenants in common with the other undivided interest owners of said building of Peregrine Townhouses Phase III, as depicted on the Plat recorded in Reception Number 173555 Declaration of Protective Covenants and Interval Ownership for Peregrine Townhouses recorded at Reception Number 173556, and any amendments and supplements thereto, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado.

C and S Resort Getaway LLC – Units 7817, 7818, 7819, and 7820 in Buildings 9 and 10, Phase III, $3892.24.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 11th day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street,

P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Peregrine Property

Owner’s Association, Inc.

Plaintiff

v.

DON BIROS et al

Defendants

Case No.:  2015CV30114

Attorney for Plaintiff:

John D. Alford

Hayes, Alford & Johnson, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S    B Y   P U B L I C A T I O N

FOR SEPARATE DEFENDANTS DON BIROS AND BARBARA BIROS

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Reception Number 98002628, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

A  126,000 /17,743,000 undivided fee simple absolute interest in Units 7823-7824 in Building 12, as tenants in common with the other undivided interest owners of said building of Peregrine Townhouses Phase IV, as depicted on the Plat recorded in Reception Number 98002629, subject to First Supplemental Declaration of Protective Covenants and Interval Ownership for Peregrine Townhouses recorded at Reception Number 98002628, and any amendments and supplements thereto, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado.

Don Biros and Barbara Biros – Units 7823-7824 in Building 12, Phase IV, $6829.86.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 11th day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street,

P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Peregrine Property

Owner’s Association, Inc.

Plaintiff

v.

PRONGHORN LLP et al

Defendants

Case No.: 2015CV30116

Attorney for Plaintiff:

John D. Alford

Hayes, Alford & Johnson, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S    B Y   P U B L I C A T I O N

FOR SEPARATE DEFENDANT SUPERIOR VACATIONS INC.

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Reception Number 98002628, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

A 84,000 /17,743,000 undivided fee simple absolute interest in Units 7833-7834 in Building 17, as tenants in common with the other undivided interest owners of said building of Peregrine Townhouses Phase IV, as depicted on the Plat recorded in Reception Number 98002629, subject to First Supplemental Declaration of Protective Covenants and Interval Ownership for Peregrine Townhouses recorded at Reception Number 98002628, and any amendments and supplements thereto, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado

Superior Vacations Inc. – Units 7833-7834 in Building 17, Phase IV, $2928.15.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 11th day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street,

P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Peregrine Property

Owner’s Association, Inc.

Plaintiff

v.

Diane L Branch and

INTERVAL WEEKS INVENTORY LLC et al

Defendants

Case No.: 2015CV30118

Attorney for Plaintiff:

John D. Alford

Hayes, Alford & Johnson, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S    B Y   P U B L I C A T I O N

FOR SEPARATE DEFENDANT DIANE L BRANCH AND JACK BRANCH

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Reception Number 99006556, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

A 105,000 /17,743,000 undivided fee simple absolute interest in Units 7859-7860 in Building 30, as tenants in common with the other undivided interest owners of said building of Peregrine Townhouses Phase VI, as depicted on the Plat recorded in Reception Number 99011974, subject to Second Supplemental Declaration of Protective Covenants and Interval Ownership for Peregrine Townhouses recorded at Reception Number 99006556, and any amendments and supplements thereto, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado

Diane L Branch and Jack Branch – Units 7859-7860 in Building 30, Phase VI, $6468.21.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 11th day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street,

P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Peregrine Property

Owner’s Association, Inc.

Plaintiff

v.

MICHAEL SMITH et al

Defendants

Case No.: 2015CV30120

Attorney for Plaintiff:

John D. Alford

Hayes, Alford & Johnson, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S    B Y   P U B L I C A T I O N

FOR SEPARATE DEFENDANT MICHAEL SMITH AND KELLY SMITH

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Reception Number 20002414, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

A 174,000 /17,743,000 undivided fee simple absolute interest in Units 7871-7872 in Building 36, as tenants in common with the other undivided interest owners of said building of Peregrine Townhouses Phase VII, as depicted on the Plat recorded in Reception Number 20005495, subject to Third Supplemental Declaration of Protective Covenants and Interval Ownership for Peregrine Townhouses recorded at Reception Number 20002414, and any amendments and supplements thereto, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado

Michael Smith and Kelly Smith – Units 7871-7872 in Building 36, Phase VII, $8785.83.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 18th day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street,

P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Peregrine Property

Owner’s Association, Inc.

Plaintiff

v.

