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PUBLIC NOTICES - MISC. CIVIL PUBLIC NOTICES

Miscellaneous Civil Public Notices From March 10, 2022

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NOTICE OF EXCESS FUNDS FROM PROCEEDS OF A SHERIFF SALE

(O.R.C. 2329.44)

IN THE COURT OF

COMMON PLEAS,

MAHONING COUNTY, OHIO

120 Market Street

Youngstown, Ohio 44503-1751

Case No. 2021 CV 00738

SEVEN SEVENTEEN CREDIT UNION

PLAINTIFF,

VS.

UNKNOWN ESTATE OF GERALDINE COWNDON, ET AL

DEFENDANTS.

Notice is hereby given that excess funds from the proceeds of a sheriff's sale in the amount of Seventeen Thousand Seven Hundred Thirty-Four Dollars and Sixty-six ($17,734.66)  remain on deposit with the Mahoning County Clerk of Courts Office pending further order of the Court. If you believe you have a right to this money, you may file a motion [handwritten or typed] using the case number listed above and request the Court order the funds released to you. The mailing address is Clerk of Court, 120 Market Street, Youngstown, Ohio 44503. The motion must be notarized and must set forth that you are the debtor in this foreclosure action and that to the best of your knowledge you are entitled to the funds. You must serve a copy of the motion on the other parties. Additional case information can be found on the Court's website at ecourts.mahoningcountyoh.gov or call 330 740-2109 ext. 7502 with questions. If you are using the website, please enter the case number in the format of 2021 CV 00738.

     ANTHONY VIVO

     CLERK OF COURT

May 5, 2022

22-00294

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LEGAL NOTICE

ELIZABETH H. FARBMAN

Attorney At Law

ROTH, BLAIR, ROBERTS, STRASFELD & LODGE

100 Federal Plaza East, Suite #600

Youngstown, Ohio 44503-1893

Telephone: (330) 744-5211

IN THE COURT OF

COMMON PLEAS,

MAHONING COUNTY, OHIO

120 Market Street

Youngstown, Ohio 44503-1751

Case No. 22CV 609

CHRISTOPHER E. THOMAS, ET AL

PLAINTIFFS,

VS.

ARTHUR HARRIS, UNKNOWN SPOUSE, IF ANY, OF ARTHUR HARRIS, THE UNKNOWN HEIRS OF ARTHUR HARRIS, OLA COOK, UNKNOWN SPOUSE, IF ANY, OF OLA COOK, THE UNKNOWN HEIRS OF OLA COOK AND ALL OTHER PERSONS UNKNOWN CLAIMING ANY ESTATE, RIGHT, TITLE OR INTEREST IN THE SUBJECT PREMISES DESCRIBED IN THE COMPLAINT ADVERSE TO PLAINTIFFS' OWNERSHIP, ET AL

DEFENDANTS.

The Defendants, Arthur Harris; the Unknown Spouse, Heirs, Successors and Assigns of Arthur Harris, Ola Cook; the Unknown Spouse, Heirs, Successors and Assigns of Ola Cook, and all other persons unknown claiming any estate, right, title and interest in the following described Subject Premises, whose exact addresses cannot be ascertained with reasonable diligence, shall take notice that on the 13th day of April 2022, an Action to Quiet Title was filed in the Court of Common Pleas, Mahoning County, Ohio, naming you as Defendants. The prayer of the Complaint is for an Order declaring the Plaintiff to be the owner of the following described parcels of land, and quieting title in and to the following described parcels of land: 

City of Youngstown, County of Mahoning and State of Ohio:

And known as being Lot No. 4996 according to the latest enumeration of lots in said City, as recorded in Volume 5 of Plats, Page 58 Mahoning County Records.

PERMANENT PARCEL NUMBER: 53-063-0-526.000
.

You are required to answer Plaintiff's Complaint within Twenty-eight (28) days after the last date of publication of this Notice, which Notice shall be made once per week for six (6) consecutive weeks, said answer day being the 28th day of June 2022. If you fail to timely respond, the Court may enter a default judgment against you for the relief requested in the Complaint.

BY:  ELIZABETH H. FARBMAN

Attorney for Plaintiff.

Apr 26; May 3, 10, 17, 24, 31, 2022

22-00257

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LEGAL NOTICE FOR PUBLICATION PURSUANT TO R.C. 163.07

JUSTINE A. ALLEN

Assistant Attorney General

Executive Agencies Section-Transportation Unit

30 East Broad Street, 26th Floor

Columbus, OH 43215

Telephone: (614)466-5829

IN THE COURT OF

COMMON PLEAS,

MAHONING COUNTY, OHIO

120 Market Street

Youngstown, Ohio 44503-1751

Case No. 2022 CV 00511

JACK MARCHBANKS, DIRECTOR, OHIO DEPARTMENT OF TRANSPORTATION

PLAINTIFF,

VS.

