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CB Government and Public Services Review of Treb Investments & Bayard T Ryder
Treb Investments & Bayard T Ryder

Treb Investments & Bayard T Ryder review: Land Grab - Gulfport, MS

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How does the above MS Code 11-17-1 argue in the following newspaper notice:
There is a lot on information missing and if TREB Investments removes some of the property owners released from the cause - is this not a practice of discrimination? As a senior citizen, and one who was going to build a place to retire on the coast, I think this situation warrants someone at the state and federal level to see just exactly what is going on. The person Bayard Ryder has many aliases and have moved around the country some. He is approx. 70 years of age and appears to have had some police and civil problem's in Sedona, AZ. He filed a quit claim deed in June 0f 2009, Harrison County, against all the property owners owning land he once did. claiming the land to be his. Where do we take this kind of activity? It appears to be a method to make people give away the land they own for free, by making them think there is a state law that allows an individual to re-claim land he once owned - while he lives accross the country. There is also a cause No. [protected] (Laura A. Stuckart vs. Tod Bayard Ryder et al) June 30, 2008. There may be others. He lived on Renee, Gulfport, MS and on Kelly, Long Beach, MS. There is much more information to be learned, and that requires good investigation. I sent some infomation to MS Real Estate Commission for investigation. WLowenkamp

