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    <title>Daily Legal News</title>
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    <pubDate>Wed, 22 Feb 2012 19:15:05 -0500</pubDate>
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    <dc:creator>Editor</dc:creator>
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    <item>
      <title>Personal Injury Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepersonalinjury/details/ref_index/5534</link>
      <guid>http://www.dln.com/noticepersonalinjury/details/ref_index/5534</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">761698&mdash;Kimberly Ols vs. William J. Iacano.</p><p class="ssj">William J. Iacano, whose last known place of residence is 24900 Rockwide Road, #704, Bedford Heights, OH 44146, otherwise whose place of residence is unknown, will take notice that on August 10, 2011, the undersigned, Kimberly Ols, filed her complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on or about the 14th day of August, 2009 at approximately 9:45 p.m. she was a passenger on a motorcycle driven by Defendant William J. Iacano, that was involved in an accident which occurred at or near the vicinity of Harvard Avenue and East 66th Street in the City of Cleveland, County of Cuyahoga and State of Ohio and which occurred as a direct and proximate result of the negligence of the Defendant, William J. Iacano; that as a direct and proximate result of the negligence of the Defendant, she sustained personal injuries, incurred medical expenses and property damage.</p><p class="ssj">Plaintiff demands judgment against the Defendant, in a sum in excess of $25,000.00 together with her costs herein.</p><p class="ssj">The defendant named above is required to answer on or before the 5th day of March, 2012.</p><p class="ssj">KIMBERLY OLS.</p><p class="bold">By Louis G. Henderson, Attorney for Plaintiff.</p><p class="ssj">Dec31, 2011Jan7-14-21-28Feb4, 2012</p>]]></content:encoded>
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    <item>
      <title>Probate Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/5535</link>
      <guid>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/5535</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2011 ADV 174530&mdash;Calandra S. Williams vs. Robert W. Williams.</p><p class="ssj">Robert W. Williams, whose last known place of residence is 7711 Euclid Avenue, #203, Cleveland, Ohio 44103, otherwise whose place of residence is unknown, will take notice that on the 20th day of December, 2011, Calandra S. Williams filed her complaint in the Probate Court, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, One Lakeside Avenue, N.W., Cleveland, Ohio 44113, alleging that on account of the absence of Robert W. Williams for more than five years from Cleveland, Ohio, the place of his last domicile, Robert W. Williams is presumed to be dead and praying that proceedings may be had to establish the legal presumption of the death of Robert W. Williams.</p><p class="ssj">Notice is hereby given that on the 3rd day of February, 2012, at 9:00 a.m., said Court will hear evidence concerning the alleged absence of said presumed decedent and the circumstances and duration thereof.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge.</p><p class="bold"> Dale C. Feneli, Attorney.</p><p class="ssj">Dec31, 2011Jan7-14-21, 2012</p>]]></content:encoded>
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    <item>
      <title>Divorce Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedivorces/details/ref_index/5556</link>
      <guid>http://www.dln.com/noticedivorces/details/ref_index/5556</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Divorce Notice</p><p class="bold">D-339793&mdash;Steven Adams vs. Brenda M. Adams.</p><p class="ssj">Brenda M. Adams, whose last known place of residence and present place of residence are unknown, will take notice that on December 28, 2011 the undersigned, Steven Adams, filed his complaint against her in the Court of Common Pleas, Domestic Relations Division, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio praying for a divorce and other relief on the grounds that he and defendant have, for more than one year without interruption, lived separate and apart without cohabitation; gross neglect of duty; willful absence of one year or more and incompatibility.</p><p class="ssj">The defendant named above is required to answer on or before the 7th day of March, 2012.</p><p class="ssc">STEVEN ADAMS.</p><p class="bold"> Steven Adams, P.P.</p><p class="ssj">Jan4-11-18-25Feb1-8, 2012</p>]]></content:encoded>
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    <item>
      <title>Personal Injury Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepersonalinjury/details/ref_index/5585</link>
      <guid>http://www.dln.com/noticepersonalinjury/details/ref_index/5585</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">760899&mdash;Doris Ford vs. Steven A. Taylor.</p><p class="ssj">Steven A. Taylor, whose last known place of residence is 5202 Stickney, Cleveland, Ohio 44144, otherwise whose place of residence is unknown, will take notice that on August 1, 2011, the undersigned, Doris Ford, filed her complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on or about July 31, 2009, Plaintiff, Doris Ford, was lawfully driving a vehicle when Defendant Steven A. Taylor, negligently drove his vehicle, striking the rear of the vehicle Plaintiff was operating; that as a direct and proximate result of the negligence by the Defendant, Steven A. Taylor, Plaintiff, Doris Ford was caused to suffer personal injuries and incurred medical expenses.</p><p class="ssj">Plaintiff, Doris Ford, demands damages against the Defendant, Steven A. Taylor, in the amount of $25,000.00, for her injuries, damages and costs; and interest at the rate of 10% per annum; and the cost of the within action; and any other further relief to which this Court determines Plaintiff is entitled at law or in equity.</p><p class="ssj">The defendant named above is required to answer on or before the 9th day of March, 2012.</p><p class="ssj">DORIS FORD.</p><p class="bold">By Marvin H. Schiff, Attorney for Plaintiff.</p><p class="ssj">Jan6-13-20-27Feb3-10, 2012</p>]]></content:encoded>
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    <item>
      <title>Divorce Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedivorces/details/ref_index/5586</link>
      <guid>http://www.dln.com/noticedivorces/details/ref_index/5586</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Divorce Notice</p><p class="bold">D-339831&mdash;Bruce A. Gregg vs. Vasundhara Bhatnagar.</p><p class="ssj">Vasundhara Bhatnagar, whose last known place of residence is 49A Park Road, Crouch End, London N8 8SY United Kingdom, otherwise whose place of residence is unknown, will take notice that on December 30, 2011, the undersigned, Bruce A. Gregg, filed his complaint against her in the Court of Common Pleas, Domestic Relations Division, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio praying for a divorce, a reasonable and equitable division of property and other relief on the grounds of incompatibility and that he and defendant have, for more than one year without interruption, lived separate and apart without cohabitation.</p><p class="ssj">The defendant named above is required to answer on or before the 9th day of March, 2012.</p><p class="ssc">BRUCE A GREGG.</p><p class="bold"> Stephen E.S. Daray, his Attorney.</p><p class="ssj">Jan6-13-20-27Feb3-10, 2012</p>]]></content:encoded>
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    <item>
      <title>Divorce Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedivorces/details/ref_index/5611</link>
      <guid>http://www.dln.com/noticedivorces/details/ref_index/5611</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Divorce Notice</p><p class="bold">D-339845&mdash;Andrew E. Schofield vs. Catherine J. Schofield.</p><p class="ssj">Catherine Schofield, whose last known place of residence and present place of residence are unknown, will take notice that on January 3, 2012 the undersigned, Andrew E. Schofield, filed his complaint against her in the Court of Common Pleas, Domestic Relations Division, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio praying for a divorce and other relief on the grounds that he and defendant have, for more than one year without interruption, lived separate and apart without cohabitation and incompatibility.</p><p class="ssj">The defendant named above is required to answer on or before the 12th day of March, 2012.</p><p class="ssc">ANDREW E. SCHOFIELD.</p><p class="bold"> Andrew E. Schofield, P.P.</p><p class="ssj">Jan7-14-21-28Feb4-11, 2012</p>]]></content:encoded>
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    <item>
      <title>Miscellaneous Legal Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticemisc/details/ref_index/5621</link>
      <guid>http://www.dln.com/noticemisc/details/ref_index/5621</guid>
      <content:encoded><![CDATA[<p class="bold ssc">PUBLIC NOTICE &ndash; REQUEST FOR QUALIFICATIONS</p><p class="ssj">Cuyahoga County Prosecutor, Bill Mason's Office is now soliciting requests from real estate title companies to provide title reports for administrative and judicial tax foreclosure filings. Pursuant to the County Ethics Ordinance, all contractors currently doing business with or wish to do business with the County, must register with the Inspector General, prior to submitting your Request for Qualification. See Cuyahoga County website at: U&gt;http://inspectorgeneral.cuyahogacounty.us/. /U&gt;Copies of the request for qualifications may be obtained by email at U&gt;bsara@cuyahogacounty.us./U&gt; Original signed documents must be sent to Bonnie Sara at: Cuyahoga County Prosecutor's, Office, Tax Foreclosure Division, 9th Floor, Justice Center, Courts Tower, 1200 Ontario Street, Cleveland, Ohio 44113 by February 21, 2012 by noon.</p><p class="ssj">Jan7,10,11,12,13,14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Personal Injury Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepersonalinjury/details/ref_index/5628</link>
      <guid>http://www.dln.com/noticepersonalinjury/details/ref_index/5628</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">761200&mdash;Mark Stevens, et al. vs. Jillian Ricca, et al.</p><p class="ssj">Jillian Ricca, whose last known place of residence is 35975 Meadowdale Dr., Solon, Ohio 44139, otherwise whose place of residence is unknown; Liberty Mutual Insurance,  whose last known address is 3690 Orange Place, Suite 510, Beachwood, Ohio 44122, otherwise whose address is unknown, will take notice that on August 3, 2011, the undersigned, Mark Stevens, Margaret Stevens and Arasheo Butler, filed their complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on or about March 30, 2011, Plaintiff Mark Stevens lawfully operated a motor vehicle in which Plaintiffs Margaret Stevens and Arasheo Butler occupied, at or near the intersection of Rockside and Warrensville Center Roads, in Bedford, Ohio; that at said time and place, Plaintiffs were struck by an automobile negligently operated by Defendant Jillian Ricca; that as a result of this collision, Plaintiff Mark Stevens suffered damage to property and loss of use of his motor vehicle, and all Plaintiffs suffered personal injuries, incurred medical expenses, and experienced pain and suffering, and will suffer like damages in the future.</p><p class="ssj">At the time of this collision, Plaintiffs qualified as insureds under a policy of auto insurnace carried with Defendant Liberty Mutual Insurance Company; that said policy of auto insurance included Uninsured/Underinsured Motorist coverage; that based on information and belief, at the time of this collision, the operator of the vehicle which caused this collision was an uninsured or underinsured motorist, and/or was a &quot;hit-skip&quot; driver; that as such Plaintiffs are entitled to uninsured/underinsured motorist benefits from Defendant Liberty Mutual Insurance Company.</p><p class="ssj">Plaintiffs demand declaratory judgment against Defendant Liberty Mutual Insurance Company setting forth the rights and obligations of the parties, including judgment that Plaintiffs are entitled to uninsured/ underinsured benefits, and to prejudgment interest, and Plaintiffs demand judgment against Defendants in an amount in excess of $25,000.00 plus the costs of this action.</p><p class="ssj">The defendants named above are required to answer on or before the 13th day of March, 2012.</p><p class="ssj">MARK STEVENS, MARGARET STEVENS AND ARASHEO BUTLER.</p><p class="bold">By David I. Pomerantz, Attorney for Plaintiff.</p><p class="ssj">Jan10-17-24-31Feb7-14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Divorce Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedivorces/details/ref_index/5629</link>
      <guid>http://www.dln.com/noticedivorces/details/ref_index/5629</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Divorce Notice</p><p class="bold">D-338342&mdash;Dairoll Medrano vs. Michelle Leigh Medrano, nee Fraley.</p><p class="ssj">Michelle Leigh Medrano, whose last known places of residence are 165 South Opdyke, Lot 115, Auburn Hills, MI 48326 and 19300 East 12 Mile Road, Apt. 3, Roseville, MI 48066 and 20771 Atlantic Avenue, Warren, MI 48091, otherwise whose place of residence is unknown, will take notice that on September 9, 2011, the undersigned, Dairoll Medrano, filed his complaint against her in the Court of Common Pleas, Domestic Relations Division, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio praying for a divorce, an equitable division of all assets of said marriage, restraining orders, child and spousal support and other relief on the grounds of adultery, extreme cruelty, habitual drunkenness, gross neglect of duty, willful absence for more than one year and incompatibility.</p><p class="ssj">The defendant named above is required to answer on or before the 13th day of March, 2012.</p><p class="ssc">DAIROLL MEDRANO.</p><p class="bold"> Erin R. Flanagan, his Attorney.</p><p class="ssj">Jan10-17-24-31Feb7-14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Divorce Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedivorces/details/ref_index/5663</link>
      <guid>http://www.dln.com/noticedivorces/details/ref_index/5663</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Divorce Notice</p><p class="bold">D-339895&mdash;Arnulfo Grey vs. Zavala Mijia.</p><p class="ssj">Zavala Mijia, whose last known place of residence and present place of residence are unknown, will take notice that on January 5 2012, the undersigned, Arnulfo Grey, filed his complaint against her in the Court of Common Pleas, Domestic Relations Division, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio praying for a divorce and other relief on the grounds of incompatibility and that he and defendant have, for more than one year without interruption, lived separate and apart without cohabitation.</p><p class="ssj">The defendant named above is required to answer on or before the 14th day of March, 2012.</p><p class="ssc">ARNULFO GREY.</p><p class="bold"> Guy D. Rutherford, his Attorney.</p><p class="ssj">Jan11-18-25Feb1-8-15, 2012</p>]]></content:encoded>
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    <item>
      <title>Personal Injury Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepersonalinjury/details/ref_index/5710</link>
      <guid>http://www.dln.com/noticepersonalinjury/details/ref_index/5710</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">758941&mdash;Mark Murad vs. Eric R. Suttles.</p><p class="ssj">Eric R. Suttles, whose last known place of residence is 14409 Westropp Avenue, Cleveland, Ohio 44110, otherwise whose place of residence is unknown, will take notice that on July 5, 2011, the undersigned, Mark Murad, filed his complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on the date of July 2, 2009 the Plaintiff was operating his motor vehicle within the City of East Cleveland, Ohio, on Noble Road; that on the same date the Defendant did operate his motor vehicle in a negligent fashion causing an automobile accident in which the Plaintiff was injured in a bodily fashion due to the negligence of the Defendant; that the bodily injuries and property damage caused by the Defendant's negligence have been continual and ongoing causing financial injury to the Plaintiff in an amount in excess of $50,000.00.</p><p class="ssj">Plaintiff prays that this Court award damages against the Defendant in an amount in excess of $50,000.00 plus attorney fees, interest, and the cost of this action.</p><p class="ssj">The defendant named above is required to answer on or before the 15th day of March, 2012.</p><p class="ssj">MARK MURAD.</p><p class="bold">By David M. Lynch, Attorney for Plaintiff. 29311 Euclid Ave., Suite 200, Wickliffe, OH 44092. (440) 278-4246.</p><p class="ssj">Jan12-19-26Feb2-9-16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Divorce Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedivorces/details/ref_index/5751</link>
      <guid>http://www.dln.com/noticedivorces/details/ref_index/5751</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Divorce Notice</p><p class="bold">D-339533&mdash;Sharon Persinger vs. Edward A. Persinger, Sr.</p><p class="ssj">Edward A. Persinger, Sr., whose last known place of residence is 3513 Krather Avenue, Cleveland, Ohio 44109, otherwise whose place of residence is unknown, will take notice that on December 5, 2011, the undersigned, Sharon Persinger, filed her complaint against him in the Court of Common Pleas, Domestic Relations Division, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio praying for a divorce, allocation of parental rights and responsibilities, child support, spousal support and an equitable division of marital property and debts and other relief on the grounds of gross neglect of duty, extreme cruelty and incompatibility.</p><p class="ssj">The defendant named above is required to answer on or before the 19th day of March, 2012.</p><p class="ssc">SHARON PERSINGER.</p><p class="bold"> Kevin J.M. Senich, her Attorney.</p><p class="ssj">Jan14-21-28Feb4-11-18, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5787</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5787</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771090&mdash;U.S. Bank National Association vs. Robert L. Lemermeier, et al.</p><p class="ssj">Unknown successor trustees and/or beneficiaries of the Barbara J. Brady Revocable Trust dated 8/1/06, whose last known address and present address are unknown, will take notice that on December 12, 2011, the undersigned, U.S. Bank National Association, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $88,092.59, plus any sums advanced, with interest at 6.4000% per annum from June 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 601-08-354</p><p class="ssj">Situated in the City of Brecksville, County of Cuyahoga, and State of Ohio, and known as being all of Unit No. 64 in Building No. 8 together with a undivided 6.63% interest in and to all the Common Areas and Facilities in the Compass South Condominium &quot;E&quot; of part of Original Brecksville Township Lot No. 9 as shown by the drawings recorded in Volume 22 of Condominiums Maps at Page 99 through 106, inclusive, of Cuyahoga County Records and further described by the by-laws of said Condominium recorded in Volume 13695 at Page 531 of Cuyahoga County Records.</p><p class="ssj">Address: 6885 W. Fitzwater Road, Brecksville, Ohio 44141</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of February, 2012.</p><p class="ssj">U.S. BANK NATIONAL ASSOCIATION.</p><p class="bold">By Jennifer N. Heller and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan18-25Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5788</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5788</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">770560&mdash;CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc. vs. Sandy J. Difini aka Sandy Difini, et al.</p><p class="ssj">Sandy J. Difini aka Sandy Difini, whose last known place of residence is 6402 Scott Drive, Brook Park, OH 44142, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Sandy J. Difini aka Sandy Difini, the place of residence of each being unknown, will take notice that on December 5, 2011, the undersigned, CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $90,574.99, plus any sums advanced, with interest at 7.0000% per annum from July 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 342-13-050</p><p class="ssj">Situated in the Village of Brook Park, County of Cuyahoga, and State of Ohio, and known as being Sublot No. 76 in Claudia Land Company's Resubdivision of part of Hubert D. Cornwell's Subdivision Nos. 2 and 3, of part of Original Middleburg Township Lots Nos. 2 and 3, Section 12, as shown by the recorded plat in Volume 171 of Maps, Page 8 of Cuyahoga County Records, and being 31.47 feet front on the Westerly side of Scott Drive, 36.96 feet on the curved turnout between the Westerly side of Scott Drive and the Southerly side of Merece Drive, and extending back 126.47 feet deep on the Northerly line which is also the Southerly line of Merece Drive, 150.0 feet deep on the Southerly line, and being 55.0 feet wide in the rear, as appears by said plat.</p><p class="ssj">Address: 6402 Scott Drive, Brook Park, OH 44142</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the mortgage executed by the defendant, Sandy J. Difini aka Sandy Difini, and delivered by her to the plaintiff contained an incorrect legal description, in the words Claudia Land Company's Subdivision&quot; should read &quot;Claudia Land Company's Resubdivision&quot; and also in the words &quot;36.99 feet&quot; should read &quot;36.96 feet&quot;.</p><p class="ssj">Plaintiff further states that the error was also contained in the deed to the defendant recorded in Instrument No. 200202250812, of said County Recorder's Records.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, plaintiff is entitled to have the above described deed and mortgage reformed so as to have the appropriate legal description as hereinabove set forth; and plaintiff is further entitled to an order of this Court decreeing that the property as described above be sold by the Sheriff of this County at Sheriff's Sale.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of February, 2012.</p><p class="ssj">CITIMORTGAGE, INC. SUCCESSOR BY MERGER TO ABN AMRO MORTGAGE GROUP, INC.</p><p class="bold">By Christopher M. Schwieterman and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan18-25Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5789</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5789</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767597&mdash;Wells Fargo Bank, N.A. vs. Matthew Raymond Loparo aka Matthew Loparo, et al.</p><p class="ssj">Oakridge Estates Homeowners Association, the unknown successors, assigns and surviving entities of Oakridge Estates Homeowners Association and The Unknown Successor Trustees and/or Beneficiaries of the Ciavarelli Family Trust Under Trust Agreement Dated July 31, 1998, whose last known address and present address are unknown, will take notice that on December 5, 2011, the undersigned, Wells Fargo Bank, N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $296,346.91, plus any sums advanced, with interest at 6.5950% per annum from June 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 489-27-080</p><p class="ssj">Situated in the City of North Royalton, County of Cuyahoga, and State of Ohio, is described as follows: And known as being Sublot No. 33 in the Oakridge Estates Subdivision No. 9 of part of Original Royalton Township Section No. 20 s shown by the recorded plat in Volume 264 of Maps, Page 3 of Cuyahoga County Records and being 111.00 feet front on the Westerly side of Hunting Drive and extending back 157.09 feet on the Northerly line, 151.30 Southerly line and having a rear line of 111.15 feet as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 8469 Hunting Drive, North Royalton, OH 44133</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of February, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A.</p><p class="bold">By Maria Divita and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan18-25Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5790</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5790</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">765701&mdash;OneWest Bank, FSB vs. Kenneth P.F. Baetjer, et al.</p><p class="ssj">Kenneth P.F. Baetjer and Jane Doe, name unknown, spouse of Kenneth P.F. Baetjer, whose last known place of residence is 5977 Private Drive, Parma Heights, OH 44130, otherwise whose place of residence is unknown, will take notice that on October, 3, 2011, the undersigned, OneWest Bank, FSB, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $136,756.96, as of August 30, 2011, on a Home Equity Conversion Note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel Nos. 471-23-045 &amp; 471-23-046</p><p class="ssj">Situated in the City of Parma Heights, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being the Easterly 35 feet of Sublot No. 365 and the Westerly 20 feet of Sublot No. 366 in the Parma Heights Development Co's Eureka Park Subdivision No. 1 of part of Original Parma Township Lots Nos. 6, 7, 10, 11 and 12, Tuckerman Tract, as shown by the recorded plat in Volume 87, Page 26 of Cuyahoga County Records and together forming a parcel of land, bounded and described as follows:</p><p class="ssj">Beginning on the Northerly side of a private drive as shown in said Subdivision at a point distant 10 feet Easterly measured along the Northerly side of said private drive, from the Westerly line of said Sublot No. 365; thence Easterly along said Northerly line of a private drive, 55 feet to a point; thence Northerly along a line parallel with the westerly line of Sublot No. 364  in said Subdivision to a point in the Northerly line of said Sublot No. 366; thence Westerly along the Northerly line of said Sublot Nos. 366 and 385 to a point of intersection of the said Northerly line of Sublot No. 365 with a line drawn parallel with the Westerly line of Sublot 364 and distant 55 feet Easterly, measured along said Northerly line of a private drive from the Southwesterly corner of Sublot No. 64 in said Subdivision; thence Southerly and parallel with said Westerly line of Sublot No. 364, to the place of beginning, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 5977 Private Drive, Parma Heights, Ohio 44130</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors in the payment of a Home Equity Conversion Note according to its tenor, the conditions of a concurrent mortgage deed given to secure the payment of said note  and conveying the above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of February, 2012.</p><p class="ssj">ONEWEST BANK, FSB.</p><p class="bold">By Lorelei C. Bolohan and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan18-25Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5791</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5791</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">762489&mdash;Bank of America, N.A., successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. Shawn Johnson aka Shawn L. Johnson, et al.</p><p class="ssj">Tanya L. Johnson, whose last known place of residence is 25436 Concord Drive, Beachwood, OH 44122, otherwise whose place of residence is unknown, will take notice that on October 24, 2011, the undersigned, Bank of America, N.A., successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $59,091.48, plus any sums advanced, with interest at 6.1250% per annum from December 1, 2009, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 143-19-099</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio, and known as being part of Original Warrensville Township Lot No. 92 of bounded and described as follows: Beginning on the Easterly line of East 175th Street (formerly East 172nd Street proposed) 50 feet wide, said Easterly line being parallel  to and 192.50 feet Easterly (measured at right angles) from the Westerly line of the second parcel of land conveyed by John B. Corlett and others to William J. Lang by deed recorded in Volume 1745, Page 592 of Cuyahoga County Records, at a point 1848.58 feet Northerly (measured along said Easterly line of East 175th Street and the Southerly prolongation thereof) from its point of intersection with the Southerly line of said second parcel so conveyed to William J. Lang; thence Northerly along said Easterly line of East 175th Street, 42 feet; thence Easterly on a line at right angels with said last described line, 150 feet; thence Southerly on a line parallel to said Easterly line of East 175th street, 42 feet; thence Westerly 150 feet to the place of beginning and being further known as Sublot No. 434 in William J. Lang's Proposed Lee Heights Subdivision, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 4655 East 175th Street, Cleveland, OH 44128</p><p class="ssj">Plaintiff further says that, due to an inadvertent mistake on the part of the preparer of the mortgage, the granting clause fails to disclose the marital status of Shawn Johnson aka Shawn L. Johnson and Tanya L. Johnson.</p><p class="ssj">Because this mistake noted above was the result of a scrivener's error and mutual mistake of fact, plaintiff prays that the mortgage described above be reformed so as to state that Shawn Johnson aka Shawn L. Johnson was married to Tanya L. Johnson at the time the mortgage was executed in the granting clause on the first page of the mortgage.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of Febuary, 2012.</p><p class="ssj">BANK OF AMERICA, N.A., SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Elizabeth A. Carullo and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan18-25Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5792</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5792</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">763364&mdash;Wells Fargo Bank, N.A. vs. John T. Hart, et al.</p><p class="ssj">John T. Hart, whose last known place of residence is 13813 Wolf Avenue, Garfield Heights, OH 44125, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of John T. Hart, the place of residence of each being unknown, will take notice that on November 29, 2011, the undersigned, Wells Fargo Bank, N.A., filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $45,483.51, plus any sums advanced, with interest at 5.7500% per annum from February 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 140-23-066</p><p class="ssj">The following described premises, situated in the City of Cleveland, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Sublot No. 2, in  Kares Homes, Inc. Subdivision of part of Original Warrensville Township Lot No. 64 as shown by the recorded plat in Volume 143 of Maps, Page 20 of Cuyahoga County Records and being 50 feet front on the Easterly side of East 183rd Street and extending back between parallel lines 113 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 3825 E. 183rd Street, Cleveland, Ohio 44122</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of February, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A.</p><p class="bold">By Maria Divita and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan18-25Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5793</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5793</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">755521&mdash;US Bank National Association, as Trustee, successor in interest to Wachovia Bank, N.A. (formerly known as First Union National Bank), as Trustee for Park Place Securities, Inc. Asset-Backed Pass- Through Certificates, Series 2004- WWF1 vs. Bernice Settles Williams, et al.</p><p class="ssj">Bernice Settles Williams,whose last known place of residence and present place of residence are unknown; Michael Williams, whose last known place of residence and present place of residence are unknown the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Bernice Settles Williams, the place of residence of each being unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Michael Williams, the place of residence of each being unknown, will take notice that on December 2, 2011, the undersigned, US Bank National Association, as Trustee, successor in interest to Wachovia Bank, N.A. (formerly known as First Union National Bank), as Trustee for Park Place Securities, Inc. Asset-Backed Pass-Through Certificates, Series 2004-WWF1, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $80,450.29, plus any sums advanced, with interest at 6.1500% per annum from October 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 140-16-021</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio: And known as being Sublot No. 691 in the S.H. Kleinman Realty Company's Shaker Lee Subdivision No. 2 of part of Original Warrensville Township Lot No. 63, as shown by the recorded plat in Volume 100 of Maps, Page 21 of Cuyahoga County Records and being 40 feet front on the Northerly side of Stockbridge Avenue and extending back between parallel lines 144.15 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 17211 Stockbridge Ave., Cleveland, Ohio 44128</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of February, 2012.</p><p class="ssj">US BANK NATIONAL ASSOCIATION, AS TRUSTEE, SUCCESSOR IN INTEREST TO WACHOVIA BANK, N.A. (FORMERLY KNOWN AS FIRST UNION NATIONAL BANK), AS TRUSTEE FOR PARK PLACE SECURITIES, INC. ASSET-BACKED PASS-THROUGH CERTIFICATES, SERIES 2004-WWF1.</p><p class="bold">By Christopher J. Mantica and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan18-25Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5794</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5794</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767419&mdash;CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc. vs. Nicholas Vilella, et al.</p><p class="ssj">Signal Mortgage Corporation and the Unknown Successors, Assigns and Surviving Entities of Signal Mortgage Corporation, whose last known address and present address are unknown, will take notice that on October 24, 2011, the undersigned, CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $ 89,135.23, plus any sums advanced, with interest at 7.0000% per annum from June 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 022-05-068</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio, and bounded and described as follows:</p><p class="ssj">Known as being Sublot No. 2 in the Klein Re-Subdivision of part of Great Western Subdivision of part of Original Rockport Township Section No. 11, as shown by the recorded plat in Volume 66 of Maps, Page 37 of Cuyahoga County Records, and being 40 feet front on the Easterly side of West 139th Street and extending back of equal width 110 feet deep, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Subject to all Easements and Restrictions of Record.</p><p class="ssj">Address: 3791 West 139th Street, Cleveland, Ohio 44111</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of February, 2012.</p><p class="ssj">CITIMORTGAGE, INC. SUCCESSOR BY MERGER TO ABN AMRO MORTGAGE GROUP, INC.</p><p class="bold">By Christopher M. Schwieterman and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan18-25Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Miscellaneous Legal Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticemisc/details/ref_index/5795</link>
      <guid>http://www.dln.com/noticemisc/details/ref_index/5795</guid>
      <content:encoded><![CDATA[<p class="bold ssc">FINDINGS AND ORDER OF REVOCATION</p><p class="ssj">The Superintendent of Insurance issued a Notice of Opportunity for Hearing to each of the individuals listed below.  The Notice was served on each individual pursuant to section 119.07 of the Revised Code.  More than thirty (30) days have elapsed from the date of service or from the last date of publication and each of the individuals listed below has not requested a hearing.</p><p class="ssj">After reviewing the records in these cases, the Superintendent finds that:</p><p class="ssj">1. Each of the individuals listed below is licensed in this state as an insurance agent.</p><p class="ssj">2. Each of the individuals listed below failed to comply with the continuing education requirements of section 3905.481 of the Revised Code for the 2008/2009 compliance period.</p><p class="ssj">IT IS THEREFORE ORDERED that pursuant to section 3905.482 of the Revised Code, the Ohio insurance license of each individual listed below be and hereby is revoked.  The revocation shall be effective February 20, 2012.</p><p class="ssj">ABDO, ASHRAF M DOB: 01/01/1978 25151 BROOKPARK RD APT # 415  NORTH OLMSTED, OH 44070</p><p class="ssj">ALEXANDER, MEGAN ANN DOB: 05/02/1985 32200 MONROE CT. #202   SOLON, OH 44139</p><p class="ssj">ALI, ABU H., SR. DOB: 04/19/1951 ABU ALI, SR. PO BOX 32112 EUCLID, OH 44132</p><p class="ssj">ANDERSON, HOWARD EDWARD DOB: 02/11/1979 25911 BROADWAY AVE   OAKWOOD, OH 44146</p><p class="ssj">ANDRYSCIK, JASON R DOB: 06/19/1985 5695 ROCKEFELLER CENTER BLVD.  DUBLIN, OH 43016</p><p class="ssj">ANTHONY, TAMARA DOB: 02/17/1974 2487 WARREN PKWY., APT. 1  TWINSBURG, OH 44087</p><p class="ssj">BALDWIN, CHRISTINE LYNN DOB: 03/31/1969 4327 W. 210TH STREET  FAIRVIEW PARK, OH 44126</p><p class="ssj">BARAN, CHRISTINE MARIE DOB: 09/27/1982 7248 ANNADALE DR.  SOLON, OH 44139</p><p class="ssj">BARKER, DANA DOB: 11/19/1984 2040 HALSTEAD AVE APT 4  LAKEWOOD, OH 44107</p><p class="ssj">BARNHART, MARY ELLEN DOB: 07/08/1961 6016 MILL RD  BROADVIEW HTS, OH 44147</p><p class="ssj">BIAS, BRIAN KEITH DOB: 04/14/1969 12700 LAKE AVENUE #2706  LAKEWOOD, OH 44107</p><p class="ssj">BILTON, THEODORE L DOB: 09/21/1928 1280 SOM CENTER RD. #153 MAYFIELD HEIGHTS, OH 44124</p><p class="ssj">BIRT, ROBERT FRANCIS DOB: 01/27/1977 1361 BELLE  LAKEWOOD, OH 44107</p><p class="ssj">BROOKS, WALTER HENDERSON DOB: 04/01/1935 25700 EUCLID AVENUE, APT 204  EUCLID, OH 44132</p><p class="ssj">BURNETT, CHRISTOPHER ALLEN DOB: 03/18/1990 751 E258TH  EUCLID, OH 44132</p><p class="ssj">CATHER, JUSTIN REID DOB: 09/16/1979 25 N. ROSE BLVD.  AKRON, OH 44302</p><p class="ssj">CHANEY, JAMES E DOB: 12/31/1954 8883 SUMMERSET LANE  OLMSTED FALLS, OH 44138</p><p class="ssj">CHARLES, ALECIA MARIAH DOB: 07/27/1985 27688 F WESTCHESTER PKWY  WESTLAKE, OH 44145</p><p class="ssj">CHREWAN, MICHAEL PAUL DOB: 05/30/1979 6804 TOBIK TRAIL  PARMA HTS, OH 44130</p><p class="ssj">CICHRA, BRIAN DOB: 02/13/1985 3110 RUSTIC DRIVE   NORTH ROYALTON, OH 44133</p><p class="ssj">CLINKSCALES, CALEB JAMES, JR. DOB: 03/23/1967 1951 TORBENSON DR  CLEVELAND, OH 44112</p><p class="ssj">CORCORAN-NOLAN, KELLY MAUREEN DOB: 03/05/1969 2925 CORYDON RD   CLEVELAND HEIGHTS, OH 44118</p><p class="ssj">CORDER, BRADLEY S DOB: 08/16/1963 1209 FRENCH AVE  LAKEWOOD, OH 44107</p><p class="ssj">COSTANZO, LISA MARIE DOB: 08/13/1974 2477 WEST 5TH STREET  CLEVELAND, OH 44113</p><p class="ssj">COVEL, TRACIE DOB: 11/16/1962 4287 ROCKY RIVER DRIVE   CLEVELAND, OH 44135</p><p class="ssj">CURTIS, HENRY F DOB: 12/26/1969 6100 OAK TREE BLVD. #390  INDEPENDENCE, OH 44131</p><p class="ssj">DAVIS, BARBARA JEAN DOB: 04/30/1971 9184 BROADVIEW ROAD  BROADVIEW HEIGHTS, OH 44147</p><p class="ssj">DAVIS, BRUCE TERRIELL DOB: 10/16/1969 4417 ARCHEN RD  CLEVELAND, OH 44103</p><p class="ssj">DILLEY, WILLIAM DOB: 03/03/1944 SMITH BARNEY 100 N MAIN ST, STE 300 CHAGRIN FALLS, OH 44022</p><p class="ssj">DONALDSON, JENNIFER ELIZABETH DOB: 05/17/1978 6000 FREEDOM SQUARE DR. SUITE 400 INDEPENDENCE, OH 44131</p><p class="ssj">DOUGLAS, FREDERICKA A DOB: 02/10/1971 534 E 208TH STREET  CLEVELAND, OH 44119</p><p class="ssj">DREW, JASON SAMUEL DOB: 01/16/1977 PO BOX 94698  CLEVELAND, OH 44101</p><p class="ssj">DURK, SHARON LYNNE DOB: 12/07/1956 5875 LANDERBROOK ROAD SUITE 100  MAYFIELD HTS, OH 44124</p><p class="ssj">DURST, DOROTHY PAULA DOB: 07/11/1962 14776 ROCHELLE  MAPLE HTS., OH 44137</p><p class="ssj">ERNST, JOHN JOSEPH DOB: 08/21/1946 54 WEST GRACE ST.   BEDFORD, OH 44146</p><p class="ssj">FALLON, DYLAN HARTLEY CHIO DOB: 04/17/1985 3430 AVALON RD  # 102  SHAKER HEIGHTS, OH 44120</p><p class="ssj">FETTERMAN, LISA MICHELLE DOB: 10/04/1980 2883 MAYFIELD #3  CLEVELAND HEIGHTS, OH 44118</p><p class="ssj">FOULKS, ROBERT J. DOB: 08/13/1950 7115 BROOKPARK RD   PARMA, OH 44230</p><p class="ssj">FRINZL, LYNN M DOB: 10/22/1976 2250 PAR LN APT 1019  WILLOUGHBY HILLS, OH 44094</p><p class="ssj">GALARZA, EDELMA AMELIDA DOB: 08/23/1979 2215 WEST 103 ST  CLEVELAND, OH 44102</p><p class="ssj">GALLAND, JONATHAN ERICK DOB: 02/18/1976 22481 LAKESHORE BLVD  EUCLID, OH 44123</p><p class="ssj">GOLDBERG, BENJAMIN SAMUEL DOB: 05/31/1983 15  STUYVESANT OVAL APT 5C  NEW YORK, NY 10009</p><p class="ssj">GORNIK, ROBERTA CAROL DOB: 03/07/1965 3343 DELLWOOD RD  CLEVELAND HTS, OH 44118</p><p class="ssj">GREEN, THEODORE JAMES, JR. DOB: 10/12/1974 THEODORE GREEN 12931 SHAKER BLVD APT 402 CLEVELAND, OH 44120</p><p class="ssj">GREENE, ROBERT A DOB: 12/12/1947 91 RIDGEPORT ROAD  CLOVER, SC 29710</p><p class="ssj">HAGLEY, MATTHEW R DOB: 09/10/1973 2000 KING JAMES PKWY #140  WESTLAKE, OH 44145</p><p class="ssj">HALL, SYDNEY J DOB: 06/15/1965 2043 S GREENRD  SOUTH EUCLID, OH 44121</p><p class="ssj">HAMLIN, MICHAEL BARRY, JR. DOB: 10/25/1981 1278 W 9TH ST  CLEVELAND, OH 44113</p><p class="ssj">HAMMETT, DIONNA SHANESE DOB: 10/25/1983 26361 CAMBRIDGE LANE APT. 202  WARRENSVILLE HTS., OH 44128</p><p class="ssj">HARLESS, STEPHEN ROBERT DOB: 09/03/1987 1422 SOM CENTER ROAD APT #708  MAYFIELD HEIGHTS, OH 44124</p><p class="ssj">HAWKINS, CHARLES W. DOB: 02/16/1956 1300 ANDREWS AVE  LAKEWOOD, OH 44107</p><p class="ssj">HEDBERG, WILLIAM RICHARD  DOB: 07/10/1984 1930 123RD STREET   APT 5  CLEVELAND, OH 44106</p><p class="ssj">HERSMAN, MELINDA KAY DOB: 07/14/1982 5802 CHARLES AVENUE  PARMA, OH 44129</p><p class="ssj">HUBMAN, RICHARD C DOB: 05/08/1939 12962 CLIFTON BLVD #1  LAKEWOOD, OH 44107</p><p class="ssj">HUMPHREY, JESSICA MARIE DOB: 10/23/1980 P O BOX 94698  CLEVELAND, OH 44101</p><p class="ssj">HURD, SHARON M DOB: 11/08/1954 2770 WESTMOOR ROAD   ROCKY RIVER, OH 44116</p><p class="ssj">HUTCHINS, CHARLES DOB: 03/11/1985 3234 ESAT OVERLOOK RD  CLEVELAND, OH 44118</p><p class="ssj">HYBIL, JAMES J DOB: 10/01/1944 12800 NORTH STAR DR  NORTH ROYALTON, OH 44133</p><p class="ssj">JACKSON, IRVIN DOB: 03/07/1947 13716 DARLEY AVE   CLEVELAND, OH 44110</p><p class="ssj">JACKSON, ROBIN SUZETTE DOB: 02/06/1963 160 E 196TH STREET  CLEVELAND, OH 44119</p><p class="ssj">JERNIGAN, TIMOTHY L DOB: 04/28/1978 PO BOX 94698  CLEVELAND, OH 44101</p><p class="ssj">JONES, JENNIFER ROSE DOB: 08/19/1978 931 BEVERLY RD   CLEVELAND HEIGHTS, OH 44121</p><p class="ssj">KAISER, JANET L DOB: 01/28/1950 21328 BRIAR BUSH LANE  STRONGSVILLE, OH 44149</p><p class="ssj">KERR, CHRISTINE ANN DOB: 06/23/1970 25000 COUNTRY CLUB #120  NORTH OLMSTED, OH 44070</p><p class="ssj">KHOURY, KEVIN DANIEL DOB: 09/14/1981 1121 MEDINA ROAD  MEDINA, OH 44256</p><p class="ssj">KILO, ROBERT MICHAEL DOB: 03/08/1975 6150 OAK TREE BLVD., SOUTH SUITE 390 INDEPENDENCE, OH 44131</p><p class="ssj">KULIG, MICHAEL J. DOB: 02/03/1984 12837 HAMPTON CLUB DR. APPT. 207  NORTH ROYALTON, OH 44133</p><p class="ssj">LASINIS, KRISTEN SOMODY DOB: 01/01/1980 75 PUBLIC SQUARE FLOOR 2  CLEVELAND, OH 44113</p><p class="ssj">LEVY, GLENN DAVID DOB: 10/04/1953 3446 OLD GREEN ROAD APARTMENT 301  BEACHWOOD, OH 44122</p><p class="ssj">LIND, DANIEL AVRAHAM DOB: 07/11/1983 1300 W 9TH ST  APT 802 CLEVELAND, OH 44113</p><p class="ssj">LIU, SHUANGSHUANG DOB: 09/20/1971 5500 LAURENT DR. APT 507  PARMA, OH 44129</p><p class="ssj">LONCHAR, KELLIE LYNN DOB: 10/12/1963 8090 BRAKEMAN RD  PAINESVILLE, OH 44077-8882</p><p class="ssj">LYNCH, JOHN J DOB: 05/08/1946 1341 W 112TH  CLEVELAND, OH 44102</p><p class="ssj">MACLENNAN, MARION ALICE DOB: 10/17/1946 396 VALENCIA  ELLENTON, FL 34222</p><p class="ssj">MARKS, EVAN P DOB: 09/19/1970 IMG CENTER 1360 EAST 9TH ST, STE 100 CLEVELAND, OH 44114</p><p class="ssj">MASTERSON, CHRISTOPHER JAMES DOB: 09/30/1970 850 EUCLID AVE SUITE 1025 CLEVELAND, OH 44115</p><p class="ssj">MAUST, RAEANNA LYND DOB: 11/10/1986 10231 S LAKE BLVD APT N33   PARMA, OH 44130</p><p class="ssj">MAZZARELLA, JOHN JOSEPH DOB: 02/16/1980 4335 W. 220TH ST.   FAIRVIEW PARK, OH 44126</p><p class="ssj">MCAVINUE, ROBERT J DOB: 11/21/1983 2523 STANFIELD DR  PARMA, OH 44134</p><p class="ssj">MCCARTY, JOHN DOB: 02/19/1989 355 ROBERTS RUN   BAY VILLAGE, OH 44140</p><p class="ssj">MCCLARIN, PAMELA ANN DOB: 04/29/1956 15331 PLYMOUTH PL II  E CLEVELAND, OH 44112</p><p class="ssj">MCMILLIN, STEVEN JEREMY DOB: 11/10/1980 6100 OAK TREE BLVD SUITE 300  INDEPENDENCE, OH 44131</p><p class="ssj">MCNAIR, LANORA ANN DOB: 03/13/1965 35250 SPATTERDOCK LN  SOLON, OH 441395093</p><p class="ssj">MILLER, ALIA DOB: 02/09/1986 13995 SUPERIOR ROAD  CLEVELAND, OH 44118</p><p class="ssj">MILLER, MARTHA M DOB: 09/17/1970 2250 PAR LANE #1203  WILLOUGHBY HILLS, OH 44094</p><p class="ssj">MILLER, MICHAEL DOB: 09/22/1982 13899 CLIFTON BLVD. FL 2  LAKEWOOD, OH 44107</p><p class="ssj">MOBLEY, JANET DENISE DOB: 08/18/1965 17505 DEVON RD   CLEVELAND, OH 44119</p><p class="ssj">MORRIS, KELLY J DOB: 08/22/1976 4464 W 227TH STREET   FAIRVIEW PARK, OH 44126</p><p class="ssj">MULLEN, BRITTANY LYNN DOB: 07/17/1982 20000 LORAIN RD. APT. 526 FAIRVIEW PARK, OH 44126</p><p class="ssj">MYRICKS, JANICE DOB: 05/13/1953 6106 WAKEFIELD AVE   CLEVELAND, OH 44102</p><p class="ssj">NEIGER, MICHAEL E DOB: 02/14/1974 6100 OAK TREE BLVD SUITE 300   INDEPENDENCE, OH 44131</p><p class="ssj">NOVAR, LANA J DOB: 07/17/1959 3461 WEST 97 STREET  CLEVELAND, OH 44102</p><p class="ssj">OBLOY, GARY F DOB: 03/25/1944 28938 LORAIN RD.  NORTH OLMSTEAD, OH 44070</p><p class="ssj">OKOH, ANTHONY M DOB: 03/20/1949 137 RUTH ELLEN DR  APT K-301 RICHMOND HTS, OH 44143</p><p class="ssj">ORTEGA, BIENVENIDO D. DOB: 11/28/1940 29826 GATES MILLS BLVD  PEPPERPIKE, OH 44124</p><p class="ssj">ORYL, CHRISTOPHER BRIAN DOB: 02/18/1982 12925 HAMPTON CLUB DR #207  NORTH ROYALTON, OH 44133</p><p class="ssj">PARKER, DERLE P DOB: 03/06/1922 175 WILLOWLN  CHAGRIN FALLS, OH 44022</p><p class="ssj">PICKERING, ADAM G DOB: 07/26/1981 668 EUCLID AVE SUITE #314 CLEVELAND, OH 44114</p><p class="ssj">POTTER, STACIE MARIE DOB: 09/19/1983 20110 LORAIN RD. APT. 224  FAIRVIEW PARK, OH 44126</p><p class="ssj">POUNDS, STEPHANIE DOREEN DOB: 03/26/1973 5046 ERWIN ST  MAPLE HTS, OH 44137</p><p class="ssj">RICHENDOLLAR, KEITH LEWIS DOB: 02/01/1981 23248 BRIDGEPORT DRIVE   NORTH OLMSTED, OH 44070</p><p class="ssj">RIDGELL, LAKEIA MARIE DOB: 09/10/1986 25400 ROCKSIDE ROAD #207  BEDFORD HEIGHTS, OH 44146</p><p class="ssj">ROBISON, KENNETH WILLARD DOB: 08/01/1971 536 BEELER DR   BEREA, OH 44017</p><p class="ssj">RUPPE, ROBERT JOHN DOB: 05/27/1967 23611 CHAGRIN BLVD SUITE 300  BEACHWOOD, OH 44122</p><p class="ssj">RUSSELL, KIMBERLY RAE DOB: 06/14/1980 1338 W. 104TH STREET  CLEVELAND, OH 44102</p><p class="ssj">RYAN, DAVID W DOB: 12/02/1934 28719 SETTLER RESERVE WAY  WESTLAKE, OH 44145</p><p class="ssj">SHEEN, PATRICIA A DOB: 10/09/1954 4183 COLUMBIA ROAD SUITE 204 NORTH OLMSTED, OH 44070</p><p class="ssj">SIMKOFF, AARON MATHEW DOB: 09/04/1982 2545 KENILWORTH APT # 4 CLEVELAND HEIGHTS, OH 44106</p><p class="ssj">SIMPSON, AMANDA WAYNETTE DOB: 12/12/1979 4548 W 223RD ST APT 2 FAIRVIEW PARK, OH 44126</p><p class="ssj">SMITH, RACYN DOB: 10/06/1981 12113 UNION AVE., APT. 2A  CLEVELAND, OH 44105</p><p class="ssj">SMITH, RICHARD MERRITT, JR. DOB: 11/09/1983 P.O. BOX 94698  CLEVELAND, OH 44101</p><p class="ssj">SOEDER, MATTHEW KENNEDY DOB: 03/24/1983 5875 LANDERBROOK DRIVE  MAYFIELD HEIGHTS, OH 44124</p><p class="ssj">STANKOVICH, JOSHUA DOB: 09/22/1984 8266 BEAVER RIDGE RD APT 1716  N ROYALTON, OH 44133</p><p class="ssj">STEELE, JAMIE LEE DOB: 07/07/1981 6055 GLENWAY DRIVE APT E BROOK PARK, OH 44142</p><p class="ssj">STEELE, PAUL JOHN DOB: 07/24/1981 6055 GLENWAY DRIVE APT. E BROOK PARK, OH 44142</p><p class="ssj">STINE, SHAWN DOB: 06/11/1979 1409 TROTTERS RIDGE LANE 1B WESTLAKE, OH 44145</p><p class="ssj">SULLIVAN, BRIAN LUTZ DOB: 08/22/1981 20600 FAIRMOUNT BLVD APT. 12A  SHAKER HEIGHTS, OH 44118</p><p class="ssj">TAYLOR-MCGEE, ANITA RUTH DOB: 09/29/1956 3973 E. PACKARD AVE.  KINGMAN, AZ 86409</p><p class="ssj">TEPPER, STEVEN GREGORY DOB: 05/24/1982 20604 LORAIN ROAD APT. C-1 FAIRVIEW PARK, OH 44126</p><p class="ssj">TRUAX, RYAN GREGORY DOB: 10/15/1981 5900 LANDERBROOK DRIVE SUITE #100 MAYFIELD HEIGHTS, OH 44124</p><p class="ssj">VASIL, WANDA G DOB: 02/27/1948 1004 SIMICH DR  SEVEN HILLS, OH 44131</p><p class="ssj">WALKER-BROWN, KELLY DOB: 02/24/1973 863 FLAT SHOALS ROAD SE, SUITE C  CONVERS, GA 30094</p><p class="ssj">WARNOCK, DENNIS W DOB: 02/04/1945 32253 PINEHURST DRIVE  AVON LAKE, OH 44012</p><p class="ssj">WATSON, BRANDY M DOB: 01/20/1980 235 WYLESWOOD AVE  BEREA, OH 44017</p><p class="ssj">WEEAST, MARK DOB: 05/02/1961 24675 WOLF RD  BAY VILLAGE, OH 44140</p><p class="ssj">WESTFALL, JACOB WILLIAM DOB: 02/20/1987 13636 OAKBROOK DR  NORTH ROYALTON, OH 44133</p><p class="ssj">WHITE, ANDREW DOB: 05/25/1986 4018 W 277TH STREET  FAIRVIEW PARK, OH 44125</p><p class="ssj">WHITESIDE, DANIELLE CHRISTINE DOB: 05/30/1969 PO BOX 94698  CLEVELAND, OH 44101</p><p class="ssj">WILLIAMS, ANNETTE DOB: 11/15/1953 10720 PASASDENA  CLEVELAND, OH 44108</p><p class="ssj">WILLIAMS, JEMMEL SHELBURNE DOB: 07/18/1973 3284 KILDARE ROAD   CLEVELAND HEIGHTS, OH 44118</p><p class="ssj">WILLINGHAM, DANA CLIFFORD DOB: 10/12/1984 6811 MAYFIELD ROAD APT 496  MAYFIELD HTS, OH 44124</p><p class="ssj">WILLSON, VIKKI DOB: 12/05/1977 26151 LAKESHORE  # 1719  EUCLID, OH 44132</p><p class="ssj">YANNONE, KEVIN DOB: 03/13/1977 1278 W 9TH ST APT 623  CLEVELAND, OH 44113</p><p class="ssj">YELDER, LATRESE L DOB: 04/06/1978 6160 STUMPH ROAD  PARMA, OH 44130</p><p class="ssj">A copy of this Order may be obtained from Darcy Moulin, Ohio Department of Insurance, 50 West Town Street, 3rd Floor, Suite 300, Columbus, OH 43215.</p><p class="ssj">As set forth in O.R.C. 119.12, an appeal of this Order may be taken by filing a notice of appeal with the Department of Insurance.  A copy of the notice of appeal shall also be filed with the appropriate court of common pleas.  Such notices of appeal shall be filed within fifteen (15) days of the third date of publication of this notice and Order.  Each individual listed above may appeal to the court of common pleas of the county in which his or her business is located or the county in which he or she is a resident.  If he or she is not a resident of and has no place of business in Ohio, he or she may appeal to the Court of Common Pleas of Franklin County.  The notice of appeal shall set forth the order appealed from and the grounds of the appeal.</p><p class="ssj">This Order is hereby entered in the Journal of the Ohio Department of Insurance.</p><p class="ssj">MARY TAYLOR</p><p class="ssj">Superintendent of Insurance </p><p class="ssj">Cuyahoga County</p><p class="ssj">Jan18-25Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5799</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5799</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767517&mdash;CitiMortgage, Inc. vs. Charlotte Ivey, Executor of the Estate of Jennifer Watkins Johnson aka Jennifer W. Johnson, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Jennifer Watkins Johnson aka Jennifer Watkins-Johnson, the place of residence of each being unknown, will take notice that on October 25, 2011, the undersigned, CitiMortgage, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $132,465.38, plus any sums advanced, with interest at 7.5000% per annum from November 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 682-23-013</p><p class="ssj">The following described premises, situated in the City of Cleveland Heights, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Sublot No. 20 in the Arter-Green Subdivision of a part of Original Euclid Township Lots Nos. 20, 21, 61 and 62 as shown by the recorded plat in Volume 106 of Maps, Page 6 of Cuyahoga County Records and being 45 feet front on the Northeasterly side of Hillstone Road and extending back 154.46 feet on the Northwesterly line, 158.32 feet on the Southeasterly line and having a rear line of 40 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Source of Title, Book 96-07914, Page 37 (Recorded 08/13/1996)</p><p class="ssj">Address:  1047 Hillstone Rd., Cleveland Heights, Ohio 44121</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the Granting Clause in the mortgage executed by the primary defendants does not contain the marital status of the mortgagor.</p><p class="ssj">Plaintiff is informed and believes that Jennifer Watkins Johnson, a.k.a. Jennifer W. Johnson was in fact married at the time of the execution of the plaintiff's mortgage.</p><p class="ssj">Because this mistake was the result of a scrivener's error and mutual mistake of fact between the parties to said document, plaintiff is entitled to have the above described mortgage reformed to properly state &quot;Jennifer Watkins Johnson a.k.a. Jennifer W. Johnson, married, whose husband is Andrew Johnson&quot; in the Granting Clause of said mortgage as evidenced by Estate Form 1.0. Plaintiff is further entitled to an order of this Court decreeing the property as described in Plaintiff's mortgage be sold at Sheriff's sale.</p><p class="ssj">Plaintiff says that the defendant, Andrew Johnson, is also named as a defendant herein as the grantor on a prior deed dated July 16, 2008 and filed for record on August 12, 2008, as Instrument No. 200808120051 of said County Recorder's Records, which deed fails to disclose the marital status of said grantor. Plaintiff is informed and believes that Andrew Johnson was in fact married at the time of the conveyance and plaintiff seeks to have the prior deed reformed so as to disclose the grantor's marital status as married to the grantee, Jennifer Watkins Johnson a.k.a. Jennifer W. Johnson as evidenced by Estate Form 1.0.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 1st day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC.</p><p class="bold">By Christopher J. Mantica and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan19-26Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5800</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5800</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">763269&mdash;OneWest Bank, FSB vs. Janet G. Corp, et al.</p><p class="ssj">Janet G. Corp and John Doe, name unknown, spouse of Janet G. Corp, whose last known place of residence and present place of residence are unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Janet G. Corp, the place of residence of each being unknown, will take notice that on December 29, 2011, the undersigned, OneWest Bank, FSB, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $44,143.15, as of August 11, 2011, on a Home Equity Conversion Note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel Nos. 009-04-039 and 009-04-040</p><p class="ssj">The following described premises, situated in the City of Cleveland, County of Cuyahoga, and State of Ohio:</p><p class="ssj">and known as being all of Sublot No. 45 and the Southerly 30 feet of Sublot No. 44 of Kees and Brunch's Valley View Allotment of part of Original Brooklyn Township Lot No. 74, as shown by the recorded plat in Volume 29 of Maps, Page 1 of Cuyahoga County Records, and together forming a parcel of land 70 feet front on the Easterly side of West 17th Street, (formerly Doering Avenue) and extending back of actual width 110 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">The improvements thereon being commonly known as 3899 West 17th Street, Cleveland, Ohio 44109.</p><p class="ssj">Being the same lot or parcel of ground which by deed dated April 4, 1988 and recorded among the land records of Cuyahoga County in Volume 88-1466 Page 62, was granted and conveyed by Michael C. Palechka and Sherese M. Palechka, Husband and Wife, unto Alfred E. Corp and Janet G. Corp.</p><p class="ssj">Address: 3899 W. 17th Street, Cleveland, Ohio 44109</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the mortgage filed for record on August 11, 2006, in Instrument Number 200608110406 and executed by the primary defendants and delivered by him/her/them to plaintiff's predecessor in interest lists Alfre E. Corp and Janet G. Corp in the Granting Clause of said mortgage.</p><p class="ssj">Because this mistake was the result of a scrivener's error and mutual mistake of fact between the parties to said document, plaintiff is entitled to have the above described mortgage reformed to properly state &quot;Alfred E. Corp and Janet G. Corp, husband and wife', in the Granting Clause. Plaintiff is further entitled to an order of this Court decreeing the property as described in Plaintiff's mortgages be sold at sheriff's sale.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors in the payment of a Home Equity Conversion Note according to its tenor, the conditions of a concurrent mortgage deed given to secure the payment of said note  and conveying the above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 1st day of March, 2012.</p><p class="ssj">ONEWEST BANK, FSB.</p><p class="bold">By Lorelie C. Bolohan and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan19-26Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5801</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5801</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">762625&mdash;Keybank National Association vs. Bashar Rayez, et al.</p><p class="ssj">Bashar Rayez and Jane Doe, Unknown Spouse, if any, of Bashar Rayez, whose last known place of residence is 25769 Butternut Ridge Road, North Olmsted, OH 44070, otherwise whose place of residence is unknown, will take notice that on October 20, 2011, the undersigned, Substitute Defendant Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its answer and cross-claim in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the Substitute Defendant the sum of $73,854.20, plus any sums advanced, with interest at 4.2500% per annum from March 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 236-19-002</p><p class="ssj">Situated in the City of North Olmsted, County of Cuyahoga, and State of Ohio, and known as being part of Original Olmsted Township Lot No. 27 in Tract No. 6 and bounded and described as follows: beginning at a point in the Southerly line of Butternut Ridge Road, 60 feet wide, distant North 72 deg. 27' 40&quot; West measured along said Southerly line, 61.98 feet from the intersection of said Southerly line and the Westerly line of land conveyed to Emery O. Douttiel by deed recorded in Volume 1907, Page 222 of Cuyahoga County Records of deed; thence Norther 72 deg. 27' 40&quot; West along the Southerly line of Butternut Ridge Road, a distance of 85.00 feet; thence South 17 deg. 32' 20&quot; West a distance of 200.00 feet; thence South 72 deg. 27' 40&quot; East a distance of 85.00 feet; thence North 12 deg. 32' 20&quot; east, a distance of 200.00 feet to a point in the Southerly line of Butternut Ridge Road, and the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 25769 Butternut Ridge Road, North Olmsted, OH 44070</p><p class="ssj">This Defendant further says that as a result of scrivener's error and mutual mistake of fact between the parties thereto, the prior deed dated August 22, 2002 and filed for recorded on August 26, 2002, as Instrument No. 200208261547 and executed by the prior title-holders, Mark Hannah and Robin Hannah, and delivered by them to Bashar Rayez, contained an incorrect legal description in that it misspelled &quot;fete&quot; and it should read &quot;feet&quot;</p><p class="ssj">The answer and cross-claim further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Substitute Defendant 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of Substitute Defendant's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 1st day of March, 2012.</p><p class="ssj">SUBSTITUTE DEFENDANT BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Paul M. Nalepka and Romi T. Fox, Attorneys for Substitute Defendant. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan19-26Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5802</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5802</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">736247&mdash;BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. Traci M. Jones, et al.</p><p class="ssj">Michael Jones, Sr., whose last known place of residence is 8000 Spafford Road, Cleveland, OH 44105, otherwise whose place of residence is unknown, will take notice that on October 17, 2011, the undersigned, BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $75,717.81, plus any sums advanced, with interest at 6.7500% per annum from November 1, 2008, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 133-16-090</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being the Northwesterly 33 feet of Sublot No. 29 in Gains Burke's Subdivision of part of Original One Hundred Acre Lot Numbers 315 and 455, as shown by the recorded plat of said Subdivision in Volume 2 of Maps, Page 57 of Cuyahoga County Records and being 33 feet front on the Westerly side of Spafford Road, S.E. and extending back between parallel lines 165 feet, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 8000 Spafford Road, Cleveland, Ohio 44105</p><p class="ssj">Plaintiff says that due to a scrivener's error and mutual mistake of fact between the parties thereto, Plaintiff's mortgage does not set forth in the Granting Clause/Acknowledgment Clause that Traci M. Jones and Michael Jones Sr. are Husband and Wife.</p><p class="ssj">Plaintiff prays that the subject mortgage be reformed as described above to reflect that Traci M. Jones and Michael Jones Sr. are Husband and Wife, and that Michael Jones, Sr.'s signature thereon is effective to release his dower interest in the real estate.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 1st day of March, 2012.</p><p class="ssj">BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Jennifer N. Heller and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan19-26Feb2, 2012</p>]]></content:encoded>
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      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5803</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5803</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767901&mdash;Bank of New York as Trustee for American Home Mortgage Investment Trust 2004-4 Mortgage- Backed Notes, Series 2004-4 vs. Dona Samos, et al.</p><p class="ssj">Robert Edward Samos, whose last known place of residence is 10370 Pleasant Lake Boulevard, Apartment D3, Cleveland, OH 44130, otherwise whose place of residence is unknown, will take notice that on October 28, 2011, the undersigned, Bank of New York as Trustee for American Home Mortgage Investment Trust 2004-4 Mortgage-Backed Notes, Series 2004-4 c/o American Home Mortgage Servicing, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 545-18-119</p><p class="ssj">Address: 5349 E. 132nd, Garfield Heights, Ohio 44125</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further says that Defendant, Dona Samos, entered into a loan modification agreement on April 1, 2009, increasing the principal balance of said note and mortgage to $106,068.92. Said agreement also modified the interest rate changes as follows: at the rate of 3% per annum from April 1, 2009 to March 31, 2010; at the rate of 3.5% per annum from April 1, 2010 to March 31, 2011; at the rate of 4% per annum from April 1, 2011 to March 31, 2012; and at the rate of 5% per annum from April 1, 2012.</p><p class="ssj">Plaintiff further says that, as the party entitled to enforce the modified terms of the note and mortgage, Plaintiff is the owner of said loan modification agreement, and hereby accepts and ratifies the terms set forth therein.</p><p class="ssj">Plaintiff further says that by the express agreement of parties to said modification agreement, the increased principal balance is secured by the mortgage and the premises described therein.</p><p class="ssj">In the event said loan modification agreement is not filed for record with the Couty Recorder, Plaintiff is entitled to a declaratory judgment finding that the modified loan balance as set forth herein is a valid and enforceable equitable lien as against the subject real estate, for which Plaintiff is entitled to distribution from the proceeds of sale.</p><p class="ssj">Plaintiff further says that Defendant Dona Samos was married to Robert Edward Samos at the time she executed the purchase-money mortgage reflecting her marital status as &quot;separated.&quot; Plaintiff further says that on August 10, 2004, prior to her acquisition of the subject premises and execution of the mortgage, the Cuyahoga County Common Pleas Court granted a judgment for legal separation in Case DR-02-284773, wherein both Dona Samos and Robert Edward Samos were barred from all rights of dower in the estate of the other including any real estate acquired subsequent to the judgment of legal separation.</p><p class="ssj">Plaintiff is entitled to a declaratory judgment finding that Defendant Robert Edward Samos, although married to Dona Samos, has no rights of dower in the mortgaged real estate and was therefore not required to execute the mortgage as the spouse of Dona Samos by virtue of the judgment for legal separation and ORC 3105.10 (E).</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 1st day of March, 2012.</p><p class="ssj">BANK OF NEW YORK AS TRUSTEE FOR AMERICAN HOME MORTGAGE INVESTMENT TRUST 2004-4 MORTGAGE-BACKED NOTES, SERIES 2004-4 C/O AMERICAN HOME MORTGAGE SERVICING, INC.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Jan19-26Feb2, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5804</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5804</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771773&mdash;CitiMortgage, Inc. vs. Cecil E. Cogar, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Pearl Evanoff, the place of residence of each being unknown, will take notice that on December 20, 2011, the undersigned, CitiMortgage, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $124,891.55, plus any sums advanced, with interest at 8.2000% per annum from February 7, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 236-07-006</p><p class="ssj">Situated in the City of North Olmsted, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being part of Original Dover Township, Lot Nos. 8 and 9, as bounded and described as follows: Beginning in the center line of Columbia Road, 60 feet wide, at a point distant South 12 deg. 55' East, 1429.48 feet along said center line from its intersection with the center line of Lorain Road, 60 feet wide, said point being also the Northeasterly corner of land conveyed to Clarence E. Demaline and Mary Demaline, by deed dated December 14, 1927 and recorded in Volume 3591, Page 222 of Cuyahoga County Records; thence South 89 deg. 20' 30&quot; West, 275.00 feet along the Northerly line of said land so conveyed to Clarence E. and Mary Demaline and the Westerly prolongation thereof to a point in the Easterly line of the Columbia Land Development Subdivision No. 4, as recorded in Volume 202, Page 17 of Cuyahoga County Map Records; thence North 12 deg. 55&quot; West, 146.63 feet parallel with said center line of Columbia Road along the Easterly line of the Columbia Land Development Subdivision No. 4, to an exterior corner thereof; thence North 89 deg. 20' 30&quot; East, 275.00 feet to said center line of Columbia Road; thence South 12 deg. 55' East, 156.63 feet along said center line of Columbia Road, to the place of beginning containing 0.9046 acres of land according to a survey in April, 1995 by Eric Nelson, Ohio Surveyor No. 7348, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 4550 Columbia Road, North Olmsted, Ohio 44070</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 1st day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC.</p><p class="bold">By Matthew I. McKelvey and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan19-26Feb2, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5805</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5805</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769584&mdash;OneWest Bank, FSB vs. Lorene Ridley-Mastin, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of William H. Mastin Sr., the place of residence of each being unknown, will take notice that on November 18, 2011, the undersigned, OneWest Bank, FSB, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $74,049.49, as of November 4, 2011, on a Home Equity Conversion Note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 140-24-051</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio: and known as being Sublot No. 97 in the H.J. Morrison Building Company's Subdivision No. 2 of part of Original Warrensville Township Lot No. 64, as shown by the recorded plat in Volume 142 of Maps, Pages  40 and 41 of Cuyahoga County Records, and being 36.93 feet front on the Southwesterly side of East 189th Street 73.18 feet on the curved turnout between said Southwesterly line of East 189th Street and the Southeasterly line of East 188th Street, and extending back 139.28 feet on the Southeasterly line, 118.94 feet on the Northwesterly line which is also the Southeasterly line of East 188th Street and being 55 feet wide in the rear, as appears by said plat.</p><p class="ssj">Address: 3830 East 189th Street, Cleveland, Ohio 44122</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the mortgage executed by William H. Mastin Sr. and Lorene Ridley-Mastin, and delivered by them to the plaintiff contained an incorrect legal description, in the word &quot;Subdivision&quot; was omitted from the Legal Description.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, plaintiff is entitled to have the above described mortgage reformed so as to have the appropriate legal description as hereinabove set forth; and plaintiff is further entitled to an order of this Court decreeing that the property as described above be sold by the Sheriff of this County at Sheriff's Sale.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors in the payment of a Home Equity Conversion Note according to its tenor, the conditions of a concurrent mortgage deed given to secure the payment of said note  and conveying the above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 1st day of March, 2012.</p><p class="ssj">ONEWEST BANK, FSB.</p><p class="bold">By Lorelei C. Bolohan and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan19-26Feb2, 2012</p>]]></content:encoded>
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      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5806</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5806</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769072&mdash;CitiMortgage, Inc. vs. Jewell D. Watson, Individually and as Fiduciary to the Estate of Leon T. Watson, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Leon T. Watson, the place of residence of each being unknown, will take notice that on November 14, 2011, the undersigned, CitiMortgage, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $71,214.57, plus any sums advanced, with interest at 8.8750% per annum from September 1, 2008, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 005-31-094</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being Sublot No. 10 and the southerly 3 feet from front to rear of Sublot No. 9 in Lucas-Fischer Subdivision of part of Original Brooklyn Township Lot No. 13, as shown by the recorded plat in Volume 39 of Maps, Page 27 of Cuyahoga County Records, and together forming a parcel of land 38 feet front on the Westerly side of  West 89th Street, and extending back of equal width 110 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 2044 W. 89th Street, Cleveland, Ohio 44102</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 1st day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC.</p><p class="bold">By S. Scott Martin and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan19-26Feb2, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5807</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5807</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">770414&mdash;JPMorgan Chase Bank, National Association vs. Melvin C. Magwood Jr. aka Melvin C. Magwood, et al.</p><p class="ssj">Unknown heirs, the devisees, legatees, executors, administrators, and assigns of Sandra Magwood aka Sandra E. Magwood and the unknown guardians of Minor and/or incompetent heirs of Sandra Magwood aka Sandra E. Magwood, (if any), the place of residence of each being unknown, will take notice that on December 1, 2011, the undersigned, JPMorgan Chase Bank, National Association c/o Chase Manhattan Mortgage Corporation, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 343-22-051</p><p class="ssj">Address: 16010 Meigs Blvd., Brook Park, OH 44142</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 1st day of March, 2012.</p><p class="ssj">JPMORGAN CHASE BANK, NATIONAL ASSOCIATION C/O CHASE MANHATTAN MORTGAGE CORPORATION.</p><p class="bold">By Matthew P. Curry, David B. Bokor, John E. Codrea and Kristan A. Prill, Attorneys for Plaintiff. Manley Deas Kochalski, LLC, P.O. Box 165028, Columbus, OH 43216. (614) 222-4921.</p><p class="ssj">Jan19-26Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5808</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5808</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769417&mdash;CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc. vs. Phillip A. Laba, et al.</p><p class="ssj">The Unknown Successors Trustees, Assigns and Surviving Entities of the Helen M. Laba Trust dated January 13, 1995, whose last known address and present address are unknown, will take notice that on December 12, 2011, the undersigned, CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc., filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $120,213.18, plus any sums advanced, with interest at 5.8750% per annum from July 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 543-26-030</p><p class="ssj">Situated in the City of Garfield Heights, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Sublot No. 37 in Siegler's Monica Lane Subdivision of part of Original Independence Township Tract No. 2 East of the River as shown by the recorded plat in Volume 148 of Maps, Page 33 of Cuyahoga County Records and being 50 feet front on the Westerly line of Monica Lane, and extending back of equal width 160.32 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 5912 Monica Lane, Garfield Heights, OH 44125</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 1st day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC. SUCCESSOR BY MERGER TO ABN AMRO MORTGAGE GROUP, INC.</p><p class="bold">By Jennifer A. Baughman and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan19-26Feb2, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5809</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5809</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">760497&mdash;Fifth Third Mortgage Company vs. Flor Morales aka Flor Morales DeArmas, et al.</p><p class="ssj">James Doe, name unknown, spouse of Lydia DeArmas,  whose last known address is RR 1 Box 7310, Guayama, PR 007854-3563, otherwise whose address is unknown; Joseph Doe, name unknown, spouse of Lydia Valzutin,  whose last known address is DBA Blondet 120 Calle F Guayama, PR 00784, otherwise whose address is unknown, will take notice that on July 26, 2011, the undersigned, Fifth Third Mortgage Company, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $54,089.33, plus any sums advanced, with interest at 3.0000% per annum from February 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 015-08-114</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio: and known as being Sublot No. 158 in J.S. Edward's Allotment of part of Original Brooklyn Township Lot Numbers 55 and 66, as shown by the recorded plat in Volume 6 of Maps, Page 15 of Cuyahoga County Records, and being 35 feet front on the Southerly side of Woodbridge Avenue, and extending back of equal width 126 feet to Woodbridge Court in the rear, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 3617 Woodbridge Ave., Cleveland, OH 44109</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 1st day of March, 2012.</p><p class="ssj">FIFTH THIRD MORTGAGE COMPANY.</p><p class="bold">By Melanie D. Butler and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan19-26Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate of Will Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobateofwill/details/ref_index/5824</link>
      <guid>http://www.dln.com/noticeprobateofwill/details/ref_index/5824</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2011 EST 0170780&mdash;In re: Estate of Raymond Azre, deceased.</p><p class="ssj">Kelly Michaels, Leslie Mastro, and Kimberly Drove, whose places of residence are unknown, will take notice that the undersigned, Beverly Azre, presented to the Probate Court of Cuyahoga County, Ohio, a paper writing purporting to be the Last Will and Testament of Raymond Azre, deceased, late of Fairview Park, Cuyahoga County, Ohio, who died May 27, 2011th; that said paper writing was filed and admitted to probate on the 4th day of August, 2011.</p><p class="ssc">BEVERLY AZRE,</p><p class="ssc">Applicant.</p><p class="bold"> Elizabeth A. Goodwin, Attorney.</p><p class="ssj">Jan19-26Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Authority to Administer Estate Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/5825</link>