UNKNOWN TRANSFEREES, ASSIGNS, EXECUTORS, ADMINISTRATORS, DEVISEES AND HEIRS OF PAUL HVIZDOS, DECEASED, ET AL

DEFENDANTS.

The following party, namely: Unknown Transferees, Assigns, Executors, Administrators, Devisees and Heirs of Paul J. Hvizdos, Deceased, and all persons, claiming by, through, or under them, Addresses Unknown, and Unknown Transferees, Assigns, Executors, Administrators, Devisees, and Heirs of Ruthann Hvizdos, Deceased, and all persons claiming by, through, or under them, Addresses Unknown, will take notice that they have been named as defendants by Jack Marchbanks, Director of the Ohio Department of Transportation, who instituted Case No. 2022CV00511 now pending in the Common Pleas Court of Mahoning County, Ohio, which is an action to appropriate certain property for highway purposes, namely the making, constructing repairing or improving of State Route 170, Section 4.35 in Mahoning County, and to fix the value of said property.

The property sought to be appropriated is more specifically described as follows:

 

PARCEL 50-S

MAH-170.4.35

PERPETUAL EASEMENT TO CONSTRUCT AND MAINTAIN A SEWER

 

Situated in the State of Ohio, Village of New Middletown, Mahoning County, Springfield Township, Part of Section 10 and being part of a tract conveyed to Paul J. Hvizdos and Ruthann Hvizdos in Official Record 5516, Page 349, in the Mahoning County Recorder's Office. The below described parcel laying n the left side of the centerline of S.R. 170 as shown on the centerline plat for MAH-170-4.35 as platted by 2LMN, Inc., and being more particularly described as follows: 

COMMENCING for-reference at a point at the northeast corner of Lot I 8 in Woodview Plat 2 in Volume 48, Page 301, Thence South 34 degrees 09 minutes 59 seconds East 66.15 feet to a point, said point being 30.00 feet left of the centerline of right of way for S.R. 170 at station 144+40.00 and being the TRUE POINT OF BEGINNING for the parcel herein described:

1) Thence, across the grantor's tract, South 55 degrees 50 minutes 01 seconds West, 10.00 feet to a point, said point being 40.00 feet left of centerline of right of way for S.R. 170 at station 144+40.00;

2) Thence, across the grantor' tract, North 34 degrees 09 minutes 59 seconds West, 20.00 feet to a point, said point being 40.00 feet left of centerline of right of way for S.R. 170 at station 144+60.00;

3) Thence, across the grantor's tract, North 55 degrees 50 minutes 01 seconds East, 10.00 feet to a point on the westerly existing right of way for S.R. 170, said point being 30.00 feet left of centerline of right of way for S.R. 170 at station 144+60.00;

Thence, along the westerly existing right of way for S.R. 170, South 34 degrees 09 minutes 59 seconds East. 20.00 feet to the TRUE POINT OF BEGINNING, containing 0.005 acres.

It is understood that the parcel of land described contains, 0.005 acres, more or less, including the present road occupies 0.000 acres, more or less, and is located in Mahoning County Auditor's Parcel Number 03-004-0-006.00-0.

All iron pins set are 5/8 inch  30 inch rebar with a 1 inch plastic cap stamped "2LMN, Inc.".

Description prepared from an actual field survey prepared by 2LMN, Inc. under the supervision of Richard F. Mathias, P.S. #7798, April, 2020.

Grantor claim title by Offical Record 5516, Page 349, as recorded in the Mahoning County Recorder's Office.

Pursuant to Civil Rule 12(A)(1), said persons mentioned above shall take further notice that they have 28 days after the completion of the Service by Publication within which to answer or otherwise defend against Plaintiff's petition, said answer day being 25th day of May, 2022.

The original of any such answer or other pleading defending against Plaintiff's petition must be filed with the Clerk of the Common Pleas Court of Mahoning County, Ohio, whose office is located at 120 Market Street, Youngstown, Ohio 44503. A copy of any such answer or other plading defending against Plaintiff's petition must be served upon Plaintiff' attorney, namely: Justine A. Allen, Assistant Attorney General, at 30 East Broad Street, 26th Floor, Columbus, Ohio 43215-3167.

A failure to answer or otherwise defend within said 28 days will result in Plaintiff, pursuant to Civil Rule 55, asking the court to grant a judgment by default against any such person who fails to answer or otherwise defend.

