STATE OF WISCONSIN CIRCUIT COURT PIERCE COUNTY CASE NO. 21CV000120 DISCOVER BANK C/O DISCOVER PRODUCTS INC PLAINTIFF, VS.
AUGUST A GUTTING Defendant AMENDED SUMMONS THE STATE OF WISCONSIN TO: AUGUST A GUTTING 414 N PEARL ST
RIVER FALLS, WI 54022-2070
nou are hereby noti ed that the Plaintiff named above has led a lawsuit or other legal action against you. The Com – plaint, which is also served on you, states the nature and ba – sis of the legal action.
Within Forty 040 1 days after October 28, 2021, you must respond with a written an – swer, as that term is used in Chapter 802 of the Wisconsin Statutes, to the Complaint. The court may re Mect or disre – gard an answer that does not follow the re Tuirements of the statutes. The answer must be sent or delivered to the court, whose address is: CLER Z OF CIRCUIT COURT, PIERCE COUNT n, P O BOX 12 F 5 414 W MAIN ST, ELLSWORTH WI 54011 and the Zohn Law Firm, Plaintiff's attorneys, whose ad – dress is D35 N. Water St., Suite 1300, Milwaukee, WI 53202. nou may have an attorney help or represent you.
If no Complaint accompanies this Summons you must re – spond within the said 40 day period with a written demand for a copy of the Complaint by mailing or delivering said writ – ten demand to the court and to the Plaintiff's attorneys at their respective addresses listed above.
If you do not provide a prop – er answer to the Complaint or provide a written demand for said complaint within the 40 day period, the court may grant Mudgment against you for the award of money or other legal action re Tuested in the Complaint, and you may lose your right to ob Mect to anything that is or may be incorrect in the Complaint. A Mudgment may be enforced as provided by law. A Mudgment awarding money may become a lien against any real estate you own now or in the future, and may be enforced by garnish –
ment or seizure of property.
Dated at Milwaukee, Wiscon – sin October 1 F, 2021.
ZOHN LAW FIRM S.C.
ELECTRONICALL n SI UNED B n: 7S 7JASON D. HERMERS –
MANN JASON D. HERMERS –
MANN State Bar No. 104 F F48 Attorney for Plaintiff WNAXLP 10 28, 11 4, 11