      <guid>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/5825</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175100&mdash;In re: Estate of Sylvia V. Onativia Manley, deceased.</p><p class="ssj">Judy Adams, Leonard Adams, Clara McLain, and Peter Bryant, whose places of residence are unknown, will take notice that on the 13th day of January, 2012, the undersigned, Maureen A. Shaw, filed an application in the Probate Court of Cuyahoga County, Ohio, for the authority to administer the Estate of Sylvia V. Onativia Manley, deceased, late of Bedford Heights, Cuyahoga County, Ohio, who died on October 26, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 9th day of March, 2012 at 9:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">MAUREEN A. SHAW,</p><p class="ssc">Applicant.</p><p class="bold"> Kenneth R. Resar, Attorney.</p><p class="ssj">Jan19-26Feb2, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5826</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5826</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771864&mdash;Wells Fargo Bank, N.A. successor by merger to Wachovia Mortgage Corporation vs. Robert Vincent Pavlus aka Robert V. Pavlus aka Robert Pavlus aka Robert Vincent Paulus aka Robert V. Paulus, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Patricia Kekic, the place of residence of each being unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Mary Rutti, the place of residence of each being unknown, will take notice that on December 21, 2011, the undersigned, Wells Fargo Bank, N.A. successor by merger to Wachovia Mortgage Corporation, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $85,232.57, plus any sums advanced, with interest at 2.0000% per annum from August 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 013-26-079</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio and described as follows:</p><p class="ssj">The following described premises:</p><p class="ssj">And known as Sublot No. 383 in the M.J. Herr Company's Memphis Heights Subdivision of part of Original Brooklyn Township Lot No. 43, as shown by the recorded plat in Volume 75 of Maps, Page 36 of Cuyahoga County Records.</p><p class="ssj">With the appurtenances thereto.</p><p class="ssj">Address: 4368 Fulton Road, Cleveland, OH 44144</p><p class="ssj">Plaintiff further says that as the result of scrivener's error and mutual mistake of fact between the parties thereto, the deed to the defendant, Robert V. Paulus, from Mary Rutti and Patricia Kekic, recorded on 09/06/96 in Volume 96-08825, Page 43, of said County Recorder's records, contained an incorrect legal description as it omits &quot;Situated in the County of Cuyahoga, in the State of Ohio and in the City of Cleveland.&quot;</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, plaintiff is entitled to have the above-described deed reformed so as to have the appropriate legal description as hereinabove set forth: and plaintiff is further entitled to an order of this court decreeing that the property as described in plaintiff's mortgage by the sheriff of this County at Sheriff Sale. Said correct legal description is also set forth in the deed from prior titleholders, Mary Rutti and Patricia Kekic, recorded on 05/26/95 in Volume 95-04056, page 10, of said County Recorder's records; and said deed.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A. SUCCESSOR BY MERGER TO WACHOVIA MORTGAGE CORPORATION.</p><p class="bold">By Matthew I. McKelvey and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5827</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5827</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771770&mdash;Deutsche Bank National Trust Company, as Trustee for the Certificateholders of the First Franklin Mortgage Loan Trust 2006-FF13, Mortgage Pass-Through Certificates, Series 2006-FF13 vs. Bonita Rush, et al.</p><p class="ssj">Unknown successor trustee and/or beneficiaries of certain land trust dated the 22nd day of November 2005, and referred to as the 800 East 249 Street Residential Land Trust, whose last known address and present address are unknown, will take notice that on December 20, 2011, the undersigned, Deutsche Bank National Trust Company, as Trustee for the Certificateholders of the First Franklin Mortgage Loan Trust 2006-FF13, Mortgage Pass-Through Certificates, Series 2006-FF13, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $107,662.02, plus any sums advanced, with interest at 8.8500% per annum from May 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 643-33-049</p><p class="ssj">Situated in the City of Euclid, County of Cuyahoga, and State of Ohio: and known as being Sublot No. 76 in Glenforest Village Subdivision No. 1 of part of Original Euclid Township Lot No. 3, Tract No. 19, as shown by the recorded plat in Volume 151 of Maps, Page 20 of Cuyahoga County Records, as appears by said plat.</p><p class="ssj">Address: 800 E. 249th St., Euclid, OH 44123</p><p class="ssj">Plaintiff further says that the defendant, Melody Calkins, Trustee under the certain land trust dated the 22nd day of November 2005, and referred to as the 800 East 249 Street Residential Land Trust attempted to transfer their interest in the subject property by virtue of a Deed filed for record on June 23, 2006, as Instrument Number 200606230848, of said County Recorder's Records.</p><p class="ssj">Plaintiff alleges that it was the intention of the defendant, Melody Calkins, Trustee under the certain land trust dated 22nd Day of November 2005, and referred to as the 800 East 249 Street Residential Land Trust, to convey their entire interest in the subject property to defendant Bonita Rush, however the deed doesn't specify the powers of said Trustees to convey the real property.</p><p class="ssj">Plaintiff further states that it is entitled to have title quieted as against any and all claims of Melody Calkins, Trustee under the certain land trust dated the 22nd day of November 2005, and referred to as the 800 East 249 Street Residential Land Trust, as Trustee of the under the certain land trust dated the 22nd day of November, 2005, and referred to as the 800 East 249 Residential Land Trust.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of March, 2012.</p><p class="ssj">DEUTSCHE BANK NATIONAL TRUST COMPANY, AS TRUSTEE FOR THE CERTIFICATEHOLDERS OF THE FIRST FRANKLIN MORTGAGE LOAN TRUST 2006- FF13, MORTGAGE PASS- THROUGH CERTIFICATES, SERIES 2006-FF13.</p><p class="bold">By Tina R. Edmondson and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5828</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5828</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771306&mdash;Wells Fargo Bank, N.A. vs. Patrick W. Saulter, Individually and as Fiduciary to the Estate of Patty L. Saulters aka Patty Saulters, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Wade Saulters, the place of residence of each being unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Patty Saulters, the place of residence of each being unknown, will take notice that on December 14, 2011, the undersigned, Wells Fargo Bank, N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $73,208.01, plus any sums advanced, with interest at 5.6250% per annum from February 1, 2009, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 735-26-125</p><p class="ssj">Situated in the City of Shaker Heights, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Sublot No. 234 in a Re-Subdivision No. 3 of part of the Van Sweringen Company's Subdivision No. 21 of part of Original Warrensville Township Lot No. 53, as shown by the recorded plat in Volume 67 of Maps, Page 7 of Cuyahoga County Records, and being 42.50 feet on the Northerly side of Scottsdale Boulevard and extending back of equal width 144 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 16717 Scottsdale Blvd., Shaker Heights, OH 44120</p><p class="ssj">Plaintiff further says that as the result of scrivener's error and mutual mistake of fact between the parties thereto, the mortgage executed by the defendant, Patty Saulters a.k.a. Patty L. Saulters, and delivered by her to the plaintiff contained an incorrect legal description.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, plaintiff is entitled to have the above-described mortgage reformed so as to have the appropriate legal description as hereinabove set forth: and plaintiff is further entitled to an order of this court decreeing that the property be sold by the Sheriff of this County at Sheriff Sale.</p><p class="ssj">Plaintiff says that the defendants, Margaret A. Saulters and the Unknown Heirs, Devisees, Legatees, Executors, Administrators, Spouses and Assigns and the Unknown Guardians of Minor and/or Incompetent Heirs of Wade Saulters, are named as defendants herein for a prior deed from Wade Saulters, deceased, filed for record on 08/30/88, as Volume 88-4458, Page 54, and re-recorded on 11/14/88, as Volume 88-5933, Page 9 of said County Recorder's Records, which deed fails to properly disclose the marital status of said grantor. Plaintiff is informed and believes that Wade Saulters was in fact married to Margaret A. Saulters at the time of the conveyance and plaintiff seeks to have the prior deed reformed so as to disclose the grantor's marital status as &quot;Wade Saulters, married to Margaret A. Saulters.&quot;</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A.</p><p class="bold">By Miranda S. Hamrick and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5829</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5829</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">758916&mdash;US Bank National Association vs. Crystal M. Beckwith, et al.</p><p class="ssj">Ron Beckwith aka Ronald Beckwith, whose last known place of residence is 12405 Signet Avenue, Cleveland, OH 44120, otherwise whose place of residence is unknown, will take notice that on July 15, 2011, the undersigned, US Bank National Association, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $60,921.37, plus any sums advanced, with interest at 4.7500% per annum from November 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 134-25-076</p><p class="ssj">Parcel No. 1</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being the Westerly 50 feet of the easterly 100 feet of Sublot Nos. 105 and 106 in Rockefeller and Andrews Allotment of part of Original 100 Acre Lot Nos. 472 and 472, as shown by the recorded plat in Volume 8 of Maps, Page 15 of Cuyahoga County Records, and together forming a parcel of land 50 feet front on the Southerly side of Rosewood Avenue and extending back of equal width 95 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssc">Parcel No. 2</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio, and known as being part of Sublot No. 104 in Rockefeller and Andrews Allotment of part of Original 100 Acre Sublot Nos. 472 and 473, as shown by the recorded plat in Volume 8, Page 15 of Cuyahoga County Records and bounded and described as follows:</p><p class="ssj">Beginning at a point on the Northerly line of said Sublot No. 104, 47 feet 9-7/8 inches East of the Easterly line of East 86th Street; thence Easterly 50 feet along the Northerly line of said Sublot No. 104; thence Southerly 45 feet parallel with the Easterly line of said Sublot No. 104 to a point on the Southerly line of said Sublot No. 104; thence Westerly 50 feet along the Southerly line of said Sublot No. 104; thence Northerly 45 feet parallel with the Easterly line of said Sublot No. 104 to a point of beginning as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 8606 Rosewood Avenue, Cleveland, OH 44105</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of March, 2012.</p><p class="ssj">US BANK NATIONAL ASSOCIATION.</p><p class="bold">By Matthew I. McKelvey and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5830</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5830</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">756932&mdash;Financial Freedom Acquisition, LLC vs. The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Kennard Anderson aka Kennard Anderson, Sr., et al.</p><p class="ssj">Samuel Anderson and Charisse D. Glover, whose last known place of residence is 2546 East 82nd Street, Cleveland, OH 44104, otherwise whose place of residence is unknown, will take notice that on June 7, 2011, the undersigned, Financial Freedom Acquisition, LLC, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $95,509.36, as of May 23, 2011, on a Home Equity Conversion Note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 126-02-108</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being the Northerly 30 feet of Sublot No. 8 in John Steffen's Re-Subdivision of Sublot No. 8 and 9 in Keyes and Edward's Subdivision, of part of Original One Hundred Acre Lot No. 415 in said City. Said part of said Sublot No. 8 has a frontage of 30 feet on Edwards Avenue (now known as East 82nd Street S.E.) and extends back of equal width about 122.98 feet deep as per plat of said Subdivision recorded in Volume 8 of Maps, Page 29 of Cuyahoga County Records, be the same more or less, but subject to all legal highways.</p><p class="ssj">Current deed recorded on 2/13/98 in Volume 98-01477, Page 59 and 6/5/97 in Volume 97-05287, Page 1.</p><p class="ssj">Address: 2546 East 82nd Street, Cleveland, Ohio 44104</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors in the payment of a Home Equity Conversion Note according to its tenor, the conditions of a concurrent mortgage deed given to secure the payment of said note and conveying the above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of March, 2012.</p><p class="ssj">FINANCIAL FREEDOM ACQUISITION, LLC.</p><p class="bold">By Lorelei C. Bolohan and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5831</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5831</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">562161&mdash;First Federal Savings &amp; Loan Association of Lakewood vs. Thomas A. Meyrose, et al.</p><p class="ssj">Sandra Gill McGuire aka Sandra G. McGuire, whose last known place of residence is 10282 E. Gold Dust Avenue, Scottsdale, AZ 85258, otherwise whose place of residence is unknown, will take notice that on December 7, 2011, the undersigned, Plymouth Park Tax Services, LLC, filed its answer and cross-claim in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that Defendant is the owner and holder of Tax Certificate No. S07-6905 having purchased it on October 12, 2007 and Certificate No. S08-418 having purchased it October 2, 2008 pursuant to Section 5721.33 of the Ohio Revised Code; that pursuant to Section 5721.33(G) of the Ohio Revised Code, the delinquent taxes, assessments, penalties and interest that make up the certificate purchase price were and are a statutory first lien previously held by the State of Ohio and its taxing districts and transferred to Defendant by the Treasurer of Cuyahoga County; that the certificate redemption price appearing to be due and unpaid is due and unpaid; that pursuant to Ohio Revised Code Section 5721.37, a Notice of Intent to Foreclose has been filed with the Cuyahoga County Treasurer; that Pursuant to Section 5721.37(C)(2) of the Ohio Revised Code, the Cuyahoga County Treasurer has certified that the Property has not been redeemed; that there may also be due and payable taxes, assessments, penalties and charges on the Property not covered by the Certificate and the fees and costs of these proceedings.</p><p class="ssj">The property is described as follows to wit:</p><p class="ssc">Permanent Parcel No. 312-27-055</p><p class="ssj">Address: 12582 Clifton Blvd., Lakewood, OH 44107</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Defendant has not received any payment or principal or interest on the delinquent tax, assessment, penalty or interest referred to in the Certificate; that pursuant to the Certificate No. S07-6905, Defendant Plymouth Park Tax Services, LLC is due and owing the sum of $7,355.73, with interest thereon at the rate of 18% per annum from September 28, 2007, plus such additional amounts as may accrue during the pendency of this action per Ohio Revised Code Sections 5721.30 through 5721.41 or otherwise; that pursuant to the Certificate No. S08-418, Defendant Plymouth Park Tax Services, LLC is due and owing the sum of $7,387.80, with interest thereon at the rate of 18% per annum from September 30, 2008, plus such additional amounts as may accrue during the pendency of this action per Ohio Revised Code Sections 5721.30 through 5721.41 or otherwise.</p><p class="ssj">Defendant demands that:</p><p class="ssj">A. That Judgment be rendered in favor of Defendant, Plymouth Park Tax Services LLC on its Cross-Claim in the sum of $7,355.73 with interest at the rate of 18% per annum from September 28, 2007 plus costs and such addition amounts as may accrue during the pendecny of this action on Certificate No. S07-6905.</p><p class="ssj">B. That Judgment be rendered in favor of Defendant, Plymouth Park Tax Services LLC on its Cross-Claim in the sum of $7,387.80 with interest at the rate of 18% per annum from September 30, 2008 plus costs and such addition amounts as may accrue during the pendecny of this action on Certificate No. S08-418.</p><p class="ssj">C. That Defendant, Plymouth Park Tax Services, LLC be found to have a valid first statutory lien on the property pursuant to the Ohio Revised Code.</p><p class="ssj">D. That the lien be foreclosed, and that unless the amount found due together with costs of this proceeding be rendered to the Defendant, Plymouth Park Tax Services, LLC prior to the filing of an entry of Confirmation of Sale pursuant to such proceeding, the equity of redemption of said parties shall be foreclosed.</p><p class="ssj">E.  That the liens of all parties be marshaled according to priority and paid from the proceeds of sale.</p><p class="ssj">F. That the Property be ordered to be advertised and sold according to law.</p><p class="ssj">G. That Defendant Plymouth Park Tax Services, LLC be paid the amount found due on the Tax Certificates set forth herein.</p><p class="ssj">H. That the other court costs of this action including but not limited to the fees and costs of the private attorney representing the Certificate holder as provided in Sections 5421.37 and 5721.39 of the Revised Code be paid from the proceeds of sale.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of March, 2012.</p><p class="ssj">PLYMOUTH PARK TAX SERVICES, LLC.</p><p class="bold">By Kim M. Hammond, Leonard A. Cuilli and Stan C. Cwalinski, Attorneys for Defendant, Plymouth Park Tax Services, LLC.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Miscellaneous Legal Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticemisc/details/ref_index/5832</link>
      <guid>http://www.dln.com/noticemisc/details/ref_index/5832</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF DEFAULT ANDFORECLOSURE SALE</p><p class="ssj">Notice is hereby given that on February 10, 2012 @ 10:00 a.m. local time, all real and personal property at or used in connection with the following described premises, will be sold at public auction to the highest bidders:</p><p class="ssj">Situated in the Village of Highland Heights, County of Cuyahoga, and State of Ohio, and known as being part of Original Mayfield Township Lot No. 20, Tract No. 2 and Bounded and described as follows:</p><p class="ssj">Beginning at an iron pin monument set at the intersection of the center lines of Ridgebury Boulevard 80 feet wide and Ford Road 60 feet wide;  thence North 1 deg. 28' 40&quot; West and along the center line of Ford Road a distance of 455.83 feet to the place of beginning;  thence North 1 deg. 28' 40&quot; West and along the center line of Ford Road a distance of 103.95 feet;  thence North 89 deg. 36' 40&quot; East a distance of 190.00 feet; thence South 1 deg. 28' 40&quot; East and parallel with Ford Road a distance of 103.95 feet; Thence South 89 deg. 36' 40&quot; West a distance of 190.00 feet to the principal place of beginning.</p><p class="ssj">Commonly known as:  1035 Ford Rd., Highland Heights, OH 44143</p><p class="ssj">Permanent Parcel Number: 822-28-026</p><p class="ssj">The Sale will be held in the Auditorium of Cuyahoga County Justice Center, 1215 West Third St., Cleveland, OH 44113</p><p class="ssj">The Secretary of Housing &amp; Urban Development will bid its total indebtedness which is $209,485.78</p><p class="ssj">Kriss D. Felty, HUD Foreclosure Commissioner, 1500 West Third St., Suite 400, Cleveland, OH 44113. (216) 588-1500</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Personal Injury Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepersonalinjury/details/ref_index/5833</link>
      <guid>http://www.dln.com/noticepersonalinjury/details/ref_index/5833</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">763574&mdash;Rose Findish vs. Patricia Lane, et al.</p><p class="ssj">Patricia Lane, whose last known place of residence is 3904 Snow Road, Parma, Ohio 44134, otherwise whose place of residence is unknown, will take notice that on September 6, 2011, the undersigned, Rose Findish, filed her complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on or about February 23, 2010, in the City of Garfield Heights, County of Cuyahoga, and State of Ohio, Plaintiff, Rose Findish, was operating a vehicle which was struck as the result of the negligent driving of Defendant, Patricia Lane; that as a result of Defendant's negligence, Plaintiff, Rose Findish, incurred personal injuries and incurred substantial medical expenses and expects to incur further medical expenses in the future.</p><p class="ssj">Plaintiff respectfully requests that judgment be rendered against the Defendant in excess of $25,000.00 plus interest and costs and to ascertain the interest of Defendant, Medical Mutual.</p><p class="ssj">The defendant named above is required to answer on or before the 23rd day of March, 2012.</p><p class="ssj">ROSE FINDISH.</p><p class="bold">By Michael I. Shapero, Attorney for Plaintiff.</p><p class="ssj">Jan20-27Feb3-10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Miscellaneous Legal Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticemisc/details/ref_index/5834</link>
      <guid>http://www.dln.com/noticemisc/details/ref_index/5834</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2011 CVI-004592&mdash;Joyce A. Gillespie vs. Matthew B. Holstein.</p><p class="ssj">Matthew B. Holstein, whose last known place of residence is 13705 Lakewood Heights Boulevard, Apt. #5, Cleveland, OH 44107 otherwise whose place of residence is unknown, will take notice that on March 10, 2011, the undersigned, Joyce A. Gillespie, filed her complaint in the Cleveland Municipal Court, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on October 14, 2008, the Plaintiff Joyce A. Gillespie cosigned on Unity Catholic signature loan, Account # 74385, for the Defendant Matthew B. Holstein, due to the fact the defendant was unable to secure the loan on his own; that the loan was secured so the defendant could purchase a 1999 Jeep Cherokee, from the Brunswick Auto Mall, in the amount of $4,000.00; that it was at this same time the plaintiff and defendant entered into a verbal agreement that the defendant would be the individual responsible for making the $106.30 monthly obligation in a timely manner; that the vehicle was purchased and the defendant has been the sole owner/operator of the 1999 Jeep Cherokee.</p><p class="ssj">Plaintiff had to make several payments because the defendant was delinquent and checks he wrote were returned for non sufficient funds.</p><p class="ssj">Plaintiff ultimately decided to pay the existing loan off in full to avoid any further damage to her otherwise perfect credit. Records verify the said payment was made on March 7, 2011, at the Lakewood, Ohio branch, in the amount of $2,040.93.</p><p class="ssj">Plaintiff is seeking a $2,040.93 judgment in addition to all court costs relating to this lawsuit</p><p class="ssj">The defendant named above is required to answer on or before the 23rd day of March, 2012.</p><p class="ssj">JOYCE A. GILLESPIE.</p><p class="bold">By Joyce A. Gillespie, P.P.</p><p class="ssj">Jan20-27Feb3-10-17-24, 2012</p>]]></content:encoded>
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    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/5835</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/5835</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768756&mdash;Treasurer of Cuyahoga County, Ohio vs. Ruby Reeves, et al.</p><p class="ssj">Ruby Reeves, whose last known place of residence is 12807 Imperial Avenue, Cleveland, OH 44120, otherwise whose place of residence is unknown; Unknown Spouse of Ruby Reeves, whose last known place of residence is 12807 Imperial Avenue, Cleveland, OH 44120, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Ruby Reeves, the place of residence of each being unknown; William Bufford, whose last known place of residence is 12807 Imperial Avenue, Cleveland, OH 44120, otherwise whose place of residence is unknown; Unknown Spouse of William Bufford, whose last known place of residence is 12807 Imperial Avenue, Cleveland, OH 44120, otherwise whose place of residence is unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of William Bufford, the place of residence of each being unknown, will take notice that on November 8, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $1,022.14 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 129-29-147</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 58 in the Woodhill Park Sanda Allotment of part of Original One Hundred Acre Lots Nos. 436 and 437, as shown by the recorded plat in Volume 48 of Maps, Page 10 of Cuyahoga County Records, and being 33 feet front on the Northerly side of Imperial Avenue, S.E. and extending back of equal width 120 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/5836</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/5836</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">764063&mdash;Treasurer of Cuyahoga County, Ohio vs. Jesse Lathan Jr., a.k.a. etc., et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Jesse Latham, Jr., a.k.a. Jessie Latham, Jr., the place of residence of each being unknown, will take notice that on September 9, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $1,439.51 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 121-34-035</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being Sublot No. 10 in Nels and Soren Robertsons Skov's Allotment of part of Original One Hundred Acre Lot Nos. 419 and 420, as shown by the recorded plat in Volume 14 of Maps, Page 44 of Cuyahoga County Records, and being 40 feet front on the Northerly side of Woodland Avenue, S.E., and extending back 97 feet 4 inches on the Easterly line, 104 feet 11 inches on the Westerly line and having a rear line of 40 feet 81/2 inches, which is also the Southerly line of Mt. Carmel Road, S.E., as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/5837</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/5837</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">765195&mdash;Treasurer of Cuyahoga County, Ohio vs. Eddie Ward, et al.</p><p class="ssj">Thomas &amp; Hill, Inc., whose last known address is 818 Virginia Street East, Charleston, WV 25301, otherwise whose address is unknown; and C.I.T. Financial Services, Inc. of Ohio, whose last known address is 25200 Chagrin Boulevard, Suite106, Beachwood, OH 44122, otherwise whose address is unknown, will take notice that on September 26, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $723.84 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 138-24-071</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as Sublot N. 94 in The City Gardens Realty Company's Cranwood Park Subdivision No. 6, as shown by the recorded plat in Volume 91 of Maps, Page 6 of Cuyahoga County Records, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/5838</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/5838</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">760248&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Hattie Hobbs, a.k.a. etc., et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Hattie Hobbs, a.k.a. Hattie M. Hobbs, the place of residence of each being unknown, will take notice that on July 22, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $784.63 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 115-05-075</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And bounded and described as follows to wit:</p><p class="ssj">And known as being part of Original Euclid Township Lot No. 1, and being part of the third parcel of land deeded to Marcus O. Gunn by Lucia Gunn on March 15, 1887, and recorded March 26, 1887, in Cuyahoga County Records of deeds in Volume 405, Page 555 and is described as follows:</p><p class="ssj">Beginning at the Easterly line of East 146th Street (formerly Lyman Avenue), 392 feet Southerly from the South Line of Aspinwall Avenue, N.E.;</p><p class="ssj">Thence Southerly along the Easterly line of East 146th Street, 40 feet;</p><p class="ssj">Thence Easterly parallel with said South line of Aspinwall Avenue NE. 140 feet;</p><p class="ssj">Thence Northerly parallel with said East 146th Street, 40 feet;</p><p class="ssj">Thence Westerly parallel with the South line of Aspinwall Avenue, N.E. to the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/5839</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/5839</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">763228&mdash;Treasurer of Cuyahoga County, Ohio vs. Detrice L. Hunter, et al.</p><p class="ssj">Detrice L. Hunter, whose last known place of residence is 698 East 91st Street, Apartment 1, Cleveland, OH 44108, otherwise whose place of residence is unknown; and Unknown Spouse of Detrice L. Hunter, whose last known place of residence is 698 East 91st Street, Apartment 1, Cleveland, OH 44108, otherwise whose place of residence is unknown, will take notice that on August 31, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $1,558.70 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 112-08-039</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being Sublot No. 129 in McDowell, Brayton et al Subdivision of part of Original One Hundred Acre Lot No. 354, as shown by the recorded plat in Volume 10 of Maps, Page 23 of Cuyahoga County Records and being 40 feet front on the Westerly side of East 139th Street and extending back of equal width 130 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/5840</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/5840</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">763949&mdash;Treasurer of Cuyahoga County, Ohio vs. Robert Dykes, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Benjamin Dykes, the place of residence of each being unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Barbara Battle, the place of residence of each being unknown, will take notice that on September 9, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $394.49 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 127-07-017</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 123 and the Northerly 2.37 feet of Sublot No. 124 in Charles Leavitt's Subdivision of part of Original One Hundred Acre Lot No. 431 as shown by the recorded plat in Volume 5 of Maps, Page 62 of Cuyahoga County Records and together forming a parcel of land 32.37 feet front on the Easterly side of East 80th Street, 140 feet 7 inches deep on the Northerly line 140 feet 6 inches deep on the Southerly line 32.37 feet wide in the rear, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5841</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5841</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 005034&mdash;Treasurer of Cuyahoga County, Ohio vs. Jefferine Thomas, et al.</p><p class="ssj">Jefferine Thomas, whose last known place of residence is 10606 Crestwood Avenue, Cleveland, OH 44104, otherwise whose place of residence is unknown; Unknown Spouse of Jefferine Thomas, whose last known place of residence is 10606 Crestwood Avenue, Cleveland, OH 44104, otherwise whose place of residence is unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Jefferine Thomas, deceased, the place of residence of each being unknown, will take notice that on January 11, 2012, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his supplemental complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,485.92 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 135-18-106</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being the Easterly 41.863 feet of Sublot No. 81 in the Coe, Brainard and Chaneys Allotment of part of Original 100 Acre Lot No. 458 as shown by the recorded plat in Volume 7 of Maps, Page 26 of Cuyahoga County Records and being 41.863 feet front on the Northerly side of Reno Avenue, S.E. and extending back between parallel lines 112 feet 7-1/2 inches as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5842</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5842</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004302&mdash;Treasurer of Cuyahoga County, Ohio vs. Garry Cotton, et al.</p><p class="ssj">Lisa Lysyj, whose last known place of residence is 7432 James Drive, North Royalton, OH 44133, otherwise whose place of residence is unknown, will take notice that on June 29, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,249.74 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 016-25-011</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being Sublot No. 32 in T.I. Kern's Allotment of a part of Original Brooklyn Township Lots Nos. 45 and 46, as shown by the recorded of said Allotment in Volume 34 of Maps, Page 26 of Cuyahoga County Records.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5843</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5843</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004309&mdash;Treasurer of Cuyahoga County, Ohio vs. Marcus A. Carter, et al.</p><p class="ssj">Marcus A. Carter, whose last known place of residence is 3765 Monticello Boulevard, Cleveland, OH 44121, otherwise whose place of residence is unknown; and Unknown Spouse of Marcus A. Carter, whose last known place of residence is 3765 Monticello Boulevard, Cleveland, OH 44121, otherwise whose place of residence is unknown, will take notice that on July 1, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,581.05 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 120-10-067</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sub-lot No. 67 in Thos. A. McCaslin's College Park Subdivision No. 2 of part of Original One Hundred Acre Lots 387 and 388, as shown by the recorded plat in Volume 33 of Maps, Page 20 of Cuyahoga County Records and being 40 feet front on the Westerly side of East 118th Street, 138-70/100 feet deep on the Northerly line, 138-63/100 feet deep on the Southerly line and 40 feet wide in the rear, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5844</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5844</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004892&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Sadie M. Campbell, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Sadie M. Campbell, the place of residence of each being unknown; Stanford E. Jones, whose last known place of residence is 1501 East 191st Street, Apartment J305, Euclid, OH 44117, otherwise whose place of residence is unknown; and Unknown Spouse of Stanford E. Jones, whose last known place of residence is 1501 East 191st Street, Apartment J305, Euclid, OH 44117, otherwise whose place of residence is unknown, will take notice that on November 10, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $800.41 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 135-18-136</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 153 in Leo W. Sapps Allotment of part of Original 100 Acre Lot No. 322, as shown by the recorded plat in Volume 12 of Maps, Page 25 of Cuyahoga County Records and being 41 feet front on the Northerly side of Prince Avenue and extending back of equal width 173 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5845</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5845</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004618&mdash;Treasurer of Cuyahoga County, Ohio vs. Mary Williams, et al.</p><p class="ssj">Mary Williams, whose last known place of residence is 10714 Gooding Avenue, Cleveland, OH 44108, otherwise whose place of residence is unknown; and Unknown Spouse of Mary Williams, whose last known place of residence is 10714 Gooding Avenue, Cleveland, OH 44108, otherwise whose place of residence is unknown, will take notice that on August 24, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $635.27 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 109-13-094</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Easterly 39 feet from front to rear of Sublot No. 194 in John W. Taylor and Company's Douglas Park Subdivision of part of Original One Hundred Acre Lot No. 370, as shown by the recorded plat in Volume 22 of Maps, Page 8 of Cuyahoga County Records and being 39 feet front on the Southerly side of Gooding Avenue, N.E., and extending back of equal width 110 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5846</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5846</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004434&mdash;Treasurer of Cuyahoga County, Ohio vs. Franc Perko, et al.</p><p class="ssj">Franc Perko, whose last known place of residence is 20190 Goller Avenue, Cleveland, OH 44119, otherwise whose place of residence is unknown; and Unknown Spouse of Franc Perko, whose last known place of residence is 20190 Goller Avenue, Cleveland, OH 44119, otherwise whose place of residence is unknown, will take notice that on August 1, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,985.18 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 105-24-072</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and furhter described as follows:</p><p class="ssj">And known as being the Northerly 38 1/2 feet of Sublot No. 83 in W.J. Crawford and James Parmelee's Subdivision of part of Original One Hundred Acre Lot No. 347, as shown by the recorded plat in Volume 13 of Maps, Page 40 of Cuyahoga County Records and being 38 1/2 feet front on the Westerly side of East 67th Street (formerly Ranney Avenue) and extending back of equal width 120 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5847</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5847</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004604&mdash;Treasurer of Cuyahoga County, Ohio vs. Ada Lou Williams, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Ada Lou Williams, deceased, the place of residence of each being unknown, will take notice that on August 24, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $2,937.78 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 135-03-178</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sub Lot No. 42 in Gibson and Benham's Allotment of part of Original One Hundred Acre Lot No. 449, as shown by the recorded plat in Volume 20 of Maps, Page 20 of Cuyahoga County Records, and being 35 feet front on the Northerly side of Gibson Street, and extending back 97.95 feet deep on the Westerly line and 98.37 feet deep on the Easterly line, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan20-27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5859</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5859</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771513&mdash;CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc. vs. Mary Dieterich, et al.</p><p class="ssj">John H. Blessing, Administrator of the Estate of Howard Y. King, Gottwig Buildings Inc., whose last known address and present address are unknown; and the unknown successors, assigns and surviving entities of Gottwig Builders, Inc., whose last known address and present address are unknown, will take notice that on December 16, 2011, the undersigned, CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $97,995.64, plus any sums advanced, with interest at 3.0000% per annum from August 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 712-16-068</p><p class="ssj">Situated in the City of Lyndhurst, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being the Sublot No. 218 in Mayfield Highlands Subdivision of part of Original Mayfield Township Lots Nos. 19 and 20, Tract 2, and Lot No. 25, Tract 3, as shown by the recorded plat in Volume 57 of Maps, Page 24 of Cuyahoga County Records, and being 50 feet front on the Easterly side of Churchill Road, and extending back 174.13 feet deep on the Northerly line, 173.74 feet deep on the Southerly line, and having a rear line of 50 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 1147 Churchill Rd., Mayfield Heights, OH 44124</p><p class="ssj">Plaintiff further says that as the result of scrivener's error and mutual mistake of fact between the parties thereto, the mortgage executed by the defendant, Mary Dieterich, and delivered by her to the plaintiff contained an incorrect legal description.</p><p class="ssj">Plaintiff further states that the following deeds had an incorrect legal description:</p><p class="ssj">deed recorded in Volume 93, Page 33, of said County Recorder's records.</p><p class="ssj">deed recorded in Volume 12534, Page 97, of said County Recorder's records.</p><p class="ssj">deed recorded in Volume 7018, Page 334, of said County Recorder's records.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, plaintiff is entitled to have the above-described mortgage and said deeds reformed so as to have the appropriate legal description as hereinabove set forth; and plaintiff is further entitled to an order of this court decreeing that the property described above be sold by the sheriff of this County at Sheriff Sale.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 5th day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC. SUCCESSOR BY MERGER TO ABN AMRO MORTGAGE GROUP, INC.</p><p class="bold">By Elizabeth A. Carullo and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan21-28Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5860</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5860</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771802&mdash;U.S. Bank National Association vs. Richard L. Costello, et al.</p><p class="ssj">Richard L. Costello, whose last known place of residence is 1240 Hall Avenue, Lakewood, OH 44107, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Richard L. Costello, the place of residence of each being unknown, will take notice that on December 20, 2011, the undersigned, U.S. Bank National Association, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $114,853.67, plus any sums advanced, with interest at 4.7500% per annum from May 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 311-29-117</p><p class="ssj">The Land referred to in this Commitment is described as follows:</p><p class="ssj">Situated in the City of Lakewood, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Sublot No. 192 in the West Lake Park Subdivision of a part of Original Rockport Township Section No. 23 as shown by the recorded plat in Volume 28 of Maps, Page 11 of Cuyahoga County Records, and being 35 feet front on the Westerly side of Hall Avenue and extending back between parallel lines, 100 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 1240 Hall Avenue, Lakewood, Ohio 44107</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 5th day of March, 2012.</p><p class="ssj">U.S. BANK NATIONAL ASSOCIATION.</p><p class="bold">By S. Scott Martin and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan21-28Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5861</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5861</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767837&mdash;CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc. vs. Helen Ann Christopher, et al.</p><p class="ssj">Thomas G. Fresenko and Jane Doe, name unknown, spouse of Thomas G. Fresenko,  whose last known address is 26850 Drakefield Avenue, Euclid, OH 44132, otherwise whose address is unknown, will take notice that on October 28, 2011, the undersigned, CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $66,354.87, plus any sums advanced, with interest at 5.8750% per annum from June 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 645-30-094</p><p class="ssj">Situated in the City of Euclid, County of Cuyahoga, and State of Ohio, and known as being Sublot No. 172 in the Forest Park Subdivision No. 2 of part of Original Euclid Township Tract No. 20, as shown by the recorded plat in Volume 142 of Maps, Page 13 of Cuyahoga County Records, and being 50 feet front on the Southerly side of Drakefield Avenue, and extending back between parallel lines 116 feet deep, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 26850 Drakefield Ave., Euclid, Ohio 44132</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 5th day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC. SUCCESSOR BY MERGER TO ABN AMRO MORTGAGE GROUP, INC.</p><p class="bold">By Christopher M. Schwieterman and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan21-28Feb4, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5862</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5862</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">761656&mdash;New York Community Bank vs. Albert Jackson, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Lawrence P. Previte, the place of residence of each being unknown, will take notice that on December 21, 2011, the undersigned, New York Community Bank, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $69,403.78, plus any sums advanced, with interest at 6.8750% per annum from May 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 116-26-072</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being the Southerly 8.5 feet of Sublot No. 202 and the Northerly 23 feet of Sublot No. 203 in the Elworthy-Helwick Company's Homeowner's Allotment of part of Original Euclid Township Tract No. 15 as shown by the recorded plat in Volume 58 of Maps, Page 12 of Cuyahoga County Records and together forming a parcel of land having a frontage of 31.5 feet on the Southwesterly side of East 175th Street and extending back of equal width 115 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 1470 E. 175th St., Cleveland, OH 44110</p><p class="ssj">Plaintiff says that the defendants, Lawrence P. Previte (now deceased), is the grantor on a prior deed dated August 14, 1985 and filed for record on August 22, 1985, as Torrens 382940, of said County Recorder's Records, which deed fails to properly disclose the marital status of said grantor. Plaintiff is informed and believes that Lawrence P. Previte was in fact married at the time of the conveyance and plaintiff seeks to have the prior deed reformed so as to disclose the grantor's marital status as &quot;Lawrence P. Previte, married to Kathy S. Previte.&quot;</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 5th day of March, 2012.</p><p class="ssj">NEW YORK COMMUNITY BANK.</p><p class="bold">By Christopher J. Mantica and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan21-28Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5863</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5863</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">761650&mdash;Financial Freedom Acquisition, LLC vs. George Newman, Individually and as Executor of the Estate of Helen Moisidis Pefkidis aka Helen Pefkidis Moisidis aka Helen Moisidis aka Helen Moisidis Petkidis, et al.</p><p class="ssj">Marina Lambropoulou and John Doe, name unknown, spouse of Marina Lambropoulou,  whose last known address is Thermi 57001, 57013 Galini, Thessaloniki, Greece, otherwise whose address is unknown; The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Helen Moisidis Pefkidis aka Helen Pefkidis Moisidis aka Helen Moisidis aka Helen Moisidis Petkidis, the place of residence of each being unknown, will take notice that on December 29, 2011, the undersigned, Financial Freedom Acquisition, LLC, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $87,335.49, as of July 22, 2011, on a Home Equity Conversion Notice secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 312-08-861D</p><p class="ssj">Situated in the City of Lakewood, County of Cuyahoga, and State of Ohio: and known as being Unit No. 1006, together with an undivided percentage interest in the common areas and facilities of the Carlyle Condominium, as shown by the Declaration and By-Laws recorded in Volume 14856, Page 443 of Cuyahoga County Deed Records, and Drawings recorded in Volume 34, Pages 113 to 161, inclusive of Cuyahoga County Condominium Map Records, with amendments, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 12900 Lake Avenue, #1006, Lakewood, Ohio 44107</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors in the payment of a Home Equity Conversion Notice according to its tenor, the conditions of a concurrent mortgage deed given to secure the payment of said note  and conveying the above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 5th day of March, 2012.</p><p class="ssj">FINANCIAL FREEDOM ACQUISITION, LLC.</p><p class="bold">By Bill L. Purtell and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan21-28Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Divorce Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedivorces/details/ref_index/5864</link>
      <guid>http://www.dln.com/noticedivorces/details/ref_index/5864</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Divorce Notice</p><p class="bold">D-338179&mdash;Antje Daub vs. James B. Clark.</p><p class="ssj">James B. Clark, whose last known place of residence is 2350 Grandview, Cleveland Heights, Ohio 44106, otherwise whose place of residence is unknown, will take notice that on August 29, 2011, the undersigned, Antje Daub, filed her complaint against him in the Court of Common Pleas, Domestic Relations Division, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio praying for a divorce and other relief on the grounds of extreme cruelty, gross neglect of duty and incompatibility.</p><p class="ssj">The defendant named above is required to answer on or before the 26th day of March, 2012.</p><p class="ssc">ANTJE DAUB.</p><p class="bold"> Thomas A. McCormack, her Attorney.</p><p class="ssj">Jan21-28Feb4-11-18-25, 2012</p>]]></content:encoded>
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    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5865</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5865</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004450&mdash;Treasurer of Cuyahoga County, Ohio vs. Loretta Porter, et al.</p><p class="ssj">Eric A. Porter, whose last known place of residence is 4000 Lee Heights Boulevard, Cleveland, OH 44128, otherwise whose place of residence is unknown; and Unknown Spouse of Eric A. Porter, whose last known place of residence is 4000 Lee Heights Boulevard, Cleveland, OH 44128, otherwise whose place of residence is unknown, will take notice that on August 3, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $348.63 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 140-20-061</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being part of Sublot Nos. 199 and 200 in the City Allotment Company's Shaker View Subdivision of part of Original Warrensville Township Lot Nos. 63 and 64, as shown by the recorded plat in Volume 100 of Maps, Page 36 of Cuyahoga County Records, and together forming a parcel of land bounded and described as follows:</p><p class="ssj">Beginning in the Westerly line of Lee Heights Boulevard, S.E., at a point distant Southerly measured along said Westerly line, 3.50 feet from the Northeasterly corner of said Sublot No. 199; Thence Southerly along the Westerly line of said Lee Heights Boulevard, 50 feet; Thence Westerly about 184.96 feet to a point in the Westerly line of said Sublot No. 200, distant Southerly measured along said Westerly line, 3.50 feet from the Northwesterly corner of said Sublot No. 200; Thence Northwesterly along the Westerly line of said Sublot Nos. 200 and 199, 27 feet; Thence Easterly about 178.10 feet to the place of beginning. Subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan21-28Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5866</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5866</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 003240&mdash;Treasurer of Cuyahoga County, Ohio vs. Rodney Reynolds, et al.</p><p class="ssj">REO Solutions USA, Inc., whose last known address is c/o Lisa J. Reho, Statutory Agent, 410 South Ware Boulevard, Suite 1031-D, Tampa, FL 33619, otherwise whose address is unknown, will take notice that on November 4, 2010, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $515.42 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 106-11-076</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being part of Sublot Nos. 25 and 26 in Howard White's Subdivision of part of Original 100 Acre Lot No. 342, as shown by the recorded plat in Volume 14 of Maps, Page 5 of Cuyahoga County Records, and together forming a parcel of land bounded and described as follows: Beginning on the Southerly line of Melrose Avenue N.E. at a point distant 56 62/100 feet Easterly, measured along said Southerly line from the Northwesterly corner of said Sublot No. 25; Thence Westerly along the Southerly line of Melrose Avenue N.E., 26 62/100 feet; Thence Southerly on a line at right angles with the Southerly line of Melrose Avenue N.E., about 100 feet to the Southerly line of said Sublot No. 26; Thence Easterly along the Southerly line of said Sublot No. 26, 26 71/100 feet to its intersection with the line drawn Southerly at right angles with the Southerly line of Melrose Avenue N.E., from the place of beginning; Thence Northerly in a direct line 97 80/100 feet to place of beginning, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan21-28Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5886</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5886</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767325&mdash;Wells Fargo Bank,  N.A., as Trustee for the benefit of the Certificateholders, Park Place Securities, Inc., Asset-Backed Pass-Through Certificates Series 2005-WCW2 vs. Tracy Evans, Sr. aka Tracy Evans, et al.</p><p class="ssj">Yolanda Evans, whose last known place of residence is 11110 Parkedge Drive, Cleveland, OH 44104, otherwise whose place of residence is unknown, will take notice that on October 21, 2011, the undersigned, Wells Fargo Bank, N.A., as Trustee for the benefit of the Certificateholders, Park Place Securities, Inc., Asset-Backed Pass-Through Certificates Series 2005-WCW2, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $61,522.54, plus any sums advanced, with interest at 8.450% per annum from March 1, 2009, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 127-20-065</p><p class="ssj">Situated in the City of  Cleveland, County of Cuyahoga and State of Ohio, and known as being Sublot No. 53 in W.H.K. Herron's Subdivision of part of Original One Hundred Acre Lots Nos. 442 and 443 as shown by the recorded plat in Volume 117 of Maps, Page 37 of Cuyahoga County Records and being 38 feet front on the Southerly side of Parkedge Dr. S.E. (formerly Edgepark Dr. S.E.) and extending back between parallel lines 100.09 feet deep as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 11110 Parkedge Drive, Cleveland, OH 44104</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 6th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A., AS TRUSTEE FOR THE BENEFIT OF THE CERTIFICATEHOLDERS, PARK PLACE SECURITIES, INC., ASSET-BACKED PASS-THROUGH CERTIFICATES SERIES 2005-WCW2.</p><p class="bold">By Tina R. Edmondson and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5887</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5887</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">687288&mdash;Wells Fargo Bank, NA vs. Jennifer E. Korb, et al.</p><p class="ssj">EQ Financial Acceptance Corp., whose last known address is 651 West Washington Bouelvard, Suite 306, Chicago, IL 60661, otherwise whose address is unknown, will take notice that on March 12, 2009, the undersigned, Wells Fargo Bank, NA, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $39,632.48, plus any sums advanced, with interest at 5.1250% per annum from October 1, 2008, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 140-23-063</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being Sublot No. 5 in Fares Homes Inc. Subdivision, of part of Original Warrensville Township Lot Number 64, as shown by the recorded plat in Volume 143 of Maps, Page 20 of Cuyahoga County Records, and being 50 feet front on the Easterly side of East 183rd Street, S.E., and extending back of equal width 113 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 3807 East 183rd Street, Cleveland, Ohio 44122</p><p class="ssj">Plaintiff further says that as the result of scrivener's error and mutual mistake of fact between the parties thereto, the mortgage executed by the defendants, Jennifer E. Korb and Geneva W. Jenkins, and delivered by them to the plaintiff did not properly disclose the marital status of the borrowers. Plaintiff is informed and believes that the Defendant, Jennifer E. Korb, was in fact married to James R. Korb at the time the mortgage was recorded and plaintiff seeks to have said mortgage reformed so as to disclose the marital status of the mortgagors as &quot;Jennifer E. Korb and James R. Korb, wife and husband, and Geneva W. Jenkins, unmarried.&quot;</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 6th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, NA.</p><p class="bold">By Amanda B. Romanello and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5888</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5888</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">748234&mdash;Financial Freedom Acquisition LLC vs. Pearl E. Underwood aka Pearl Underwood, Fiduciary, et al.</p><p class="ssj">James Doe, name unknown, spouse of Sarah M. McCain, whose last known place of residence is 24713 Emery Road, Cleveland, OH 44128, otherwise whose place of residence is unknown; MGC, Inc., whose last known address is 26721 Brookpark Road, North Olmsted, OH 44070, otherwise whose address is unknown; The unknown successors, assigns and surviving entities of MGC, Inc., whose last known address and present address are unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Sarah M. McCain, the place of residence of each being unknown, will take notice that on December 27, 2011, the undersigned, Substitute Plaintiff OneWest Bank, FSB, filed its second amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the substitute plaintiff the sum of $93,282.49, as of January 31, 2011, on a Home Equity Conversion Note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 763-03-020</p><p class="ssj">Situated in the City of Warrensville Heights, County of Cuyahoga and State of Ohio, and known as being part of Sublot No. 1 in Clarkwood Estates Subdivision No. 1 of part of Original Warrensville Township Lots Nos. 88 and 89, as shown by the recorded plat in Volume 158 of Maps, Page 7 of Cuyahoga County Records, and being bounded and described as follows: Beginning at the most Southeasterly corner of Sublot No. 1 at the Northerly line of Emery Road; Thence Westerly along the Southerly line of Sublot No. 1, which is also the Northerly line of Emery Road, 50.19 feet to a point; Thence Northerly and parallel with the Westerly line of Sublot No. 1, 150 feet to the Northerly line of Sublot No. 1; Thence Easterly along the Northerly line of Sublot No. 1, 50 feet to the most Northeasterly corner of said Sublot; Thence Southerly along the Easterly line of Sublot No. 1, 150 feet to the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 24713 Emery Road, Warrensville Heights, OH 44128</p><p class="ssj">Substitute Plaintiff further says that as the result of scrivener's error and mutual mistake of fact between the parties thereto, the mortgage executed by the defendant, Sarah M. McCain, and delivered by her to the substitute plaintiff contained an incorrect legal description.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, substitute plaintiff is entitled to have the above-described mortgage reformed so as to have the appropriate legal description as hereinabove set forth; and substitute plaintiff is further entitled to an order of this court decreeing that the property described above be sold by the sheriff of this County at Sheriff Sale.</p><p class="ssj">Substitute Plaintiff further alleges that by reason of the default of the defendant obligors in the payment of a Home Equity Conversion Note according to its tenor, the conditions of a concurrent mortgage deed given to secure the payment of said note and conveying the above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Substitute Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of substitute substitute plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 6th day of May, 2012.</p><p class="ssj">SUBSTITUTE PLAINTIFF ONEWEST BANK, FSB.</p><p class="bold">By Bill L. Purtell, Kiberly M. Baga and Romi T. Fox, Attorneys for Substitute Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5889</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5889</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768895&mdash;CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc. vs. Joseph Fontana, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Florence Fontana, the place of residence of each being unknown, will take notice that on November 10, 2011, the undersigned, CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $94,784.70, plus any sums advanced, with interest at 6.500% per annum from June 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 722-02-075</p><p class="ssj">Situated in the City of University Heights, County of Cuyahoga, and State of Ohio, and known as being Sublot No. 23 in The Cedar Heights Land Company's Cedarbrook Allotment No. 3 of part of Original Euclid Township Lots Nos. 57, 16 and 24 as shown by the recorded plat in Volume 68 of Maps, Page 26 of Cuyahoga County Records, and being 30 feet front on the Northerly side of Cedar Rd., 31.42 feet front on the curved turnout between said Northerly line of Cedar Rd., and the Easterly line of Thayne Rd., and extending back 130 feet on the Easterly line, 110 feet on the Westerly line, which is also the Easterly line of Thayne Road, and having a rear line of 50 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 13577 Cedar Road, University Heights, Ohio 44118</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the mortgage filed for record on 05/16/02, in Instrument No. 200205160546 and executed by the primary defendants and delivered by them to plaintiff's predecessor in interest lists the defendant marital status as husband and wife in the Granting Clause of said mortgage.</p><p class="ssj">Plaintiff says that the defendants are actually son and mother as evidenced by the Affidavit of Facts Affecting Title filed for record on 02/24/05, in Instrument No. 200502240880, of said County Recorder's Records.</p><p class="ssj">Because this mistake was the result of a scrivener's error and mutual mistake of fact between the parties to said document, plaintiff is entitled to have the above described mortgage reformed to properly state &quot;Joseph Fontana, unmarried and Florence Fontana, unmarried&quot;, in the Granting Clause. Plaintiff is further entitled to an order of this Court decreeing the property as described in Plaintiff's mortgage be sold by the Sheriff of this County at Sheriff's Sale.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 6th day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC. SUCCESSOR BY MERGER TO ABN AMRO MORTGAGE GROUP, INC.</p><p class="bold">By Elizabeth A. Carullo and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5890</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5890</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">762688&mdash;Taylor, Bean &amp; Whitaker Mortgage Corp. vs. Mohamed Ali Abdelmawala, et al.</p><p class="ssj">Mohamed Ali Abdelmawala and Jane Doe, name unknown, spouse of Mohamed Ali Abdelmawala, whose last known place of residence is 18213 Saratoga Trail, Strongsville, OH 44136, otherwise whose place of residence is unknown, will take notice that on August 24, 2011, the undersigned, Taylor, Bean &amp; Whitaker Mortgage Corp., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $202,500.00, plus any sums advanced, with interest at 6.5000% per annum from May 1, 2008, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 397-19-040</p><p class="ssj">Situated in the City of Strongsville, County of Cuyahoga and State of Ohio, and known as being Sublot No. 53, in High Point Subdivision No. 1 of part of Original Strongsville Township Lot Nos. 39 and 42, as shown by the recorded plat in Volume 218 of Maps, Pages 52 and 53, and refiled for second record in Volume 223 of Maps, Pages 116 and 117 of Cuyahoga County Records, as appears by said plat.</p><p class="ssj">Address: 18213 Saratoga Trail, Strongsville, OH 44136</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 6th day of March, 2012.</p><p class="ssj">TAYLOR, BEAN &amp; WHITAKER MORTGAGE CORP.</p><p class="bold">By Bethany L. Suttinger and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5891</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5891</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">772206&mdash;Wells Fargo Bank, N.A. vs. Donna D. Barthany, Individually and as Fiduciary to the Estate of Louise Mosley aka Willie Louise Mosley, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Louise Mosley aka Willie Louise Mosley, the place of residence of each being unknown, will take notice that on December 27, 2011, the undersigned, Wells Fargo Bank, N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $76,031.07, plus any sums advanced, with interest at 6.3750% per annum from June 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 545-21-098</p><p class="ssj">Situated in the City of Garfield Heights, County of Cuyahoga, and State of Ohio, and known as being Sublot No. 92 in the Woodward Blvd. Development No. 1 revised Subdivision of part of Original Independence Township Lot No. 1, East of the River, as shown by the recorded plat in Volume 151 of Maps, Page 18 of Cuyahoga County Records, and being 45 feet front on the Southerly side of Woodward Blvd. and extending back 116.19 feet on the Easterly line, 116.26 feet on the Westerly line, and having a rear line of 45 feet, as appears by said plat.</p><p class="ssj">Address: 13604 Woodward Blvd., Garfield Heights, Ohio 441</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 6th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A.</p><p class="bold">By Maria Divita and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5892</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5892</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">762851&mdash;Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. Elizabeth White, et al.</p><p class="ssj">Elizabeth White and James Doe, name unknown, spouse of Elziabeth White,  whose last known address is P.O. Box 21720, South Euclid, OH 44121, otherwise whose address is unknown, will take notice that on October 6, 2011, the undersigned, Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $82,210.63, plus any sums advanced, with interest at 6.8750% per annum from August 1, 2009, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 704-18-077</p><p class="ssj">Situated in the City of South Euclid, County of Cuyahoga, and State of Ohio: and known as being Sublot No. 81-A in a Re-Alltoment of Belvoir-Golf Allotment of part of Original Euclid Township Lot No. 65, Tract 2, as shown by the recorded plat in Volume 114 of Maps, Page 39 of Cuyahoga County Records and being 40 feet front on the Northerly side of Wyncote Road and extending back between parallel lines 137 feet deep, as appears by said plat, be the same more or less.</p><p class="ssj">Being all the same land and premises conveyed to Elizabeth White by George E. Harchuck in a General Warranty Deed executed 4/29/2008 and recorded 4/30/2008 in Document No. 200804300641 of Cuyahoga County, Ohio Land Records.</p><p class="ssj">12 Month Chain</p><p class="ssj">Being all and the same lands and premises conveyed to George E. Harchuck, by Mae Heiser in a Quitclaim Deed executed 8/16/2000 and recorded 8/16/2000 in Document No. 200008160771 of Cuyahoga County, Ohio Land Records.</p><p class="ssj">Address: 4177 Wyncote Rd., South Euclid, OH 44121</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 6th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Elizabeth A. Carullo and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/5893</link>
      <guid>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/5893</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2011 ADV 0173662&mdash;The Huntington Trust Company, N.A. as Trustee of the Isadore Sacks Trust under agreement dated April 20, 1982 vs. Congregation Kehillat Yaakov.</p><p class="ssj">Leukemia Research, Northern Ohio Chapter, whose last known address and present address are unknown; and B'Nai Brith Women's Council of Cleveland, whose last known address and present address are unknown, will take notice that on November 14, 2011, the undersigned, The Huntington Trust Company, N.A., as Trustee of The Isadore Sacks Trust under agreement dated April 20, 1982, filed its complaint in the Probate Court One Lakeside Avenue, N.W., of Cuyahoga County, Ohio, alleging that the Grantor died on October 7, 1982 at which point the Trust became irrevocable; that the Grantor had one child, namely Martin Sacks (&quot;Martin&quot;); that the Grantor provided a separate trust estate for Martin; that Martin died on May 18, 2011; that paragraph 5(c) of the Trust provides the following language: &quot;Upon the death of my son, the remaining principal of such trust estate shall be apportioned by the trustee among his lineal descendants who are then living, per stirpes&quot;; that Martin died with no lineal descendants; that paragraph 11(j) of the Trust provides the following language: &quot;if, upon the death of the beneficiary of any trust estate administered in accordance with Paragraph 1, 3, 4, 5 or 6 hereof, there should be no person living to whom the remaining principal of such trust estate and thereupon to be distributed, or for whose benefit such remaining principal is thereafter to be held, in accordance with the foregoing provisions of this instrument, such remaining principal, except to the extent that disposition thereof is made be exercise of any power of appointment created under the foregoing provisions of this instrument, shall be distributed to the organizations named in Subparagraph 2(d) hereof proportionately to the amounts set forth therein.&quot;; that Martin did not execute a power of appointment under the Trust; that Paragraph 2(d) of the Trust provides the following language: &quot;The Trustee shall distribute the following designated sums to the following named organizations, provided in each instance that such organization is then in existence:....&quot;.</p><p class="ssj">An issue has arisen concerning the intended meaning of the Grantor's use of &quot;named organizations, provided in each instance that such organizations is then in existence&quot; under Paragraph 2(d) of the Trust; that an issue has arisen concerning whether &quot;in existence&quot; includes organizations which were never legally formed, which have had articles of incorporation canceled, which have changed names, or which have successors-in-interest; that an issue has arisen concerning whether gifts allocated to an organizations &quot;not in existence&quot; fail under the terms of the Trust without substitution or whether a substituted beneficiary is required under the Doctrines of Cy Pres or Deviation; that Plaintiff is unwilling to make distributions of trust assets to the defendants without this Court issuing an order determining the appropriate construction Paragraph 2(d) of the Trust for purposes of distribution arising under Paragraph of 11(j).</p><p class="ssj">Plaintiff is unwilling to make distributions of trust assets to the appropriate Name Beneficiary-Defendants without this Court issuing an order determining which of the Named Beneficiary-Defendants is &quot;in existence&quot; so as to qualify as a current beneficiary of the Trust.</p><p class="ssj">Plaintiff prays that the Court enter an order as follows:</p><p class="ssj">(A) On Count I, an Order declaring the meaning and construction of Paragraph 2(d) of the Trust;</p><p class="ssj">(B) On Count I, an Order determining whether the term &quot;then&quot; applies at the Grantor's death or Martin's death for purposes of distributions arising under Paragraph of 11(j);</p><p class="ssj">(C) On Count I, an Order determining whether for purposes of the Trust the term &quot;in existence&quot; includes organizations which where never legally formed, which have had articles of incorporation canceled, which have changed names, or which have successors-in-interest;</p><p class="ssj">(D) On Count I, an Order determining whether the gift to an organization that is &quot;not in existence&quot; fails without substitution;</p><p class="ssj">(E) On Count II, an Order determining which of the Named Beneficiary-Defendants is &quot;in existence&quot; for purpose of the Trust; and</p><p class="ssj">(F) For such further relief as the Court may deem just and appropriate.</p><p class="ssj">The defendants named above are required to answer on or before the 27th day of March, 2012.</p><p class="ssj">THE HUNTINGTON TRUST COMPANY, N.A., AS TRUSTEE OF THE ISADORE SACKS TRUST UNDER AGREEMENT DATED APRIL 20, 1982.</p><p class="bold">By David W. Woodburn and Allan P. Sweet, Attorneys for Plaintiff.</p><p class="ssj">Jan24-31Feb7-14-21-28, 2012</p>]]></content:encoded>
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    <item>
      <title>Miscellaneous Legal Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticemisc/details/ref_index/5894</link>
      <guid>http://www.dln.com/noticemisc/details/ref_index/5894</guid>
      <content:encoded><![CDATA[<p class="bold ssc">BAILIFF'S SALE(Case No. 10-CVG-002943)</p><p class="ssj">The State of Ohio, County of Cuyahoga, City of Berea:</p><p class="bold">By virtue of an Execution duly issued from the Berea Municipal Court, and to me directed, in the action of Columbia-Brookpark Mgmt, LLC, Plaintiff, v. Irene Miller, I Tony Bialowas, Bailifff, shall offer for sale at public auction in courtroom 1 of the Berea Municipal Court, 11 Berea Commons, Berea, Ohio 44017, on the 29th day of February, 2012 at, 8:00 a.m. of said day, the mobile and/or manufactured home known as a 1984 Schult, Model 701, Title No. 1806617283 and located at 20 Sycamore Drive, Olmsted Township, Ohio 44138.</p><p class="ssj">A deposit of a certified check, payable to the Berea Municipal Court, or cash, for ten percent (10.00%) of the purchase price will be required at the time the bid is accepted.</p><p class="ssj">The Full purchase price shall be paid to the Berea Clerk of Courts within fourteen (14) days from the date of sale, and on failure to do so, the purchaser shall be adjudged in contempt of court.</p><p class="ssj">The mobile and/or manufactured home shall not be sold for less than two-thirds of its appraised value. Appraised at: $3,500.00.</p><p class="ssj">Tony Bialowas, Bailiff of the Berea Municipal Court.</p><p class="ssj">By: Gary Lieberman, Attorney for the Plaintiff.</p><p class="ssj">Jan24,25,26, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Miscellaneous Legal Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticemisc/details/ref_index/5895</link>
      <guid>http://www.dln.com/noticemisc/details/ref_index/5895</guid>
      <content:encoded><![CDATA[<p class="bold ssc">BAILIFF'S SALE(Case No. 10-CVG-001949)</p><p class="ssj">The State of Ohio, County of Cuyahoga, City of Berea:</p><p class="bold">By virtue of an Execution duly issued from the Berea Municipal Court, and to me directed, in the action of Columbia-Brookpark Mgmt, LLC, Plaintiff, v. Peter Boost, et al., Defendant, I Tony Bialowas, Bailifff, shall offer for sale at public auction in courtroom 1 of the Berea Municipal Court, 11 Berea Commons, Berea, Ohio 44017, on the 1st day of February, 2012 at, 8:00 a.m. of said day, the mobile and/or manufactured home known as a 1980 Schult, Model 1100, Vehicle Identification Number 172545AB, and located at 9 Kimberly Lane, Olmsted Township, Ohio 44138.</p><p class="ssj">A deposit of a certified check, payable to the Berea Municipal Court, or cash, for ten percent (10.00%) of the purchase price will be required at the time the bid is accepted.</p><p class="ssj">The Full purchase price shall be paid to the Berea Clerk of Courts within fourteen (14) days from the date of sale, and on failure to do so, the purchaser shall be adjudged in contempt of court.</p><p class="ssj">The mobile and/or manufactured home shall not be sold for less than two-thirds of its appraised value. Appraised at: $9,000.00.</p><p class="ssj">Tony Bialowas, Bailiff of the Berea Municipal Court.</p><p class="ssj">By: Gary Lieberman, Attorney for the Plaintiff.</p><p class="ssj">Jan24,25,26, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/5896</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/5896</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">761744&mdash;Treasurer of Cuyahoga County, Ohio vs. Ricardo Smith, et al.</p><p class="ssj">Ricardo Smith, whose last known place of residence is 6302 Fleet Avenue, Cleveland, OH 44105, otherwise whose place of residence is unknown; Unknown Spouse of Ricardo Smith, whose last known place of residence is 6302 Fleet Avenue, Cleveland, OH 44105, otherwise whose place of residence is unknown; Tara Smith, whose last known place of residence is 1525 East 123rd Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; Unknown Spouse of Tara Smith, whose last known place of residence is 1525 East 123rd Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; and Ronald Saddler, whose last known place of residence is 3171 East Derbyshire Road, Cleveland, OH 44118, otherwise whose place of residence is unknown, will take notice that on December 6, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his amended complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $2,388.24 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 120-14-071</p><p class="ssj">Parcel No. 1</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 50 in the Martin Dodge Subdivision of part of Original 100 Acre Lot No. 388, as shown by the recorded plat in Volume 17 of Maps, Page 16 of Cuyahoga County Records and being 48.70 feet front on the Northeasterly side of East 123rd Street (formerly McKinley Street) and extending back 109.96 feet on the Northeasterly line, 120 feet on the Southeasterly line and having a rear line of 7.97 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssc">Parcel No. 2</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being part of Sublot No. 48 in the Martin Dodge Subdivision of part of Original 100 Acre Lot No. 388, as shown by the recorded plat in Volume 17 of Maps, Page 16 of Cuyahoga County Records and bounded and described as follows:</p><p class="ssj">Beginning at the most Westerly corner of Sublot No. 48;</p><p class="ssj">Thence Northeasterly along the Northwesterly line of said Sublot No. 48, 40 feet to the most Northerly corner thereof;</p><p class="ssj">Thence Southeasterly along the Northeasterly line of said Sublot No. 48, 14 feet;</p><p class="ssj">Southwesterly to the place of beginning, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 6th day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/5897</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/5897</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767127&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Vivian E. Watson, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Vivian E. Watson, the place of residence of each being unknown, will take notice that on October 19, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $657.40 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 139-04-135</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being part of Original Warrensville Township Lot Nos. 51 and 61 and bounded and described as follows: Beginning on the Easterly line of East 142nd Street (formerly Elm Street) at a point 3820.24 feet Southerly (measured along said Easterly line) from its point of intersection with the Southerly line of Kinsman Road, SE; thence Southerly along said Easterly line of East 142nd Street, 60 feet; thence Easterly on a line at right angles with said last described line, 111 69/100 feet to the Westerly line of Kinsman Allotment of part of Original Warrensville Township Lot Nos. 51 and 61, as shown by the recorded plat in Volume 40 of Maps, Page 9 of Cuyahoga County Records; thence Northerly along said Westerly line, 60 feet; thence Westerly 111 69/100 feet to the place of beginning and being further known as part of Sublot No. 198 and all of Sublot No. 197 in proposed addition to Kinner Allotment of part of Original Warrensville Township Lot Nos. 51 and 61, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 6th day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/5898</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/5898</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">764892&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Roberto Ocasio, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Roberto Ocasio, the place of residence of each being unknown, will take notice that on September 21, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $238.79 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 007-08-088</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being a part of Sublot Nos. 939 and 940 in Barber and Lord's Subdivision of part of Original Brooklyn Township Lots Nos. 51, 52, 69 and 70, as shown by the recorded plat of said Subdivision in Volume 11 of Maps, Page 26 of Cuyahoga County Records, and is further described as follows: Beginning at a stake in the Northerly line of Hancock Avenue, S.W., at a point 31 feet Easterly on said line from the Easterly line of Fulton Road, S.W.; Thence Northerly parallel with the Easterly line of Fulton Road S.W. 70 feet to a stake; Thence Easterly parallel with the Northerly line of Hancock Avenue, S.W., 31 feet 2 1/4 inches to a stake; Thence Southerly parallel with the Easterly line of Fulton Road, S.W., 70 feet to the Northerly line of Hancock Avenue, S.W.; Thence Westerly along the Northerly line of Hancock Avenue, S.W., 31 feet 2 1/4 inches to the place of beginning, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 6th day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/5899</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/5899</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">761842&mdash;Treasurer of Cuyahoga County, Ohio vs. Tyrone Greathouse, et al.</p><p class="ssj">Tyrone Greathouse, whose last known place of residence is 12417 Maple Avenue, Cleveland, OH 44108, otherwise whose place of residence is unknown; Unknown Spouse of Tyrone Greathouse, whose last known place of residence is 12417 Maple Avenue, Cleveland, OH 44108, otherwise whose place of residence is unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Cynthia Greathouse, the place of residence of each being unknown, will take notice that on August 12, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $4,303.56 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 111-16-199</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 13, in Efros and Witt's Forest Park Allotment of part of Original 100 Acre Lot No. 358, as shown by the recorded plat in Volume 58 of Maps, Page 30 of Cuyahoga County Records, as appears by said plat, be the same more or less.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 6th day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5900</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5900</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004521&mdash;Treasurer of Cuyahoga County, Ohio vs. Curley B. Jackson, et al.</p><p class="ssj">Bankers Trust Company, as Trustee, whose last known address is 3 Park Plaza, Irvine, CA 92614, otherwise whose address is unknown, will take notice that on August 9, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $5,745.27 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 115-13-053</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being Sublot No. 34 in the Ambler Realty Company's East 148th Street Allotment of part of Original Euclid Township Lot Nos. 1 and 2, Tract No. 10, as shown by the recorded plat in Volume 48 of Maps, Page 11 of Cuyahoga County Records, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5901</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5901</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004606&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of James Porch Sr., deceased, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of James Porch Sr., deceased, the place of residence of each being unknown, will take notice that on August 24, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $546.28 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 111-21-004</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 33 in The Glenhaven Subdivision of part of Original One Hundred Acre Lot No. 359, as shown by the recorded plat in Volume 38 of Maps, Page 8 of Cuyahoga County Records and being 40 feet front on the southerly side of Coit Road, N.E. and extending back of equal width 120 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5902</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5902</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004916&mdash;Treasurer of Cuyahoga County, Ohio vs. W.C. Edwards, et al.</p><p class="ssj">W.C. Edwards, whose last known place of residence is 991 Maud Avenue, Cleveland, OH 44103, otherwise whose place of residence is unknown; and Unknown Spouse of W.C. Edwards, whose last known place of residence is 991 Maud Avenue, Cleveland, OH 44103, otherwise whose place of residence is unknown, will take notice that on November 16, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $2,035.80 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 107-03-084</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being all of Sublot No. 59 and the Northerly 5 feet of Sublot No. 60 in W.H. Lawrence's Subdivision of part of Original 100 Acre Lots Nos. 367 and 375, as shown by the recorded plat in Volume 15 of Maps, Page 2 of Cuyahoga County Records, together forming a parcel of land 35 feet front on the Easterly side of Maude Avenue, and extending back of equal width 110.00 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $425.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/5924</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/5924</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175194&mdash;In re: Estate of Mary Jane Canfield, deceased.</p><p class="ssj">Unknown creditors of the Estate of Mary Jane Canfield, deceased, the address of each being unknown, will take notice that on January 18, 2012, the undersigned, Stephen H. Canfield, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Mary Jane Canfield, deceased, late of Cleveland Heights, Ohio, who died November 16, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 1st day of March, 2012, at 10:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">STEPHEN H. CANFIELD,</p><p class="ssc">Applicant.</p><p class="bold"> Nancy F. Patete, Attorney.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/5925</link>