Jack Marchbanks

Director, Ohio Department of Transportation

BY:  JUSTINE A. ALLEN

Attorney for Plaintiff.

Apr 20, 27, 2022

22-00250

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LEGAL NOTICE

MICHAEL D. HARLAN

Attorney At Law

GERVELIS & HARLAN, LLC

3790 Boardman-Canfield Road

Canfield, Ohio 44406

Telephone: 330-533-6565

IN THE COURT OF

COMMON PLEAS,

MAHONING COUNTY, OHIO

120 Market Street

Youngstown, Ohio 44503-1751

Case No. 21CV 171

LARRY J. WILLIAMS

PLAINTIFF,

VS.

MOHAMMAD S. HAMAD 

DEFENDANT.

MOHAMMAD S. HAMAD, whose last known place of residence is 15375 Brookpark Road, Suite B, Brookpark Ohio 44142, will take notice that on the 28th day of January 2021, LARRY J. WILLIAMS, re-filed a Complaint against you and a filed First Amended Complaint on the 26th day of March, 2021 against you in the Court of Common Pleas of Mahoning County, Ohio, being Case No. 21CV 171 on the docket of said Court, alleging that on or about May 22, 2017, Plaintiff, LARRY L. WILLIAMS was a passenger in a car traveling east on U.S. Route 422 near Martin Luther King Blvd, in the City of Youngstown, Couty of Mahoning, State of Ohio, when the Defendant, MOHAMMAD S. HAMAD, negligently operated his motor vehicle, into Platiniff's vehicle, thus causing injury to him. Plaintiff, LARRY J. WILLIAMS, demands judgment against the Defendant, MOHAMMAD S. HAMAD, for money damages in an amount in excess of twenty-five thousand dollars, plus interest and costs on this action.

You are required to answer the Complaint and First Amended Complaint within Twenty-eight (28) days from the last date of publication of this notice, which will be published for six (6) successive weeks, said answer day being the 20th day of April 2022.

In case of your failure to answer or otherwise respond as required by the Ohio Rules of Civil Procedure, judgment by default will be rendered against you for the relief demanded in the Complaint.

BY: MICHAEL D. HARLAN

Attorney for Plaintiff.

Feb 16, 23; Mar 2, 9, 16, 23, 2022

22-00091

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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

Case No. 22CV 173

CARMEN G. CUBERO

PLAINTIFF,

VS.

AMERIQUEST MORTGAGE COMPANY, ET AL

DEFENDANTS.

Unknown Successors and/or Assigns, if any, of Ameriquest Mortgage Company, whose addresses are unknown and who cannot be served within the State of Ohio, will take notice that Plaintiff filed a Complaint to Quiet Title in the Court of Common Pleas of Mahoning County, Ohio on February 1, 2022, in Case No. 22CV 173, against Ameriquest Mortgage Company, et al, Defendants,  alleging that

Plaintiff Carmen G. Cubero is the owner and is in possession of certain real property known as 258 Early Road, Youngstown, Ohio 44505, and more fully described in Exhibit "A" attached to the Complaint (the "Property"); that Defendant Unknown Successors and/or Assigns, if any, of Ameriquest Mortgage Company may have or claim to have an interest in or lien against Property adverse to Plaintiff, by virtue of a mortgage from the prior owner of the Property, Jaime Cruz, recorded on May 26, 2000 with the Mahoning County Recorder at O.R. Book 4628, Page 212, Mahoning County Recorder, a copy of which is attached to the Complaint as Exhibit "B"; that Defendants Citimortgage, Inc and Citigroup, Inc. are the successors in interest on certain mortgage assets of Defendant Ameriquest Mortgage Company and have or may have an interest in the Property; that although the mortgage is fully paid, it remains unsatisfied and constitutes a cloud on the title; that Plaintiff is entitled to an Order from the Court quieting title to the Property; and that this action is necessary under Ohio Revised Code 5303.01 because Plaintiff has no plain and adequate remedy in the ordinary course of law. 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 Property or be forever barred from asserting the same; that an Order be entered by this Court quieting Plaintiff's title to the Property against Defendants and all other claiming through them, for costs herein, and that the Court grant such order and further relief as equity and the nature of the case may require.

You are required to answer the Complaint within Twenty-eight (28) days from the last date of publication of this notice, which will be published for six (6) successive weeks, said answer day being the 19th day of April 2022.

BY: JERRY M. BRYAN

Attorney for Plaintiff.

Feb 15, 22; Mar 1, 8, 15, 22, 2022

22-00075

 

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