Displaying 1 - 25 of 555

Publication Date01/08/2021

AMENDED COMPLAINT
(ACTION TO QUIET TITLE)
NON-JURY
IN THE COURT OF COMMON
PLEAS THIRTEENTH
JUDICIAL CIRCUIT
C.A. NO. 2020-CP-23-03830
STATE OF SOUTH CAROLINA
COUNTY OF GREENVILLE
Timothy N. Dickson and
Henry Crowell, as co-Personal
Representatives of the Estate of
William M. Dickson, III, Plaintiffs,
v. Estate of Emily E. Baker; Tony
A. Baker, individually and as
Personal Representative of the
Estate of Emily E. Baker; Connie
E. Wiygul; John C. Baker: and
the South Carolina Department
of Revenue; Defendants.
The Plaintiffs, complaining of
the above-named Defendants,
would respectfully show unto
the Court:
1. Plaintiffs are citizens and
residents of the County of
Greenville, State of South
Carolina are the co-Personal
Representatives of the Estate of
William M. Dickson, III. William
M. Dickson, III was the owner of
the property which is the subject
of this lawsuit at the time of his
death.
2. Emily E. Baker was the owner
and holder of that mortgage
given by Symbolic Enterprises,
LLC on March 2, 2000, in the
original amount of $23,900.00,
said mortgage being recorded
in the Office of the Register of
Deeds for Greenville County in
Book 3333, at Page 1117 on
March 3, 2000. Emily E. Baker
died on February 23, 2020
in Greenville County, South
Carolina, and her estate is being
administered in the Greenville
County Probate Court in File No.
20-2300496.
3. Upon information and belief,
Defendant Connie Wiygul
(“Wiygul”) is a citizen and
resident of Clarendon County,
South Carolina. Wiygul is an
heir of Emily E. Baker.
4. Upon information and belief,
Defendants Tony A. Baker and
John C. Baker are citizens
and residents of Greenville
County, South Carolina. These
defendants are heirs of Emily
E. Baker. Tony A. Baker has
been appointed as Personal
Representative of the Estate of
Emily E. Baker.
5. The South Carolina
Department of Revenue is
named as a defendant by virtue
of its lien filed against Symbolic
Enterprises, LLC (“Symbolic”) as
follows: (1) Tax Lien Number
3-51240140-2 in the original
amount of $3,077.34 filed in
the Greenville County Register
of Deeds Office on March
1, 2011 in Book 57, at Page
1816, and (2) Tax Lien Number
3512401402 in the original
amount of $208.26 filed on
February 22, 2011.
6. The real estate which is the
subject of this action is located
in the County of Greenville, State
of South Carolina, and is more
fully described as follows:
ALL that certain piece parcel
or lot of land situate, lying
and being in Bates Township,
Greenville County, State of South
Carolina, and being known and
designated as Lot 9 on plat of
Elizabeth Acres recorded in
Plat Book 39-W at Page 41 in
the Register of Deeds Office
for Greenville County, South
Carolina, and being a portion
of that 10.592 acre tract shown
on plat recorded in Plat Book
43-V at Page 5 in the Register
of Deeds Office for Greenville
County, South Carolina.
Reference is made to said plats
for a more detailed description.
LESS however any portion
previously conveyed and subject
to restrictions of record.
Tax map # 0505050206809
(the “Property”).
7. Symbolic took title to the
Property by deed from Ben F.
McDaniel, III, Benjamin M. Fulton
and Robert Fulton, Jr. dated
March 18, 1999 and recorded
in the ROD for Greenville County
on March 25, 2999 in Book
1827, at Page 0314. 8. Upon
information and belief, property
taxes for the Property for the
years 2011 through 2014 were
never paid.
9. On May 28, 2015, the Tax
Collector for Greenville County
mailed Notice of Delinquent
Property Taxes on the Property
for the years 2011 through
2014, via certified mail, return
receipt requested, restricted
delivery to Symbolic Enterprises,
LLC, for the delinquent amount
of taxes, penalties and costs
owed in the amount of
$1,512.47. The Notice was
unclaimed.
10. Pursuant to the usual and
customary practices of the Tax
Collector for Greenville County,
notice was posted on the
Property by C. Witt on August
10, 2015.
11. On November 16, 2015,
the Tax Collector for Greenville
County, during the usual
hours of sale and after due
advertisement, sold the Property
to William M. Dickson, III
pursuant to South Carolina Code
of Laws § 12-51-160.
12. On October 10, 2016, the
Tax Collector for Greenville
County mailed Notice of Right
of Redemption via certified
mail, return receipt requested,
restricted delivery to Symbolic.
The notice was unclaimed.
13. More than twelve (12)
months elapsed after the sale to
Plaintiff without payment
of the unpaid 2011 through
2014 property taxes from
Symbolic any grantee from
Symbolic.
14. William M. Dickson, III
received a deed to the Property
executed by A. Kevin Hunter, II,
Greenville County Tax Collector,
dated December 14, 2016,
which deed was recorded
December 28, 2016, in the
Office of the Register of Deeds
for Greenville County in Deed
Book 2503, at Page 1523.
15. William M. Dickson, III
died testate in Greenville
County on 07/04/2019, further
reference is hereby made to
Estate File 2019ES2301609 in
the Greenville County Probate
Records.
16. Plaintiff is informed and
believes that all the laws of the
State of South Carolina were
complied with in regard to said
tax sale of the Property, and that
all periods of redemption have
run. Defendant Symbolic failed
to redeem said property and is
forever barred from bringing
an action to recover title to the
subject property by the two-year
statute of limitations as stated in
South Carolina Code of Laws §
12-51-160.
17. Based upon the foregoing
allegations, Plaintiffs are
informed, believe and allege
that Plaintiffs now own the
entire interest in the Property,
free and clear of any claim or
interest of any Defendant; and
that Plaintiffs are entitled to
an Order of the Court quieting
title in Plaintiffs and declaring
Plaintiffs to be the fee simple
owners and holders of record
title to the subject property, free
and clear of the claims of the
Defendant.
18. Plaintiffs have filed a Lis
Pendens for the Property with
the Greenville County Clerk of
Court and Greenville County
Register of Deeds Office
WHEREFORE, Plaintiffs pray as
follows:
1. For the declaratory judgment
of this Court that Plaintiffs are
the owners and holders of fee
simple title to the Property;
2. That Defendants and
Defendants’ heirs, successors
and assigns be forever barred
from claiming any interest in or
to the Property; and 3. For such
other and further relief as this
Court may deem just and proper.
___s/Erin Culbertson
Erin Culbertson
(SC Bar #68271)
CULBERTSON
ANDRIGHETTI, LLC
114 Manly Street
Greenville, SC 29601
P: 864/370-8222
F: 864/370-8227
E: [email protected]
Attorney for Plaintiffs