JEFF BECK et al

Defendants

Case No.:  2015CV30121

Attorney for Plaintiff:

John D. Alford

Hayes, Alford & Johnson, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S   B Y   P U B L I C A T I O N

FOR SEPARATE DEFENDANT JULIAN J AGUIRRE

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Reception Number 20002414, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

A  105,000 /17,743,000 undivided fee simple absolute interest in Units 7879-7880 in Building 40, as tenants in common with the other undivided interest owners of said building of Peregrine Townhouses Phase VIII, as depicted on the Plat recorded in Reception Number 20010666, subject to Third Supplemental Declaration of Protective Covenants and Interval Ownership for Peregrine Townhouses recorded at Reception Number 20002414, and any amendments and supplements thereto, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado

Julian J Aguirre – Units 7879-7880 in Building 40, Phase VIII, $5116.00.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 11th day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street,

P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Peregrine Property

Owner’s Association, Inc.

Plaintiff

v.

JOHN J ANAYA et al

Defendants

Case No.: 2015CV30122

Attorney for Plaintiff:

John D. Alford

Hayes, Alford & Johnson, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S   B Y   P U B L I C A T I O N

FOR SEPARATE DEFENDANT RESORT MANAGEMENT SERVICES DBA CLUB SELECT RESORTS

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Reception Number 20002414, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

A 84,000 /17,743,000 undivided fee simple absolute interest in Units 7883-7884 in Building 42, as tenants in common with the other undivided interest owners of said building of Peregrine Townhouses Phase VIII, as depicted on the Plat recorded in Reception Number 20010666, subject to Third Supplemental Declaration of Protective Covenants and Interval Ownership for Peregrine Townhouses recorded at Reception Number 20002414, and any amendments and supplements thereto, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado

Resort Management Services DBA Club Select Resorts – Units 7883-7884 in Building 42, Phase VIII, $2629.69.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 11th day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street, P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Eagle’s Loft Property

Owner’s Association, Inc.Plaintiff

v.

Stan Krol, et al

Defendants

Case No.: 2015CV30128

Attorney for Plaintiff:

John D. Alford

Hayes, Alford, Johnson & Conley, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S   B Y   P U B L I C A T I O N

AGAINST SEPARATE DEFENDANTS, David Alan Monroe, Hal E Oldham, Steve Levy, Steve Levy, Austin O’Neal Taylor, Kim Dreyer, and Gene E Madden and Phyllis K Madden.

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Book 200, Page 834, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

Unit Number ____, Building Number ___, Unit Week Number ___ in Eagle’s Loft(Phase II) as recorded in Reception No. 119118 in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado and shall be subject to that Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 29, 1983, in Book 200, page 834, Reception No. 117700, and further subject to that First Supplemental Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on October 7, 1983, in Book 203, Page 564, Reception No. 119119, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado.

David Alan Monroe, Building 10, Unit 10, Week 1, Phase II, $3828.86;Hal E Oldham, Building 8, Unit 8, Week 45, Phase II, $13,693.65; Steve Levy, Building 9, Unit 9, Week 51, Phase II, $6315.73; Stevy Levy, Building 9, Unit 9, Week 13, Phase II, $6304.46; Austin O’Neal Taylor, Building 11, Unit 11, Week 12, Phase II, $3982.27;Kim Dreyer, Building 12, Unit 12, Week 21, Phase II, $3405.81; Gene E Madden and Phyllis K Madden, Building 13, Unit 13, Week 44, Phase II, $3982.27.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 31st day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street, P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Eagle’s Loft Property

Owner’s Association, Inc.

Plaintiff

v.

Pier Mirer, et al

Defendants

Case No.: 2015CV30129

Attorney for Plaintiff:

John D. Alford

Hayes, Alford, Johnson & Conley, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S   B Y   P U B L I C A T I O N

AGAINST SEPARATE DEFENDANTS, Linda K Brooks, Tiffany N Wilson, Hubert V Stanford, Linda E Stanford, Traci West, Mike West, W Louis McDonald, C L Wilcox, Dianne Wilcox, Jo Beth Turner, Ronald C Price, and Terry Lee Tyler

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Book 200, Page 834, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

Unit Number _____, Building Number ___, Unit Week Number ___ in Eagle’s Loft(Phase III) as recorded in Reception No. 130203 in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado and shall be subject to that Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 29, 1983, in Book 200, page 834, Reception No. 117700, and further subject to that Second Supplemental Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on May 30, 1984, under Reception No. 123459, as amended by that First Amendment to Second Supplemental Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 13, 1984, Reception No. 124494, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado.

