STATE OF WISCONSIN CIRCUIT COURT DANE COUNTY
FIRST BUSINESS SPECIALTY FINANCE, LLC,
401 Charmany Drive
Madison, WI 53719,
Plaintiff,
v.
Case No: 2026-CV-1042
DC MEDICAL MARKETING, LLC,
1494 W Ustick Rd #110
Meridian, ID 83646,
and
DENNIS CARROLL,
1493 West Soldotna Drive
Kuna, ID 83634,
Defendants.
PUBLICATION SUMMONS
THE STATE OF WISCONSIN, TO THE DEFENDANT NAMED ABOVE:
YOU ARE HEREBY NOTIFIED that the Plaintiff named above has filed a lawsuit or other legal action against you. The Complaint, which is also hereby served upon you, states the nature and basis of the legal action.
Within 40 days after May 6, 2026 (which is the first day that this Summons was published), you must respond with a written answer, as that term is used in chapter 802 of the Wisconsin Statutes, to the Complaint. The Court may reject or disregard an answer that does not follow the requirements of the statutes. The answer must be sent or delivered to the Court, whose address is Dane County Courthouse, 215 S. Hamilton Street, Madison, Wisconsin 53703 and to the plaintiff's attorney, Sarah Laughlin, whose address is 411 E. Wisconsin Avenue, Suite 1000, Milwaukee, Wisconsin 53202. You may have an attorney help or represent you.
If you do not provide a proper answer within 40 days, the Court may grant judgment against you for the award of money or other legal action requested in the Complaint, and you may lose your right to object to anything that is or may be incorrect in the Complaint. A judgment may be enforced as provided by law. A judgment awarding money may become a lien against any real estate you own now or in the future, and may also be enforced by garnishment or seizure of property.
Dated this 30th day of April, 2026.
von Briesen & Roper, s.c.
By: Electronically signed by Sarah L. Laughlin
Sarah L. Laughlin
State Bar No. 1122946
411 East Wisconsin Avenue, Suite 411
Milwaukee, WI 53202
Tel: 414.287.1531
sarah.laughlin@vonbriesen.com
Josh C. Kopp
State Bar No. 1041791
10 East Doty Street, Suite 900
Madison, WI 53703
Tel: 608.441.0300
josh.kopp@vonbriesen.com
Attorneys for Plaintiff
THIS IS AN ATTEMPT TO COLLECT A DEBT AND ANY INFORMATION
OBTAINED WILL BE USED FOR THAT PURPOSE
IPL0336818
May 6,13,20 2026