Publication Date01/08/2021

AMENDED SUMMONS
AND NOTICE OF FILING
OFAMENDED COMPLAINT
AND AMENDED NOTICE OF
FORECLOSURE INTERVENTION
STATE OF SOUTH CAROLINA
COUNTY OF GREENVILLE
IN THE COURT OF
COMMON PLEAS
(NON-JURY MORTGAGE
FORECLOSURE)
C/A NO: 2018-CP-23-05818
DEFICIENCY WAIVED
NewRez LLC d/b/a Shellpoint
Mortgage Servicing, PLAINTIFF,
vs. Phillip Dale Lemons aka
Phillip D. Lemons, Individually
and as Personal Representative
of the Estate of Shirley Lemons
aka Shirley Jean Thatcher
Lemons; Holly Campbell;
Shawnna Henderson; Heather
Lemons; Jason Lemons; South
Carolina Department of Motor
Vehicles, DEFENDANT(S)
TO THE DEFENDANTS, ABOVE
NAMED:
YOU ARE HEREBY SUMMONED
and required to answer the
Complaint herein, a copy of
which is herewith served upon
you, or otherwise appear and
defend, and to serve a copy of
your Answer to said Complaint
upon the subscriber at his
office, Hutchens Law Firm LLP
P.O. Box 8237, Columbia, SC
29202, within sixty (60) days
after service hereof, except as
to the United States of America,
which shall have ninety (90)
days, exclusive of the day of
such service, and if you fail to
answer the Complaint within
the time aforesaid, or otherwise
appear and defend, the Plaintiff
in this action will apply to the
Court for the relief demanded
therein, and judgment by default
will be rendered against you
for the relief demanded in the
Complaint.
YOU WILL
ALSO TAKE NOTICE that should
you fail to Answer the foregoing
Summons, the Plaintiff will move
for an Order of Reference of this
case to the Master in Equity for
Greenville County, which Order
shall, pursuant to Rule 53 of
the South Carolina Rules of Civil
Procedure, specifically provide
that the said Master in Equity
is authorized and empowered
to enter a final judgment in this
case with appeal only to the
South Carolina Court of Appeals
pursuant to Rule 203(d)(1) of the
SCAR, effective June 1, 1999.
TO MINOR(S)
OVER FOURTEEN YEARS OF AGE,
AND/OR TO MINOR(S) UNDER
FOURTEEN YEARS OF AGE AND
THE PERSON WITH WHOM THE
MINOR(S) RESIDES, AND/OR TO
PERSONS UNDER SOME LEGAL
DISABILITY:
YOU ARE FURTHER SUMMONED
AND NOTIFIED to apply for the
appointment of a guardian ad
litem within sixty (60) days after
the service of this Summons
and Notice upon you. If you fail
to do so, application for such
appointment will be made by
the Plaintiff immediately and
separately and such application
will be deemed absolute
and total in the absence of
your application for such an
appointment within sixty (60)
days after the service of the
Summons and Complaint upon
you.
YOU WILL ALSO TAKE NOTICE
that should you fail to Answer
the foregoing Summons, the
Plaintiff will move for an Order
of Reference of this case to
the Master in Equity in/for this
County, which Order shall,
pursuant to Rule 53 of the
South Carolina Rules of Civil
Procedure, specifically provide
that the said Master in Equity
is authorized and empowered
to enter a final judgment in this
case with appeal only to the
South Carolina Court of Appeals
pursuant to Rule 203(d)(1) of the
SCAR, effective June 1, 1999.
NOTICE OF FILING OF AMENDED
SUMMONS AND AMENDED
COMPLAINT
TO THE DEFENDANTS ABOVE
NAMED:
YOU WILL PLEASE TAKE NOTICE
that the foregoing Summons,
along with the Complaint,
was filed with the Clerk of
Court for Greenville County,
South Carolina, on November
15, 2018; that the foregoing
Amended Summons, along with
the Amended Complaint, was
filed with the Clerk of Court
for Greenville County, South
Carolina, on January 24, 2019.
AMENDED NOTICE OF
FORECLOSURE INTERVENTION
PLEASE TAKE NOTICE THAT
pursuant to the South Carolina
Supreme Court Administrative
Order 2011-05-02-01,
(hereinafter “Order”), you may
have a right to Foreclosure
Intervention.
To be considered for any
available Foreclosure
Intervention, you may
communicate with and
otherwise deal with the Plaintiff
through its law firm, Hutchens
Law Firm LLP, P.O. Box 8237,
Columbia, SC 29202 or call
803-726-2700. Hutchens Law
Firm LLP, represents the Plaintiff
in this action and does not
represent you. Under our ethical
rules, we are prohibited from
giving you any legal advice.
You must submit any requests
for Foreclosure Intervention
consideration within 60
days from the date of this
Notice. IF YOU FAIL, REFUSE,
OR VOLUNTARILY ELECT
NOT TO PARTICIPATE IN
FORECLOSURE INTERVENTION,
YOUR MORTGAGE COMPANY/
AGENT MAY PROCEED WITH
A FORECLOSURE ACTION. If
you have already pursued loss
mitigation with the Plaintiff, this
Notice does not guarantee the
availability of loss mitigation
options or further review of your
qualifications.
CERTIFICATION OF
COMPLIANCE WITH THE
CORONAVIRUS AID, RELIEF, AND
ECONOMIC SECURITY ACT
My name is: Ashley Z. Stanley
First Middle Last
I am (check one) ☐ the Plaintiff
or ☒ an authorized agent of the
Plaintiff in the foreclosure case
described at the top of this page.
I am capable of making this
certification. The facts stated in
the certification are within my
personal knowledge and are
true and correct.
1. Verification
Pursuant to the South Carolina
Supreme Court Administrative
Orders 2020-04-30-02 and
2020-05-06-01 and based upon
the information provided by the
Plaintiff and/or its authorized
servicer as maintained in its
case management/database
records, the undersigned makes
the following certifications:
Plaintiff is seeking to foreclose
upon the following property
commonly known as:
120 Homes Pond Lane,
Taylors, SC 29687
Street Address & Unit No. (if any)
City County State ZIP
I verify that this property and
specifically the mortgage loan
subject to this action:
[X] is NOT a “Federally Backed
Mortgage Loan” as defined
by § 4022(a)(2) of the federal
Coronavirus Aid, Relief, and
Economic Security (“CARES”)
Act.
[ ] is a “Federally Backed
Mortgage Loan” as defined
by § 4022(a)(2) of the federal
Coronavirus Aid, Relief, and
Economic Security (“CARES”)
Act. Specifically, the foreclosure
moratorium cited in Section
4022(c)(2) of the CARES Act
has expired as of May 18, 2020,
and the property and mortgage
are not currently subject to
a forbearance plan as solely
defined in Sections 4022(b) and
(c) of the CARES Act.
Please identify which database
or the other information you
have used to determine that
the property does not have a
federally backed mortgage loan
or federally backed multifamily
mortgage loan:
I hereby certify that I have
reviewed the loan servicing
records and case management/
data base records of the Plaintiff
or its authorized mortgage
servicer, in either digital or
printed form, and that this
mortgage loan is not currently
subject to a forbearance plan
as solely defined in Sections
4022(b) and (c) of the CARES
Act. Pursuant thereto, I certify
that the facts stated in this
Certification are within my
personal knowledge, excepting
those matters based upon my
information and belief as to
the said loan servicing records
and case management/data
base records of the Plaintiff
or mortgage servicer, and to
those matters I believe them
to be true. See, Rule 11(c),
SCRCP; BB&T of South Carolina
v. Fleming, 360 S.C. 341, 601
S.E.2d 540 (2004).
2. Declaration:
I certify that the foregoing
statements made by me are true
and correct. I am aware that if
any of the foregoing statements
made by me are willfully false,
I am subject to punishment by
contempt.
THIS IS A COMMUNICATION
FROM A DEBT COLLECTOR.
THE PURPOSE OF THIS
COMMUNICATION IS TO
COLLECT A DEBT AND ANY
INFORMATION OBTAINED WILL
BE USED FOR THAT PURPOSE,
except as stated below in
the instance of bankruptcy
protection.
IF YOU ARE UNDER THE
PROTECTION OF THE
BANKRUPTCY COURT OR
HAVE BEEN DISCHARGED AS
A RESULT OF A BANKRUPTCY
PROCEEDING, THIS NOTICE IS
GIVEN TO YOU PURSUANT TO
STATUTORY REQUIREMENT
AND FOR INFORMATIONAL
PURPOSES AND IS NOT
INTENDED AS AN ATTEMPT TO
COLLECT A DEBT OR AS AN
ACT TO COLLECT, ASSESS, OR
RECOVER ALL OR ANY PORTION
OF THE DEBT FROM YOU
PERSONALLY.