      <guid>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/5925</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice </p><p class="bold">2011 EST 0173971&mdash;In Re: Estate of Dale Williams, deceased.</p><p class="ssj">Clyde Bolton, whose place of residence is unknown, will take notice that on December 29, 2011, the undersigned, Denise Williams, Fiduciary of the Estate of Dale Williams, deceased, filed an application in the Probate Court of Cuyahoga County, Ohio, to approve a wrongful death settlement or distribution; that Denise Williams has received an offer of settlement for damages for decedent's wrongful death in the amount of $750,000.00, and asks the Court for reasonable attorney fees for services with respect to the wrongful death action, to be paid out of the proceeds of the settlement judgment as further set forth in the application.</p><p class="ssj">Said application is ordered set for hearing on the 22nd day of February, 2012, at 2:30 p.m., or as soon thereafter as the Court may hear the same.</p><p class="bold">By Allison M. McMeechan, Attorney for Denise Williams, Fiduciary.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5928</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5928</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771842&mdash;Fifth Third Bank of Northeastern Ohio vs. Dorothie M. Haygood, et al.</p><p class="ssj">Reed Elevator, In., whose last known address and present address are unknown, will take notice that on December 20, 2011, the undersigned, Fifth Third Bank of Northeastern Ohio, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 735-23-014</p><p class="ssj">Address: 16314 Scottsdale Boulevard, Shaker Heights, OH 44120</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further says that through inadvertence and error, the legal description on said Mortgage Deed failed to set forth the full legal description of the property to be encumbered; but that it was the intention of the parties at the time of the execution of the Mortgage Deed to transfer to the Plaintiff all interest that the Decedent, Sebraien M. Haygood and Defendant Dorothie Haygood, had in and to the real property, whose full legal description is described above.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 7th day of March, 2012.</p><p class="ssj">FIFTH THIRD BANK OF NORTHEASTERN OHIO.</p><p class="bold">By Erin R. O'Malley, Attorney for Plaintiff.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5929</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5929</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771418&mdash;Wells Fargo Bank, N.A. vs. Ardies C. Peeples aka Ardis C. Peeples, et al.</p><p class="ssj">Ardies C. Peeples aka Ardis C. Peeples and John Doe, name unknown, spouse of Ardies C. Peeples aka Ardis C. Peeples, whose last known place of residence is 36950 Pepper Drive, Solon, OH 44139, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Ardies C. Peeples, the place of residence of each being unknown, will take notice that on December 15, 2011, the undersigned, Wells Fargo Bank, N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $48,208.16, plus any sums advanced, with interest at 6.8750% per annum from August 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 143-15-064</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio, and known as being part of Original Warrensville Township Lot No. 92, and bounded and described as follows:</p><p class="ssj">Beginning on the Northerly line of Original Lot No. 92 at its point of intersection with the Westerly line of East 174th Street (40 feet wide) (now dedicated and accepted by the City of Cleveland by Ordinance No. 403-A-48, dated August 23, 1948,) thence Southerly along said Westerly line of East 174st Street, 447.85 feet, to the principal place of beginning; thence Westerly at right angles to the last described line, 120 feet; thence Southerly and parallel to the Westerly line of East 174th, 40 feet; thence Easterly at right angles to the last described line, 120 feet to the Westerly line of East 174th Street; thence Northerly along the Westerly line of East 174th Street; 40 feet to the principal place of beginning, and being further known as Sublot No. 868 in C. A. Bingham's Lee Heights Addition Allotment proposed be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 4620 East 174th Street, Cleveland, OH 44128</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the mortgage executed by the defendant, Ardies C. Peeples aka Ardis C. Peeples, and delivered by her to the plaintiff contained an incorrect legal description, in the words &quot;447.95 feet&quot; should read &quot;447.85 feet&quot;.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, plaintiff is entitled to have the above described mortgage reformed so as to have the appropriate legal description as hereinabove set forth; and plaintiff is further entitled to an order of this Court decreeing that the property as described above be sold by the Sheriff of this County at Sheriff's Sale.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 7th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A.</p><p class="bold">By Jennifer A. Baughman and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
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      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5930</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5930</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">752172&mdash;Wells Fargo Bank, N.A. successor by merger to Wells Fargo Home Mortgage, Inc. vs. Barry J. Sloan, et al.</p><p class="ssj">Barry J. Sloan, whose last known place of residence is 3507 West 123rd Street, Cleveland, OH 44111, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Barry J. Sloan, the place of residence of each being unknown, will take notice that on December 13, 2011, the undersigned, Wells Fargo Bank, N.A. successor by merger to Wells Fargo Home Mortgage, Inc., filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $76,302.80, plus any sums advanced, with interest at 6.0000% per annum from March 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 018-02-134</p><p class="ssj">Situated in the City of  Cleveland, County of Cuyahoga and State of Ohio:</p><p class="ssj">And known as being Sublot No. 414 in the Crawford Company's Subdivision No. 1 of part of Original Rockport Township Section No. 11 as shown by the recorded plat in Volume 60 of Maps, Page 8 of Cuyahoga County Records and being 35 feet on the Easterly side of West 123rd Street and extending back of equal width 105 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 3507 West 123rd Street, Cleveland, OH 44111</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 7th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A. SUCCESSOR BY MERGER TO WELLS FARGO HOME MORTGAGE, INC.</p><p class="bold">By Christopher J. Mantica and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5931</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5931</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">766956&mdash;CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc. vs. William Fisher, et al.</p><p class="ssj">Kimberly S. Fisher and John Doe, name unknown, spouse of Kimberly A. Fisher, whose last known place of residence is 20771 Woodstock Avenue, Fairview Park, OH 44126, otherwise whose place of residence is unknown, will take notice that on October 18, 2011, the undersigned, CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $109,771.97, plus any sums advanced, with interest at 5.2500% per annum from June 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 323-25-146</p><p class="ssj">Situated in the City of Fairview Park, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And further described as follows: And known as being Sublot No. 97 in the Lorain Woods Allotment of part of Original Rockport Township Section No. 14, as shown by the recorded plat in Volume 75 of Maps, Page 1 of Cuyahoga County Records and being 40 feet front on the Southerly side of Woodstock Avenue, and extending back between parallel lines 220.45 feet as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 20771 Woodstock Avenue, Fairview Park, Ohio 44126</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 7th day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC. SUCCESSOR BY MERGER TO ABN AMRO MORTGAGE GROUP, INC.</p><p class="bold">By Jennifer N. Heller and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5932</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5932</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">772428&mdash;U.S. Bank National Association vs. Brooke Akins, et al.</p><p class="ssj">Brooke Akins, whose last known place of residence is 14416 Montrose Avenue, Cleveland, OH 44111, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Brooke Akins, the place of residence of each being unknown, will take notice that on December 30, 2011, the undersigned, U.S. Bank National Association, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $92,758.90, plus any sums advanced, with interest at 5.2700% per annum from May 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 024-25-041</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being Sublot No. 42 in the S. H. Kleinman Realty Companys Claridge Subdivision, of part of Original Rockport Township, Section 19, as shown by the recorded plat in Volume 63 of Maps, Page 2 of Cuyahoga County Records, and being 40 feet front on the northeasterly side of Montrose Road, N.W., and extending back of equal width 120.00 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 14416 Montrose Avenue, Cleveland, OH 44111</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 7th day of March, 2012.</p><p class="ssj">U.S. BANK NATIONAL ASSOCIATION.</p><p class="bold">By Tina R. Edmondson and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
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      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5933</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5933</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">754070&mdash;National Credit Union Administration Board vs. Joseph W. Urbanick, et al.</p><p class="ssj">Janet S. Urbanick, whose last known place of residence is 174 Main Street, Painesville Township, Ohio 44077, otherwise whose place of residence is unknown, will take notice that on April 28, 2011, the undersigned, National Credit Union Administration Board, as Liquidating Agent for St. Paul Croatian Federal Credit Union, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 398-10-008</p><p class="ssj">Address: 13916 Blackberry Circle, Strongsville, OH 44136</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 7th day of March, 2012.</p><p class="ssj">NATIONAL CREDIT UNION ADMINISTRATION BOARD, AS LIQUIDATING AGENT FOR ST. PAUL CROATIAN FEDERAL CREDIT UNION.</p><p class="bold">By Robert E. Goff, Jr and Matthew C. Miller, Attorneys for Plaintiff.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
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      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/5934</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/5934</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">763229&mdash;Treasurer of Cuyahoga County, Ohio vs. Nicole Fletcher, et al.</p><p class="ssj">John G. Gardner, whose last known place of residence is 1917 Penrose Avenue, Cleveland, OH 44112, otherwise whose place of residence is unknown, will take notice that on August 31, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $1,245.39 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 120-33-053</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 99 in the Cody, Hills and Spencer Subdivision of part of Original One Hundred Acre Lots Nos. 389 and 397, as shown by the recorded plat in Volume 18 of Maps, Page 16 of Cuyahoga County Records, as appears by said plat.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 7th day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
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      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5935</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5935</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 003604&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Anna E.M. Seals, deceased, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Anna E.M. Seals, deceased, the place of residence of each being unknown; Carmella Seals, whose last known place of residence is 3201 Clinton Avenue, Cleveland, OH 44113, otherwise whose place of residence is unknown; Unknown Spouse of Carmella Seals, whose last known place of residence is 3201 Clinton Avenue, Cleveland, OH 44113, otherwise whose place of residence is unknown; Darnell Seals, whose last known place of residence is 625 Elbon Street, Akron, OH 44306, otherwise whose place of residence is unknown; and Unknown Spouse of Darnell Seals, whose last known place of residence is 625 Elbon Street, Akron, OH 44306, otherwise whose place of residence is unknown, will take notice that on January 21, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $693.14 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 118-34-089</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being Sublot No. 20 in Fenton, Robinson and Rose's Subdivision of part of Original 100 Acre Lot No. 336, as shown by the recorded plat in Volume 4 of Maps, Page 45 of Cuyahoga County Records, and being 40 feet front on the Westerly side of East 76th Street (formerly Brooker Avenue), 166 feet 1/2 inches deep on the Northerly line, 166 feet deep on the Southerly line, and 40 feet wide in the rear as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
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      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5936</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5936</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 003661&mdash;Treasurer of Cuyahoga County, Ohio vs. Alex M. Thompson, et al.</p><p class="ssj">Unknown Spouse of Alex M. Thompson, whose last known place of residence is 6609 Tamarind, Bedford Heights, OH 44146, otherwise whose place of residence is unknown, will take notice that on February 2, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,922.75 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 137-14-049</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 359 in the Union Rice Subdivision No. 2 of part of Original 100 Acre Lot No. 452, as shown by the recorded plat in Volume 64 of Maps, Page 26 of Cuyahoga County Records, and being 35 feet front on the Southerly side of Farringdon Avenue, S.E., and extending back of equal width 145 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
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    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5937</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5937</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004882&mdash;Treasurer of Cuyahoga County, Ohio vs. Robert Lee Smith, Personally, etc., et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Rosie Lee Smith, deceased, the place of residence of each being unknown, will take notice that on November 9, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $2,605.73 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 112-24-154</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being the Easterly 40 feet of Sublot No. 25 in Caroline McIlrath's Subdivision of part of Original Euclid Township Tract No. 16, as shown by the recorded plat in Volume 22 of Maps, Page 2 of Cuyahoga County Records, and being 40 feet front on the Southerly side of Thames Avenue, N.E., (formerly Thames Street) and extending back between parallel lines 140 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $439.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
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    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5938</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5938</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 003606&mdash;Treasurer of Cuyahoga County, Ohio vs. Joseph W. Stephens, et al.</p><p class="ssj">Everette Stephens, whose last known place of residence is 3923 East 75th Street, Cleveland, OH 44105, otherwise whose place of residence is unknown; Winifred Stephens, whose last known place of residence is 3923 East 75th Street, Cleveland, OH 44105, otherwise whose place of residence is unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Winifred Stephens, deceased, the place of residence of each being unknown, will take notice that on January 21, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $2,099.83 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 125-02-148</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being the Southerly 85 1/4 feet of Sublot No. 42 in W.C. Scofield's Subdivision of part of Original One Hundred Acre Lot Nos. 325 &amp; 328, as shown by the recorded plat of said Subdivision in Volume 5 of Maps, Page 54 of Cuyahoga County Records. Said part of Sublot No. 42 has a frontage of 50 feet on the Northerly side of Francis Avenue, S.E., and extends back between parallel lines 85 1/4 feet along the Easterly side of East 59th Street, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5939</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5939</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004095&mdash;Treasurer of Cuyahoga County, Ohio vs. Burlon Huguley, et al.</p><p class="ssj">Burlon Huguley, whose last known place of residence is 9522 Holton Avenue, Cleveland, OH 44104, otherwise whose place of residence is unknown; Unknown Spouse of Burlon Huguley, whose last known place of residence is 9522 Holton Avenue, Cleveland, OH 44104, otherwise whose place of residence is unknown; and Mary Ann Huguley, whose last known place of residence is 9522 Holton Avenue, Cleveland, OH 44104, otherwise whose place of residence is unknown, will take notice that on October 6, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his amended complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $10,104.97 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 126-37-003</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being the Northerly 80 feet of A.P. Winslow and C.O. Sharpe's Allotment of part of Original 100 Acre Lot Nos. 422 and 425 as shown by the recorded plat in Volume 5 of Maps, Page 47 of Cuyahoga County Records and being 40 feet front on the Southerly side of Holton Avenue, S.E., and extending back of equal width 80 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $480.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5940</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5940</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004743&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Michael Anderson, a.k.a. etc., et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Michael Anderson, a.k.a. Michael Gregory Anderson Jr., a.k.a. Miquail Gregorio Anderson, deceased, the place of residence of each being unknown; Jamielle Clemens, whose last known place of residence is 1928 Wager Road, Erie, PA 16509, otherwise whose place of residence is unknown; Unknown Spouse of Jamielle Clemens, whose last known place of residence is 1928 Wager Road, Erie, PA 16509, otherwise whose place of residence is unknown; Lalir Dillon, whose last known place of residence is 2335 Allison Road, Cleveland, OH 44118, otherwise whose place of residence is unknown; unknown Spouse of Lalir Dillon, whose last known place of residence is 2335 Allison Road, Cleveland, OH 44118, otherwise whose place of residence is unknown; Stefan Dillon, whose last known place of residence is 2335 Allison Road, Cleveland, OH 44118, otherwise whose place of residence is unknown; and Unknown Spouse of Stefan Dillon, whose last known place of residence is 2335 Allison Road, Cleveland, OH 44118, otherwise whose place of residence is unknown, will take notice that on September 26, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $252.43 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 105-33-170</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 81 in W.J. Crawford's Subdivision of part of Original 100 Acre Lot No. 345, as shown by the recorded plat in Volume 21 of Maps, Page 29 of Cuyahoga County Records, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5941</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5941</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004722&mdash;Treasurer of Cuyahoga County, Ohio vs. Herbert Anderson, et al.</p><p class="ssj">Herbert Anderson, whose last known place of residence is 618 Avenue D, Highlands, TX 77562, otherwise whose place of residence is unknown, will take notice that on September 16, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,182.62 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 681-03-019</p><p class="ssj">Situated in the City of Cleveland Heights, County of Cuyahoga and State of Ohio: And known as being Sublot No. 305 in the Nela Overlook Land Company's Subdivision of part of Original Euclid Township Lot Nos. 11 and 12, as shown by the recorded plat in Volume 55 of Maps, Page 1 of Cuyahoga County Records and being 90.84 feet front on the Northerly side of Winsford Road, 65.55 feet on the curve turnout between the Northerly line of Winsford Road and the Westerly line of Helmsdale Road and extending back 120.01 feet on the Northerly line, and 67.36 feet on the Westerly line, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5942</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5942</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004403&mdash;Treasurer of Cuyahoga County, Ohio vs. Hough Area Development Corp., et al.</p><p class="ssj">Hough Area Development Corp., whose last known address is 7816 Hough Avenue, Cleveland, OH 44103, otherwise whose address is unknown, will take notice that on July 26, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $2,150.68 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 107-16-129</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being Sublot Number 112 in W.J. Crawford and James Parmelee's Subdivision of part of Original 100 Acre Lot Number 392, as shown by the recorded plat in Volume 14 of Maps, Page 19 of Cuyahoga County Records and forming a parcel of land bounded and described as follows:</p><p class="ssj">Beginning in the Southerly line of Meridian Avenue N.E. (50 feet wide), at the Northwesterly corner of said Sublot Number 112; thence North 89 deg. -56' -25&quot; East, along said Southerly line of Meridian Avenue N.E., 40.01 feet to the Northeasterly corner of said Sublot Number 112; thence South 0 deg. -05' -07&quot; West, along the Easterly line of said Sublot Number 112, 121.52 feet to the Southeasterly corner thereof; thence North 82 deg. -12' -10&quot; West, along the Southerly line of said Sublot Number 112, 40.32 feet to the Southwesterly corner thereof; thence North 0 deg. -03' 32&quot; East, along the Westerly line of said Sublot Number 112, 116.00 feet to the place of beginning according to a survey dated December, 1968 by the City of Cleveland, Department of Public Service, Division of Engineering and Construction, Plats and Surveys, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan25Feb1-8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/5952</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/5952</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175178&mdash;In re: Estate of James Kent Jordan, III, deceased.</p><p class="ssj">Unknown creditors of the Estate of James Kent Jordan, III, deceased, the address of each being unknown, will take notice that on January 18, 2012, the undersigned, Anges L. Jordan, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of James Kent Jordan, deceased, late of Shaker Heights, Ohio, who died December 18, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 2nd day of March, 2012, at 9:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">AGNES L. JORDAN,</p><p class="ssj">Applicant.</p><p class="ssj">Jan25Feb1-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/5953</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/5953</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175221&mdash;In re: Estate of M. Dorothy Sanoba o.w. etc., deceased.</p><p class="ssj">Unknown creditors of the Estate of M. Dorothy Sanoba o.w. Mary Dorothy Sanoba o.w. Mary D. Wintgens, deceased, the address of each being unknown, will take notice that on January 19, 2012, the undersigned, Edward P. Sanoba, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of M. Dorothy Sanoba o.w. Mary Dorothy Sanoba o.w. Mary D. Wintgens, deceased, late of Maple Heights, Ohio, who died October 5, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 2nd day of March, 2012, at 9:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">EDWARD P. SANOBA,</p><p class="ssc">Applicant.</p><p class="bold">, Joseph K. Rosalina, Attorney</p><p class="ssj">Jan25Feb1-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/5954</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/5954</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175234&mdash;In re: Estate of Harry F. Beck, deceased.</p><p class="ssj">Unknown creditors of the Estate of Harry F. Beck, deceased, the address of each being unknown, will take notice that on January 19, 2012, the undersigned, Sean K. Beck, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Harry F. Beck, deceased, late of Westlake, Ohio, who died December 6, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 8th day of March, 2012, at 9:45 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">SEAN K. BECK,</p><p class="ssc">Applicant.</p><p class="ssj">Jan25Feb1-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/5955</link>
      <guid>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/5955</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice </p><p class="bold">2006 EST 118304&mdash;In Re: Estate of Charles A. Adams, deceased.</p><p class="ssj">Charles A. Adams, whose place of residence is unknown, will take notice that on January 19, 2012, the undersigned, Zenobien Adams, Fiduciary of the Estate of Charles A. Adams, deceased, filed a third partial application in the Probate Court of Cuyahoga County, Ohio, to approve a wrongful death settlement or distribution; that Zenobien Adams has received an offer of settlement for damages for decedent's wrongful death in the amount of $3,200.00, and asks the Court for reasonable attorney fees for services with respect to the wrongful death action, to be paid out of the proceeds of the settlement judgment as further set forth in the application.</p><p class="ssj">Said application is ordered set for hearing on the 12th day of March, 2012, at 2:00 p.m., or as soon thereafter as the Court may hear the same.</p><p class="bold">By Thomas M. Wilson, Attorney for Zenobien  Adams, Fiduciary.</p><p class="ssj">Jan25Feb1-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Corporate Dissolution Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedissolutions/details/ref_index/5956</link>
      <guid>http://www.dln.com/noticedissolutions/details/ref_index/5956</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF DISSOLUTION OF CORPORATION</p><p class="ssj">TO WHOM IT MAY CONCERN :</p><p class="ssj">Notice is hereby given on the 11th day of May, 2010, ProMedica Health, Education and Research Corporation Foundation by virtue of a resolution adopted at a special meeting (or, as the case may be, &quot;written consent to dissolution, signed by all&quot;) of the board of trustees of ProMedica Health System, Inc., the corporation's sole member, agreed to dissolve and completely wind up the corporation's affairs, and that a certificate to that effect has been filed in the office of the secretary of State at Columbus, Ohio, under date of December 31, 2011.</p><p class="bold">By order of trustees of</p><p class="ssj">ProMedica Health System, Inc.</p><p class="ssj">Jan25Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5962</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5962</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767537&mdash;Bank of America, N.A. Successor by Merger to BAC Home Loans Servicing, L.P. fka Countrywide Home Loans Servicing, L.P. vs. Winson Williams, Sr., Individually and as Executor of the Estate of Sabrina Williams, deceased, et al.</p><p class="ssj">John Doe and/or Jane Doe, real names unknown, the Unknown Heirs, Devisees, Legatees, Executors, Administrators and Assigns of Sabrina Williams, deceased, the place of residence of each being unknown, will take notice that on October 25, 2011, the undersigned, Bank of America, N.A. Successor by Merger to BAC Home Loans Servicing, L.P. fka Countrywide Home Loans Servicing, L.P., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 109-12-047</p><p class="ssj">Address: 10531 Greenlawn Ave., Clevleand, Ohio 44108-3042</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 8th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, L.P. FKA COUNTRYWIDE HOME LOANS SERVICING, L.P.</p><p class="bold">By Richard J. Feuerman, Attorney for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5963</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5963</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">766013&mdash;Third Federal Savings and Loan Association of Cleveland vs. Young Su Ki, et al.</p><p class="ssj">Young Su Ki and Jung Hee Ki,  whose last known addresses are 12937 Ridge Creek Road, Strongsville, OH 44136 and Bilyoung I GIL 8-2, #105, Jeju City (Capital), South Korea, Island of Jeju-Do, otherwise whose address is unknown, will take notice that on October 6, 2011, the undersigned, Third Federal Savings and Loan Association of Cleveland, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $102,180.65, plus any sums advanced, with interest at 5.7% per annum from May 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 396-13-024</p><p class="ssj">Address: 12937 Ridge Creek Dr., Strongsville, Ohio 44136-4401</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 8th day of March, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS AND LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By James L. Sassano, Attorney for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5964</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5964</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768946&mdash;Bank of America, N.A., successor by merger with BAC Home Loans Servicing, L.P. fka Countrywide Home Loans Servicing, L.P. vs. Andrzej R. Skotnicki, et al.</p><p class="ssj">Andrzej R. Skotnicki and Jane Doe, real name unknown, The Unknown Spouse, if any, of Andrzej R. Skotnicki, whose last known place of residence is 5549 Windrush Court, Unit D, Parma, OH 44134, otherwise whose place of residence is unknown, will take notice that on November 20, 2011, the undersigned, Bank of America, N.A. successor by merger with BAC Home Loans Servicing, L.P. fka Countrywide Home Loans Servicing, L.P., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $82,064.20, plus any sums advanced, with interest at 6.0% per annum from August 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 445-12-474</p><p class="ssj">Address: 5549 Windrush Court, Unit D, Parma, Ohio 44134</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 8th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER WITH BAC HOME LOANS SERVICING, L.P. FKA COUNTRYWIDE HOME LOANS SERVICING, L.P.</p><p class="bold">By James L. Sassano, Attorney for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5965</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5965</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769453&mdash;RBS Citizens, N.A., Successor by Merger with Charter One Bank, N.A. vs. John L. Williams II, et al.</p><p class="ssj">John L. Williams II and Latisa Williams, whose last known place of residence is 10729 Columbia Ave., Cleveland, OH 44108, otherwise whose place of residence is unknown; Collins Financial Services,  whose last known address is 2101 West Ben White Boulevard, #103, Austin, TX 78704, otherwise whose address is unknown, will take notice that on November 17, 2011, the undersigned, RBS Citizens, N.A., Successor by Merger with Charter One Bank, N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $40,247.46, plus any sums advanced, with interest at 7.50% per annum from May 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 109-13-089</p><p class="ssj">Address: 10729 Columbia Ave., Cleveland, OH 44108</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 8th day of March, 2012.</p><p class="ssj">RBS CITIZENS, N.A., SUCCESSOR BY MERGER WITH CHARTER ONE BANK, N.A.</p><p class="bold">By Richard J. Feuerman, Attorney for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5966</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5966</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769702&mdash;Bank of America, N.A. successor by merger to BAC Home Loans Servicing, L.P. fka Countrywide Home Loans Servicing, L.P. vs. Marva L. Davis, et al.</p><p class="ssj">Marva L. Davis and John Doe, real name unknown, the Unknown Spouse, if any, of Marva L. Davis, whose last known place of residence is 5815 Madison Ave., Cleveland, OH 44102, otherwise whose place of residence is unknown, will take notice that on November 21, 2011, the undersigned, Bank of America, N.A. successor by merger to BAC Home Loans Servicing, L.P. fka Countrywide Home Loans Servicing, L.P., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 002-27-087</p><p class="ssj">Address: 5815 Madison Avenue, Cleveland, Ohio 44102</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 8th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, L.P. FKA COUNTRYWIDE HOME LOANS SERVICING, L.P</p><p class="bold">By James L. Sassano, Attorney for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5967</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5967</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768945&mdash;Bank of America, N.A. Successer by merger with BAC Home Loans Servicing, L.P. fka Countrywide Home Loans Servicing, L.P. vs. Sandra L. Baker, et al.</p><p class="ssj">United Companies Lending Corporation,  whose last known address is 4041 Essen Lake, 4th Floor, Baton Rouge, LA 70809, otherwise whose address is unknown, will take notice that on November 10, 2011, the undersigned, Bank of America, N.A. Successer by merger with BAC Home Loans Servicing, L.P. fka Countrywide Home Loans Servicing, L.P., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 108-25-089</p><p class="ssj">Address: 474 E. 110th St., Cleveland, Ohio 44108-1401</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 8th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSER BY MERGER WITH BAC HOME LOANS SERVICING, L.P. FKA COUNTRYWIDE HOME LOANS SERVICING, L.P.</p><p class="bold">By James L. Sassano, Attorney for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5968</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5968</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">770431&mdash;FirstMerit Mortgage Corporation vs. Moises Torres, et al.</p><p class="ssj">Julio C. Castro, whose last known place of residence is 3724 Woburn, Cleveland, OH 44109, otherwise whose place of residence is unknown, will take notice that on December 1, 2011, the undersigned, FirstMerit Mortgage Corporation formerly known as First National Bank of Ohio, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 014-14-152</p><p class="ssj">Address: 3724 Woburn Ave., Cleveland, OH 44109</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 8th day of March, 2012.</p><p class="ssj">FIRSTMERIT MORTGAGE CORPORATION FORMERLY KNOWN AS FIRST NATIONAL BANK OF OHIO.</p><p class="bold">By Richard J. Feuerman, Attorney for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5969</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5969</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">770060&mdash;The Bank of New York Mellon, as Trustee for CIT Mortgage Loan Trust 2007-1 vs. Peggy M. Lapidus, et al.</p><p class="ssj">Peggy M. Lapidus, whose last known place of residence is 37475 Hunters Ridge Road, Solon, OH 44139, otherwise whose place of residence is unknown; Leonard N. Lapidus, whose last known place of residence is 37475 Hunters Ridge Road, Solon, OH 44139, otherwise whose place of residence is unknown, will take notice that on November 28, 2011, the undersigned, The Bank of New York Mellon, as Trustee for CIT Mortgage Loan Trust 2007-1 c/o Vericrest Financial, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $210,386.17, plus any sums advanced, with interest at 4% per annum from June 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 955-02-111</p><p class="ssj">Address: 37475 Hunters Ridge Road, Solon, Ohio 44139</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 8th day of March, 2012.</p><p class="ssj">THE BANK OF NEW YORK MELLON, AS TRUSTEE FOR CIT MORTGAGE LOAN TRUST 2007-1 C/O VERICREST FINANCIAL, INC.</p><p class="bold">By John E. Codrea, David B. Bokor, Matthew P. Curry and Kristan A. Prill, Attorneys for Plaintiff. Manley Deas Kochalski, LLC, P.O. Box 165028, Columbus, OH 43216. (614) 222-4921.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5970</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5970</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">724001&mdash;Financial Freedom Acquisitions LLC vs. Mary M. Wilcox, et al.</p><p class="ssj">John Doe, Unknown Spouse, if any, of Mary M. Wilcox, whose last known place of residence is 8413 Bernice Drive, Strongsville, Ohio 44149-1022, otherwise whose place of residence is unknown; The unknown Heirs at Law or Under the Will, if any, of Mary M. Wilcox, deceaaed, the place of residence of each being unknown, will take notice that on April 13, 2010, the undersigned, Financial Freedom Acquisitions LLC, filed its complaint and on December 27, 2010 filed its amended complaint and on March 29, 2011 filed its second amended complaint and on November 22, 2011 filed its third amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 391-04-101</p><p class="ssj">Address: 8413 Bernice Drive, Strongsville, OH 44149</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Substitute Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Substitute Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of Substitute Plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 8th day of March, 2012.</p><p class="ssj">FINANCIAL FREEDOM ACQUISITIONS LLC.</p><p class="bold">By Edward G. Bohnert and Douglas A. Haessig, Attorneys for Substitute Plaintiff. Reimer, Arnovitz, Chernek &amp; Jeffrey Co., L.P.A., P.O. Box 968, Twinsburg, Ohio 44087, (330) 425-4201.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5971</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5971</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">742622&mdash;Third Federal Savings &amp; Loan Association of Cleveland vs. Sam Zizis, et al.</p><p class="ssj">The Unknown Heirs, Devisees, their Spouses and Creditors, Legatees and the Fiduciary of the Estate, and Spouse and Creditors, of Emmanuel Zizis, deceased and Emmanuel Zizis, the place of residence of each being unknown, will take notice that on January 13, 2012, the undersigned, Third Federal Savings &amp; Loan Association of Cleveland, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 451-41-009</p><p class="ssj">Address: 1001-1003 East Ridgewood Drive, Parma, Ohio 44131</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 8th day of March, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS &amp; LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Emily Honsa Hicks, Attorney for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5972</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5972</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">762656&mdash;The Huntington National Bank vs. Sharon A. Allen aka Sharon Allen, et al.</p><p class="ssj">The Unknown Heirs, Devisees, their Spouses and Creditors, Legatees and the Fiduciary of the Estate, and Spouse and Creditors, of Sharon A. Allen, deceased, the place of residence of each being unknown, will take notice that on January 11, 2012, the undersigned, The Huntington National Bank, filed its supplemental complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $87,757.87, plus any sums advanced, with interest at 3.2500% per annum from February 23, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 703-32-011</p><p class="ssj">Address: 1995 Wrenford Road, South Euclid, OH 44121-3156</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 8th day of March, 2012.</p><p class="ssj">THE HUNTINGTON NATIONAL BANK.</p><p class="bold">By Emily Honsa Hicks, Attorney for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5973</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5973</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">756736&mdash;U.S. Bank National Association, as Trustee for J.P. Morgan Mortgage Acquisition Trust 2006- CH2, Asset Backed Pass-Through Certificates, Series 2006-CH2 vs. Antonio D. Ventura, Jr., et al.</p><p class="ssj">Indian Creek Estates Homeowners Association, whose last known address is c/o Donald M. Tomsik s/a, 14961 Cherokee Trail, Middleburg Heights, Ohio 44130, otherwise whose address is unknown, will take notice that on June 3, 2011, the undersigned, U.S. Bank National Association, as Trustee for J.P. Morgan Mortgage Acquisition Trust 2006-CH2, Asset Backed Pass- Through Certificates, Series 2006- CH2, filed its complaint and on November 29, 2011 filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 374-25-045</p><p class="ssj">Address: 7693 Trenton Trail, Middleburg Heights, Ohio 44130</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 8th day of March, 2012.</p><p class="ssj">U.S. BANK NATIONAL ASSOCIATION, AS TRUSTEE FOR J.P. MORGAN MORTGAGE ACQUISITION TRUST 2006-CH2, ASSET BACKED PASS-THROUGH CERTIFICATES, SERIES 2006-CH2.</p><p class="bold">By Edward G. Bohnert, Ronald J. Chernek and Douglas A. Haessig, Attorneys for Plaintiff. Reimer, Arnovitz, Chernek &amp; Jeffrey Co., L.P.A., P.O. Box 968, Twinsburg, Ohio 44087, (330) 425-4201.</p><p class="ssj">Jan26Feb2-9 2012</p>]]></content:encoded>
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    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5974</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5974</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004207&mdash;Treasurer of Cuyahoga County, Ohio vs. Seneca Trail Corporation, et al.</p><p class="ssj">Seneca Trail Corporation, whose last known address is 1822 West 47th Street, Cleveland, OH 44102, otherwise whose address is unknown, will take notice that on June 8, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $5,792.92 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 002-36-079</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 51 in Dudley Baldwin's Subdivision of part of Original Brooklyn Township Lot No. 49 as shown by the recorded plat in Volume 2 of Maps, Page 51 of Cuyahoga County Records, and being 30 feet front on the Westerly side of West 47th Street and extending back of equal width 124 feet as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5975</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5975</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004273&mdash;Treasurer of Cuyahoga County, Ohio vs. Brunette Swift, et al.</p><p class="ssj">Sam LoPresti, whose last known place of residence is 6616 Berwick Road, Cleveland, OH 44127, otherwise whose place of residence is unknown, will take notice that on June 23, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $360.97 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 125-17-002</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 43 in William Meyer and John Thoman's Allotment of part of Original One Hundred Acre Lot No. 329, as shown by the recorded plat in Volume 7 of Maps, Page 4 of Cuyahoga County Records, as appears by said plat.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5976</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5976</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004540&mdash;Treasurer of Cuyahoga County, Ohio vs. Betty J. Smith, et al.</p><p class="ssj">Betty J. Smith, whose last known place of residence is 4286 East 134th Street, Cleveland, OH 44105, otherwise whose place of residence is unknown; Unknown Spouse of Betty J. Smith, whose last known place of residence is 4286 East 134th Street, Cleveland, OH 44105, otherwise whose place of residence is unknown, will take notice that on August 10, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $2,885.36 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 138-17-089</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 109 in the Caine Realty Company's Miles Corlett Allotment of part of Original One Hundred Acre Lot No. 470, as shown by the recorded plat in Volume 43 of Maps, Page 25 of Cuyahoga County Records, and being 40 feet front on the Westerly side of East 134th Street, and extending back of equal width 120 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5977</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5977</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004623&mdash;Treasurer of Cuyahoga County, Ohio vs. Louise Gordon, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Ruth Evans, deceased, the place of residence of each being unknown; Mary Lee Burrell, whose last known place of residence is 14904 Thames Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Unknown Spouse of Mary Lee Burrell, whose last known place of residence is 14904 Thames Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Mary Lee Burrell, deceased, the place of residence of each being unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Arlene Spivey, deceased, the place of residence of each being unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Darrell Spivey, deceased, the place of residence of each being unknown; Bobbie Jean Spivey, whose last known place of residence is 14904 Thames Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Unknown Spouse of Bobbie Jean Spivey, whose last known place of residence is 14904 Thames Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; James Luther Spivey, whose last known place of residence is 14904 Thames Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Unknown Spouse of James Luther Spivey, whose last known place of residence is 14904 Thames Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Lillian Spivey, whose last known place of residence is 14904 Thames Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Unknown Spouse of Lillian Spivey, whose last known place of residence is 14904 Thames Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Lonnie Spivey, whose last known place of residence is 14904 Thames Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Unknown Spouse of Lonnie Spivey, whose last known place of residence is 14904 Thames Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Horace Spivey, whose last known place of residence is 14904 Thames, Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Unknown Spouse of Horace Spivey, whose last known place of residence is 14904 Thames Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Cornelius Spivey, whose last known place of residence is 14904 Thames Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Unknown Spouse of Cornelius Spivey, whose last known place of residence is 14904 Thames Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Carol Spivey, whose last known place of residence is 21891 South Lake Shore Boulevard, Euclid, OH 44123, otherwise whose place of residence is unknown; and Unknown Spouse of Carol Spivey, whose last known place of residence is 21891 South Lake Shore Boulevard, Euclid, OH 44123, otherwise whose place of residence is unknown, will take notice that on August 31, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,800.74 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 112-25-056</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being the Easterly 30 feet of Sub-lot No. 31, in Caroline McIlrath's Subdivision of part of Original Euclid Township Tract No. 16 as shown by the recorded plat in Volume 22 of Maps, Page 2 of Cuyahoga County Records and being 30 feet front on the Southerly line of Thames Avenue N.E. (formerly Thomas Street) and extending back of equal width 140 feet as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5978</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/5978</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004726&mdash;Treasurer of Cuyahoga County, Ohio vs. Jessie M. Smith, et al.</p><p class="ssj">Stephanie Ray, whose last known place of residence is 14100 Glendale Avenue, Cleveland, OH 44128, otherwise whose place of residence is unknown; Unknown Spouse of Stephanie Ray, whose last known place of residence is 14100 Glendale Avenue, Cleveland, OH 44128, otherwise whose place of residence is unknown, will take notice that on September 20, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $804.27 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 129-09-043</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 33 in the Rice Boulevard Subdivision of the Original One Hundred Acre Lot No. 420 as shown by the recorded plat of said Subdivision in Volume 33 of Maps, Page 23 of Cuyahoga County Records. Said Sub No. 33 has a frontage of 40 feet on the Northerly side of Browning Avenue, S.E. (formerly Lowell Avenue), and extends back 109.85 feet on the Easterly line, 109.86 feet on the Westerly line, and has a rear line of 40 feet as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/5989</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/5989</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175194&mdash;In re: Estate of Mary Jane Canfield, deceased.</p><p class="ssj">Unknown creditors of the Estate of Mary Jane Canfield, deceased, the address of each being unknown, will take notice that on January 18, 2012, the undersigned, Stephen H. Canfield, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Mary Jane Canfield, deceased, late of Cleveland Heights, Ohio, who died November 16, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 1st day of March, 2012, at 10:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">STEPHEN H. CANFIELD,</p><p class="ssc">Applicant.</p><p class="bold"> Nancy F. Patete, Attorney.</p><p class="ssj">Jan26Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Corporate Dissolution Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedissolutions/details/ref_index/5990</link>
      <guid>http://www.dln.com/noticedissolutions/details/ref_index/5990</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Notice of Dissolution of Corporation</p><p class="ssj">Notice is hereby given that on the 5th day of January, 2012, the undersigned, 24plug, Inc., an Ohio corporation, filed its Certificate of Dissolution with the Secretary of State of the State of Ohio, thereby surrendering and abandoning its corporate authority and franchises as provided by law.</p><p class="ssj">24plug Inc.</p><p class="bold">By John Sanelli, President</p><p class="ssj">Jan26Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/5991</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/5991</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">On February 10th at 2:47 P.M. CubeSmart (Formerly U-Store-It) at 4720 Warrensville Center Rd. in N. Randall, OH 44128 With Reserve, Will sell by the unit to the highest bid for CASH all rights, title and interest to the following property now in the possession of:</p><p class="ssj">Cube 611, Michael E. Waddy, 5527 Oakwood Ave, Maple Hts, OH 44137</p><p class="ssj">Cube 809, LaToyia C. Martin, 2856 East 104th St Dn, Cleveland, OH 44104</p><p class="ssj">Cube 330, Arthur J. Owens, 3400 Desota fl3, Cleveland Hts, OH 44118</p><p class="ssj">Cube 250, Freddie J. Porter, 600 Turney Rd #214, Bedford, OH 44146 </p><p class="ssj">Cube 108, Carlton M. Avant, 21133 Ellacott Pkwy F1, Warrensville Hts, OH 44128</p><p class="ssj">Cube 285, Darion Yarbrough, 1127 Euclid Ave #209, Cleveland, OH 44113</p><p class="ssj">Cube 2014, Robin R. Rogers, P.O.Box 5587, Cleveland, OH 44101</p><p class="ssj">Cube 2911, Kimberly A. Walker, 19414 Longbrook Rd, Warrensville, OH 44128</p><p class="ssj">Cube 1027, Stacey L. Moore, 3379 MLK Dr #2, Cleveland, OH 44104</p><p class="ssj">Cube 113, Leavell T. Jones, 4057 Selfridge Pkwy, Highland Hills, OH 44122</p><p class="ssj">Cube 160, Natalie Brownlee, 5600 Thomas St, Maple Hts, OH 44137</p><p class="ssj">Cube 210, Derric R. Sharpe, 5045 Arch Ave, Maple Hts, OH 44137</p><p class="ssj">Cube 1009, Gregory K. Huston, 1701 E. 12th St # 23P, Cleveland, OH 44114</p><p class="ssj">All units contain household items unless other wise mentioned. Terms are Cash or Credit Card. A $50.00 cash deposit will be required for any purchase. All items bought must be removed the same day by 5:00 pm. CubeSmart (Formerly U-Store-It) reserves the right to withdraw a unit from Public Sale at any time. The terms and conditions of sale will be made available at CubeSmart (Formerly U-Store-It) 4720 Warrensville Center Rd, N. Randall., OH 44128 on sale day. For information all interested parties call (216) 587-5382 between 9:30 am and 6:00 pm Monday thru Friday.</p><p class="ssj">Jan26Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5993</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5993</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">751948&mdash;Third Federal Savings and Loan Association of Clevleand vs. Sandra Bobette Goldberg, et al.</p><p class="ssj">Sandra Bobette Goldberg and John Doe, real name unknown, the Unknown Spouse, if any, of Sandra Bobette Goldberg, whose last known place of residence is 14385 Cedar Road, South Euclid, OH 44121, otherwise whose place of residence is unknown; John Doe, and/or Jane Doe, real names unknown, the Unknown Heirs, Devisees, Legatees, Executors, Administrators and Assigns of Sandra Bobette Goldberg, deceased, the place of residence of each being unknown, will take notice that on January 18, 2012, the undersigned, Third Federal Savings and Loan Association of Cleveland, filed its supplemental complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 703-22-007</p><p class="ssj">Address: 14387 Cedar Rd., South Euclid, Ohio 44121-3315</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 9th day of March, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS AND LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By James L. Sassano, Attorney for Plaintiff.</p><p class="ssj">Jan27Feb3-10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5994</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5994</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769367&mdash;Wells Fargo Bank, NA, also known as Wachovia Mortgage, a division of Wells Fargo Bank, NA, formerly known as Wachovia Mortgage, FSB, formerly known as World Savings Bank, FSB vs. John Zapola, et al.</p><p class="ssj">Jane Doe, Unknown Spouse, if any, of John Zapola, whose last known places of residence are 4460 West 145th Street, Cleveland, Ohio 44135 and 4653 West Park Drive, Fairview Park, Ohio 44126, otherwise whose place of residence is unknown; John Doe, Unknown Spouse, if any, of Charlotte Zapola, whose last known places of residence are 4653 West Park Drive, Fairview Park, Ohio 44126 and 4460 West 145th Street, Cleveland, Ohio 44135, otherwise whose place of residence is unknown; The Unknown Heirs at Law or Under the Will, if any, of John Zapola, deceased, the place of residence of each being unknown; the Unknown Heirs at Law or Under the Will, if any, of Charlotte Zapola, deceased, the place of residence of each being unknown, will take notice that on November 16, 2011, the undersigned, Wells Fargo Bank, NA, also known as Wachovia Mortgage, a division of Wells Fargo Bank, NA, formerly known as Wachovia Mortgage, FSB, formerly known as World Savings Bank, FSB, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 321-31-021</p><p class="ssj">Address: 4653 West Park Drive, Fairview Park, Ohio 44126</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff says that as a result of the mutual mistake of the parties to the mortgage, the mortgage was rerecorded to include the notary acknowledgment, recorded in File Number 200511231248 of Cuyahoga County, Ohio Records, however the rerecorded mortgage did not reference the first recording of the mortgage.</p><p class="ssj">Plaintiff further says that the parties to the mortgage intended to reference the first recording of the mortgage, so that Plaintiff is entitled to a declaration by the Court that the mortgage recorded in File Number 200511231248 of Cuyahoga County, Ohio Records was recorded to correct the notary acknowledgment clause in File Number 200504260730 and that they are one and the same mortgage in favor of Wells Fargo Bank, NA, also known as Wachovia Mortgage, a division of Wells Fargo Bank, NA, formerly known as Wachovia Mortgage, FSB, formerly known as World Savings Bank, FSB and against Defendants, John Zapola and Charlotte Zapola.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 9th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, NA, ALSO KNOWN AS WACHOVIA MORTGAGE, A DIVISION OF WELLS FARGO BANK, NA, FORMERLY KNOWN AS WACHOVIA MORTGAGE, FSB, FORMERLY KNOWN AS WORLD SAVINGS BANK, FSB.</p><p class="bold">By Edward G. Bohnert, Ronald J. Chernek and Douglas A. Haessig, Attorneys for Plaintiff. Reimer, Arnovitz, Chernek &amp; Jeffrey Co., L.P.A., P.O. Box 968, Twinsburg, Ohio 44087, (330) 425-4201.</p><p class="ssj">Jan27Feb3-10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5995</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5995</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768356&mdash;CitiMortgage, Inc. successor by merger to First Nationwide Mortgage Corporation vs. Carol Pop, et al.</p><p class="ssj">Sysco Food Services of Central Ohio, Inc. fka Sysco Food Services of Columbus, Ohio Inc. sbm to Abbott Foods, Inc.,  whose last known address is 2400 Harrison Road, Columbus, Ohio 43204, otherwise whose address is unknown, will take notice that on November 3, 2011, the undersigned, CitiMortgage, Inc. successor by merger to First Nationwide Mortgage Corporation, filed its complaint and on November 29, 2011 filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 237-03-036</p><p class="ssj">Address: 4423 Coe Avenue, North Olmsted, Ohio 44070</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further says that the Defendants Carol Pop and Erika Pop are the owners of the hereinafter described real property, but that through inadvertence or error, the legal description as contained in the mortgage deed does not conform to the legal description as set forth above; that the intention of the parties at the time of execution of the mortgage deed was to transfer to the Plaintiff all interest the Defendant had in and to the aforementioned described real property, but that through a scrivener's error, the legal description was not entirely and properly correct.</p><p class="ssj">Plaintiff requests reformation of the mortgage deed to include the entire legal description as set forth above.</p><p class="ssj">Plaintiff states that the legal description as contained in the Executor's Deed as filed in Volume 92-7017, Page 11 on August 13, 1992, of Cuyahoga County, Ohio Records, is incorrect, and that the Defendants Carol Pop and Erika Pop are the owners in fee simple of the real property, as described herein, and further says that the real property described herein is commonly known as 4423 Coe Avenue, North Olmsted, OH 44070.</p><p class="ssj">Plaintiff requests reformation of the Executor's Deed as filed in Volume 92-7017, Page 11 on August 13, 1992 of Cuyahoga County, Ohio Records to include the entire legal description as set forth above.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 9th day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC. SUCCESSOR BY MERGER TO FIRST NATIONWIDE MORTGAGE CORPORATION.</p><p class="bold">By Edward G. Bohnert, Ronald J. Chernek and Douglas A. Haessig, Attorneys for Plaintiff. Reimer, Arnovitz, Chernek &amp; Jeffrey Co., L.P.A., P.O. Box 968, Twinsburg, Ohio 44087, (330) 425-4201.</p><p class="ssj">Jan27Feb3-10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5996</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5996</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">766421&mdash;CitiMortgage, Inc. vs. Juergens Properties Two LTD., et al.</p><p class="ssj">Nexthome Mortgage Corp.,  whose last known addresses are 29077 Clemons Road, Westlake, Ohio 44145 and 28637 Center Ridge Road, Westlake, Ohio 44145, otherwise whose address is unknown, will take notice that on October 11, 2011, the undersigned, CitiMortgage, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 311-28-065</p><p class="ssj">Address: 1216 Ethel, Lakewood, Ohio 44107</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff says that as a result of mutual mistake, the Defendant Scott W. Juergens signed the mortgage as Scott Juergens. However, title to the subject real estate was conveyed to the Defendant as Scott W. Juergens.</p><p class="ssj">Plaintiff further says that the Defendant Scott W. Juergens, the former owner of the property and Defendant Scott Juergens, who signed the mortgage, are one and the same person.</p><p class="ssj">Plaintiff asks the Court for a declaratory judgment finding that Scott W. Juergens and Scott Juergens are the same person and that the mortgage be reformed to show that Scott W. Juergens a.k.a. Scott Juergens mortgaged his interest in the subject parcel of real property.</p><p class="ssj">Plaintiff says that as a result of mutual mistake to the Quit Claim Deed recorded in AFN 200404210429 on April 21, 2004 of Cuyahoga County, Ohio Records, the signature line shows the name Catharine O. Juergens. However, the grantor on the deed is shown as Catherine O. Juergens.</p><p class="ssj">Plaintiff further says that the Defendant Catherine O. Juergens, the grantor on the deed and Defendant Catharine O. Juergens, the signatory on the deed are one and the same person.</p><p class="ssj">Plaintiff asks the Court for a declaratory judgment finding that Catherine O. Juergens and Catharine O. Juergens are the same person and seeks to have the Court make a finding validating the Quit Claim Deed recorded in AFN 200404210429 on April 21, 2004 of Cuyahoga County, Ohio Records and further that Juergens Properties Two, Ltd. is thereby the owner in fee simple of the real property described herein.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 9th day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC.</p><p class="bold">By Edward G. Bohnert, Ronald J. Chernek and Douglas A. Haessig, Attorneys for Plaintiff. Reimer, Arnovitz, Chernek &amp; Jeffrey Co., L.P.A., P.O. Box 968, Twinsburg, Ohio 44087, (330) 425-4201.</p><p class="ssj">Jan27Feb3-10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5997</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5997</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769972&mdash;Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. Louise K. Anderson, et al.</p><p class="ssj">Louise K. Anderson, whose last known place of residence is 1717 Cumberland Road, Cleveland Heights, OH 44118, otherwise whose place of residence is unknown; Eddie Anderson, whose last known place of residence is 1717 Cumberland Road, Cleveland Heights, OH 44118, otherwise whose place of residence is unknown, will take notice that on November 23, 2011, the undersigned, Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $132,001.64, plus any sums advanced, with interest at 7.25% per annum from August 1, 2009, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 684-10-005</p><p class="ssj">Address: 1717 Cumberland Road, Cleveland Heights, Ohio 44118-1719</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 9th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Jan27Feb3-10, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5998</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5998</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">773678&mdash;The Huntington National Bank vs. The Unknown Heirs, Devisees, their Spouses and Creditors, Legatees, and the Fiduciary of the Estate, and Spouse and Creditors, of Leslie M. Peters aka Leslie Peters, deceased, et al.</p><p class="ssj">The Unknown Heirs, Devisees, their Spouses and Creditors, Legatees and the Fiduciary of the Estate, and Spouse and Creditors, of Leslie M. Peters aka Leslie Peters, deceased, the place of residence of each being unknown, will take notice that on January 17, 2012, the undersigned, The Huntington National Bank, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 140-13-053</p><p class="ssj">Address: 17120 Talford Ave., Cleveland, OH 44128-1576</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 9th day of March, 2012.</p><p class="ssj">THE HUNTINGTON NATIONAL BANK.</p><p class="bold">By Emily Honsa Hicks, Attorney for Plaintiff.</p><p class="ssj">Jan27Feb3-10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/5999</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/5999</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771587&mdash;Bank of America, N.A., Successor by Merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing LP vs. Beverly A. Witucek, et al.</p><p class="ssj">Unknown Heirs at Law, Devisees, Legatees, Executors or Administrators of Beverly A. Witucek, the place of residence of each being unknown; John Doe, Unknown Spouse, if any, of Beverly A. Witucek, whose last known place of residence is 3343 West 61st Street, Cleveland, OH 44102, otherwise whose place of residence is unknown, will take notice that on December 16, 2011, the undersigned, Bank of America, N.A., Successor by Merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 016-06-088</p><p class="ssj">Address: 3343 West 61st Street, Cleveland, Ohio 44102-5615</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 9th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A., SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Jan27Feb3-10, 2012</p>]]></content:encoded>
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    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6000</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6000</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 005011&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Lloyd Williams, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Lloyd Williams, the place of residence of each being unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Mary Thames, a.k.a. Mary Ann Williams, the place of residence of each being unknown, will take notice that on November 30, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $3,195.00 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 128-17-059</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being Sublot No. 179 in The Cleveland Realty Investment Company's Subdivision of part of Original One Hundred Acre Lots Nos. 433 and 434 as shown by the recorded plat in Volume 56 of Maps, Page 4 of Cuyahoga County Records and being 35 feet front on the Southerly side of Mount Auburn Avenue, S.E. and extending back of equal width 138 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan27Feb3-10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6001</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6001</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 005031&mdash;Treasurer of Cuyahoga County, Ohio vs. Ronald A. Dudas, et al.</p><p class="ssj">Ronald A. Dudas, whose last known place of residence is 29121 Norman Avenue, Wickliffe, OH 44092, otherwise whose place of residence is unknown; and Unknown Spouse of Ronald A. Dudas, whose last known place of residence is 29121 Norman Avenue, Wickliffe, OH 44092, otherwise whose place of residence is unknown, will take notice that on December 6, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,724.88 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 002-12-041</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being the Southerly 20 feet of Sublot No. 302 and the Northerly 10 feet of Sublot No. 303 in Jacob B. Perkin's Subdivision of part of Original Brooklyn Township Lot Nos. 31, 132 and 50, as shown by the recorded plat in Volume 25 of Maps, Page 19 of Cuyahoga County Records, and together forming a parcel of land having a frontage of 30 feet on the Westerly side of West 58th Street (formerly Waverly Avenue), and extending back of equal width 108 feet deep, as appears by said plat, be the same more or less.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan27Feb3-10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6002</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6002</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004704&mdash;Treasurer of Cuyahoga County, Ohio vs. Rudy's Contracting, et al.</p><p class="ssj">Rudy's Contracting, whose last known address is 9415 Harvard Avenue, Cleveland, OH 44105, otherwise whose address is unknown, will take notice that on September 15, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,334.91 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 136-07-026</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio:</p><p class="ssj">And known as being part of Original One Hundred Acre Lot No. 457, and abounded and described as follows:</p><p class="ssj">Being the Easterly 49 1/2 feet of the following described premises:</p><p class="ssj">Beginning at a point in the center of Harvard Avenue, S.E. 35 rods Easterly line of East 93rd Street;</p><p class="ssj">Thence Northerly 8 rods, 1 link;</p><p class="ssj">Thence Easterly parallel with Harvard Avenue, S.E., 6 rods;</p><p class="ssj">Thence Southerly parallel with the Westerly line of the premises herein described 8 rods, 1 link to the center of Harvard Avenue, S.E.;</p><p class="ssj">Thence Westerly along the center of Harvard Avenue, S.E., 6 rods to the place of beginning.</p><p class="ssj">Be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan27Feb3-10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6003</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6003</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004668&mdash;Treasurer of Cuyahoga County, Ohio vs. Roosevelt Johnson, et al.</p><p class="ssj">Roosevelt Johnson, whose last known place of residence is 25200 Rockside Road, Apartment 529, Bedford, OH 44146, otherwise whose place of residence is unknown; Unknown Spouse of Roosevelt Johnson, whose last known place of residence is 25200 Rockside Road, Apartment 529, Bedford, OH 44146, otherwise whose place of residence is unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Roosevelt Johnson, deceased, the place of residence of each being unknown, will take notice that on September 8, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $436.44 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 138-21-065</p><p class="ssj">Situated in the City of  Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 44 in Continental Realty Company's Continental Park Subdivision of part of Original Warrensville Township Lots Nos. 71 and 81, as shown by the recorded plat in Volume 55 of Maps, Page 40 of Cuyahoga County Records, and being 40 feet front on the Easterly side of East 144th Street, and extending back of equal width 113 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan27Feb3-10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6004</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6004</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004346&mdash;Treasurer of Cuyahoga County, Ohio vs. Patrick R. Branaghan, et al.</p><p class="ssj">Patrick R. Branaghan, whose last known place of residence is 5260 West 24th Street, Cleveland, OH 44134, otherwise whose place of residence is unknown;and Unknown Spouse of Patrick R. Branaghan, whose last known place of residence is 5260 West 24th Street, Cleveland, OH 44134, otherwise whose place of residence is unknown, will take notice that on July 15, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $813.87 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 131-21-064</p><p class="ssj">Situated in the County of Cuyahoga, in the State of Ohio and in the City of Cleveland: and known as being Sublot No. 95 in The Heisel, Hamm, Wagner and Wageman's Allotment of part of Original 100 Acre Township Lots Nos. 316, 320, and 321, as shown by the recorded plat in Volume 6 of Maps, Page 3 of Cuyahoga County Records, and forming a parcel of land 30 feet front on the Westerly side of East 53rd Street and extending back between parallel lines 125 feet as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan27Feb3-10, 2012</p>]]></content:encoded>
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    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6016</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6016</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175302&mdash;In re: Estate of Raymond F. Wagen, deceased.</p><p class="ssj">Unknown creditors of the Estate of Raymond F. Wagen, deceased, the address of each being unknown, will take notice that on January 23, 2012, the undersigned, Shirley J. Wagen, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Raymond F. Wagen, deceased, late of Garfield Heights, Ohio, who died November 26, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 13th day of March, 2012, at 9:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">SHIRLEY J. WAGEN,</p><p class="ssc">Applicant.</p><p class="bold"> Kelly C. Delaney, Attorney</p><p class="ssj">Jan27Feb3-10, 2012</p>]]></content:encoded>
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    <item>
      <title>Corporate Dissolution Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedissolutions/details/ref_index/6017</link>
