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COMMON PLEAS COURT
of MAHONING COUNTY, OHIO

Full text of Legal Notice

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LEGAL NOTICE

JERRY M. BRYAN

ATTORNEY AT LAW

HENDERSON, COVINGTON, MESSENGER, NEWMAN & THOMAS CO., LPA

6 Federal Plaza Central, Suite 1300

Youngstown, OH 44503

Telephone: 330-744-1148

IN THE COURT OF

COMMON PLEAS,

MAHONING COUNTY, OHIO

120 Market Street

Youngstown, Ohio 44503-1751

Judge R. Scott Kruchbaum

Case No. 20CV 28

HOME SAVINGS BANK

PLAINTIFF,

VS.

ESTATE OF CAROLE L. SMITH, DECEASED, ET AL

DEFENDANTS.

Unknown Executor or Administrator of the Estate of Carole L. Smith, Deceased and Unknown Heirs, Devisees, and Legatees, of the Estate of Carole L. Smith, Deceased, whose addresses are unknown and who cannot be served within the State of Ohio, will take notice that Plaintiff filed a Complaint in Mortgage Foreclosure in the Common Pleas Court of Mahoning County, Ohio on January 7, 2020, Case No. 2020 CV 28, against Estate of Carole L. Smith, Deceased, et al., Defendants, alleging that Plaintiff extended a loan to Carole L. Smith in the principal amount of $40,635.33 pursuant to a Note in said amount, a copy of which is attached to the Complaint as Exhibit "A"; that Plaintiff is the holder of thereof, and there is owing to Plaintiff on the Note the sum of $38,186.34, plus interest at the rate of 4.85% per annum from March 5, 2019, unpaid late charges, fees, plus any other costs and expenses recoverable under the Note and the mortgage that Carole L. Smith died and to date no estate has been filed; that to secure payment of the Note, Carole L. Smith granted Plaintiff a Mortgage and thereby conditionally conveyed to Plaintiff the real property known as 110 Millet Avenue, Youngstown, Ohio 44509; PPN: 53-172-0-314.000 and described in said Mortgage, a copy of which is attached to the Complaint as Exhibit "B"; that the Mortgage is the first and best lien against the subject real estate, after the lien for real estate taxes; that the Note secured by the Mortgage is in default for lack of payment, the conditions of the Mortgage have been broken, Plaintff is the holder of the Mortgage, and Plaintiff is entitled to have the Mortgage foreclosed; that the other Defendants may have or claim to have interests in the subject real estate. The Complaint demands that the Defendants named therein be required to appear in this suit and set forth whatever interests they may have in and to the subject real property or be forever barred from asserting the same; that judgment be entered in favor of Plaintiff in said amount; and the subject premises be appraised and sold in this action, and the proceeds applied to the satisfaction of Plaintiff's Mortgage in its proper priority; that Plaintiff receive its costs in this action; and the Court grant further relief.

Defendants Unknown Executor or Administrator of the Estate of Carole L. Smith, Deceased and Uunknown Heirs, Devisees, and Legatees, of the Estate of Carole L. Smith, Deceased, are further notified that they are required to answer said complaint within Twenty-eight (28) days of the last publication of this notice,  said answer day being the 31st day of March 2020 and set forth whatever interests they may have in and to the above-described real estate or be forever barred from asserting the same. 

JERRY M. BRYAN

Attorney for Plaintiff.

Jan 28; Feb 4, 11, 18, 25; Mar 3, 2020

20-00064

 

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