CV-2015-18R (Published in the Sunday editions of The Duncan Banner, March 15, 22 and 29, 2015- 3 times.) IN THE DISTRICT COURT OF STEPHENS COUNTY STATE OF OKLAHOMA Dynasty Oil and Gas, LLC, and Pagosa Resources, L.L.C. and Sekani Exploration, LLC Plaintiffs, vs. Mary Sue Cothran a/k/a Mary Sue Cothern, deceased, and Walter Neal Cothran a/k/a Walter Neal Cothern, and Cassandra Lee Pylant, f/k/a Cassandra Lee Palmer, and Phillip D. McDonald, and their heirs, executors, administrators, devisees, trustees and assigns, creditors and claimants, immediate and remote, known and Defendants. Case No. CV-2015018R NOTICE BY PUBLICATION THE STATE OF OKLAHOMA TO: Walter Neal Cothran a/k/a Walter Neal Cothern 818 112 S. 3rd Street Renton, WA 98057; Cassandra Lee Pylant f/k/a Cassandra Lee Palmer c/o Sibyl Boyd 2805 W. Teton Dr. Springfield, MO 65810; Phillip D. McDonald 923 W. Osage Street Marlow, OK 73055; Mary Sue Cothran a/k/a Mary Sue Cothern, deceased, and her heirs, executors, administrators, devisees, trustees and assigns, creditors and claimants, immediate and remote, known and unknown. YOU, and each of you, are hereby notified that Plaintiffs have filed. a petition in the District Court of Stephens County, State of Oklahoma, Case No. 2015-18R, against you, and each of you, alleging that they are the owners of the following undivided mineral interests underlying the following described real property situate in Stephens County, State of Oklahoma, towit: Net Mineral Record Owner Dynasty Oil and Gas, LLC Description E/2 NE/4 NE/4 and SE/4 NE/4 of Section 19-2N-4W, containing 60.00 acres, more or less Mineral Interest 58.3333% of (1/2 x 1/4 x 1/2) Net Mineral Acres 2.1875 Pagosa Resources, L.L.C. E/2 NE/4 NE/4 and SE/4 NE/4 of Section 19-2N-4 W, containing 60.00 acres, more or less 25.00% of (1/2 x 1/4 x 112) 0.9375 Sekani Exploration, LLC E/2 NE/4 NE/4 and SE/4 NE/4 of Section 19-2N-4W, containing 16.6667% of(1/2 x 1/4 x 112) 60.00 acres, more or less 0.625 That the Defendants, and each of them, be adjudged to have no right, title, claim, estate, or interest in and to the undivided mineral interests owned by Plaintiffs and involved in this cause of action, and that they, and each of them, be perpetually barred and enjoined from setting up or asserting any right, title, claim, estate, or interest in and to said undivided mineral interests. The said Defendants, and each of them, must answer the petition filed herein by Plaintiff on or before the 6th day of May, 2015 or said petition will be taken as true and correct and judgment rendered accordingly decreeing that said Plaintiffs are the owners of the property described in said petition. Given under my hand and seal this 9 day of March, 2015. MARGARET CUNNINGHAM, COURT CLERK By DANA BLEVINS Deputy Court Clerk (SEAL) J. David Hampton, OBA #3790 HAMPTON AND MILLIGAN 119 N. Robinson Ave., Suite 225 Oklahoma City, OK 73102-4613 (405) 235-5620 Attorney for Plaintiff
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