Linda K Brooks and Tiffany N Wilson, Building 23, Unit 23, Week 45, Phase III, $5248.36; Hubert Stanford and Linda E Stanford, Building 25, Unit 25, Week 48, Phase III, $8904.65; Traci West and Mike West, Building 36, Unit 36, Week 50, Phase III, $3982.27; W Louis Mcdonald, Building 15, Unit 15, Week 35, Phase III, $5229.15; C L Wilcox and Dianne Wilcox, Building 16, Unit 16, Week 27, Phase III, $6453.23; Jo Beth Turner, Building 16, Unit 16, Week 18, Phase III, $20,395.81; Ronald C Price, Building 17, Unit 17, Week 25, Phase III, $5115.42; Terry Lee Tyler, Building 17, Unit 17, Week 4, Phase III, $3679.33.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 31st day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street, P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Eagle’s Loft Property

Owner’s Association, Inc.

Plaintiff

v.

W Louis Mcdonald, et al

Defendants

Case No.:  2015CV30130

Attorney for Plaintiff:

John D. Alford

Hayes, Alford, Johnson & Conley, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S    B Y   P U B L I C A T I O N

AGAINST SEPARATE DEFENDANTS, W Louis McDonald, Joseph Alanis, Janet S Alanis, William J Oertel Sr., Jay E Oertel, Interval Weeks Inventory LLC, Marilyn J Rucker, Jeannie Kenny, David K Ruff, Richard S Renard and Marjorie Renard

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Book 200, Page 834, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

Unit Number _____, Building Number ___, Unit Week Number ___ in Eagle’s Loft(Phase III) as recorded in Reception No. 130203 in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado and shall be subject to that Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 29, 1983, in Book 200, page 834, Reception No. 117700, and further subject to that Second Supplemental Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on May 30, 1984, under Reception No. 123459, as amended by that First Amendment to Second Supplemental Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 13, 1984, Reception No. 124494, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado.

W Louis McDonald, Building 17, Unit 17, Week 49, Phase III, $5229.15; Joseph Alanis and Janet S Alanis, Building 18, Unit 18, Week 24, Phase III, $11,339.77; William J Oertel Sr. and Jay E Oertel, Building 18, Unit 18, Week 6, Phase III, $5213.27; Interval Weeks Inventory LLC, Building 19, Unit 19, Week 17, Phase III, $6453.23; Marilyn Rucker, Building 21, Unit 21, Week 25, Phase III, $4033.02;Jeannie Kenny, Building 24, Unit 24, Week 45, Phase III, $3982.27; David K Ruff, Building 24, Unit 24, Week 38, Phase III, $5017.66; Richard S Renard and Marjorie E Renard, Building 25, Unit 25, Week 1, Phase III, $5996.95.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 31st day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street, P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Eagle’s Loft Property

Owner’s Association, Inc.

Plaintiff

v.

Robert A Williams, et al

Defendants

Case No.: 2015CV30131

Attorney for Plaintiff:

John D. Alford

Hayes, Alford, Johnson & Conley, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S   B Y   P U B L I C A T I O N

AGAINST SEPARATE DEFENDANTS, Robert A Williams, Berlinda W Williams, Jan A Wagner, Robert A Williams, Berlinda Williams, Gemini Investment Partners Inc., Raye E Hogan, Ronald C Price, Joseph J Ott, and Cleotha L Redmond Jr.

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Book 200, Page 834, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

Unit Number _____, Building Number ___, Unit Week Number ___ in Eagle’s Loft(Phase III) as recorded in Reception No. 130203 in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado and shall be subject to that Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 29, 1983, in Book 200, page 834, Reception No. 117700, and further subject to that Second Supplemental Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on May 30, 1984, under Reception No. 123459, as amended by that First Amendment to Second Supplemental Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 13, 1984, Reception No. 124494, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado.

Robert A Williams and Berlinda W Williams, Building 26, Unit 26, Week 41, Phase III, $6453.23; Jan A Wagner, Building 26, Unit 26, Week 42, Phase III, $5179.65; Robert A Williams and Berlinda W Williams, Building 28, Unit 28, Week 22, Phase III, $6453.23; Gemini Investment Partners Inc., Building 29, Unit 29, Week 9, Phase III, $3982.27; Raye E Hogan, Building 30, Unit 30, Week 47, Phase III, $8908.33;Ronald C Price, Building 31, Unit 31, Week 12, Phase III, $5115.42; Joseph J Ott, Building 31, Unit 31, Week 20, Phase III, $3982.27; Cleotha L Redmond Jr., Building 31, Unit 31, Week 46, Phase III, $5213.27;

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 31st day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street, P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Eagle’s Loft Property

Owner’s Association, Inc.

Plaintiff

v.

