View original file203880
SUMMONS BY PUBLICATION
CASE NO. 26-2-00027-02
IN THE SUPERIOR COURT OF THE STATE OF
WASHINGTON, IN AND FOR THE COUNTY OF ASOTIN
MOORE QUALITY DESIGN, INC., an Idaho Corporation,
Plaintiff,
v.
THE UNKNOWN HEIRS, DEVISEES, SUCCESSORS AND/OR ASSIGNS OF DARYL RAY CLICK, DECEASED, THE UNKNOWN HEIRS, DEVISEES, SUCCESSOR AND/OR ASSIGNS OF THE CHARLES AND LAUREL CASSELL FAMILY TRUST AND THE BERYL CASSELL FAMILY TRUST, BEING FORMER SHAREHOLDERS OF C.E.R., INC., a dissolved Washington corporation; AND THE UNKNOWN OWNERS AND UNKNOWN CLAIMANTS OF THE FOLLOWING DESCRIBED REAL PROPERTY SITUATE IN THE COUNTY OF ASOTIN, STATE OF WASHINGTON,
TO WIT: That part of Section 31, Township 11 North, Range 46 East, Willamette Meridian, Asotin Comity, Washington, more particularly described as follows:
Commencing at the monument at the intersection of Critchfield Road and 6th Avenue; thence North 89°04'44" West along the centerline of 6th Avenue for a distance of 1815.0 feet to the True Place of Beginning; thence continue North 89°04'44" West along said centerline for a distance of 330.0 feet; thence South 0°55'16" West for a distance of 660.0 feet; thence South 89°04'44" East a distance of 330.0 feet; thence North 0°55'16" East for a distance of 660.00 feet to the True Point of Beginning.
Defendants.
The State of Washington to said UNKNOWN HEIRS, DEVISEES, SUCCESSORS AND/OR ASSIGNS OF DARYL RAY CLICK, DECEASED, THE UNKNOWN HEIRS, DEVISEES, SUCCESSOR AND/OR ASSIGNS OF THE CHARLES AND LAUREL CASSELL FAMILY TRUST AND THE BERYL CASSELL FAMILY TRUST, BEING FORMER SHAREHOLDERS OF C.E.R., INC., a dissolved Washington corporation; AND THE UNKNOWN OWNERS AND UNKNOWN CLAIMANTS OF THE ABOVE-DESCRIBED REAL PROPERTY SITUATE IN THE COUNTY OF ASOTIN, STATE OF WASHINGTON
You are hereby summoned to appear within sixty days after the date of the first publication of this summons, to wit, within sixty days after the 11th day of February, 2026, and defend the above entitled action in the above entitled court, and answer the complaint of the plaintiff, MOORE QUALITY DESIGN, INC., an Idaho Corporation, and serve a copy of your answer upon the undersigned attorneys for plaintiff, Zachary A. Battles, of the law firm of JONES, BROWER & CALLERY, PLLC, 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 action is for quiet title to personal property. (Insert here a brief statement of the object of the action.
JONES, BROWER & CALLERY, PLLC
Attention: Zachary A. Battles
P. O. Box 854
Lewiston, Idaho
Dated this 4th day of February, 2026.
JONES, BROWER & CALLERY, PLLC
By: /s/ Zachary A. Battles
ZACHARY A. BATTLES WSBA 53804
Attorneys for Plaintiff