NOTICE OF SERVICE OF PROCESS BY PUBLICATION
STATE OF NORTH CAROLINA, COUNTY OF MECKLENBURG
IN THE GENERAL COURT OF JUSTICE, SUPERIOR COURT DIVISION
26CV027325-590
FOUNDERS FEDERAL CREDIT UNION,
Plaintiff,
vs.
MILTON MCKNIGHT,
Defendant.
TO: MILTON MCKNIGHT
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 September 6, 2024, Milton Mcknight ("Defendant") executed a Security Agreement and Advance Receipt (the "Security Agreement") with Founders Federal Credit Union ("Plaintiff"). Pursuant to the Security Agreement, Plaintiff advanced funds to Defendant for the purchase of a 2014 Chevrolet Cruz (the "Collateral"; VIN # 1G1PG5SB3E7307496), and Defendant granted Plaintiff a security interest in the Collateral. Defendant failed to make payments when due under the Security Agreement and is in default of his obligations thereunder. After providing all credits due to Defendant, Defendant remains indebted to Plaintiff under the Security Agreement in the amount of no less than $9,908.47, plus interest accruing thereon at the rate of $1.853 per day from and after August 5, 2026 until the date of judgment, and thereafter at the lower of the maximum legal rate or the rate of the Security Agreement until paid. Beginning on or about September 10, 2024 through September 15, 2024, Defendant engaged in several transactions which caused an overdraft on Checking Account No. xxx33-0070 (the "Checking Account"). After providing all credits due to Defendant on the Checking Account, Defendant owes Plaintiff the sum of no less than $547.88, plus interest accruing thereon from and after the date of judgment, and thereafter at the lower of the maximum legal rate or the rate of the Checking Account until paid.
You are required to make defense to such pleading no later than September 18, 2026, 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 9th day of August, 2026.
Sarah Ashley Golob
NC State Bar No. 52018
Attorney for Plaintiff
Maynard Nexsen PC
227 W. Trade Street, Suite 2300
Charlotte, NC 28202
704-339-0304
IPL0363751
Aug 9,16,23 2026