      <guid>http://www.dln.com/noticedissolutions/details/ref_index/6017</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF VOLUNTARY DISSOLUTION OF SAW MILL TIRE CO., AN OHIO CORPORATION , TO ALL CREDITORS AND CLAIMANTS OF SAW MILL TIRE CO.</p><p class="ssj">NOTICE IS HEREBY GIVEN that Saw Mill Tire Co. whose principal office is located at 2360 W. Main Street, Alliance, Ohio 44601, has filed a Certificate of Dissolution and is winding up its business.</p><p class="ssj">Dated: January 23, 2012</p><p class="ssj">THE BOARD OF DIRECTORS OF</p><p class="ssj">SAW MILL TIRE CO.</p><p class="ssj">Jan27Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6018</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6018</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771323&mdash;Wells Fargo Bank, N.A. as Trustee for Stanwich Mortgage Loan Trust, Series 2011-1 Asset-Backed Pass-Through Certificates vs. Marielle A. Rucker aka Marielle A. Blanks, et al.</p><p class="ssj">Marielle A. Rucker, whose last known place of residence is 972 Professor Rd., South Euclid, OH 44121, otherwise whose place of residence is unknown; Unknown Spouse of Marielle A. Rucker, whose last known place of residence is 972 Professor Rd., South Euclid, OH 44121, otherwise whose place of residence is unknown, will take notice that on December 14, 2011, the undersigned, Wells Fargo Bank, N.A. as Trustee for Stanwich Mortgage Loan Trust, Series 2011-1 Asset-Backed Pass- Through Certificates, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $151,234.20, plus any sums advanced, with interest at 9.40000% per annum from October 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 702-32-028</p><p class="ssj">Address: 972 Professor Road, South Euclid, Ohio 44121</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 12th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A. AS TRUSTEE FOR STANWICH MORTGAGE LOAN TRUST, SERIES 2011-1 ASSET-BACKED PASS-THROUGH CERTIFICATES.</p><p class="bold">By Sarah A. Okrzynski, Franco M. Barile, D. Anthony Sottile, Erin K. McConnell and Susan B. Klineman, Attorneys for Plaintiff.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6019</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6019</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767828&mdash;Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. Daryl Moore, et al.</p><p class="ssj">Daryl Moore and Jane Doe, name unknown, spouse of Daryl Moore, whose last known place of residence is 33155 Ledge Hill Drive, Solon, OH 44139, otherwise whose place of residence is unknown, will take notice that on October 28, 2011, the undersigned, Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $97,306.02, plus any sums advanced, with interest at 7.3750% per annum from April 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 786-02-012</p><p class="ssj">Situated in the City of Maple Heights, County of Cuyahoga, and State of Ohio, and known as being Sublot No. 252 Engmer Realty &amp; Investments Company's Woodlawn Subdivision of part of Original Bedford Township Lot No. 22 as shown by the recorded plat in Volume 83, Page 33 of Cuyahoga County Records, as appears by said plat.</p><p class="ssj">Address: 16009 Rockside Road, Maple Heights, Ohio 44137</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 12th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Julia E. Steelman and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6020</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6020</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">762305&mdash;U.S. Bank National Association ND vs. Mary Ellen Rozier (deceased), et al.</p><p class="ssj">The Unknown Heirs, Spouse, Devisees, Legatees, Administrators, Executors and Assigns, if any, of Mary Ellen Rozier, whose last known place of residence is 12201 Emery Avenue, Cleveland, OH 44135, otherwise whose place of residence is unknown, will take notice that on August 18, 2011, the undersigned, U.S. Bank National Association ND as successor in interest to Firstar Bank, N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 019-15-116</p><p class="ssj">Address: 12201 Emery Cleveland, Ohio 44135</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 12th day of March, 2012.</p><p class="ssj">U.S. BANK NATIONAL ASSOCIATION ND AS SUCCESSOR IN INTEREST TO FIRSTAR BANK, N.A.</p><p class="bold">By Sarah A. Okrzynski, Franco M. Barile, D. Anthony Sottile and Erin K. McConnell, Attorney for Plaintiff.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6021</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6021</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768899&mdash;OneWest Bank, FSB successor in interest to IndyMac Federal Bank, FSB successor in interest to IndyMac Bank, FSB vs. Joseph john Polo aka Joseph Polo, et al.</p><p class="ssj">Joseph John Polo aka Joseph Polo, whose last known place of residence is 1760 Chelmsford Road, Cleveland, OH 44124, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Joseph john Polo aka Joseph Polo, the place of residence of each being unknown, will take notice that on November 10, 2011, the undersigned, OneWest Bank, FSB successor in interest to IndyMac Federal Bank, FSB, successor in interest to IndyMac Bank, FSB, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $145,996.54, plus any sums advanced, with interest at 3.0000% per annum from June 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 863-10-001</p><p class="ssj">Situated in the City of Mayfield Heights, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Sublot No. 42 Chelmsford Road in the East Side Land Company's Lender Garden Re-Subdivision of part of Original Mayfield Township Lot No. 22, Tract No. 3, as shown by the recorded plat in Volume 175 of Maps, Page 35 of Cuyahoga County Records, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 1760 Chelmsford, Mayfield Heights, Ohio 44124</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the mortgage filed for record on 11/08/05, in Instrument No. 200511080661, and executed by the primary defendant and delivered by him to plaintiff's predecessor in interest fails to list a marital status in the Granting Clause of said mortgage.</p><p class="ssj">Because this mistake was the result of a scrivener's error and mutual mistake of fact between the parties to said document, plaintiff is entitled to have the above described mortgage reformed to properly state &quot;Joseph John Polo aka Joseph Polo, unmarried&quot; in the Granting Clause. Plaintiff is further entitled to an order of this Court decreeing the property as described in Plaintiff's mortgages be sold at sheriff's sale.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 12th day of March, 2012.</p><p class="ssj">ONEWEST BANK, FSB SUCCESSOR IN INTEREST TO INDYMAC FEDERAL BANK, FSB, SUCCESSOR IN INTEREST TO INDYMAC BANK, FSB.</p><p class="bold">By Bethany L. Suttinger and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6022</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6022</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768380&mdash;The Bank of New York Mellon fka The Bank of New York, as Trustee for the Certificateholders CWABS, Inc., Asset-Backed Certificates, Series 2006-15 vs. Steven H. Pannunzio and Melissa L. Pannunzio, et al.</p><p class="ssj">Steven H. Pannunzio, whose last known place of residence is 12309 Worthington Avenue, Cleveland, OH 44111, otherwise whose place of residence is unknown; Jane Doe, Unknown Spouse, if any, of Steven H. Pannunzio, whose last known place of residence is 12309 Worthington Avenue, Cleveland, OH 44111, otherwise whose place of residence is unknown, will take notice that on November 3, 2011, the undersigned, The Bank of New York Mellon fka The Bank of New York, as Trustee for the Certificateholders CWABS, Inc., Asset-Backed Certificates, Series 2006-15 c/o Bank of America, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $81,218.81, plus any sums advanced, with interest at 8.625% per annum from July 1, 2008, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 018-22-029</p><p class="ssj">Address: 12309 Worthington Ave., Cleveland, Ohio 44111-5073</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 12th day of March, 2012.</p><p class="ssj">THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YORK, AS TRUSTEE FOR THE CERTIFICATEHOLDERS CWABS, INC., ASSET-BACKED CERTIFICATES, SERIES 2006-15 C/O BANK OF AMERICA.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6023</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6023</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">770873&mdash;JPMorgan Chase Bank, National Asssociation vs. Fredda Perryman Burns, et al.</p><p class="ssj">The Unknown Successor Trustees, Assigns and Surviving Entities of The Burns Family Trust, dated October 18, 2002, the place of residence of each being unknown, will take notice that on December 8, 2011, the undersigned, JPMorgan Chase Bank, National Association, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $73,559.78, plus any sums advanced, with interest at 5.7500% per annum from June 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 140-14-002</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio:</p><p class="ssj">Known as being Sublot 312, in the S.H. Kleinman Realty Company's Shaker Lee Subdivision of part of Original Warrensville Township Lot Nos. 63, as shown by the recorded plat in Vol. 98 of Maps, Page 8 of Cuyahoga County Records, and being 42 feet front on the Southerly side of Walden S.E. (formerly Villa Ave., SE) and extending back of equal width 128 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 17308 Walden Ave., Cleveland, OH 44128</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 12th day of March, 2012.</p><p class="ssj">JPMORGAN CHASE BANK, NATIONAL ASSOCIATION.</p><p class="bold">By Rachel K. Pearson and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6024</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6024</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771718&mdash;Deutsche Bank National Trust Company as Trustee for the holders of GSAMP Trust 2004-HE2, Mortgage Pass-Through Certificates, Series 2004-HE2 vs. Clifton N. Cardwell, et al.</p><p class="ssj">Unknown Heirs at Law, Devisees, Legatees, Executors or Administrators of Clifton N. Cardwell, the place of residence of each being unknown, will take notice that on December 19, 2011, the undersigned, Deutsche Bank National Trust Company as Trustee for the holders of GSAMP Trust 2004-HE2, Mortgage Pass- Through Certificates, Series 2004-HE2 c/o Bank of America, N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 110-19-017</p><p class="ssj">Address: 11311-13 Durant Avenue, Cleveland, Ohio 44108</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 12th day of March, 2012.</p><p class="ssj">DEUTSCHE BANK NATIONAL TRUST COMPANY AS TRUSTEE FOR THE HOLDERS OF GSAMP TRUST 2004-HE2, MORTGAGE PASS-THROUGH CERTIFICATES, SERIES 2004-HE2 C/O BANK OF AMERICA, N.A.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6025</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6025</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771185&mdash;PNC Bank, National Association successor by merger to National City Bank vs. Kelly A. MacCarthy, Fiduciary to the Estate of Kenneth M. Alderman aka Kenneth Alderman, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Kenneth M. Alderman aka Kenneth Alderman, the place of residence of each being unknown, will take notice that on December 13, 2011, the undersigned, PNC Bank, National Association successor by merger to National City Bank, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $107,307.29, plus any sums advanced, with interest at 6.5550% per annum from August 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 017-12-027</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio: And known as being Sublot No. 1434 in the Lorain Street and Denison Avenue Land Company's Re-Subdivision of part of Original Brooklyn township Lots Nos. 6 and 7 as shown by the recorded plat in Volume 34 of Maps, Page 23 of Cuyahoga County Records and being 60 feet front on the Northeasterly side of West Boulevard, and extending back of equal width 175 feet, as appears by said plat.</p><p class="ssj">Address: 3515 West Blvd., Cleveland, OH 44111</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 12th day of March, 2012.</p><p class="ssj">PNC BANK, NATIONAL ASSOCIATION SUCCESSOR BY MERGER TO NATIONAL CITY BANK.</p><p class="bold">By Rachel K. Pearson and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6026</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6026</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771904&mdash;Bank of New York Mellon (f/k/a The Bank of New York), as indenture trustee for Encore Credit Receivables Trust 2005-1 vs. Steven Dolin aka Steven D. Dolin, et al.</p><p class="ssj">People's Choice Home Loan Inc.,  whose last known address is 2120 Carey Avenue, Cheyenne, WY 82001, otherwise whose address is unknown, will take notice that on December 21, 2011, the undersigned, Bank of New York Mellon (f/k/a The Bank of New York), as indenture trustee for Encore Credit Receivables Trust 2005-1 c/o Select Portfolio Servicing, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 742-01-043</p><p class="ssj">Address: 24503 Wimbledon Road, Beachwood, Ohio 44122</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 12th day of March, 2012.</p><p class="ssj">BANK OF NEW YORK MELLON (F/K/A THE BANK OF NEW YORK), AS INDENTURE TRUSTEE FOR ENCORE CREDIT RECEIVABLES TRUST 2005-1 C/O SELECT PORTFOLIO SERVICING, INC.</p><p class="bold">By Carrie L. Rouse, Attorney for Plaintiff. Reisenfeld &amp; Associates, LPA LLC, 3962 Red Bank Road, Cincinnati, OH 45227. (513) 322-7000.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
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    <item>
      <title>Common Pleas Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticecommonpleasnotices/details/ref_index/6027</link>
      <guid>http://www.dln.com/noticecommonpleasnotices/details/ref_index/6027</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">766575&mdash;The Bank of New York Mellon fka The Bank of New York, as Trustee for the Certificateholders CWABS, Inc. Asset-Backed Certificates, Series 2006-23 vs. Cynthia M. Jeffrey aka Cindy M. Jeffrey aka Cindy Jeffrey.</p><p class="ssj">John Doe, Unknown Spouse (if any) of Cynthia M. Jeffrey aka Cindy M. Jeffrey aka Cindy Jeffrey,  whose last known address is 4311 Germaine Avenue, Cleveland, OH 44109, otherwise whose address is unknown, will take notice that on October 12, 2011, the Plaintiff, The Bank of New York Mellon fka The Bank of New York, as Trustee for the Certificateholders CWABS, Inc. Asset-Backed Certificates, Series 2006-23, filed its Complaint for Declaratory Judgment in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, under Case No. CV11766575. The Object of and demand for relief in, the Complaint is to quiet the title and to have Plaintiff's Mortgage recorded upon the real estate described below and in which plaintiff alleges that the foregoing defendants have or claim to have an interest:</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio: and known as being Sublot Nos. 556 and 557 in the Brooklyn Terrace Subdivision of part of Original Brooklyn Township Lots Nos. 42 and 59 as shown by the recorded plat in Volume 30 of Maps, Page 14 of Cuyahoga County Records, and being each 25 feet front on the Southerly side of Germaine Street, S.W. and extending back of equal width 120 feet deep, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Property Address: 4311 Germaine Avenue, Cleveland, OH 44109</p><p class="ssj">PPN: 011-13-049</p><p class="ssj">The defendant named above is required to answer on or before the 2nd day of April, 2012.</p><p class="ssj">THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YORK, AS TRUSTEE FOR THE CERTIFICATEHOLDERS CWABS, INC. ASSET-BACKED CERTIFICATES, SERIES 2006-23.</p><p class="bold">By D. Anthony Sottile, Attorney for Plaintiff. Gerner &amp; Kearns Co. LPA, 215 West Ninth Street, Cincinnati, OH 45202. (513) 241-7722.</p><p class="ssj">Jan28Feb4-11-18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Personal Injury Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepersonalinjury/details/ref_index/6028</link>
      <guid>http://www.dln.com/noticepersonalinjury/details/ref_index/6028</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">759113&mdash;Christine Kasmerski, et al. vs. Miranda Taylor, et al.</p><p class="ssj">Miranda Taylor, whose last known place of residence is 18721 Raymond St., Maple Heights, OH 44137, otherwise whose place of residence is unknown, will take notice that on July 11, 2011, the undersigned, Christine Kasmerski and Joseph Kasmerski, filed their complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on or about September 9, 2010, in Cuyahoga County, Ohio, a car being driven by Plaintif, Christine Kasmerski, was involved in a collision with a car being driven by Defendant, Miranda Taylor; that said collision occurred as the direct and proximate result of Defendant Miranda Taylor's negligence; that as a direct and proximate result of Defendant Miranda Taylor's negligence, Plaintiff Christine Kasmerski sustained personal injuries, incurred medical expenses and diminished earning capacity.</p><p class="ssj">At all times relevant, Plaintiff Joseph Kasmerski was the spouse of Plaintiff Christine Kasmerski; that as a direct and proximate result of Defendant, Miranda Taylor's negligence, Plaintiff Joseph Kasmerski lost the services, companionship, and consortium of his wife, Plaintiff Christine Kasmerski.</p><p class="ssj">Plaintiffs pray for judgment against the Defendants, jointly and severally, in an amount in excess of $25,000.00 to fairly and adequately compensate them for injuries, losses, attorney fees and costs incurred herein and for such other relief as this Court deems just and proper.</p><p class="ssj">The defendant named above is required to answer on or before the 2nd day of April, 2012.</p><p class="ssj">CHRISTINE KASMERSKI AND JOSEPH KASMERSKI.</p><p class="bold">By Eric W. Tayfel, Attorney for Plaintiff.</p><p class="ssj">Jan28Feb4-11-18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Personal Injury Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepersonalinjury/details/ref_index/6029</link>
      <guid>http://www.dln.com/noticepersonalinjury/details/ref_index/6029</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767246&mdash;The CEI Group, Inc. vs. Vera A. Kintcher, et al.</p><p class="ssj">William Wilkins, whose last known place of residence is 7909 Central Avenue, Cleveland, Ohio 44103, otherwise whose place of residence is unknown, will take notice that on October 12, 2011, the undersigned, The CEI Group, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on October 9, 2009, Plaintiff's insured was operating a motor vehicle eastbound on Interstate 480 in Cuyahoga County, Ohio; that at the same time, Defendant Williams Wilkins, Jr. was operating a motor vehicle eastbound on Interstate 480 in Cuyahoga County, Ohio and moved into Plaintiff's insured's land from the center land causing Defendant's vehicle to collide with Plaintiff's insured vehicle (the &quot;Crash&quot;); that the vehicle operated by Defendant William Wilkens, Jr., was titled and/or registered and insured in the name of Defendant Vera A. Kintcher; that as a direct and proximate result of the Crash, Plaintiff's insured suffered property damage, and other damages to be proved at trial.</p><p class="ssj">Plaintiff, The CEI Group, Inc., demands judgment against Defendants, Vera A. Kintcher and William Wilkens, Jr., individually and/or jointly and severally, as follows:</p><p class="ssj">a. Compensatory damages in an amount excess of $25,000.00 to be determined at trial:</p><p class="ssj">b. Attorneys' fees;</p><p class="ssj">c. The costs of this action; and</p><p class="ssj">d. Any other relief as the Court may deem just and equitable</p><p class="ssj">The defendant named above is required to answer on or before the 2nd day of April, 2012.</p><p class="ssj">THE CEI GROUP, INC.</p><p class="bold">By John L. O'Shea, Attorney for Plaintiff. Cohen, Todd, Kite &amp; Stanford, LLC, 250 E. Fifth Street, Suite 1200, Cincinnati, Ohio 45202. (513) 421-4020.</p><p class="ssj">Jan28Feb4-11-18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Divorce Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedivorces/details/ref_index/6030</link>
      <guid>http://www.dln.com/noticedivorces/details/ref_index/6030</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Divorce Notice</p><p class="bold">D-340133&mdash;Arnetta Rose Williams vs. Gary Orlando Williams.</p><p class="ssj">Gary Orlando Williams, whose last known place of residence is 5977 Bear Creek Drive, Apt. 321, Bedford Hts., OH 44146, otherwise whose place of residence is unknown, will take notice that on January 24, 2012, the undersigned, Arnetta Rose Williams, filed her complaint against him in the Court of Common Pleas, Domestic Relations Division, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio praying for a divorce and other relief on the grounds that she and defendant have, for more than one year without interruption, lived separate and apart without cohabitation.</p><p class="ssj">The defendant named above is required to answer on or before the 2nd day of April, 2012.</p><p class="ssc">ARNETTA ROSE WILLIAMS.</p><p class="bold"> Arnetta Rose Williams, P.P.</p><p class="ssj">Jan28Feb4-11-18-25Mar3, 2012</p>]]></content:encoded>
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    <item>
      <title>Probate Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/6031</link>
      <guid>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/6031</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771615&mdash;Margaret Donaldson, et al. vs. National Financial Services, LLC, et al.</p><p class="ssj">Women's Community Foundation (WCF), whose last known address and present address are unknown, will take notice that on December 16, 2011, the undersigned, Margaret Donaldson and Lorna Robertson, filed their complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that Plaintiffs Margaret Kay Donaldson and Lorna Kay Robertson are the sisters of Kathryn A. Kay and heirs at law of Kathryn A. Kay; that Kathryn A. Kay died a resident of Cuyahoga County on October 31, 2010; that Defendant Women's Community Foundation was a charitable organization organized under the laws of the State of Ohio; that Defendant Women's Community Foundation is no longer a valid or existing entity and was formally dissolved in May, 2008; that when Kathryn A. Kay established the account, she designated Margaret Kay Donaldson and Lorna Kay Robertson and Women's Community Foundation as the sole, primary beneficiaries of the account to receive the proceeds upon Kathryn A. Kay's death; that because Women's Community Foundation was dissolved in 2008, for purposes of the contract of account, the Women's Community Foundation, a primary beneficiary, did not survive Kathryn A. Kay; that Defendants are aware and have been placed on notice of the fact that the Women's Community Foundation no longer exists and despite the request by Plaintiffs to receive the share of the account that the Women's Community Foundation would have otherwise received had it survived Kathryn A. Kay, the Defendants have refused to distribute those funds to the Plaintiffs, and otherwise honor its contract of account and, therefore, there is a justiciable controversy.</p><p class="ssj">Plaintiffs pray or an Order of judgment and decree declaring that they are the sole, primary beneficiaries of the account and entitled to its entire value and proceeds therefrom and for any orders, judgments and decrees necessary and appropriate requiring Defendant to honor any and all instructions issued by the Plaintiffs with regard to the handling, distribution and/or management of the assets held in the account.</p><p class="ssj">The defendant named above is required to answer on or before the 2nd day of April, 2012.</p><p class="ssj">MARGARET DONALDSON AND LORNA ROBERTSON.</p><p class="bold">By Adam M. Fried and Adriann S. McGee, Attorneys for Plaintiffs.</p><p class="ssj">Jan28Feb4-11-18-25Mar3, 2012</p>]]></content:encoded>
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    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6033</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6033</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004036&mdash;Treasurer of Cuyahoga County, Ohio vs. Beverly N. Stevens, et al.</p><p class="ssj">Beverly N. Stevens, whose last known place of residence is 10303 Gay Avenue, Cleveland, OH 44105, otherwise whose place of residence is unknown; Unknown Spouse of Beverly N. Stevens, whose last known place of residence is 10303 Gay Avenue, Cleveland, OH 44105, otherwise whose place of residence is unknown; F.C.I. National Fund, LLC, whose last known address is c/o Michael W. Griffith, Registered Agent, 8180 East Kalser Boulevard, Anaheim, CA 92808, otherwise whose address is unknown; General Credit Co. of Ohio, Inc., whose last known address is 21895 Lorain Road, Fairview Park, OH 44126, otherwise whose address is unknown; and Fidelity Financial Serivces, whose last known address is 21895 Lorain Road, Fairview Park, OH 44126, otherwise whose address is unknown, will take notice that on May 5, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $4,463.58 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 135-18-026</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and bounded and described as follows, to wit: And known as being Sublot No. 57 in J.J. Elwell and Hadley's Subdivision, of part of Original One Hundred Acre Lot No. 450, as shown by the recorded plat in Volume 7 of Maps, Page 27 of Cuyahoga County Records, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
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    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6034</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6034</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004812&mdash;Treasurer of Cuyahoga County, Ohio vs. McKinney Huff, et al.</p><p class="ssj">Unknown Spouse of Dave Cowans, whose last known place of residence is 8206 Holton Avenue, Cleveland, OH 44104, otherwise whose place of residence is unknown; and Unknown Spouse of Charles Horvath, whose last known place of residence is 8206 Holton Avenue, Cleveland, OH 44104, otherwise whose place of residence is unknown, will take notice that on October 25, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,357.87 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 126-28-026</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being the Easterly 12 feet of Sublot Number 3 and Westerly 18 feet, 8 inches of Sublot Number 4 in Walkey and Betts Subdivision of part of Original One Hundred Acre Lot Number 423, as shown by the recorded plat in Volume 11 of Maps, Page 21 of Cuyahoga County Records and together forming a parcel of land 30 feet 8 inches front on the Southerly side of Holton Avenue S.E. and extending back of equal width 125 feet to an alley in the rear as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6035</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6035</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004267&mdash;Treasurer of Cuyahoga County, Ohio vs. Cagel A. Wood, et al.</p><p class="ssj">Unknown Spouse of Tamblyn Stanley, whose last known place of residence is 2431 East 82nd Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; and Unknown Spouse of John F. Stanley Jr., whose last known place of residence is 2431 East 82nd Street, Cleveland, OH 44104, otherwise whose place of residence is unknown, will take notice that on June 23, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $614.40 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 126-01-070</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being the Northerly 25 feet of Sublot No. 39 and the Southerly 12 1/2 feet of Sublot No. 40 in Keyes and Edwards' Subdivision of part of Original One Hundred Acre Lot No. 415, as shown by the recorded plat in Volume 4 of Maps, Page 8 of Cuyahoga County Records, and together forming a parcel of land having a frontage of 37 1/2 feet on the Easterly side of East 82nd Street (formerly Edwards Avenue); and extending back of equal width 150 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6036</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6036</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004797&mdash;Treasurer of Cuyahoga County, Ohio vs. Pamela A. Bowman, et al.</p><p class="ssj">Unknown Spouse of Pamela A. Bowman, whose last known place of residence is 1237 Deepwood Drive, Macedonia, OH 44056, otherwise whose place of residence is unknown, will take notice that on September 30, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $81.80 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 125-02-059</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being part of Original 100 Acre Lot No. 328 and bounded and described as follows:</p><p class="ssj">Beginning on the Northerly line of Bower Avenue, S.E., at a point 580 feet Easterly from its intersection with the Easterly 55th Street (formerly Wilson Avenue);</p><p class="ssj">Thence Easterly along the Northerly line of Bower Avenue, S.E. 40 feet;</p><p class="ssj">Thence Northerly at right angles to the Northerly line of Bower Avenue, S.E. 100 feet;</p><p class="ssj">Thence Westerly parallel with the Northerly line of Bower Avenue, S.E. 40 feet;</p><p class="ssj">Thence Southerly 100 feet to the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6037</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6037</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004761&mdash;Treasurer of Cuyahoga County, Ohio vs. Arnetta Anderson, et al.</p><p class="ssj">Arnetta Anderson, whose last known place of residence is 5905 Utica Avenue, Cleveland, OH 44103, otherwise whose place of residence is unknown; and Unknown Spouse of Arnetta Anderson, whose last known place of residence is 5905 Utica Avenue, Cleveland, OH 44103, otherwise whose place of residence is unknown, will take notice that on September 29, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $979.06 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 104-20-090</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being part of Sublot No. 23 in Luther and Arvilla Moses Subdivision of part of Original 100 Acre Lot No. 340 as shown by the recorded plat in Volume 5 of Maps, Page 48 of Cuyahoga County Records and part of Original 100 Acre Lot No. 340 and together forming a parcel of land bounded and described as follows: Beginning on the Westerly line of said Sublot No. 23 at a point 100 feet Southerly (measured along said Westerly line) from the Northwesterly corner thereof; thence Southerly along the Westerly line of said Sublot No. 23, and along the Southerly prolongation thereof about 60 feet to the Northerly line of Utica Avenue, N.E.; (thence Easterly along said Northerly line of Utica Avenue, N.E.) 40 feet to its intersection with the Southerly prolongation of the Easterly line of said Sublot No. 23; thence Northerly along said Southerly prolongation and along the Easterly line of said Sublot No. 23 about 60 feet to a point 100 feet Southerly from the Northeasterly corner of said Sublot No. 23; thence Westerly 40 feet to the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6038</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6038</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004344&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Thomas Sullins Jr., et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Thomas Sullins Jr., the place of residence of each being unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Raymond Harvey, deceased, the place of residence of each being unknown, will take notice that on July 15, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $965.13 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel Nos.</p><p class="ssj">119-32-141 and 119-32-142</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being Sublot No. 3 in The Bicentennial Village Subdivision No. 1 being part of Original 100 Acre Lot No. 408, as shown by the recorded plat in Volume 278 of Maps, Page 66 of Cuyahoga County Records.</p><p class="ssj">Note: Legal description obtained from new plat recorded in Volume 278, Page 66 which combined both parcels into Sublot No. 3.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6040</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6040</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175346&mdash;In re: Estate of Mary Louise Hartman o.w. etc., deceased.</p><p class="ssj">Unknown creditors of the Estate of Mary L. Hartman o.w. Mary L. Hartman, deceased, the address of each being unknown, will take notice that on January 24, 2012, the undersigned, Richard J. Hartman, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Mary L. Hartman o.w. Mary L. Hartman, deceased, late of Parma Heights, Ohio, who died September 5, 2012.</p><p class="ssj">Said application is ordered set for hearing on the 14th day of March, 2012, at 9:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">RICHARD J. HARTMAN,</p><p class="ssc">Applicant.</p><p class="bold"> Albert G. Herh, III, Attorney</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6041</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6041</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175350&mdash;In re: Estate of Sally Loretta Grega, deceased.</p><p class="ssj">Unknown creditors of the Estate of Sally Loretta Grega, deceased, the address of each being unknown, will take notice that on January 24, 2012, the undersigned, Kenneth Sajovie, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Sally Loretta Grega, deceased, late of Parma Ohio, who died October 28, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 26th day of April, 2012, at 9:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">KENNETH SAJOVIE,</p><p class="ssc">Applicant.</p><p class="bold"> Robert C. Bianchi, Attorney</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6042</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6042</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175320&mdash;In re: Estate of Steve Fesz, deceased.</p><p class="ssj">Unknown creditors of the Estate of Steve Fesz, deceased, the address of each being unknown, will take notice that on January 23, 2012, the undersigned, Stacy Betley, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Steve Fesz, deceased, late of Strongsville, Ohio, who died September 24, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 19th day of March, 2012, at 8:45 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">STACY BETLEY,</p><p class="ssc">Applicant.</p><p class="bold"> Robert E. Lazzaro, Attorney</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6043</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6043</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175344&mdash;In re: Estate of Annie Fant, deceased.</p><p class="ssj">Unknown creditors of the Estate of Annie Fant, deceased, the address of each being unknown, will take notice that on January 24, 2012, the undersigned, Frederick W. Friend, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Annie Fant, deceased, late of Cleveland, Ohio who died January 17, 2012.</p><p class="ssj">Said application is ordered set for hearing on the 29th day of March, 2012, at 10:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">FREDERICK W. FRIEND,</p><p class="ssc">Applicant.</p><p class="bold"> Frederick W. Friend, Attorney</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6044</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6044</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175358&mdash;In re: Estate of Natalie Constance Radzio, deceased.</p><p class="ssj">Unknown creditors of the Estate of Natalie Constance Radzio, deceased, the address of each being unknown, will take notice that on January 24, 2012, the undersigned, Joseph G. Haubrich, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Natalie Constance Radzio, deceased, late of Shaker Heights, Ohio, who died August 17, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 15th day of March, 2012, at 10:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">JOSEPH G. HAUBRICH,</p><p class="ssc">Applicant.</p><p class="ssj">Jan28Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6045</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6045</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768178&mdash;Wells Fargo Bank, N.A. successor by merger to Wells Fargo Home Mortgage, Inc. vs. Kimberly A. Gibson, et al.</p><p class="ssj">Kimberly A. Gibson and John Doe, name unknown, spouse of Kimberly A. Gibson, whose last known place of residence is 94-258 Leowahine Street, Apartment 44, Waipahu, HI 96797, otherwise whose place of residence is unknown, will take notice that on November 2, 2011, the undersigned, Wells Fargo Bank, N.A. successor by merger to Wells Fargo Home Mortgage, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $114,733.52, plus any sums advanced, with interest at 2.0000% per annum from June 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 704-14-057</p><p class="ssj">Situated in the City of South Euclid, County of Cuyahoga, and State of Ohio, and known as being Sub Lot 55B in a Re-Allotment of Golf Park Allotment of part of Original Euclid Township Lots Nos. 64 and 65, Tract No. 2 as shown by the recorded plat in Volume 114 of Maps, Page 40 of Cuyahoga County Records, and being 40 feet front on the Southerly side of Stonehaven Road, and extending back between parallel lines 136 feet deep, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 4146 Stonehaven Road, South Euclid, Ohio 44121</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 13th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A. SUCCESSOR BY MERGER TO WELLS FARGO HOME MORTGAGE, INC.</p><p class="bold">By Tina R. Edmondson and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6046</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6046</guid>
      <content:encoded><![CDATA[<p class="bold ssc">LEGAL Notice</p><p class="bold">764149&mdash;First  Federal Savings and Loan Association of Lakewood -vs.- William Mitchell, Deceased, et al. Defendants.</p><p class="ssj">Timothy Mitchell, Jane Doe, Unknown Spouse, if any of Timothy Mitchell, Charles Jackson, Jane Doe, Unknown Spouse, if any of Charles Jackson, Jacquis Streeter and, John Doe, Unknown Spouse, if any of Jacquis Streeter, whose last known address is unknown, and who cannot be served, will take notice that on September 12, 2011, Plaintiff filed a Complaint for Money, Foreclosure and other Equitable Relief in the Cuyahoga County Court of Common Pleas, Cuyahoga County, Ohio, Case No. CV-11-764149 against Barbara Clow Nelson, Fiduciary and others as Defendants, alleging that, on or about March 03, 1998, William Mitchell, executed and delivered a mortgage note (&quot;Note&quot;), in writing, in the original amount of $79,200.00; that William Mitchell is in default for all payments from April 01, 2011; that on March 03, 1998, said defendant, executed and delivered a certain Mortgage Deed in which said Defendant agreed, among other things, to pay the Note and to comply with all of the terms of the Mortgage Deed hereinafter described, which Mortgage Deed was filed in the Recorder's Office of Cuyahoga County, Ohio on March 03,  1998, recorded in Volume 98-02307, Page 5 that, further, the balance due on the Note is $63,005.11 with interest at the rate of 7.125% annum from April 01, 2011; that to secure the payment of the Note, William Mitchell, Unmarried, executed and delivered a certain Mortgage Deed to and thereby conveying, in fee simple, the following described premises:</p><p class="ssj">Situated in the City of Bedford, County of Cuyahoga and State of Ohio:</p><p class="ssj">And known as being Sublot No. 67 in the Suburban Land and Homes Company's Metropolitan Park Subdivision of part of Original Bedford Township Lot Nos. 24, 25, 34 and 35, as shown by the recorded plat in Volume 82 of Maps, Page 1 of Cuyahoga County Records.</p><p class="ssj">217 Wandle Avenue, Bedford, OH 44146</p><p class="ssj">Permanent Parcel Number: 811-19-044</p><p class="ssj">Commonly known as 217 Wandle Avenue, Bedford, OH 44146</p><p class="ssj">and further alleging that the aforesaid Mortgage is a valid and subsisting first and best lien upon said premises after the lien of the Treasurer; that the Note is in default, whereby the conditions set forth in the Note and Mortgage have been broken, that the Mortgage has become absolute and that Plaintiff is entitled, therefore, to have the Mortgage foreclosed, the premises sold, and the proceeds applied in payment of Plaintiff's claims; that the Defendants, Timothy Mitchell, Jane Doe, Unknown Spouse, if any of Timothy Mitchell, Charles Jackson, Jane Doe, Unknown Spouse, if any of Charles Jackson, Jacquis Streeter and, John Doe, Unknown Spouse, if any of Jacquis Streeter, among others, may have or claim to have some interest in or lien upon said premises; that all of the Defendants are required to set forth any claim, lien or interest in or upon the premises that he, she, or it may have or claim to have or be forever barred therefrom; that Plaintiff's Mortgage be declared to be a valid and subsisting first and best lien upon said premises after the lien of the Treasurer, if any, that its Mortgage be foreclosed; that all liens be marshaled; that the equity of redemption of all Defendants be forever cut off, barred, and foreclosed; that upon the sale of said premises the proceeds be paid to Plaintiff to satisfy the amount of its existing lien and the interest, together with its disbursements, advancements, and costs herein expended; and for such other and further relief to which is may be entitled in equity or at law.</p><p class="ssj">Defendants are further notified that they are required to answer the Complaint on or before March 13, 2012 which includes twenty-eight (28) days from the last publishing, or judgment may be rendered as prayed for therein.</p><p class="bold">By Manbir S. Sandhu, Attorney for Plaintiff.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6047</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6047</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">764585&mdash;Continental West Condominium Unit Owners Association, Inc. vs. Estate of Patricia Weeton, et al.</p><p class="ssj">The Unknown Heirs, Administrators, Assigns, Legatees, Devisees and Creditors of Patricia T. Weeton, deceased, whose last known place of residence and present place of residence are unknown, will take notice that on September 16, 2011, the undersigned, Continental West Condominium Unit Owners Association, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that Defendant, Patricia T. Weeton owns the condominium unit known as 3400 Wooster Road, #112, Rocky River, OH 44116 and more fully described as follows to wit:</p><p class="ssc">Permanent Parcel Nos. </p><p class="ssj">304-27-308 and 304-27-509</p><p class="ssj">Address: 3400 Wooster Road, #112, Rocky River, OH 44116</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Pursuant to the authority of Section 5311.18 of Ohio Revised Code, the Plaintiff filed its Certificate of Lien on the property to secure payment of the maintenance fees, common expenses and assessments; that said lien is a good and valid subsisting lien, second only to real estate taxes and prior recorded liens of first mortgages on the condominium unit, in accordance with Section 5311.18 of the Ohio Revised Code; that there is currently due the Plaintiff, based upon the above lien and additional unpaid maintenance fees and assessments, the total sum of $6.634.52 plus interest at the rate of 8% as provided for in the Declaration of Condominium Ownership as of September 15, 2011; that Plaintiff is further owed maintenance fees and assessments incurred subsequent to the filing of this action in an amount to be later determined.</p><p class="ssj">Plaintiff prays that:</p><p class="ssj">(a) Plaintiff be granted a finding in the sum of $6,634.52 upon which execution may issue:</p><p class="ssj">(b) Plaintiff be granted a finding for maintenance fees and assessments incurred subsequent to the filing of this action in an amount to be determined, plus interest and costs;</p><p class="ssj">(c) All Defendants be required to answer and set forth any claim that they may have in said premises or be forever barred;</p><p class="ssj">(d) Plaintiff's lien be found to be good and valid lien upon said property;</p><p class="ssj">(e) All liens on said property be marshaled and the premises be ordered appraised, advertised and sold according to law;</p><p class="ssj">(f) Plaintiff recover its costs herein, including the cost incurred for the preliminary judicial report;</p><p class="ssj">(g) Plaintiff recover its attorney fees and court costs of the within action from the proceeds of the sale; or alternatively, that Plaintiff be granted judgment for attorneys' fees and costs, upon which execution may issue; and that</p><p class="ssj">(h) Plaintiff be granted any additional relief to which it may be entitled to at law or in equity, including, but not limited to additional unpaid condominium maintenance fees and special assessments incurred subsequent to the filing of the within action.</p><p class="ssj">The defendants named above are required to answer on or before the 13th day of March, 2012.</p><p class="ssj">CONTINENTAL WEST CONDOMINIUM UNIT OWNERS ASSOCIATION, INC.</p><p class="bold">By Darcy Mehling Good and Joseph E. DiBaggio, Attorneys for Plaintiff.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6048</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6048</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">756083&mdash;CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc. vs. James P. Lance aka James Lance, et al.</p><p class="ssj">Cindy A. Lance aka Cindy Lance, whose last known place of residence is 2801 Revere Road, Fresno, CA 93720, otherwise whose place of residence is unknown, will take notice that on May 25, 2011, the undersigned, CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $51,541.70, plus any sums advanced, with interest at 5.2500% per annum from October 1, 2009, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 544-15-027</p><p class="ssj">Situated in the City of Garfield Heights, County of Cuyahoga, and State of Ohio: And known as being Sublot No. 41 in the Seltzer-Round Company's Garfield Park Overlook Allotment No. 4 of part of Original Independence Township Lot No. 1, Tract No. 1 East of the River, as shown by the recorded plat in Volume 88 of Maps, Page 24 of Cuyahoga County Records and being 40 feet front on the Southerly side of Garland Avenue and extending back of equal width 110 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 12804 Garland Ave., Cleveland, OH 44125</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 13th day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC. SUCCESSOR BY MERGER TO ABN AMRO MORTGAGE GROUP, INC.</p><p class="bold">By Christopher M. Schwieterman and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6049</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6049</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">756354&mdash;Sunrise Cove Condominium No. 4 Association vs. Frank Rodriguez, et al.</p><p class="ssj">Frank Rodriguez, whose last known place of residence is 9741 Sunrise Blvd., Unit M-18, North Royalton, Ohio 44133, otherwise whose place of residence is unknown; Jane Doe, Unknown Spouse if any, of Frank Rodriguez, whose last known place of residence is 9741 Sunrise Blvd., Unit M-18, North Royalton, Ohio 44133, otherwise whose place of residence is unknown will take notice that on November 28, 2011, the undersigned, Sunrise Cove Condominium No. 4 Association, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that Defendant, Frank Rodriguez, is the record owner of 9741 Sunrise Blvd., Unit M-18, North Royalton, Ohio 44133, of said condominium property. Permanent Parcel Number 481-29-680.</p><p class="ssj">That on or about 17th day of September 2010, the duly elected and acting Board of Directors of said condominium property assessed against the said Defendant Frank Rodriguez and his said unit, the sum of $1,141.12 as his fair and reasonable percentage of the common expenses pertaining to the said condominium property; and the same not having been paid upon demand within ten (10) days after it became due and payable, pursuant to the authorization given by said Board of Directors, a Certificate of Lien was filed against said Defendant, Frank Rodriguez, and his said property and recorded on September 17, 2010 as Instrument No. 201009170332, with interest thereon at the prevailing statutory rate per annum from September 17, 2010 and the current monthly maintenance fee as it accrues from the date of said lien forward; and that it is now a good and valid subsisting lien on the unit of said Defendant, Frank Rodriguez.</p><p class="ssj">That Plaintiff is further owed from Defendant, Frank Rodriguez, maintenance fees and assessments which accrue subsequent to the filing of the aforementioned lien.</p><p class="ssj">Plaintiff prays for the following:</p><p class="ssj">(a) Plaintiff be granted judgment against Defendant, Frank Rodriguez, in the amount of $8,955.66 plus interest  for past due assessments;</p><p class="ssj">(b) Plaintiff be granted judgment for assessments incurred subsequent to the filing of this action plus interest and costs;</p><p class="ssj">(c) Plaintiff be found to have a good and valid subsisting lien.</p><p class="ssj">(d) That all liens on the property of Frank Rodriguez be marshaled and the property be ordered sold;</p><p class="ssj">(e) Plaintiff be awarded costs for the filing of this foreclosure including costs for the preliminary judicial report;</p><p class="ssj">(f) Plaintiff be ordered to pay a reasonable rental for said property during the pendency of this action;</p><p class="ssj">(g) Plaintiff recover attorney fees from the proceeds of the sale or be granted judgment for said fees;</p><p class="ssj">(h) Plaintiff be granted a deficiency judgment should there be insufficient funds remaining after the sale of said property to satisfy the debt owed Plaintiff Association;</p><p class="ssj">(i) Plaintiff be granted any additional relief in law or equity which it may be entitled.</p><p class="ssj">The defendants named above are required to answer on or before the 13th day of March, 2012.</p><p class="ssj">SUNRISE COVE CONDOMINIUM NO. 4 ASSOCIATION.</p><p class="bold">By Arthur Edward Foth, Attorney for Plaintiff.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6050</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6050</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769354&mdash;Wells Fargo Bank, N.A., as Trustee for the Certificateholders of Park Place Securities, Inc. Asset-Backed Pass-Through Certificates, Series 2004-WCW1 vs. Jimmy D. Oldja, et al.</p><p class="ssj">OMC Mortgage, Inc., whose last known address and present address are unknown, will take notice that on November 16, 2011, the undersigned, Wells Fargo Bank, N.A., as Trustee for the Certificateholders of Park Place Securities, Inc. Asset- Backed Pass-Through Certificates, Series 2004-WCW1 c/o Bank of America, N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 009-20-106</p><p class="ssj">Address: 4283 West 17th Street, Cleveland, OH 44109</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 13th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A., AS TRUSTEE FOR THE CERTIFICATEHOLDERS OF PARK PLACE SECURITIES, INC. ASSET-BACKED PASS-THROUGH CERTIFICATES, SERIES 2004-WCW1 C/O BANK OF AMERICA, N.A.</p><p class="bold">By Carrie L. Rouse, Attorney for Plaintiff. Reisenfeld &amp; Associates, LPA LLC, 3962 Red Bank Road, Cincinnati, OH 45227. (513) 322-7000.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6051</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6051</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">773245&mdash;Shaker Courts Condominium Unit Owners' Association, Inc. vs. Cynthia C. Hollister, et al.</p><p class="ssj">John Doe, Unknown Spouse of Cynthia C. Hollister, deceased and Unknown heirs, Executors, Administrators, Devisees, Legatees, Assigns and Creditors of Cynthia C. Hollister, deceased, the place of residence of each being unknown, will take notice that on January 11, 2012, the undersigned, Shaker Courts Condominium Unit Owners' Association, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that Cynthia C. Hollister, now deceased, is the record title holder of the condominium unit known as 13500 Shaker Boulevard #401, Cleveland, OH 44120 and more fully described as follows to wit:</p><p class="ssc">Permanent Parcel No. 144-12-817C</p><p class="ssj">Address: 13500 Shaker Boulevard #401, Cleveland, OH 44120</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Pursuant to the authority of Section 5311.18 of Ohio Revised Code, the Plaintiff filed its Certificate of Lien on the property to secure payment of the maintenance fees, common expenses and assessments; that said lien is a good and valid subsisting lien, second only to real estate taxes and prior recorded liens of first mortgages on the condominium unit, in accordance with Section 5311.18 of the Ohio Revised Code; that there is currently due the Plaintiff, based upon the above lien and additional unpaid maintenance fees and assessments, the total sum of $7,610.50 plus interest at the rate of 10% per annum as provided for in the Declaration of Condominium Ownership as of January 1, 2012; that Plaintiff is further owed maintenance fees and assessments incurred subsequent to the filing of this action in an amount to be later determined.</p><p class="ssj">Plaintiff prays that:</p><p class="ssj">(a) Plaintiff be granted judgment in the sum of $7,610.50 upon which execution may issue:</p><p class="ssj">(b) Plaintiff be granted judgment for maintenance fees and assessments incurred subsequent to the filing of this action in an amount to be determined, plus interest and costs;</p><p class="ssj">(c) All Defendants be required to answer and set forth any claim that they may have in said premises or be forever barred;</p><p class="ssj">(d) Plaintiff's lien be found to be good and valid lien upon said property;</p><p class="ssj">(e) All liens on said property be marshaled and the premises be ordered appraised, advertised and sold according to law;</p><p class="ssj">(f) Plaintiff recover its costs herein, including the cost incurred for the preliminary judicial report;</p><p class="ssj">(g) Plaintiff recover its attorney fees and court costs of the within action from the proceeds of the sale; or alternatively, that Plaintiff be granted judgment for attorneys' fees and costs, upon which execution may issue; and that</p><p class="ssj">(h) Plaintiff be granted any additional relief to which it may be entitled to at law or in equity, including, but not limited to additional unpaid condominium maintenance fees and special assessments incurred subsequent to the filing of the within action.</p><p class="ssj">The defendants named above are required to answer on or before the 13th day of March, 2012.</p><p class="ssj">SHAKER COURTS CONDOMINIUM UNIT OWNERS' ASSOCIATION, INC.</p><p class="bold">By Darcy Mehling Good and James M. Collin, Attorneys for Plaintiff.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
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    <item>
      <title>Common Pleas Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticecommonpleasnotices/details/ref_index/6052</link>
      <guid>http://www.dln.com/noticecommonpleasnotices/details/ref_index/6052</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">766508&mdash;Pamela E. Ashby vs. Bob Carras, et al.</p><p class="ssj">Bob Carras, whose last known place of residence is 8700 Akins Road, North Royalton, Ohio 44133, otherwise whose place of residence is unknown, will take notice that on October 12, 2011, the undersigned, Pamela E. Ashby, filed her complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on or about August 5, 2010, Defendants Carras and Williams met and discussed Defendant Williams' concern that her husband, Thomas Williams, was having an extramarital sexual relationship; that as a consequence of this meeting, Defendant Carras placed Thomas Williams under observation; that on August 10, 2010, Defendant Carras issued a written communication to Defendant Williams identifying Plaintiff as the persom with whom Thomas Williams was having an extramarital sexual relationship; that Plaintiff has never been involved in an extramarital sexual relationship with Thomas Williams; that Defendant Carras either knew, should have known, or acted with reckless disregard for the truth, in issuing the written statement to Defendant Williams; that Defendant Carras published the statement to Defendant Williams; that Defendant Carras's actions constitute defamation per se; that as a direct and proximate result of Defendant Carras's actions in publishing the false statement, Plaintiff's reputation has been damaged, thereby harming Plaintiff; that as a direct and proximate result of Defendant Carras's actions in publishing the false statement, Plaintiff has been exposed to public hatred, ridicule, and/or contempt, thereby suffering harm.</p><p class="ssj">Plaintiff Pamela E. Ashby demands judgment against Defendants Bob Carras d/b/a Info Unlimited and Sherdina Williams as follows:</p><p class="ssj">1. Compensatory damages in an amount exceeding $25,000.</p><p class="ssj">2. Punitive damages exceeding $25,000.</p><p class="ssj">3. An award of Plaintiff's attorney fees.</p><p class="ssj">4. An award of Plaintiff's costs.</p><p class="ssj">5. Interest on the judgment awarded at the statutory rate from the date of judgment until paid; and,</p><p class="ssj">6. Any other relief this Court deems proper.</p><p class="ssj">The defendant named above is required to answer on or before the 3rd day of April, 2012.</p><p class="ssj">PAMELA E. ASHBY.</p><p class="bold">By Mark E. Porter, Attorney for Plaintiff.</p><p class="ssj">Jan31Feb7-14-21-28Mar6, 2012</p>]]></content:encoded>
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    <item>
      <title>Personal Injury Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepersonalinjury/details/ref_index/6053</link>
      <guid>http://www.dln.com/noticepersonalinjury/details/ref_index/6053</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">760165&mdash;Gary Guthrie vs. Audrey Schnell, et al.</p><p class="ssj">Audrey Schnell, whose last known place of residence is 1298 West 106th Street, Cleveland, OH 44102, otherwise whose place of residence is unknown; John Pasternak, whose last known place of residence is 1298 West 106th Street, Cleveland, OH 44102, otherwise whose place of residence is unknown; University Renovations,  whose last known address is 1300 West 10th Street, Cleveland, OH 44102, otherwise whose address is unknown, will take notice that on July 21, 2011, the undersigned, Gary Gutherie, filed his complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on or about July 25, 2009, Plaintiff was retained by Defendant University renovations, to work on the Defendant's property located at West 18th Street in the City of Cleveland, County of Cuyahoga and State of Ohio; that on or about July 25, 2009, Plaintiff began working on Defendant's property, installing motion detectors on a ladder; that on or about July 25, 2009, Plaintiff notified Defendant, Audrey Schnell and Defendant John Pasternak that he was working on a ladder located in front of the second floor entrance; that Plaintiff further instructed Defendant not to use the door until notified that Plaintiff's work was completed; that defendant, Audrey Schnell, walked through a door, tipping the ladder on which Plaintiff was working causing the Plaintiff to fall and suffer injuries; that as a direct and proximate result of the negligence and carelessness of the Defendant, Plaintiff has suffered personal injuries, incurred medical expenses and lost wages.</p><p class="ssj">Plaintiff demands judgment against the Defendants in excess of $25,000.00 plus attorneys, costs and any other sums this Court deems just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 3rd day of April, 2012.</p><p class="ssj">GARY GUTHRIE.</p><p class="bold">By David P. Thomas, Attorney for Plaintiff.</p><p class="ssj">Jan31Feb7-14-21-28Mar6, 2012</p>]]></content:encoded>
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    <item>
      <title>Personal Injury Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepersonalinjury/details/ref_index/6054</link>
      <guid>http://www.dln.com/noticepersonalinjury/details/ref_index/6054</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767998&mdash;David A. Boehme vs. View Nightclub, et al.</p><p class="ssj">View Nightclub,  whose last known address is 618 Prospect Ave., E., Cleveland, OH 44185, otherwise whose address is unknown, will take notice that on October 31, 2011, the undersigned, David A. Boehme, filed his complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on November 25, 2010, Plaintiff, David A. Boehme, was lawfully on the property of the View Nightclub located at 618 Prospect Avenue, East, Cleveland, Ohio 44185; that on November 25, 2010, Defendant and/or Defendants failed to provide appropriate and proper security provide for the safety of the Plaintiff; that as a result of Defendants' failure to provide the necessary security to provide for the safety of the Plaintiff, the Plaintiff was caused to suffer serious and debilitating physical injuries and emotional injuries as a result of being overtaken by other lawful patrons of the Defendants' business; that as a result of the Defendants' failure to provide for the security or safety of the Plaintiff, Plaintiff was caused to suffer injuries that required medical care and treatment from the date of his injuries, currently and into the foreseeable future and are permanent in nature.</p><p class="ssj">Plaintiff prays for damages against the Defendants in an amount in excess of $25,000.00 together with costs incurred.</p><p class="ssj">The defendant named above is required to answer on or before the 3rd day of April, 2012.</p><p class="ssj">DAVID A. BOEHME.</p><p class="bold">By Michael D. Shroge, Attorney for Plaintiff.</p><p class="ssj">Jan31Feb7-14-21-28Mar7, 2012</p>]]></content:encoded>
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    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/6055</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/6055</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">761676&mdash;Treasurer of Cuyahoga County, Ohio vs. John Buchko, et al.</p><p class="ssj">Sandra J. Scheutzow, whose last known address is c/o Stanley R. Badner, 4376 Sky Lane Drive, Cleveland, OH 44109, otherwise whose address is unknown, will take notice that on August 10, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $1,044.51 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 015-25-011</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being Sublot No. 18 in Gebhard Kuchle's Subdivision of a part of Original Brooklyn Township Lot No. 65, as shown by the recorded plat in Volume 28 of Maps, Page 1 of Cuyahoga County Records, and being 35 feet front on the Southerly side of Delmar Avenue S.W. (formerly Kuchle Street) and extending back of equal width 90 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 13th day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6056</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6056</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 005058&mdash;Treasurer of Cuyahoga County, Ohio vs. Edward E. Brewton, et al.</p><p class="ssj">Edward E. Brewton, whose last known place of residence is 2167 East 87th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; Unknown Spouse of Edward E. Brewton, whose last known place of residence is 2167 East 87th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; Lilann Brewton, whose last known place of residence is 2167 East 87th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; Unknown Spouse of Lilann Brewton, whose last known place of residence is 2167 East 87th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; Nancy Buchanan, whose last known place of residence is 2167 East 87th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; Unknown Spouse of Nancy Buchanan, whose last known place of residence is 2167 East 87th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; Clara M. Carter, whose last known place of residence is 2167 East 87th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; and Unknown Spouse of Clara M. Carter, whose last known place of residence is 2167 East 87th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown, will take notice that on December 8, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $268.68 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 119-31-051</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being a part of Original One Hundred Acre Lot No. 408, and bounded and described as follows: Beginning on the Easterly line of East 87th Street, (formerly Vienna Street), at a point 164 feet Southerly from the Southerly line of Cedar Avenue S.E., which point is also the Southwesterly corner of land conveyed to John C. McClure by deed dated February 11, 1901, and recorded in Volume 770, Page 600 of Cuyahoga County Records; Thence Southerly along the said Easterly line of East 87th Street, 40 feet to the Northwesterly corner of land conveyed to W.E. Kneale by deed dated April 10, 1900, and recorded in Volume 748, Page 382 of Cuyahoga County Records; thence Easterly along the Northerly line of land so conveyed to W.E. Kneale to a Southwesterly corner of land conveyed to John C. McClure by deed dated September 2, 1913, and recorded in Volume 1472, Page 335 of Cuyahoga County Records; thence Northerly along a Westerly line of land so conveyed to John C. McClure about 33 29/100 feet to an angle; thence Westerly along a Southerly line of land so conveyed to John C. McClure and along the Southerly lne of land conveyed to John C. McClure by deed dated February 11, 1901, and recorded in Volume 770, Page 600 of Cuyahoga County Records to the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $425.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6057</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6057</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004748&mdash;Treasurer of Cuyahoga County, Ohio vs. Carmen Ortiz, et al.</p><p class="ssj">Carmen Ortiz, whose last known place of residence is 2028 West 105th Street, Cleveland, OH 44102, otherwise whose place of residence is unknown; and Unknown Spouse of Carmen Ortiz, whose last known place of residence is 2028 West 105th Street, Cleveland, OH 44102, otherwise whose place of residence is unknown, will take notice that on September 27, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $544.72 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 005-18-148</p><p class="ssj">Situated in the County of Cuyahoga, in the State of Ohio and in the City of Cleveland: And known as being Sublot No. 176 and the Southerly one-half of Sublot No. 177 in Bradley and Cobb's Madison Park Allotment of part of Original Township Lot No. 8, as shown by the recorded plat in Volume 23 of Maps, Page 14 of Cuyahoga County Records. Said Sublot No. 176 and part of Sublot No. 177 together form a parcel of land having a frontage of 39 feet on the westerly side of West 105th Street, formerly Prescot Street, and extending back between parallel lines 113 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6058</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6058</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004624&mdash;Treasurer of Cuyahoga County, Ohio vs. Raymond Deanna, et al.</p><p class="ssj">Leo R. Hunter, whose last known place of residence is 4165 Cherokee Trail, Brunswick, OH 44212, otherwise whose place of residence is unknown; and Ola M. Hunter, whose last known place of residence is 4165 Cherokee Trail, Brunswick, OH 44212, otherwise whose place of residence is unknown, will take notice that on August 31, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $10,139.56 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 016-21-052</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being the Easterly part of Sublot  No. 30 in Joseph Tomasch Subdivision of part of Original Brooklyn Township Lot No. 46, as shown by the recorded plat in Volume 35 of Maps, Page 18 of Cuyahoga County Records and being 45 feet front on the Westerly side of West 48th Street and extending back 90.82 feet on the Southerly line, 80.95 feet on the Northerly line and having a rear line of 32 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $445.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6059</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6059</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004613&mdash;Treasurer of Cuyahoga County, Ohio vs. Nathan Prusak, et al.</p><p class="ssj">Nathan Prusak, whose last known place of residence is 3527 East 144th Street, Clevleand, OH 44128, otherwise whose place of residence is unknown; and Unknown Spouse of Nathan Prusak, whose last known place of residence is 3527 East 144th Street, Clevleand, OH 44128, otherwise whose place of residence is unknown, will take notice that on August 24, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $633.25 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. </p><p class="ssj">139-10-081 and 139-10-082</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being Sublot Nos. 212 and 213 in the Greenleaf Realty Company's Subdivision of part of Original Warrensville Township Lot Nos. 51 and 61, as shown by the recorded plat in Volume 61 of Maps, Page 10 of Cuyahoga County Records and together forming a parcel of land 80 feet front on the Easterly side of East 144th Street and extending back of equal width 121.58 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Note: The above legal description was taken from deed in Volume 95-6300, Page 33 of Cuyahoga County Records. Our vesting deed shows Subdivision twice.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6060</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6060</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004608&mdash;Treasurer of Cuyahoga County, Ohio vs. Herman D. Scheer, et al.</p><p class="ssj">Herman D. Scheer, whose last known address is Ward 7 Outreach Office, 8610 Hough Avenue, Cleveland, OH 44106, otherwise whose address is unknown; Unknown Spouse of Herman D. Scheer, whose last known address is Ward 7 Outreach Office, 8610 Hough Avenue, Cleveland, OH 44106, otherwise whose address is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Abraham Scheer, deceased, the place of residence of each being unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Suzanne M. Scheer, deceased, the place of residence of each being unknown, will take notice that on August 24, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $180.44 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 118-09-008</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being Sublot No. 4 in the George M. Spangler's Subdivision of part of Original One Hundred Acre Lot No. 342, as shown by the recorded plat in Volume 31 of Maps, Page 9 of Cuyahoga County Records, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6061</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6061</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004453&mdash;Treasurer of Cuyahoga County, Ohio vs. Sanchez Reid, et al.</p><p class="ssj">American Business Credit, Inc., whose last known address is c/o CSC Lawyers Incorporating Service (Corporation Service Company), Statutory Agent, 50 West Broad Street, Suite 1800, Columbus, OH 43215, otherwise whose address is unknown, will take notice that on August 3, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $3,368.59 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 105-16-065</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being described as follows to wit: And known as being Sublot No. 120 in the W.J. Gordon Realty Company's Subdivision No. 1 of part of Original One Hundred Acre Lots Nos. 348 and 350, as shown by the recorded plat in Volume 30 of Maps, Page 17 of Cuyahoga County Records and being 40 feet front on the Westerly side of East 73rd Street, (formerly Florida Street) and extending back of equal width 90 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6062</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6062</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004201&mdash;Treasurer of Cuyahoga County, Ohio vs. Steevie A. White, et al.</p><p class="ssj">Unknown Spouse of Steevie A. White, whose last known place of residence is 4756 Country Lane, Apartment 218, Cleveland, OH 44128, otherwise whose place of residence is unknown, will take notice that on June 8, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $2,128.65 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 139-10-075</p><p class="ssj">Situated in the County of Cuyahoga, in the State of Ohio and in the City of Cleveland, and known as being Sublot No. 206 in Greenleaf Realty Company's Subdivision of part of Original Warrensville Township Lots Nos. 51 and 61, as shown by the recorded plat in Volume 61 of Maps, Page 10 of Cuyahoga County Records and being 40 feet front on the Easterly side of East 144th Street, and extending back of equal width 121.58/100 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Jan31Feb7-14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6063</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6063</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Notice of Lien Sale / Public Auction</p><p class="ssj">In accordance with the provisions of State law there being due and unpaid charges for which the undersigned is entitled to satisfy an owner and/ or managers lien of the goods hereinafter described and stored at the Uncle Bob's Self Storage location(s) listed below. And, due notice having been given, to the owner of said property and all parties known to claim an interest therein, and the time specified in such notice for payment of such having expired, the goods will be sold at public auction at the below stated location(s) to the highest bidder or otherwise disposed of at the dates and times listed below.</p><p class="ssj">Date: Friday, February 17, 2011 at 11:00 AM.</p><p class="ssj">Uncle Bob's Self Storage, 19200 Neff Road, Cleveland, OH 44119;</p><p class="ssj">Phone Number: (216) 531-6093.</p><p class="ssj">Bill Harris, 20981 Ball Ave, Euclid, OH 44123; Household Goods</p><p class="ssj">Nathaniel Holmes, 2250 Community College Apt 813, Cleveland, OH 44115; Other: Clothes</p><p class="ssj">Eric McKinney, 1671 Catalpa, Cleveland, OH 44112; Household Goods, Furniture, Boxes, Appliances, TV's or Stereo Equip.</p><p class="ssj">Yvonne Worthy, 19600 Arrowhead Ave, Cleveland, OH 44119; Household Goods, Furniture, Boxes, Appliances, TV's or Stereo Equip., Other: Clothes</p><p class="ssj">Ralph Johnson, 1241 Locke Ave, Cleveland, OH 44118; Household Goods, Furniture, Boxes, TV's or Stereo Equip., Office Furniture, Office Machines/Equip.</p><p class="ssj">Latasha Smith, 1811 Dansy Dr, Euclid, OH 44117; Household Goods, Furniture, Boxes, TV's or Stereo Equip.</p><p class="ssj">Andre Baird, 4043 Ohalona St., South Euclid, OH 44121; Household Goods</p><p class="ssj">Kiera D. Brown, 1749 Hillview Rd. 2nd Flr, Cleveland, OH 44112; Household Goods, Furniture, Boxes, TV's or Stereo Equip.</p><p class="ssj">Songtao Xie, 9000 SW 77 Ave. Apt F15, Miami, FL 33156; Household Goods, Boxes</p><p class="ssj">India Daniels, 19211 Shawnee #2, Cleveland, OH 44119; Household Goods, Furniture, Boxes</p><p class="ssj">Marshall Sparks, 1751 Catalpa, Cleveland, OH 44112; Household Goods, Furniture, Boxes, Tools, Appliances, TV's or Stereo Equip.</p><p class="ssj">Tiffany Howard, PO Box 21606, South Euclid, OH 44121; Boxes, Appliances, Other: Business</p><p class="ssj">Tiffany Hull, 1286 E.152nd, East Cleveland, OH 44112; Household Goods, Furniture, Boxes, Appliances, TV's or Stereo Equip., Other: Clothes</p><p class="ssj">Betty M White, 4248 E.176 St., Cleveland, OH 44128; Household Goods, Furniture, Boxes, Appliances, TV's or Stereo Equip.</p><p class="ssj">Lakiesha Drake, 22280 Euclid #207, Euclid, OH 44117; Household Goods, Furniture, Boxes, Tools, Appliances, TV's or Stereo Equip</p><p class="ssj">Date: Friday, February 17, 2012 at 12:30 PM.</p><p class="ssj">Uncle Bob's Self Storage, 1455 Broadway Ave., Bedford, OH 44146;</p><p class="ssj">Phone Number: (440) 232-5031.</p><p class="ssj">Jasper R. Alexander, 25300 Rockside Rd 512-B, Bedford Hts, OH 44146</p><p class="ssj">Household goods, Boxes</p><p class="ssj">Teressa Griffin, 26217 Cambridge Lane Apt 202, Warrensville, OH 44128</p><p class="ssj">Household goods, Furniture, TV/Stereo equip</p><p class="ssj">Sherdina Calloway, 11903 Browning, Cleveland, OH 44120</p><p class="ssj">Househood goods, Furniture, Boxes, TV/Stereo equip, Office machines/equip</p><p class="ssj">Clint Campbell, 4909 Orchard Rd, Garfield Hts, OH 44128</p><p class="ssj">Household goods, Furniture, Boxes, Tools, Appliances, TV/Stereo equip, Office furniture, Construction equip</p><p class="ssj">Sam Bigham, 7210 Glenshire Road, Oakwood Vlg, OH 44146</p><p class="ssj">Household goods, Furniture, Boxes, Tools, Appliances</p><p class="ssj">Sharlene Hill, 15519 Fernway Dr, Maple Hts, OH 44137</p><p class="ssj">Household goods, Furniture, Boxes, Appliances, TV/Stereo equip, Office machines/equip</p><p class="ssj">Jewel Tompkins, 12620 Corlett Ave, Cleveland, OH 44105</p><p class="ssj">Furniture, Appliances</p><p class="ssj">Robert Cosgrove, 10132 Bissell, Twinsburg, OH 44087</p><p class="ssj">Household goods, Furniture, Boxes, Tools, TV/Stereo equip</p><p class="ssj">Tracye Knuckles, 646 Turney Rd #218, Bedford, OH 44146</p><p class="ssj">Household goods, Furniture</p><p class="ssj">Carol Fordham, 550 Helper Drive, Bedford, OH 44146</p><p class="ssj">Household goods, Furniture, Boxes, Tools, Appliances, TV/Stereo equip, Office furniture, Office machines/equip</p><p class="ssj">Denise Jenkins, 220 S. Main St, Chagrin Falls, OH 44022</p><p class="ssj">Household goods, Furniture, Boxes, Sporting goods, Appliances, TV/Stereo equip</p><p class="ssj">Camille Couch, 10041 Patton St, Twinsburg, OH 44087</p><p class="ssj">Household goods, Furniture, Boxes, Appliances, TV/Stereo equip</p><p class="ssj">Date: Friday, February 17, 2012 at 2:00 PM.</p><p class="ssj">Uncle Bob's Self Storage, 15101 McCracken Road, Cleveland, OH 44128;</p><p class="ssj">Phone Number: (216) 475-3124.</p><p class="ssj">Darrell Howard, 3933 E. 67th St, Cleveland, OH 44105</p><p class="ssj">Tools, construction equip, landscaping equip, other - parts</p><p class="ssj">Reginald M. Preston, 4364 E 144, Cleveland, OH 44128</p><p class="ssj">Household goods, furniture, boxes, sporting goods, appliances, TV's or stereo equip</p><p class="ssj">Chris Maholtz, 1516 W. Royalton Rd, Broadview, OH 44147</p><p class="ssj">Household gopods, furniture, boxes, appliances, other</p><p class="ssj">Bryan Luton, 3764 East 127 St, CLeveland, OH 44105</p><p class="ssj">Household goods, boxes, sporting goods, appliances, other - dishes</p><p class="ssj">Pierre Warren, 16901 Ridgeton, Cleveland, OH 44128</p><p class="ssj">Furniture, appliances, TV's or stereo equip</p><p class="ssj">Kenita Tatum, 13510 Ferris Ave, Cleveland, OH 44105</p><p class="ssj">Household goods, furniture, boxes, appliances</p><p class="ssj">Angela Jenkins, 3686 Avalon Rd, Shaker Hts, OH 44125</p><p class="ssj">Household goods, furniture, boxes, appliances, TV's or stereo equip</p><p class="ssj">Sherry Jackson, 3883 Wallingford St, South Euclid, OH 44121</p><p class="ssj">Household goods, furniture, boxes, appliances, TV's or stereo equip</p><p class="ssj">Ernest Hughes, 2282 Walden, East Cleveland, OH 44112</p><p class="ssj">Household goods, furniture, boxes, sporting goods, tools, appliances, TV's or stereo equip, office equip, landscaping equip, account records</p><p class="ssj">Justin Belcher, 5930 Monica Lane, Garfield Hts, OH 44125</p><p class="ssj">Household goods, furniture, boxes, sporting goods, tools, appliances, account records, TV's or stereo equip, office furniture, office machines/equip, ladscaping equip</p><p class="ssj">Lilian Johnson, 19617 Cherrywood Lane, Warr Hts, OH 44128</p><p class="ssj">Household goods, furniture, boxes, TV's or stereo equip</p><p class="ssj">Date: Wednesday, February 22, 2012 at 10:00 AM.</p><p class="ssj">Uncle Bob's Self Storage, 24940 Detroit Road, Westlake, OH 44145.</p><p class="ssj">Phone Number: (440) 871-9650.</p><p class="ssj">B95, Angelique Beckwith, 1116 B Carver Homes , Florence, AL 35630</p><p class="ssj">Household goods, furniture, boxes, sporting goods, tools, TV's or stereo equip.</p><p class="ssj">C107, Allen Scott Warchak, P.O.Box 81711, Cleveland, OH 44181-0711</p><p class="ssj">Household goods, boxes, tools</p><p class="ssj">Date: Wednesday, February 22, 2012 at 10:30 AM.</p><p class="ssj">Uncle Bob's Self Storage, 24560 Sperry Drive, Westlake, OH 44145.</p><p class="ssj">Phone Number: (440) 892-0798.</p><p class="ssj">Michelle Trombetto 10818 Mitchell Rd. Columbia, OH 44028 </p><p class="ssj">Household Goods, Boxes</p><p class="ssj">PAB Marketing P.O. Box 40536 Cleveland, OH 44140 </p><p class="ssj">Office Furniture, Office Machines/Equip.</p><p class="ssj">Desira McRoberts 9514 Willard Ave. Cleve., OH 44102 </p><p class="ssj">Household Goods, Furniture, Boxes, Appliances</p><p class="ssj">Clara Allen 1103 Buhrer Ave. Cleveland, OH 44109 </p><p class="ssj">Furniture, Boxes, Tools, Appliances</p><p class="ssj">Amanda Gawne 909 Enterprise Cove Ave. #208 Orange City, FL 32763 </p><p class="ssj">Household Goods, Furniture, Boxes</p><p class="ssj">Kathi Officer 1355 Summit Lakewood, OH 44107</p><p class="ssj">Household Goods, Furniture, Boxes, Appliances</p><p class="ssj">Date: Wednesday, February 22, 2012 at 1:00 PM.</p><p class="ssj">Uncle Bob's Self Storage, 4976 West 130th St., Brook Park, OH 44135.</p><p class="ssj">Phone Number: (216) 267-6018.</p><p class="ssj">Donna Harris, 38300 30th St. East #201, Palmdale, CA 93552</p><p class="ssj">Furniture, Boxes, Clothes</p><p class="ssj">Michael Springer, 3685 E. 118th St., Cleve., OH 44105</p><p class="ssj">Household goods, furniture, TV's or stereo Equip.</p><p class="ssj">Danielle Winfield, 5304 Tillman Ave., Cleveland, OH. 44102</p><p class="ssj">Household goods, furniture, Boxes, TV's or stereo Equip.</p><p class="ssj">Richard Moore, 3474 Hunting Run Rd., Medina, OH. 44256</p><p class="ssj">Household goods, furniture, Boxes, Tools, Appliances, TV's or stereo Equip.</p><p class="ssj">Crystal Ezell, 4320 Rockyriver Dr. apt302, Cleve., OH 44135</p><p class="ssj">Household goods, furniture, Boxes, Appliances, TV's or stereo Equip.</p><p class="ssj">Amissha Swanson, 3939 Brookside Blvd, Cleveland, OH 44111</p><p class="ssj">Household goods, furniture, Boxes, Appliances, TV's or stereo Equip.</p><p class="ssj">Yaisa Jones, 3394 W 97 St, Cleve, OH 44102</p><p class="ssj">Household goods, furniture, Boxes, sporting goods, Tools, Appliances, TV's or stereo Equip., office furniture, Other</p><p class="ssj">Kathleen Badger, 485 N. Rocky River Dr., Berea, OH 44017</p><p class="ssj">Household goods, Boxes, TV's or stereo Equip.</p><p class="ssc">UNCLE BOB'S SELF-STORAGE</p><p class="ssj">Jan31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6064</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6064</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771602&mdash;Bank of America, National Association vs. Joan M. Raggets, et al.</p><p class="ssj">Unknown heirs, the devisees, legatees, executors, administrators, and assigns of Joan M. Raggets, and the guardians of minor and/or incompetent heirs of Joan M. Raggets (if any), the place of residence of each being unknown, will take notice that on January 3, 2012, the undersigned, Bank of America, National Association, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 645-27-015</p><p class="ssj">Address: 26801 Oriole Avenue, Euclid, OH 44132</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 14th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, NATIONAL ASSOCIATION.</p><p class="bold">By Ann M. Johnson, Attorney for Plaintiff. Manley Deas Kochalski, LLC, P.O. Box 165028, Columbus, OH 43216. (614) 222-4921.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6065</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6065</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767810&mdash;Wells Fargo Bank, N.A., as Trustee for the Cerificateholders of Park Place Securities, Inc., Asset-Backed Pass-Through Certificates, Series 2004-WCW1 vs. Joseph Czupih, et al.</p><p class="ssj">Mortgage Acceptence Corporation and The Unknown Successors, Assigns and Surviving Entities of Mortgage Acceptance Corporation, whose last known address and present address are unknown, will take notice that on October 28, 2011, the undersigned, Wells Fargo Bank, N.A., as Trustee for the Cerificateholders of Park Place Securities, Inc., Asset-Backed Pass-Through Certificates, Series 2004-WCW1, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $77,357.69, plus any sums advanced, with interest at 6.8500% per annum from October 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel Nos. 007-24-006 &amp; 007-24-008</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio, and being more particularly described as follows:</p><p class="ssj">And known as being the Southerly 76 feet of the Westerly 15 feet of Sublot No. 240 and the Southerly 76 feet of the Easterly 20 feet of Sublot No. 241 in H. Stone's Addition, being a Subdivision of part of Original Brooklyn Township Lot Number 53 and 68, as shown by the recorded plat in Volume 1 of Maps, Page 42 of Cuyahoga County Records, and together forming a parcel of land 15 feet front on the Northerly side of Barber Court Southwest (formerly and alley) and extending back of equal width 76 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio, and known as being part of Sublot No. 240 in Hiram Stone's Addition of part of Original Brooklyn Township Lots Nos. 53 and 68, as shown by the recorded plat in Volume 1 of Maps, Page 41 and 42 of Cuyahoga County Records, and bounded and described as follows: Beginning at the Southwesterly corner of Sublot No. 240; thence Westerly along the Northerly line of Barber Court, S.W., 35 feet; thence Northerly to a point which is 80 feet Southerly from the Southerly line of Barber Avenue, S.W., which point is also the Southwesterly corner of land conveyed to Catherine and Charles Declerg, by deed dated November 4, 1891 and recorded in Volume 502, Page 466 of Cuyahoga County Records; thence Easterly, along the Southerly line of said Declerg's land to the Easterly line of said Sublot No. 240; thence Southerly along said Easterly line of about 75 feet to the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 3105 Barber Court, Cleveland, Ohio 44113</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the mortgage filed for record on 05/20/04, in Instrument No. 200405200785 and executed by the primary defendants and delivered by them to plaintiff's predecessor in interest lists John Czupih and Dena M. Czupih, as married instead of husband and wife in the Granting Clause of said mortgage.</p><p class="ssj">Because this mistake was the result of a scrivener's error and mutual mistake of fact between the parties to said document, plaintiff is entitled to have the above described mortgage reformed to properly state &quot;Joseph Czupih and Dena M. Czupih, husband and wife' in the Granting Clause. Plaintiff is further entitled to an order of this Court decreeing the property as described in Plaintiff's mortgages be sold at sheriff's sale.