Summons

SUMMONS IN THE CIRCUIT COURT OF THE STATE OF OREGON FOR YAMHILL COUNTY Case No. 22CV24243 PC-0216-N JOINT VENTURE and PACWEST FUNDING, INC. dba Precision Capital, an Oregon business corporation, v. THOMAS ALAN WRIGHT; CHRISTINE SANDMANN WRIGHT, individually and as Trustee of the Thomas Alan Wright Tes-tamentary Trust; KATHERINE SPENSER WRIGHT BASSE; THOMAS PATTERSON WRIGHT; UNKNOWN HEIRS OF THOMAS ALAN WRIGHT; and ALSO ALL OTHER PERSONS OR PARTIES UNKNOWN. To: KATHERINE SPENSER WRIGHT BASSE; THOMAS PATTERSON WRIGHT; UNKNOWN HEIRS OF THOMAS ALAN WRIGHT; and ALSO ALL OTHER PERSONS OR PARTIES UNKNOWN claiming any right, title, claim, estate, lien, or interest in the property described in the Complaint. Explanation of the Complaint and Relief Requested. Plaintiffs seek a money judgment against the estate of Thomas Alan Wright (Defendant Wright), for the amounts due on a promis-sory note and foreclosure of a Trust Deed, which granted Plaintiffs, as beneficiaries by assignment, a security interest in certain real property commonly referred to as 909 NE Center Street, Sheridan, Oregon, 97378, and more particularly described as Lot 24, C. T. MYERS SUBDIVISIONS IN BLOCK 3 HILL-CREST ADDITION to Sheridan, County of Yamhill, State of Oregon (the Property). Defendant Katherine Spenser Wright Basse (Defendant Basse) and defendant Thomas Patterson Wright (Defendant Patterson) are named because Defendant Basse and Defendant Patterson were listed as heirs of Defendant Wright in Yamhill County Circuit Court Case No. 17PB03470 (the Probate Proceeding); which was dismissed for failure to administer. Plaintiffs do not have knowledge regarding Defendant Wright’s heirs beyond what is provided in the court of record in the Probate Proceeding. Because of the possible adverse effect of this lawsuit, notice is being given, and Defendant Basse and Defendant Patterson are being given the opportunity to appear in this case and present their claims and defenses to the relief requested by Plaintiffs. The relief requested may impact the rights and interests of heirs named above, and heirs who are presently unknown (the Unknown Heirs), who are joined in this case pursuant to ORCP 20 I. Because of the possible adverse effect of this lawsuit, notice is being giv-en, and Defendant Basse, Defendant Patterson, and the Unknown Heirs are being given the opportunity to appear in the case and present their claims and defenses to the relief requested by Plaintiffs. The relief requested may impact the rights and interests of third parties who are presently unknown (the Unknown Parties), who are joined in this case pursuant to ORCP 20 J. Because of the possible adverse effect of this lawsuit, notice is being given, and the Un-known Parties are being given the opportunity to appear in the case and present their claims and defenses to the relief requested by Plaintiffs. Plaintiffs seek (1) a money judgment be awarded against Defendant Wright in the amount of $187,758.90, and for additional sums that may be awarded to Plaintiffs, together with post-judgment interest from the date of entry until paid, unpaid taxes, for such other and further amounts that Plaintiffs may be required to pay in accordance with proof, to other parties in this case, in order to protect Plaintiffs’ interest in the Property pursuant to the Trust Deed, including but not limited to any amounts that Plaintiffs must pay to parties who are determined to have an interest in the Property which has a higher priority than the lien of the first Trust Deed, Plain-tiff’s reasonable attorney fees, and (2) a declaration that the lien of Plaintiffs’ Trust Deed is prior in time, right, title, and interest to any interest in the Property of Defendants, and forever foreclosing all right, title, lien, claim or interest of Defendants in the Property and declaring any such rights are inferior to Plaintiffs’, and foreclosing the lien of the Trust Deed and ordering the sale of the Property by the Sheriff of Yamhill County, in the manner prescribed by law. Plaintiffs are not seeking a deficiency judgment against Defend-ant Wright. IN THE NAME OF THE STATE OF OREGON: You are hereby required to appear and answer the Complaint filed against you in the above-entitled case within 30 days from the first date of publication of this summons, and if you fail so to answer, for want thereof, the Plaintiffs will apply to the court for the relief demanded therein. NOTICE TO DEFENDANTS: READ THESE PAPERS CAREFULLY! You must appear in this case or the other side will win automatically. To appear you must file with the court a legal document called a motion or answer. The motion or answer must be given to the court clerk or administrator within 30 days of the date of first publication specified herein along with the required filing fee. It must be in proper form and have proof of service on the Plaintiffs’ attorney or, if the Plaintiffs do not have an attorney, proof of service on the Plaintiffs. The date of first publication is November 9, 2022. If you have questions, you should see an attorney immediately. If you need help in finding an attorney, you may contact the Oregon State Bar’s Lawyer Referral Service online at www.oregonstatebar.org or by calling 503-684-3763 or toll-free elsewhere in Oregon at 800-452-7636. WATKINSON, LAIRD, RUBENSTEIN, P.C. Of Attorneys for Plaintiffs Julia I. Manela, OSB No. 023771 Email: jmanela@wlrlaw.com 1203 Willamette Street, Ste 200 PO Box 10567, Eugene, OR 97440 T: 541-484-2277, F: 541-484-2282 Trial Attorney: Connor D. King, OSB No. 193945 Email: cking@wlrlaw.com Published Nov. 9, 16, 23 & 30, 2022. NG264209

ad: 264209

Publication: Miscellaneous 2

Section: Legals

Start Date: 2022/11/09

End Date: 2022/11/30

Court Number: 22CV24243

Owner: WATKINSON, LAIRD, RUBENSTEIN, P.C.

City: EUGENE

County: Yamhill