Publication Date01/08/2021

ORDER FOR SERVICE BY
PUBLICATION
STATE OF SOUTH CAROLINA
COUNTY OF HORRY
IN THE COURT
OF COMMON PLEAS
FIFTEENTH JUDICIAL CIRCUIT
C/A No.: 201-CP-26-02818
IHT STAFFING OF MYRTLE
BEACH, Plaintiffs, v. TRI CITY
ELECTRIC OF SC, LLC and
JAMES DEREK GIBBS, as an
individual, Defendants.
THIS MATTER COMES before the
Court on the request of Plaintiff,
in the above captioned matter,
submitted through its counsel,
Allie D. Argoe, Esq., for service
upon unknown Defendant
through publication of the
Default Hearing and Damages
Hearing currently scheduled
for January 25, 2021 at 9:30
AM in this matter with the
Greenville Journal in the County
of Defendants’ last known
address.
Plaintiff’s counsel, Allie D.
Argoe, respectfully incorporates
the language of the Affidavit of
Due Diligence for Service by
Publication, for a showing of
good cause. Publication will
be placed with the Greenville
Journal in the County of
Defendants’ last known address
on the following dates: January
8, 2021. January 15, 2021 and
January 22, 2021.
ACCORDINGLY, and for good
cause having been shown, the
Court hereby Orders that service
upon unknown Defendant
through publication of the
Pleadings in this matter with
a local paper in the County of
Defendants’ last known address
is hereby GRANTED.
AND IT IS SO ORDERED.
Resident Circuit Court Judge,
15th Judicial Circuit
s/Benjamin H. Culbertson,
Judge Code 2148

Publication Date01/08/2021

Greater Greenville
Sanitation Commission
NOTICE OF A PUBLIC HEARING
A hearing to enlarge the
boundaries of the Greater
Greenville Sanitation District
to include certain properties
located at 17 Butler Springs
Rd and Glen Forest Drive
Development, and to provide
public notice thereof.
PUBLIC HEARING
Notice is hereby given that on
(1/26/2021) at 4:00 p.m. in the
Conference room of the Greater
Greenville Sanitation District
Administration Building located
at 1600 West Washington Street,
Greenville, South Carolina
29601, a public hearing will be
held for the consideration of
enlarging the boundaries of the
Greater Greenville Sanitation
District to include certain
properties located at 17 Butler
Springs Rd off of Pelham Rd and
Glen Forest Drive Development
off of Old Rockhouse Rd, and
to provide public notice thereof.
Anyone wishing to be placed
on the Agenda for Public
Comment is asked to call
Greater Greenville Sanitation
Commission at 864-232-6721
between the hours of 8:00 a.m.
and 4:00 p.m. Monday thru
Thursday. Public comments will
be limited based on the number
of persons addressing the
Commission. Public comment
can also be posted on the
website.
www.GGSC.gov

Publication Date01/08/2021

NOTICE OF
SELF STORAGE SALE
Please take notice Prime
Storage – Simpsonville
located at 2711 Woodruff Rd.,
Simpsonville, SC 29681 intends
to hold a Auction of storage unit
in default of payment. The sale
will occur as an Online Auction
via www.storagetreasures.
com on 1/18/2021 at 12:00
PM. This sale is pursuant to
the assertion of lien for rental at
the self-storage facility. Unless
listed otherwise below, the
contents consist of household
goods and furnishings. Brandon
Vickery unit #C004. This sale
may be withdrawn at any time
without notice. Certain terms
and conditions apply.