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 14th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A., AS TRUSTEE FOR THE CERIFICATEHOLDERS OF PARK PLACE SECURITIES, INC., ASSET-BACKED PASS-THROUGH CERTIFICATES, SERIES 2004-WCW1.</p><p class="bold">By Jeffrey A. Tobe and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6066</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6066</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">765707&mdash;PNC Bank, National Association vs. Carmen J. Montes, et al.</p><p class="ssj">Able Rivera and Jane Doe, name unknown, spouse of Abel Rivera, whose last known place of residence is 6305 Bridge Avenue, Cleveland, OH 44102, otherwise whose place of residence is unknown, will take notice that on October 3, 2011, the undersigned, PNC Bank, National Association, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $73,712.81, plus any sums advanced, with interest at 7.3750% per annum from June 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 002-29-016</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio: and known as being all of Sublot No. 286 and the Easterly 10 feet of Sublot No. 287 in the Gordon Avenue Allotment of part of Original Brooklyn Township Lot No. 32 as shown by the recorded plat in Volume 21 of Maps, Page 2 of Cuyahoga County Records together forming a parcel of land 40 feet front on the Southerly side of Bridge Avenue N.W. and extending back of equal width 125.50 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 6305 Bridge Ave., Cleveland, Ohio 44102</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 14th day of March, 2012.</p><p class="ssj">PNC BANK, NATIONAL ASSOCIATION.</p><p class="bold">By Matthew A. Taulbee and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6067</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6067</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">763100&mdash;The Meridian Condomnium, Inc. vs. Howard Genser, et al.</p><p class="ssj">Howard Genser, Jr. and Naomi M. Genser, whose last known place of residence and present place of residence are unknown, will take notice that on August 30, 2011, the undersigned, The Meridian Condominium, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that Defendants, Howard Genser, Jr. and Naomi M. Genser own the condominium unit known as 12550 Lake Avenue, #1306, Lakewood, OH 44107 and more fully described as follows to wit:</p><p class="ssc">Permanent Parcel No. 312-08-449</p><p class="ssj">Address: 12550 Lake Avenue, #1306, Lakewood, OH 44107</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Pursuant to the authority of Section 5311.18 of Ohio Revised Code, the Plaintiff filed its Certificate of Lien on the property to secure payment of the maintenance fees, common expenses and assessments; that said lien is a good and valid subsisting lien, second only to real estate taxes and prior recorded liens of first mortgages on the condominium unit, in accordance with Section 5311.18 of the Ohio Revised Code; that there is currently due the Plaintiff from Defendants, Howard Genser, Jr. and Naomi M. Genser, based upon the above lien and additional unpaid maintenance fees and assessments, the total sum of $14,837.75 plus interest at the rate of 10% as provided for in the Declaration of Condominium Ownership as of July 28, 2011; that Plaintiff is further owed from the Defendants, Howard Genser, Jr. and Naomi M. Genser, maintenance fees and assessments incurred subsequent to the filing of this action in an amount to be later determined.</p><p class="ssj">Plaintiff prays that:</p><p class="ssj">(a) Plaintiff be granted judgment against Defendants, Howard Genser, Jr. and Naomi M. Genser in the sum of $14,837.75 upon which execution may issue:</p><p class="ssj">(b) Plaintiff be granted judgment for maintenance fees and assessments incurred subsequent to the filing of this action in an amount to be determined, plus interest and costs;</p><p class="ssj">(c) All Defendants be required to answer and set forth any claim that they may have in said premises or be forever barred;</p><p class="ssj">(d) Plaintiff's lien be found to be good and valid lien upon said property;</p><p class="ssj">(e) All liens on said property be marshaled and the premises be ordered appraised, advertised and sold according to law;</p><p class="ssj">(f) Plaintiff recover its costs herein, including the cost incurred for the preliminary judicial report;</p><p class="ssj">(g) Plaintiff recover its attorney fees and court costs of the within action from the proceeds of the sale; or alternatively, that Plaintiff be granted judgment for attorneys' fees and costs, upon which execution may issue; and that</p><p class="ssj">(h) Plaintiff be granted any additional relief to which it may be entitled to at law or in equity, including, but not limited to additional unpaid condominium maintenance fees and special assessments incurred subsequent to the filing of the within action.</p><p class="ssj">The defendants named above are required to answer on or before the 14th day of March, 2012.</p><p class="ssj">THE MERIDIAN CONDOMINIUM, INC.</p><p class="bold">By Darcy Mehling Good and Joseph E. DiBaggio, Attorneys for Plaintiff.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6068</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6068</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">760950&mdash;Wells Fargo Bank, N.A. vs. The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Helen J. Surry, deceased, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Helen J. Surry, deceased, the place of residence of each being unknown, will take notice that on December 30, 2011, the undersigned, Wells Fargo Bank, N.A., filed its second amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $78,675.48, as of July 1, 2011, on a Home Equity Conversion Note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 139-16-092</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio, and known as Sublot No. 158 in The Miles-Harvard Park Company's Subdivision No. 4 of part of Original Warrensville Township Lots Nos. 61, 71 and 72 and a resubdivision of a part of the Miles-Harvard Park Subdivision Nos. 2 and 3, as shown by the recorded plat in Volume 68 of Maps, Page 30 of Cuyahoga County Records.</p><p class="ssj">Address: 15105 Harvard, Cleveland, OH 44128</p><p class="ssj">Plaintiff says that due to a scrivener's error and mutual mistake of fact between the parties thereto, Plaintiff's mortgage does not set forth in the Granting Clause/Acknowledgment Clause that Helen J. Surry and Dub H. Surry are Husband and Wife.</p><p class="ssj">Plaintiff prays that the subject mortgage be reformed as described above to reflect that Helen J. Surry and Dub H. Surry are Husband and Wife, and that Dub H. Surry's signature thereon is effective to release his dower interest in the real estate.</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the mortgage executed by the borrower, Helen J. Surry, and delivered by her to plaintiff contained an incorrect legal description in that it states &quot;Sublot No. 158 in the Miles-Harvard Pack Company's&quot; Subdivision No. 4 of part of Original Warrensville Township Lots Nos. 61, 71 and 72 and a resubdivision of a part of the Miles-Harvard Park Subdivision Nos. 2 and 3&quot; and it should read &quot;Sublot No. 158 in the Miles-Harvard Park Company's Subdivision No. 4 of part of Original Warrensville Township Lots Nos. 61, 71 and 72 and a Resubdivision of a part of the Miles-Harvard Park Subdivision Nos. 2 and 3.&quot;</p><p class="ssj">Plaintiff further states that the error was also contained in the deed to the defendant recorded in Instrument No. 200808040714 of said County Recorder's records.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to said documents, plaintiff is entitled to have the above described mortgage and deed reformed to have the appropriate language corrected in the appropriate place by reference; and plaintiff is further entitled to an order of this Court decreeing the property as described above be sold by the sheriff of this county at sheriff's sale.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors in the payment of a Home Equity Conversion Note according to its tenor, the conditions of a concurrent mortgage deed given to secure the payment of said note  and conveying the above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 14th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A.</p><p class="bold">By Lorelei C. Bolohan and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6069</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6069</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">732634&mdash;Green Tree Servicing, LLC vs. Thomas Altman, et al.</p><p class="ssj">Sellers Assistance Company, Inc.,  whose last known address is 19443 Lorain Rd., Fairview Park, Ohio 44126-1920, otherwise whose address is unknown, will take notice that on July 26, 2010, the undersigned, Green Tree Servicing, LLC by Appointment from The CIT Group/Consumer Finance, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 432-24-019</p><p class="ssj">Address: 4307 Roadoan Rd., Brooklyn, Ohio 44144</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 14th day of March, 2012.</p><p class="ssj">GREEN TREE SERVICING, LLC BY APPOINTMENT FROM THE CIT GROUP/CONSUMER FINANCE, INC.</p><p class="bold">By David J. Demers, Attorney for Plaintiff. Demers &amp; Adams, LLC, P.O. Box 714, New Albany, Ohio 43054. (614) 939-0930</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6070</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6070</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768443&mdash;Wells Fargo Bank, N.A. as Trustee for the Benefit of the Certificateholders of Asset-Backed Pass-Through Certificates Series 2004-WCW2 vs. Beatriz A. Romero, et al.</p><p class="ssj">Edwin Romero, whose last known place of residence is 3233 West 90th Street, Cleveland, OH 44102, otherwise whose place of residence is unknown; Tracy Orr and Mary Mc Intire, whose last known place of residence and present place of residence are unknown, will take notice that on November 29, 2011, the undersigned, Wells Fargo Bank, N.A. as Trustee for the Benefit of the Certificateholders of Asset-Backed Pass-Through Certificates Series 2004-WCW2, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $66,577.66, plus any sums advanced, with interest at 6.2500% per annum from March 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 017-05-017</p><p class="ssj">Situated in the City of  Cleveland, County of Cuyahoga and State of Ohio, is described as follows:</p><p class="ssj">And bounded and described as follows, to wit:</p><p class="ssj">And known as being Sublot No. 37 in G.P. Geib's Subdivision of part of Original Brooklyn Township Lot No. 14 as shown by the recorded plat in Volume 16 of Maps, Page 27 of Cuyahoga County Records and being 35 feet front on the Easterly side of West 90th Street and extending back of equal width 101.40 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 3233 West 90th Street, Cleveland, Ohio 44102</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the deed and mortgage to the defendant, Edwin Romero, from Hugh Orr, contained an incorrect legal description.</p><p class="ssj">Plaintiff further states that the error was contained in the following deeds:</p><p class="ssj">a. deed from Edwin Romero to Beatriz A. Romero, filed for record on 01/08/04, in Instrument No. 200401080225, of said County Recorder's Records.</p><p class="ssj">b. Deed from Hugh Orr to Edwin Romero, filed for record on 04/12/00, in Instrument No. 200004120606, of said County Recorder's Records.</p><p class="ssj">c. Deed from the Secretary of Housing and Urban Development to Hugh Orr, filed for record on 11/25/98, in Instrument No. 199811250959, of sad County Recorder's Records.</p><p class="ssj">d. Deed to Secretary of Housing and Urban Development, filed for record on 04/27/98, in Volume 98-04900, page 3, of said County Recorder's Records.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, plaintiff is entitled to have the above described deeds reformed, except for the Sheriff's Deed to Secretary of Housing and Urban Development, filed for record on 04/27/98, in Volume 98-04900, page 3, so as to have the appropriate legal description as hereinabove set forth; and plaintiff is further entitled to an order of this Court decreeing that the property as described above be sold by the Sheriff of this County at Sheriff's Sale. Said correct legal description is also set forth in the deed from prior titleholder Mary McIntire, recorded on 12/17/94 in Volume 94-12123, page 36, of said County Recorder's Records.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 14th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A. AS TRUSTEE FOR THE BENEFIT OF THE CERTIFICATEHOLDERS OF ASSET-BACKED PASS-THROUGH CERTIFICATES SERIES 2004-WCW2.</p><p class="bold">By Mark P. Herring and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6071</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6071</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">770956&mdash;OneWest Bank, FSB vs. Otu Hughes, et al.</p><p class="ssj">Otu Hughes, whose last known place of residence is 30921 Arlington Circle, Bay Village, OH 44140, otherwise whose place of residence is unknown; Unknown Spouse (if any) of Otu Hughes, whose last known place of residence is 30921 Arlington Ciricle, Bay Village, OH 44140, otherwise whose place of residence is unknown, will take notice that on December 8, 2011, the undersigned, OneWest Bank, FSB, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $254,930.78, plus any sums advanced, with interest at 6.375% per annum from May 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 201-11-027</p><p class="ssj">Address: 30921 Arlington Circle, Bay Village, OH 44140</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been brokn and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 14th day of March, 2012.</p><p class="ssj">ONEWEST BANK, FSB.</p><p class="bold">By David B. Bokor, Matthew P. Curry, John E. Codrea and Kristan A. Prill, Attorneys for Plaintiff. Manley Deas Kochalski, LLC, P.O. Box 165028, Columbus, OH 43216. (614) 222-4921.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6072</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6072</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771714&mdash;Fifth Third Mortgage Company vs. Annabelle P. Reichert, et al.</p><p class="ssj">Richard H. Reichert, whose last known place of residence and present place of residence are unknown; Unknown Spouse, if any, of Richard H. Reichert, whose last known place of residence and present place of residence are unknown, will take notice that on December 19, 2011, the undersigned, Fifth Third Mortgage Company, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 313-24-134</p><p class="ssj">Address: 1612 Northland Ave., Lakewood, OH 44107</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 14th day of March, 2012.</p><p class="ssj">FIFTH THIRD MORTGAGE COMPANY.</p><p class="bold">By Erin O'Malley, Attorney for Plaintiff.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6073</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6073</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">772429&mdash;HSBC Bank, USA, as Trustee in trust for Citigroup Mortgage Loan Trust, Inc., Asset-Backed Pass-Through Certificates Series 2003-HE3 vs. Joan C. El Bey aka Joan Floyd, et al.</p><p class="ssj">Roy M. Kaufman aka Roy Kaufman, whose last known place of residence is 15013 Shore Acres Drive, Cleveland, OH 44110 otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Roy M. Kaufman aka Roy Kaufman, the place of residence of each being unknown, will take notice that on December 30, 2011, the undersigned, HSBC Bank, USA, as Trustee in trust for Citigroup Mortgage Loan Trust, Inc., Asset-Backed Pass-Through Certificates Series 2003-HE3, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $71,682.39, plus any sums advanced, with interest at 6.3750% per annum from June 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 683-23-022</p><p class="ssj">Situated in the City of Cleveland Heights, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Sublot No. 105, in the Rapid Transit Land Company's Subdivision 17B of part of Original Euclid Township Lot No. 57, as shown by the recorded plat in Volume 81 of Maps, Page 6 of Cuyahoga County Records, and being 40 feet front on the Northerly side of Grosvenor Road and extends back between parallel lines 110 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 3629 Grosvenor Rd., Cleveland Hts., OH 44118</p><p class="ssj">Plaintiff further says that as the result of scrivener's error and mutual mistake of fact between the parties thereto, the deed from Dakota M. Cowan and David C. Cowan to Roy M. Kaufman, recorded on 10/01/10, in Instrument No. 201010010843, of said County Recorder's records, contained an incorrect legal description.</p><p class="ssj">Plaintiff further states that the error was also contained in the deed from Joan Floyd and Roy M. Kaufman to Dakota M. Cowan and David C. Cowan, recorded on 05/22/07, in Instrument No. 200705220004, of said County Recorder's records, contained an incorrect legal description.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, plaintiff is entitled to have the above-described deed reformed so as to have the appropriate legal description as hereinabove set forth; and plaintiff is further entitled to an order of this court decreeing that the property as described in plaintiff's mortgage and also in the deed in Volume 13321, Page 25, be sold by the sheriff of this County at Sheriff Sale.</p><p class="ssj">Plaintiff says that the defendants, Dakota M. Cowan and David C. Cowan, are the grantors on a prior deed dated May 27, 2009 and filed for record on October 1, 2010, as Instrument Number 201010010843, of said County Recorder's Records, which deed fails to properly disclose the marital status of said grantors. Plaintiff is informed and believes that Dakota M. Cowan, was married and David C. Cowan, was unmarried at the time of the conveyance and plaintiff seeks to have the prior deed reformed so as to disclose the marital status of Dakota M. Cowan, married whose husband is Eugene H. Williams and David C. Cowan, unmarried.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 14th day of March, 2012.</p><p class="ssj">HSBC BANK, USA, AS TRUSTEE IN TRUST FOR CITIGROUP MORTGAGE LOAN TRUST, INC., ASSET-BACKED PASS-THROUGH CERTIFICATES SERIES 2003-HE3.</p><p class="bold">By Maria Divita and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6074</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6074</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">773824&mdash;The Huntington National Bank Mortgage Loan Department vs. Scott P. Volkmann, et al.</p><p class="ssj">Scott P. Volkmann and The Unknown Heirs, Devisees, their Spouses and Creditors, Legatees and the Fiduciary of the Estate, and Spouse and Creditors of Scott P. Volkmann, deceased, the place of residence of each being unknown, will take notice that on January 18, 2012, the undersigned, The Huntington National Bank Mortgage Loan Department, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 544-10-080</p><p class="ssj">Address: 4903 East 109th Street, Garfield Heights, Ohio 44125</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 14th day of March, 2012.</p><p class="ssj">THE HUNTINGTON NATIONAL BANK MORTGAGE LOAN DEPARTMENT.</p><p class="bold">By Robert H. Young, Attorney for Plaintiff.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
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    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/6075</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/6075</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">730800&mdash;Treasurer of Cuyahoga County, Ohio vs. Jaishawn Wilson, et al.</p><p class="ssj">Uri Gofman, whose last known place of residence is 15648 Euclid Avenue, East Cleveland, OH 44112, otherwise whose place of residence is unknown; Unknown Spouse of Uri Gofman, whose last known place of residence is 15648 Euclid Avenue, East Cleveland, OH 44112, otherwise whose place of residence is unknown; Milana Gofman, whose last known place of residence is 15648 Euclid Avenue, East Cleveland, OH 44112, otherwise whose place of residence is unknown; and Unknown Spouse of Milana Gofman, whose last known place of residence is 15648 Euclid Avenue, East Cleveland, OH 44112, otherwise whose place of residence is unknown, will take notice that on November 4, 2010, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his supplemental complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $4,394.77 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 673-11-006</p><p class="ssj">Situated in the City of East Cleveland, County of Cuyahoga and State of Ohio and known as being part of Sublot No. 1 in the West and Steven's Allotment of part of Original Euclid Township Lot No. 44, as shown by the recorded plat in Volume 10 of Maps, Page 15 of Cuyahoga County Records, and bounded and described as follows:</p><p class="ssj">Beginning at the intersection of the Southeasterly line of Euclid Avenue (86 feet wide) with the Southwesterly line of Hastings Avenue (40 feet wide); thence South 51 deg. 16' 25&quot; East 82 feet along the same Southwesterly line of Hastings Avenue to the most Northerly corner of land conveyed to Stephan C. Charmas by deed dated February 28, 1947 and recorded in Volume 6267, Page 13 of Cuyahoga County Records; thence South 39 deg. 06' 15&quot; West, along the Northerly line of land so conveyed to Stephen C. Charmas 48.61 feet to the most Westerly line of land conveyed to Mary J. McKenzie by deed dated February 24, 1897 and recorded in Volume 660, Page 6 of Cuyahoga County Records, about 80.55 feet to a point in the Southeasterly line of Euclid Avenue; thence Northeasterly along the Southeasterly line of Euclid Avenue, 50.50 feet to the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 14th day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
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    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6076</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6076</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004957&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Clara Mae Banks, Deceased, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Clara Mae Banks, deceased, the place of residence of each being unknown, will take notice that on November 21, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $2,179.35 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 118-27-059</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio:</p><p class="ssj">And known as being the Southerly 33 feet from front to rear of Sublot No. 48 in Fenton and Cody's Subdivision of part of Original 100 Acre Lot No. 336, as shown by the recorded plat in Volume 15 of Maps, Page 35 of Cuyahoga County Records and bounded and described as follows:</p><p class="ssj">Beginning on the Easterly line of Kenwood Street, (now known as East 78th Street), at the South Westerly corner of said Sublot No. 48;</p><p class="ssj">Thence Northerly along said Easterly line of Kenwood Street, 33 feet to the Southwesterly corner of land conveyed by Alonse Janos, Executor of the Last Will of Charles A. Fanton to Frederick W. and Mary V. Mellon, by deed dated June 27, 1912, and recorded in Volume 1405, Page 239 of Cuyahoga County Records;</p><p class="ssj">Thence Easterly along the Southerly line of land so conveyed 100 feet to the Easterly line of said Sublot No. 48;</p><p class="ssj">Thence Southerly along said Easterly line of Sublot No. 48 33 feet to the Southeasterly corner thereof;</p><p class="ssj">Thence Westerly along said Southerly line of Sublot No. 48, 100 feet to the place of beginning.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6077</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6077</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 005054&mdash;Treasurer of Cuyahoga County, Ohio vs. DFG Lending, Inc., et al.</p><p class="ssj">DFG Lending, Inc., whose last known address is c/o Rick Martinez, Registered Agent, 5601 East Slauson Avenue, #101, Los Angeles, CA 90040, otherwise whose address is unknown, will take notice that on December 9, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $3,416.32 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 106-15-083</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 180, in the Streater and Adams Re-Allotment, of part of Original One Hundred Acre Lot Nos. 338 and 341, as shown by the recorded plat in Volume 13 of Maps, Page 6 of Cuyahoga County Records, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $425.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6078</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6078</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901144&mdash;In the matter of David Lane.</p><p class="ssc">Summons</p><p class="ssj">To: Charlene Aiello, whose last known address is 7809 Spafford Road, Apt. 4, Cleveland, OH 44105, otherwise whose place of residence is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning David Lane, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 13, 2012 at 1:15 PM, before Magistrate Wallace, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 26, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6079</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6079</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU10119715&mdash;In the matter of Christian Ballog.</p><p class="ssc">Summons</p><p class="ssj">To: Frank Woods, whose address is unknown, an application for custody has been filed in this Court concerning Christian Ballog. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 30, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6080</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6080</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU12101366&mdash;In the matter of Cynsear M. Cruz.</p><p class="ssc">Summons</p><p class="ssj">To: Ramone A. Jackson, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Cynsear M. Cruz. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6081</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6081</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901150&mdash;In the matter of Anais Fuentes.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Anais Fuentes, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 14, 2012 at 9:30 AM, before Magistrate Yeomans-Salvador, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 26, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6082</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6082</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11920003&mdash;In the matter of Andrew Ohmer.</p><p class="ssc">Summons</p><p class="ssj">To: Craig A. Ohmer, whose last known address is 1327 Bonnieview Avenue, Apt. 107, Lakewood, OH 44107, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Andrew Ohmer, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 7, 2012 at 1:15 PM, before Magistrate Wallace, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6083</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6083</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11919985&mdash;In the matter of Raymeel Stamps.</p><p class="ssc">Summons</p><p class="ssj">To: Wesley Stamps, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Raymeel Stamps, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 8, 2012 at 11:30 AM, before Magistrate Wallace, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6084</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6084</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11907821&mdash;In the matter of Christian Steele.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Christian Steele, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 14, 2012 at 9:00 AM, before Judge Sweeney, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 30, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6085</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6085</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11907820&mdash;In the matter of Ma'kyah Johnson.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Ma'kyah Johnson, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 14, 2012 at 9:00 AM, before Judge Sweeney, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 30, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6086</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6086</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11907173&mdash;In the matter of Destiny Davis.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Destiny Davis, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 7, 2012 at 10:00 AM, before Judge Sweeney, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6087</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6087</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11907173&mdash;In the matter of Destiny Davis.</p><p class="ssc">Summons</p><p class="ssj">To: Raydelle Davis, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Destiny Davis, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 7, 2012 at 10:00 AM, before Judge Sweeney, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6088</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6088</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11907173&mdash;In the matter of Destiny Davis.</p><p class="ssc">Summons</p><p class="ssj">To: Michelle Bonner, whose last known address is 1641 Payne Avenue, Cleveland, OH 44114, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Destiny Davis, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 7, 2012 at 10:00 AM, before Judge Sweeney, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6089</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6089</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11903331&mdash;In the matter of Taylor Al'amin.</p><p class="ssc">Summons</p><p class="ssj">To: Michael Johnson, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Taylor Al'amin, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on February 21, 2012 at 11:30 AM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6090</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6090</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11903331&mdash;In the matter of Taylor Al'amin.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Taylor Al'amin, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on February 21, 2012 at 11:30 AM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6091</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6091</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD02901705&mdash;In the matter of Artajiana D. Bell.</p><p class="ssc">Summons</p><p class="ssj">To: Artavious Bell, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Artajiana D. Bell. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6092</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6092</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD06900874&mdash;In the matter of Kamya Smith.</p><p class="ssc">Summons</p><p class="ssj">To: Gino Sturdivant, whose last known address is 9241 Hough Avenue, Apt. 203, Cleveland, OH 44106, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Kamya Smith. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 26, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6093</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6093</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD06900874&mdash;In the matter of Kamya Smith.</p><p class="ssc">Summons</p><p class="ssj">To: Gwendolyn Smith, whose last known address is 883 Parkwood Drive, Cleveland, OH 44108, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Kamya Smith. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 26, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6094</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6094</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD04900002&mdash;In the matter of Tasheonna M. Tate.</p><p class="ssc">Summons</p><p class="ssj">To: Artavious Bell, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Tasheonna M. Tate. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6095</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6095</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD04900544&mdash;In the matter of Jailin R. Goff.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Jailin R. Goff. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6096</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6096</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD10920667&mdash;In the matter of Dave Luster.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Dave Luster, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on February 23, 2012 at 9:00 AM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6097</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6097</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD10920667&mdash;In the matter of Dave Luster.</p><p class="ssc">Summons</p><p class="ssj">To: Dave Cobbs, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Dave Luster, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on February 23, 2012 at 9:00 AM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6098</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6098</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD10902167&mdash;In the matter of Destiny Luster.</p><p class="ssc">Summons</p><p class="ssj">To: Tiyon Brown, whose last known address is 11609 Saywell Avenue, Cleveland, OH 44108, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Destiny Luster, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on February 23, 2012 at 9:00 AM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6099</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6099</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD10900705&mdash;In the matter of Martin Collins.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Martin Collins, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 14, 2012 at 9:00 AM, before Judge Sweeney, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 30, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6100</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6100</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175442&mdash;In the matter of the change of name of Justin Lin, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on January 26, 20112, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Justin Lin, 17393 Pioneers Creek Circle, Strongsville, Cuyahoga County, Ohio 44136, to Vincent Yu.</p><p class="ssj">This application is set for hearing on the 13th day of March, 2012, at 9:45  a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6101</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6101</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175416&mdash;In the matter of the change of name of Shelli Lynne Clifford.</p><p class="ssj">To whom it may concern: you are hereby notified that on January 26, 20112, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Shelli Lynne Clifford, 16501 Munn Road, Cleveland, Cuyahoga County, Ohio 44111, to Shelli Lynne Hull.</p><p class="ssj">This application is set for hearing on the 16th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="bold"> Thomas J. Dorchak, Attorney.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6102</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6102</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175396&mdash;In the matter of the change of name of Rakhi S. Gupta.</p><p class="ssj">To whom it may concern: you are hereby notified that on January 25, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Rakhi S. Gupta, 13501 Lake Shore Blvd., #2, Cleveland, Cuyahoga County, Ohio 44110, to Rakhi Gupta Basuray.</p><p class="ssj">This application is set for hearing on the 19th day of March, 2012, at 9:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge.</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6103</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6103</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175449&mdash;In the matter of the change of name of Zachary Eugene Wright.</p><p class="ssj">To whom it may concern: you are hereby notified that on January 27, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Zachary Eugene Wright, 2343 Belvoir Boulevard, Cleveland, Cuyahoga County, Ohio 44121, to Zachary Eugene Phillips.</p><p class="ssj">This application is set for hearing on the 12th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6104</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6104</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175430&mdash;In the matter of the change of name of Stanley Wayne Rutledge.</p><p class="ssj">To whom it may concern: you are hereby notified that on January 26, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Stanley Wayne Rutledge, 1238 East 112th Street Cleveland, Cuyahoga County, Ohio 44108, to Stanley Wayne Valentine.</p><p class="ssj">This application is set for hearing on the 16th day of March, 2012, at 9:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6105</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6105</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175440&mdash;In re: Estate of Edith H. West, o.w. etc., deceased.</p><p class="ssj">Unknown creditors of the Estate of Edith H. West o.w. Edit Marie West, deceased, the address of each being unknown, will take notice that on January 26, 2012, the undersigned, Isabella Dorr, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Edith H. West o.w. Edith Marie West, deceased, late of Cleveland, Ohio, who died November 26, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 19th day of March, 2012, at 10:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">ISABELLA DORR,</p><p class="ssc">Applicant.</p><p class="bold"> Maria E. Quinn, Attorney</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6106</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6106</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175370&mdash;In re: Estate of Helen V. Stevens, deceased.</p><p class="ssj">Unknown creditors of the Estate of Helen V. Stevens, deceased, the place of residence of each being unknown, will take notice that on January 25, 2012, the undersigned, Dianne S. Gotshall, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio, for the release of assets without administration in the matter of the Estate of Helen V. Stevens, deceased, late of Chagrin Falls, Ohio, who died September 15, 2012.</p><p class="ssj">Said application is ordered set for hearing on the 15th day of March, 2012, at 10:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">DIANNE S. GOTSHALL,</p><p class="ssc">Applicant.</p><p class="bold"> Timothy F. O'Brien, Attorney.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate of Will Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobateofwill/details/ref_index/6107</link>
      <guid>http://www.dln.com/noticeprobateofwill/details/ref_index/6107</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175019&mdash;In re: Estate of Edward Demyan, o.w. etc, deceased.</p><p class="ssj">Edward Demyan o.w Edward J. Denyan, whose place of residence is unknown, will take notice that the undersigned, Michael C. O'Malley, presented to the Probate Court of Cuyahoga County, Ohio, a paper writing purporting to be the Last Will and Testament of Edward Demyan o.w. Edward J. Demyan, deceased, late of Brooklyn, Cuyahoga County, Ohio, who died August 17, 2011; that said paper writing was filed and admitted to probate on the 10th day of January, 2012.</p><p class="ssc">MICHAEL O'MALLEY,</p><p class="ssc">Applicant.</p><p class="bold"> Timothy G. Dobeck, Attorney.</p><p class="ssj">Feb1-8-15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6108</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6108</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Notice of Public Sale</p><p class="ssj">Per the Judicial Lien Process, Simply Self Storage will be holding a public sale, or other disposition of personal property, on February 16, 2012, beginning at 2PM for the following storage units. Terms of sale are cash only. Simply Self Storage reserves the right to refuse any and all bids. Payment must be made at the completion of the sale at each location. Buyers have 24 hrs to remove all items. </p><p class="ssj">The sale will begin at Simply Self Storage, 4349 Monticello Blvd, South Euclid, OH 44121: Unit 1064, Donald Jacobs, 2188 E 85th, Cleveland, OH 44106 boxes, bookshelf. Unit 305, Jennifer Calloway, 4389 Baintree, University Hts, OH 44118 copier, paper shredder, lawn equipment. Unit 3106, Henry Pratt, 4130 Princeton, South Euclid, OH 44121 refrigerator, stove, clock. Unit 3218 Latina Johnson, 16305 Walden Ave, Cleveland, OH 44128 boxes, tv's, table. Unit 3223 Jimmy Pridgeon, 6501 Marsol Rd, #427, Mayfield Hts, OH 44124 boxes, dresser, desk. Unit 4177 Angela Horton, 239 E 260th St, Euclid, OH 44132 boxes, chair, dresser. Unit 4237 Stacey Owens, PO Box 21614, South Euclid, OH 44121 TV, boxes, bags.</p><p class="ssj">Continuing to Simply Self Storage, 1415 Warrensville Ctr Rd, Cleveland Hts, OH 44121:  Unit 1040 Karen Harper, 2037 Goodnor Rd, Cleveland Hts OH 44118 Boxes, Totes, Dresser. Unit 1053 Marsha R Logan, 1394 Edendale Rd, Cleveland Heights, OH 44121 Table, Couch, Totes. Unit 1069 Aries Hurd,. 4138 West St, Emeryville, CA 94608 Totes, Bike, Computer. Unit 1071 Rosalind D Hooker, P.O.Box 18153, Cleveland Hts, OH 44118 Washer, Dryer, Boxes. Unit 1089 Karen Harris, 756 Eddy Rd, Cleveland, OH 44108 Totes, Boxes, Computer. Unit 1233 Sherice Dudley, 4799 Walford Rd, Warrensville Hts, OH 44128 Bike, SST Refrigerator, Table. Unit 1338 Carol Banks, 903 Green Rd, Apt #204, South Euclid, OH 44120 Dryer, Washer, 2 TVs. Unit 1418 Patricia Folds, 1231 Winston, South Euclid, OH 44121 Stove. Unit 1436 Rayford Stone, 3827 Princeton Blvd, South Euclid, OH 44121 Stove, Mattress, Couch. Unit 1550 Felicia Brown, 4091 Princeton Ave, Cleveland, OH 44121 Table, Bags, Totes. Unit 2009 Adriana Lillard, 1649 Allegheny Cir, East Cleveland, OH 44112 Mattress, Stereo, Table. Unit 2137 Marissa Perkins, 1601 East 49th St, Cleveland, OH 44103 Mattress, Stove, Grill. Unit 2159 Elvis J Pickens Jr, 1285 Cleveland Hts Blvd, Cleveland Hts, OH 44121 Golf Clubs, Bookshelf, Snow Blower. Unit 2219 Stephanie Long, 3725 Washington Blvd, South Euclid, OH 44118 boxes, Records, Baseball Bat. Unit 2252 Lakesha G Smith, 4143 Greenvale Rd #204, South Euclid, OH 44121 Clothes, Mattress, Kids Bike. Unit 2301 Rashonda Mack 1681 Glemont Rd, Cleveland Hts, OH 44118 SST Refrigerator, SST Stove, Totes. Unit 2321 Shawntai Williams, 10316 Nelson Ave, Cleveland, OH 44105 Dresser, boxes, Clothes. Unit 2327 Brithe Harris, 3351 Warrensville Ctr, Shaker Hts, OH 44132 Bike, Cabinet, Love seat. Unit 2334 Malisa Godwin, 26241 Lakeshore Blvd #864, Euclid, OH 44132 Refrigerator, Washer, Dryer.</p><p class="ssj">Feb1-8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6109</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6109</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">770293&mdash;Bank of America, N.A., Successor by Merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing LP vs. Elsie T. Ugan, et al.</p><p class="ssj">Unknown Heirs at Law, Devisees, Legatees, Executors, or Administrators of Elsie T. Ugan, whose last known place of residence is 29512 Wolf Road, Bay Village, OH 44140, otherwise whose place of residence is unknown, will take notice that on November 30, 2011, the undersigned, Bank of America, N.A., Successor by Merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 202-09-010</p><p class="ssj">Address: 29512 Wolf Road, Bay Village, Ohio 44140</p><p class="ssj">Plaintiff further says that through mutual mistake, inadvertence or error, the legal description contained in the mortgage does not conform to the legal description as set forth above; that the intention of the parties at the time of the execution of the mortgage was to convey all interest that the mortgagor had in and to the aforesaid described real propery, but that, through a scrivener's error, the legal description was not entirely and properly placed in the mortgage.</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 15th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A., SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Feb2-9-16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6110</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6110</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">750360&mdash;BAC Home Loans Servicing, L.P., fka Countrywide Home Loans Servicing, L.P. vs. Laura L. Bryson, et al.</p><p class="ssj">John Doe, real name unknown, The Unknown Spouse, if any, of Laura L. Bryson, whose last known places of residence are 11702 Chester Road, Garfield Heights, OH 44125 and 4949 Willow Brook Dr., Cleveland, OH 44125, otherwise whose place of residence is unknown, will take notice that on October 25, 2011, the undersigned, BAC Home Loans Servicing, L.P., fka Countrywide Home Loans Servicing, L.P., filed its second supplemental complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 542-33-091</p><p class="ssj">Address: 11702 Chester Road, Garfield Heights, Ohio 44125</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 15th day of March, 2012.</p><p class="ssj">BAC HOME LOANS SERVICING, L.P., FKA COUNTRYWIDE HOME LOANS SERVICING, L.P.</p><p class="bold">By James L. Sassano, Attorney for Plaintiff.</p><p class="ssj">Feb2-9-16, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6111</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6111</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767119&mdash;Third Federal Savings and Loan Association of Cleveland vs. Frank C. Tomaselli, et al.</p><p class="ssj">Maureen M. Tomaselli whose last known places of residence are 10938 Blossom Avenue, Parma Heights, OH 44130 and 3018 Fortune Ave., Cleveland, OH 44134, otherwise whose place of residence is unknown, will take notice that on October 19, 2011, the undersigned, Third Federal Savings and Loan Association of Cleveland, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 472-33-018</p><p class="ssj">Address: 10938 Blossom Avenue, Parma Heights, Ohio 44130</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 15th day of March, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS AND LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Richard J. Feuerman, Attorney for Plaintiff.</p><p class="ssj">Feb2-9-16, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6112</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6112</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">773419&mdash;Everbank vs. Doris Card aka Doris I. Card, et al.</p><p class="ssj">Unknown Trustee, if any, of the Doris I. Card Revocable Living Trust UAD May 7, 1999, whose last known address and present address are unknown; Unknown Successor Trustee, if any, of the Doris I. Card Revocable Living Trust UAD May 7, 1999, whose last known address and present address are unknown, will take notice that on January 12, 2012, the undersigned, Everbank, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 682-33-021</p><p class="ssj">Address: 1163 Haselton Road, Cleveland Heights, OH 44121-1539</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 15th day of March, 2012.</p><p class="ssj">EVERBANK.</p><p class="bold">By Antonio J. Scarlato, Attorney for Plaintiff.</p><p class="ssj">Feb2-9-16, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6113</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6113</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771546&mdash;Vertical Mortgage Fund I, LLC vs. Barbara F. Spearry aka Barbara Fatica, et al.</p><p class="ssj">Deborah Simmons, whose last known place of residence and present place of residence are unknown; Johnnie L. Simmons, whose last known place of residence and present place of residence are unknown, will take notice that on December 16, 2011, the undersigned, Vertical Mortgage Fund I, LLC, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 683-17-140</p><p class="ssj">Address: 3558 Bainbridge Road, Cleveland Heights, Ohio 44118</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 15th day of March, 2012.</p><p class="ssj">VERTICAL MORTGAGE FUND I, LLC.</p><p class="bold">By Sarah A. Okrzynski, Franco M. Barile, D. Anthony Sottile, Erin K. McConnell and Susan B. Klineman, Attorneys for Plaintiff.</p><p class="ssj">Feb2-9-16, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6114</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6114</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767825&mdash;U.S. Bank National Association successor by merger to The Leader Mortgage Company, LLC successor by merger to The Leader Mortgage Company vs. Raymond J. DeFlorville aka Raymond T. DeFlorville aka Raymond DeFlorville, et al.</p><p class="ssj">Therese DeFlorville, Individually and as Executrix of the Estate of Raymond J. DeFlorville aka Raymond T. DeFlorville aka Raymond DeFlorville and John Doe, name unknown Spouse of Therese DeFlorville, whose last known place of residence is 20570 Williamsburg Court, Middleburg Heights, Ohio 44130, otherwise whose place of residence is unknown, will take notice that on October 28, 2011, the undersigned, U.S. Bank National Association successor by merger to The Leader Mortgage Company, LLC successor by merger to The Leader Mortgage Company, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $65,075.45, plus any sums advanced, with interest at 5.7000% per annum from November 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 012-02-061</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as Sublot No. 216 in The M.J. Herr Company's Memphis Heights Subdivision of part of Original Brooklyn Township Lot No. 43, as shown by the recorded plat in Volume 75 of Maps, Page 36 of Cuyahoga County Records, and being a parcel of land 40.00 feet front on the Westerly side of West 57th Street and extending back of equal width 125.00 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 4492 West 57th Street, Cleveland, OH 44144</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 15th day of March, 2012.</p><p class="ssj">U.S. BANK NATIONAL ASSOCIATION SUCCESSOR BY MERGER TO THE LEADER MORTGAGE COMPANY, LLC SUCCESSOR BY MERGER TO THE LEADER MORTGAGE COMPANY.</p><p class="bold">By Rachel K. Pearson and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb2-9-16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6115</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6115</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769460&mdash;Third Federal Savings and Loan Association of Cleveland vs. Ed Gogol, Jr., known Heir of Edward P. Gogol, deceased, et al.</p><p class="ssj">Karen Gogol, known Heir of Edward P. Gogol, deceased, whose last known place of residence and present place of residence are unknown, will take notice that on November 17, 2011, the undersigned, Third Federal Savings and Loan Association of Cleveland, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 001-09-077</p><p class="ssj">Address: 8603 Lake Ave., Cleveland, Ohio 44102-1217</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 15th day of March, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS AND LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Dean K. Hegyes, Attorney for Plaintiff. Jones &amp; Hegyes Co., L.P.A., 38040 Euclid Avenue, Willoughby, Ohio 44094. (440) 951-1181.</p><p class="ssj">Feb2-9-16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6116</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6116</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">770005&mdash;The Bank of New York Mellon fka The Bank of New York, as trustee for the Certificateholders CWALT, Inc., Altnerative Loan Trust 2006-46, Mortgage Pass- Through Certificates, Series 2006-46 vs. Ellis D. Hutchins, et al.</p><p class="ssj">John A. Doran, Trustee of the Rexwood Avenue Land Trust,  whose last known address is 8733 Falls Lane, Broadview Heights, OH 44147, otherwise whose address is unknown; The Unknown Successor Trustees, Assigns and Surviving Entities of the Rexwood Avenue Land Trust, whose last known address and present address are unknown, will take notice that on November 28, 2011, the undersigned, The Bank of New York Mellon fka The Bank of New York, as trustee for the Certificateholders CWALT, Inc., Altnerative Loan Trust 2006-46, Mortgage Pass-Through Certificates, Series 2006-46, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $87,409.30, plus any sums advanced, with interest at 6.500% per annum from May 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 138-24-074</p><p class="ssj">Situated in the City of  Cleveland, County of Cuyahoga and State of Ohio, and described as follows, to wit: Known as being Sublot No. 97 in The City Gardens Realty Company's Cranwood Park Subdivision No. 6 of part of Original Warrensville Township Lot No. 81, as shown by the recorded plat in Volume 91 of Maps, Page 6 of Cuyahoga County Records, and being 40.13 feet front on the Southerly side of Rexwood Avenue and extending back 120.22 feet on the Westerly line, 116.64 feet on the Easterly line and having a rear line of 40.58 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 14020 Rexwood Avenue, Cleveland, OH 44105</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the mortgage filed for record on October 4, 2006, in Instrument No. 200610040208 and executed by the primary defendant and delivered by him to plaintiff fails to list a marital status in the Granting Clause of said mortgage.</p><p class="ssj">Because this mistake was the result of a scrivener's error and mutual mistake of fact between the parties to said document, plaintiff is entitled to have the above described mortgage reformed to property state &quot;Ellis D. Hutchins, unmarried&quot;, in the Granting Clause. Plaintiff is further entitled to an order of this Court decreeing the property as described in Plaintiff's mortgages be sold at sheriff's sale.</p><p class="ssj">Plaintiff further says that the defendant, John A. Doran, Trustee of the Rexwood Avenue Land Trust, attempted to transfer its interest in the subject property by virtue of a deed filed for record on 12/29/03, in Instrument No. 200312291725, of said County Recorder's Records.</p><p class="ssj">Plaintiff alleges that it was the intention of the defendant John A. Doran, Trustee of the Rexwood Avenue Land Trust to convey its entire interest in the subject property to the defendant, Ellis D. Hutchins, however, the deed does not state the powers of the Trustee as to conveyance of the real property.</p><p class="ssj">Plaintiff further states that is is entitled to have title quieted as against any and all claims of John A. Doran, Trustee of the Rexwood Avenue Land Trust.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 15th day of March, 2012.</p><p class="ssj">THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YORK, AS TRUSTEE FOR THE CERTIFICATEHOLDERS CWALT, INC., ALTNERATIVE LOAN TRUST 2006-46, MORTGAGE PASS- THROUGH CERTIFICATES, SERIES 2006-46.</p><p class="bold">By Matthew I. McKelvey and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb2-9-16, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6117</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6117</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">766454&mdash;Wells Fargo Bank, N.A. vs. Diane Coby, et al.</p><p class="ssj">Betty M. Ryan, whose last known place of residence and present place of residence are unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Betty M. Ryan, the place of residence of each being unknown, will take notice that on November 29, 2011, the undersigned, Wells Fargo Bank, N.A., filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $139,294.38, plus any sums advanced, with interest at 4.8750% per annum from April 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 682-33-085</p><p class="ssj">Situated in the City of  Cleveland Heights, County of Cuyahoga and State of Ohio, and known as being Sub Lot No. 147 in the Richmond Mayfield Land Company's Cleveland Heights Boulevard Subdivision, of part of Original Euclid Township Lot Nos. 20 and 21, Tract No. 7, and Lot No. 54, Tract No. 8, as shown by the recorded plat in Volume 77 of Maps, Page 2 of Cuyahoga County Records and being 40 feet front on the easterly side of Brentwood Road and extending back between parallel lines 120 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 1195 Brentwood Road, Cleveland Heights, OH 44121</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the mortgage executed by the defendant, Diane Coby, and delivered by her to the plaintiff contained an incorrect legal description.</p><p class="ssj">Plaintiff further states that the error was also contained in the following deeds:</p><p class="ssj">deed recorded in Instrument 200301211899, of said County Recorder's Records.</p><p class="ssj">deed recorded in Volume 94-11837, page 14, of said County Recorder's Records.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, plaintiff is entitled to have the above described mortgage and said deed reformed so as to have the appropriate legal description as hereinabove set forth; and plaintiff is further entitled to an order of this Court decreeing that the property as described in deed recorded in Volume 94-11837, page 12 be sold by the Sheriff of this County at Sheriff's Sale.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 15th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A.</p><p class="bold">By Jeffrey A. Tobe and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb2-9-16, 2012</p>]]></content:encoded>
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    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6118</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6118</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12900243&mdash;In the matter of Mariah Wright.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Mariah Wright, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on February 10, 2012 at 11:00 AM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
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    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6119</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6119</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901441&mdash;In the matter of Johnathan Hammond.</p><p class="ssc">Summons</p><p class="ssj">To: Shawn Williams, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Johnathan Hammond, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 24, 2012 at 8:45 AM, before Magistrate Wallace, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6120</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6120</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901430&mdash;In the matter of Niylah Taylor.</p><p class="ssc">Summons</p><p class="ssj">To: Larry Taylor, whose last known address is 25810 Tungsten Road, Apt. 904, Euclid, OH 44132, otherwise whose place of residence is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Niylah Taylor, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on February 27, 2012 at 10:30 AM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6121</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6121</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901401&mdash;In the matter of Tyasia Boyd.</p><p class="ssc">Summons</p><p class="ssj">To: Quantez Spears, whose last known address is 3805 Memphis Avenue, Cleveland, OH 44109, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Tyasia Boyd, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, Cleveland, Ohio, on February 21, 2012 at 11:00 AM, before Judge Weaver, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6122</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6122</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901401&mdash;In the matter of Tyasia Boyd.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Tyasia Boyd, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, Cleveland, Ohio, on February 21, 2012 at 11:00 AM, before Judge Weaver, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6123</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6123</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901385&mdash;In the matter of Shay Jones.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Shay Jones, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 24, 2012 at 9:30 AM, before Magistrate Wallace, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6124</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6124</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901384&mdash;In the matter of Jamal Jones.</p><p class="ssc">Summons</p><p class="ssj">To: Corey Jones, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Jamal Jones, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 24, 2012 at 9:30 AM, before Magistrate Wallace, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6125</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6125</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901384&mdash;In the matter of Jamal Jones.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Jamal Jones, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 24, 2012 at 9:30 AM, before Magistrate Wallace, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6126</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6126</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901242&mdash;In the matter of Damir Easley.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Damir Easley, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 22, 2012 at 9:30 AM, before Magistrate McMillen, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6127</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6127</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901242&mdash;In the matter of Damir Easley.</p><p class="ssc">Summons</p><p class="ssj">To: Rufus Moore, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Damir Easley, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 22, 2012 at 9:30 AM, before Magistrate McMillen, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6128</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6128</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901189&mdash;In the matter of Ricardo Richmond, Jr.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Ricardo Richmond, Jr., you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 22, 2012 at 9:00 AM, before Magistrate McMillen, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6129</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6129</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901188&mdash;In the matter of Khadijah Akins.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Khadijah Akins, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 22, 2012 at 9:00 AM, before Magistrate McMillen, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6130</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6130</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901430&mdash;In the matter of Niylah Taylor.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Niylah Taylor, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on February 27, 2012 at 10:30 AM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6131</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6131</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901441&mdash;In the matter of Johnathan Hammond.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Johnathan Hammond, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 24, 2012 at 8:45 AM, before Magistrate Wallace, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6132</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6132</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD10914540&mdash;In the matter of Shaleia Yarbo.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Shaleia Yarbo, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on February 8, 2012 at 11:00 AM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6133</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6133</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD10914540&mdash;In the matter of Shaleia Yarbo.</p><p class="ssc">Summons</p><p class="ssj">To: Tori Spellin, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Shaleia Yarbo, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on February 8, 2012 at 11:00 AM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6134</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6134</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD10914540&mdash;In the matter of Shaleia Yarbo.</p><p class="ssc">Summons</p><p class="ssj">To: Shawn Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Shaleia Yarbo, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on February 8, 2012 at 11:00 AM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6135</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6135</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11914268&mdash;In the matter of Ray'mel Renshaw.</p><p class="ssc">Summons</p><p class="ssj">To: Damone Renshaw, whose last known address is 13701 Rugby Road, Cleveland, OH 44110, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Ray'mel Renshaw, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on February 15, 2012 at 9:00 AM, before Judge Floyd, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6136</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6136</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11916336&mdash;In the matter of Danisha Dorty.</p><p class="ssc">Summons</p><p class="ssj">To: Robert Young, whose last known address is 751 East 93rd Street, Cleveland, OH 44108, otherwise whose place of residence is unknown, an abuse, dependency, neglect motion has been filed in this Court concerning Danisha Dorty, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on February 6, 2012 at 10:00 AM, before Magistrate Morton, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6137</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6137</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12900492&mdash;In the matter of Quentin Smith.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Quentin Smith. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6138</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6138</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12900819&mdash;In the matter of Ray'mel Renshaw.</p><p class="ssc">Summons</p><p class="ssj">To: Damone Renshaw, whose last known address is 13701 Rugby Road, Cleveland, OH 44110, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Ray'mel Renshaw, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on February 15, 2012 at 9:00 AM, before Judge Floyd, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 27, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6139</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6139</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901188&mdash;In the matter of Khadijah Akins.</p><p class="ssc">Summons</p><p class="ssj">To: John Weathersby, whose last known address is 907 Ansel Road, Cleveland, OH 44103, otherwise whose place of residence is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Khadijah Akins, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 22, 2012 at 9:00 AM, before Magistrate McMillen, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6140</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6140</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175481&mdash;In the matter of the change of name of Kareem Ashanti Mitchell.</p><p class="ssj">To whom it may concern: you are hereby notified that on January 27, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Kareem Ashanti Mitchell, 16117 Brewster, Cleveland, Cuyahoga County, Ohio 44112, to Kolade Asante Akinsegun.</p><p class="ssj">This application is set for hearing on the 15th day of March, 2012, at 2:45 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6141</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6141</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175479&mdash;In the matter of the change of name of Bridgett Ann Alaoui.</p><p class="ssj">To whom it may concern: you are hereby notified that on January 27, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Bridgett Ann Alaoui, 16101 Shirley Avenue, Mapble Heights, Cuyahoga County, Ohio 44137, to Bridgett Ann Jackson.</p><p class="ssj">This application is set for hearing on the 13th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6142</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6142</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175464&mdash;In the matter of the change of name of Curtis Dewayne Birt.</p><p class="ssj">To whom it may concern: you are hereby notified that on January 27, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Curtis Dewayne Birt, 12517 Crennell Avenue, Cleveland, Cuyahoga County, Ohio 44105, to Curtis Dewayne Freeman.</p><p class="ssj">This application is set for hearing on the 16th day of March, 2012, at 10:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
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    <item>
      <title>Corporate Dissolution Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedissolutions/details/ref_index/6143</link>
      <guid>http://www.dln.com/noticedissolutions/details/ref_index/6143</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Notice of Dissolution of Corporation</p><p class="ssj">Notice is hereby given that on the 22nd day of December, 2011, the undersigned, PNC Harbor Foundation, an Ohio corporation, filed its Certificate of Dissolution with the Secretary of State of the State of Ohio, thereby surrendering and abandoning its corporate authority and franchises as provided by law.</p><p class="ssj">PNC HARBOR FOUNDATION.</p><p class="bold">By Michael J. Brown, Chairman and President</p><p class="ssj">Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Corporate Dissolution Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedissolutions/details/ref_index/6144</link>