Classifieds
Announcements : Summons

IN THE CHANCERY COURT ...
Date Listed: May 10
Newspaper ID #1403018
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IN THE CHANCERY COURT ...
IN THE CHANCERY COURT OF HARRISON COUNTY, MISSISSIPPI FIRST JUDICIAL DISTRICT TREB INVESTMENTS, LLC PLAINTIFF vs. CAUSE NO. [protected] LAURA A. STUCKART, TONY CAROLAN, DAVID GATES, CHARLES B GATES, EDITH HOPE HILL, FRANK SOUTHERN, DANIEL T. MORGAN, BARBARA BAXTER, JOE BAXTER, JOHN R. POWELL, LINDA C. POWELL, WILLIAM L. LOWENKAMP JR, ANASTASIA V. VARENITA, NATALIA N. TCACENCO, TRACEY L. LEVENS, MARY KATHRYN ROLANDO, JOSEPH EDWARD MANARD, JAMES KINNEY, IAN CLARK, BECCA E. VANDERFORD, WELDON L. LATHAM, JENNIFER L. WILLINGHAM, EE GROUP, FACTORY HILL LLC, HABITAT FOR HUMANITY OF THE MISSISSIPPI GULF COAST, INC., THE CITY OF GULFPORT, AND THE HEIRS AT LAW OF ANY OF THE AFORESAID PARTIES, IF DECEASED, AND ANY AND ALL PERSONS, FIRMS OR CORPORATIONS HAVING OR CLAIMING ANY INTEREST IN AND TO THE WITHIN DESCRIBED LANDS SOLD FOR TAXES DEFENDANTS SUMMONS BY PUBLICATION THE STATE OF MISSISSIPPI TO: (1) Barbara Baxter, whose last known address was 138 Kenmore Avenue, Biloxi, MS 39531, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (2) Joe Baxter, whose last known address was 138 Kenmore Avenue, Biloxi, MS 39531, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (3) William L. Lowenkamp, Jr, whose last known address was 1044 Lowenkamp Lane, Hazelhurst, MS 39083, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (4) Anastasia V. Varenita, whose last known address was 1044 Lowenkamp Lane, Hazelhurst, MS 39083, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (5) Natalia N. Tcacenco, whose last known address was 1044 Lowenkamp Lane, Hazelhurst, MS 39083, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (6) Ian Clark, whose last known address was 3608 Park Blvd, Gulfport, MS 39501, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (7) Weldon L. Latham, whose last known address was 118 Stinespring Road, Natchez, MS 39120, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (8) Becca E. Vanderford, whose last known address was 835 Lackland Drive, Biloxi, MS 39532, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (9) Laura A. Stuckart, whose last known address was 463 Merchants Path, Wainscott, NY 11975, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (10) Tony Carolan, whose last known address was 741 N. York St, Elmhurst, IL 60126, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (11) David Gates, whose last known address was 1 Calle Rio, Mary Esther, FL [protected], but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (12) Charles B. Gates, whose last known address was 1 Calle Rio, Mary Esther, FL [protected], but who may be served with process by publication under MRCP Rule 4 if not found at these addresses; and (13) Edith Hope Hill, whose last known address was 285 Country Club Drive, Plant City, FL 33565, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (14) Frank Southern, whose last known address was 2112 Tuttle Ter, Sarasota, FL 34234, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (15) Daniel T. Morgan, whose last known address was 25 Deep Green Lane, Levittown, PA 19055, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (16) John R. Powell, whose last known address was 3362 El Camino Reel, Las Vegas, NV 89121, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (17) Linda C. Powell, whose last known address was 3362 El Camino Reel, Las Vegas, NV 89121, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (18) Tracey L. Levens, whose last known address was 8413 Whitewater Drive, Bakersfield, CA 93312, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (19) Mary Kathryn Rolando, whose last known address was P. O. Box 808, Houma, LA 70361, or 703 Highland Drive, Houma, LA [protected], but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (20) Joseph Edward Manard, if living, and the devisees or heirs-at-law, if he is deceased, whose last known address was 955 Rue De Palms, Niceville, FL 32578, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (21) James Kinney, whose last known address was 10529 E Edbrooke, Chicago, IL 60628, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (22) Jennifer L. Willingham, whose last known address was 1606 Sag Road, Sag Harbor, NY 11963, but who may be served with process by publication under MRCP Rule 4 if not found at this address; and (23) EE Group is an unknown organization which may exist in the United Kingdom, but which may be served with process upon its local address of Post Office Box 4064, Gulfport, MS 39502, or may be served by publication pursuant to Rule 4(c)(4) of the Mississippi Rules of Civil Procedure if not found; and (24) Factory Hill, LLC is a Mississippi Limited Liability Company which may be served with process upon its registered Agent, Lee F. Kennedy at 250 Beauvior Road, Suite 4C, Biloxi, MS 39531, or may be served by publication pursuant to Rule 4(c)(4) of the Mississippi Rules of Civil Procedure if not found; and (25) Habitat for Humanity of the Mississippi Gulf Coast, Inc. is a Mississippi Corporation which may be served with process upon its registered Agent, Lee N. Perry at Suite 1209, One Hancock Plaza, Gulfport, MS 39502, or may be served by publication pursuant to Rule 4(c)(4) of the Mississippi