City of Assumption vs. Donald Taylor, etc. Case No. 2021MR34
IN THE CIRCUIT COURT FOR THE FOURTH JUDICIAL CIRCUIT CHRISTIAN COUNTY, ILLINOIS
THE CITY OF
ASSUMPTION,
Plaintiff,
vs.
DONALD TAYLOR, (LEROY TAYLOR,
deceased JICTB, INC., CHRISTIAN COUNTY TRUSTEE, MS
INVESTMENT GROUP, INC., and
UNKNOWN
INTERESTED
PARTIES
Defendants.
Case No. 2021 MR 34
FOR PUBLICATION
Hearing on Petition for Demolition
Notice Content:
PUBLIC NOTICE IN THE CIRCUIT COURT OF THE FOURTH JUDICIAL CIRCUIT, CHRISTIAN COUNTY, ILLINOIS, The City of Assumption, Petitioner v. Donald Taylor, (Leroy Taylor, Deceased), JICTB, Inc., Christian County Trustee, MS Investment Group, Inc., and Unknown Interested Parties, Case Number 21-MR-34.
NOTICE OF PUBLICATION. The requisite affidavit for publication having been filed on July 8, 2021, notice is hereby given to: Donald Taylor, (Leroy Taylor, Deceased), JICTB, Inc., Christian County Trustee, MS Investment Group, Inc., and Unknown Interested Parties, Defendants in the above-titled action, that a Petition for Demolition has been commenced in the Circuit Court of Christian County by said Petitioner against you and other defendants, praying for an order authorizing the Plaintiff to Demolish the Property at 712 E. Illinois St., Assumption, Illinois, and for any and all rights and remedies afforded to the City of Assumption under 65 ILCS 5/11-31-1. The property commonly known as 712 E. Illinois St., Assumption, Illinois, 62510, has a 1 gal description as follows: Lots Fifteen (15) and Sixteen (16) in Block Number Two (2) in Burton and Mitchell’s Addition to the City of Assumption.
Now, therefore, unless Donald Taylor, (Leroy Taylor, Deceased), JICTB, Inc., Christian County Trustee, MS Investment Group, Inc., and Unknown Interested Parties, file your appearance and Answer to the Complaint in said action in the Office of the Clerk of the Circuit Court of Christian County, Illinois, on or before September 13, 2021 at 9:00 a.m., a default may be entered against you at any time after that day and a judgment entered in accordance with the prayer for relief in said Petition.
THE CITY OF
ASSUMPTION,
Petitioner
BY: ERICKSON, DAVIS, MURPHY, JOHNSON & WALSH, Is Attorneys,
/s/Jack Kiley
Jack Kiley, ARDC#6291696
ERICKSON, DAVIS, MURPHY, JOHNSON & WALSH, LTD.
Attorneys for Petitioner
132 S. Water, Suite 610
Decatur, IL 62523
Tel: 217-428-0948
Fax: 217-428-0996
Email: jkiley@ericksondavislaw.com
karen@ericksondavislaw.com
8/20, 8/27, 9/3, 2021