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Foreclosure Notice*
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NOTICE OF ASSESSMENT LIEN SALE t a Inn u rtj; H v r . i nt t l 12: 05
STATE OF TEXAS S r ,. 0 1‘, E ,[
CO'WI ` f CLERK
c EYAS
COLCOLLINg`
COUNTY OF COLLIN
DEPUTY
WHEREAS, on or about January 21, 2025, a Notice of Lien was filed in the Deed
Records ofCollin County, Texas, covering the real property herein described concerning default
in the payment of the indebtedness owing by Ramona Hereford, the present owner of said real
property, to Brookview Homeowners' Association ( the " Association"); and
WHEREAS, the said Ramona Hereford has continued to default in the payment of her
indebtedness to the Association and the same is now wholly due, and the Association, acting by
and through its duly authorized agent, intends to sell the herein described property to satisfy the
present indebtedness ofsaid owners to the Association;
NOW, THEREFORE, notice is hereby given that on Tuesday, September 1, 2026,
between 10 o' clock a.m. and 4 o' clock p.m., the Association will sell said real estate at the main
entrance of the Collin County Courthouse located at 2100 Bloomdale Road, McKinney, TX
75071., Collin County, Texas, to the highest bidder for cash, subject to all superior liens and
encumbrances of record. The earliest time at which said sale will begin will be 10:00 o'clock
a.m., and the sale will take place not later than three( 3) hours after that time.
Said real estate is described as follows:
Lot 14, Block L, ofBrookview, Phase 1, an Addition to the City of
McKinney, Collin County, Texas, according to the plat thereof
recorded in Volume 0, Page 497 ofthe Plat Records, Collin County,
Texas ( 5328 Pandale Valley Drive)
f 4— ,
WITNESS my hand this`/ day of 2026
BROOKVIEW HOMEOWNERS' SOCIATION
By: L
Jason . Reed, Substitute Trustee
Riddle& Williams, P.C.
3811 Turtle Creek Blvd, Suite 500
Dallas, Texas 75219
The within notice was posted by me on the day of 2026, at the Collin
County Courthouse in Collin, Texas.
506-92822CAUSE NO. 493- 08865- 2025
IN RE: ORDER FOR FORECLOSURE § IN THE DISTRICT COURT OF
CONCERNING
5328 Pandale Valley Drive COLLIN COUNTY, TEXAS
McKinney, TX 75071
UNDER TEX. R. CIV. PROC. 736
493RD JUDICIAL DISTRICT
Filed: 6/9/2026 10:37 AM
AND RAMONA HEREFORD
Michael Gould
DistrictClerk
Collin county, Texas
DEFAULT ORDER FOR FORECLOSURE
By Sarah Beasley Deputy
Envelope ID: 115902327
On November 5, 2025, the Application for Foreclosure under Tex. R. Civ. Proc. 736 in
the above- entitled cause of action was presented to the Court. Brookview Homeowners'
Association ( the " Association"), Petitioner herein, seeks an order pursuant to Tex. R. Civ. Proc.
736 to foreclose the Association' s assessment lien against 5328 Pandale Valley Drive,
McKinney, Texas 75071, and further described as follows:
Lot 14, Block L, of Brookview, Phase 1, an Addition to the City of McKinney,
Collin County, Texas, according to the plat thereof recorded in Volume 0, Page
497 of the Plat Records, Collin County, Texas ( 5328 Pandale Valley Drive)
hereinafter the" Property).
The Court finds that the Association' s Application for Foreclosure complies with Rule
736.1 of the Tex. R. Civ. Proc. and was properly served in accordance with Rule 736.4 of the
Tex. R. Civ. Proc. The Court further finds that Respondent has not previously filed a response,
and the return of service has been on file with the clerk of the Court for at least 10 days before
the date of this Order. The Court finds that the name and last known address of each respondent
is as follows:
ORDER FOR FORECLOSURE UNDER TEX. R. CIV. PROC. 736 PAGE 1Ramona Hereford
5328 Pandale Valley Drive
McKinney, Texas 75071
Pursuant to Rule 736.7 of the Tex. R. Civ. Proc., all facts alleged in the Application for
Foreclosure and supported by the affidavit ofmaterial facts constitute prima facie evidence ofthe
truth ofthe matters alleged. The Court further finds as follows:
1. This proceeding is brought in the county in which all or part of the real property
encumbered by the lien sought to be foreclosed is located.