Rules of Civil Procedure if not found; and (26) The City of Gulfport, Mississippi, is a municipal corporation and may be served with process by service upon its Mayor, George Schloegel, or its attorney, Jeff Bruni, at 2309 15th St, Gulfport, MS 39501; and (27) The heirs at law of any of the aforesaid parties, if deceased, whose names, post offices addresses, and street addresses are all unknown to the Complainant after diligent search and inquiry, who may be served with process by publication, under MRCP Rule 4; and (28) Any and all persons, firms, or corporations having or claiming any interest in and to the within described lands, whose names, post offices addresses, and street addresses are all unknown to the Complainant after diligent search and inquiry, who may be served with process by publication, under MRCP Rule 4, having or claiming to have any right, title or interest, whether legal or equitable in and to the following described property situated in the First Judicial District of Harrison County, Mississippi, as follows, to wit; Lots 59 and 60 Block 4 ReSubdivision of Biloxi River Estates Unit 1, according to the Plat thereof on file in the records of Harrison County, Mississippi, First Judicial District. Lots 12, 13, 14, and 15 Block 5 Re-Subdivision of Biloxi River Estates Unit 1, according to the Plat thereof on file in the records of Harrison County, Mississippi, First Judicial District. Lots 12, 13, 14, 15, 16, 17, 18, and 19 Block 6 ReSubdivision of Biloxi River Estates Unit 1, according to the Plat thereof on file in the records of Harrison County, Mississippi, First Judicial District. Lot 49 Block 6 Re-Subdivision of Biloxi River Estates Unit 1, according to the Plat thereof on file in the records of Harrison County, Mississippi, First Judicial District. Lots 61, 62, 63, 64, 65, and 66 Block 6 Re-Subdivision of Biloxi River Estates Unit 1, according to the Plat thereof on file in the records of Harrison County, Mississippi, First Judicial District. Lots 14, 15, 16, 17, and 18 Block 7 Re-Subdivision of Biloxi River Estates Unit 1, according to the Plat thereof on file in the records of Harrison County, Mississippi, First Judicial District. Lots 35, 36, and 37 Block 7 Re-Subdivision of Biloxi River Estates Unit 1, according to the Plat thereof on file in the records of Harrison County, Mississippi, First Judicial District. Lots 51, 52, 53, 54, 55, and 56 Block 7 Re-Subdivision of Biloxi River Estates Unit 1, according to the Plat thereof on file in the records of Harrison County, Mississippi, First Judicial District. Lots 68, 69, 70, 71, and 72 Block 7 Re-Subdivision of Biloxi River Estates Unit 1, according to the Plat thereof on file in the records of Harrison County, Mississippi, First Judicial District. Lots 17, 18, and 19 Block 11 Factory Hill, according to the Plat thereof on file in the records of Harrison County, Mississippi, First Judicial District. You have been made a Defendant in the suit filed in this Court by Treb Investments, LLC, the Plaintiff, seeking to Void Tax Sales and Confirm Title, as more fully set out in the above referenced cause number which is on file in the Chancery Court of Harrison County, Mississippi. Defendants other than you in this action are: None You are required to mail or hand-deliver a copy of a written response of the Petition to Treb Investments, LLC, Plaintiff, whose post office address is Post Office Box 1116, Gulfport, MS 39502. YOUR RESPONSE MUST BE MAILED OR DELIVERED WITHIN THIRTY (30) DAYS AFTER THE 10TH DAY OF MAY, 2010, WHICH IS THE DATE OF THE FIRST PUBLICATION OF THIS SUMMONS. IF YOUR RESPONSE IS NOT SO MAILED OR DELIVERED, A JUDGMENT BY DEFAULT WILL BE ENTERED AGAINST YOU FOR THE MONEY OR OTHER RELIEF DEMANDED IN THE COMPLAINT. You must also file the original of your Response with the Clerk of the Court within a reasonable time afterward. Issued under my hand and the seal of this Court this the 30th day of April, 2010. JOHN McADAMS, CHANCERY COURT CLERK BY: Rachel Watson DEPUTY CLERK ADV10, 17, 24, 3MON 1403018
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Update by lionfight10
Aug 19, 2016 3:43 am EDT

How does a person who defaulted on taxes back in 1993 come to claim ownership of all the lands forfeited under Harrison County MS Tax Sales where the land and dwellings passed through several other owners until 2010, when the individual in Sedona, AZ filed a Quit Claim Deed against multiple properties, some with dwellings, against all the current owners who have deeds, paid taxes, etc. since 1995. This individual is using a Misssissippi Code 11-17-1 as his case. The case is filed in the Chancery Court of harrison Country against multiple individuals and states that the Tax office "illegally" sold his properties at tax sales. How can a person file a Quit Claim Deed against property under the deeded ownership of others? The interesting thing is that his legal firm is a company called TREB Investments, which is owned by another Law Firm and an attorney in the background. Any Valid Comments? People like Habitat for Humanity are included in this case. Interesting, since they have built dwellings on some of this land and now the guy in AZ wants it all back. Does this stink or is this a legimate way to steal back property from years past?

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