Foreclosure action on property due to unpaid mortgage.
Official Courthouse Record · AI-summarized for clarity
- Published
- Category
- Foreclosure
- City
- Newburgh
- Case #
- EF008813/2023
View full case dossier
See all filings for case EF008813/2023 with AI case status analysis.
What You Should Do Next
- 1
Review the Summons
Carefully read the supplemental summons to understand your rights and obligations.
- 2
Contact an Attorney
Consider consulting with a lawyer to discuss your options and potential defenses.
- 3
Prepare Your Response
Draft and file your answer within 20 days to avoid a default judgment.
- 4
Gather Documentation
Collect any relevant documents related to the mortgage and property ownership.
Frequently Asked Questions
- What is a supplemental summons?
- A supplemental summons is a legal document notifying defendants of a lawsuit.
- What happens if I don't respond to the summons?
- Failure to respond may result in a default judgment against you.
- How long do I have to respond to the summons?
- You have 20 days to respond, or 30 days if served in a manner other than personal delivery.
- What is being foreclosed in this case?
- The foreclosure is on a mortgage for the property at 6 White Birch Dr, Newburgh.
The above suggestions and answers are AI-generated for informational purposes only. They may contain errors. NoticeRegistry assumes no responsibility for their accuracy. Consult a qualified professional before taking action.
Full Notice Text
Supplemental Summons SUPREME COURT OF THE STATE OF NEW YORK INDEX NO. EF008813/2023 COUNTY OF ORANGE _______________________________________________ U.S. BANK TRUST NATIONAL ASSOCIATION NOT IN ITS INDIVIDUAL CAPACITY BUT SOLELY AS OWNER TRUSTEE FOR RCF 2 ACQUISITION TRUST Plaintiff, vs. JAMES Y. WILSON AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED; CATHERINE M. LEVANTI AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED; ROBERT J. WILSON, AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED ; DAVID SADLER, AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED ; MICHAEL SADLER AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED; JOVIE LEE LINGER AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED; MALCOLM M. WILSON III AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED; CATHERINE J. MILLICAN AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED; MARK E. REED AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED; ROBERT D. REED AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED ; WILLIAM R. REED AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED ; ERNEST D. FROST, SR, AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED; BETSY BECK AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED; BARBARA CAUFAGLIONE AS HEIR AND DISTRIBUTEE OF BARBARA W. DEMEO, DECEASED; UNKNOWN HEIRS AND DISTRIBUTEES OF THE ESTATE OF BARBARA W. DEMEO, any and all persons unknown to plaintiff, claiming, or who may claim to have an interest in, or general or specific lien upon the real property described in this action; such unknown persons being herein generally described and intended to be included in the following designation, namely: the wife, widow, husband, widower, heirs at law, next of kin, descendants, executors, administrators, devisees, legatees, creditors, trustees, committees, lienors, and assignees of such deceased, any and all persons deriving interest in or lien upon, or title to said real property by, through or under them, or either of them, and their respective wives, widows, husbands, widowers, heirs at law, next of kin, descendants, executors, administrators, devisees, legatees, creditors, trustees, committees, lienors and assigns, all of whom and whose names, except as stated, are unknown to plaintiff; GARY W. LINGER JR., AS HEIR AND DISTRIBUTEE OF THE ESTATE OF BARBARA DEMEO; J.L.L., A MINOR CHILD BY AND THROUGH THEIR NATURAL GUARDIAN, SHELBY NORRIS, AS HEIR AND DISTRIBUTEE OF THE ESTATE OF BARBARA DEMEO, SECRETARY OF HOUSING AND URBAN DEVELOPMENT; NEW YORK STATE DEPARTMENT OF TAXATION AND FINANCE; THE UNITED STATES OF AMERICA; Plaintiff designates ORANGE as the place of trial situs of the real property SUPPLEMENTAL SUMMONS Mortgaged Premises: 6 WHITE BIRCH DR, NEWBURGH, NY 12550 Section: 6, Block: 3, Lot: 10 Defendants. _______________________________________________ To the above named Defendants YOU ARE HEREBY SUMMONED to answer the Complaint in the above entitled action and to serve a copy of your Answer on the plaintiff's attorney within twenty (20) days of the service of this Summons, exclusive of the day of service, or within thirty (30) days after service of the same is complete where service is made in any manner other than by personal delivery within the State. The United States of America, if designated as a defendant in this action, may answer or appear within sixty (60) days of service. Your failure to appear or to answer will result in a judgment against you by default for the relief demanded in the Complaint. In the event that a deficiency balance remains from the sale proceeds, a judgment may be entered against you. NOTICE OF NATURE OF ACTION AND RELIEF SOUGHT THE OBJECT of the above caption action is to foreclose a Mortgage to secure the sum of $463,125.00 and interest, recorded on December 19, 2006, in Instrument Number 20060134442 , of the Public Records of ORANGE County, New York., covering premises known as 6 WHITE BIRCH DR, NEWBURGH, NY 12550. The relief sought in the within action is a final judgment directing the sale of the premises described above to satisfy the debt secured by the Mortgage described above. ORANGE County is designated as the place of trial because the real property affected by this action is located in said county. NOTICE YOU ARE IN DANGER OF LOSING YOUR HOME If you do not respond to this summons and complaint by serving a copy of the answer on the attorney for the mortgage company who filed this foreclosure proceeding against you and filing the answer with the court, a default judgment may be entered and you can lose your home. Speak to an attorney or go to the court where your case is pending for further information on how to answer the summons and protect your property. Sending a payment to the mortgage company will not stop the foreclosure action. YOU MUST RESPOND BY SERVING A COPY OF THE ANSWER ON THE ATTORNEY FOR THE PLAINTIFF (MORTGAGE COMPANY) AND FILING THE ANSWER WITH THE COURT. Dated: February 9th, 2026 ROBERTSON, ANSCHUTZ, SCHNEID, CRANE & PARTNERS, PLLC Attorney for Plaintiff Matthew Rothstein, Esq. 900 Merchants Concourse, Suite 310 Westbury, NY 11590 516-280-7675 Publication Dates LNYS0458762