Case No. 15-2-11731-4 SUMMONS BY PUBLICATION AS TO DEFENDANTS THE ESTATE OF TIMOTHY KISSNER, DECEASED; THE UNKNOWN HEIRS AND DEVISEES OF TIMOTHY KISSNER, DECEASED; JOHN AND JANE DOES, I THROUGH V, OCCUPANTS OF THE SUBJECT REAL PROPERTY, AND ALSO ALL OTHER PERSONS OR PARTIES UNKNOWN, CLAIMING ANY RIGHT, TITLE, INTEREST, LIEN OR ESTATE IN THE PROPERTY DESCRIBED HEREIN IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR PIERCE COUNTY THE BANK OF NEW YORK MELLON FKA. THE BANK OF NEW YORK, AS TRUSTEE FOR THE CERTIFICATIONHOLDERS OF THE CWALT, INC., ALTERNATIVE LOAN TRUST 2007-17CB MORTGAGE PASS-THROUGH CERTIFICATES, SERIES 2007- 17CB, Plaintiff, vs. THE ESTATE OF TIMOTHY KISSNER, DECEASED; THE UNKNOWN HEIRS AND DEVISEES OF TIMOTHY KISSNER, DECEASED; MARIA VICTORIA KISSNER; JOHN DOE, UNKNOWN SPOUSE OF MARIA VICTORIA KISSNER; THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YORK AS TRUSTEE FOR THE BENEFIT OF THE CERTIFICATEHOLDERS OF THE CWHEQ INC., HOME EQUITY LOAN ASSET-BACKED CERTIFICATES, SERIES 2006S4; JOHN AND JANE DOES, I THROUGH V, OCCUPANTS OF THE SUBJECT REAL PROPERTY, AND ALSO ALL OTHER PERSONS OR PARTIES UNKNOWN CLAIMING ANY RIGHT, TITLE, INTREST, LIEN OR ESTATE IN THE PROPERTY DESCRIBED HEREIN, Defendants. THE STATE OF WASHINGTON TO: DEFENDANTS THE ESTATE OF TIMOTHY KISSNER, DECEASED; THE UNKNOWN HEIRS AND DEVISEES OF TIMOTHY KISSNER, DECEASED; JOHN AND JANE DOES, I THROUGH V, OCCUPANTS OF THE SUBJECT REAL PROPERTY, AND ALSO ALL OTHER PERSONS OR PARTIES UNKNOWN, CLAIMING ANY RIGHT, TITLE, INTEREST, LIEN OR ESTATE IN THE PROPERTY DESCRIBED HEREIN You are hereby summoned to appear within sixty days after the date of the first publication of this Summons, to wit, within sixty days after the 8th day of April, 2016, and defend the above entitled action in the above entitled court, and answer the complaint of the Plaintiff, THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YORK, AS TRUSTEE FOR THE CERTIFICATIONHOLDERS OF THE CWALT, INC., ALTERNATIVE LOAN TRUST 2007-17CB MORTGAGE PASS-THROUGH CERTIFICATES, SERIES 2007-17CB, and serve a copy of your answer upon the undersigned attorneys for plaintiff; Justin T. Jastrzebski; Katherine A. Christofilis; and Marisa A. Bender of Weinstein & Riley, P.S. at their offices below stated; and in case of your failure so to do, judgment will be rendered against you according to the demand of the complaint, which has been filed with the clerk of said court. The object of said action is to judicially foreclose on the following described real property: LOT 10 OF SADDLEBROOK, ACCORDING TO PLAT RECORDED OCTOBER 24, 1990 UNDER RECORDING NO. 9010240400, IN PIERCE COUNTY, WASHINGTON Commonly known as: 10816 222nd Ave Ct E, Buckley, WA 98321, DATED this 6th day of April, 2016. WEINSTEIN & RILEY P.S. By: /s/Justin T. Jastrzebski. WSBA #46680 Katherine A. Christofilis, WSBA #42584 Marisa A. Bender, WSBA #38191 Attorneys for Plaintiff 2001 Western Ave., Suite 400 Seattle, WA 98121 206-269-3493 IDX-692533 April 8, 15, 22, 29, May 6, 13