2. The Association is governed by the Declaration of Covenants, Conditions and
Restrictions for Brookview ( the " Declaration"), as corrected and supplemented
from time to time.
3. The Property is subject to and governed by the Declaration.
4. By virtue ofRespondent' s acquisition ofthe Property, Respondent agreed to and
became obligated by the Declaration to pay to the Association all assessments for
the expense of administration, maintenance, upkeep and repair ofthe Community
as assessed in accordance with the Declaration, as more particularly shown in
Article IV ofthe Declaration.
5. Article IV, Section 4.13( a) of the Declaration creates an assessment lien against
the Property to secure payment ofassessments and other charges pursuant to Tex.
R. Civ. Proc. 735.1( c) and Tex. Prop. Code 209.0092.
6. Article IV, Section 4. 13( b) of the Declaration further provides that the
Association may foreclose its assessment lien by appropriate judicial or non-
judicial proceedings.
7. During the period of Respondent' s ownership, Respondent has been assessed
ORDER FOR FORECLOSURE UNDER TEX. R. CIV. PROC. 736 PAGE 2maintenance fees in a non-discriminatory manner based on Respondent' s
ownership ofthe Property.
8. Article IV, Section 4.2 and 4.13 of the Declaration and Texas Property Code
5.006 provide for recovery of attorney' s fees and expenses incurred in the
collection ofdelinquent assessments.
9. As of October 15, 2025, Respondent was 16 months in default in her obligations
to the Association for a total of One Thousand Eight Hundred and Thirty Nine
Dollars and Fifty Two Cents ($ 1, 839. 52).
10. Respondent has been notified of the amounts due and unpaid attributed to
Respondent' s failure to pay the assessments and other charges by notice letter
dated October 23, 2024.
11. A Notice of Lien was filed on or about January 21, 2025 at Instrument No.
2025000006655 in the office of the County Clerk of Collin County, Texas, and
Respondent was notified of same by letter dated January 17, 2025.
12. The Association afforded Respondent thirty (30) days to cure the default pursuant
to the January 17, 2025 letter, and such opportunity to cure the default has
expired.
13. Prior to filing this Application, the Association performed all actions required
under applicable law and the terms ofthe Declaration required prior to foreclosing
the Association' s assessment lien against the Property.
THE COURT THEREFORE GRANTS the Association' s Application for Foreclosure
under Tex. R. Civ. Proc. 736.
ORDER FOR FORECLOSURE UNDER TEX. R. CIV. PROC. 736 PAGE 3IT IS THEREFORE ORDERED that the Association may proceed with a foreclosure
ofits assessment lien on the Property under the terms ofthe Association' s Declaration and Texas
Property Code Section 51.002; and
IT IS FURTHER ORDERED that the Association shall send Respondent a copy ofthis
Order with the notice offoreclosure sale sent to Respondent; and
IT IS FURTHER ORDERED that the Association may communicate with Respondent
and all third parties as may be reasonably necessary to conduct the foreclosure sale of the
Property.
6/23/2026
SIGNED ON
r
JUDGE PRESIDING
ORDER FOR FORECLOSURE UNDER TEX. R. CIV. PROC. 736 PAGE 4Automated Certificate of eService
This automated certificate of service was created by the efiling system.
The filer served this document via email generated by the efiling system
on the date and to the persons listed below. The rules governing
certificates of service have not changed. Filers must still provide a
certificate of service that complies with all applicable rules.
Jason Reed on behalf of Jason Reed
Bar No. 24043887
jreed@riddleandwilliams. com
Envelope ID: 115902327
Filing Code Description: Proposed Order
Filing Description: Default Order for Foreclosure
Status as of 6/24/2026 9:03 AM CST
Associated Case Party: Brookview Homeowners' Association
Name BarNumber Email TimestampSubmitted Status
Jason Reed jreed@riddleandwilliams.com 6/9/2026 10:37:02 AM SENT