IN THE DISTRICT COURT OF BURT COUNTY, NEBRASKA NOTICE TO DEFENDANTS TO: JAY R. SHARPE AND CURRENT SPOUSE OF JAY R. SHARPE, IF ANY, REAL NAME UNKNOWN: NOTICE is hereby given that on the 4th day of …

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IN THE DISTRICT COURT OF BURT COUNTY, NEBRASKA NOTICE TO DEFENDANTS TO: JAY R. SHARPE AND CURRENT SPOUSE OF JAY R. SHARPE, IF ANY, REAL NAME UNKNOWN: NOTICE is hereby given that on the 4th day of November, 2025, Plaintiff Carrington Mortgage Services, LLC filed its complaint in the District Court of Burt County, Nebraska, Case No. CI 25-84, Complaint for Foreclosure of Deed of Trust, and Plaintiff’s Complaint prays for Plaintiff’s rights and interest in the subject property be protected; that an accounting be had of the amounts due to Plaintiff on Plaintiff’s Note and Deed of Trust; that the Court decree that said amounts and Plaintiff’s Deed of Trust constitute a first and paramount lien upon the subject property; that upon entry of said decree, all right, title, lien, right of redemption, or other interest in, to, and upon the subject property, other than the right and interest, if any, in and to the surplus proceeds of the sale, if any, described herein after, of certain Defendants identified therein be forever barred and foreclosed; that in default of payment for a period of twenty (20) days from the entry of said Decree and upon praecipe, an Order of Sale be issued to the Sheriff of Burt County, Nebraska or to the Master Commissioner for the sale of the Property as provided by law and directing that the Property be sold as upon execution and directing that the proceeds of said sale be first applied to the amount adjudged to be due to Plaintiff on its Deed of Trust indebtedness, together with interest and other charges due under the Note and Deed of Trust thereon and the Plaintiff’s costs of this action including sums advanced up-to and including the entry of confirmation of sale to protect the Property and any post-confirmation proceedings; that upon the final bid being called at said sale, all right, title, lien, or other interest in, to, and upon the Property, of Defendant Jay R. Sharpe and Defendant Current Spouse of Jay R. Sharpe, if any, real name unknown, other than said Defendants’ right of redemption up and to confirmation of the sale, if any, be forever barred and foreclosed; that, after said application of the proceeds, the surplus, if any, shall be paid to the Clerk of the Court for the use of the persons entitled thereto; that if there exists any surplus, the Court will, at a later date upon the application of any other party, determine the interest, if any, of said party to such surplus; that upon confirmation of sale, the right of redemption, if any, of Defendant Jay R. Sharpe and Defendant Current Spouse of Jay R. Sharpe, if any, real name unknown, be forever barred and foreclosed; that upon confirmation of sale, a Writ of Assistance be issued to put the purchaser at such sale in peaceful possession of the Property; and for such other relief as the Court may deem just and equitable . You are required to answer said Complaint on or before February 23, 2026. CARRINGTON MORTGAGE SERVICES, LLC, Plaintiff. By: /s/ John J. Hawk, Jr. John J. Hawk, Jr. (#27403) For Walentine O’Toole, LLP 11240 Davenport Street Omaha, NE 68154 (402) 330-6300 jhawk@walentineotoole.com ITS ATTORNEYS ZNEZ BCI 1.8, 1.15 & 1.22, 2026