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COMMONWEALTH OF MASSACHUSETTS SUPERIOR COURT BERKSHIRE, SS. CASE NO. 2576CV00029 AJX Mortgage Trust I, a Delaware Trust, Wilmington Savings Fund Society, FSB, Trustee (Plaintiff) VS. Nikki Pickett a/k/a Nikki Slate, Lunalyn Delaney Biagini f/k/a Brooklynn Delaney Biagini, Dominique Biagini by her parent and next friend, Elvy Allegre, Sophia Biagini, Layla Boudreau by her aunt and next friend Nikki Pickett a/k/a Nikki Slate, Delilah Boudreau by her aunt and next friend Nikki Pickett a/k/a Nikki Slate, All Unknown Heirs, Devisees or Legal Representatives of the Estate of Paul A. Biagini a/k/a Paul Anthony Biagini, All Unknown Heirs, Devisees or Legal Representatives of the Estate of Jaclyn Ann Biagini Boudreau, Ellies Holdings, LLC, United States of America acting through its Department of the Treasury (IRS Division) and Commonwealth of Massachusetts acting through its Department of Revenue (Defendants) TO: All Unknown Heirs, Devisees or Legal Representatives of the Estate of Paul A. Biagini a/k/a Paul Anthony Biagini and All Unknown Heirs, Devisees or Legal Representatives of the Estate of Jaclyn Ann Biagini Boudreau: You are hereby notified that a First Amended Verified Complaint (the "Complaint") has been filed by the above-named Plaintiff with the Berkshire County Superior Court (the "Court") in which you are named as a Defendant. The address of the Court is 76 East Street, Pittsfield, MA 01201. This Complaint concerns a certain parcel of land known as 534 West Mountain Road, Cheshire, Berkshire County, Massachusetts (the "Property") In the Complaint, Plaintiff seeks a judgment pursuant to G.L. c. 231A. 1. et. seq. declaring that: (a) Plaintiff is a party entitled to enforce the terms and conditions of a certain Adjustable-Rate Note (the "Note") given by Paul Anthony Biagini to Greylock Federal Credit Union dated September 10, 2004 and the default remedies provided for therein; (b) the terms of the Note are as set forth in the copy of the Note attached to the Complaint as Exhibit 1; (c) Plaintiff is also the holder of the Mortgage securing the Note given by Paul Anthony Biagini to Greylock Federal Credit Union, dated September 10, 2004, and recorded with the Berkshire County (Northern District) Registry of Deeds in Book 1174, Page 530 (the "Mortgage") and is entitled to exercise the default remedies provided for in the Mortgage including exercise of the power of sale; (d) any subsequent affidavit executed by or on behalf of Plaintiff or its successor(s) or assign(s) pursuant to G.L. c. 244, 35C concerning its standing to foreclose the Mortgage may make specific reference to the Court's judgment entered in this action; and (e) Defendants, Nikki Pickett a/k/a Nikki Slate, Lunalyn Delaney Biagini f/k/a Brooklyn Biagini, Dominique Biagini, Sophia Biagini, Layla Boudreau and Delilah Boudreau, are not in the military service within the meaning of the Servicemembers Civil Relief Act, 50 U.S.C. c. 50, 3901 (et. seq.) (the "Act") and these Defendants are not entitled to any of the benefits of the Act as of the date of such judgment. The Complaint also seeks a conditional judgment in favor of Plaintiff for all sums due and owing under the Note and Mortgage pursuant to G.L. c. 244, 3 and 5 and, if Defendants fail to pay Plaintiff the full sum provided for in such conditional judgment within two months of the Court's entry of such judgment, a further order pursuant to G.L. c. 244, 11 authorizing the Plaintiff to sell the Property at a public sale conducted pursuant to the power of sale contained in the Mortgage. This Complaint is available for viewing and/or downloading from the Massachusetts' Judiciary's Electronic Filing System or you may obtain a copy by submitting a written request to Plaintiffs attorney, whose address appears below. You may also make your request to Plaintiffs counsel by email at jmcnicholas@kordeassociates.com. If you intend to make any defense, or if you are in the active military service of the United States of America or feel you are otherwise entitled to any benefits or protections under the Act, you are hereby required to file your answer or other responsive pleading with the Court AND to serve a copy of your answer or other responsive pleading upon the Plaintiffs attorney, John S. McNicholas, Esq., Korde & Associates, P.C. whose address is 900 Chelmsford Street, Suite, Lowell, MA 01851 no more than twenty (20) days after the last publication date of this notice. If you fail to do so, judgment by default will be taken against you for the relief demanded in the complaint. Unless otherwise provided by the Massachusetts Rules of Civil Procedure, your answer must state as a counterclaim any claim which you may have against Plaintiff which arises out of the transaction or occurrence that is the subject matter of Plaintiffs claim, or you will thereafter be barred from making such claim in any other action. Unless otherwise provided by Mass. Rule of Civil Procedure 13(a) your answer must state as a counterclaim any claim which you have against the Plaintiff, AJX Mortgage Trust I, which arises out of the transaction or occurrence that is the subject matter of the Plaintiff's claim or you will hereinafter be barred from making such claim in any other action. Plaintiff is hereby ordered to publish a copy of this notice once a week for three consecutive weeks in The Berkshire Eagle, a newspaper of general circulation in Berkshire County, Massachusetts with the first publication in such newspaper to be on or before 2/13/2026 (insert date). By the Court, Entered: 2/5/26 Tracy E. Duncan Ad# 100080 02/13/2026, 02/20/2026 02/27/2026

Feb 13, 2026. Trial Court Of Massachusetts The Superior Court Berkshire Superior Court Notices Ads from The Berkshire Eagle ShopLocal

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