Janet L Tate, et al

Defendants

Case No.: 2015CV30132

Attorney for Plaintiff:

John D. Alford

Hayes, Alford, Johnson & Conley, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S   B Y   P U B L I C A T I O N

AGAINST SEPARATE DEFENDANTS, Janet L Tate, Life Oasis for Children LLC, The Middle Seat LLC, Interval Weeks Inventory LLC, Summit Success Inc., Alana K Oelkers, Susan E Oelkers, Darin K Oelkers, Dana K Oelkers, NHP Global Services LLC and Mark McCarthy

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Book 200, Page 834, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

Unit Number _____, Building Number ___, Unit Week Number ___ in Eagle’s Loft(Phase III) as recorded in Reception No. 130203 in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado and shall be subject to that Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 29, 1983, in Book 200, page 834, Reception No. 117700, and further subject to that Second Supplemental Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on May 30, 1984, under Reception No. 123459, as amended by that First Amendment to Second Supplemental Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 13, 1984, Reception No. 124494, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado.

Janet L Tate, Building 32, Unit 32, Week 15, Phase III, $5881.39; Life Oasis for Children LLC, Building 33, Unit 33, Week 44, Phase III, $6453.23; The Middle Seat LLC, Building 34, Unit 34, Week 10, Phase III, $5353.85; Interval Weeks Inventory LLC, Building 34, Unit 34, Week 8, Phase III, $6453.23; Summit Success Inc., Building 34, Unit 34, Week 41, Phase III, $7581.04;Alana K Oelkers, Susan E Oelkers, Darin K Oelkers and Dana K Oelkers, Building 37, Unit 37, Week 41, Phase III, $6304.46; NHP Global Services LLC, Building 37, Unit 37, Week 38, Phase III, $4008.58; Mark McCarthy, Building 40, Unit 40, Week 32, Phase III, $3982.27.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 31st day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

Court Address: 449 San Juan Street, P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Eagle’s Loft Property

Owner’s Association, Inc.

Plaintiff

v.

Chris Givings LLC, et al

Defendants

Case No.: 2015CV30133

Attorney for Plaintiff:

John D. Alford

Hayes, Alford, Johnson & Conley, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S   B Y   P U B L I C A T I O N

AGAINST SEPARATE DEFENDANTS, Maxine Davies 1987 Revocable Trust dated 9/1/1987, Elwyn Davies and Maxine Davies, Trustees, Jack D Pettus, Marmac Ett LLC, Marilynnn K Birrell, Ashley Jackson, Lisa M Storey AKA Lisa M Nichols and Stella Dirks.

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Book 200, Page 834, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

Unit Number _____, Building Number ___, Unit Week Number ___ in Eagle’s Loft(Phase IV) as recorded in Reception No. 132402 in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado and shall be subject to that Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 29, 1983, in Book 200, page 834, Reception No. 117700, and further subject to that Third Supplemental Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 10, 1985, under Reception No. 132403, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado.

Maxine Davies 1987 Revocable Trust dated 9/1/1987, Elwyn Davies and Maxine Davies, Trustees, Building 40, Unit 40, Week 9, Phase IV, $5756.49; Jack D Pettus, Building 42, Unit 42, Week 20, Phase IV, $5213.27;Marmac Ett LLC, Building 43, Unit 43, Week 6, Phase IV, $5213.27; Marilynn K Birrell, Building 44, Unit 44, Week 33, Phase IV, $5639.56;Ashley Jackson, Building 45, Unit 45, Week 4, Phase IV, $3982.27; Lisa M Storey AKA Lisa M Nichols, Building 40, Unit 40, Week 39, Phase IV, $5238.29; Stella Dirks, Building 47, Unit 47, Week 47, Phase IV, $3982.27.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 31st day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street, P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Eagle’s Loft Property

Owner’s Association, Inc.

Plaintiff

v.

Beverly K Kirkpatrick, et al

Defendants

Case No.: 2015CV30134

Attorney for Plaintiff:

John D. Alford

Hayes, Alford, Johnson & Conley, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S   B Y   P U B L I C A T I O N

AGAINST SEPARATE DEFENDANTS, David Ray Wilkerson, Charles Banyard, Stephanie Hertz Matherne, Warren R Bryson, Richard S Renard, Marjorie E Renard, John Charles Townes and Shirley S Townes

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Book 200, Page 834, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

Unit Number _____, Building Number ___, Unit Week Number ___ in Eagle’s Loft(Phase IV) as recorded in Reception No. 132402 in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado and shall be subject to that Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 29, 1983, in Book 200, page 834, Reception No. 117700, and further subject to that Third Supplemental Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 10, 1985, under Reception No. 132403, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado.