Publication Date01/08/2021

“OTICE OF
SEL GE SALE
Please take notice Midgard Self Storage – Greenville Two located at 935 West Butler Rd., Greenville, SC 29607 intends to hold a Auction of storage units in default of payment. The sale will occur as an Online Auction via www.storageauctions. com on 1/20/2021 at 1:00 PM. This sale is pursuant to the assertion of lien for rental at the self-storage facility. Unless listed otherwise below, the contents consist of household goods and furnishings. Rodney Lynn Kaplan unit #143; David Poston unit #408; Casey Rice unit #627; Lifrage Lasane unit #701; Chavez Thompson unit #724; William Dixon unit #754; Dorathy Rice unit #815. This sale may be withdrawn at any time without notice. Ce terms and conditions apply.”

Publication Date01/08/2021

SUMMONS
STATE OF SOUTH CAROLINA
COUNTY OF GREENVILLE
IN THE MAGISTRATE’S COURT
CIVIL CASE NUMBER
2020CV2311101852
RICHARD W. HILLS, JR.,
PLAINTIFF(S) VS. RANDY PERRY
HILLS DEFENDANT(S)
TO THE DEFENDANT RANDY
PERRY HILLS
YOU ARE SUMMONED and
required to answer the
allegations of the attached
complaint and present any
appropriate counterclaims/
crossclaims to the attached
Complaint within 30 days from
the first day after receipt of this
summons. Your answer must
be received by the Magistrate’s
Court located at:
North Greenville County
Summary Court
301 Trailblazer Drive
Travelers Rest, SC 29690
If you fail to answer within the
prescribed time, a judgment
by default may be rendered
against you for the amount
or other remedy requested in
the attached complaint, plus
interest and costs. If you desire
a jury trial, you must request
one in writing at least five (5)
working days prior to the date
set for trial. If no jury trial is
timely requested, the matter
will be heard and decided by
the Judge.
Given under my hand, this 22nd
day of September, 2020

Publication Date01/08/2021

NOTICE OF
SELF STORAGE SALE
Please take notice Midgard Self
Storage – Greenville located
at 640 Sulphur Springs Rd.,
Greenville, SC 29617 intends to
hold a Auction of storage units
in default of payment. The sale
will occur as an Online Auction
via www.storageauctions.com
on 1/20/2021 at 1:00 PM. This
sale is pursuant to the assertion
of lien for rental at the selfstorage
facility. Unless listed
otherwise below, the contents
consist of household goods and
furnishings. Keisha Wilkens unit
#202; Connie Wells unit #325;
Jennifer Lange unit #340B;
Sharieka Glenn unit #381B;
Kayla Mills unit #72; William T
Ellis unit #77; Marquez Kendrick
unit #P20. This sale may be
withdrawn at any time without
notice. Certain terms and
conditions apply

Publication Date01/08/2021

NOTICE OF
SELF STORAGE SALE
Please take notice Prime
Storage – Greenville – East
North Street located at 4329
East North St., Greenville, SC
29615 intends to hold a Auction
of storage units in default of
payment. The sale will occur
as an Online Auction via www.
storagetreasures.com on
1/18/2021 at 12:00 PM. This
sale is pursuant to the assertion
of lien for rental at the selfstorage
facility. Unless listed
otherwise below, the contents
consist of household goods and
furnishings. Donald Maynard/
PORTOFINOS unit #A010; Doug
A Moore unit #D027 contents:
lawn care equipment, misc
container of growth products,
pallets, pallet jack. This sale
may be withdrawn at any time
without notice. Certain terms
and conditions apply.

Publication Date01/08/2021

SOLICITATION NOTICE
Greenville County, 301 University
Ridge, Suite 100, Greenville, SC
29601, will accept responses to
the following,
• Shoeless Joe Jackson
Memorial Park Playground
Equipment Replacement, RFP
#21044, until 3:00 PM, EST,
January 22, 2021
Solicitations may be found by
accessing: https://selfservice.
greenvillecounty.org/vss/

Publication Date01/08/2021

NOTICE
Looking for owner/ Lienholder
of 1990 F150 the number
1FTEF14Y7LNA02409.
Please call 864-469-6163,
Squirrel Towing

Publication Date01/08/2021

NOTICE
Trying to locate owner and lien
holder for 2008 blue Jeep Liberty,
number 1J8GL58K32W246624
Please call 864-469-6163
Squirrel Towing, Taylors SC.

Publication Date01/08/2021

NOTICE
Trying to notify owner and / or
lienholder of 2007 Chevrolet
Suburban, tan, Vin number
16NFC16027J230634.
Please call Squirrel Towing
864-469-6163

Publication Date01/08/2021

NOTICE
2002 black Cadillac Escalade,
number 1GYEK 6332R169819.
Located at Squirrel Towing in
Taylors, South Carolina. Looking
for possible owner or lienholder

Publication Date01/08/2021

GREENVILLE JOURNAL
PUBLICATION LANGUAGE
SUMMONS STATE OF SOUTH
CAROLINA IN THE COURT OF
COMMON PLEAS THIRTEENTH
JUDICIAL CIRCUIT COUNTY OF
GREENVILLE CIVIL CASE NO.
2020-CP-23-05009. DERRICK
KEVIN GUNTER PLAINTIFF VS.
TIMOTHY J. WALKER, MARCELLE
M. WALKER DEFENDANTS
AND ANY AND ALL OTHER
PERSONS UNKNOWN CLAIMING
ANY RIGHT, TITLE, ESTATE,
INTEREST IN OR LIEN UPON THE
REAL ESTATE LOCATED AT 114
CHESTNUT ST. IN GREENVILLE
COUNTY, SC. TO THE ABOVED
NAMED DEFENDANT(S) IN THIS
ACTION: YOU ARE HEREBY
SUMMONED AND REQUIRED
TO ANSWER THE COMPLAINT
IN THIS ACTION, A COPY OF
WHICH IS HEREWITH SERVED
UPON YOU, AND TO SERVE
A COPY OF YOUR ANSWER
TO THE SAID COMPLAINT ON
THE SUBSCRIBERS AT THEIR
OFFICE IN GREENVILLE, SOUTH
CAROLINA WITHIN THIRTY (30)
DAYS AFTER THE SERVICE
HEREOF, EXCLUSIVE OF THE DAY
OF SUCH SERVICE, IF YOU FAIL
TO ANSWER SAID COMPLAINT
WITHIN THE AFOREMENTIONED
TIME, PLAINTIFF IN THIS ACTION
WILL APPLY TO THE COURT
FOR THE RELIEF DEMANDED
IN THE COMPLAINT./S/ AUDRIA
CLAXTON, DE BRUIN LAW
FIRM, 16 WELLINGTON AVENUE,
GREENVILLE SOUTH CAROLINA
29609. P: (864) 982-5930,
GREENVILLE SOUTH CAROLINA,
ATTORNEY FOR PLAINTIFF.

