Article clipped from Alpine Avalanche

THE STATE OF TEXAS County of Brewster In the Name and by the Authority of The State of Texas TO: Dr. H. F Bush, J. F. Baines, S .P. Brietenstine, Lauretta V Bright, S. P. Buestentive, S. P rietersten, S. P. Brietenstein, C. A. Bonds, Josephine Calbo, Jos ephine Clabo, J. M Copeland, Ben Coons, T. E. Davis, G. C. Dawson, Cc. C. Ezell, L. E Fox, T. E. Fox, Santa Fe Land T T Co, W F Friend, L. E. Foxason, Adella C Gledney, J. T. Geer, A. N. Gar rett, J. H. Hadnett, C .Q. Haley, M. C. Hunt, J. M. Heay, Gertrude ©. Hadnett, Johnnie Jenkins, Mrs. Julia Jenson, J M. Jemison, May Johnson, Johnnie Jenkins, Alice King, Mrs. Augusta King, C. F Kyner, Austasia King, John W lwake, H. Leach, Eugene Muck strom, Eugene Muckenstrom, Sam Maschansky, Sam Machansky, M r. Morris, Ross McKim, Chas. P Ober, Orient Dev. Co., J. J. Prater, B. B. Ratiff, D. M. Rumph, B. B. Ratliff, J. F. Rainer, J. J. Richard son, George B. Sample, Geo. S Semple, FE. M. Stephens, Rose C. Sladek, Frank Sarend, J F. Shaw, FE. M. Stephens, D. Sharpe, L. Stubblefield, W. M. Simon, Rose C. Sladek, Ellen Smith, P.M White, Mrs. Margaret E. Voight, H. M Wagley, H. M. Wagley, whose name and residence are un known, and the respective un known heirs and legal representa tives of all the above named par ties, Santa Fe Land T T. Co. and Orient Dev. Co., corporations, and the unknown stockholders of said corporations and their heirs and legal representatives, the un known owner or owners of the heimafter described property and their heirs and legal representa tives, whose names and places of residence are unknown, and any and all other persons, including adverse claimants, owning, or hav ing, or claiming any legal or equitable interest in or lien upon the herein after des cribed property delinquent to plaintiff herein for taxes. YOU ARE HEREBY NOTIFIED that suit has been brought and is now pending in the Honorable District Court, 83rd Judicial Dis trict, Brewster County, Texas, wherein The State of Texas for itself and on behalf of Brewster County and the Common School District No. 2 is plaintiff; and you and each of you, are defendants, by the filing by said plaintiff of a petition on the 20th day of Decem ber, 1949, and the file number of said suit being No. 8123-A and the nature of which is a suit to collect delinquent ad valorem tax es on the following described prop erty: to wit: Abstract 2361; Certificate 1039; Survey 23; Blk 6-9; Grantee H E W TRy. and containing 600 acres; S “© and NW 4 and W % of NE ‘4 and NE “4 of NE 4 to gether with interest, penalties, costs, charges, and expenses of suit which have accrued and which may legally accrue thereon. The amount of taxes due each plaintiff, exclusive of interest, pen alties and costs is as follows: State Taxes $53.87 County Taxes 66 47 School Taxes $ 8.80 TOTAL $129.14 The names of all taxing units which assess and collect taxes on said property not made party to this suit are none. Plaintiff and all other taxing units who may set up their tax claims herein seek recovery of delinquent ad valorem taxes on the property herein above des cribed, and in addition to the taxes, all interest, penalties, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of liens, if any, secur ing the payment of same, as pro vided by law. All parties to this suit, including plaintiff, defendants, and inter venors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delin quent thereon at any time there after up to the day of judgment, including all interest, penalties, and costs allowed by law thereon, may, upon request therefor, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings now on file and which may here after be filed in said cause by all Citation By Publication In Delinquent Tax Suits and Return THE STATE OF TEXAS County of Brewster In the Name and by the Authority of The State of Texas TO. Russell Allen, Big Bend