David Ray Wilkerson, Building 49, Unit 49, Week 16, Phase IV, $3982.27; Charles Banyard, Building 49, Unit 49, Week 4, Phase IV, $3982.27; Stephanie Hertz Matherne, Building 50, Unit 50, Week 3, Phase IV, $4169.36; Warren R Bryson, Building 50, Unit 50, Week 48, Phase IV, $3982.27; Richard S Renard and Marjorie E Renard, Building 51, Unit 51, Week 15, Phase IV, $6078.14; John Charles Townes and Shirley S Townes, Building 53, Unit 53, Week 27, Phase IV, $3880.55.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 31st day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

District Court, Archuleta County, State of Colorado

Court Address: 449 San Juan Street, P.O. Box 148

Pagosa Springs, CO 81147

Tel. 970.264.2400

Eagle’s Loft Property

Owner’s Association, Inc.

Plaintiff

v.

Daniel Garcia, et al

Defendants

Case No.: 2015CV30135

Attorney for Plaintiff:

John D. Alford

Hayes, Alford, Johnson & Conley, PLLC

P.O. Box 11470

Fort Smith, AR 72917

Tel. 479.242.8814

Email: john@hajattorneys.com

Atty. Reg. No.:43104

S U M M O N S   B Y   P U B L I C A T I O N

AGAINST SEPARATE DEFENDANTS, NHP Global Services LLC, Cooper Family Holdings LLC, Dorothy Jean Rome, Phillip Rome, Stella Dirks, James A Nelson, Jayme B Nelson, David Prather, Poy Developers LLC, Alvin Beadles and Phyllis Beadles, Robert Tice III, and ST Hamm Management LLC

THE PEOPLE OF THE STATE OF COLORADO TO THE ABOVE NAMED DEFENDANTS:

You are hereby summoned and required to appear and defend against the claims of the Complaint filed with the Court in this action, by filing with the Clerk of the Court, an Answer or other response. You are required to file your Answer or other response within 35 days after the last date of publication of this summons.

If you fail to file your Answer or other response to the Complaint in writing within the applicable time period, judgment by default may be rendered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to foreclose the lien of the Association for non-payment of property owner’s association dues as required under the terms of Declarations as recorded in the office of the County Clerk and Recorder of Archuleta Colorado, at Book 200, Page 834, et.al. The referenced Complaint affects the following individuals and real property located in Archuleta County, Colorado:

Unit Number _____, Building Number ___, Unit Week Number ___ in Eagle’s Loft(Phase IV) as recorded in Reception No. 132402 in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado and shall be subject to that Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 29, 1983, in Book 200, page 834, Reception No. 117700, and further subject to that Third Supplemental Declaration of Individual and/or Interval Ownership for Eagle’s Loft recorded on July 10, 1985, under Reception No. 132403, all in the Office of the County Clerk and Recorder in and for Archuleta County, Colorado.

NHP Global Services LLC, Building 41, Unit 41, Week 20, Phase IV, $3982.27;Cooper Family Holdings LLC, Building 42, Unit 42, Week 41, Phase IV, $5061.58; Dorothy Jean Rome and Phillip Rome, Building 42, Unit 42, Week 49, Phase IV, $5330.08; Stella Dirks, Building 46, Unit 46, Week 25, Phase IV, $4023.91;James A Nelson and Jayme B Nelson, Building 50, Unit 50, Week 22, Phase IV, $6578.69; David Prather, Building 52, Unit 52, Week 9, Phase IV, $6340.39; Poy Developers LLC, Building 54, Unit 54, Week 21, Phase IV, $5213.27;Alvin Beadles and Phyllis Beadles, Building 54, Unit 54, Week 13, Phase IV, $3982.27; Robert Tice III, Building 55, Unit 55, Week 5, Phase IV, $6449.47; ST Hamm Management LLC, Building 56, Unit 56, Week 17, Phase IV, $7640.39.

In order to obtain a copy of the referenced Complaint, please contact the Plaintiff’s Attorney, John D. Alford, at P.O. Box 11470, Fort Smith, AR 72917.

Dated this 31st day of March, 2016.

/s/ John D. Alford

John D. Alford

In accordance with C.R.C.P. 121 Sec. 1-26(9), the signed original of this document is on file at the office of John D. Alford, and will be made available for inspection by other parties or the court upon request.

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

CRS §38-38-103 FORECLOSURE 

SALE NO. 2016-004

To Whom It May Concern: This Notice is given with regard to the following described Deed of Trust:

On February 25, 2016, the undersigned Public Trustee caused the Notice of Election and Demand relating to the Deed of Trust described below to be recorded in the County of Archuleta records.