      <guid>http://www.dln.com/noticedissolutions/details/ref_index/6144</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Notice of Dissolution of Corporation</p><p class="ssj">Anne Lukas, President of Anne Lucas, Tour Coordinator, Inc., an Ohio corporation located in Beachwood, Ohio, charter no. 995970, hereby gives notice that the corporation has elected to dissolve, and that a certificate to that effect has been filed with the Secretary of State as of January 13, 2012.</p><p class="ssj">Feb2-9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6145</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6145</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicle will be offered for sale by Eaton Family Credit Union, Inc. at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 24, 2012.</p><p class="ssj">2005 BMW 6 WBAEK73475B327396</p><p class="bold">By virtue of security interest, the above vehicle will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicle is sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6146</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6146</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769038&mdash;Bank of America, N.A. successor by merger to BAC Home Loans Servicing, L.P. fka Countrywide Home Loans Servicing, L.P. vs. Rashmikant M. Mistry aka Rashmikant Mistry, et al.</p><p class="ssj">Ila R. Mistry aka Ila Mistry, whose last known place of residence is 5711 SOM Center Road, Unit 33, Solon, OH 44139, otherwise whose place of residence is unknown, will take notice that on November 14 2011, the undersigned, Bank of America, N.A. successor by merger to BAC Home Loans Servicing, L.P. fka Countrywide Home Loans Servicing, L.P., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $297,704.00, plus any sums advanced, with interest at 4.5000% per annum from May 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 955-27-027</p><p class="ssj">Situated in the City of Solon, County of Cuyahoga, and State of Ohio: and is described as follows:</p><p class="ssj">And known as being Sublot No. 17 in Brenna's Landing Subdivision of part of Original Solon Township Lot No. 8, Tract No. 3, as shown by the recorded plat in Volume 284 of Maps, Page 24 of Cuyahoga County Records, as appears by said plat.</p><p class="ssj">Address: 6675 Andre Lane, Solon, OH 44139</p><p class="ssj">Plaintiff further says that as the result of scrivener's error and mutual mistake of fact between the parties thereto, the deed to the defendant, Rashmikant Mistry, from Cendant Mobility Financial Corporation, recorded on 01/22/04 in Instrument No. 200401220801 of said County Recorder's records, contained an incorrect legal description.</p><p class="ssj">Said error was also in deed to the defendant Cendant Mobility Financial Corporation from James W. Heiser and Diane F. Heiser, recorded on 01/22/04, in Instrument No. 200401220800, of said County Recorder's Records.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, plaintiff is entitled to have the above-described deed reformed so as to have the appropriate legal description as hereinabove set forth; and plaintiff is further entitled to an order of this court decreeing that the property as described in plaintiff's mortgage be sold by the sheriff of this County at Sheriff Sale. Said correct legal description is also set forth in the deed from prior titleholder Enzoco Corp., recorded on 01/25/00 in Instrument No. 200001250917 of said County Recorder's records.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 16th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, L.P. FKA COUNTRYWIDE HOME LOANS SERVICING, L.P.</p><p class="bold">By Elizabeth A. Carullo and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6147</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6147</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">772867&mdash;Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. Christina Short Szewczyk, et al.</p><p class="ssj">Michelle L. Bee, Trustee U/A/W Michelle L. Bee dated October 20th, 2003,  whose last known address is 2569 Norfolk Road, Cleveland, OH 44106, otherwise whose address is unknown; Unknown successor trustees and beneficiaries U/A/W Michelle L. Bee dated October 20, 2003, whose last known address and present address are unknown, will take notice that on January 6, 2012, the undersigned, Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $272,712.90, plus any sums advanced, with interest at 4.7500% per annum from January 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 686-03-023</p><p class="ssj">Situated in the City of Cleveland Heights, County of Cuyahoga, and State of Ohio: and known as being Sublot No. 318 in the Euclid Golf Allotment of part of Original One Hundred Acre Lot Nos. 413 and 414 and part of Original Warrensville Lot No. 1 as shown by the recorded plat in Volume 48 of Maps, Page 4 of Cuyahoga County Records, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 2705 West St. James, Cleveland Heights, Ohio 44106</p><p class="ssj">Plaintiff further says that the Defendant, Michelle L. Bee, Trustee U/A/W Michelle L. Bee Dated October 20th, 2003, attempted to transfer her interest in the subject property by virtue of a deed filed for record on 4/23/04, as Instrument Number 200404231055, of said County Recorder's Records.</p><p class="ssj">Plaintiff alleges that it was the intention of the defendant, Michelle L. Bee, Trustee U/A/W Michelle L. Bee Dated October 20th, 2003, to convey her entire interest in the subject property to defendants Steve Szewezky and Christina Short Szewczyk; however, no memorandum of trust was recorded.</p><p class="ssj">Plaintiff further states that it is entitled to have title quieted as against any and all claims of Michelle L. Bee, Trustee U/A/W Michelle L. Bee Dated October 20th, 2003 and Unknown successor trustees and beneficiaries U/A/W Michelle L. Bee dated October 20th, 2003.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 16th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Julia E. Steelman and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6148</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6148</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771999&mdash;OneWest Bank, FSB vs. Jerome Johnson, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Arlene Johnson, the place of residence of each being unknown, will take notice that on December 22, 2011, the undersigned, OneWest Bank, FSB, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $109,076.73, as of December 20, 2011, on a Home Equity Conversion Note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 782-01-021</p><p class="ssj">Situated in the City of Maple Heights, County of Cuyahoga, and State of Ohio: and known as being Sublots Nos. 62 and 63 in the Reliance Investment Company's Libby Garden Subdivision No. 1 of part of Original Bedford Township Lot No. 4 as shown by the recorded plat in Volume 72 of Maps, Page 38 of Cuyahoga County Records and together forming a parcel of land having a frontage of 110 feet on the Northerly side of McCracken Road and extending back 163.28 feet deep on the Easterly line, 163.53 feet deep on the Westerly line and having a rear line of 110 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 17741 McCracken Road, Maple Heights, Ohio 44137</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors in the payment of a Home Equity Conversion Note according to its tenor, the conditions of a concurrent mortgage deed given to secure the payment of said note  and conveying the above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 16th day of March, 2012.</p><p class="ssj">ONEWEST BANK, FSB.</p><p class="bold">By Lorlei C. Bolohan and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6149</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6149</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">758820&mdash;Fifth Third Mortgage Company vs. Jeanne M. Stralka aka Jeanne Stralka, et al.</p><p class="ssj">Jeanne M. Stralka aka Jeanne Stralka and John Doe, name unknown, spouse of Jeanne M. Stralka aka Jeanne Stralka, whose last known place of residence is 12912 Silver Road, Garfield Heights, OH 44125, otherwise whose place of residence is unknown, will take notice that on September 22, 2011, the undersigned, Fifth Third Mortgage Company, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $54,158.47, plus any sums advanced, with interest at 2% per annum from March 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 545-09-084</p><p class="ssj">Situated in the City of Garfield Heights, County of Cuyahoga, and State of Ohio, and known as being Sublot No. 89 in The Baron Subdivision No. 2 of part of Original Independence Township Lot No. 3, Granger Tract No. 1, East of the River, as shown by the recorded plat in Volume 153 of Maps, Page 18 of Cuyahoga County Records and being 45.02 feet front on the Southerly side of Silver Road and extending back 124.50 feet on the Westerly line, 125 feet on the Easterly line and having a rear line of 45 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 12912 Silver Rd., Garfield Hts., OH 44125</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 16th day of March, 2012.</p><p class="ssj">FIFTH THIRD MORTGAGE COMPANY.</p><p class="bold">By Maria Divita and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6150</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6150</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769757&mdash;Bank of America, N.A. Successor by Merger with BA Mortgage, LLC Successor by Merger with NationsBanc Mortgage Corporation vs. Erma Wingfield as Executrix of Gertharee Hill Estate, et al.</p><p class="ssj">Revlon Rush aka Revlon Denise Rush and John Doe, real name unknown, The Unknown Spouse, if any, of Revlon Rush aka Revlon Denise Rush, whose last known place of residence is 601 East 186th Street, Cleveland, OH 44108 and 14303 Potomac Ave., Cleveland, OH 44112, otherwise whose place of residence is unknown; John Doe, real name unknown, The Unknown Spouse, if any, of Gertharee Hill, whose last known place of residence is 14301 Potomac Avenue, Cleveland, OH 44112, otherwise whose place of residence is unknown; Eric M. Harris, whose last known place of residence is 4688 Walford Road #2, Warrensville, OH 44128, otherwise whose place of residence is unknown; John Doe and/or Jane Doe, real names unknown, the Unknown Heirs, Devisees, Legatees, Executors, Administrators and Assigns of Gertharee Hill, deceased, whose last known place of residence and present place of residence are unknown, will take notice that on November 21, 2011, the undersigned, Bank of America, N.A. Successor by Merger with BA Mortgage, LLC Successor by Merger with NationsBanc Mortgage Corporation, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 671-13-048</p><p class="ssj">Address: 14301-14303 Potomac Avenue, East Cleveland, Ohio 44112</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 16th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER WITH BA MORTGAGE, LLC SUCCESSOR BY MERGER WITH NATIONSBANC MORTGAGE CORPORATION.</p><p class="bold">By James L. Sassano, Attorney for Plaintiff.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6151</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6151</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">760356&mdash;Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. Colleen L. Kutz, et al.</p><p class="ssj">John Doe, name unknown, spouse of Colleen L. Kutz, whose last known place of residence is 9355 Newkirk Drive, Parma Heights, OH 44130, otherwise whose place of residence is unknown, will take notice that on December 13, 2011, the undersigned, Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $102,093.14, plus any sums advanced, with interest at 3.5000% per annum from November 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 472-20-047</p><p class="ssj">Situated in the City of Parma Heights, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Sublot No. 307 in The Precision Housing Corp's Ridgewood Park Subdivision No. 5 of part of Original Parma Township Lot No. 2 Ely Tract, as shown by the recorded plat in Volume 142, Page 31 and re-recorded in Volume 144, Page 9 of Cuyahoga County Records, and being 60 feet front on the Southwesterly curved side of Newkirk Drive and extending back, 222.41 feet on the Southeasterly line, 236.66 feet on the Northwesterly line and having a rear line of 67.67 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 9355 Newkirk Drive, Parma Heights, OH 44130</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 16th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Christopher M. Schwieterman and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6152</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6152</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">761605&mdash;Deutsche Bank National Trust Company, as Trustee for Carrington Home Equity Loan Trust, Series 2005-NC4 Asset-Backed Pass- Through Certificates vs. Devon Blogna, et al.</p><p class="ssj">Devon Blogna, whose last known places of residence are 4436 West 60th Street, Cleveland, OH 44144 and 2333 Northgate Drive, Hinckley, Ohio 44233, otherwise whose place of residence is unknown; Mike Blogna, whose last known places of residence are 4436 West 60th Street, Cleveland, OH 44144 and 2333 Northgate Drive, Hinckley, Ohio 44233, otherwise whose place of residence is unknown; Michael A. Blogna, whose last known places of residence are 4436 West 60th Street, Cleveland, OH 44144 and 2333 Northgate Drive, Hinckley, Ohio 44233, otherwise whose place of residence is unknown, will take notice that on August 9, 2011, the undersigned, Deutsche Bank National Trust Company, as Trustee for Carrington Home Equity Loan Trust, Series 2005-NC4 Asset-Backed Pass- Through Certificates c/o Carrington Mortgage Services, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $157,075.63, plus any sums advanced, with interest at 7.6% per annum from December 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 457-15-032</p><p class="ssj">Address: 7881 Neil Drive, Parma, Ohio 44130</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff says that as a result of mutual mistake, the Defendant Mike Blogna signed the mortgage as Michael A. Blogna. However, title to the subject real estate was conveyed to the Defendants as Mike Blogna.</p><p class="ssj">Plaintiff further says that the Defendant Mike Blogna, the owner of the property and Defendant Michael A. Blogna, the mortgagor on the mortgage, are one and the same person.</p><p class="ssj">Plaintiff asks the Court for a declaratory judgment finding that Mike Blogna and Michael A. Blogna are the same person and that the mortgage be reformed to show that Mike Blogna aka Michael A. Blogna mortgaged his interest in the subject parcel of real property.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 16th day of March, 2012.</p><p class="ssj">DEUTSCHE BANK NATIONAL TRUST COMPANY, AS TRUSTEE FOR CARRINGTON HOME EQUITY LOAN TRUST, SERIES 2005-NC4 ASSET-BACKED PASS-THROUGH CERTIFICATES C/O CARRINGTON MORTGAGE SERVICES.</p><p class="bold">By Edward G. Bohnert, Ronald J. Chernek and Douglas A. Haessig, Attorneys for Plaintiff. Reimer, Arnovitz, Chernek &amp; Jeffrey Co., L.P.A., P.O. Box 968, Twinsburg, Ohio 44087, (330) 425-4201.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6153</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6153</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768571&mdash;Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. James H. Hewitt III, Administrator of the Estate of Donald R. Erwin aka Don Ronel Erwin, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Donald R. Erwin aka Don Romel Erwin, the place of residence of each being unknown, will take notice that on November 7, 2011, the undersigned, Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $77,629.87, plus any sums advanced, with interest at 8.0000% per annum from May 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 114-22-036</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio: And known as being part of Original Euclid Township Lot No. 9, Tract No. 17 and bounded and described as follows:</p><p class="ssj">Beginning on the Northerly line of Mohican Avenue, N.E., at its intersection with the Easterly line of land conveyed to John J. Laurich and Angela H. Laurich by deed dated May 5, 1954 and recorded in Volume 8042, Page 562 of Cuyahoga County Records;</p><p class="ssj">Thence Easterly along the Northerly line of Mohican Avenue, N.E., 50 feet to the Southeasterly corner of land conveyed to Joseph D. Marzlikar and Matilda A. Marzlikar by deed dated March 27, 1953 and recorded in Volume 7808, Page 630 of Cuyahoga County Records; thence Northerly along the Easterly line of land so conveyed, 110 feet to the Northeasterly corner thereof;</p><p class="ssj">Thence Westerly along the Northerly line of said land its Westerly prolongation 50 feet to the Northeasterly corner of land conveyed to John J. and Angela H. Laurich as aforesaid;</p><p class="ssj">Thence Southerly along the Easterly line of land so conveyed, 110 feet to the place of beginning;</p><p class="ssj">And being further known as part of Sublot No. 30, all of Sublot No. 31 and part of Sublot No. 32, in George M. Hermle's Proposed Subdivision, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 19809 Mohican Avenue, Cleveland, OH 44119</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 16th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Anita L. Maddix and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/6154</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/6154</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">761975&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Norman Thomas Strnad, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Norman Thomas Strnad, the place of residence of each being unknown, will take notice that on August 15, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $2,224.80 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 117-33-002</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being part of Original Euclid Township Lot No. 18, Tract 11, and bounded and described as follows:</p><p class="ssj">Beginning in the center line of Green Road, 60 feet wide at a point which is distant 87.76 feet Southerly (measured along said center line) from its intersection with the Easterly line of land conveyed to W.H. Kelly and others, Trustees of Green Road Realty Association by deed dated June 4, 1950 and recorded in Volume 3906, Page 394 of Cuyahoga County Records; thence Southeasterly continuing along said center line of Green Road 140.00 feet to a point; thence Northeasterly at right angles to the said center line of Green Road about 450 feet to the Southwesterly line of a 40 foot parcel of land conveyed to The Euclid Railroad Company by deed dated December 31, 1928 and recorded in Volume 3919, Page 525 of Cuyahoga County Records; thence Northwesterly and along said Southwesterly line of said 40 foot parcel about 145 feet, but to the intersection of said Southwesterly line of said 40 foot parcel with a straight line which passes through the place of beginning and which is at right angles to said center line of Green Road; thence Southwesterly and along said last mentioned straight line which is at right angles to said center line of Green Road about 410 feet, but to the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 16th day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6155</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6155</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 005062&mdash;Treasurer of Cuyahoga County, Ohio vs. Richard Siwicki, et al.</p><p class="ssj">Richard Siwicki, whose last known place of residence is 4204 Carlyle Avenue, Cleveland, OH 44109, otherwise whose place of residence is unknown; Unknown Spouse of Richard Siwicki, whose last known place of residence is 4204 Carlyle Avenue, Cleveland, OH 44109, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Richard Siwicki, deceased, the place of residence of each being unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Mildred Siwicki, a.k.a. Mildred I. Siwicki, deceased, the place of residence of each being unknown, will take notice that on December 9, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,040.94 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 015-01-111</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 173 in The Selden Allotment of part of Original Brooklyn Township Lot No. 54, as shown by the recorded plat in Volume 13 of Maps, Page 32 of Cuyahoga County Records, and being 37 feet front on the Northerly side of Carlyle Avenue, and extending back between parallel lines 128.0 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $425.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6156</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6156</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004805&mdash;Treasurer of Cuyahoga County, Ohio vs. Frank Fried, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Frank Fried, the place of residence of each being unknown, will take notice that on January 24, 2012, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his supplemental complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $690.37 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 109-11-048</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 46 in Morley and Morrison's Subdivision of part of Original One Hundred Acre Lot No. 385, as shown by the recorded plat in Volume 26 of Maps, Page 24 of Cuyahoga County Records, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6157</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6157</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175506&mdash;In the matter of the change of name of David Dijon Walker.</p><p class="ssj">To whom it may concern: you are hereby notified that on January 30, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of David Dijon Walker, 3852 Princeton Boulevard, South Euclid, Cuyahoga County, Ohio 44121, to David Anderson, III.</p><p class="ssj">This application is set for hearing on the13th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6158</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6158</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175514&mdash;In the matter of the change of name of Julie Maritza Torres Cisneros, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on January 30, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Julie Maritza, Torres, Cisneros, 8906 Memphis Villas Boulevard, Brooklyn, Cuyahoga County, Ohio 44144, to Julie Maritza Torres.</p><p class="ssj">This application is set for hearing on the 14 day of March, 2012, at 2:00 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6159</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6159</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175517&mdash;In the matter of the change of name of Kaitlyn Nicole Donelon Fenton.</p><p class="ssj">To whom it may concern: you are hereby notified that on January 30, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Kaitlyn Nicole Donelon Fenton, 3520 Cypress Avenue Cleveland, Cuyahoga County, Ohio 44109, to Kaitlyn Nicole Donelon.</p><p class="ssj">This application is set for hearing on the 23rd day of March, 2012, at 11:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6160</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6160</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175510&mdash;In re: Estate of Richard D. Fallon, deceased.</p><p class="ssj">Unknown creditors of the Estate of Richard D. Fallon, deceased, the address of each being unknown, will take notice that on January 30, 2012, the undersigned, Patricia Fallon Terry, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Richard D. Fallon, deceased, late of Richmond Heights, Ohio, who died January 19, 2012.</p><p class="ssj">Said application is ordered set for hearing on the 21st day of March, 2012, at 10:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">PATRICIA FALLEN TERRY,</p><p class="ssc">Applicant.</p><p class="bold"> Jeanne V. Gordon, Attorney</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6161</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6161</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175502&mdash;In re: Estate of Richard Allen McIndoe, deceased.</p><p class="ssj">Unknown creditors of the Estate of Richard A. McIndoe, deceased, the address of each being unknown, will take notice that on January 30, 2012, the undersigned, Kay L. McIndoe, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Richard Allen McIndoe, deceased, late of Solon, Ohio, who died October 19, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 14th day of March, 2012, at 2:00 p.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">KAY L. MCINDOE,</p><p class="ssc">Applicant.</p><p class="bold"> Jean M. Cullen, Attorney</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6162</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6162</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175518&mdash;In re: Estate of Thomas J. Carlin, deceased.</p><p class="ssj">Unknown creditors of the Estate of Thomas J. Carlin, deceased, the place of residence of each being unknown, will take notice that on January 30, 2012, the undersigned, Terrence J. Carlin, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Thomas J. Carlin, deceased, late of Cleveland, Ohio, who died January 6, 2012.</p><p class="ssj">Said application is ordered set for hearing on the 22nd day of March, 2012, at 9:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">TERRENCE J. CARLIN,</p><p class="ssc">Applicant.</p><p class="bold"> John J. Duffy, Attorney</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6163</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6163</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST175546&mdash;In re: Estate of Thomas A. Telatco, deceased.</p><p class="ssj">Unknown creditors of the Estate of Thomas A. Telatco, deceased, the address of each being unknown, will take notice that on January 31, 2012, the undersigned, , filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Thomas A. Telatco, deceased, late of Olmsted Falls, Ohio, who died December 26, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 23rd day of March, 2012, at 10:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">TRACY A. TELATCO,</p><p class="ssc">Applicant.</p><p class="bold"> Richard A. Goulder, Attorney</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
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    <item>
      <title>Probate of Will Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobateofwill/details/ref_index/6164</link>
      <guid>http://www.dln.com/noticeprobateofwill/details/ref_index/6164</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175338&mdash;In re: Estate of Henry Hendricks, deceased.</p><p class="ssj">Dawn Hinegardner Podskalan, whose last known place of residence is 3805 Brendan Lane, #6, North Olmsted, OH 44070, otherwise whose place of residence is unknown, will take notice that the undersigned, Earl T. Hendricks, presented to the Probate Court of Cuyahoga County, Ohio, a paper writing purporting to be the Last Will and Testament of Henry Hendricks, deceased, late of Cleveland, Cuyahoga County, Ohio, who died November 19, 2011; that said paper writing was filed and admitted to probate on the 26th day of January, 2012.</p><p class="ssc">EARL T. HENDRICKS,</p><p class="ssc">Applicant.</p><p class="bold"> David S. Riehl, Attorney.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate of Will Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobateofwill/details/ref_index/6165</link>
      <guid>http://www.dln.com/noticeprobateofwill/details/ref_index/6165</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175345&mdash;In re: Estate of Mary Louise Tudor, deceased.</p><p class="ssj">Mildred Thompson, John L. Hafner, Daniel Hafner, Maxine Hafner and Lurline Hafner, whose place of residence is unknown, will take notice that on the 24th day of January, 2012, the undersigned, Veronica Reese, presented to the Probate Court of Cuyahoga County, Ohio, a paper writing purporting to be the Last Will and Testament of Mary Louis Tudor, deceased, late of Rocky River, Cuyahoga County, Ohio, who died September 7, 2011; that said paper writing was filed and admitted to probate on the 24th day of January, 2012.</p><p class="ssc">VERONICA REESE,</p><p class="ssc">Applicant.</p><p class="bold"> Susan E. Batal, Attorney.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Authority to Administer Estate Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6166</link>
      <guid>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6166</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175338&mdash;In re: Estate of Henry Hendricks, deceased.</p><p class="ssj">Dawn Hinegardner Podskalan, whose last known place of residence is 3805 Brendan Lane, #6, North Olmsted, OH 44070, otherwise whose place of residence is unknown, will take notice that the undersigned, Earl T. Henricks, filed an application in the Probate Court of Cuyahoga County, Ohio, for the authority to administer the Estate of Henry Hendricks, deceased, late of Cleveland, Cuyahoga County, Ohio, who died November 19, 2011.</p><p class="ssj">Said application was filed and admitted to probate on the 24th day of January, 2012.</p><p class="ssc">EARL T. HENDRICKS,</p><p class="ssc">Applicant.</p><p class="bold"> David S. Riehl, Attorney.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Authority to Administer Estate Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6167</link>
      <guid>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6167</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175245&mdash;In re: Estate of Christine Stitt, deceased.</p><p class="ssj">Christopher H. Bryant, whose place of residence is unknown, will take notice that on the 19th day of January, 2012, the undersigned, Rolanda Lisa Stitt, filed an application in the Probate Court of Cuyahoga County, Ohio, for the authority to administer the Estate of Christine Stitt, deceased, late of Cleveland, Cuyahoga County, Ohio, who died on August 21, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 9th day of March, 2012 at 2:30 p.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">ROLANDA LISA STITT,</p><p class="ssc">Applicant.</p><p class="bold"> David Briggs, Attorney.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/6168</link>
      <guid>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/6168</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice </p><p class="ssj">2006 EST 0121026&mdash;In Re: Estate of Charles Robinson, Jr., deceased.</p><p class="ssj">Jerry O'Neal, whose place of residence is unknown, will take notice that on December 2, 2011, the undersigned, Annabelle Robinson, Fiduciary of the Estate of Charles Robinson, Jr, deceased, filed an application in the Probate Court of Cuyahoga County, Ohio, to approve a wrongful death settlement or distribution; that Annabelle Robinson has received an offer of settlement for damages for decedent's wrongful death in the amount of $6,003.44, and asks the Court for reasonable attorney fees for services with respect to the wrongful death action, to be paid out of the proceeds of the settlement judgment as further set forth in the application.</p><p class="ssj">Said application is ordered set for hearing on the 15th day of March, 2012, at 9:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="bold">By Matthew E. Henoch, Attorney for Annabelle Robinson, Fiduciary.</p><p class="ssj">Feb3-10-17, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6169</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6169</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">758221&mdash;Fifth Third Mortgage Company vs. Lilibeth C. Berta, et al.</p><p class="ssj">Lilibeth C. Berta, whose last known place of residence and present place of residence are unknown, will take notice that on January 11, 2012, the undersigned, Fifth Third Mortgage Company, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $216,911.02, plus any sums advanced, with interest at 3.00000% per annum from February 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 392-11-093</p><p class="ssj">Situated in the City of Strongsville, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Sublot No. 136 in the Westwood Farms No. 5 Subdivision of part of Original Strongsville Township Lot No. 87, as shown by the recorded plat in Volume 289 of Maps, Page 22 of Cuyahoga County Records, as appears by said plat.</p><p class="ssj">Address: 12553 Coopers Run, Strongsville, OH 44149</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 19th day of March, 2012.</p><p class="ssj">FIFTH THIRD MORTGAGE COMPANY.</p><p class="bold">By Rachel K. Pearson and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb4-11-18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6170</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6170</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767841&mdash;CitiMortgage, Inc. vs. Margaret Jerman Wilkens, et al.</p><p class="ssj">Margaret Jerman Wilkens and John Doe, name unknown, spouse of Margaret Jerman-Wilkens, whose last known place of residence is 1449 Alameda Avenue, Lakewood, OH 44107, otherwise whose place of residence is unknown, will take notice that on December 5, 2011, the undersigned, CitiMortgage, Inc., filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $105,773.49, plus any sums advanced, with interest at 5.1250% per annum from August 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 315-10-023</p><p class="ssj">Situated in the City of  Lakewood, County of Cuyahoga and State of Ohio:</p><p class="ssj">And known as being Sublot No. 11 in the Gerard Company's Subdivision No. 1 of a part of Original Rockport Township Section No. 21 as shown by the recorded plat in Volume 31 of Maps, Page 8 of Cuyahoga County Records, and being 40 feet front on the Easterly side of Alameda Avenue and extending back of equal width 162 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 1449 Alameda Avenue, Lakewood, OH 44107</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 19th day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC.</p><p class="bold">By S. Scott Martin and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb4-11-18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6171</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6171</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767645&mdash;Deutsche Bank National Trust Company, as Trustee for Carrington Mortgage Loan Trust, Series 2005-NC3 Asset Backed Pass- Through Certificates vs. Latasha Lewis, et al.</p><p class="ssj">Robert Brittian, whose last known place of residence is 23951 Lake Shore Blvd., Euclid, OH 44123, otherwise whose place of residence is unknown; Jane Doe, Unknown Spouse of Robert Brittian, whose last known place of residence is 23951 Lake Shore Blvd., Euclid, OH 44123, otherwise whose place of residence is unknown, The unknown Spouse of Latasha Lewis, whose last known place of residence is 531 E. 260th St., Euclid, OH 44132, otherwise whose place of residence is unknown, will take notice that on October 26, 2011, the undersigned, Deutsche Bank National Trust Company, as Trustee for Carrington Mortgage Loan Trust, Series 2005-NC3 Asset Backed Pass-Through Certificates, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 643-14-085</p><p class="ssj">Address: 853 East 230th Street, Euclid, Oho 44123</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff states that due the a scrivener's error, through inadvertence and mutual mistake among the parties, the General Warranty Deed executed by Defendant Robert Brittian on May 11, 2005, recorded on June 3, 2005 as Instrument No. 200506030407, contained an incorrect legal description and fails to properly described the property intended to be transferred and moreover, it was the original intention of the parties to transfer the property described above.</p><p class="ssj">Because this mistake resulted from a scrivener's error, through inadvertence and mutual mistake among the parties to said documents, Plaintiff is entitled to have the above described General Warranty Deed reformed to reflect the correct legal description and Plaintiff is further entitled to an Order of this Court so decreeing the property as described above be sold by the Sheriff of this County at Sheriff's sale.</p><p class="ssj">Plaintiff states that due the a scrivener's error, through inadvertence and mutual mistake among the parties, the mortgage executed by Defendant Latasha Lewis and delivered by her contained an incorrect legal description and fails to properly described the property intended to be encumbered and moreover, it was the original intention of the parties to encumber the property described above.</p><p class="ssj">Because this mistake resulted from a scrivener's error, through inadvertence and mutual mistake among the parties to said documents, Plaintiff is entitled to have the above described Mortgage reformed to reflect the correct legal description and Plaintiff is further entitled to an Order of this Court so decreeing the property as described above be sold by the Sheriff of this County at Sheriff's sale.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 19th day of March, 2012.</p><p class="ssj">DEUTSCHE BANK NATIONAL TRUST COMPANY, AS TRUSTEE FOR CARRINGTON MORTGAGE LOAN TRUST, SERIES 2005-NC3 ASSET BACKED PASS-THROUGH CERTIFICATES.</p><p class="bold">By Sarah Okrzynski, Franco M. Barile, D. Anthony Sottile, Erin K. McConnell, Susan B. Klineman, Attorneys for Plaintiff.</p><p class="ssj">Feb4-11-18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6172</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6172</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">764100&mdash;The Huntington National Bank vs. Jay J. Piatak, et al.</p><p class="ssj">Jay J. Piatak and Jane Doe, Name Unknown, Unknown Spouse of Jay J. Piatak, whose last known place of residence is 23835 David Drive, #105, North Omsted, OH 44070, otherwise whose place of residence is unknown, will take notice that on October 11, 2011, the undersigned, Northwood Condominium Owners' Association, Inc., filed its answer and cross-claim in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that Defendant Northwoods Condominium, filed its Certificate of Lien on the property described in the Complaint to secure payment of the maintenance fees, common expenses and assessments; that said lien recorded on April 7, 2011 in No. 201104070351 of Cuyahoga County Records, is a good and valid subsisting lien, second only to real estate taxes and prior recorded liens of first mortgages on the condominium unit known as 23835 David Drive, #105, North Olmsted, OH 44070, owned by Defendant Jay J. Piatak, in accordance with Section 5311.18 of the Ohio Revised Code; that the property is described as follows to wit:</p><p class="ssc">Permanent Parcel No. 237-05-388</p><p class="ssj">Address: 23835 David Drive, #105, North Olmsted, OH 44070</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Defendant Jay J. Piatak owes Defendant, Northwoods Condominium, based upon the above lien and additional unpaid maintenance fees and assessments, in the total sum of $5.921.64 plus interest at the maximum rate allowable by law as provided for in the Declaration of Condominium Ownership as of October 1, 2011; that Defendant Northwoods Condominium, is further owed by the Defendant, Jay J. Piatak, additional maintenance fees and assessments incurred subsequent to the filing in an amount to be later determined.</p><p class="ssj">Defendant Northwoods Condominium prays:</p><p class="ssj">(a) That its lien be found to be good and valid lien upon said property;</p><p class="ssj">(b) That all liens on said property be marshaled and the premises be ordered appraised, advertised and sold according to law;</p><p class="ssj">(c) That the real property as described herein be sold at Sheriff's Sale according to law;</p><p class="ssj">(d) That Defendant, Northwoods Condominium, be paid the sum of $5,921.64 plus the maximum rate allowable by law interest per annum, costs and attorney fees, from the proceeds of said sale; and</p><p class="ssj">(e) That Defendant, Northwoods Condominium, be granted judgment for any additional relief to which it may be entitled to at law or in equity, including, but not limited to additional unpaid assessments and charges incurred subsequent to October 6, 2011.</p><p class="ssj">The defendants named above are required to answer on or before the 19th day of March, 2012.</p><p class="ssj">NORTHWOOD CONDOMINIUM OWNERS' ASSOCIATION, INC.</p><p class="bold">By Darcy Mehling Good and Joseph E. DiBaggio, Attorneys for Defendant.</p><p class="ssj">Feb4-11-18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6173</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6173</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">763884&mdash;Moreland Courts Condominium Association, Inc. vs. Leonard Brooks, et al.</p><p class="ssj">Leonard Brooks, Jane Doe, Unknown Spouse, if any, of Leonard Brooks, Leslie Brooks and John Doe, Unknown Spouse, if any, of Leslie Brooks, whose last known place of residence is 13605 Shaker Boulevard #2B, Cleveland, Ohio 44120, otherwise whose place of residence is unknown, will take notice that on September 8, 2011, the undersigned, Moreland Courts Condominium Association, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that Defendants, Leonard Brooks and Leslie Brooks own the condominium unit known as 13605 Shaker Boulevard, #2B, Cleveland, OH 44120 and more fully described as follows to wit:</p><p class="ssc">Permanent Parcel No. 144-12-383</p><p class="ssj">Address: 13605 Shaker Boulevard, #2B, Cleveland, OH 44120</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Pursuant to the authority of Section 5311.18 of Ohio Revised Code, the Plaintiff filed its Certificate of Lien on the property to secure payment of the maintenance fees, common expenses and assessments; that said lien is a good and valid subsisting lien, second only to real estate taxes and prior recorded liens of first mortgages on the condominium unit, in accordance with Section 5311.18 of the Ohio Revised Code; that there is currently due the Plaintiff from Defendants, Leonard Brooks and Leslie Brooks, based upon the above lien and additional unpaid maintenance fees and assessments, the total sum of $22,947.12 plus interest at the maximum rate allowable by law per annum as provided for in the Declaration of Condominium Ownership as of September 6, 2011; that Plaintiff is further owed from the Defendants, Leonard Brooks and Leslie Brooks, maintenance fees and assessments incurred subsequent to the filing of this action in an amount to be later determined.</p><p class="ssj">Plaintiff prays that:</p><p class="ssj">(a) Plaintiff be granted judgment against Defendants, Leonard Brooks and Leslie Brooks in the sum of $22,947.12 upon which execution may issue:</p><p class="ssj">(b) Plaintiff be granted judgment for maintenance fees and assessments incurred subsequent to the filing of this action in an amount to be determined, plus interest and costs;</p><p class="ssj">(c) All Defendants be required to answer and set forth any claim that they may have in said premises or be forever barred;</p><p class="ssj">(d) Plaintiff's lien be found to be good and valid lien upon said property;</p><p class="ssj">(e) All liens on said property be marshaled and the premises be ordered appraised, advertised and sold according to law;</p><p class="ssj">(f) Plaintiff recover its costs herein, including the cost incurred for the preliminary judicial report;</p><p class="ssj">(g) Plaintiff recover its attorney fees and court costs of the within action from the proceeds of the sale; or alternatively, that Plaintiff be granted judgment for attorneys' fees and costs, upon which execution may issue; and that</p><p class="ssj">(h) Plaintiff be granted any additional relief to which it may be entitled to at law or in equity, including, but not limited to additional unpaid condominium maintenance fees and special assessments incurred subsequent to the filing of the within action.</p><p class="ssj">The defendants named above are required to answer on or before the 19th day of March, 2012.</p><p class="ssj">MORELAND COURTS CONDOMINIUM ASSOCIATION, INC.</p><p class="bold">By Darcy Mehling Good and Joseph E. DiBaggio, Attorneys for Plaintiff.</p><p class="ssj">Feb4-11-18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6174</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6174</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 005126&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Creola Bufford, a.k.a. etc., et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Creola Bufford, a.k.a. Cleothia Bufford, deceased, the place of residence of each being unknown; and Unknown Spouse of Ruby Bufford, whose last known place of residence is 1429 East 57th Street, Cleveland, OH 44103, otherwise whose place of residence is unknown, will take notice that on December 20, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $642.96 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 104-16-098</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 22 in Hays and others Subdivision of a part of Original 100 Acre Lot No. 340 as shown by the recorded plat in Volume 13 of Maps, Page 1 of Cuyahoga County Records, and being 40 feet front on the easterly side of East 57th Street (formerly Dent Street) and extending back of equal width 125 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $425.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb4-11-18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6175</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6175</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175568&mdash;In the matter of the change of name of Janice Ellen Hughley</p><p class="ssj">To whom it may concern: you are hereby notified that on February 1, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Janice Ellen Hughley, 498 East 127th Street, Cleveland, Cuyahoga County, Ohio 44108, to Janice Ellen Jordan.</p><p class="ssj">This application is set for hearing on the 15th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6176</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6176</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175608&mdash;In the matter of the change of name of Harold Charles Kuhlman.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 1, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Harold Charles Kuhlman, 6328 Elmdale Road, Brook Park, Cuyahoga County, Ohio 44142, to Charles Harold Kuhlman.</p><p class="ssj">This application is set for hearing on the 16th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6177</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6177</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175607&mdash;In the matter of the change of name of Stacey Leanne Dewerth.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 1, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Stacey Leanne Dewerth, 2185 Woodward Avenue, Lakewood, Cuyahoga County, Ohio 44107, to Stacey Leanne Torres.</p><p class="ssj">This application is set for hearing on the 23rd day of March, 2012, at 9:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6178</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6178</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175603&mdash;In the matter of the change of name of Christy Leeanne Pace.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 1, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Christy Leeanne Pace, 21930 Royalton Road, Strongsville, Cuyahoga County, Ohio 44149, to Isabella Leeanne Pacl.</p><p class="ssj">This application is set for hearing on the 15th day of March, 2012, at 2:30 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6179</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6179</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175551&mdash;In the matter of the change of name of Camyl Dyann Wade(Combs).</p><p class="ssj">To whom it may concern: you are hereby notified that on January 31, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Camyl Dyann Wadw (Combs), 3362 Chalfant Road, Shaker Heights, Cuyahoga County, Ohio 44120, to Camille Dyanna Wade (Combs).</p><p class="ssj">This application is set for hearing on the 14th day of March, 2012, at 9:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6180</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6180</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175564&mdash;In the matter of the change of name of Mysha T. Bush.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 1, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Mysha T. Bush, 3694 East 57th Street, Apt. H3, Cleveland, Cuyahoga County, Ohio 44105, to Myeisha T. Bush.</p><p class="ssj">This application is set for hearing on the 20th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6181</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6181</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175587&mdash;In the matter of the change of name of Jackie Foy.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 1, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Jackie Foy, 5401 Hollywood Avenue, Maple Heights, Cuyahoga County, Ohio 44137, to Jacqueline Yvette Foy.</p><p class="ssj">This application is set for hearing on the 14th day of March, 2012, at 2:00 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6182</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6182</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175601&mdash;In the matter of the change of name of Shandrika Asadi-Ousley.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 1, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Shandrika Asadi-Ousley, 1972 Revere Road, Cleveland Heights, Cuyahoga County, Ohio 44118, to Autumn Prosperity.</p><p class="ssj">This application is set for hearing on the 16th day of March, 2012, at 9:45 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6183</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6183</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175422 &mdash;In re: Estate of Anne L. Robbins, deceased.</p><p class="ssj">Unknown creditors of the Estate of Anne L. Robbins, deceased, whose place of residence is unknown, will take notice that on the 26th day of January, 2012, the undersigned, Michael K. Robbins, Dale L. Robbins and Debra A. Anderson, filed an application in the Probate Court of Cuyahoga County, Ohio, for the authority to administer the Estate of Anne L. Robbins, deceased, late of Parma, Cuyahoga County, Ohio, who died on November 1, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 15th day of March, 2012 at 2:00 p.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">MICHAEL K. ROBBINS,</p><p class="ssj"> DALE L. ROBBINS AND </p><p class="ssj">DEBRA A. ANDERSON,</p><p class="ssj">Applicants.</p><p class="bold"> Paul L. Millet, Attorney.</p><p class="ssj">Feb4-11-18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6184</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6184</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175542&mdash;In re: Estate of Joan Arlene Hanley, deceased.</p><p class="ssj">Unknown creditors of the Estate of Joan Arlene Hanley, deceased, the place of residence of each being unknown, will take notice that on January 31, 2012, the undersigned, Mark B. Geddes, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio, for the release of assets without administration in the matter of the Estate of Joan Arlene Harley, deceased, late of Rocky River, Ohio, who died November 17, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 9th day of March, 2012, at 9:15 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">MARK B. GEDDES,</p><p class="ssc">Applicant.</p><p class="bold"> Jean M. Hillman, Attorney.</p><p class="ssj">Feb4-11-18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6185</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6185</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175592&mdash;In re: Estate of Kathryn B. Chentow, deceased.</p><p class="ssj">Unknown creditors of the Estate of Kathryn B. Chentow, deceased, the address of each being unknown, will take notice that on February 1, 2012, the undersigned, Lynn S. Chentow, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Kathryn B. Chentow, deceased, late of Beachwood, Ohio, who died September 17, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 5th day of April, 2012, at 10:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">LYNN S. CHENTOW,</p><p class="ssc">Applicant.</p><p class="bold"> Steve Caine, Attorney</p><p class="ssj">Feb4-11-18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6186</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6186</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175573&mdash;In re: Estate of Fred C. Taddeo, deceased.</p><p class="ssj">Unknown creditors of the Estate of Fred C. Taddeo, deceased, the address of each being unknown, will take notice that on February 1, 2012, the undersigned, Janet M. Schiavoni and Carol J. Taddeo, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Fred C. Taddeo, deceased, late of Lynhurst, Ohio, who died December 10, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 27th day of March, 2012, at 9:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">JANET M. SCHIAVONI and </p><p class="ssj">CAROL J. TADDEO,</p><p class="ssj">Applicants.</p><p class="bold"> Michael A. Jiannetti, Attorney</p><p class="ssj">Feb4-11-18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Authority to Administer Estate Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6187</link>
      <guid>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6187</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175474&mdash;In re: Estate of Ruth Eichele, deceased.</p><p class="ssj">Gerhard Eichele, whose place of residence is unknown, will take notice that on the 27th day of January, 2012, the undersigned, Neal M. Jamison, filed an application in the Probate Court of Cuyahoga County, Ohio, for the authority to administer the Estate of Ruth Eichele, deceased, late of Brook Park, Cuyahoga County, Ohio, who died on March 14, 1999.</p><p class="ssj">Said application is ordered set for hearing on the 21st day of March, 2012 at 9:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">NEAL M. JAMISON,</p><p class="ssj">Applicant.</p><p class="ssj">Feb4-11-18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Authority to Administer Estate Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6188</link>
      <guid>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6188</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175562&mdash;In re: Estate of Zynovy Horodysky, deceased.</p><p class="ssj">Roman Horodysky and Peter Horodysky, whose place of residence is unknown, will take notice that on the 1st day of February, 2012, the undersigned, Diana Froberg, filed an application in the Probate Court of Cuyahoga County, Ohio, for the authority to administer the Estate of Zynovy Horodysky, deceased, late of Parma, Cuyahoga County, Ohio, who died December 13, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 20th day of March, 2012 at 10:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">DIANA FROBERG,</p><p class="ssc">Applicant.</p><p class="bold"> David R. Boldt, Attorney.</p><p class="ssj">Feb4-11-18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Corporate Dissolution Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedissolutions/details/ref_index/6189</link>
      <guid>http://www.dln.com/noticedissolutions/details/ref_index/6189</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Notice of Dissolution of Corporation</p><p class="ssj">Notice is hereby given that on January 31, 2012, the undersigned, City-Side Wholesale, Inc., Charter #823802, an Ohio corporation, filed its Certificate of Dissolution with the Secretary of State of Ohio, thereby surrendering and abandoning its corporate authority and franchises as provided by law.</p><p class="ssj">CITY-SIDE WHOLESALE, INC.</p><p class="bold">By Vincent T. Pisano, President</p><p class="ssj">Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Corporate Dissolution Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedissolutions/details/ref_index/6190</link>
      <guid>http://www.dln.com/noticedissolutions/details/ref_index/6190</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF DISSOLUTION</p><p class="ssj">To Whom It May Concern: Notice is hereby given that The Coffee Cup Family Restaurant, Inc. by virtue of a resolution adopted by the Shareholders of The Coffee Cup Family Restaurant, Inc., elected to voluntarily dissolve and completely wind up its affairs and that a certificate to that effect has been duly filed in the office of the Secretary of State of the State of Ohio at Columbus, Ohio on January 18, 2012. The Coffee Cup Family Restaurant, Inc. By: Carol A. Richings, President. Date: February 2, 2012.</p><p class="ssj">Feb4-11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6191</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6191</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicle will be offered for sale by Lakewood Acceptance Corp. dba CNAC at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 24, 2012.</p><p class="ssj">2002 Dodge Caravan 614926</p><p class="bold">By virtue of security interest, the above vehicle will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicle is sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6192</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6192</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicles will be offered for sale by Motor Service Corporation at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 17, 2012.</p><p class="ssj">2006 Chevy HHR 541295</p><p class="ssj">2006 Kia Sportage 205653</p><p class="ssj">2011 Mitsubishi Endeavor 015484</p><p class="ssj">2008 Ford Taurus 102712</p><p class="ssj">2002 Ford Mustang 195858</p><p class="ssj">1999 Dodge Ram 119717</p><p class="ssj">2008 Chevy Malibu 163092</p><p class="bold">By virtue of security interest, the above vehicles will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicles are sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6193</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6193</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicles will be offered for sale by Lakewood Acceptance Corp. dba CNAC at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 17, 2012.</p><p class="ssj">2002 Dodge Intrepid 588524</p><p class="ssj">2003 Chrysler Sebring 552117</p><p class="bold">By virtue of security interest, the above vehicles will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicles are sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb4, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6194</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6194</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771959&mdash;Deutsche Bank National Trust Company, as Trustee for the holders of Morgan Stanley ABS Capital I Inc. Trust 2005-HE1, Mortgage Pass Through Certificates, Series 2005-HE1 vs. Susie Lee Spraggin aka Susie L. Spraggin-White, et al.</p><p class="ssj">Consumer Finance Co., Inc., whose last known address and present address are unknown, will take notice that on December 21, 2011, the undersigned, Deutsche Bank National Trust Company, as Trustee for the holders of Morgan Stanley ABS Capital I Inc. Trust 2005-HE1, Mortgage Pass Through Certificates, Series 2005-HE1 c/o Bank of America, N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 361-16-037</p><p class="ssj">Address: 661 Wesley Drive, Berea, Ohio 44017</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further says that due to an inadvertent mistake and scrivener's error of fact between the parties thereto, the mortgage executed by the primary defendant and delivered to the plaintiff contained an incomplete notary clause, wherein the date of execution was omitted.</p><p class="ssj">Because this was the result of scrivener's error and because this mistake was a mutual mistake of fact between the parties to said document, plaintiff is entitled to have the above described mortgage reformed as hereinabove set forth; and plaintiff is further entitled to an order of this Court decreeing the following property.</p><p class="ssj">Plaintiff further says by way of pleading in the alternative, Plaintiff is further entitled to an Order of this Court that Plaintiff has a first and best lien on the entire property, after payment of real taxes, due to the Doctrines of Equitable Subrogation and Unjust Enrichment, in that Plaintiff intended to have a first and best mortgage lien, and proceeds from Plaintiff's mortgage loan were used to pay off prior mortgages that encumbered the entire property, and other debts owed by Defendants.</p><p class="ssj">Plaintiff further says by way of pleading in the alternative, Plaintiff is further entitled to a Declaratory Judgment from this Court (pursuant to RC 2721), declaring that the parties intended that the property owners were to execute Plaintiff's mortgage and that the mortgage encumber the entire interest in the property and ordering same to be sold by the Sheriff of this County at Sheriff's Sale. There exists a real controversy between adverse parties, which is justifiable in nature, and speedy relief is necessary to preserve the rights of the parties which otherwise may be impaired or lost.</p><p class="ssj">Plaintiff further says that it has an equitable and legal lien on the entire interest in the real estate.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 20th day of March, 2012.</p><p class="ssj">DEUTSCHE BANK NATIONAL TRUST COMPANY, AS TRUSTEE FOR THE HOLDERS OF MORGAN STANLEY ABS CAPITAL I INC. TRUST 2005-HE1, MORTGAGE PASS THROUGH CERTIFICATES, SERIES 2005-HE1 C/O BANK OF AMERICA, N.A.</p><p class="bold">By Carrie L. Rouse, Attorney for Plaintiff. Reisenfeld &amp; Associates, LPA LLC, 3962 Red Bank Road, Cincinnati, OH 45227. (513) 322-7000.</p><p class="ssj">Feb7-14-21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6195</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6195</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771808&mdash;The Huntington National Bank successor by merger to Sky Bank vs. Rondia Thompson aka Rondia J. Thompson, et al.</p><p class="ssj">Edward C. Bednarski, whose last known place of residence and present place of residence are unknown; The Unknown Heirs at Law or Under the Will, if any, of Joseph C. Bednarski, deceased, the place of residence of each being unknown; The Unknown Heirs at Law or Under the Will, if any of David C. Bednarski, deceased, the place of residence of each being unknown, will take notice that on December 20, 2011, the undersigned, The Huntington National Bank successor by merger to Sky Bank, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 133-20-112</p><p class="ssj">Address: 7629 Spafford Road, Cleveland, Ohio 44105</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff says that as a result of the mutual mistake of the parties to the Quit Claim Deed filed in Volume 96-04499, Page 9 of Cuyahoga County, a life estate was reserved for Edward C. Bednarski, however it should have been reserved for the Grantor Joseph C. Bednarski.</p><p class="ssj">Plaintiff further says that Joseph C. Bednarski is now deceased, Cuyahoga County Probate Court, Case No. 2000 EST 0033594, so that Plaintiff is entitled to a declaration by the Court that the life estate has been terminated and that the Quit Claim Deed filed in Volume 96-04499, Page 9 of Cuyahoga County is valid.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 20th day of March, 2012.</p><p class="ssj">THE HUNTINGTON NATIONAL BANK SUCCESSOR BY MERGER TO SKY BANK.</p><p class="bold">By Edward G. Bohnert, Ronald J. Chernek and Douglas A. Haessig, Attorneys for Plaintiff. Reimer, Arnovitz, Chernek &amp; Jeffrey Co., L.P.A., P.O. Box 968, Twinsburg, Ohio 44087, (330) 425-4201.</p><p class="ssj">Feb7-14-21, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6196</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6196</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767563&mdash;Bank of America, N.A. sbm BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. Charles E. Wacasey, et al.</p><p class="ssj">Charles E. Wacacsey, whose last known place of residence is 2037 Sycamore Drive, Bedford Heights, OH 44146-2313, otherwise whose place of residence is unknown; Jane Doe, Unknown Spouse, if any, of Charles E. Wacacsey, whose last known place of residence is 2037 Sycamore Drive, Bedford Heights, OH 44146-2313, otherwise whose place of residence is unknown, will take notice that on October 25, 2011, the undersigned, Bank of America, N.A. sbm BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $173,669.42, plus any sums advanced, with interest at 6.375% per annum from March 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 791-27-087</p><p class="ssj">Address: 2037 Sycamore Drive, Bedford Heights, OH 44146</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 20th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SBM BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Feb7-14-21, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6197</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6197</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">765318&mdash;SunTrust Mortgage, Inc. vs. Robert S. Cupo, et al.</p><p class="ssj">Robert S. Cupo and Jane Doe, name unknown, spouse of Robert S. Cupo, whose last known place of residence is 7804 Pelham Drive, Parma, OH 44129, otherwise whose place of residence is unknown, will take notice that on October 31, 2011, the undersigned, SunTrust Mortgage, Inc., filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $112,596.17, plus any sums advanced, with interest at 6.0000% per annum from March 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 449-11-091</p><p class="ssj">Situated in the City of Parma, County of Cuyahoga, and State of Ohio, and known as being Sublot No. 3550 in The H.A. Stahl Properties Company's Ridgewood Subdivision No. 2 of part of Original Parma Township Lots Nos. 3 and 4, Tuckerman Tract, and part of Original Parma Township Lot No. 1, Ely Tract, as shown by the recorded plat in Volume 86 of Maps, Page 14 of Cuyahoga County Records, and being 40 feet front on the Northerly side of Pelham Drive, and extending back between parallel lines 115 feet deep, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 7804 Pelham Drive, Parma, OH 44129</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 20th day of March, 2012.</p><p class="ssj">SUNTRUST MORTGAGE, INC.</p><p class="bold">By Pamela A. Fehring and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb7-14-21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6198</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6198</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771761&mdash;U.S. Bank National Association vs. Kurtis J. Witt, et al.</p><p class="ssj">Ellen B. Witt and John Doe, whose last known place of residence is 10813 Bellaire Road, Cleveland, OH 44111, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Ellen B. Witt, the place of residence of each being unknown, will take notice that on December 20, 2011, the undersigned, U.S. Bank National Association, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $67,182.50, plus any sums advanced, with interest at 6.1000% per annum from May 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 019-08-017</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being Sublot No. 220 in N. Moses and Samantha Day's Subdivision of part of Original Brooklyn Township Lot Nos. 4 and 5, as shown by the recorded plat in Volume 16 of Maps, Page 17 of Cuyahoga County Records, and being 50 feet front on the Southeasterly side of Bellaire Road, S.W., (formerly Linn Avenue) and extending back of equal width 112.53 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 10813 Bellaire Road, S.W., Cleveland, Ohio 44111</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 20th day of March, 2012.</p><p class="ssj">U.S. BANK NATIONAL ASSOCIATION.</p><p class="bold">By Matthew I. McKelvey and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb7-14-21, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6199</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6199</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769356&mdash;Bank of America, NA, Successor by Merger with BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, L.P. vs. Sheric Gray Bryant, et al.</p><p class="ssj">Donald Ramsey, whose last known place of residence is 2404 East 38th Street, Cleveland, OH 44115, otherwise whose place of residence is unknown; John Doe, Real Name Unknown, The Unknown Spouse, if any, of Ruth Bowers, whose last known place of residence is 2020 Taylor Road, Apt. 912, East Cleveland, OH 44112, otherwise whose place of residence is unknown; John Doe and/or Jane Doe, Real Name(s) Unknown, The Unknown Heirs, Devisees, Legatees, Executors, Administrators and Assigns of Donald Ramsey, deceased, the place of residence of each being unknown; Diana Ramsey and John Doe, Real Name Unknown, The Unknown Spouse, if any, of Diana Ramsey, the place of residence of each being unknown, will take notice that on December 19, 2011, the undersigned, Bank of America, NA, Successor by Merger with BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, L.P., filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel Nos. 1</p><p class="ssj">03-30-040 and 103-30-041</p><p class="ssj">Address: 2404 East 38th St., Cleveland, Ohio 44115-3365</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 20th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, NA, SUCCESSOR BY MERGER WITH BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, L.P.</p><p class="bold">By Richard J. Feuerman, Attorney for Plaintiff.</p><p class="ssj">Feb7-14-21, 2012</p>]]></content:encoded>
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      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6200</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6200</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 005147&mdash;Treasurer of Cuyahoga County, Ohio vs. Johnny Waller, et al.</p><p class="ssj">Johnny Waller, whose last known place of residence is 3446 East 113th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; Unknown Spouse of Johnny Waller, whose last known place of residence is 3446 East 113th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; Leonard Brooks, whose last known place of residence is 3446 East 113th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; and Unknown Spouse of Leonard Brooks, whose last known place of residence is 3446 East 113th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown, will take notice that on December 22, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,899.72 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 127-26-072</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being Sublot No. 137 in the Southern and Latimer's Allotment of part of Original 100 Acre Lot No. 443, as shown by the recorded plat in Volume 15 of Maps, Page 8 of Cuyahoga County Records and being 40 feet front on the Westerly side of East 113th Street and extending back of equal width 150 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $425.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb7-14-21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6201</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6201</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004626&mdash;Treasurer of Cuyahoga County, Ohio vs. Evelyn Thomas, a.k.a. etc., et al.</p><p class="ssj">Evelyn Thomas, a.k.a. Evelyn Wright, whose last known address is c/o Phillis Wheatley Association, 4450 Cedar Avenue, Apartment 604, Cleveland, OH 44103, otherwise whose address is unknown; Unknown Spouse of Evelyn Thomas, a.k.a. Evelyn Wright, whose last known address is c/o Phillis Wheatley Association, 4450 Cedar Avenue, Apartment 604, Cleveland, OH 44103, otherwise whose address is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Emma Fitzsimmons, deceased, the place of residence of each being unknown; Unknown Spouse of Leona Davis, whose last known place of residence is 14008 Linden Boulevard, Jamaica, NY 11436, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Leona Davis, deceased, the place of residence of each being unknown; Barbara McKeller, whose last known place of residence is 3532 Cedar Avenue, Cleveland, OH 44115, otherwise whose place of residence is unknown; and Unknown Spouse of Barbara McKeller, whose last known place of residence is 3532 Cedar Avenue, Cleveland, OH 44115, otherwise whose place of residence is unknown, will take notice that on August 31, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $178.97 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 103-21-017</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being Sublot No. 61 in Horace P. Weddell's Allotment of part of Original Ten Acre Lots Nos. 64, 65 and 66, as shown by the recorded plat in Volume 2 of Maps, Page 30 of Cuyahoga County Records, and being 40 feet front on the Southerly side of Cedar Avenue, and extending back of equal width 132 feet deep to an alley in the rear, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb7-14-21, 2012</p>]]></content:encoded>
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    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6202</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6202</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004165&mdash;Treasurer of Cuyahoga County, Ohio vs. Priscilla Clark, et al.</p><p class="ssj">Priscilla Clark, whose last known place of residence is 11306 Olney Court, Cleveland, OH 44105, otherwise whose place of residence is unknown; and Unknown Spouse of Priscilla Clark, whose last known place of residence is 11306 Olney Court, Cleveland, OH 44105, otherwise whose place of residence is unknown, will take notice that on June 1, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $5,449.98 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 672-04-023</p><p class="ssj">Situated in the City of East Cleveland, County of Cuyahoga and State of Ohio: And known as being part of Sublot No. 75 in the Carlyon Allotment No. 2 of part of Original 100 Acre Lots Nos. 380 and 381, as shown by the recorded plat in Volume 45 of Maps, Page 3 of Cuyahoga County Records, and part of Original 100 Acre Lot No. 381 and together forming a parcel of land bounded and described as follows: Beginning on the Easterly line of East 125th Street, at the Southwesterly corner of land conveyed to Fred Gottschall and Helen M. Gottschall by deed dated July 18, 1952 and recorded in Volume 7610, Page 736 of Cuyahoga County Records; thence Southerly, along the Easterly line of East 125th Street, 46 feet to the Northwesterly corner of land conveyed to Clifford M. Wulf and Justine B. Wulf by deed dated August 26, 1958 and recorded in Volume 9418, Page 581 of Cuyahoga County Records; thence Easterly, along the Northerly line of land so conveyed, about 121.91 feet to the Westerly line of land conveyed to The Deming Brothers Company by deed dated April 6, 1908 and recorded in Volume 1145, Page 601 of Cuyahoga County Records; thence Northerly, along the Westerly line of land so conveyed 46 feet to the Southeasterly corner of land conveyed to Fred and Helen M. Gottschall as aforesaid; thence Westerly along the Southerly line of land, so conveyed, about 121.96 feet to the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb7-14-21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6203</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6203</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004378&mdash;Treasurer of Cuyahoga County, Ohio vs. Modesta Wasson, et al.</p><p class="ssj">Modesta Wasson, whose last known place of residence is 8808 Crenshaw Boulevard, Apartment 6, Inglewood, CA 90305, otherwise whose place of residence is unknown; Unknown Spouse of Modesta Wasson, whose last known place of residence is 8808 Crenshaw Boulevard, Apartment 6, Inglewood, CA 90305, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Modesta Wasson, deceased, the place of residence of each being unknown; Zita M. Van Timmons, whose last known place of residence is 8808 South Crenshaw Boulevard, Apartment A, Inglewood, CA 90305, otherwise whose place of residence is unknown; Unknown Spouse of Zita M. Van Timmons, whose last known place of residence is 8808 South Crenshaw Boulevard, Apartment A, Inglewood, CA 90305, otherwise whose place of residence is unknown; Louis Moreno, whose last known place of residence is 2528 East 86th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; Unknown Spouse of Louis Moreno, whose last known place of residence is 2528 East 86th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; Francisco C. Moreno, Jr., whose last known place of residence is 2528 East 86th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; Unknown Spouse of Francisco C. Moreno, Jr., whose last known place of residence is 2528 East 86th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Rometo Moreno, deceased, the place of residence of each being unknown; and Unknown Spouse of Alma Moreno, whose last known place of residence is 3715 Warrensville Center Road, Apartment 317/404, Beachwood, OH 44122, otherwise whose place of residence is unknown, will take notice that on July 22, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $4,927.72 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 126-04-043</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 35 in Southern Hower and Burgert's Subdivision of part of Original One Hundred Acre Lot No. 415, as shown by the recorded plat in Volume 5 of Maps, Page 53 of Cuyahoga County Records and being 40 feet front on the Westerly side of East 86th Street (formerly Congress Street), 126 feet deep on the Northerly line, 126 feet 2 inches deep on the Southerly line and 40 feet wide in the rear, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb7-14-21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6204</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6204</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004503&mdash;Treasurer of Cuyahoga County, Ohio vs. Delvin J. Samuels, et al.</p><p class="ssj">Delvin J. Samuels, whose last known place of residence is 9550 Weathervane Drive, Chagrin Falls, OH 44023, otherwise whose place of residence is unknown; Unknown Spouse of Delvin J. Samuels, whose last known place of residence is 9550 Weathervane Drive, Chagrin Falls, OH 44023, otherwise whose place of residence is unknown; Unknown Spouse of Elizabeth Burrell, whose last known place of residence is 1337 East 114th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; The Betty J. Calhoun Living Trust dated 7-28-94, whose last known address is 1337 East 114th Street, Cleveland, OH 44106, otherwise whose address is unknown; Bellastanza Wholesale Furniture, whose last known address is 5357 Northfield Road, Bedford, OH 44146, otherwise whose address is unknown; Cora Smalley, whose last known place of residence is 1337 East 114th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Cora Smalley, deceased, the place of residence of each being unknown; Unknown Spouse of Cora Smalley, whose last known place of residence is 1337 East 114th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; Thomas Smalley, whose last known place of residence is 1801 West 45th Street, Upper Floor, Cleveland, OH 44102, otherwise whose place of residence is unknown; Unknown Spouse of Thomas Smalley, whose last known place of residence is 1801 West 45th Street, Upper Floor, Cleveland, OH 44102, otherwise whose place of residence is unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Thomas Smalley, deceased, the place of residence of each being unknown, will take notice that on August 9, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $8,041.92 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 120-04-113</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 10 in Schatzingner and Hartwicks Subdivision of part of Original One Hundred Acre Lot No. 387, as shown by the recorded plat in Volume 27 of Maps, Page 13 of Cuyahoga County Records, as appears by said plat.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb7-14-21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6205</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6205</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU09116055&mdash;In the matter of Cameren Caprice Jones.</p><p class="ssc">Summons</p><p class="ssj">To: Donald Dean Jones, whose address is unknown, an application for custody has been filed in this Court concerning Cameren Caprice Jones. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 1, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6206</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6206</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU09116051&mdash;In the matter of Donavin Anthony Jones.</p><p class="ssc">Summons</p><p class="ssj">To: Donald Dean Jones, whose address is unknown, an application for custody has been filed in this Court concerning Donavin Anthony Jones. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 1, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6207</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6207</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU09116051&mdash;In the matter of Donavin Anthony Jones.</p><p class="ssc">Summons</p><p class="ssj">To: Lenora Evelyn Fuller, whose address is unknown, an application for custody has been filed in this Court concerning Donavin Anthony Jones. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 1, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6208</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6208</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11923112&mdash;In the matter of Tatiana Porter.</p><p class="ssc">Summons</p><p class="ssj">To: Lanell Hatcher, whose last known address is unknwon, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Tatiana Porter, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on February 24, 2012 at 9:00 AM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 1, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6209</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6209</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11923112&mdash;In the matter of Tatiana Porter.</p><p class="ssc">Summons</p><p class="ssj">To: Tonya Porter, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Tatiana Porter, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on February 24, 2012 at 9:00 AM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 1, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6210</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6210</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11920508&mdash;In the matter of Brooklyn Perkins.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Brooklyn Perkins, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on February 15, 2012 at 2:30 PM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 1, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6211</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6211</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11920265&mdash;In the matter of Trinity Malik.</p><p class="ssc">Summons</p><p class="ssj">To: Eli Bangos, whose last known address is 2256 East 97th Street, Apt. 3, Cleveland, OH 44106, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Trinity Malik, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 22, 2012 at 9:15 AM, before Judge Sweeney, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 1, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6212</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6212</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11901161&mdash;In the matter of Julia M. Kozlowski.</p><p class="ssc">Summons</p><p class="ssj">To: Ricky Kozlowski, whose last known address is 1016 East 66th Place, Cleveland, OH 44103, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Julia M. Kozlowski, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on March 26, 2012 at 9:30 AM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 1, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6213</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6213</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD02900904&mdash;In the matter of Cierra Caradine.</p><p class="ssc">Summons</p><p class="ssj">To: Michelle Ellsworth, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Cierra Caradine. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6214</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6214</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD02900903&mdash;In the matter of Nautica Caradine.</p><p class="ssc">Summons</p><p class="ssj">To: Michelle Ellsworth, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Nautica Caradine. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6215</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6215</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU12101630&mdash;In the matter of Sashia-Mariyah C. Smith.</p><p class="ssc">Summons</p><p class="ssj">To: Juslin Weaver, whose address is unknown, an application for custody has been filed in this Court concerning Sashia-Mariyah C. Smith. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 1, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6216</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6216</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU12101566&mdash;In the matter of Tarik Garner.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an application for custody has been filed in this Court concerning Tarik Garner. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on January 31, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6217</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6217</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU09116055&mdash;In the matter of Cameren Caprice Jones.</p><p class="ssc">Summons</p><p class="ssj">To: Lenora Evelyn Fuller, whose address is unknown, an application for custody has been filed in this Court concerning Cameren Caprice Jones. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 1, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6218</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6218</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2011 MSC 174690&mdash;In the matter of the change of name of Donelda Shayrise Sublett.</p><p class="ssj">To whom it may concern: you are hereby notified that on December 23, 2011, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Donelda Shayrise Sublett 6515 Bonna Avenue, Cleveland, Cuyahoga County, Ohio 44103, to Donelda Shayrise Marbury.</p><p class="ssj">This application is set for hearing on the 19th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6219</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6219</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175650&mdash;In the matter of the change of name of Imani Jhan&eacute; Scott, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Imani Jhan&eacute; Scott, 935 South Green Road, Apt. #6, South Euclid, Cuyahoga County, Ohio 44121, to Imani Jhan&eacute; Williams.</p><p class="ssj">This application is set for hearing on the 26th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6220</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6220</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175630&mdash;In the matter of the change of name of Danielle Ellen Latonia.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 2, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Danielle Ellen Latonia, 6957 Pearl Road, Apt. 5, Middleburg Heights, Cuyahoga County, Ohio 44130, to Danielle Ellen Pratt.</p><p class="ssj">This application is set for hearing on the 22nd day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6221</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6221</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175620&mdash;In the matter of the change of name of Stella Della.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 2, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Stella Della, 3207 Franklin Blvd., Cleveland, Cuyahoga County, Ohio 44113, to Stella Della Stinson.</p><p class="ssj">This application is set for hearing on the 23rd day of March, 2012, at 10:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6222</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6222</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175610&mdash;In the matter of the change of name of Rolaundah Anne Smith.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 2, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Rolaundah Anne Smith, Cleveland, Cuyahoga County, Ohio 44104, to Rashida Jasmine Ali.</p><p class="ssj">This application is set for hearing on the 22nd day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6223</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6223</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175564&mdash;In the matter of the change of name of Mysha T. Bush.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 1, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Mysha T. Bush, 3694 East 57th Street, Apt. H3, Cleveland, Cuyahoga County, Ohio 44105, to Myeisha T. Bush.</p><p class="ssj">This application is set for hearing on the 20th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6224</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6224</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175466&mdash;In re: Estate of Cledina Ryan, deceased.</p><p class="ssj">Unknown creditors of the Estate of Cledina Ryan, deceased, the place of residence of each being unknown, will take notice that on January 27, 2012, the undersigned, Ronald Busch, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio, for the release of assets without administration in the matter of the Estate of Cledina Ryan, deceased, late of Cleveland, Ohio, who died April 24, 2007.</p><p class="ssj">Said application is ordered set for hearing on the 22nd day of March, 2012, at 10:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">RONALD BUSCH,</p><p class="ssc">Applicant.</p><p class="bold"> John Czarnecki, Attorney.</p><p class="ssj">Feb7-14-21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate of Will Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobateofwill/details/ref_index/6225</link>
      <guid>http://www.dln.com/noticeprobateofwill/details/ref_index/6225</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175345&mdash;In re: Estate of Mary Louise Tudor, deceased.</p><p class="ssj">Mildred Thompson, John L. Hafner, Daniel Hafner, Maxine Hafner, Lurline Hafner and any and all other Unknown Heirs-at-Law, whose place of residence is unknown, will take notice that on the 24th day of January, 2012, the undersigned, Veronica Reese, presented to the Probate Court of Cuyahoga County, Ohio, a paper writing purporting to be the Last Will and Testament of Mary Louis Tudor, deceased, late of Rocky River, Cuyahoga County, Ohio, who died September 7, 2011; that said paper writing was filed and admitted to probate on the 24th day of January, 2012.</p><p class="ssc">VERONICA REESE,</p><p class="ssc">Applicant.</p><p class="bold"> Susan E. Batal, Attorney.</p><p class="ssj">Feb7-14-21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/6226</link>
      <guid>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/6226</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice </p><p class="bold">2011 EST 0173971&mdash;In Re: Estate of Dale Williams, deceased.</p><p class="ssj">Clyde Bolton, whose place of residence is unknown, will take notice that on December 29, 2011, the undersigned, Denise Williams, Fiduciary of the Estate of Dale Williams, deceased, filed an application in the Probate Court of Cuyahoga County, Ohio, to approve a wrongful death settlement or distribution; that Denise Williams has received an offer of settlement for damages for decedent's wrongful death in the amount of $750,000.00, and asks the Court for reasonable attorney fees for services with respect to the wrongful death action, to be paid out of the proceeds of the settlement judgment as further set forth in the application.</p><p class="ssj">Said application is ordered set for hearing on the 22nd day of February, 2012, at 2:30 p.m., or as soon thereafter as the Court may hear the same.</p><p class="bold">By Allison M. McMeechan, Attorney for Denise Williams, Fiduciary.</p><p class="ssj">Jan24-31Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Miscellaneous Legal Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticemisc/details/ref_index/6227</link>
