NOTICE OF SERVICE OF PROCESS BY PUBLICATION
STATE OF NORTH CAROLINA, COUNTY OF MECKLENBURG
IN THE GENERAL COURT OF JUSTICE, SUPERIOR COURT DIVISION
25CV041012-590
FOUNDERS FEDERAL CREDIT UNION,
Plaintiff,
vs.
GERALYNN LANIER SPANN AND KENNETH ISAAC SPANN A/K/A KENNETH I. SPANN,
Defendants.
TO: GERALYNN LANIER SPANN AND KENNETH ISAAC SPANN A/K/A KENNETH I. SPANN
TAKE NOTICE that a pleading seeking relief against you has been filed in the above-entitled action. The nature of the relief being sought is as follows: On or about December 30, 2011, Geralynn Lanier Spann ("Ms. Spann") and Kenneth Isaac Spann a/k/a Kenneth I. Spann ("Mr. Spann") (hereinafter, Ms. Spann and Mr. Spann are collectively referred to as "Defendants") executed a Membership Application and Account Card (the "Application") and agreed to be bound by the Membership Agreement (the "Credit Union Booklet") with Founders Federal Credit Union ("Plaintiff"). Thereafter, on or about January 19, 2018, and subject to the Credit Union Booklet, Plaintiff extended a line of credit (the "LOC") to Defendants as shown on the Preferred No Frills Visa Application and MasterCard terms and conditions (the "LOC Note"). Defendants failed to make payments when due on the Credit Union Booklet, the LOC, and the LOC Note. After providing all credits due to Defendants on the Credit Union Booklet and the Note, Defendants owe Plaintiff, jointly and severally, the sum of no less than $15,650.04, plus interest accruing thereon from and after the date of judgment at the lower of the maximum legal rate or the rate of the LOC Note until paid and attorney's fees, pursuant to the Credit Union Booklet, the LOC, the LOC Note, and N.C. Gen. Stat. § 6-21.2 in the amount of $2,347.51, which is 15% of the amount due under the Credit Union Booklet, the LOC, and the LOC Note.
You are required to make defense to such pleading no later than December 5, 2025, said date being 40 days from the date of first publication of this notice, and upon your failure to do so the party seeking service against you will apply to the court for the relief sought.
This the 26th day of October, 2025.
Brian T. Pearce
NC State Bar No. 31722
Attorney for Plaintiff
Maynard Nexsen PC
800 Green Valley Road, Suite 500
Greensboro, NC 27408
336-387-5137
IPL0284901
Oct 26,Nov 2,9 2025