IN THE SUPERIOR COURT OF THE STATE OF WASHINGTON IN AND FOR THE COUNTY OF KITTITAS U.S. BANK NATIONAL ASSOCIATION, as Indenture Trustee on behalf of and with respect to Ajax Mortgage Loan Trust 2018-B, Mortgage-Backed Notes, Plaintiff, v. MICHELLE E. LOUN, ALLEN C. LOUN, MICHAEL WHELAN and LYNNE WHELAN, individually and as husband and wife, THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YORK, as the Trustee for the Benefit of the Certificate Holders of CWHEQ INC., HOME EQUITY LOAN ASSET-BACKED CERTIFICATES, SERIES 2006-S2, ANY AND ALL UNKNOWN OCCUPANTS OF THE PREMISES, and ANY AND ALL PERSONS OR PARTIES UNKNOWN CLAIMING ANY RIGHT, TITLE, ESTATE, LIEN, OR INTEREST IN THE PROPERTY DESCRIBED IN THE COMPLAINT, Defendants. No. 20-2-00269-19 SUMMONS BY PUBLICATION THE STATE OF WASHINGTON TO DEFENDANT MICHELLE E. LOUN: You are hereby summoned to appear within sixty (60) days after the date of the first publication of this Summons, to wit, within sixty (60) days after the 12th day of January, 2021, and defend the above-entitled action in the above-entitled Court, and answer the Complaint for Judicial Foreclosure on Deed of Trust and Money Due of the Plaintiff U.S. BANK NATIONAL ASSOCIATION, as Indenture Trustee on behalf of and with respect to Ajax Mortgage Loan Trust 2018-B, Mortgage-Backed Notes ("Plaintiff"), and serve a copy of your answer upon the undersigned attorneys for Plaintiff at the 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 Complaint seeks a judgment to be entered and recorded against the property commonly known as 4615 Vantage Highway, Ellensburg, WA 98926 (the "Subject Property"). Subject to certain boundary line exceptions set forth in the Complaint, the Subject Property is legally described as "Parcel A of that certain Survey recorded September 23, 1994, in Book 20 of Surveys, page 133, under Auditor's File No. 575316, being a portion of the West Half of the Southwest Quarter of Section 33, Township 18 North, Range 19 East, W.M., in the County of Kittitas, State of Washington." Plaintiff seeks an order declaring You in default of Your Deed of Trust on the Subject Property, as well as an order that the Deed of Trust be judicially foreclosed, such that the Subject Property be sold by the Sheriff; that the proceeds from the sale be applied to said judgment, increased interest, and such additional amounts as Plaintiff may advance pre- and post-judgment for attorneys' fees, costs, advances, Sheriff's expenses, taxes, assessments, municipal charges, and such other items as may constitute lien upon the Subject Property, together with insurance and repairs necessary to prevent impairment of the security, together with interest thereon; and that Defendants and all persons or parties claiming under them, after execution of the Deed of Trust, as modified and assigned, be forever barred and foreclosed from all rights, claims, interests, or equity of redemption in any part of the Subject Property when the time for redemption has elapsed. Finally, Plaintiff seeks an order (1) permitting it or any party to this action to be the purchaser at the foreclosure sale; (2) directing the Sheriff, after the time for redemption has elapsed to execute a Deed of Sale to the purchaser; and (3) awarding Plaintiff's reasonable and necessary attorney fees and costs of suit incurred herein. Plaintiff's Attorneys: Christopher G. Varallo Daniel J. Gibbons Maximillian K. Archer Witherspoon Kelley 422 W. Riverside, Suite 1100 Spokane, Spokane County, Washington 99201 (509) 624-5265 / (509) 458-2728 facsimile DATED this 12th day of January, 2021. WITHERSPOON - KELLEY By:___________________________________ Christopher G. Varallo, WSBA No. 29410 Daniel J. Gibbons, WSBA No. 33036 Maximillian K. Archer, WSBA No. 54081 Attorneys for Plaintiff PUBLISH: Daily Record: January 12, 19, & 26, 2021 and February 2, 9, & 16, 2021




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