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COMMON PLEAS COURT
of MAHONING COUNTY, OHIO

Full text of Legal Notice

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LEGAL NOTICE

PETER L. MEHLER

Attorney At Law

REIMER LAW CO.

P.O. Box 39696

Solon, OH 44139

Telephone: 440-600-5500

IN THE COURT OF

COMMON PLEAS,

MAHONING COUNTY, OHIO

120 Market Street

Youngstown, Ohio 44503-1751

Case No. 19CV 920

WELLS FARGO BANK N.A., AS TRUSTEE, FOR CARRINGTON MORTGAGE LOAN TRUST, SERIES 2006 NC2 ASSET-BACKED PASS-THROUGH CERTIFICATES

PLAINTIFF,

VS.

SHAWN PATTERSON AKA SHAWN D. PATTERSON, ET AL.,

DEFENDANTS.

Shawn Patterson aka Shawn D. Patterson, whose last place of residence is 17412 Lakewood Avenue, Lake Milton, Ohio 44429 and 5032 Lake Forest Drive, Peninsula, Ohio 44264, Unknown Spouse, if any, of Shawn Patterson aka Shawn D. Patterson whose last place of residence is 17412 Lakewood Avenue, Lake Milton, Ohio 44429 and 5032 Lake Forest Dive, Peninsula, Ohio 44264; New Century Mortgage Corporation whose last place of business is unknown but whose present place of residence/business are unknown, will take notice that on May 9, 2019, Wells Fargo Bank N.A., as Trustee, for Carrington Mortgage Loan Trust, Series 2006 NC2 Asset-Backed Pass-Through Certificates filed its Complaint in Case No. 19CV 920 in the Court of Common Pleas, Mahoning County, Ohio, alleging that the Defendants, Shawn Patterson aka Shawn D. Patterson, Unknown Spouse, if any, of Shawn Patterson aka Shawn D. Patterson, New Century Mortgage Corporation have or claim to have an interest in the real estate described below:

PERMANENT PARCEL NUMBERS: 33-024-0-119.000 and 33-024-0-118.000

PROPERTY ADDRESS: 17412 Lakewood Avenue, Lake Milton, Ohio 44429. The legal description may be obtained from the Mahoning County Auditor at 120 Market Street, Youngstown, Ohio 44503, 330-740-2010.

The Petitioner further alleges that by reason of default of the Defendants in the payment of a promissory note, according to its tenor, the conditions of a concurrent mortgage deed given to secure the payment of said note and conveying the premises described, have been broken, and the same has become absolute.

The Petitioner prays that the Defendants named above be required to answer and set up their interest in said real estate or be forever barred from asserting the same, for foreclosure of said mortgage, the marshalling of any liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of Petitioner’s claim in the proper order of its priority, and for such other and further relief as is just and equitable. THE DEFENDANTS NAMED ABOVE ARE REQUIRED TO ANSWER ON OR BEFORE THE 26th day of July 2019.

PETER L. MEHLER

Attorney for Plaintiff-Petitioner.

Jun 14, 21, 28, 2019

19-00413

 

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