Original Grantor(s) MRB, LLC, a Colorado Limited Liability Company

Original Beneficiary(ies) First Southwest Bank

Current Holder of Evidence of Debt First Southwest Bank

Date of Deed of Trust October 03, 2012

County of Recording Archuleta

Recording Date of Deed of Trust October 04, 2012

Recording Information (Reception No. and/or Book/Page No.) 21206571

Original Principal Amount $109,846.00

Outstanding Principal Balance $101,457.56

Pursuant to CRS §38-38-101(4)(i), you are hereby notified that the covenants of the deed of trust have been violated as follows: failure to pay principal and interest when due together with all other payments provided for in the evidence of debt secured by the deed of trust and other violations thereof.

THE LIEN FORECLOSED MAY NOT BE A FIRST LIEN.

Lot 4, Wedemeyer Commercial Properties Subdivision, according to the plat thereof filed for record November 7, 1984 as Reception No. 127264.

Also known by street and number as: 141 14th Street, Pagosa Springs, CO 81147.

THE PROPERTY DESCRIBED HEREIN IS ALL OF THE PROPERTY CURRENTLY ENCUMBERED BY THE LIEN OF THE DEED OF TRUST.

NOTICE OF SALE

The current holder of the Evidence of Debt secured by the Deed of Trust, described herein, has filed Notice of Election and Demand for sale as provided by law and in said Deed of Trust.

THEREFORE, Notice Is Hereby Given that I will at public auction, at 10:00 A.M. on Thursday, 06/23/2016, at 449 San Juan St, Pagosa Springs, CO 81147, sell to the highest and best bidder for cash, the said real property and all interest of the said Grantor(s), Grantor(s)’ heirs and assigns therein, for the purpose of paying the indebtedness provided in said Evidence of Debt secured by the Deed of Trust, plus attorneys’ fees, the expenses of sale and other items allowed by law, and will issue to the purchaser a Certificate of Purchase, all as provided by law.

First Publication 4/28/2016

Last Publication 5/26/2016

Name of Publication Pagosa Springs Sun

IF THE SALE DATE IS CONTINUED TO A LATER DATE, THE DEADLINE TO FILE A NOTICE OF INTENT TO CURE BY THOSE PARTIES ENTITLED TO CURE MAY ALSO BE EXTENDED;

IF THE BORROWER BELIEVES THAT A LENDER OR SERVICER HAS VIOLATED THE REQUIREMENTS FOR A SINGLE POINT OF CONTACT IN SECTION 38-38-103.1 OR THE PROHIBITION ON DUAL TRACKING IN SECTION 38-38-103.2, THE BORROWER MAY FILE A COMPLAINT WITH THE COLORADO ATTORNEY GENERAL, THE FEDERAL CONSUMER FINANCIAL PROTECTION BUREAU (CFPB), OR BOTH. THE FILING OF A COMPLAINT WILL NOT STOP THE FORECLOSURE PROCESS.

Colorado Attorney General

1300 Broadway, 10th Floor

Denver, Colorado 80203

(800) 222-4444

www.coloradoattorneygeneral.gov

Federal Consumer Financial Protection Bureau

P.O. Box 4503

Iowa City, Iowa 52244

(855) 411-2372

www.consumerfinance.gov

DATE: 02/25/2016

Betty A. Diller, Public Trustee in and for the County of Archuleta, State of Colorado

By: /s/ Betty A. Diller, Public Trustee

The name, address, business telephone number and bar registration number of the attorney(s) representing the legal holder of the indebtedness is:

Shay L. Denning #36736

Maynes Bradford Shipps & Sheftel, LLP Attorneys at Law, 835 East Second Avenue, Suite 123, Durango, CO 81302 (970) 247-1755

Attorney File # FSW0011

The Attorney above is acting as a debt collector and is attempting to collect a debt. Any information provided may be used for that purpose.

©Public Trustees’ Association of Colorado Revised 1/2015

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

__________

COMBINED NOTICE – PUBLICATION

CRS §38-38-103 FORECLOSURE 

SALE NO. 2016-005

To Whom It May Concern: This Notice is given with regard to the following described Deed of Trust:

On February 25, 2016, the undersigned Public Trustee caused the Notice of Election and Demand relating to the Deed of Trust described below to be recorded in the County of Archuleta records.

Original Grantor(s) Lyman Allen

Original Beneficiary(ies) Mortgage Electronic Registration Systems, Inc., acting solely as nominee for Cherry Creek Mortgage Co., Inc.

Current Holder of Evidence of Debt Nationstar Mortgage LLC d/b/a Champion Mortgage Company

Date of Deed of Trust January 21, 2011

County of Recording Archuleta

Recording Date of Deed of Trust January 26, 2011

Recording Information (Reception No. and/or Book/Page No.) 21100535

Original Principal Amount $241,500.00

Outstanding Principal Balance $157,537.59

Pursuant to CRS §38-38-101(4)(i), you are hereby notified that the covenants of the deed of trust have been violated as follows: failure to pay principal and interest when due together with all other payments provided for in the evidence of debt secured by the deed of trust and other violations thereof.

