FIRST AMMENDED NOTICE OF PENDENCY OF ACTION QUIETING TITLE

STATE OF NEW MEXICO
COUNTY OF BERNALILLO
SECOND JUDICIAL DISTRICT COURT
Edward Arambula, [EDWARD ARAMBULA]
Plaintiff,
v.
Group one: MORTGAGE STANLEY MORTGAGE CAPITAL HOLDINGS LLC, (AKA) Morgan Stanley Mortgage Capital Holdings LLC— FV-l, Inc. in trust for Morgan Stanley Mortgage Capital Holdings LLC— Mortgage Stanley Mortgage Capital Holdings LLC by Specialized Loan Servicing, LLC as Attorney in Fact (AKA) MORTGAN STANLEY NORTGAGE CAPITAL HOLDINGS LLC By Specialized Loan Servicing LLC, AS Attorney in Fact
Group two: BAYVIEW LOAN SERVICING LLC (AKA) Bayview Loan Servicing, LLC — BAYVIEW DISPOSITIONS llla, LLC (AKA) BAYVIEW DISPOSITION lllA LLC
Group three: CITIFINANCIAL, INC—CitiFinancial Servicing LLC (AKA) CITIFINACIAL SERVICING LLC— CFNA RECIVABLES (MD), INC.-F/K/A CITIFINANCIAL, INC., (AKA) CFNA Receivables (MD), Inc. f/k/a Citifinancial, Inc.
(Any and all unknown adverse Party to Plaintiff)
Defendants,
FIRST AMMENDED NOTICE OF PENDENCY
OF ACTION QUIETING TITLE
Edward Arambula, subject property known as: 201 Wayne road north west Albuquerque New Mexico 87114 herein gives notice of the pendency of the above action to quite title to the aforesaid named Defendants, if living and if deceased to their unknown heirs; and all other unknown persons or entities who may claim a lien, interest or title adverse to the aforesaid Plaintiffs, in the hereinafter described real property:
A default judgment may be entered against you if you claim an interest in the above described real property and you do not file a timely response in this case.
Edward Arambula. 201 Wayne road North West, Albuquerque, New Mexico 87114.
NOTICE, this aforesaid address is now hereinafter the only address for service and process.
I Edward Arambula the Plaintiff is the owner in fee simple, of that certain real estate in Bernalillo, County, New Mexico, a description of which is herein:
ALL OF LOT NUMBERED EIGHTEEN (18) AND ALL EXCEPT THE WESTERLY EIGHTY FIVE FEET (WLY 85’) OF LOT NUMBERED SEVENTEEN (17) OF ENGLEBRECHT SUBDIVISION TO THE CITY OF ALBUQUERQUE, NEW MEXICO AS THE SAME IS SHOWN AND DESIGNATED ON THE MAP FILED IN THE OFFICE OF THE COUNTY CLERK OF BERNALILLO COUNTY, NEW MEXICO ON OCTOBER 30, 1941, IN PLAT BOOK D, FOLIO 85.
Which has an address that is commonly known as: 201 Wayne Road, (North West) Albuquerque New Mexico 87114
ll.
The Plaintiff is credibly informed and believes, and upon such information and belief allege, that each of the Defendants hereinabove named, or designated makes, or during their lifetimes made, or their instance some claim of lien, interest, right, or title adverse to the estate of the Plaintiff in and to the said real estate, or portion thereof, and is made a party Defendant herein by name, as near as the same can be ascertained.
lll.
The Plaintiff is credibly informed and believes, and upon information and belief alleges that each of the Defendants hereinabove named, or designated in Group One of the title of this case, which is here adopted by reference, makes the claim alleged in paragraph ll hereof, and lives, or is authorized to engage in business within the State of New Mexico.
lV.
The Plaintiff has made due search and inquiry ascertain whether each of the Defendants hereinabove names, or designated in Group Two of the title of this case, which is here adopted by reference, whom it is desired to name as a party Defendant, is living/exists as an entity , or dead/inactive, and if living/existing It’s place of doing business, and if deceased/inactive , the name and place of doing business of it’s hires/assigns/successors , but such information is unknown and cannot be ascertained by them. Plaintiff is credibly informed, and beliefs , and upon such information and belief alleges, that each of such person, is living, makes; or if is dead/inactive during its life time made; or if deceased/inactive , their unknown hires/assigns, or make, the claim alleged on Paragraph ll hereof; and that such Defendants and are made parties Defendants herein by name, if living/active; if deceased/inactive, their unknown hires/assigns, under the name and style set forth in Group Two of the title of this case, and that constructive service of process only can be obtained upon them.
V.
The Plaintiff is Credibly informed and believes, and upon such information and belief allege, that each of the Defendants hereinabove named, or designated in Group Tree of the Title of this case, which is here adopted by reference, no longer exists as an entity and during It’s life time made the claims in Paragraph ll hereof. Due search and inquire have been made to ascertain the names of all their hires/assigns of such a inactive/sunseted Corporation and all heirs/assignees so ascertain have been named. Plaintiff is credibly informed and beliefs allege, that there are unknown heirs/assignees of the said deceased persons who now make the claim alleged in Paragraph ll hereof. Due search and inquiry have been made to ascertain the names, residence, or whereabouts of such heirs/assignees, but such information is unknown to the Plaintiff and cannot be ascertained by them. The unknown hires/assignees of said deceased person/Corp. are made Parties Defendants under the style of unknown hires/assignees of said deceased person/ Corp. and constructive service of process only can be obtained upon them.
Vl.
The Plaintiff is credibly informed and believes, and upon such information and belief allege, that there are other Persons/Corps. Unknown to the Plaintiff who make the claim alleged in Paragraph ll hereof. Plaintiff has made due search and inquiry to ascertain the names, or whereabouts of such persons, but such information is unknown to the Plaintiffs and cannot be ascertained by them. Such persons have been made parties Defendants herein by name and style of Unknown Claimants of Interest in the premises Adverse to the Plaintiff,” and constructive service of process only can be obtained upon them.
Vll.
Each of the Defendants herein named or designated make some claim adverse to the estate of the Plaintiff in the real estate herein described. This action is brought by the Plaintiff to quite their title to all of the said real estate against the claims of each and all Defendants. Any claims, or pretension of any estate, right, title, or interest in or too, or lien upon, the premises hereinabove described, or any portion thereof, adverse to the estate of the Plaintiff, by any of the defendants herein made, or designated, or by any person claiming by, through, or under the Defendants or any of them, is without foundation or right, either in law or in equity.
WHEREFORE, the Plaintiff asks for the establishment of His Estate in fee simple in and into the said real estate against the adverse claims of the Defendants and each of them, and everyone claiming by, through, or under them, Be Barred and Forever Estopped from having or reclaiming any lien upon, or any right, title or interest in or to the said real estate adverse to the estate of the Plaintiff, and that the title of the Plaintiffs thereto in fee simple Be Forever Quieted and Set at Rest.
The Plaintiff further asks that He Be Permitted to have service by publication upon all of the Defendants upon whom personal service Cannot be obtained; and for such other and further relief as the Plaintiff Is Entitled To In The Premises.
Edward Arambula, Plaintiff
201 Wayne road, north west
Albuquerque, New Mexico 87114
480.241.9279
VERIFICATION
STATE OF NEW MEXICO )
)ss.
COUNTY OF BERNALILLO )
___, being first dully sworn, upon their oath depose and state: That are the Plaintiffs herein and that they have read the foregoing Complaint and know the contents thereof, and that the same is true and correct of their own knowledge, information and belief.
____ ______
SUBSCRIBE AND SWORN to before me this__day of May 2018,
by _____ ______
NOTARY PUBLIC
My Commission Expires:_____

