SUPPLEMENTAL SUMMONSSUPREME COURT OF THE STATE OF NEW YORK COUNTY OF SENECA, VANDERBILT MORTGAGE AND FINANCE, INC., Plaintiff, against THOMAS M. EVANS, JR., AS PRESUMPTIVE HEIR, DEVISEE, DISTRIBUTEE OF THE ESTATE OF KATHLEEN M. EVANS AKA KATHLEEN MANDOOGIAN, DECEASED if he be living and if he be dead, the respective heirs-at-law, next-of-kin, distributees, executors, administrators, trustees, devisees, legatees, assignees, lienors, creditors and successors in interest and generally all persons having or claiming under, by or through said defendant who may be deceased, by purchase, inheritance, lien or inheritance, lien or otherwise any right, title or interest in or to the real property described in the complaint; MICHAEL JAMES EVANS, AS PRESUMPTIVE HEIR, DEVISEE, DISTRIBUTEE OF THE ESTATE OF KATHLEEN M. EVANS AKA KATHLEEN MANDOOGIAN, DECEASED; CHRISTOPHER EVANS, AS PRESUMPTIVE HEIR, DEVISEE, DISTRIBUTEE OF THE ESTATE OF KATHLEEN M. EVANS AKA KATHLEEN MANDOOGIAN, DECEASED; MELISSA EVANS, AS PRESUMPTIVE HEIR, DEVISEE, DISTRIBUTEE OF THE ESTATE OF KATHLEEN M. EVANS AKA KATHLEEN MANDOOGIAN, DECEASED; MIDLAND FUNDING LLC DBA IN NEW YORK AS MIDLAND FUNDING OF DELAWARE LLC; ASSET ACCEPTANCE, LLC, Defendants-Index No. 20190156. Plaintiff Designates Seneca County as the Place of Trial. The Basis of Venue is that the subject action is situated in Seneca County. To the above named DefendantsYOU ARE HEREBY SUMMONED to answer the Complaint in this action and to serve a copy of your answer, or, if the complaint is not served with this Summons, to serve a notice of appearance, on the Plaintiff's Attorney(s) within 20 days after the service of this Summons, exclusive of the day of service (or within 30 days after the service is complete if this Summons is not personally delivered to you within the State of New York); the United States of America may appear or answer within 60 days of service hereof; and in case of your failure to appear or answer, judgment will be taken against you by default for the relief demanded in the Complaint. That this Supplemental Summons is being filed pursuant to an order of the court dated November 19, 2019. 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. HELP FOR HOMEOWNERS IN FORECLOSURE; New York State law requires that we send you this notice about the foreclosure process. Please read it carefully. SUMMONS AND COMPLAINT You are in danger of losing your home. If you fail to respond to the Summons and Complaint in this Foreclosure Action, you may lose your home. Please read the Summons and Complaint carefully. You should immediately contact an attorney of your local legal aid office to obtain advice on how to protect yourself. SOURCES OF INFORMATION AND ASSISTANCE The State encourages you to become informed about your options in foreclosure. In addition to seeking assistance from an attorney or legal aid office, there are government agencies and non-profit organizations that you may contact for information about possible options, including trying to work with your lender during this process. To locate an entity near you, you may call the toll-free helpline maintained by the New York State Department of Financial Services' at 1-800-269-0990 or visit the Department's website at http://www.dfs.ny.gov. FORECLOSURE RESCUE SCAMS Be careful of people who approach you with offers to save your home. There are individuals who watch for notices of foreclosure actions in order to unfairly profit from a homeowner's distress. You should be extremely careful about any such promises and any suggestions that you pay them a fee or sign over your deed. State law requires anyone offering such services for profit to enter into a contract which fully describes the services they will perform and fees they will charge, and which prohibits them from taking any money from you until they have completed all such promised services. We are attempting to collect a debt. Any information obtained will be used for that purpose. The foregoing summons is served upon you by publication pursuant to an order of the Honorable Daniel J. Doyle, J.S.C. dated November 19, 2019. The object of this action is to foreclose a mortgage and covering the premises known as 9703 Case Road, Millport, NY 14864 located at Section 22 Block 1 and Lot 04.9 Dated: November 12, 2019 Filed: December 11, 2019 Greenspoon Marder LLP, Attorney for Plaintiff, By: Holly Hamilton, Esq., 590 Madison Avenue, Suite 1800, New York, NY 10022 (212) 524-5000. Please respond to Cypress Creek office: Trade Centre South, 100 W. Cypress Creek Road, Suite 700, Fort Lauderdale, FL 33309 (888) 491-1120.