Realty Dev. Co., John C. Big ham, Ida W. Barnes, John R Cul mer, Judith Culmer, Ben C. Copy, Bert V. Chanse, Rex W. Dixon, Chase. Daily, John C. Drake, aul R. Dietzen, Carolyn L Feld, James B. Goss, Conrad Herber, Emma Herber, Glenn B. Heard, Seth Irwin, Della B. Jenkins, Mau rice L. Jones, Fred W. Leavell, W. H. Long, Iva Moreland, Harry W Moore, Le#ild R. Throckmorton, Henry W. Moore, Durand C. New man, Yance D. McCoy, Oran A. Province, Albert Peele, Albert Peelle, L. Genevieve Parker, Oran A. Provice, Joseph F Pullman, Walter A. Queriser, Walter A. Queisser, Fred J. Ostemeyer, Carl L. Rost, Eugene E. Sims, Clar ence E. Strange, Beauford W. Shook, Sam J Switow, Wm. L. Shaver, Earl W. Showalter, Eu gene E. Sims, Robi. W. Webb, Margaret Webb, Harry W. Wind hurt, Harley W. Windhurst, Arvid P. Zetterberg, whose name and residence are un known, and the respective un known heirs and legal represent atives of all the above named parties, Big Bend Realty and Dev Co., @ corporation, and the un known stockholders of said cor poration and their heirs and legal representatives, the unknown own er or owners of the hereinafter described property and their heirs and legal representatives, whose names and places of residence are unknown, and any and all other persons, including adverse claim ants, owning, or having, or claim ing any legal or equitable interest in or lien upon the herein after described property delinquent to plaintiff herein for taxes. YOU ARE HEREBY NOTIFIED that suit has been brought and is now pending in the Honorable District Court, 83rd Judicial Dis trict, Brewster County, Texas, wherein The State of Texas for itself and on behalf of Brewster County and the Common School District No. 2 is plaintiff; and you and each of you, are defendants, by the filing by said plaintiff of a petition on the 20th day of Dec ember, 1949, and the file number of said suit being No. 8122-A and the nature of which is a suit to collect delinquent ad valorem taxes on the following described property, to wit: Abstract 3204; Certificate 1220; Survey 3; Blk 245; Grantee; T St. Louis Ry. and containing 612% acres; being SW \4 and NE ‘4 and E % of NW `4@ and NW \4 of NW 1a and N ® of SW 4 of NW 1a and SW '4 of SW \4 of NW 4 and W ® of SE \4 and NE \4 of SE `4 and SW 4 of SE \4 of SE ‘Ma and NE `4 of SE 4 of SE \4 and NE 44 of NW 4 of SE \4 of SE ‘4, together with interest, pen alties, costs, charges, and expenses of suit which have accrued and which may legally accrue thereon. The amount of taxes due each plaintiff, exclusive of interest, penalties and costs is as follows: State Taxes $10.57 County Taxes $11 26 School Taxes $ 1.88 TOTAL $23.71 The names of all taxing units which assess and collect taxes on said property not made party to this suit are none. Plaintiff and all other taxing units who may set up their tax claims herein seek recovery of delinquent ad valorem taxes on the property herein above des cribed, and in addition to the ‘taxes, all interest, penalties, and costs allowed by law thereon up to and including the day of judgment herein, and the establishment and foreclosure of liens, if any, secur ing the payment of same, as pro vided by law. All parties to this suit, including plaintiff, defendants, and inter venors, shall take notice that claims not only for any taxes which were delinquent on said property at the time this suit was filed but all taxes becoming delin quent thereon at any time there after up to the day of judgment, including all interest, penalties, and costs allowed by law thereon, may, upon request therefor, be recovered herein without further citation or notice to any parties herein, and all said parties shall take notice of and plead and answer to all claims and pleadings
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Alpine Avalanche

Alpine, Texas, US

Fri, Jan 13, 1950

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