Login | October 17, 2017

COMMON PLEAS COURT
of MAHONING COUNTY, OHIO

Full text of Legal Notice

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LEGAL NOTICE

CHARLES V. GASIOR

Attorney At Law

CLUNK, PAISLEY, HOOSE CO., LPA

4500 Courthouse Blvd., Suite 400

Stow, Ohio 44224

Telephone: (330) 436-0300

IN THE COURT OF

COMMON PLEAS,

MAHONING COUNTY, OHIO

120 Market Street

Youngstown, Ohio 44503-1751

Case No. 17CV 1950

THE BANK OF NEW YORK MELLON F/K/A THE BANK OF NEW YORK AS SUCCESSOR IN INTEREST TO JPMORGAN CHASE BANK, N.A. AS TRUSTEE FOR NOVASTAR MORTGAGE FUNDING TRUST, SERIES 2004-1, NOVASTAR HOME EQUITY LOAN ASSET-BACKED CERTIFICATES, SERIES 2004-1

PLAINTIFF,

VS.

ORLANDO C. MAY, ET AL

DEFENDANTS.

Orlando C. May, whose last place of residence is known as 523 West Judson Avenue, Youngstown, Ohio 44511 but whose present place of residence is unknown and Linda J. May, whose last place of residence is known as 523 West Judson Avenue, Youngstown, Ohio 44511 but whose present place of residence is unknown, will take notice that on July 26, 2017, The Bank of New York Mellon f/k/a The Bank of New York as Successor in interest to JPMorgan Chase Bank, N.A. as Trustee for NovaStar Mortgage Funding Trust, Series 2004-1, NovaStar Home Equity Loan Asset-Backed Certificates, Series 2004-1, filed its Complaint in Foreclosure in Case No. 17CV 1950 in the Court of Common Pleas, Mahoning County, Ohio, alleging that the Defendants, Orlando C. May and Linda J. May, have or claim to have an interest in the real estate located at 523 West Judson Avenue, Youngstown, Ohio 44511, PPN: 53-128-0-049.000. A Complete legal description may be obtained with the Mahoning County Auditor's Office located at 120 Market Street, Youngstown, Ohio 44503.

  The Petitioner further alleges that by reason of default of the Defendant(s) 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 Defendant(s) 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 DEFENDANT(S) NAMED ABOVE ARE REQUIRED TO ANSWER ON OR BEFORE THE 7th DAY OF NOVEMBER, 2017.

BY: CHARLES V. GASIOR (#0075946)

Attorney for Plaintiff-Petitioner.

Sep 26; Oct 3,10, 2017  17-00958

 

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