      <guid>http://www.dln.com/noticemisc/details/ref_index/6227</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE TO BIDDERS</p><p class="ssj">Bids will be accepted until February 24, 2012 at 9:00 am for the private auction of 6423-6433 Union Avenue, Cleveland, Ohio 44127. Bids will be accepted until February 24, 2012 at 10 am for the private auction of vehicles located on the premises of 6423-6433 Union Avenue, Cleveland, Ohio 44127. Bids will be accepted until February 24, 2012 at 11:00 am for the private auction of 0 Northridge Heights Drive, Howard, Ohio 43028 (Knox County). Bids may be delivered in person or by mail to Paul Downey at Cambridge Capital, LLC, Suite 100, 3659 Greed Road, Beachwood, Ohio 44122.</p><p class="ssj">Feb7,8,9,10,14,15,16,17,18,21,22,23,24,25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6228</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6228</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicles will be offered for sale by First Investors Servicing Corp. at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 17, 2012.</p><p class="ssj">2002 Saturn Vue 821293</p><p class="ssj">2006 Chevy Trailblazer 246965</p><p class="bold">By virtue of security interest, the above vehicles will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicles are sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6229</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6229</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">756397&mdash;CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc. vs. Sandra L. Kreal, et al.</p><p class="ssj">Christine S. Niedzwiecki, whose last known place of residence and present place of residence are unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Christine S. Niedzwiecki, the place of residence of each being unknown, will take notice that on January 10, 2012, the undersigned, CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc., filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $67,889.40, plus any sums advanced, with interest at 3.7500% per annum from September 1, 2009, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 013-27-069</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio: and known as being Sublot No. 138 in the Blaser Realty Company's Brookside Park Subdivision of part of Original Brooklyn Township Lot No. 43, as shown by the recorded plat in Volume 57 of Maps, Page 23 of Cuyahoga County Records, and being 40 feet front on the Westerly side of West 49th Street, and extending back of equal width 110 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 4314 West 49th Street, Cleveland, Ohio 44144</p><p class="ssj">Plaintiff says that the defendant, Christine S. Niedzwiecki, is named as a defendant herein as the grantor on a prior deed dated March 1, 2000 and filed for record on March 3, 2000, as Instrument Number 200003020622, of said County Recorder's Records, which deed fails to properly disclose the marital status of said grantor. Plaintiff is informed and believes that Christine S. Niedzwiecki was in fact unmarried at the time of the conveyance and plaintiff seeks to have the prior deed reformed so as to disclose the grantor's marital status as divorced and unremarried.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 21st day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC. SUCCESSOR BY MERGER TO ABN AMRO MORTGAGE GROUP, INC.</p><p class="bold">By Rachel K. Pearson and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6230</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6230</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767540&mdash;Fifth Third Mortgage Company vs. Esther Monclova-Johnson, et al.</p><p class="ssj">John Doe, Real Name Unknown, The Unknown Spouse, if any of Esther Monclova-Johnson, whose last known addresses are 1339 E. 86th St., Cleveland, OH 44106 and 1648 Cottenham Lane, Virginia Beach, VA 23454, otherwise whose address is unknown, will take notice that on October 25, 2011, the undersigned, Fifth Third Mortgage Company, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 107-14-055</p><p class="ssj">Address: 1339 E. 86th St., Cleveland, OH 44105</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 21st day of March, 2012.</p><p class="ssj">FIFTH THIRD MORTGAGE COMPANY.</p><p class="bold">By James L. Sassano, Attorney for Plaintiff.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6231</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6231</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">766348&mdash;Wells Fargo Financial Ohio 1, Inc. vs. Elizabeth Szalkowski aka Betty Szalkowski, et al.</p><p class="ssj">Jane Doe, name unknown, spouse of Frank S. Szalkowski, whose last known place of residence is 13709 Oakview Boulevard, Garfield Heights, OH 44125, otherwise whose place of residence is unknown, will take notice that on November 21, 2011, the undersigned, Wells Fargo Financial Ohio 1, Inc., filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $77,610.95, plus any sums advanced, with interest at 7.0000% per annum from April 9, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 545-32-075</p><p class="ssj">Situated in the City of Garfield Heights, County of Cuyahoga, and State of Ohio, and known as Sublot No. 242 in York Subdivision No. 2, being a Resubdivision of Blocks B, C and E, in York Subdivision No. 1, recorded in Volume 145 of Maps, Page 8, of Cuyahoga County Records, being a part of Original Independence Township, Tract 2, East of the River, as shown by the recorded plat in Volume 146 of Maps, Page 20 of Cuyahoga County Records.</p><p class="ssj">Address: 13709 Oakview Boulevard, Garfield Heights, Ohio 44125</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 21st day of March, 2012.</p><p class="ssj">WELLS FARGO FINANCIAL OHIO 1, INC.</p><p class="bold">By Pamela A. Fehring and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6232</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6232</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">762602&mdash;Third Federal Savings and Loan Association of Cleveland vs. Tracy D. Love, et al.</p><p class="ssj">Tracy D. Love and Michael E. Miller, whose last known place of residence and present place of residence are unknown, will take notice that on August 23, 2011, the undersigned, Third Federal Savings and Loan Association of Cleveland, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $59,287.02, plus any sums advanced, with interest at 6.525% per annum from October 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 138-05-174</p><p class="ssj">Address: 13406 Durkee Avenue, Cleveland, Ohio 44105</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff says that as the result of scrivener's error and mutual mistake of fact between the parties thereto, the mortgage executed by Tracy D. Love and delivered by her to the Plaintiff contained incorrect wording in the legal description, as to the words &quot;...H. Ibela and J.M. Pettibone's Subdivision...&quot; should read &quot;...H. Ibele and J.M. Pettibone's Subdivision...&quot; and as to the words &quot;...and extending back between parallel lines 102.16 feet...&quot; should read &quot;...and extending back between parallel lines 102.15 feet...&quot;.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, Plaintiff is entitled to have the above-described mortgage reformed so as to have the appropriate legal wording as hereinabove set forth; and Plaintiff is further entitled to an Order for this Court decreeing the reformation of the mortgage.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 21st day of March, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS AND LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Dean K, Hegyes, Attorney for Plaintiff. Jones &amp; Hegyes Co., L.P.A., 38040 Euclid Avenue, Willoughby, Ohio 44094. (440) 951-1181.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6233</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6233</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">757470&mdash;PNC Bank, National Association successor by merger to National City Mortgage, a division of National City Bank of Indiana vs. Osmainy Rocha aka Osmalny Rocha, et al.</p><p class="ssj">Osmainy Rocha aka Osmalny Rocha, whose last known place of residence is 643 West 29th Street #2, Hialeah, FL 33012, otherwise whose place of residence is unknown, will take notice that on June 14, 2011, the undersigned, PNC Bank, National Association successor by merger to National City Mortgage, a division of National City Bank of Indiana, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $83,492.17, plus any sums advanced, with interest at 6.0000% per annum from February 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 446-05-084</p><p class="ssj">Situated in the City of Parma, County of Cuyahoga, and State of Ohio: And known as being Sublot No. 24 in the Elworthy-Helwick Company's Wellington Park Allotment of part of Original Parma Township Lot No. 15, Blake Tract, as shown by the recorded plat in Volume 32 of Maps, Page 15 of Cuyahoga County Records.</p><p class="ssj">Address: 3202 Wellington Ave., Parma, Ohio 44134</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the mortgage executed by the defendants, Osmainy Rocha a.k.a. Osmalny Rocha and Miladys Napoles, and delivered by them to plaintiff in interest listed &quot;Osmainy Rocha Married Miladys Napoles&quot; in the Granting Clause of said mortgage.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to said document, plaintiff is entitled to have the above described mortgage reformed to properly state &quot;Osmainy Rocha a.k.a. Osmalny Rocha, married to Miladys Napoles&quot; in the Granting Clause. Plaintiff is further entitled to an order of this Court decreeing the property as described in Plaintiff's mortgage be sold at sheriff's sale.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 21st day of March, 2012.</p><p class="ssj">PNC BANK, NATIONAL ASSOCIATION SUCCESSOR BY MERGER TO NATIONAL CITY MORTGAGE, A DIVISION OF NATIONAL CITY BANK OF INDIANA.</p><p class="bold">By John R. Knoebber and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6234</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6234</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">774533&mdash;Third Federal Savings and Loan Association of Cleveland vs. Catherine Barberic aka Catherine H. Barberic, et al.</p><p class="ssj">The Unknown Heirs, Devisees, their Spouses and Creditors, Legatees and the Fiduciary of the Estate and Spouses and Creditors of Catherine Barberic aka Catherine H. Barberic, the place of residence of each being unknown, will take notice that on January 26, 2012, the undersigned, Third Federal Savings and Loan Association of Cleveland, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 231-19-061</p><p class="ssj">Address: 25170 Antler Dr., North Olmsted, Ohio 44070-1209</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 21st day of March, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS AND LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Emily Honsa Hicks, Attorney for Plaintiff.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/6235</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/6235</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768936&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Freddie Lee Thomas, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Freddie Lee Thomas, the place of residence of each being unknown, will take notice that on November 10, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $5,808.52 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 671-13-137</p><p class="ssj">Situated in the City of East Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 56 in The Crawford Realty Co.'s Hayden-Doan Subdivision of part of Original Euclid Township Lot No. 4 and part of Original One Hundred Acre Lot No. 374, as shown by the recorded plat in Volume 59 of Maps, Page 20 of Cuyahoga County Records. Said Sublot No. 56 is subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 21st day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/6236</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/6236</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767741&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Rosemarie B. Evans, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Rosemarie B. Evans, the place of residence of each being unknown; Joanna Wolf, whose last known place of residence is 3218 Marvin Avenue, Cleveland, OH 44109, otherwise whose place of residence is unknown; and Unknown Spouse of Joanna Wolf, whose last known place of residence is 3218 Marvin Avenue, Cleveland, OH 44109, otherwise whose place of residence is unknown, will take notice that on October 27, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $572.42 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 015-09-161</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sub-Lot No. Seventy-seven in J.S. Edward's Subdivision of a part of Original Brooklyn Township Lots Nos. Fifty-five (55) and Fifty-six (56). Said Sub-Lot having a frontage of Thirty-five (35) feet on the Northerly side of Marvin Avenue, and extending back of equal width One Hundred and Twenty-six (126) feet to a Fourteen (14) foot alley, in the rear, as appears by said Subdivision recorded in Volume Six (6) of Maps, Page Fifteen (15) of Cuyahoga County Records. Be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 21st day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/6237</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/6237</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768330&mdash;Treasurer of Cuyahoga County, Ohio vs. RIO Properties, et al.</p><p class="ssj">RIO Properties, whose last known address is 549 East 114th Street, Cleveland, OH 44108, otherwise whose address is unknown; and Unknown Spouse of Eugene Miller, whose last place of residence and current place of residence are unknown, will take notice that on November 3, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $2,233.11 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 111-01-095</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being the Northerly 17.75 feet of Sublot No. 72 and the Southerly 1.67 feet of Sublot No. 73 in L.M. Southern's Allotment of part of Original 100 Acre Lot No. 363 as shown by the recorded plat in Volume 23 of Maps, Page 4 of Cuyahoga County Records, together forming a parcel of land 19.42 feet front on the Easterly side of East 114th Street and extending back of equal width 100 feet as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 21st day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/6238</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/6238</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768339&mdash;Treasurer of Cuyahoga County, Ohio vs. Dale J. Walters, et al.</p><p class="ssj">LBI Development, whose last known address is 4758 Ridge Road, #183, Cleveland, OH 44144, otherwise whose address is unknown; and Nancy Monson, whose last known address is 19443 Lorain Road, Cleveland, OH 44126, otherwise whose address is unknown, will take notice that on November 3, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $12,689.28 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 006-04-160</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 625 in J.H. Hoyt's Allotment of part of Original Brooklyn Township Lots Nos. 28 and 33, as shown by the recorded plat in Volume 3 of Maps, Page 37 of Cuyahoga County Records, and being 35 feet front on the Northerly side of Elton Avenue, N.W., and extending back of equal width 126 feet, to the Southerly line of Eve Court, N.W., as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 21st day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/6239</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/6239</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">729142&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Herman Isby, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Lois Isby, the place of residence of each being unknown, will take notice that on December 19, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his supplemental complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $77,334.45 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 671-01-179</p><p class="ssj">Situated in the City of East Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 55 in the C.H. Covill's Subdivision of a part of Original One Hundred Acre Lot No. 366, as shown by the recorded plat in Volume 80 of Maps, Page 17 of Cuyahoga County Records, and being 50 feet front on the Westerly side of Hayden Avenue and extending back of equal width 140 feet as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 21st day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
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    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6240</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6240</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004756&mdash;Treasurer of Cuyahoga County, Ohio vs. Landmark REO Club, LLC, et al.</p><p class="ssj">Daisy Forthner, whose last known place of residence is 1600 Hillcrest Road, Cleveland, OH 44118, otherwise whose place of residence is unknown; Unknown Spouse of Daisy Forthner, whose last known place of residence is 1600 Hillcrest Road, Cleveland, OH 44118, otherwise whose place of residence is unknown; Dushawn Forthner, whose last known place of residence is 1600 Hillcrest Road, Cleveland, OH 44118, otherwise whose place of residence is unknown; and Unknown Spouse of Dushawn Forthner, whose last known place of residence is 1600 Hillcrest Road, Cleveland, OH 44118, otherwise whose place of residence is unknown, will take notice that on September 29, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $940.75 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 672-27-045</p><p class="ssj">Situated in the City of East Cleveland, County of Cuyahoga and State of Ohio: And known as being the Southerly 18 feet from front to rear of Sublot No. 222 and the Northerly 22 feet front to rear of Sublot 223 in the Coventry-Mayfield Land Company's Subdivision of part of Original Euclid Township Lots Nos. 6 &amp; 7, Tract No. 8 as shown by the recorded plat in Volume 51 of Maps, Page 1 of Cuyahoga County Records, and together forming a parcel of land 40 feet front on the Westerly side of Hillcrest Road, and extending back of equal width 125 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
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    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6241</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6241</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004732&mdash;Treasurer of Cuyahoga County, Ohio vs. John A. Simonic, et al.</p><p class="ssj">John A. Simonic, whose last known place of residence is 8995 Ann Court, Cleveland, OH 44108, otherwise whose place of residence is unknown; Unknown Spouse of John A. Simonic, whose last known place of residence is 8995 Ann Court, Cleveland, OH 44108, otherwise whose place of residence is unknown; Rosalie G. Simonic, whose last known place of residence is 8995 Ann Court, Cleveland, OH 44108, otherwise whose place of residence is unknown; and Unknown Spouse of Rosalie G. Simonic, whose last known place of residence is 8995 Ann Court, Cleveland, OH 44108, otherwise whose place of residence is unknown, will take notice that on September 20, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $904.68 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 107-11-035</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known, bounded and described as follows, to-wit:</p><p class="ssj">As being Sublot No. 31 in The New Park Subdivision of part of Original One Hundred Acre Lot No. 384, as shown by the recorded plat in Volume 24 of Maps, Page 26 of Cuyahoga County Records, and being 33 feet front on the Northerly site of Ann Court and extending back of equal width 100 feet deep, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on March 2, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6242</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6242</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004784&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Sadie Belle O'Bannon, a.k.a. etc., et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Sadie Belle O'Bannon, a.k.a. Sadie B. O'Bannon, deceased, the place of residence of each being unknown; Richard W. Walker, whose last known place of residence is 1398 East 80th Street, Cleveland, OH 44103, otherwise whose place of residence is unknown; Unknown Spouse of Richard W. Walker, whose last known place of residence is 1398 East 80th Street, Cleveland, OH 44103, otherwise whose place of residence is unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Louis Askew, deceased, the place of residence of each being unknown, will take notice that on September 30, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,518.05 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 106-05-162</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being part of Sub Lots Nos. 24 and 25 in John Van Driel's Subdivision of Original 100 Acre Lot No. 383 as shown by the recorded plat in Volume 7 of Maps, Page 31 of Cuyahoga County Records, and bounded and described as follows:</p><p class="ssj">Beginning at the Southeasterly corner of Sub Lot No. 25;</p><p class="ssj">Thence Westerly, along the Southerly line of said Sub Lot No. 25, 61 feet to an iron pin set;</p><p class="ssj">Thence Northerly to an iron pin set in the Southerly line of a parcel of land conveyed to Edward Hillabright and Mildred Alice Hillabright by deed dated April 25, 1941 and recorded in Volume 5228, Page 219 of Cuyahoga County Records being 61 feet Westerly along said Southerly line from the Southeasterly corner of said parcel of land so deeded to Edward Hillabright and Mildred Alice Hillabright;</p><p class="ssj">Thence Easterly, along said Southerly line of said parcel of land conveyed to Edward Hillabright and Mildred Alice Hillabright, 61 feet to an iron pinset;</p><p class="ssj">Thence Southerly, along the Easterly line of said Sub Lot No. 25, 40 feet to the principle place of beginning, as appears by the survey made by Robert J. Madison and Associates, Civil Engineer and Surveyors, dated September 12, 1995.</p><p class="ssj">The above premises are subject to the following described driveway easement off the Southerly side thereof for the purpose of ingress and egress, and for the purpose of making repairs or replacements on the electric lines, water and sewer, and any other utility service equipment furnished to and from the premises adjoining Westerly thereunto known as 1400 East 80th Street, Cleveland, Ohio.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6243</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6243</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175682&mdash;In the matter of the change of name of Emmett Hefferon Lydon.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Emmett Hefferon Lydon, 20703 Erie Road, Rocky River, Cuyahoga County, Ohio 44116, to Emmett Bell Lydon.</p><p class="ssj">This application is set for hearing on the 20th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6244</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6244</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175683&mdash;In the matter of the change of name of Daniel Anthony Isabella.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Daniel Anthony Isabella, 12900 Lake Avenue, 1126, Lakewood, Cuyahoga County, Ohio 44107, to Daniel Anthony Vega.</p><p class="ssj">This application is set for hearing on the 19th day of March, 2012, at 9:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6245</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6245</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175689&mdash;In the matter of the change of name of Melanie Marie Kuper.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Melenie Marie Kuper, 1767 Edgefield Road, Lyndhurst, Cuyahoga County, Ohio 44124, to Melanie Marie Kuper-Sasse.</p><p class="ssj">This application is set for hearing on the 27th day of March, 2012, at 3:30 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6246</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6246</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175690&mdash;In the matter of the change of name of Margaret Eleanore Sass&eacute;.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Margaret Eleanore Sass&eacute;, 1767 Edgefield Road, Lyndhurst, Cuyahoga County, Ohio 44124, to Margaret Eleanor Kuper-Sass&eacute;.</p><p class="ssj">This application is set for hearing on the 27th day of March, 2012, at 3:45 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6247</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6247</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175699&mdash;In the matter of the change of name of Larry Walker.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Larry Walker, 2737 East 116th Street,  Cleveland, Cuyahoga County, Ohio 44120, to Larry Johnson.</p><p class="ssj">This application is set for hearing on the 28th day of March, 2012, at 10:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="bold"> Maria A. Smith, Attorney</p><p class="ssj">Feb8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6248</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6248</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175659&mdash;In the matter of the change of name of Lawrence Ray Winkfield.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Lawrence Ray Winkfield, 17406 Puritas Avenue, #1, Cleveland, Cuyahoga County, Ohio 44135, to Lawrence Ray Battle.</p><p class="ssj">This application is set for hearing on the 26th day of March, 2012, at 9:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6249</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6249</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175658&mdash;In re: Estate of Margo W. Staffa o.w. etc., deceased.</p><p class="ssj">Unknown creditors of the Estate of Margo W. Staffa o.w. Margot W. Staffa, deceased, the address of each being unknown, will take notice that on February 3, 2012, the undersigned, Laurenz H. Staffa, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Margo W. Staffa o.w. Margot W. Staffa, deceased, late of Maple Heights, Ohio, who died November 16, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 26th day of March, 2012, at 10:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">LAURENZ H. STAFFA,</p><p class="ssc">Applicant.</p><p class="bold"> Michael L. Solomon, Attorney</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6250</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6250</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175228&mdash;In re: Estate of Paul Getz, deceased.</p><p class="ssj">Unknown creditors of the Estate of Paul Getz, deceased, the address of each being unknown, will take notice that on February 3, 2012, the undersigned, Kathleen A. Girardi, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Paul Getz, deceased, late of Parma, Ohio, who died October 29, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 27th day of March, 2012, at 9:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">KATHLEEN A. GIRARDI,</p><p class="ssc">Applicant.</p><p class="bold"> James D. Kennedy, Attorney</p><p class="ssj">Feb8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Corporate Dissolution Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedissolutions/details/ref_index/6251</link>
      <guid>http://www.dln.com/noticedissolutions/details/ref_index/6251</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">Pursuant to Ohio Revised Code Section 1701.87, Notice of Dissolution is hereby given that NG Management Group Inc., an Ohio corporation, filed its Certificate of Dissolution with the Ohio Secretary of State on January 20, 2012, thereby surrendering and abandoning its corporate authority and franchise as provided by law. By: Rahim N. Rahim, Director.</p><p class="ssj">Feb8-15, 2012</p>]]></content:encoded>
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    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6252</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6252</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicles will be offered for sale by Security Auto Loans at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 17, 2012.</p><p class="ssj">1998 Chevy Malibu 1G1NE52M0W6135014</p><p class="ssj">2004 VW Passat WVWRH63B54P090016</p><p class="ssj">2003 Chevy Impala 2G1WF52E539138117</p><p class="ssj">1999 Toyota Camry 4T1BF22K6XU088116</p><p class="ssj">2002 Chevy Malibu 1G1ND52J82M601870</p><p class="ssj">2001 Jeep Cherokee 1J4GW48N71C609066</p><p class="ssj">2007 Ford Escape 1FMYU92Z17KB77416</p><p class="ssj">2000 Ford Windstar 2FMZA5245YBA10997</p><p class="ssj">2001 Ford Escort 3FAFP11331R138515</p><p class="ssj">2003 Nissan Altima 1N4AL11DX3C156641</p><p class="ssj">2002 Pontiac Bonneville 1G2HX54K424173057</p><p class="bold">By virtue of security interest, the above vehicles will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicles are sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6253</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6253</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicles will be offered for sale by Riversedge Investment at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 17, 2012.</p><p class="ssj">2002 Gr Am 1G2NE52F4C223105</p><p class="ssj">2001 Voyager 1C4GJ25B41B277996</p><p class="ssj">2001 Focus 1FAHP34391W284708</p><p class="ssj">2000 Impala 2G1WP55E2J4YF106703</p><p class="ssj">2000 Gr Prix 1G2WJ52J4YF106703</p><p class="ssj">2000 Alero 1G3NL52E1YC358656</p><p class="ssj">2001 LeSabre 1G4HP54K61U144066</p><p class="ssj">2005 Sedona KNDUP132356739755</p><p class="ssj">1999 Taurus 1FAFP53S1XG157284</p><p class="ssj">2001 Towncar 1LNHM97V11Y605768</p><p class="ssj">2002 Sunfire 1G2JB124327128459</p><p class="ssj">1999 Durango  1B4HS28Z55XF591958</p><p class="ssj">2000 Galant 4A3AA46G4YE007994</p><p class="ssj">1999 Dakota 1B7GG22YOXS157292</p><p class="ssj">2004 E250 Van 1FTNE24W04HA04199</p><p class="bold">By virtue of security interest, the above vehicles will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicles are sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6254</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6254</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">764531&mdash;New York Community Bank vs. Lorenzo Zeppetella, et al.</p><p class="ssj">Lorenzo Zeppetella, whose last known place of residence is 28233 Lorain Road, North Olmsted, OH 44070, otherwise whose place of residence is unknown, will take notice that on November 29, 2011, the undersigned, New York Community Bank, filed its first amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $72,500.36, plus any sums advanced, with interest at 5.25% per annum from March 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 457-18-095</p><p class="ssj">Address: 7794 East Linden Ln, Parma, Ohio 44130</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 22nd day of March, 2012.</p><p class="ssj">NEW YORK COMMUNITY BANK.</p><p class="bold">By Chris E. Manolis, Attorney for Plaintiff. Shapiro, Van Ess, Phillips &amp; Barragate, LLP, 4805 Montgomery Road, Suite 320, Norwood, Ohio 45212. (513) 396-8100.</p><p class="ssj">Feb9-16-23, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6255</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6255</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">773654&mdash;Park View Federal Savings Bank vs. Joan Hofer aka Joan K. Hofer, et al.</p><p class="ssj">Unknown Trustee of the 3627 Elm Brook Drive Land Trust U/D/T February 17, 1995, whose last known place of residence and present place of residence are unknown; Unknown Successor Trustee of 3627 Elm Brook Drive Land Trust U/D/T February 17, 1995, the place of residence of each being unknown, will take notice that on January 17, 2012, the undersigned, Park View Federal Savings Bank, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 582-27-079</p><p class="ssj">Address: 3627 Elm Brook Drive, Broadview Heights, OH 44147</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 22nd day of March, 2012.</p><p class="ssj">PARK VIEW FEDERAL SAVINGS BANK.</p><p class="bold">By Erin R. O'Malley, Attorney for Plaintiff.</p><p class="ssj">Feb9-16-23, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6256</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6256</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">773086&mdash;CitiMortgage, Inc. vs. Robin Noel aka Robin B. Noel aka Robin Ashton, et al.</p><p class="ssj">Unknown successor trustees and beneficiares of the Trust Agreement dated January 2, 2002, whose last known place of residence and present place of residence are unknown, will take notice that on January 10, 2012, the undersigned, CitiMortgage, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $72,135.78, plus any sums advanced, with interest at 6.5000% per annum from July 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 113-19-099</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Sublot No. 84 and 85 in the Eastwood Subdivision of part of Original Euclid Township Tract No. 16 as shown by the recorded plat in Volume 31 of Maps, Page 27 of Cuyahoga County Records and being a parcel of land 50 feet front on the Southerly side of Parkgrove Avenue and extending back 120 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 16312 Parkgrove Avenue, Cleveland, Ohio 44110</p><p class="ssj">Plaintiff further says that the defendant, Robin Noel, Trustee Under Trust Agreement dated January 2, 2002, attempted to transfer her interest in the subject property by virtue of a Deed filed for record on August 30, 2007, as Instrument Number 2007083000106, of said County Recorder's Records.</p><p class="ssj">Plaintiff alleges that it was the intention of the defendant, Robin Noel, Trustee Under Trust Agreement dated January 2, 2002, to convey her entire interest in the subject property to defendant Robin Noel; however, no memorandum of trust was recorded.</p><p class="ssj">Plaintiff further states that it is entitled to have title quieted as against any and all claims of Robin Noel, Trustee Under Trust Agreement dated January 2, 2002 and Unknown successor trustees and beneificaries Under Trust Agreement dated January 2, 2002.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 22nd day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC.</p><p class="bold">By Pamela A. Fehring and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb9-16-23, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6257</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6257</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">773219&mdash;Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. Vojislav Osacuk, et al.</p><p class="ssj">The Unknown Successor Trustees, and/or Beneficiaries of The Leah Glagola Trust dated July 18, 1996, the place of residence of each being unknown, will take notice that on January 11, 2012, the undersigned, Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $103,828.14, plus any sums advanced, with interest at 5.5000% per annum from March 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 456-11-103</p><p class="ssj">All that parcel of land in City/Township of Parma, Cuyahoga County, State of Ohio, as more fully described in Deed Inst #199909240299, ID #456-11-103. Being known and designated as being Sublot No. 25 in Dajen Construction Company's Subdivision of part of Original Parma Township Lot No. 24, Ely Tract, as shown by the recorded plat in Volume 172 of Maps, Page 23 of Cuyahoga County Records, as appears by said plat.</p><p class="bold">By fee simple deed from Leah J. Glagola, Trustee of the Leah Glagola, Trust dated July 19, 1996 as set forth in Deed Inst #199909240299, dated 09/08/1999 and recorded 09/24/1999, Cuyahoga County Records, State of Ohio.</p><p class="ssj">Address: 9800 Boundary Lane, Parma, Ohio 44130</p><p class="ssj">Plaintiff further says that the defendant, Leah J. Glagola, as Trustee of the Leah Glagola Trust dated July 18, 1996, attempted to transfer their interest in the subject property by virtue of a Deed filed for record on 09/24/99, as Instrument Number 199909240299, of said County Recorder's Records.</p><p class="ssj">Plaintiff alleges that it was the intention of the defendants, Leah J. Glagola, as Trustee of the Leah Glagola Trust dated July 18, 1996, to convey their entire interest in the subject property to defendants, Vojislav Osacuk and Milica Osacuk; however, the deed doesn't specify the powers of said Trustee to convey the real property.</p><p class="ssj">Plaintiff further states that it is entitled to have title quieted as against any and all claims of Leah J. Glagola, as Trustee of the Leah Glagola Trust dated July 18, 1996.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 22nd day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Kelley L. Allesee and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb9-16-23, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6258</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6258</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769508&mdash;Dollar Bank, FSB vs. Jacqueline A. Lockyer, Individually and as Executrix of the Estate of Caroline E. Schultz, deceased, et al.</p><p class="ssj">John Doe and/or Jane Doe, real names unknown, the Unknown Heirs, Devisees, Legatees, Administrators, Executors and Assigns of Caroline E. Schultz, deceased, the place of residence of each being unknown, will take notice that on November 18, 2011, the undersigned, Dollar Bank, FSB, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 028-27-018</p><p class="ssj">Address: 4545 West 158th Street, Cleveland, OH 44135</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 22nd day of March, 2012.</p><p class="ssj">DOLLAR BANK, FSB.</p><p class="bold">By James L. Sassano, Attorney for Plaintiff.</p><p class="ssj">Feb9-16-23, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6259</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6259</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768946&mdash;Bank of America, N.A. successor by Merger with BAC Home Loans Servicing, L.P. fka Countrywide Home Loans Servicing LP vs. Andrzej R. Skotnicki, et al.</p><p class="ssj">Andrzej R. Skotnicki and Jane Doe, real name unknown, Unknown Spouse, if any, of Andrzej R. Skotnicki, whose last known place of residence is 5549 Windrush Court, Parma, OH 44134, otherwise whose place of residence is unknown, will take notice that on November 30, 2011, the undersigned, Sandpiper Condominium Unit Owners' Association, Inc., filed its answer and cross-claim in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that Defendant Sandpiper Condominium, filed its Certificate of Lien on the property described in the Complaint to secure payment of the maintenance fees, common expenses and assessments; that said lien recorded on August 1, 2011 in 201108010467 of Cuyahoga County Records, is a good and valid subsisting lien, second only to real estate taxes and prior recorded liens of first mortgages on the condominium unit known as 5549 Windrush Court, Parma, OH 44134, owned by Defendant Andrzej R. Skotnicki, in accordance with Section 5311.18 of the Ohio Revised Code; that the property is described as follows to wit:</p><p class="ssc">Permanent Parcel No. 445-12-474</p><p class="ssj">Address: 5549 Windrush Court, Parma, OH 44134</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Defendant Andrzej R. Skotnicki owes Defendant, Sandpiper Condominium, based upon the above lien and additional unpaid maintenance fees and assessments, in the total sum of $3,365.00 plus interest at the maximum rate allowable by law as provided for in the Declaration of Condominium Ownership as of November 28, 2011; that Defendant Sandpiper Condominium, is further owed by the Defendant, Andrzej R. Skotnicki, additional maintenance fees and assessments incurred subsequent to the filing in an amount to be later determined.</p><p class="ssj">Defendant Sandpiper Condominium prays:</p><p class="ssj">(a) That its lien be found to be good and valid lien upon said property;</p><p class="ssj">(b) That all liens on said property be marshaled and the premises be ordered appraised, advertised and sold according to law;</p><p class="ssj">(c) That the real property as described herein be sold at Sheriff's Sale according to law;</p><p class="ssj">(d) That Defendant, Sandpiper Condominium, be paid the sum of $3,365.00 plus the maximum rate allowable by law interest per annum, costs and attorney fees, from the proceeds of said sale; and</p><p class="ssj">(e) That Defendant, Sandpiper Condominium, be granted judgment for any additional relief to which it may be entitled to at law or in equity, including, but not limited to additional unpaid assessments and charges incurred subsequent to November 28, 2011.</p><p class="ssj">The defendants named above are required to answer on or before the 22nd day of March, 2012.</p><p class="ssj">SANDPIPER CONDOMINIUM UNIT OWNERS' ASSOCIATION, INC.</p><p class="bold">By Darcy Mehling Good and Joseph E. DiBaggio, Attorneys for Defendant.</p><p class="ssj">Feb9-16-23, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6260</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6260</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">DL09123339&mdash;In the matter of Darnell D. Ingram.</p><p class="ssc">Summons</p><p class="ssj">To: Darnell D. Ingram, whose last known address is 2075 Avon Belden Road, Grafton, OH 40444, otherwise whose place of residence is unknown, a delinquency complaint has been filed in this Court concerning Darnell D. Ingram, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 15, 2012 at 9:00 AM, before Judge Sweeney, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 2, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6261</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6261</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU12102006&mdash;In the matter of Isabelle Bays.</p><p class="ssc">Summons</p><p class="ssj">To: Gary Bays, whose address is unknown, an application for custody has been filed in this Court concerning Isabelle Bays. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 7, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6262</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6262</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU12102005&mdash;In the matter of Abigael Christison.</p><p class="ssc">Summons</p><p class="ssj">To: Ralph Christison, whose address is unknown, an application for custody has been filed in this Court concerning Abigael Christison. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 7, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6263</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6263</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU12101971&mdash;In the matter of Angel M. Beckwith.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an application for custody has been filed in this Court concerning Angel M. Beckwith. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 7, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6264</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6264</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU12101739&mdash;In the matter of Dayejai Golston.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an application for custody has been filed in this Court concerning Dayejai Golston. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 2, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6265</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6265</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU09123950&mdash;In the matter of Shawn Timothy Smith.</p><p class="ssc">Summons</p><p class="ssj">To: Tapeaka Harris, whose last known address is 1320 East 276th Street, Apt. 1, Euclid, OH 44132, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Shawn Timothy Smith. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 7, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6266</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6266</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901923&mdash;In the matter of Amere Lee.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Amere Lee, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on March 5, 2012 at 1:30 PM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 7, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6267</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6267</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901922&mdash;In the matter of Jamere Lee.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Jamere Lee, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on March 5, 2012 at 1:30 PM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 7, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6268</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6268</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901811&mdash;In the matter of Samarah Gurka.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Samarah Gurka, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on March 12, 2012 at 9:00 AM, before Magistrate Morton, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 3, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6269</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6269</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901811&mdash;In the matter of Samarah Gurka.</p><p class="ssc">Summons</p><p class="ssj">To: Manuel Agosto, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Samarah Gurka, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on March 12, 2012 at 9:00 AM, before Magistrate Morton, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 3, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6270</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6270</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901810&mdash;In the matter of Miandrea Melendez.</p><p class="ssc">Summons</p><p class="ssj">To: Vincent Carter, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Miandrea Melendez, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on March 12, 2012 at 9:00 AM, before Magistrate Morton, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 3, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6271</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6271</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901800&mdash;In the matter of Cory Froberg.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Cory Froberg, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 29, 2012 at 8:30 AM, before Magistrate Yeomans-Salvador, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 3, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6272</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6272</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901625&mdash;In the matter of Rico Briscoe.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Rico Briscoe, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 15, 2012 at 8:45 AM, before Magistrate McMillen, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 2, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6273</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6273</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901624&mdash;In the matter of Kimberly Briscoe.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Kimberly Briscoe, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 15, 2012 at 8:45 AM, before Magistrate McMillen, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 2, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6274</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6274</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901623&mdash;In the matter of Marshawne Briscoe.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Marshawne Briscoe, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 15, 2012 at 8:45 AM, before Magistrate McMillen, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 2, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6275</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6275</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901590&mdash;In the matter of Christopher Moyer.</p><p class="ssc">Summons</p><p class="ssj">To: Dustin Moyer, whose last known address is 3202 Cypress Avenue, Apt. Down, Cleveland, OH 44109, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Christopher Moyer, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 27, 2012 at 8:30 AM, before Magistrate Wallace, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 2, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6276</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6276</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12900577&mdash;In the matter of Davion Campbell.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Davion Campbell, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on February 29, 2012 at 9:30 AM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 3, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6277</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6277</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD02900903&mdash;In the matter of Nautica Caradine.</p><p class="ssc">Summons</p><p class="ssj">To: Michelle Ellsworth, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Nautica Caradine. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 7, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6278</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6278</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD02900904&mdash;In the matter of Cierra Caradine.</p><p class="ssc">Summons</p><p class="ssj">To: Michelle Ellsworth, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Cierra Caradine. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 7, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6279</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6279</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD10919711&mdash;In the matter of Allyson Powell.</p><p class="ssc">Summons</p><p class="ssj">To: Amber Colby, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Allyson Powell, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on March 7, 2012 at 10:00 AM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 3, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6280</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6280</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD10919712&mdash;In the matter of Tyler Johnson.</p><p class="ssc">Summons</p><p class="ssj">To: Amber Colby, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Tyler Johnson, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on March 7, 2012 at 10:00 AM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 3, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6281</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6281</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11922788&mdash;In the matter of Ajari Greene.</p><p class="ssc">Summons</p><p class="ssj">To: Deeya Green, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Ajari Greene, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on February 22, 2012 at 1:00 PM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 3, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6282</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6282</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175699&mdash;In the matter of the change of name of Larry Walker.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Larry Walker, 2737 East 116th Street, Cleveland, Cuyahoga County, Ohio 44120, to Larry Johnson.</p><p class="ssj">This application is set for hearing on the 28th day of March, 2012, at 10:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="bold"> Maria A. Smith, Attorney</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6283</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6283</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175679&mdash;In the matter of the change of name of Steven Anthony Watt.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Steven Anthony Watt, 4111 East 64th Street, Apt. 1, Cleveland, Cuyahoga County, Ohio 44105, to Tariq Naseer Watt.</p><p class="ssj">This application is set for hearing on the 22nd  day of March, 2012, at 2:45 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6284</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6284</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175675&mdash;In the matter of the change of name of Alexander Lee Curland, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Alexander Lee Curland, Broadview Heights, Cuyahoga County, Ohio 44147, to Alexander Lee Anderson.</p><p class="ssj">This application is set for hearing on the 22nd day of March, 2012, at 2:30 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6285</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6285</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175674&mdash;In the matter of the change of name of Olivia Catherine Curland, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Olivia Catherine Curland, 8210 Joyce Road, Broadview Heights Cuyahoga County, Ohio 44147, to Olivia Catherine Anderson.</p><p class="ssj">This application is set for hearing on the 22nd day of March, 2012, at 2:30 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6286</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6286</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175696&mdash;In the matter of the change of name of Cher Dione Santiago.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Cher Dione Santiago, 24325 Detroit Rd., #101A, Westlake, Cuyahoga County, Ohio 44145, to Cher Dione Grella.</p><p class="ssj">This application is set for hearing on the 21st day of March, 2012, at 2:00 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6287</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6287</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175695&mdash;In the matter of the change of name of Rachel Nicole Santiago, a minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Rachel Nicole Santiago, 25324 Detroit Rd., #101A, Westlake, Cuyahoga County, Ohio 44145, to Rachel Nicole Grella.</p><p class="ssj">This application is set for hearing on the 21st day of March, 2012, at 2:00 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6288</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6288</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175667&mdash;In the matter of the change of name of Kyla Renee McCullough, a minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 3, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Kyla Renee McCullough, 14026 Hale Avenue, Cleveland, Cuyahoga County, Ohio 44110, to Kyla Renee Floyd.</p><p class="ssj">This application is set for hearing on the 27th day of March, 2012, at 10:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6289</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6289</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175722&mdash;In re: Estate of Monserrate R. Quinones, deceased.</p><p class="ssj">Unknown creditors of the Estate of Monserrate R. Quinones, deceased, the address of each being unknown, will take notice that on February 6, 2012, the undersigned, Myrna I. Quinones-Sikora, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Monserrate R. Quinoes, deceased, late of Cleveland, Ohio, who died December 27, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 15th day of March, 2012, at 9:45 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">MYRNA I. QUINONES-SIKORA,</p><p class="ssc">Applicant.</p><p class="bold"> David W. Toetz, Attorney</p><p class="ssj">Feb9-16-23, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Miscellaneous Legal Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticemisc/details/ref_index/6290</link>
      <guid>http://www.dln.com/noticemisc/details/ref_index/6290</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF DIVISION ORDER AND APPELLATE RIGHTS</p><p class="ssj">Chelli C. Tye (&quot;Respondent&quot;), whose d.o.b. is Nov. 8, 1971 and whose last known address is 1049 Archer Rd., Bedford, OH, 44146, is hereby notified that the Ohio Dept. of Commerce, Div. of Financial Institutions, has issued an Order refusing to renew his loan originator license due to his failure to 1) cooperate with a Division investigation and 2) meet all requirements for renewal set forth in R.C. 1322.041(B). Respondent is hereby notified that pursuant to R.C. 119.12, this Division Order may be appealed by filing a notice of appeal with the Division setting forth the order that Respondent is appealing from and stating that the Division's Order is not supported by reliable, probative, and substantial evidence and is not in accordance with law. The notice of appeal may also include, but is not required to include, the specific grounds for the appeal. The notice of appeal must also be filed with the appropriate court of common pleas in accordance with R.C. 119.12. In filing the notice of appeal with the Division or court, the notice that is filed may be either the original notice or a copy of the original notice. The notice of appeal must be filed within fifteen (15) days after the date of publication of this Order. Mail filings to: Division of Financial Institutions, Attn: Desiree Shannon, 77 S. High St., 21st Fl., Columbus, OH 43215</p><p class="ssj">Feb9-16-23, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Miscellaneous Legal Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticemisc/details/ref_index/6291</link>
      <guid>http://www.dln.com/noticemisc/details/ref_index/6291</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF DIVISION ORDER AND APPELLATE RIGHTS</p><p class="ssj">Michael E. Collins (&quot;Respondent&quot;), whose d.o.b. is July 12, 1956 and whose last known address is 28120 Aurora Rd., Solon, OH, 44139, is hereby notified that the Ohio Dept. of Commerce, Div. of Financial Institutions, has issued an Order refusing to renew his loan originator license due to his failure to prove financial responsibility, character and fitness as required under R.C. Chapter 1322. Respondent is hereby notified that pursuant to R.C. 119.12, this Division Order may be appealed by filing a notice of appeal with the Division setting forth the order that Respondent is appealing from and stating that the Division's Order is not supported by reliable, probative, and substantial evidence and is not in accordance with law. The notice of appeal may also include, but is not required to include, the specific grounds for the appeal. The notice of appeal must also be filed with the appropriate court of common pleas in accordance with R.C. 119.12. In filing the notice of appeal with the Division or court, the notice that is filed may be either the original notice or a copy of the original notice. The notice of appeal must be filed within fifteen (15) days after the date of publication of this Order. Mail filings to: Division of Financial Institutions, Attn: Lori Massey, 77 S. High St., 21st Fl., Columbus, OH 43215</p><p class="ssj">Feb9-16-23, 2012</p>]]></content:encoded>
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    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6292</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6292</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicle will be offered for sale by Lakewood Acceptance Corp. dba CNAC at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 24, 2012.</p><p class="ssj">2002 Saturn SC2 103508</p><p class="bold">By virtue of security interest, the above vehicle will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicle is sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6293</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6293</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicle will be offered for sale by Lakewood Acceptance Corp. dba CNAC at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 17, 2012.</p><p class="ssj">2000 Buick LeSabre 112483</p><p class="bold">By virtue of security interest, the above vehicle will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicle is sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb9, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6294</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6294</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">774328&mdash;Third Federal Savings &amp; Loan Association of Cleveland vs. Kenny R. Montoya, et al.</p><p class="ssj">Michelle E. Molnar, whose last known place of residence and present place of residence are unknown, will take notice that on January 24, 2012, the undersigned, Third Federal Savings &amp; Loan Association of Cleveland, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 722-04-041</p><p class="ssj">Address: 3545 Silsby Road, University Heights, OH 44118</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 23rd day of March, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS &amp; LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Emily Honsa Hicks, Attorney for Plaintiff.</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6295</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6295</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">756794&mdash;Flagstar Bank, FSB vs. Jonathan D. Rodriguez, et al.</p><p class="ssj">Catherine S. Kolman, as Trustee,  whose last known address is c/o Edward R. Kolman,  Attorney-in-Fact, 3580 Laurel Rd., Medina, OH 44256, otherwise whose address is unknown, will take notice that on June 3, 2011, the undersigned, Flagstar Bank, FSB, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 471-06-032</p><p class="ssj">Address: 5910 Calamie Dr., Parma Heights, OH 44130-1705</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 23rd day of March, 2012.</p><p class="ssj">FLAGSTAR BANK, FSB.</p><p class="bold">By Austin B. Barnes, III and Dean S. Talaganis, Attorneys for Plaintiff. Morris, Hardwick, Schneider, LLC, 3860 Ben Hur Ave., Suite 1, Willoughby, OH 44094.</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6296</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6296</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">765449&mdash;The Bank of New York Mellon fka The Bank of New York, as Trustee for the Certificateholders of CWABS, Inc. Asset-Backed Certificates, Series 2007-8 vs. Tracey D. Blue, et al.</p><p class="ssj">Tracey D. Blue, whose last known place of residence is 1461 East 173rd Street, Cleveland, OH 44110, otherwise whose place of residence is unknown; John Doe, Unknown Spouse, if any, of Tracey D. Blue, whose last known place of residence is 1461 East 173rd Street, Cleveland, OH 44110, otherwise whose place of residence is unknown, will take notice that on September 28, 2011, the undersigned, The Bank of New York Mellon fka The Bank of New York, as Trustee for the Certificateholders of CWABS, Inc. Asset-Backed Certificates, Series 2007-8 c/o Bank of America, N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $77,156.77, plus any sums advanced, with interest at 13.4% per annum from June 1, 2009, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 116-25-041</p><p class="ssj">Address: 1461 E. 173rd St., Cleveland, OH 44110-2930</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 23rd day of March, 2012.</p><p class="ssj">THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YORK, AS TRUSTEE FOR THE CERTIFICATEHOLDERS OF CWABS, INC. ASSET-BACKED CERTIFICATES, SERIES 2007-8 C/O BANK OF AMERICA, N.A.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6297</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6297</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">774855&mdash;Key Bank National Association vs. Dominic G. Carbone aka Dominic G. Carbone Jr., et al.</p><p class="ssj">The Unknown Heirs, Devisees, their Spouses and Creditors, Legatees and the Fiduciary of the Estate and Spouses and Creditors of Edith A. Carbone, Wendy Carbone, Ross P. Carbone, Ann Carbone, Vincent P. Carbone, The Unknown Heirs, Devisees, their Spouses and Creditors, Legatees and the Fiduciary of the Estate and Spouses and Creditors of Mary Carbone, the place of residence of each being unknown, will take notice that on January 31, 2012, the undersigned, Key Bank National Association, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 871-26-040</p><p class="ssj">Address: 28675 Gates Mills Boulevard, Pepper Pike, OH 44124</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 23rd day of March, 2012.</p><p class="ssj">KEY BANK NATIONAL ASSOCIATION.</p><p class="bold">By Emily Honsa Hicks, Attorney for Plaintiff.</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6298</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6298</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">774801&mdash;Third Federal Savings &amp; Loan Association of Cleveland vs. The Unknown Heirs, Devisees, their Spouses and Creditors, Legatees, and the Fiduciary of the Estate, and Spouse and Creditors, of Marianne C. Schrank, deceased, et al.</p><p class="ssj">The Unknown Heirs, Devisees, their Spouses and Creditors, Legatees and the Fiduciary of the Estate and Spouse and Creditors, of Marianne C. Schrank, deceased, the place of residence of each being unknown, will take notice that on January 31, 2012, the undersigned, Third Federal Savings &amp; Loan Association of Cleveland, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 445-12-504</p><p class="ssj">Address: 5553 Sunset Ln, Apt 15F, Unit F Cleveland, Ohio 44134-2087</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 23rd day of March, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS &amp; LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Emily Honsa Hicks, Attorney for Plaintiff.</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6299</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6299</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">770088&mdash;Deutsche Bank National Trust Company, as Trustee for the Registered Holders of Morgan Stanley ABS Capital I Inc. Trust 2007-NC3 Mortgage Pass-Through Certificates, Series 2007-NC3 vs. Meghann Preseren fka Meghann Kerr, et al.</p><p class="ssj">Meghann Preseren fka Meghann Kerr, whose last known place of residence is 5980 Edgehill Drive, Parma Heights, OH 44130-2027, otherwise whose place of residence is unknown; Brian Preseren, whose last known place of residence is 5980 Edgehill Drive, Parma Heights, OH 44130-2027, otherwise whose place of residence is unknown, will take notice that on November 28, 2011, the undersigned, Deutsche Bank National Trust Company, as Trustee for the Registered Holders of Morgan Stanley ABS Capital I Inc. Trust 2007-NC3 Mortgage Pass-Through Certificates, Series 2007-NC3 c/o Ocwen Loan Servicing, LLC, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $155,389.29, plus any sums advanced, with interest at 8.88% per annum from June 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 471-22-009</p><p class="ssj">Address: 5980 Edgehill Drive, Parma Heights, Ohio 44130</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further says that it is entitled to reformation of the loan modification agreement to reflect Deutsche Bank National Trust Company, as Trustee for The Registered Holders of Morgan Staneley ABS Capital I Inc. Trust 2007-NC3 Mortgage Pass-Through Certificates, Series 2007-NC3 as the correct name of the Lender; that in the event said loan modification agreement is not filed for record with the County Recorder, Plaintiff is entitled to a declaratory judgment finding that the increased balance pursuant to said modification in excess of the original principal balance of the mortgage became and remains a valid and enforceable equitable lien against the subject real estate, which increased balance Plaintiff is entitled to recover from the proceeds of any sale of the subject premises.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 23rd day of March, 2012.</p><p class="ssj">DEUTSCHE BANK NATIONAL TRUST COMPANY, AS TRUSTEE FOR THE REGISTERED HOLDERS OF MORGAN STANLEY ABS CAPITAL I INC. TRUST 2007-NC3 MORTGAGE PASS-THROUGH CERTIFICATES, SERIES 2007-NC3 C/O OCWEN LOAN SERVICING, LLC.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
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    <item>
      <title>Divorce Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedivorces/details/ref_index/6300</link>
      <guid>http://www.dln.com/noticedivorces/details/ref_index/6300</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Divorce Notice</p><p class="bold">D-339376&mdash;William C. Coffinbarger vs. Lorraine Coffinbarger.</p><p class="ssj">Lorraine Coffinbarger, whose last known place of residence is 8001 Greenwood View Drive, Parma, OH 44129, otherwise whose place of residence is unknown, will take notice that on November 22, 2011, the undersigned, William C. Coffinbarger, filed his complaint against her in the Court of Common Pleas, Domestic Relations Division, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio praying for a divorce and other relief on the grounds of incompatibility and that he and defendant have, for more than one year without interruption, lived separate and apart without cohabitation.</p><p class="ssj">The defendant named above is required to answer on or before the 13th day of April, 2012.</p><p class="ssc">WILLIAM C. COFFINBARGER.</p><p class="bold"> Lisa A. Hahn, his Attorney.</p><p class="ssj">Feb10-17-24Mar2-9-16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Divorce Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedivorces/details/ref_index/6301</link>
      <guid>http://www.dln.com/noticedivorces/details/ref_index/6301</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Divorce Notice</p><p class="bold">D-337819&mdash;Christopher Ivy vs. Elizabeth Ivy.</p><p class="ssj">Elizabeth Ivy, whose last known place of residence is 3634 Runnymede Boulevard, South Euclid, Ohio 44121, otherwise whose place of residence is unknown, will take notice that on August 5, 2011, the undersigned, Christopher Ivy, filed his complaint against her in the Court of Common Pleas, Domestic Relations Division, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio praying for a divorce and other relief on the grounds of incompatibility.</p><p class="ssj">The defendant named above is required to answer on or before the 13th day of April, 2012.</p><p class="ssc">CHRISTOPHER IVY.</p><p class="bold"> Wendy S. Rosett, his Attorney.</p><p class="ssj">Feb10-17-24Mar2-9-16, 2012</p>]]></content:encoded>