Publication Date01/08/2021

AMENDED SUMMONS
STATE OF SOUTH CAROLINA
COUNTY OF GREENVILLE
IN THE COURT OF
COMMON PLEAS
THIRTEENTH JUDICIAL
CIRCUIT
C.A. NO. 2020-CP-23-04150
Long Branch Baptist Church
of Greenville, Plaintiff, v. Henry
Drummond, deceased; any
children and heirs at law,
distributees and devisees,
and if any deceased then any
person entitled to claim under
or through them; also all other
persons unknown, claiming
any right, title, estate, interest
in or lien upon the real estate
described in the complaint
herein; any unknown adults
being a class designated as John
Doe; and any unknown minors
or persons under disability
being a class designated as
Richard Roe; Pearl Drummond,
deceased; any children and
heirs at law, distributees and
devisees, and if any deceased
then any person entitled
to claim under or through
them; also all other persons
unknown, claiming any right,
title, estate, interest in or lien
upon the real estate described
in the complaint herein; any
unknown adults being a class
designated as John Doe; and
any unknown minors or persons
under disability being a class
designated as Richard Roe;
Defendants.
TO THE DEFENDANTS ABOVENAMED:
YOU ARE HEREBY SUMMONED
and required to answer the
Complaint herein, a copy of
which is herewith served upon
you, or to otherwise appear
and defend, and to serve a
copy of your Answer to said
Complaint upon the subscriber
at its office, 114 Manly Street,
Greenville, SC 29601, within
thirty (30) days after service
hereof, exclusive of the day of
such service; except that the
United States of America, if
named, shall have sixty (60)
days to answer after the service
hereof, exclusive of the day of
such service; and if you fail to
answer the Complaint within
the time aforesaid or otherwise
appear and defend, the Plaintiff
in this action will apply to the
court for the relief demanded
therein, and judgment by default
will be rendered against you
for the relief demanded in the
Complaint.
s/Erin Culbertson
Erin Culbertson
(SC Bar # 68271)
CULBERTSON
ANDRIGHETTI, LLC
114 Manly Street
Greenville, SC 29601
P: 864/370-8222
F: 864/370-8227
E: [email protected]
Attorney for Plaintiff
NOTICE OF APPOINTMENT OF
GUARDIAN AD LITEM NISI
STATE OF SOUTH CAROLINA
COUNTY OF GREENVILLE
IN THE COURT OF
COMMON PLEAS
THIRTEENTH JUDICIAL
CIRCUIT
C.A. NO. 2020-CP-23-04150
Long Branch Baptist Church
of Greenville, Plaintiff, v. Henry
Drummond, deceased; any
children and heirs at law,
distributes and devisees, and
if any deceased then any
person entitled to claim under
or through them; also all other
persons unknown, claiming
any right, title, estate, interest
in or lien upon the real estate
described in the complaint
herein; any unknown adults
being a class designated as John
Doe; and any unknown minors
or persons under disability
being a class designated as
Richard Roe; Pearl Drummond,
deceased; any children and
heirs at aw, distributes and
devisees, and if any deceased,
then any person entitled
to claim under or through
them; also all other persons
unknown, claiming any right,
title, estate, interest in or lien
upon the real estate described
in the complaint herein; any
unknown adults being a class
designated as John Doe; and
any unknown minors or persons
under disability being a class
designated as Richard Roe;
Defendants.
PLEASE TAKE NOTICE that
pursuant to Rule 17, SCRCP,
Jake Erwin, Esquire, be, and
hereby is, appointed Guardian
ad Litem Nisi on behalf of all
unknown defendants, all of
whom may have or may claim
to have some interest in or
claim to the Property commonly
known as 204 Wilkins Street,
Greenville, SC 29605; that Jake
Erwin, Esquire, is empowered
and directed to appear on
behalf of and represent said
Defendant9s) unless the said
Defendant(s), or someone on
their behalf, shall within thirty
(30) days after service hereof,
procure the appointment of a
Guardian or Guardians ad Litem
for the said Defendants.
s/J. J. Andrighetti
J. J. Andrighetti
(SC Bar # 72741)
Culbertson Andrighetti, LLC
114 Manly St.
Greenville, SC 29601
P: 864-370-8222
[email protected]

