SUMMONS - SERVICE BY PUBLICATION STATE OF INDIANA ) IN THE LAKE SUPERIOR COURT, Civil Division 4 )SS: COUNTY OF LAKE ) CAUSE NO. 45D04-2606-MF-000553 U.S. BANK TRUST, N.A. AS TRUSTEE OF CFMT 2024-NR1 TRUST, Plaintiff, vs. THE UNKNOWN HEIRS AND DEVISEES OF JOSEPH S. GULIK, DECEASED, CHRISTINA ANN MARIE GULIK and INDIANA HOUSING AND COMMUNITY DEVELOPMENT AUTHORITY, Defendants. NOTICE OF SUIT The State of Indiana to the Defendant(s) above named, and any other person who may be concerned. You are hereby notified that you have been sued in the Court above named. The nature of the suit against you is: Complaint on Note and to Foreclose Mortgage on Real Estate Against the property commonly known as 2414 E 37th Ave, Lake Station, IN 46405-2803 and described as follows: THE LAND REFERRED TO HEREIN BELOW IS SITUATED IN THE COUNTY OF LAKE, STATE OF INDIANA, AND IS DESCRIBED AS FOLLOWS:ALL THAT CERTAIN PARCEL OF LAND SITUATE IN THE COUNTY OF LAKE, STATE OF INDIANA, BEING KNOWN AND DESIGNATED AS FOLLOWS: THE EAST 17 FEET OF LOT 25, ALL OF LOT 26 AND TH? WEST 4 FEET OF LOT 27, BLOCK 5, SPIELMANS ADDITION TO GARY, AS SHOWN IN PLAT BOOK 13, PAGE 7, LAKE COUNTY INDIANA. This summons by publication is specifically directed to the following named defendant(s): Christina Ann Marie Gulik and Indiana Housing and Community Development Authority This summons by publication is specifically directed to the following named defendant(s) whose whereabouts are unknown: The Unknown Heirs and Devisees of Joseph S. Gulik, Deceased If you have a claim for relief against the plaintiff arising from the same transaction or occurrence, you must assert it in your written answer or response. You must answer the Complaint in writing, by you or your attorney, within thirty (30) days after the Third Notice of Suit, and if you fail to do so a judgment by default may be entered against you for the relief demanded, by the Plaintiff. FEIWELL & HANNOY, P.C. By /s/ Barry T. Barnes BARRY T. BARNES Attorney No. 19657-49 Attorney for Plaintiff BARRY T. BARNES FEIWELL & HANNOY, P.C. 8415 Allison Pointe Blvd., Suite 400 Indianapolis, IN 46250 (317) 237-2727 NOTICE FEIWELL & HANNOY, P.C. IS A DEBT COLLECTOR. 6/12, 6/19, 6/26/2026 88948
SUMMONS – SERVICE BY PUBLICATION STATE OF INDIANA ) IN THE LAKE SUPERIOR COURT, Civil Division 4 )SS: COUNTY OF LAKE ) CAUSE NO. 45D04-2606-MF-000553 U.S. BANK TRUST, N.A. AS TRUSTEE OF CFMT 2024-NR1 TRUST, Plaintiff, vs. THE UNKNOWN HEIRS AND DEVISEES OF JOSEPH S. GULIK, DECEASED, CHRISTINA ANN MARIE GULIK and INDIANA HOUSING AND COMMUNITY DEVELOPMENT AUTHORITY, Defendants. NOTICE OF SUIT The State of Indiana to the Defendant(s) above named, and any other person who may be concerned. You are hereby notified that you have been sued in the Court above named. The nature of the suit against you is: Complaint on Note and to Foreclose Mortgage on Real Estate Against the property commonly known as 2414 E 37th Ave, Lake Station, IN 46405-2803 and described as follows: THE LAND REFERRED TO HEREIN BELOW IS SITUATED IN THE COUNTY OF LAKE, STATE OF INDIANA, AND IS DESCRIBED AS FOLLOWS:ALL THAT CERTAIN PARCEL OF LAND SITUATE IN THE COUNTY OF LAKE, STATE OF INDIANA, BEING KNOWN AND DESIGNATED AS FOLLOWS: THE EAST 17 FEET OF LOT 25, ALL OF LOT 26 AND TH? WEST 4 FEET OF LOT 27, BLOCK 5, SPIELMANS ADDITION TO GARY, AS SHOWN IN PLAT BOOK 13, PAGE 7, LAKE COUNTY INDIANA. This summons by publication is specifically directed to the following named defendant(s): Christina Ann Marie Gulik and Indiana Housing and Community Development Authority This summons by publication is specifically directed to the following named defendant(s) whose whereabouts are unknown: The Unknown Heirs and Devisees of Joseph S. Gulik, Deceased If you have a claim for relief against the plaintiff arising from the same transaction or occurrence, you must assert it in your written answer or response. You must answer the Complaint in writing, by you or your attorney, within thirty (30) days after the Third Notice of Suit, and if you fail to do so a judgment by default may be entered against you for the relief demanded, by the Plaintiff. FEIWELL & HANNOY, P.C. By /s/ Barry T. Barnes BARRY T. BARNES Attorney No. 19657-49 Attorney for Plaintiff BARRY T. BARNES FEIWELL & HANNOY, P.C. 8415 Allison Pointe Blvd., Suite 400 Indianapolis, IN 46250 (317) 237-2727 NOTICE FEIWELL & HANNOY, P.C. IS A DEBT COLLECTOR.
6/12, 6/19, 6/26/2026
88948
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