THE LIEN FORECLOSED MAY NOT BE A FIRST LIEN.

LOT 331, PAGOSA IN THE PINES UNIT TWO, ACCORDING TO THE PLAT THEREOF FILED FEBRUARY 7, 1972, AS RECEPTION NO. 75408, IN THE OFFICE OF THE CLERK AND RECORDER, ARCHULETA COUNTY, COLORADO.

Also known by street and number as: 97 Holiday Avenue, Pagosa Springs, CO 81147.

THE PROPERTY DESCRIBED HEREIN IS ALL OF THE PROPERTY CURRENTLY ENCUMBERED BY THE LIEN OF THE DEED OF TRUST.

NOTICE OF SALE

The current holder of the Evidence of Debt secured by the Deed of Trust, described herein, has filed Notice of Election and Demand for sale as provided by law and in said Deed of Trust.

THEREFORE, Notice Is Hereby Given that I will at public auction, at 10:00 A.M. on Thursday, 06/23/2016, at 449 San Juan St, Pagosa Springs, CO 81147, sell to the highest and best bidder for cash, the said real property and all interest of the said Grantor(s), Grantor(s)’ heirs and assigns therein, for the purpose of paying the indebtedness provided in said Evidence of Debt secured by the Deed of Trust, plus attorneys’ fees, the expenses of sale and other items allowed by law, and will issue to the purchaser a Certificate of Purchase, all as provided by law.

First Publication 4/28/2016

Last Publication 5/26/2016

Name of Publication Pagosa Springs Sun

IF THE SALE DATE IS CONTINUED TO A LATER DATE, THE DEADLINE TO FILE A NOTICE OF INTENT TO CURE BY THOSE PARTIES ENTITLED TO CURE MAY ALSO BE EXTENDED;

IF THE BORROWER BELIEVES THAT A LENDER OR SERVICER HAS VIOLATED THE REQUIREMENTS FOR A SINGLE POINT OF CONTACT IN SECTION 38-38-103.1 OR THE PROHIBITION ON DUAL TRACKING IN SECTION 38-38-103.2, THE BORROWER MAY FILE A COMPLAINT WITH THE COLORADO ATTORNEY GENERAL, THE FEDERAL CONSUMER FINANCIAL PROTECTION BUREAU (CFPB), OR BOTH. THE FILING OF A COMPLAINT WILL NOT STOP THE FORECLOSURE PROCESS.

Colorado Attorney General

1300 Broadway, 10th Floor

Denver, Colorado 80203

(800) 222-4444

www.coloradoattorneygeneral.gov

Federal Consumer Financial Protection Bureau

P.O. Box 4503

Iowa City, Iowa 52244

(855) 411-2372

www.consumerfinance.gov

DATE: 02/25/2016

Betty A. Diller, Public Trustee in and for the County of Archuleta, State of Colorado

By: /s/ Betty A. Diller, Public Trustee

The name, address, business telephone number and bar registration number of the attorney(s) representing the legal holder of the indebtedness is:

Barrett Frappier Weisserman, LLP 1199 Bannock Street, Denver, CO 80204 (303) 350-3711

Attorney File # 8686.100204.f01

The Attorney above is acting as a debt collector and is attempting to collect a debt. Any information provided may be used for that purpose.

©Public Trustees’ Association of Colorado Revised 1/2015

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

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DISTRICT COURT,

ARCHULETA COUNTY, COLORADO

Court Address: 449 San Juan Street, Pagosa Springs, CO 81147

Phone Number: (970) 264-8160

Attorney for Plaintiffs:

Daniel L. Fiedler, #44915

PO Box 5633

Pagosa Springs, CO 81147

970-317-4779

E-mail: danielfiedler@gmail.com

Case Number: 2015CV30092

Plaintiffs:

H C LAND COMPANY, INC.

v.

Defendants:

MARK BARBER & WENDY DOUDRICK, ARCHULETA COUNTY PUBLIC TRUSTEE, PAGOSA LAKES PROPERTY OWNERS ASSOCIATION, PAGOSA AREA WATER AND SANITATION DISTRICT and All Unknown Persons Who Claim Any Interest In The Subject Matter Of This Action,

SUMMONS (BY PUBLICATION)

PLAINTIFF H C LAND COMPANY, INC.

