No. 538-June 25-3 Times
IN THE DISTRICT COURT
OF MCCLAIN COUNTY
STATE OF OKLAHOMA
BANK OF COMMERCE,
Plaintiff,
v.
SC ENVIRONMENTAL, LLC, an Oklahoma limited liability company;
RONALD FRAZE, an individual;
MICHAEL CHURCHILL, deceased;
NANCY DENNIS, as an heir of Michael Churchill, deceased;
SEAN CHURCHILL, as an heir of Michael Churchill, deceased;
STEPHANIE CHURCHILL, as an heir of Michael Churchill, deceased;
CHRISTOPHER CHURCHILL, as an heir of Michael Churchill, deceased;
ASHLEY LEWELLING, as an heir of Michael Churchill, deceased;
MELINDA MCKINLEY, as an heir of Michael Churchill, deceased;
THE UNKNOWN HEIRS, SUCCESSORS, AND ASSIGNS OF MICHAEL CHURCHILL;
777 HOLDINGS, LLC, an Oklahoma limited liability company;
BULLET ENERGY SERVICES, LLC, an Oklahoma limited liability company; and
UNITED STATES OF AMERICA, EX REL, SMALL BUSINESS ADMINISTRATION,
Defendants.
Case No. CJ-2026-93
ALIAS SERVICE OF SUMMONS
BY PUBLICATION NOTICE
STATE OF OKLAHOMA TO: (1) MICHAEL CHURCHILL, deceased;
TAKE NOTICE that you have been sued by Bank of Commerce, and that you must answer the Petition of said Plaintiff on file in said cause on or before the 3rd day of August 2026, or the allegations of said Petition will be taken as true and judgment rendered against you, awarding the Plaintiff a money judgment and a first mortgage lien upon the following described real estate:
Well
Harmon 1-32
API No. 087-21180
Section 32, Township 7 North, Range 4 West, I.M.
McClain County, Oklahoma
Permit No. 1502600052
Real Property
Beginning at a point 1,126.030 feet South and 428.360 feet East of the NW/corner of the NW/4 of Section 32, Township 7 North, Range 4 West, I.M., McClain County, Oklahoma; thence North 89°37’44” East a distance of 305.952 feet to a point; thence South 00°15’48” East a distance of 646.111 feet to a point, said point being on the center line of State Highway 39; thence North 63°46’23” West along said center line, a distance of 341.842 feet to a point; thence North 00°15’48” West a distance of 493.058 feet to the point of beginning, containing 4.000 acres, more or less.
together with
(b) the Lease;
(c) all other real property situated in McClain County, Oklahoma and described on Exhibit A (the “Real Property”);
(d) all other wells, saltwater injection wells, water supply wells, wellbore, casing, tubing, pumping units, rods, flow lines, pipe lines, poles, lines, compressors, motors, engines, tanks, separators, pumping units, heater treaters, fittings, machinery, tools, tanks, equipment, documents of title, and all other items of real property, personal property, fixtures now or hereafter located at, under, or upon, or used in connection with, the SWD Wells and the Real Property;
(e) the Fixtures;
(f) all present and future contracts and agreements relating to the Well, the Lease, or the Real Property, or any portion of either of them, including, without limitation, contracts and agreements pursuant to which Mortgagor has acquired or may acquire rights in all or any portion of the foregoing;
(g) all existing and future permits, licenses, leases, rights-of-way, easements and similar rights and privileges that relate to or are appurtenant to all or any portion of the Well or Real Property;
(h) all awards, payments, and proceeds of conversion, whether voluntary or involuntary, of any of the foregoing, including, without limitation, all insurance, condemnation and tort claims, and other obligations dischargeable in cash; and
(i) all proceeds, products, substitutions, and exchanges of any of the foregoing.
(collectively, the “Mortgaged Real Property”).
The action alleges that Plaintiff is owed in the principal amount, together with interest, and with late fees, as of March 9, 2026, the total amount of $3,511,017.69, together with further interest at the Amended Note’s rate, through the date of judgment, together with the Bank’s costs, attorney fees and expenses, and with interest on the entire amount of judgment at the Amended Note’s rate per annum. The lawsuit also seeks foreclosure of your interest in the real property identified above and an order directing sale of the real property identified above with appraisement, all of which you will take due notice.
ISSUED this 12 day of June 2026.
COURT CLERK
[SEAL]
By: /s/ Karen Weltmer
Deputy Court Clerk
Attorneys for Plaintiff:
Jonathan M. Miles (OBA #31152)
Brock Z. Pittman (OBA #32853)
CHRISTENSEN LAW GROUP, P.L.L.C.
The Parkway Building
3401 N.W. 63rd Street, Suite 600
Oklahoma City, Oklahoma 73116
Telephone: (405) 232-2020
Facsimile: (405) 228-1113
Comments
No comments on this item Please log in to comment by clicking here