All Parties Entitled to Notice
1 Bayview Loan Servicing, LLC at: 4425 PONCE DE LEON BLVD, 5TH FLOOR, CORAL GABLES, FL, 33146. AKA BAYVIEW LOAN SERVICING LLC at the same.
2 BAYVIEW DISPOSITION lllA, LLC/ at: 4425 PONCE DE LEON BLVD, 5TH FLOOR, CORBAL GABLES, Fl, 33146. AKA Bayview Disposition llla at the same.
3 Morgan Stanley Mortgage Capital Holdings LLC at: 1585 BROADWAY, NEW YORK, NY, 10036. AKA MORGAN STANLEY MORTGAGE CAPITAL HOLDINGS LLC at the same.
4 FV-1, Inc. In trust for Morgan Stanley Capital Holdings LLC at: 1585 Broadway, New York, NY 10036.
5 Morgan Stanley Mortgage Capital Holdings LLC by Specialized Loan Servicing, LLC as Attorney in Fact. at 1585 Broadway, New York, NY 10036. AKA MORGAN STANLEY MORTGAGE CAPITAL HOLDING LLC BY SPECIALIZED LOAN SERVICING, LLC AS ATTORNEY IN FACT at the same.
6 CITIFINANCIAL, INC. at: 10131 Coors road NW suite 13 Albuquerque NM 87114.
7 CFNA RECEIVABLES (MD), INC. F/K/A CITIFINANCIAL, INC., A MARYLAND CORPERATION, at: 300 ST. PAUL PLACE, LEGAL DEPARTMENT 17TH FLOOR, BALTIMORE, MD, 21202.
8 CITIFINANCIAL SERVICING LLC at 300 ST. PAUL PLACE LEGAL DEPARTMENT 17TH FLOOR, BALTIMORE, MD 21202.
HCS Pub. June 22, 29, July 6, 2018

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