TO THE ABOVE NAMED DEFENDANTS AND ALL UNKNOWN PERSONS WHO CLAIM ANY INTEREST IN THE SUBJECT MATTER OF THIS ACTION

YOU ARE HEREBY SUMMONED and required to appear and defend against the claims of the Complaint to Quiet Title Pursuant to Rule 105 filed with the Archuleta County District Court in this action, by filing with the clerk of this Court an Answer or other response. You are required to file your answer or other response within 35 days after service of this summons upon you. Service of this summons shall be complete on the last day of publication. A copy of the Complaint may be obtained from the clerk of the court.

If you fail to file your Answer or other response to the Complaint in writing within 35 days after the date of the last publication, judgment by default may be entered against you by the Court for the relief demanded in the Complaint without further notice.

This is an action to quiet the title of the Plaintiff in and to the real property situate in Archuleta County, Colorado, more particularly described as follows:

Lot 171 Lakewood Village, according to the plat thereof filed April 30, 1979, as Reception No. 94867, in the office of the Clerk and Recorder, Archuleta County, Colorado.

Respectfully submitted this 18th day of April, 2016.

/s/ Daniel L. Fiedler

Daniel L. Fiedler

First Publication: April 28, 2016

Last Publication: May 26, 2016

Published April 28, May 5, 12, 19 and 26, 2016 in The Pagosa Springs SUN.

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County Court

Archuleta County, Colorado

449 San Juan St.

P.O. Box 148

Pagosa Springs, CO 81147

Case No. 16C14

PUBLIC NOTICE OF PETITION 

FOR CHANGE OF NAME

Public notice is given on 4/21/16 that a Petition for a Change of Name of a Minor Child has been filed with the Archuleta Court.

The Petition requests that the name of Karlie Ann Tothe be changed to Karlie Ann Rose.

/s/ Suellen Loher

Deputy Clerk

Published April 28, May 5 and 12, 2016 in The Pagosa Springs SUN.

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NOTICE OF MAIL BALLOT ELECTION

§1-13.5-1105(2)(d), 1-13.5-502

TO WHOM IT MAY CONCERN and particularly to the electors of the Aspen Springs Metropolitan District of Archuleta County, State of Colorado:

NOTICE IS HEREBY given that a regular election of the Aspen Springs Metropolitan District shall be held on Tuesday, May 3, 2016, from 7:00 a.m. until 7:00 p.m. The election is being conducted as a mail ballot election. Mail ballots are required to be mailed to eligible electors between 22 and 15 days prior to the election date.

At said election, the electors of the District shall vote for 3 (three) Directors to serve the following terms of office on the Board of Directors of the District:

The names of persons nominated as Director for a FOUR-Year Term

Jame Venturini

Patrick John Burschinger

George David Lyle

Pam Wallis

The address of the location for application and the return of mail ballots and the hours during which the office will be open: Contact Kelly Evans (970-903-7915)

The office is open Monday through Friday, between the hours of 8:00 a.m. and 4:00 p.m., beginning at least 22 days prior to Election Day (April 11th) and from 7:00 a.m. until 7:00 p.m. on Election Day (May 3rd).

Aspen Springs Metropolitan District

(district name)

Kelly Evans

(designated election official)

970-903-7915

(designated election official’s phone number)

Published in: Aspen Springs Metro Newsletter

Published on: April 12, 2016

Also Published in Pagosa Sun, April 28, 2016

Published April 28, 2016 in The Pagosa Springs SUN.

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Unit #34, 35, 36 and 37, Balog, will be confiscated/disposed of at 9:00 a.m. on April 30, 2016, if total amount due not paid in full. Alpine Storage. 946-0572.

Published April 28, 2016 in The Pagosa Springs SUN.

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PUBLIC NOTICE

The Town of Pagosa Springs has received a “Notice of Appeal” from Walmart Real Estate Business Trust, regarding the Town of Pagosa Springs Planning Director’s determination regarding the exterior parking lot lighting being in violation of the Town’s Land Use Development Code regulations.

The Town Council will conduct an Appeals Hearing to consider the facts and testimony as presented by the Town Planning Director and Walmart Real Estate Business Trust regarding the Planning Directors violation determination. The Town Council may, in whole or in part, affirm, reverse, or amend the Planning Director’s determination.

The appeals hearing is currently scheduled for Tuesday, May 10, 2016 at 5pm in Town Hall, located at 551 Hot Springs Blvd. Anyone wishing to receive more information should contact the Town Manager at 970-264-4151 x236.

The hearing is open to the public to attend, however, public comment will not be accepted during the hearing. The basis of the hearing is the Town Council’s consideration of the facts and their determination if the Planning Directors interpretation of the exterior lighting regulations is accurate.

If you plan on attending the hearing, we recommend contacting the Planning Department at 970-264-4151 x221 to confirm the hearing has not been postponed or cancelled.

Published April 28, 2016 in The Pagosa Springs SUN.

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