NO. 20-2-08563-0-SUMMONS BY PUBLICATION

NO. 20-2-08563-0-SUMMONS BY PUBLICATION

NO. 20-2-08563-0

SUMMONS BY PUBLICATION

IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF PIERCE

ANDREW T. MILLER and RACHEL MILLER, and the marital community comprised thereof, LEFT | RIGHT INCORPORATED, a Washington corporation, and GATSBY VILLA LLC, a Washington limited liability company,

Plaintiffs,

vs.

MICHAEL K. KUEHNER, KASTLE ENTERPRISES, LLC, a Nevada limited liability company, 12718, LLC, a Nevada limited liability company, GRAVLAKE DEVELOPMENT LLC, a Nevada limited liability company, VELOCITY COMMERCIAL CAPITAL, LLC, a California limited liability company, SWI TRUST, and ALL OTHER PERSONS OR PARTIES UNKNOWN CLAIMING ANY RIGHT, TITLE, ESTATE, LIEN OR INTEREST IN THE REAL PROPERTY DESCRIBED IN THE COMPLAINT,

Defendants.

THE STATE OF WASHINGTON TO DEFENDANTS ALL OTHER PERSONS OR PARTIES UNKNOWN CLAIMING ANY RIGHT, TITLE, ESTATE, LIEN OR INTEREST IN THE REAL PROPERTY DESCRIBED IN THE COMPLAINT:

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 24th day of May, 2021, and defend the above-entitled action in the above entitled court, and answer the complaint of the Plaintiffs, and serve a copy of your answer upon the undersigned attorneys for Plaintiffs, at their office 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 action regards that certain real property commonly known as 12718, 12712 and 12730 Gravelly Lake Drive SW, Lakewood, Pierce County, Washington, Pierce County Tax Parcel Nos. 6435000152, 6435000153, and 6435000154 (hereinafter “Property”). This action is to quiet title to real property pursuant to chapter 7.28 RCW. The object of the action is to determine all adverse claims to the Property; to adjudge that Plaintiffs own in fee simple absolute, and are entitled to the quiet and peaceful possession of, the Property, and that Defendants, and all persons claiming under them, have no estate, right, title, lien, or interest in or to the Property or any part of it; to permanently enjoin each Defendant, and all persons claiming under or through them, from asserting any adverse claim of title to the Property; and to recover Plaintiffs’ damages, reasonable attorneys’ fees and costs of suit.

DATED this 19th day of May, 2021.

PHILLIPS BURGESS PLLC

/s/ Trevor A. Zandell

Trevor A. Zandell, WSBA #37210 Of Attorneys for Plaintiffs 111 – 21st Avenue SW Olympia, WA 98501

360-742-3500

Fax: 360-742-3519

IDX-927976

May 24, June 1, 7, 14, 21, 28, 2021