September 19, 2017 2:53 pm Last modified: 4:47 am

Virgin Grand Villas-St. John Condominium Owners’ Association, Plaintiff, vs. William H. Sammeth, Trustee, Defendant

IN THE SUPERIOR COURT OF THE VIRGIN ISLANDS
DIVISION OF ST. THOMAS AND ST. JOHN

VIRGIN GRAND VILLAS – ST. JOHN                
CONDOMINIUM OWNERS’ASSOCIATION,                                         
                                     Plaintiff,                                             
vs.

William H. Sammeth, Trustee, William H.      
Sammeth Trust Dated November 18, 1993,               
                                    Defendant.                                          

ST – 16 – CV – 77
ACTION FOR DEBT FORECLOSURE OF LIEN AND BREACH OF CONTRACT
NOTICE OF MARSHAL’S SALE

                        In compliance with a Writ of Execution issued out of the Superior Court of the Virgin Islands, Division of St. Thomas, on or about August 9, 2017, wherein Plaintiff Virgin Grand Villas – St. John Condominium Owners Association is the Plaintiff and William H. Sammeth, Trustee, William H. Sammeth Trust Dated November 18, 1993 is the Defendant, Civil No. ST – 16 – CV – 77, Action for Debt, Foreclosure of Lien and Breach of Contract, the undersigned Office of the Virgin Islands Marshal will sell at public sale to the highest and best bidder on the 4th day of October, 2017, at 10:00 o’clock a.m., at the Office of the Virgin Islands Marshal, Farrelly Justice Center, St. Thomas, U.S. Virgin Islands, the following real property:

Undivided one Fifty-first (1/51) (1.96 %) interest in Unit No. 4110, Week No. 33, an Annual Unit Week, in the Virgin Grand Villas – St. John Condominium located in a portion of the real property described as follows: Remainder Parcel No. 479 Estate Chocolate Hole, No. 11 Cruz Bay Quarter, St. John, U.S. Virgin Islands, being 12.2971 acres, more or less, as shown on PWD No. D9-4224-T88, as more fully described in the Declaration Establishing a Plan for Condominium Ownership of Virgin Grand Villas – St. John  Condominium, and amendments and supplements thereto (hereinafter the “Declaration”), and which Weekly Seasonal Ownership Interests and Periods of Use are created by the Third Supplemental Declaration Establishing a Weekly Seasonal Ownership Plan for Condominium Ownership of Virgin Grand Villas – St. John Condominium, and amendments thereto both as recorded in the Office of the Recorder of Deeds of St. Thomas and St. John, United States Virgin Islands;

consisting of a 3 bedroom 3 bath pool Villa at approximately 2,850 square feet located on the 1st floor of building 41, together with all appurtenances and improvements thereto.

            This judicial sale will be conducted in accordance with the provisions of V.I. Code Ann. tit. 5 § 471 et. seq. and the terms of sale, the full text of which can be reviewed at the Office of the Virgin Islands Marshal.  The terms of purchase include: ten percent (10%) of the purchase price must be deposited with the Office of the Virgin Islands Marshal no later than 3:00 p.m. on the day of sale, and, upon failure to do so, the Office of the Virgin Islands Marshal reserves the right to award the sale to the next highest bidder.  The balance of the sum bid must be paid within 30 days, or the deposit will be retained by the Office of the Virgin Islands Marshal as and for liquidated damages and applied toward satisfaction of the Judgment for which the property is being sold, and the Office of the Virgin Islands Marshal further reserves the right, in such event, to award the sale to the next highest bidder.  All payments must be made by cash, certified check, bank check, or U.S. postal money order.  Personal uncertified checks will not be accepted.

DATED:  August 28, 2017                            

OFFICE OF THE VIRGIN ISLANDS MARSHAL

LAWRENCE A. WALCOTT, JR.,
CHIEF MARSHAL

By:   DWANE A. CALLWOOD,
ASSISTANT MARSHAL

Law Offices of Richard H. Dollison, P.C.
Richard H. Dollison

48 Dronningens Gade, Ste. 2C
P.O. Box 6135
St. Thomas, U.S. Virgin Islands 00804-6135
(340) 774-7044
(340) 774-7045 fax
rhd@rdollisonlaw.com

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