Publication Date01/01/2021

AMENDED COMPLAINT
(ACTION TO QUIET TITLE)
NON-JURY
IN THE COURT OF COMMON
PLEAS THIRTEENTH
JUDICIAL CIRCUIT
C.A. NO. 2020-CP-23-03830
STATE OF SOUTH CAROLINA
COUNTY OF GREENVILLE
Timothy N. Dickson and
Henry Crowell, as co-Personal
Representatives of the Estate of
William M. Dickson, III, Plaintiffs,
v. Estate of Emily E. Baker; Tony
A. Baker, individually and as
Personal Representative of the
Estate of Emily E. Baker; Connie
E. Wiygul; John C. Baker: and
the South Carolina Department
of Revenue; Defendants.
The Plaintiffs, complaining of
the above-named Defendants,
would respectfully show unto
the Court:
1. Plaintiffs are citizens and
residents of the County of
Greenville, State of South
Carolina are the co-Personal
Representatives of the Estate of
William M. Dickson, III. William
M. Dickson, III was the owner of
the property which is the subject
of this lawsuit at the time of his
death.
2. Emily E. Baker was the owner
and holder of that mortgage
given by Symbolic Enterprises,
LLC on March 2, 2000, in the
original amount of $23,900.00,
said mortgage being recorded
in the Office of the Register of
Deeds for Greenville County in
Book 3333, at Page 1117 on
March 3, 2000. Emily E. Baker
died on February 23, 2020
in Greenville County, South
Carolina, and her estate is being
administered in the Greenville
County Probate Court in File No.
20-2300496.
3. Upon information and belief,
Defendant Connie Wiygul
(“Wiygul”) is a citizen and
resident of Clarendon County,
South Carolina. Wiygul is an
heir of Emily E. Baker.
4. Upon information and belief,
Defendants Tony A. Baker and
John C. Baker are citizens
and residents of Greenville
County, South Carolina. These
defendants are heirs of Emily
E. Baker. Tony A. Baker has
been appointed as Personal
Representative of the Estate of
Emily E. Baker.
5. The South Carolina
Department of Revenue is
named as a defendant by virtue
of its lien filed against Symbolic
Enterprises, LLC (“Symbolic”) as
follows: (1) Tax Lien Number
3-51240140-2 in the original
amount of $3,077.34 filed in
the Greenville County Register
of Deeds Office on March
1, 2011 in Book 57, at Page
1816, and (2) Tax Lien Number
3512401402 in the original
amount of $208.26 filed on
February 22, 2011.
6. The real estate which is the
subject of this action is located
in the County of Greenville, State
of South Carolina, and is more
fully described as follows:
ALL that certain piece parcel
or lot of land situate, lying
and being in Bates Township,
Greenville County, State of South
Carolina, and being known and
designated as Lot 9 on plat of
Elizabeth Acres recorded in
Plat Book 39-W at Page 41 in
the Register of Deeds Office
for Greenville County, South
Carolina, and being a portion
of that 10.592 acre tract shown
on plat recorded in Plat Book
43-V at Page 5 in the Register
of Deeds Office for Greenville
County, South Carolina.
Reference is made to said plats
for a more detailed description.
LESS however any portion
previously conveyed and subject
to restrictions of record.
Tax map # 0505050206809
(the “Property”).
7. Symbolic took title to the
Property by deed from Ben F.
McDaniel, III, Benjamin M. Fulton
and Robert Fulton, Jr. dated
March 18, 1999 and recorded
in the ROD for Greenville County
on March 25, 2999 in Book
1827, at Page 0314. 8. Upon
information and belief, property
taxes for the Property for the
years 2011 through 2014 were
never paid.
9. On May 28, 2015, the Tax
Collector for Greenville County
mailed Notice of Delinquent
Property Taxes on the Property
for the years 2011 through
2014, via certified mail, return
receipt requested, restricted
delivery to Symbolic Enterprises,
LLC, for the delinquent amount
of taxes, penalties and costs
owed in the amount of
$1,512.47. The Notice was
unclaimed.
10. Pursuant to the usual and
customary practices of the Tax
Collector for Greenville County,
notice was posted on the
Property by C. Witt on August
10, 2015.
11. On November 16, 2015,
the Tax Collector for Greenville
County, during the usual
hours of sale and after due
advertisement, sold the Property
to William M. Dickson, III
pursuant to South Carolina Code
of Laws § 12-51-160.
12. On October 10, 2016, the
Tax Collector for Greenville
County mailed Notice of Right
of Redemption via certified
mail, return receipt requested,
restricted delivery to Symbolic.
The notice was unclaimed.
13. More than twelve (12)
months elapsed after the sale to
Plaintiff without payment
of the unpaid 2011 through
2014 property taxes from
Symbolic any grantee from
Symbolic.
14. William M. Dickson, III
received a deed to the Property
executed by A. Kevin Hunter, II,
Greenville County Tax Collector,
dated December 14, 2016,
which deed was recorded
December 28, 2016, in the
Office of the Register of Deeds
for Greenville County in Deed
Book 2503, at Page 1523.
15. William M. Dickson, III
died testate in Greenville
County on 07/04/2019, further
reference is hereby made to
Estate File 2019ES2301609 in
the Greenville County Probate
Records.
16. Plaintiff is informed and
believes that all the laws of the
State of South Carolina were
complied with in regard to said
tax sale of the Property, and that
all periods of redemption have
run. Defendant Symbolic failed
to redeem said property and is
forever barred from bringing
an action to recover title to the
subject property by the two-year
statute of limitations as stated in
South Carolina Code of Laws §
12-51-160.
17. Based upon the foregoing
allegations, Plaintiffs are
informed, believe and allege
that Plaintiffs now own the
entire interest in the Property,
free and clear of any claim or
interest of any Defendant; and
that Plaintiffs are entitled to
an Order of the Court quieting
title in Plaintiffs and declaring
Plaintiffs to be the fee simple
owners and holders of record
title to the subject property, free
and clear of the claims of the
Defendant.
18. Plaintiffs have filed a Lis
Pendens for the Property with
the Greenville County Clerk of
Court and Greenville County
Register of Deeds Office
WHEREFORE, Plaintiffs pray as
follows:
1. For the declaratory judgment
of this Court that Plaintiffs are
the owners and holders of fee
simple title to the Property;
2. That Defendants and
Defendants’ heirs, successors
and assigns be forever barred
from claiming any interest in or
to the Property; and 3. For such
other and further relief as this
Court may deem just and proper.
___s/Erin Culbertson
Erin Culbertson
(SC Bar #68271)
CULBERTSON
ANDRIGHETTI, LLC
114 Manly Street
Greenville, SC 29601
P: 864/370-8222
F: 864/370-8227
E: [email protected]
Attorney for Plaintiffs

Publication Date01/01/2021

AMENDED SUMMONS
AND NOTICE OF FILING
OFAMENDED COMPLAINT
AND AMENDED NOTICE OF
FORECLOSURE INTERVENTION
STATE OF SOUTH CAROLINA
COUNTY OF GREENVILLE
IN THE COURT OF
COMMON PLEAS
(NON-JURY MORTGAGE
FORECLOSURE)
C/A NO: 2018-CP-23-05818
DEFICIENCY WAIVED
NewRez LLC d/b/a Shellpoint
Mortgage Servicing, PLAINTIFF,
vs. Phillip Dale Lemons aka
Phillip D. Lemons, Individually
and as Personal Representative
of the Estate of Shirley Lemons
aka Shirley Jean Thatcher
Lemons; Holly Campbell;
Shawnna Henderson; Heather
Lemons; Jason Lemons; South
Carolina Department of Motor
Vehicles, DEFENDANT(S)
TO THE DEFENDANTS, ABOVE
NAMED:
YOU ARE HEREBY SUMMONED
and required to answer the
Complaint herein, a copy of
which is herewith served upon
you, or otherwise appear and
defend, and to serve a copy of
your Answer to said Complaint
upon the subscriber at his
office, Hutchens Law Firm LLP
P.O. Box 8237, Columbia, SC
29202, within sixty (60) days
after service hereof, except as
to the United States of America,
which shall have ninety (90)
days, exclusive of the day of
such service, and if you fail to
answer the Complaint within
the time aforesaid, or otherwise
appear and defend, the Plaintiff
in this action will apply to the
Court for the relief demanded
therein, and judgment by default
will be rendered against you
for the relief demanded in the
Complaint.
YOU WILL
ALSO TAKE NOTICE that should
you fail to Answer the foregoing
Summons, the Plaintiff will move
for an Order of Reference of this
case to the Master in Equity for
Greenville County, which Order
shall, pursuant to Rule 53 of
the South Carolina Rules of Civil
Procedure, specifically provide
that the said Master in Equity
is authorized and empowered
to enter a final judgment in this
case with appeal only to the
South Carolina Court of Appeals
pursuant to Rule 203(d)(1) of the
SCAR, effective June 1, 1999.
TO MINOR(S)
OVER FOURTEEN YEARS OF AGE,
AND/OR TO MINOR(S) UNDER
FOURTEEN YEARS OF AGE AND
THE PERSON WITH WHOM THE
MINOR(S) RESIDES, AND/OR TO
PERSONS UNDER SOME LEGAL
DISABILITY:
YOU ARE FURTHER SUMMONED
AND NOTIFIED to apply for the
appointment of a guardian ad
litem within sixty (60) days after
the service of this Summons
and Notice upon you. If you fail
to do so, application for such
appointment will be made by
the Plaintiff immediately and
separately and such application
will be deemed absolute
and total in the absence of
your application for such an
appointment within sixty (60)
days after the service of the
Summons and Complaint upon
you.
YOU WILL ALSO TAKE NOTICE
that should you fail to Answer
the foregoing Summons, the
Plaintiff will move for an Order
of Reference of this case to
the Master in Equity in/for this
County, which Order shall,
pursuant to Rule 53 of the
South Carolina Rules of Civil
Procedure, specifically provide
that the said Master in Equity
is authorized and empowered
to enter a final judgment in this
case with appeal only to the
South Carolina Court of Appeals
pursuant to Rule 203(d)(1) of the
SCAR, effective June 1, 1999.
NOTICE OF FILING OF AMENDED
SUMMONS AND AMENDED
COMPLAINT
TO THE DEFENDANTS ABOVE
NAMED:
YOU WILL PLEASE TAKE NOTICE
that the foregoing Summons,
along with the Complaint,
was filed with the Clerk of
Court for Greenville County,
South Carolina, on November
15, 2018; that the foregoing
Amended Summons, along with
the Amended Complaint, was
filed with the Clerk of Court
for Greenville County, South
Carolina, on January 24, 2019.
AMENDED NOTICE OF
FORECLOSURE INTERVENTION
PLEASE TAKE NOTICE THAT
pursuant to the South Carolina
Supreme Court Administrative
Order 2011-05-02-01,
(hereinafter “Order”), you may
have a right to Foreclosure
Intervention.
To be considered for any
available Foreclosure
Intervention, you may
communicate with and
otherwise deal with the Plaintiff
through its law firm, Hutchens
Law Firm LLP, P.O. Box 8237,
Columbia, SC 29202 or call
803-726-2700. Hutchens Law
Firm LLP, represents the Plaintiff
in this action and does not
represent you. Under our ethical
rules, we are prohibited from
giving you any legal advice.
You must submit any requests
for Foreclosure Intervention
consideration within 60
days from the date of this
Notice. IF YOU FAIL, REFUSE,
OR VOLUNTARILY ELECT
NOT TO PARTICIPATE IN
FORECLOSURE INTERVENTION,
YOUR MORTGAGE COMPANY/
AGENT MAY PROCEED WITH
A FORECLOSURE ACTION. If
you have already pursued loss
mitigation with the Plaintiff, this
Notice does not guarantee the
availability of loss mitigation
options or further review of your
qualifications.
CERTIFICATION OF
COMPLIANCE WITH THE
CORONAVIRUS AID, RELIEF, AND
ECONOMIC SECURITY ACT
My name is: Ashley Z. Stanley
First Middle Last
I am (check one) ☐ the Plaintiff
or ☒ an authorized agent of the
Plaintiff in the foreclosure case
described at the top of this page.
I am capable of making this
certification. The facts stated in
the certification are within my
personal knowledge and are
true and correct.
1. Verification
Pursuant to the South Carolina
Supreme Court Administrative
Orders 2020-04-30-02 and
2020-05-06-01 and based upon
the information provided by the
Plaintiff and/or its authorized
servicer as maintained in its
case management/database
records, the undersigned makes
the following certifications:
Plaintiff is seeking to foreclose
upon the following property
commonly known as:
120 Homes Pond Lane,
Taylors, SC 29687
Street Address & Unit No. (if any)
City County State ZIP
I verify that this property and
specifically the mortgage loan
subject to this action:
[X] is NOT a “Federally Backed
Mortgage Loan” as defined
by § 4022(a)(2) of the federal
Coronavirus Aid, Relief, and
Economic Security (“CARES”)
Act.
[ ] is a “Federally Backed
Mortgage Loan” as defined
by § 4022(a)(2) of the federal
Coronavirus Aid, Relief, and
Economic Security (“CARES”)
Act. Specifically, the foreclosure
moratorium cited in Section
4022(c)(2) of the CARES Act
has expired as of May 18, 2020,
and the property and mortgage
are not currently subject to
a forbearance plan as solely
defined in Sections 4022(b) and
(c) of the CARES Act.
Please identify which database
or the other information you
have used to determine that
the property does not have a
federally backed mortgage loan
or federally backed multifamily
mortgage loan:
I hereby certify that I have
reviewed the loan servicing
records and case management/
data base records of the Plaintiff
or its authorized mortgage
servicer, in either digital or
printed form, and that this
mortgage loan is not currently
subject to a forbearance plan
as solely defined in Sections
4022(b) and (c) of the CARES
Act. Pursuant thereto, I certify
that the facts stated in this
Certification are within my
personal knowledge, excepting
those matters based upon my
information and belief as to
the said loan servicing records
and case management/data
base records of the Plaintiff
or mortgage servicer, and to
those matters I believe them
to be true. See, Rule 11(c),
SCRCP; BB&T of South Carolina
v. Fleming, 360 S.C. 341, 601
S.E.2d 540 (2004).
2. Declaration:
I certify that the foregoing
statements made by me are true
and correct. I am aware that if
any of the foregoing statements
made by me are willfully false,
I am subject to punishment by
contempt.
THIS IS A COMMUNICATION
FROM A DEBT COLLECTOR.
THE PURPOSE OF THIS
COMMUNICATION IS TO
COLLECT A DEBT AND ANY
INFORMATION OBTAINED WILL
BE USED FOR THAT PURPOSE,
except as stated below in
the instance of bankruptcy
protection.
IF YOU ARE UNDER THE
PROTECTION OF THE
BANKRUPTCY COURT OR
HAVE BEEN DISCHARGED AS
A RESULT OF A BANKRUPTCY
PROCEEDING, THIS NOTICE IS
GIVEN TO YOU PURSUANT TO
STATUTORY REQUIREMENT
AND FOR INFORMATIONAL
PURPOSES AND IS NOT
INTENDED AS AN ATTEMPT TO
COLLECT A DEBT OR AS AN
ACT TO COLLECT, ASSESS, OR
RECOVER ALL OR ANY PORTION
OF THE DEBT FROM YOU
PERSONALLY.

Publication Date01/01/2021

NOTICE
2021 MEETING DATES
GREENVILLE COUNTY
COUNCIL
COMMITTEE OF THE WHOLE
COUNTY SQUARE –
CONFERENCE ROOM D
301 UNIVERSITY RIDGE,
GREENVILLE, SC
Meetings begin prior to the
County Council Meetings
Meeting times to be determined
January 19
February 2 and 16
March 2 and 16
April 6 and 20
May 4 and 18
June 1 and 15
July 20
August 17
September 7 and 21
October 5 and 19
November 2 and 16
December 7
All meeting dates are tentative
and subject to cancellation

Publication Date01/01/2021

OTICE
2021 MEETING DATES
GREENVILLE COUNTY
COUNCIL
County Square –
Council Chambers
301 University Ridge,
Greenville, SC
6:00 p.m.
January 4, 5 and 19
February 2 and 16
March 2 and 16
April 6 and 20
May 4 and 18
June 1 and 15
July 20
August 17
September 7 and 21
October 5 and 19
November 2 and 16
December 7
All meeting dates are tentative
and subject to cancellation.

Publication Date01/01/2021

NOTICE OF
SELF STORAGE SALE
Please take notice Prime
Storage – Simpsonville
located at 2711 Woodruff Rd.,
Simpsonville, SC 29681 intends
to hold a Auction of storage unit
in default of payment. The sale
will occur as an Online Auction
via www.storagetreasures.
com on 1/18/2021 at 12:00
PM. This sale is pursuant to
the assertion of lien for rental at
the self-storage facility. Unless
listed otherwise below, the
contents consist of household
goods and furnishings. Brandon
Vickery unit #C004. This sale
may be withdrawn at any time
without notice. Certain terms
and conditions apply.

Publication Date01/01/2021

NOTICE OF
SELF STORAGE SALE
Please take notice Midgard
Self Storage – Greenville Two
located at 935 West Butler Rd.,
Greenville, SC 29607 intends to
hold a Auction of storage units
in default of payment. The sale
will occur as an Online Auction
via www.storageauctions.
com on 1/20/2021 at 1:00 PM.
This sale is pursuant to the
assertion of lien for rental at
the self-storage facility. Unless
listed otherwise below, the
contents consist of household
goods and furnishings. Rodney
Lynn Kaplan unit #143; David
Poston unit #408; Casey Rice
unit #627; Lifrage Lasane unit
#701; Chavez Thompson unit
#724; William Dixon unit #754;
Dorathy Rice unit #815. This
sale may be withdrawn at any
time without notice. Certain
terms and conditions apply.

Publication Date01/01/2021

SUMMONS
STATE OF SOUTH CAROLINA
COUNTY OF GREENVILLE
IN THE MAGISTRATE’S COURT
CIVIL CASE NUMBER
2020CV2311101852
RICHARD W. HILLS, JR.,
PLAINTIFF(S) VS. RANDY PERRY
HILLS DEFENDANT(S)
TO THE DEFENDANT RANDY
PERRY HILLS
YOU ARE SUMMONED and
required to answer the
allegations of the attached
complaint and present any
appropriate counterclaims/
crossclaims to the attached
Complaint within 30 days from
the first day after receipt of this
summons. Your answer must
be received by the Magistrate’s
Court located at:
North Greenville County
Summary Court
301 Trailblazer Drive
Travelers Rest, SC 29690
If you fail to answer within the
prescribed time, a judgment
by default may be rendered
against you for the amount
or other remedy requested in
the attached complaint, plus
interest and costs. If you desire
a jury trial, you must request
one in writing at least five (5)
working days prior to the date
set for trial. If no jury trial is
timely requested, the matter
will be heard and decided by
the Judge.
Given under my hand, this 22nd
day of September, 2020.

Publication Date01/01/2021

NOTICE OF
SELF STORAGE SALE
Please take notice Prime
Storage – Greenville – East
North Street located at 4329
East North St., Greenville, SC
29615 intends to hold a Auction
of storage units in default of
payment. The sale will occur
as an Online Auction via www.
storagetreasures.com on
1/8/2021 at 12:00 PM. This
sale is pursuant to the assertion
of lien for rental at the selfstorage
facility. Unless listed
otherwise below, the contents
consist of household goods and
furnishings. Donald Maynard/
PORTOFINOS unit #A010; Doug
A Moore unit #D027 contents:
lawn care equipment, misc
container of growth products,
pallets, pallet jack. This sale
may be withdrawn at any time
without notice. Certain terms
and conditions apply.

Publication Date01/01/2021

NOTICE OF
SELF STORAGE SALE
Please take notice Midgard Self
Storage – Greenville located
at 640 Sulphur Springs Rd.,
Greenville, SC 29617 intends to
hold a Auction of storage units
in default of payment. The sale
will occur as an Online Auction
via www.storageauctions.com
on 1/20/2021 at 1:00 PM. This
sale is pursuant to the assertion
of lien for rental at the selfstorage
facility. Unless listed
otherwise below, the contents
consist of household goods and
furnishings. Keisha Wilkens unit
#202; Connie Wells unit #325;
Jennifer Lange unit #340B;
Sharieka Glenn unit #381B;
Kayla Mills unit #72; William T
Ellis unit #77; Marquez Kendrick
unit #P20. This sale may be
withdrawn at any time without
notice. Certain terms and
conditions apply.