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    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/6302</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/6302</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769294&mdash;Treasurer of Cuyahoga County, Ohio vs. Curtis White, et al.</p><p class="ssj">Juanita Thomas, whose last known place of residence is 5710 Lexington Avenue, Apartment 3, Cleveland, OH 44103, otherwise whose place of residence is unknown; and Unknown Spouse of Juanita Thomas, whose last known place of residence is 5710 Lexington Avenue, Apartment 3, Cleveland, OH 44103, otherwise whose place of residence is unknown, will take notice that on November 16, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $240.68 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 104-20-065</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: Beginning on the Southerly line of Utica Avenue, N.E., (formerly Willson Place) 30.00 feet wide at a point 555.00 feet Easterly from the point of intersection of said Southerly line of Utica Avenue, N.E., with the Easterly line of East 55th Street (formerly Willson Avenune) 100.00 feet wide; Thence Easterly along the Southerly line of Utica Avenue, 26.70 feet to a point; Thence Southerly parallel with the Easterly line of East 55th Street, 60.00 feet to a point; Thence Westerly parallel with the Southerly line of Utica Avenue 26.70 feet to a point; Thence Northerly parallel with the Easterly line of East 55th Street 60.00 feet to the place of beginning.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 23rd day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6303</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6303</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004676&mdash;Treasurer of Cuyahoga County, Ohio vs. Herman D. Scheer, et al.</p><p class="ssj">Suzanne M. Scheer, whose last known place of residence is 2202 Acacia Park Drive, Apartment 2108, Cleveland, OH 44124, otherwise whose place of residence is unknown; Unknown Spouse of Suzanne M. Scheer, whose last known place of residence is 2202 Acacia Park Drive, Apartment 2108, Cleveland, OH 44124, otherwise whose place of residence is unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Abraham Scheer, deceased, the place of residence of each being unknown, will take notice that on September 13, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $180.44 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 118-09-006</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being Sublot No. 2 in George M. Spangler's Subdivision of part of Original One Hundred Acre Lot No. 342, as shown by the recorded plat in Volume 31 of Maps, Page 9 of Cuyahoga County Records, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6304</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6304</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004185&mdash;Treasurer of Cuyahoga County, Ohio vs. Kord A. Gibbons, et al.</p><p class="ssj">Kord A. Gibbons, whose last known place of residence is 928 Diamond Springs Road, Suite 103, Virginia Beach, VA 23455, otherwise whose place of residence is unknown; and Unknown Spouse of Kord A. Gibbons, whose last known place of residence is 928 Diamond Springs Road, Suite 103, Virginia Beach, VA 23455, otherwise whose place of residence is unknown, will take notice that on June 2, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,707.07 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 735-21-114</p><p class="ssj">Situated in the City of Shaker Heights, County of Cuyahoga and State of Ohio and known as being Sublot No. 355 in the Crawford Realty Company's East View Subdivision of part of Original Warrensville Township Lot No. 52, as shown by the recorded plat in Volume 62, Page 8 of Cuyahoga County Records and being 40 feet front on the Easterly side of Ludgate Road, SE (formerly East 159th Street) and extending back of equal width 130 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6305</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6305</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004841&mdash;Treasurer of Cuyahoga County, Ohio vs. Herman D. Scheer, et al.</p><p class="ssj">Herman D. Scheer, whose last known place of residence is 8610 Hough Avenue, Cleveland, OH 44106, otherwise whose place of residence is unknown; Unknown Spouse of Herman D. Scheer, whose last known place of residence is 8610 Hough Avenue, Cleveland, OH 44106, otherwise whose place of residence is unknown; Abraham Scheer, whose last known place of residence is 7550 Hough Avenue, Cleveland, OH 44103, otherwise whose place of residence is unknown; Unknown Spouse of Abraham Scheer, whose last known place of residence is 7550 Hough Avenue, Cleveland, OH 44103, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Abraham Scheer, the place of residence of each being unknown; Suzanne M. Scheer, whose last known place of residence is 2202 Acacia Park Drive, Apartment 2108, Cleveland, OH 44124, otherwise whose place of residence is unknown; and Unknown Spouse of Suzanne M. Scheer, whose last known place of residence is 2202 Acacia Park Drive, Apartment 2108, Cleveland, OH 44124, otherwise whose place of residence is unknown, will take notice that on November 1, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $180.44 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 118-09-007</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being Sublot No. 3 in the George M. Spangler's Subdivision of part of Original One Hundred Acre Lot No. 342, as shown by the recorded plat in Volume 31 of Maps, Page 9 of Cuyahoga County Records, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6306</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6306</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004211&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Aaron P. Williams, a.k.a. etc., et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Aaron P. Williams, a.k.a. Aaron Williams, the place of residence of each being unknown, will take notice that on June 13, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $5,355.74 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 735-13-046</p><p class="ssj">Situated in the City of Shaker Heights, County of Cuyahoga and State of Ohio: And known as being the Southerly part of Sublot No. 98 in The Van Sweringen Company's Subdivision No. 19 of part of Original Warrensville Township Lots No. 41 and 42, as shown by the recorded plat in Volume 55 of Maps, Page 34 of Cuyahoga County Records, bounded and described as follows: Beginning in the Westerly line of Colwyn Road at the Southeasterly corner of said Sublot No. 98; thence North 0 deg. 26' 20&quot; West, along said Westerly line, 28.86 feet; thence South 87 deg. 44' 40&quot; West, 111.77 feet to the Southwesterly line of said Sublot No. 98; thence South 12 deg. 50' 30&quot; East along said Southwesterly line, 6.22 feet to an angle; thence South 0 deg. 26' 20&quot; East, along the Westerly line of said Sublot No. 98, 19.23 feet to the Southwesterly corner of said Sublot No. 98; thence North 89 deg. 33' 40&quot; East, along the Southerly line of said Sublot No. 98, 110.38 feet to the place of beginning, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6307</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6307</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175773&mdash;In the matter of the change of name of George Holmes.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 7, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of George Holmes, 10006 Garfield Avenue, Cleveland, Cuyahoga County, Ohio 44108, to George P. Harris.</p><p class="ssj">This application is set for hearing on the 21st day of March, 2012, at 9:00  a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6308</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6308</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175753 &mdash;In the matter of the change of name of Senester Ann Griffith-Holt.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 7, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Senester Ann Griffith-Holt, 6501 Marsol Rd., #124, Cleveland, Cuyahoga County, Ohio 44124, to Senester Ann Griffith.</p><p class="ssj">This application is set for hearing on the 21st day of March, 2012, at 10:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6309</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6309</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175747&mdash;In the matter of the change of name of William Ray Burke, Jr., minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 7, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of William Ray Burke, Jr.,1906 Alvin Cleveland, Cuyahoga County, Ohio 44109, to Blake Alexander Burke.</p><p class="ssj">This application is set for hearing on the 30th day of March, 2012, at 9:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6310</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6310</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175740&mdash;In the matter of the change of name of Keith Allen Seide, III, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 6, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Keith Allen Seide, III, 7412 W. Cross Creek Trail, Brecksville, Cuyahoga County, Ohio 44141, to Keith Allen St. John.</p><p class="ssj">This application is set for hearing on the 29th day of March, 2012, at 10:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="bold"> Apryl Ference, Attorney</p><p class="ssj">Feb10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6311</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6311</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175738&mdash;In the matter of the change of name of Juliana Rose Seide, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 6, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Juliana Rose Seide, 7412 W. Croass Trail, Brecksville, Cuyahoga County, Ohio 44141, to Juliana Rose St. John.</p><p class="ssj">This application is set for hearing on the 29th day of March, 2012, at 1000 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="bold"> Apryl Ference, Attorney</p><p class="ssj">Feb10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6312</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6312</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175716&mdash;In the matter of the change of name of Susan Kaye Griffith.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 6, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Susan Kaye Griffith, 7319 Royalview Road, Parma, Cuyahoga County, Ohio 44129, to Susan Kaye Snyder.</p><p class="ssj">This application is set for hearing on the 29th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6313</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6313</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175706&mdash;In the matter of the change of name of Mahrreon Loirrale Morgan, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 6, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Mahrreon Loirrale Morgan, 10545 Hanks, Cleveland, Cuyahoga County, Ohio 44108, to Mahrreon Loirrale Greer.</p><p class="ssj">This application is set for hearing on the 29th day of March, 2012, at 10:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6314</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6314</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2011 MSC 174518 &mdash;In the matter of the change of name of John Andrew Leach..</p><p class="ssj">To whom it may concern: you are hereby notified that on December 19, 2011, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of John Andrew Leach, 6306 Luther Avenue, Cleveland, Cuyahoga County, Ohio 44103, to Yhon El.</p><p class="ssj">This application is set for hearing on the 21st day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6315</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6315</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175736&mdash;In the matter of the change of name of Apryl Ference.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 6, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Apryl Ference, 7412 W. Cross Creek Trail, Brecksville, Cuyahoga County, Ohio 44141, to Apryl Ann St. John.</p><p class="ssj">This application is set for hearing on the 29th day of March, 2012, at 10:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="bold"> Apryl A. Ference, Attorney</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6316</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6316</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175730&mdash;In the matter of the change of name of Amy Joy Levenberg.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 6, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Amy Joy Levenberg, 867 Cahoon Road, Westlake, Cuyahoga County, Ohio 44145, to Amy Joy Mercer.</p><p class="ssj">This application is set for hearing on the 29th day of March, 2012, at 9:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="bold"> Joy B. Savren, Attorney</p><p class="ssj">Feb10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6317</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6317</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175749 &mdash;In the matter of the change of name of Robert Cortez Patton.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 7, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Robert Cortez Patton, 14122 Fernwood Circle, Strongsville, Cuyahoga County, Ohio 44136, to Robert Cortez Turner.</p><p class="ssj">This application is set for hearing on the 30th day of March, 2012, at 2:00  p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6318</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6318</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175763&mdash;In re: Estate of Agnes Larva, deceased.</p><p class="ssj">Unknown creditors of the Estate of Agnes Larva, deceased, the address of each being unknown, will take notice that on February 7, 2012, the undersigned, Patrick D. Quinn, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Agnes Larva, deceased, late of Euclid, Ohio, who died January 21, 2012.</p><p class="ssj">Said application is ordered set for hearing on the 20th day of March, 2012, at 9:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">PATRICK D. QUINN,</p><p class="ssc">Applicant.</p><p class="bold"> Patrick D. Quinn, Attorney</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6319</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6319</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175762&mdash;In re: Estate of William T. Holland, deceased.</p><p class="ssj">Unknown creditors of the Estate of William T. Holland, deceased, the address of each being unknown, will take notice that on February 7, 2012, the undersigned, John D. Holland, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of William T. Holland, deceased, late of Lakewood, Ohio, who died January 27, 2012.</p><p class="ssj">Said application is ordered set for hearing on the 29th day of March, 2012, at 9:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">JOHN D. HOLLAND,</p><p class="ssc">Applicant.</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6320</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6320</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175789&mdash;In re: Estate of Angeline Verstak, deceased.</p><p class="ssj">Unknown creditors of the Estate of Angeline Verstak, deceased, the address of each being unknown, will take notice that on February 7, 2012, the undersigned, Valerie Ruffo, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Angelline Verstak, deceased, late of Maple Heights, Ohio, who died November 23, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 30th day of March, 2012, at 9:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">VALERIE RUFFO,</p><p class="ssc">Applicant.</p><p class="bold"> Franklin C. Malemud, Attorney</p><p class="ssj">Feb10-17-24, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6321</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6321</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicles will be offered for sale by Motor Service Corporation at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 24, 2012.</p><p class="ssj">2007 Ford Mustang 307574</p><p class="ssj">2009 Chevy HHR 503636</p><p class="ssj">2008 Dodge Charger 277441</p><p class="ssj">2003 Dodge Neon 195523</p><p class="ssj">1999 Chrysler Sebring 036055</p><p class="ssj">2005 Chevy Silverado 828482</p><p class="bold">By virtue of security interest, the above vehicles will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicles are sold as is. Terms, cash and bank-certified funds</p><p class="ssj">Feb10, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6322</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6322</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767412&mdash;Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. Carletta D. Elbee aka Carletta Elbee, Individually and as Executrix to the Estate of Jerome W. Elbee aka Jerome Elbee, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Jerome Elbee, the place of residence of each being unknown, will take notice that on October 24, 2011, the undersigned, Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $96,365.85, plus any sums advanced, with interest at 6.7500% per annum from May 1, 2005, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 791-21-017</p><p class="ssj">Situated in the City of Bedford Heights, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Sublot No. 55 in Margate Homes Subdivision No. 1 of part of Original Bedford Township Lot No. 17 as shown by the recorded plat in Volume 160 of Maps, Page 31 of Cuyahoga County Records and being 75.00 feet front on the Westerly side of Fairtree Road and extending back between parallel lines 200.00 feet as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 5384 Fairtree Road, Bedford, OH 44146</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 26th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Elizabeth A. Carullo and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb11-18-25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6323</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6323</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">770831&mdash;Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing LP vs. George C. Clements, Jr., et al.</p><p class="ssj">Unknown Heirs at Law, Devisees, Legatees, Executors or Administrators of George C. Clements, Jr., deceased, the place of residence of each being unknown; Travis Sanders, whose last known place of residence is 2998 East 130th Street, Cleveland, OH 44120, otherwise whose place of residence is unknown; Jane Doe, Unknown Spouse, if any, of Travis Sanders, whose last known place of residence is 2998 East 130th Street, Cleveland, OH 44120, otherwise whose place of residence is unknown, will take notice that on December 7, 2011, the undersigned, Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 129-25-060</p><p class="ssj">Address: 2998 E. 130th Street, Cleveland, OH 44120</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 26th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING LP.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Feb11-18-25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6324</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6324</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">766542&mdash;MidFirst Bank vs. Marva Lynn Corbin, as Executor for the estate of William F. Richards, Sr., et al.</p><p class="ssj">Unknown heirs, the devisees, legatees, executors,, administrators, and assigns  of Stanley D. Richards, as Heir to the estate of William F. Richards, Sr., and the unknown guardians of minor and/or incompetent heirs of Stanley D. Richards, as heir to the estate of William F. Richards, Sr., the place of residence of each being unknown, will take notice that on October 12, 2011, the undersigned, MidFirst Bank, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 671-13-105</p><p class="ssj">Address: 14516 Northfield Avenue, East Cleveland, Ohio 44112</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">As the result of scrivener's error, excusable neglect, and mutual mistake of fact between the parties thereto, the Mortgage contained an incorrect legal description by stating &quot;Lots No. 336 and 374&quot; when it fact it should read as &quot;Lots No. 366 and 375&quot;.</p><p class="ssj">Because this mistake was the result of a scrivener's error, excusable neglect, and mutual mistake of fact between the parties, Plaintiff is entitled to have the Mortgage reformed so as to contain the correct legal description as described above.</p><p class="ssj">Plaintiff is further entitled to an order of this Court decreeing that the Property described by the correct legal description above be sold by the Sheriff of this county at judicial sale.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 26th day of March, 2012.</p><p class="ssj">MIDFIRST BANK.</p><p class="bold">By John E. Codrea, David D. Bokor, Matthew P. Curry, Kristan A. Prill, Attorneys for Plaintiff. Manley Deas Kochalski, LLC, P.O. Box 165028, Columbus, OH 43216. (614) 222-4921.</p><p class="ssj">Feb11-18-25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6325</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6325</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771588&mdash;Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. Alan King, et al.</p><p class="ssj">Alan King and Unknown Spouse, of Alan King, whose last known place of residence and present place of residence are unknown, will take notice that on December 16, 2011, the undersigned, Bank of America, N.A. successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $65,133.36, plus any sums advanced, with interest at 6.500% per annum from June 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 684-11-008</p><p class="ssj">Address: 1856 Lee Road, Cleveland Hts., OH 44118</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 26th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Jeffrey R. Jinkens and Timothy M. Clayton, Attorneys for Plaintiff. Luper, Neidenthal &amp; Logan, 50 W. Broad Street, Suite 1200, Columbus, OH 43215. (614) 221-7663.</p><p class="ssj">Feb11-18-25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6326</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6326</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">774960&mdash;Third Federal Savings and Loan Association of Cleveland vs. Barry T. Jackson, Fiduciary of the Estate of, and Known Heir of Nathaniel L. Jackson, deceased, et al.</p><p class="ssj">Unknown Heirs, Devisees, and Legatees of Nathaniel L. Jackson, deceased, the place of residence of each being unknown, will take notice that on February 1, 2012, the undersigned, Third Federal Savings and Loan Association of Cleveland, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 118-27-064</p><p class="ssj">Address: 2160 E. 76th St., Cleveland, OH 44104</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 26th day of March, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS AND LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Dean K. Hegyes, Attorney for Plaintiff. Jones &amp; hegyes Co., L.P.A., 38040 Euclid Avenue, Willoughby, Ohio 44094. (440) 951-1181</p><p class="ssj">Feb11-18-25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Common Pleas Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticecommonpleasnotices/details/ref_index/6327</link>
      <guid>http://www.dln.com/noticecommonpleasnotices/details/ref_index/6327</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">727820&mdash;Cedric Brown vs. Crawford Manor Healthcare Center, Inc.</p><p class="ssj">Christina Bryant-Harris, whose last known place of residence and present place of residence are unknown, will take notice that on January 20, 2012, the undersigned, Leslie M. Jenny, filed her Motion to withdraw as Counsel in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio Leslie M. Jenny, attorney for Defendants, Sunset Manor Healthcare Group, Inc., Crawford Manor Healthcare Cetner, Saber Healthcare Group, L.L.C., Saber Management, Inc, Andrea Reddish, R.N., L.M. Clutchen, LPN and CM Bryant Harris, LPN, respectfuly requests permission to voluntarily withdrawal as counsel for Defendant CM Bryant-Harris, LPN, pursuant to Rule 1.16 of the Ohio Rules of Professional Conduct.</p><p class="ssj">Said motion may be heard on the 19th day of March, 2012, or as soon thereafter as the Court may hear the same.</p><p class="ssc">LESLIE M. JENNY.</p><p class="bold"> Leslie M. Jenny, Attorney.</p><p class="ssj">Feb11-18-25Mar3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Divorce Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedivorces/details/ref_index/6328</link>
      <guid>http://www.dln.com/noticedivorces/details/ref_index/6328</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Divorce Notice</p><p class="bold">D-340336&mdash;Rachel Heath vs. Mandell Shepherd.</p><p class="ssj">Mandell Shepherd, whose last known place of residence is 2506 E. 89th Street, Cleveland, Ohio 44104, otherwise whose place of residence is unknown, will take notice that on February 7, 2012, the undersigned, Rachel Heath, filed her complaint against him in the Court of Common Pleas, Domestic Relations Division, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio praying for a divorce and other relief on the grounds that she and defendant have, for more than one year without interruption, lived separate and apart without cohabitation and incompatibility.</p><p class="ssj">The defendant named above is required to answer on or before the 16th day of April, 2012.</p><p class="ssc">RACHEL HEATH.</p><p class="bold"> Rachel Heath, P.P.</p><p class="ssj">Feb11-18-25Mar3-10-17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6329</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6329</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901477&mdash;In the matter of Antwon Ford.</p><p class="ssc">Summons</p><p class="ssj">To: April Ford, whose last known address is 10004 Saint Clair Avenue, Cleveland, OH 44108, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Antwon Ford, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 22, 2012 at 1:30 PM, before Magistrate Yeomans-Salvador, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 7, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6330</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6330</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901462&mdash;In the matter of Xavier Griffin.</p><p class="ssc">Summons</p><p class="ssj">To: Chaz Maradise, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Xavier Griffin, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 22, 2012 at 9:00 AM, before Magistrate Yeomans-Salvador, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 7, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6331</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6331</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901462&mdash;In the matter of Xavier Griffin.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Xavier Griffin, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 22, 2012 at 9:00 AM, before Magistrate Yeomans-Salvador, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 7, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6332</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6332</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD10918154&mdash;In the matter of Dayonte Cunningham.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Dayonte Cunningham, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on March 7, 2012 at 9:30 AM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 8, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6333</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6333</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD00902569&mdash;In the matter of Malikah Abdulhaqq.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Malikah Abdulhaqq. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 8, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6334</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6334</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901697&mdash;In the matter of Jason Craig.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Jason Craig, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on February 21, 2012 at 9:30 AM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 7, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6335</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6335</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175802&mdash;In the matter of the change of name of Jacob Thomas Long, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 8, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Jacob Thomas Long, 17846 Northwood Avenue, #10, Lakewood, Cuyahoga County, Ohio 44107, to Jacob Thomas Gavin.</p><p class="ssj">This application is set for hearing on the 30th day of March, 2012, at 10:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6336</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6336</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175807&mdash;In the matter of the change of name of Tania Janell Eddy, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 8, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Tania Janell Eddy, 3901 East 153rd Street, Cleveland, Cuyahoga County, Ohio 44128, to Tania Brittany Pettit.</p><p class="ssj">This application is set for hearing on the 30th day of March, 2012, at 9:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6337</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6337</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175808&mdash;In the matter of the change of name of Jaimyliz Silva, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 8, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Jaimyliz Silva, 6815 Colgate Avenue, Cleveland, Cuyahoga County, Ohio 44102, to Jaimyliz Baez.</p><p class="ssj">This application is set for hearing on the 22nd day of March, 2012, at 3:15 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6338</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6338</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175826&mdash;In the matter of the change of name of Dominic Allen Smith-Zaccardelli, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 8, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Dominic Allen Smith-Zaccardelli, 13978 Oakbrook Drive, North Royalton, Cuyahoga County, Ohio 44133, to Dominic Allen Smith.</p><p class="ssj">This application is set for hearing on the 22nd day of March, 2012, at 2:30 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6339</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6339</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175797&mdash;In the matter of the change of name of David Lawrence.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 8, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of David Lawrence, 4110 Rocky River Drive, Cleveland, Cuyahoga County, Ohio 44135, to David McFadden.</p><p class="ssj">This application is set for hearing on the 22nd day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb11, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6340</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6340</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175801&mdash;In the matter of the change of name of Ashawn Mekhi Collier, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 8, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Ashawn Mekhi Collier, 14629 Coit Road, #4, Cleveland, Cuyahoga County, Ohio 44110, to Ashawn Mekhi Simmons.</p><p class="ssj">This application is set for hearing on the 22nd day of March, 2012, at 3:30 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb11, 2012</p>]]></content:encoded>
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    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6341</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6341</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175812&mdash;In re: Estate of Jane A. Clark o.w. etc., deceased.</p><p class="ssj">Unknown creditors of the Estate of Jane A. Clark o.w. Jane Clark, deceased, the address of each being unknown, will take notice that on February 8, 2012, the undersigned, Mary J. Giganti, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Jane A. Clark o.w. Jane Clark, deceased, late of Westlake, Ohio, who died January 2, 2012.</p><p class="ssj">Said application is ordered set for hearing on the 22nd day of March, 2012, at 9:45 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">MARY J. GIGANTI,</p><p class="ssc">Applicant.</p><p class="bold"> Mary J. Giganti, Attorney</p><p class="ssj">Feb11-18-25, 2012</p>]]></content:encoded>
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    <item>
      <title>Authority to Administer Estate Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6342</link>
      <guid>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6342</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175814&mdash;In re: Estate of Glenn Sumlin, deceased.</p><p class="ssj">Glenn Dickerson, whose place of residence is unknown, will take notice that on the 8th day of February, 2012, the undersigned, Shvonne Sumlin Welch, filed an application in the Probate Court of Cuyahoga County, Ohio, for the authority to administer the Estate of Glenn Sumlin, deceased, late of Maple Heights, Cuyahoga County, Ohio, who died on December 27, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 20th day of March, 2012 at 1:00 p.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">SHVONNE SUMLIN WELCH,</p><p class="ssc">Applicant.</p><p class="bold"> Blake A. Dickerson, Attorney.</p><p class="ssj">Feb11-18-25, 2012</p>]]></content:encoded>
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    <item>
      <title>Corporate Dissolution Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedissolutions/details/ref_index/6343</link>
      <guid>http://www.dln.com/noticedissolutions/details/ref_index/6343</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF VOLUNTARY DISSOLUTION OF DEBALTZO INC.,AN OHIO CORPORATION</p><p class="ssj">TO ALL CREDITORS AND CLAIMANTS OF DEBALTZO INC.</p><p class="ssj">NOTICE IS HEREBY GIVEN that DEBALTZO INC., an Ohio corporation, formerly having its principal office in the City of Hudson, County of Summit, and State of Ohio, filed a certificate of voluntary dissolution with the office of the Secretary of State of Ohio on or about January 24, 2012, was dissolved as of that date, and is now winding up its affairs.</p><p class="ssj">Feb11-18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Corporate Dissolution Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticedissolutions/details/ref_index/6344</link>
      <guid>http://www.dln.com/noticedissolutions/details/ref_index/6344</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF VOLUNTARYDISSOLUTION OF SMS DEVELOPMENT CO., INC. AN OHIO CORPORATION</p><p class="ssj">TO ALL CREDITORS AND CLAIMANTS OF SMS DEVELOPMENT CO., INC. </p><p class="ssj">NOTICE IS HEREBY GIVEN that SMS DEVELOPMENT CO., INC., an Ohio corporation, formerly having its principal office in the City of Broadview Heights, County of Cuyahoga, and State of Ohio, filed a certificate of voluntary dissolution with the office of the Secretary of State of Ohio on or about December 30, 2011, was dissolved as of that date, and is now winding up its affairs.</p><p class="ssj">Feb11-18, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6345</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6345</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">773211&mdash;Federal National Mortgage Association vs. Georgia Fath, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Nikolaus J. Fath, the place of residence of each being unknown, will take notice that on January 11, 2012, the undersigned, Federal National Mortgage Association, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $89,221.37, plus any sums advanced, with interest at 7.5000% per annum from May 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 449-11-083</p><p class="ssj">Situated in the City of Parma, County of Cuyahoga, and State of Ohio: and known as being Sublot No. 3559 in H.A. Stahl Properties Company's Ridgewood Subdivision No. 2 of a part of Original Parma Township Lots Nos. 3 and 4, Tuckerman Tract, and Lot No. 1, Ely Tract, as shown by the recorded plat in Volume 86 of Maps, Page 14 of Cuyahoga County Records, and being 40 feet front on the Northerly side of Pelham Drive, and extending back between parallel lines 115 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 8004 Pelham Dr., Parma, Ohio 44129</p><p class="ssj">Plaintiff further states that the subject loan was a purchase money mortgage that was taken in the names of Nikolaus J. Fath and Georgia Fath.</p><p class="ssj">Plaintiff further says that the parties therefore intended the mortgage to encumber the entire interest in the real estate.</p><p class="ssj">Plaintiff further says that the title deed was prepared in the names of Nikolaus J. Fath and Georgia Fath. Although the parties intended to mortgage their interest, and although Nikolaus J. Fath and Georgia Fath properly signed the mortgage, the subject mortgage was mistakenly recorded without Nikolaus J. Fath and Georgia Fath being referenced in the acknowledgment clause.</p><p class="bold">By way of pleading in the alternative, Plaintiff is further entitled to a Declaratory Judgment from this Court (pursuant to RC 2721), declaring that the parties intended that Nikolaus J. Fath and Georgia Fath was to execute Plaintiff's mortgage and that the mortgage was to encumber the entire interest in the property and ordering same to be sold by the Sheriff of this County at Sheriff's Sale. There exists a real controversy between adverse parties, which is of a justiciable nature, and speedy relief is necessary to preserve the rights of the parties which otherwise may be impaired or lost.</p><p class="ssj">Plaintiff further says that it has an equitable and legal lien on the entire interest in the real estate and that it should be permitted to foreclose on the entire property pursuant to the Doctrines of Unjust Enrichment and Quantum Meruit.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 27th day of March, 2012.</p><p class="ssj">FEDERAL NATIONAL MORTGAGE ASSOCIATION.</p><p class="bold">By Julia E. Steelman and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6346</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6346</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">761440&mdash;Wells Fargo Bank, N.A. vs. Mark A. Trubiano, Fiduciary of the Estate of Grace E. Whelan aka Grace Whelan, et al.</p><p class="ssj">Patricia A. Whelan and John Doe, name unknown, spouse of Patricia A. Whelan, whose last known place of residence is 28435 Hampshire Drive, Quail Valley, CA 92587, otherwise whose place of residence is unknown; Amy Whelan and Jeffrey Doe, name unknown, spouse of Amy Whelan, whose last known place of residence is 25968 Byron Drive, North Olmsted, OH 44070, otherwise whose place of residence is unknown, will take notice that on September 16, 2011, the undersigned, Wells Fargo Bank, N.A., filed its second amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $110,159.36, as of July 29, 2011, on a Home Equity Conversion Note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 232-31-036</p><p class="ssj">Situated in the City of North Olmsted, County of Cuyahoga, and State of Ohio, and known as being Sublot No. 47, in Sand's Subdivision No. 1 of part of Original Dover Township Lot No. 17 as shown by the recorded plat in Volume 197 of Maps, Page 61 of Cuyahoga County Records.</p><p class="ssj">Address: 25968 Byron Dr., North Olmsted, OH 44070</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors in the payment of a Home Equity Conversion Note according to its tenor, the conditions of a concurrent mortgage deed given to secure the payment of said note  and conveying the above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 27th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A.</p><p class="bold">By Lorelei C. Bolohan and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6347</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6347</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">773214&mdash;CitiMortgage, Inc. vs. Danielle Y. Lindquist, et al.</p><p class="ssj">Thomas L. Cornell and Jane Doe, name unknown, spouse of Thomas L. Cornell, whose last known place of residence and present place of residence are unknown, will take notice that on January 11, 2012, the undersigned, CitiMortgage, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $91,563.08, plus any sums advanced, with interest at 5.8750% per annum from August 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 472-16-026</p><p class="ssj">Situated in the Village of Parma Heights, County of Cuyahoga, and State of Ohio, and known as being Sublot No. 622 in the Precision Housing Corporation's Ridgewood Park Subdivision No. 11, and being part of Original Parma Township Lot No. 2, Ely Tract, as shown by the recorded plat of said Subdivision recorded in Volume 148, Page 18 of Cuyahoga County Records.</p><p class="ssj">Address: 6428 Alderwood Road, Parma Heights, OH 44130</p><p class="ssj">Plaintiff further says that as the result of scrivener's error and mutual mistake of fact between the parties thereto, the deed to the defendant, Danielle Y. Lindquist, from Cheryl A. Broyles a.k.a. Cheryl A. Russell and Michael C. Russell, recorded on 10/25/05 in Instrument No. 200510250349; the deed to Cheryl A. Broyles from Emil Hribsek, recorded on 08/06/98, in Volume 98-10089, page 35; the deed to Emil Hribsek from Thomas L. Cornell, recorded on 04/25/96, in Volume 96-03701, page 47, of said County Recorder's records, contained an incorrect legal description, in the words &quot;Princeton Housing Corporation's Ridgewood Park Subdivision No. 11&quot; should read &quot;Precision Housing Corporation's Ridgewood Park Subdivision No. 11.&quot;</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, plaintiff is entitled to have the above-described deed and mortgage reformed so as to have the appropriate legal description as hereinabove set forth; and plaintiff is further entitled to an order of this court decreeing that the property as described in plaintiff's mortgage be sold by the sheriff of this County at Sheriff Sale. Said correct legal description is also set forth in the Affidavit of Surviving Spouse to prior titleholder Thomas L. Cornell, recorded on 01/27/95 in Volume 95-00606, page 50, of said County Recorder's records.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 27th day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC.</p><p class="bold">By Christopher M. Schwieterman and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6348</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6348</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">764336&mdash;Bank of America, NA successor by merger to BAC Home Loans Servicing, L.P. fka Countrywide Home Loans Servicing, L.P. vs. Jack Fischer, et al.</p><p class="ssj">Jack Fischer, whose last known place of residence is 25021 Aurora Rd Trlr 91, Bedford Heights, OH 44146, otherwise whose place of residence is unknown, will take notice that on October 19, 2011, the undersigned, Bank of America, NA successor by merger to BAC Home Loans Servicing, L.P. fka Countrywide Home Loans Servicing, L.P., filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $147,049.71, plus any sums advanced, with interest at 2.000% per annum from August 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 704-12-025</p><p class="ssj">Situated in the City of South Euclid, County of Cuyahoga and State of Ohio:</p><p class="ssj">And known as being Sublot No. 12D in a Re-Allotment of Miramar-Golf Subdivision of part of Original Euclid Township Lot No. 64, Tract No. 2, as shown by the recorded plat in Volume 114 of Maps, Page 17 of Cuyahoga County Records and being 40 feet front  on the Northerly side of Harwood Road, 117.83 feet deep on the Westerly line, 117.81 feet deep on the Easterly line and 40 feet wide in the rear, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 4233 Harwood Road, South Euclid, Ohio 44121</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 27th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, NA SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, L.P. FKA COUNTRYWIDE HOME LOANS SERVICING, L.P.</p><p class="bold">By Maria Divita and Jennifer Powers, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6349</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6349</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">766640&mdash;PNC Bank, National Association successor by merger to National City Mortgage, a division of National City Bank vs. Michael Stinn, as Fiduciary of the Estate of Joseph J. Rosendaul, et al.</p><p class="ssj">Jacob Doe, name unknown, spouse of Kelly Rosendaul, whose last known place of residence is 469 Huntmere Drive, Bay Village, OH 44140, otherwise whose place of residence is unknown, will take notice that on October 13, 2011, the undersigned, PNC Bank, National Association successor by merger to National City Mortgage, a division of National City Bank, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $ 148,862.36, plus any sums advanced, with interest at 6.7500% per annum from January 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 203-31-097</p><p class="ssj">Situated in the City of Bay Village, County of Cuyahoga, and State of Ohio and known as being the Southerly 30 feet of Sublot No. 34 and the Northerly 20 feet of Sublot No. 35 in Bay Side Manor Subdivision of part of Original Dover Township Lot No. 87 as shown by the recorded plat in Volume 88 of Maps, Page 2 of Cuyahoga County Records and being 50 feet front on the Easterly side of Huntmere Drive and extending back of equal width 171.14 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 469 Huntmere Dr. Bay Village, Ohio 44140</p><p class="ssj">Plaintiff further says that as the result of scrivener's error and mutual mistake of fact between the parties thereto, the mortgage executed by the Joseph J. Rosendaul, deceased, and delivered by him to the plaintiff contained an incorrect legal description.</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, plaintiff is entitled to have the above-described mortgage reformed so as to have the appropriate legal description as hereinabove set forth; and plaintiff is further entitled to an order of this court decreeing that the property be sold by the sheriff of this County at Sheriff Sale.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 27th day of March, 2012.</p><p class="ssj">PNC BANK, NATIONAL ASSOCIATION SUCCESSOR BY MERGER TO NATIONAL CITY MORTGAGE, A DIVISION OF NATIONAL CITY BANK.</p><p class="bold">By Julia E. Steelman and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6350</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6350</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767200&mdash;CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc. vs. Vincent R. Sefsic aka Vincent Sefsic, et al.</p><p class="ssj">Vincent R. Sefsic aka Vincent Sefsic, whose last known place of residence and present place of residence are unknown; the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Vincent R. Sefsic aka Vincent Sefsic, the place of residence of each being unknown, will take notice that on January 11, 2012, the undersigned, CitiMortgage, Inc. successor by merger to ABN AMRO Mortgage Group, Inc., filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $56,558-14, plus any sums advanced, with interest at 3.0000% per annum from June 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 542-29-077</p><p class="ssj">Situated in the City of Garfield Heights, County of Cuyahoga, and State of Ohio and known as being Sublot No. 70 in the Turney Heights Realty Co.'s Garfield Grand View Allotment, of part of Original Independence Township Lots Nos. 12 and 13, in Tract No. 1, East of the River, as shown by the recorded plat in Volume 83 of Maps, Page 18 of Cuyahoga County Records, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 10901 Brunswick Avenue, Garfield Heights, OH 44125</p><p class="ssj">Plaintiff says that John D. Clunk and Kimberly M. Clunk, are named as defendants herein as the grantors on a prior deed dated October 23, 2002 and filed for record on November 6, 2002, as Instrument Number 200211060905 of said County Recorder's Records, which deed fails to properly disclose the marital status of said grantor.  Plaintiff is informed and believes that John D. Clunk was in fact married at the time of the conveyance and plaintiff seeks to have the prior deed reformed so as to disclose the grantor's marital status as married to the grantee, John D. Clunk, married, whose wife is Kimberly M. Clunk.</p><p class="ssj">Plaintiff further says that the defendants, John D. Clunk and Kimberly M. Clunk, attempted to transfer their interest in the subject property by virtue of a Deed filed for record on November 6, 2002, as Instrument Number 200211060905 of said County Recorder's Records.</p><p class="ssj">Plaintiff alleges that it was the intention of the defendants, John D. Clunk and Kimberly M. Clunk, to convey their entire interest in the subject property to defendant Vincent Sefsic a.k.a. Vincent R. Sefsic however the deed was not properly acknowledged.</p><p class="ssj">Plaintiff further says due to mutual mistake between the parties, the deed to defendant, Vincent Sefsic a.k.a. Vincent R. Sefsic was improperly executed and acknowledged and as a result may not be effective to transfer the property.</p><p class="ssj">Plaintiff further states that it is entitled to have title quieted as against any and all claims of John D. Clunk and Kimberly M. Clunk.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 27th day of March, 2012.</p><p class="ssj">CITIMORTGAGE, INC. SUCCESSOR BY MERGER TO ABN AMRO MORTGAGE GROUP, INC.</p><p class="bold">By Channing L. Ulbrich and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6351</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6351</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767932&mdash;Third Federal Savings and Loan Association of Cleveland vs. Emma L. Isaac, et al.</p><p class="ssj">Emma L. Isaac and John Doe, name unknown, unknown spouse of Emma L. Isaac, whose last known place of residence and present place of residence are unknown, will take notice that on October 28, 2011, the undersigned, Third Federal Savings and Loan Association of Cleveland, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $66,048.55, plus any sums advanced, with interest at 4.90% per annum from July 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 784-09-066</p><p class="ssj">Address: 16436 Home St., Maple Heights, Ohio 44137</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 27th day of March, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS AND LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Emily Honsa Hicks, Attorney for Plaintiff.</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6352</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6352</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768039&mdash;Third Federal Savings and Loan Association of Cleveland vs. Sonja James aka Sonja E. James, et al.</p><p class="ssj">Sonja James aka Sonja E. James, John Doe, Name Unknown, Unknown Spouse of Sonja James aka Sonja E. James, whose last known place of residence and present place of residence are unknown, will take notice that on October 31, 2011, the undersigned, Third Federal Savings and Loan Association of Cleveland, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $73,874.82, plus any sums advanced, with interest at 5.80% per annum from April 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 704-11-093</p><p class="ssj">Address: 4138 Hinsdale Rd., South Euclid, Ohio 44121</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 27th day of March, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS AND LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Emily Honsa Hicks, Attorney for Plaintiff.</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6353</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6353</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771366&mdash;Deutsche Bank National Trust Company as Trustee for Harbor View Mortgage Loan Trust 2006-8 vs. Ross E. Battaglia, et al.</p><p class="ssj">Unknown Heirs at Law, Devisees, Legatees, Executors or Administrators of Karen L. Battaglia, deceased, the place of residence of each being unknown; Jane Doe, Unknown Spouse, if any, of Rosss E. Battaglia. whose last known place of residence is 5624 Andover Boulevard, Garfield Heights, OH 44125-3504, otherwise whose place of residence is unknown; Scott Beeman, whose last known place of residence is 103 Grace Street, Bedford, OH 44146, otherwise whose place of residence is unknown, will take notice that on December 14, 2011, the undersigned, Deutsche Bank National Trust Company as Trustee for Harbor View Mortgage Loan Trust 2006-8 c/o OneWest Bank, FSB, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 542-35-008</p><p class="ssj">Address: 5624 Andover Boulevard, Garfield Heights, Ohio 44125</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further says that through mutual mitake, inadvertence or error, the legal descriptions contained in the conveyance deed from Defendant, Karla L. Battaglia Beeman and Scott Beeman, recorded as Instrument No. 200507200635 of Cuyahoga County Records, and from Joseph J. Battaglia, recorded as Instrument No. 200409010787 of Cuyahoga County Records, as well as the Certificate of Transfer from the Estate of Karen L. Battaglia, recorded as Instrument No. 200507200634 of Cuyahoga County Records, do not conform to the legal description as set forth above; that the intention of the parties at the time of the execution of said conveyance deeds and Certificate of Transfer was to convey all interest that the Grantors had in and to the aforesaid described real property, but that, through scrivener's errors, the legal descriptions were not entirely and properly placed in the conveyance deeds and Certificates of Transfer.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 27th day of March, 2012.</p><p class="ssj">DEUTSCHE BANK NATIONAL TRUST COMPANY AS TRUSTEE FOR HARBOR VIEW MORTGAGE LOAN TRUST 2006-8 C/O ONEWEST BANK, FSB.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6354</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6354</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">773156&mdash;MidFirst Bank vs. Rhonda Butler, as possible heir to the Estate of Eugenia F. Millgan, et al.</p><p class="ssj">Unknown heirs, the devisees, legatees, executors, administrators, and assigns of Eugenia F. Milligan, and the guardians of minor and/or incompetent heirs of Eugenia F. Milligan, the place of residence of each being unknown, will take notice that on January 10, 2012, the undersigned, MidFirst Bank, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 792-05-053</p><p class="ssj">Address: 5867 Lehman Drive, Bedford Hts., OH 44146</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 27th day of March, 2012.</p><p class="ssj">MIDFIRST BANK.</p><p class="bold">By Sherrie Mikhail Miday, Attorney for Plaintiff. Manley Deas Kochalski, LLC, P.O. Box 165028, Columbus, OH 43216. (614) 222-4921.</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/6355</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/6355</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768939&mdash;Treasurer of Cuyahoga County, Ohio vs. Marcus Sangster, et al.</p><p class="ssj">Marcus Sangster, whose last known place of residence is 8805 Citrus Village Drive, Apartment 208, Tampa, FL 33626, otherwise whose place of residence is unknown; Unknown Spouse of Marcus Sangster, whose last known place of residence is 8805 Citrus Village Drive, Apartment 208, Tampa, FL 33626, otherwise whose place of residence is unknown; Pamela Sangster, whose last known place of residence is 8805 Citrus Village Drive, Apartment 208, Tampa, FL 33626, otherwise whose place of residence is unknown; and Unknown Spouse of Pamela Sangster, whose last known place of residence is 8805 Citrus Village Drive, Apartment 208, Tampa, FL 33626, otherwise whose place of residence is unknown, will take notice that on November 10, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $615.07 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 125-26-097</p><p class="ssj">Parcel No. 1</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being part Sublot No. 122 in G.W. Canfield's Allotment of part of Original allotment of part of Original 100 Acre Lot No. 321 as shown by the recorded plat in Vol. 9 of Maps, Page 13 of bounded and described as follows:  Beginning at the Southeasterly line of Portage Avenue, S.E., at the most Northerly corner of said Sublot No. 122, thence Southwesterly along said Southeasterly line of Portage, S.E., 30 feet 1/2 an inch, thence Southeasterly and parallel with the Northeasterly line of said Sublot, about 116.60 feet to the Southeasterly line of said Sublot, thence Northeasterly along said Southeasterly lot line to the most Easterly corner thereof; thence Northwesterly along the Northeasterly line of said Sublot 116 feet to the place of beginning, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssc">Parcel No. 2</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio, and known as being the Southwesterly 30 feet of Sublot No. 123 in G.W. Canfield Allotment of part of Original One Hundred Acre Lot No. 321 as shown by the recorded plat of said Allotment in Volume 9 of Maps, Page 13 of Cuyahoga County Records, said part of said Sublot No. 1 has a frontage of 30 feet on the Southeasterly side of Portage Avenue, S.E., and extends back 116 feet on the Southwesterly line about 115 feet on the Northeasterly line and has a rear line of about 30 feet as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 27th day of March, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
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    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6356</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6356</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004864&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of John W. Potter, o.w. etc., et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of John W. Potter, o.w. John Wesley Potter, deceased, the place of residence of each being unknown; Mary Alice Walker, whose last known place of residence is 125 East 152nd Street, Apartment 909, Cleveland, OH 44110, otherwise whose place of residence is unknown; Unknown Spouse of Mary Alice Walker, whose last known place of residence is 125 East 152nd Street, Apartment 909, Cleveland, OH 44110, otherwise whose place of residence is unknown; and Heartland Home Finance, Inc., whose last known address is c/o Heartland Home Finance, Inc., Registered Agent, 1401 Branding Lane, Suite 300, Downers Grove, IL 60515, otherwise whose address is unknown, will take notice that on November 3, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $2,394.38 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 108-07-137</p><p class="ssj">Situated in the City of  Cleveland, County of Cuyahoga and State of Ohio: and known as being Sublot No. 7 in the Walton Realty Company's Subdivision of part of Original One Hundred Acre Lots Nos. 360, 361, 368 and 369, as shown by the recorded plat in Volume 28 of Maps, Page 11 of Cuyahoga County Records, and being 33 feet front on the Westerly side of East 95th Street and extending back of equal width 70 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6357</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6357</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004323&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Eddie Mae Shivers, Deceased, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Eddie Mae Shivers, deceased, the place of residence of each being unknown; Ronald White, whose last known place of residence is 12408 Harvard Avenue, Cleveland, OH 44105, otherwise whose place of residence is unknown; Unknown Spouse of Ronald White, whose last known place of residence is 12408 Harvard Avenue, Cleveland, OH 44105, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Valerie Johnson, deceased, the place of residence of each being unknown; Mark White, whose last known place of residence is 14206 Westropp Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Unknown Spouse of Mark White, whose last known place of residence is 14206 Westropp Avenue, Cleveland, OH 44110, otherwise whose place of residence is unknown; Consumer Finance Corporation, whose last known address is 7926 Jones Branch Road, #430, McLean, VA 22102-3303, otherwise whose address is unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Herman Shivers, deceased, the place of residence of each being unknown, will take notice that on July 13, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,097.95 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 112-25-058</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being the Easterly 30 feet of Sub Lot No. Thirty-two (32) in Caroline McIlrath's Subdivision of part of Original Euclid Township Tract No. 16, as shown by the recorded plat of said Subdivision in Volume 22 of Maps, Page 2 of Cuyahoga County Records.</p><p class="ssj">Said part of Sub Lot No. 32 has a frontage of 30 feet on the Southerly line of Thames Avenue N.E. (formerly Thames Street) and extends back between parallel lines 140 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6358</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6358</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11910552&mdash;In the matter of Michael Munford.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Michael Munford, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on March 14, 2012 at 9:00 AM, before Judge Sweeney, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 10, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6359</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6359</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11911128&mdash;In the matter of Peter Anderson, Jr.</p><p class="ssc">Summons</p><p class="ssj">To: Peter Anderson, whose last known address is 310 Baker Street, Bakersfield, CA 93305, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Peter Anderson, Jr., you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on March 2, 2012 at 9:00 AM, before Magistrate Yeomans-Salvador, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 9, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6360</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6360</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11920861&mdash;In the matter of Isabelle Fiandaca.</p><p class="ssc">Summons</p><p class="ssj">To: Robin Durham, whose last known address is 3508 Woodbridge Avenue, Cleveland, OH 44109, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Isabelle Fiandaca, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 13, 2012 at 11:00 AM, before Judge Corrigan, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 9, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6361</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6361</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD07900616&mdash;In the matter of Davon W. Howar.</p><p class="ssc">Summons</p><p class="ssj">To: Simona McLean, whose last known address is 9309 Quebec Avenue, Cleveland, OH 44106, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Davon W. Howar. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 9, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6362</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6362</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11922807&mdash;In the matter of Skye Stephenson.</p><p class="ssj">Summons</p><p class="ssj">To: Stephen McLaughlin, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Skye Stephenson, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on February 17, 2012 at 10:00 AM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 9, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6363</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6363</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12900422&mdash;In the matter of Tyler Kloos.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Tyler Kloos, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on February 29, 2012 at 11:00 AM, before Magistrate Yeomans-Salvador, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 9, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6364</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6364</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD07900617&mdash;In the matter of Dominique Howard.</p><p class="ssc">Summons</p><p class="ssj">To: Simona McLean, whose last known address is 9309 Quebec Avenue, Cleveland, OH 44106, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Dominique Howard. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 9, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6365</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6365</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11907173&mdash;In the matter of Destiny Davis.</p><p class="ssc">Summons</p><p class="ssj">To: Michelle Cannon, whose last known address is 1641 Payne Avenue, Cleveland, OH 44114, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Destiny Davis, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on March 8, 2012 at 9:00 AM, before Judge Sweeney, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 9, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6366</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6366</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11907173&mdash;In the matter of Destiny Davis.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Destiny Davis, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on March 8, 2012 at 9:00 AM, before Judge Sweeney, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 9, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6367</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6367</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11907173&mdash;In the matter of Destiny Davis.</p><p class="ssc">Summons</p><p class="ssj">To: Raydelle Davis, whose last known address is 1483 East 120th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Destiny Davis, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on March 8, 2012 at 9:00 AM, before Judge Sweeney, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 9, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6368</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6368</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11910552&mdash;In the matter of Michael Munford.</p><p class="ssc">Summons</p><p class="ssj">To: Thayer Munford, whose last known address is 13671 Euclid Avenue, Apt. 107, Cleveland, OH 44112, otherwise whose place of residence is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Michael Munford, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on March 14, 2012 at 9:00 AM, before Judge Sweeney, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 10, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foundation Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticefoundationnotices/details/ref_index/6369</link>
      <guid>http://www.dln.com/noticefoundationnotices/details/ref_index/6369</guid>
      <content:encoded><![CDATA[<p class="bold ssc">LEGAL Notice</p><p class="bold">The Parker Hannifin Foundation and its General Manager, Mr. Thomas Piraino, hereby state that the Annual Return of such foundation is available for inspection during regular business hours by any citizen upon request within 180 days after this publication of notice, at its principal office, 6035 Parkland Boulevard, Mayfield Heights, OH 44124-4141, telephone number (216) 896-3000.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6370</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6370</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175854&mdash;In the matter of the change of name of Matthew Joel Sheppard.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 9, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Matthew Joel Sheppard, 916 Spring Road, #250, Cleveland, Cuyahoga County, Ohio 44109, to Matthew Joel Dupree-Sheppard.</p><p class="ssj">This application is set for hearing on the 30th day of March, 2012, at 9:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6371</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6371</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175833&mdash;In the matter of the change of name of Angela Marie Kent.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 9, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Angela Marie Kent, 3357 West 91st Street, Cleveland, Cuyahoga County, Ohio 44102, to Angela Marie Pavlik.</p><p class="ssj">This application is set for hearing on the 23rd day of March, 2012, at 9:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6372</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6372</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2011 MSC 174739&mdash;In the matter of the change of name of Sarah Ann Ruth Testa.</p><p class="ssj">To whom it may concern: you are hereby notified that on December 28, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Sarah Ann Ruth Testa, 2377 Carousel Ct., Westlake, Cuyahoga County, Ohio 44145, to Sarah Ann Ruth Kess.</p><p class="ssj">This application is set for hearing on the 13th day of March, 2012, at 9:15 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6373</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6373</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175796&mdash;In the matter of the change of name of Adrian Quincy Carlisle.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 8, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Adrian Quincy Carlisle, 14624 Clifton Boulevard, Lakewood, Cuyahoga County, Ohio 44107, to Adrian Quincy Carlisle-El.</p><p class="ssj">This application is set for hearing on the 29th day of March, 2012, at 10:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6374</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6374</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175798&mdash;In the matter of the change of name of Lisa Marie Willis.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 8, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Lisa Marie Willis, 243 Grand Blvd., Bedford, Cuyahoga County, Ohio 44146, to Lisa Marie Valore.</p><p class="ssj">This application is set for hearing on the 12th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge.</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6375</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6375</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2011 MSC 174645&mdash;In the matter of the change of name of Sofiya Smerechynska.</p><p class="ssj">To whom it may concern: you are hereby notified that on December 22, 2011, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Sofiya Smerechynska, 3438 Norris Avenue, Parma, Cuyahoga County, Ohio 44134, to Sofiya Anastasia Smerechynsky.</p><p class="ssj">This application is set for hearing on the 23rd day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb14, 2012</p>]]></content:encoded>
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    <item>
      <title>Authority to Administer Estate Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6376</link>
      <guid>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6376</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice </p><p class="bold">2011 EST 166266&mdash;In Re: Estate of Henry Edward Brown, deceased.</p><p class="ssj">Courtney Brown, Mark Brown and Linda Wiggins, whose place of residence is unknown, will take notice that on February 8, 2012, the undersigned, Jacqueline Brown, Fiduciary of the Estate of Henry Edward Brown, deceased, filed an application in the Probate Court of Cuyahoga County, Ohio, to approve a wrongful death settlement or distribution; that Jacqueline Brown has received an offer of settlement for damages for decedent's wrongful death in the amount of $50,000.00 and asks the Court for reasonable attorney fees for services with respect to the wrongful death action, to be paid out of the proceeds of the settlement judgment as further set forth in the application.</p><p class="ssj">Said application is ordered set for hearing on the 27th day of March, 2012, at 10:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="bold">By David I. Pomerantz, Attorney for Jacqueline Brown, Fiduciary.</p><p class="ssj">Feb14-21-28, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6378</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6378</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">772721&mdash;US Bank, National Association, as Successor Trustee to Bank of America, N.A., as successor by merger to LaSalle Bank, N.A. as Trustee for the Certificateholders of the MLMI Trust, Mortgage Loan Asset-Backed Certificates, Series 2006-AR1 vs. William L. Spears, et al.</p><p class="ssj">Unknown Heirs at Law, Devisees, Legatees, Executors or Administrators of Delores Spears, the place of residence of each being unknown, will take notice that on January 4, 2012, the undersigned, US Bank, National Association, as Successor Trustee to Bank of America, N.A., as successor by merger to LaSalle Bank, N.A. as Trustee for the Certificateholders of the MLMI Trust, Mortgage Loan Asset-Backed Certificates, Series 2006-AR1 c/o Bank of America, N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 137-21-083</p><p class="ssj">Address: 12114 Angelus Avenue, Cleveland, Ohio 44105</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 28th day of March, 2012.</p><p class="ssj">US BANK, NATIONAL ASSOCIATION, AS SUCCESSOR TRUSTEE TO BANK OF AMERICA, N.A., AS SUCCESSOR BY MERGER TO LASALLE BANK, N.A. AS TRUSTEE FOR THE CERTIFICATEHOLDERS OF THE MLMI TRUST, MORTGAGE LOAN ASSET-BACKED CERTIFICATES, SERIES 2006-AR1 C/O BANK OF AMERICA, N.A.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Feb15-22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6379</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6379</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768030&mdash;The Huntington National Bank vs. Margaret J. Brown aka Margaret Brown, et al.</p><p class="ssj">Allen Enterprises, IV LLC, Tomi Enterprises, LLC, Akarui Enterprises, LLC, Tatemano Enterprises, LLC, Kaoku Enterprises, LLC, Graig Brown, and Nafeesh Walker, the place of residence of each being unknown, will take notice that on October 31, 2011, the undersigned, The Huntington National Bank, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 681-25-029</p><p class="ssj">Address: 3125 Eastwick Drive, Cleveland, OH 44118</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 28th day of March, 2012.</p><p class="ssj">THE HUNTINGTON NATIONAL BANK.</p><p class="bold">By Emily Honsa Hicks, Attorney for Plaintiff.</p><p class="ssj">Feb15-22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6380</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6380</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769775&mdash;Nationwide Advantage Mortgage Company vs. Donny R. Neace, Jr., et al.</p><p class="ssj">Donny R. Neace, Jr., whose last known place of residence is 3858 E. 57th St., Cleveland, OH 44105, otherwise whose place of residence is unknown; Unknown Spouse of Donny R. Neace, Jr., whose last known place of residence is 3858 E. 57th St., Cleveland, OH 44105, otherwise whose place of residence is unknown; Tammy L. Neace, whose last known place of residence is 4092 E. 82nd St., Cleveland, OH 44105, otherwise whose place of residence is unknown, will take notice that on January 17, 2012, the undersigned, Nationwide Advantage Mortgage Company f/k/a Allied Group Mortgage Company, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging tthat there is due the plaintiff the sum of $38,795-31, plus any sums advanced, with interest at 7% per annum from July 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 132-11-003</p><p class="ssj">Address: 3858 E. 57th Street, Cleveland, OH 44105</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 28th day of March, 2012.</p><p class="ssj">NATIONWIDE ADVANTAGE MORTGAGE COMPANY F/K/A ALLIED GROUP MORTGAGE COMPANY.</p><p class="bold">By Glenn F. Alban, Attorney for Plaintiff. Alban &amp; Alban, LLP, 7100 N. High St., Suite 102, Wothington, Ohio 43085. (614) 340-4044.</p><p class="ssj">Feb15-22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6381</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6381</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771037&mdash;GMAC Mortgage, LLC vs. Robert J. Miller, et al.</p><p class="ssj">Louis Bello, whose last known place of residence is 1386 East 43rd Street, Apartment 5, Cleveland, OH 44103, otherwise whose place of residence is unknown, will take notice that on December 9, 2011, the undersigned, GMAC Mortgage, LLC, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 331-06-017</p><p class="ssj">Address: 5416 W. 220th St., Fairview Park, Ohio 44126</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 28th day of March, 2012.</p><p class="ssj">GMAC MORTGAGE, LLC.</p><p class="bold">By David B. Bokor, Matthew P. Curry, John E. Codrea, Kristan A. Prill, Attorneys for Plaintiff. Manley Deas Kochalski, LLC, P.O. Box 165028, Columbus, OH 43216. (614) 222-4921.</p><p class="ssj">Feb15-22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6382</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6382</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771118&mdash;Bank of America, N.A. successor by Merger to BAC Homes Loan Servicing L.P. fka Countrywide Home Loans Servicing, LP vs. Anthony M. Lewis, et al.</p><p class="ssj">Anthony M. Lewis and Jane Doe, Spouse of Anthony M. Lewis, if married (name unknown) whose last known place of residence and present place of residence are unknown; the unknown spouses, if any; and the unknown heirs and devisees of said Anthony M. Lewis and Jane Doe, Spouse of Anthony M. Lewis, if married (name unknown), if deceased, the place of residence of each being unknown, will take notice that on December 12, 2011, the undersigned, Bank of America, N.A. successor by Merger to BAC Home Loans Servicing L.P. fka Countrywide Home Loans Servicing, LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio being case number CV 11 771118 and alleging that there is due the plaintiff the sum of $82,709.46, plus any sums advanced, with interest at 6.5% per annum from March 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 785-04-172</p><p class="ssj">Address: 14604 Tabor Avenue, Maple Heights, Ohio 44137</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 28th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING L.P. FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Joshua J. Epling and Erin M. Laurito, Attorneys for Plaintiff. Laurito &amp; Laurito, L.L.C., 7550 Paragon Road, Dayton, OH 45459. (937) 743-4878.</p><p class="ssj">Feb15-22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6383</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6383</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771609&mdash;Bank of America, National Association vs. Lynne M. Bell, et al.</p><p class="ssj">Lynne M. Bell, whose last known place of residence is 30270 Miles Road, Solon, OH 44139, otherwise whose place of residence is unknown; Unknown Spouse (if any) of Lynne M. Bell, whose last known place of residence is 30270 Miles Road, Solon, OH 44139, otherwise whose place of residence is unknown, will take notice that on December 16, 2011, the undersigned, Bank of America, National Association c/o Wells Fargo Bank N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 814-03-317</p><p class="ssj">Address: 199 Dalepark Drive 3, Bedford, OH 44146</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 28th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, NATIONAL ASSOCIATION C/O WELLS FARGO BANK N.A.</p><p class="bold">By David B. Bokor, Matthew P. Curry, John E. Codrea and Kristan A. Prill, Attorneys for Plaintiff. Manley Deas Kochalski, LLC, P.O. Box 165028, Columbus, OH 43216. (614) 222-4921.</p><p class="ssj">Feb15-22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6384</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6384</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">773142&mdash;CitiBank, N.A., as Trustee for First Franklin Mortgage Loan Trust, Mortgage Loan Asset-Backed Certificates, Series 2005-FF12 vs. Frank Soodhu and Isha Seenath, et al.</p><p class="ssj">Frank Soodhu, whose last known place of residence is 1553 East 256th Street, Euclid, OH 44132, otherwise whose place of residence is unknown; Isha Seenath, whose last known place of residence is 1553 East 256th Street, Euclid, OH 44132, otherwise whose place of residence is unknown, will take notice that on January 10, 2012, the undersigned, CitiBank, N.A., as Trustee for First Franklin Mortgage Loan Trust, Mortgage Loan Asset-Backed Certificates, Series 2005-FF12 c/o Bank of America, N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $66,447.61, plus any sums advanced, with interest at 8.25% per annum from April 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 648-21-043</p><p class="ssj">Address: 1553 E. 256th Street, Euclid, OH 44132</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 28th day of March, 2012.</p><p class="ssj">CITIBANK, N.A., AS TRUSTEE FOR FIRST FRANKLIN MORTGAGE LOAN TRUST, MORTGAGE LOAN ASSET-BACKED CERTIFICATES, SERIES 2005-FF12 C/O BANK OF AMERICA, N.A.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Feb15-22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Personal Injury Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepersonalinjury/details/ref_index/6385</link>
      <guid>http://www.dln.com/noticepersonalinjury/details/ref_index/6385</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">766186&mdash;Trong Nguyen vs. Jamal Dawson, et al.</p><p class="ssj">Jamal Dawson, whose last known place of residence is 2507 Woodhill Road, Apt. H, Cleveland, Ohio 44104, otherwise whose place of residence is unknown; John Doe (name unknown), whose last known place of residence is 2507 Woodhill Road, Apt. H, Cleveland, Ohio 44104, otherwise whose place of residence is unknown, will take notice that on October 7, 2011, the undersigned, Trong Nguyen, filed his complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on or about October 13, 2009, Plaintiff, Trong Nguyen was operating a automobile, eastbound on Bessemer Avenue through the intersection of East 65th Street with a green light in the City of Cleveland, Cuyahoga County, Ohio; that at the same time and place, Defendant Jamal Dawson or Defendant John Doe (name unknown) was operating a automobile, which was owned by Defendant, Jamal Dawson, northbound on East 65th Street through the intersection of Bessemer Avenue with a red traffic signal in the City of Cleveland, Cuyahoga County, Ohio; that as a direct and proximate result of Defendant, Jamal Dawson or Defendant, John Doe's negligence, and without any negligence on the part of Plaintiff, Trong Nguyen, Defendant, Jamal Dawson or Defendant, John Doe negligently drove his automobile through a red traffic light at a high rate of speed causing Defendants' automobile to violently collide with Plaintiff, Trong Nguyen's automobile; that as a direct and proximate result of the collision and Defendant, Jamal Dawson or Defendant, John Doe's negligence, Plaintiff, Trong Nguyen suffered serious and permanent injuries, incurred medical expenses and lost wages.</p><p class="ssj">At all times relevant herein, Defendant, Jamal Dawson was the owner of the vehicle which Defendant, John Doe was operating; that Plaintiff states that Defendant, Jamal Dawson was negligent for entrusting his vehicle to Defendant, John Doe; that as a direct and proximate result of Defendants' negligence, Plaintiff suffered the aforementioned damages and losses.</p><p class="ssj">Plaintiff demands judgment against all Defendants, jointly and severally, in a sum greater than $25,000.00 for compensatory damages, plus prejudgment interest, reasonable attorney fees, costs and any other relief this Court deems just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 18th day of April, 2012.</p><p class="ssj">TRONG NGUYEN.</p><p class="bold">By Olan R. Reese and Richard F. Kwarciak, Attorneys for Plaintiff.</p><p class="ssj">Feb15-22-29Mar7-14-21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/6386</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/6386</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768939&mdash;Treasurer of Cuyahoga County, Ohio vs. Marcus Sangster, et al.</p><p class="ssj">Wells Fargo Home Mortgage, whose last known address is 2006 Detroit Road, Suite 204, Cleveland, OH 44116, otherwise whose address is unknown, will take notice that on November 10, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $615.07 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 125-26-097</p><p class="ssj">Parcel No. 1</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being part Sublot No. 122 in G.W. Canfield's Allotment of part of Original allotment of part of Original 100 Acre Lot No. 321 as shown by the recorded plat in Vol. 9 of Maps, Page 13 of bounded and described as follows:  Beginning at the Southeasterly line of Portage Avenue, S.E., at the most Northerly corner of said Sublot No. 122, thence Southwesterly along said Southeasterly line of Portage, S.E., 30 feet 1/2 an inch, thence Southeasterly and parallel with the Northeasterly line of said Sublot, about 116.60 feet to the Southeasterly line of said Sublot, thence Northeasterly along said Southeasterly lot line to the most Easterly corner thereof; thence Northwesterly along the Northeasterly line of said Sublot 116 feet to the place of beginning, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssc">Parcel No. 2</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio, and known as being the Southwesterly 30 feet of Sublot No. 123 in G.W. Canfield Allotment of part of Original One Hundred Acre Lot No. 321 as shown by the recorded plat of said Allotment in Volume 9 of Maps, Page 13 of Cuyahoga County Records, said part of said Sublot No. 1 has a frontage of 30 feet on the Southeasterly side of Portage Avenue, S.E., and extends back 116 feet on the Southwesterly line about 115 feet on the Northeasterly line and has a rear line of about 30 feet as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 28th day of March, 2012.</p><p class="ssc">Treasurer of</p><p class="ssj">Cuyahoga County, Ohio.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb15-22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6387</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6387</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004073&mdash;Treasurer of Cuyahoga County, Ohio vs. Esther Ross, et al.</p><p class="ssj">Esther Ross, whose last known place of residence is 14030 Terrace Road, Apartment 139, East Cleveland, OH 44112, otherwise whose place of residence is unknown; Unknown Spouse of Esther Ross, whose last known place of residence is 14030 Terrace Road, Apartment 139, East Cleveland, OH 44112, otherwise whose place of residence is unknown; Vivian Gooden, whose last known place of residence is 7708 Holton Avenue, Cleveland, OH 44104, otherwise whose place of residence is unknown; Unknown Spouse of Vivian Gooden, whose last known place of residence is 7708 Holton Avenue, Cleveland, OH 44104, otherwise whose place of residence is unknown; Arline Hawkins, whose last known place of residence is 1500 Warrensville Center Road #900, Cleveland Heights, OH 44121, otherwise whose place of residence is unknown; Unknown Spouse of Arline Hawkins, whose last known place of residence is 1500 Warrensville Center Road, #900, Cleveland Heights, OH 44121, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Arline Hawkins, deceased, the place of residence of each being unknown; Delria Johnson, whose last known place of residence is 10818 Orville Avenue, Cleveland, OH 44106, otherwise whose place of residence is unknown; Unknown Spouse of Delria Johnson, whose last known place of residence is 10818 Orville Avenue, Cleveland, OH 44106, otherwise whose place of residence is unknown; Ernest Bevous, whose last known place of residence is 4580 Jayce Avenue, Warrensville Heights, OH 44122, otherwise whose place of residence is unknown; and Unknown Spouse of Ernest Bevous, whose last known place of residence is 4580 Jayce Avenue, Warrensville Heights, OH 44122, otherwise whose place of residence is unknown, will take notice that on May 13, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $320.83 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 124-29-024</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being the Easterly thirty-five (35) feet, from front to rear of Sublot Lot No. Eighty-Five (85) in J. H. Hardy's Subdivision of part of Original One Hundred Acre Lot No. 330, as shown by the recorded plat in Volume 4 of Maps, Page 4 of Cuyahoga County Records, and being a parcel of land thirty-five feet front on the Southerly side of Holton Avenue, S.E. and extending back of equal width One Hundred Fifty (150) feet deep as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb15-22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6388</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6388</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 003608&mdash;Treasurer of Cuyahoga County, Ohio vs. Preston L. Trammell, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Preston L. Trammell, deceased, the place of residence of each being unknown, will take notice that on January 25, 2012, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his supplemental complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $940.50 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 135-16-022</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio: And known as being Sublot No. 24 in a Resurvey of L.W. Sapp's Allotment of part of Original 100 Acre Lots Nos. 457 &amp; 458, as shown by the recorded plat in Volume 12 of Maps, Page 25 of Cuyahoga County Records, and being 40.02 feet front on the Northerly side of Prince Avenue, S.E. and extending back 131.24 feet on the Easterly line, 131.276 feet on the Westerly line, and having a rear line of 40.02 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $480.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb15-22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6389</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6389</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 003136&mdash;Treasurer of Cuyahoga County, Ohio vs. Abraham Scheer, et al.</p><p class="ssj">Abraham Scheer, whose last known place of residence is 7550 Hough Avenue, Cleveland, OH 44103, otherwise whose place of residence is unknown; Unknown Spouse of Abraham Scheer, whose last known place of residence is 7550 Hough Avenue, Cleveland, OH 44103, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Abraham Scheer, deceased, the place of residence of each being unknown; Suzanne Scheer, whose last known place of residence is 2202 Acacia Park Drive, Apartment 2108, Cleveland, OH 44124, otherwise whose place of residence is unknown; and Unknown Spouse of Suzanne Scheer, whose last known place of residence is 2202 Acacia Park Drive, Apartment 2108, Cleveland, OH 44124, otherwise whose place of residence is unknown, will take notice that on August 23, 2010, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $45,412.31 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel Nos.</p><p class="ssj">118-09-010 and 118-09-011</p><p class="ssj">PARCEL NO. 1</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being Sublot No. 6 in the George M. Spangler's Subdivision of part of Original One Hundred Acre Lot No. 342, as shown by the recorded plat in Volume 31 of Maps, Page 9 of Cuyahoga County Records, bounded and described as follows: Beginning on the Westerly line of said Sublot No. 6 at the Southwesterly corner of a parcel of land conveyed to the City of Cleveland by deed dated December 27, 1940 and recorded in Volume 5191, Page 353 of Cuyahoga County Records, said place of beginning being also distant Southerly measured along the Westerly line of said Sublot No. 6, 5.80 feet from the Northwesterly corner of said Sublot No. 6; Thence Northeasterly along the Southeasterly line of said parcel so conveyed to The City of Cleveland 40.62 feet to the Easterly line of said Sublot No. 6; Thence Southerly along the Easterly line of said Sublot No. 6, 149.41 feet to the Southeasterly corner of said Sublot No. 6; Thence Westerly along the Southerly line of said Sublot No. 6, 39.80 feet to the Southwesterly corner of said Sublot No. 6; Thence Northerly along the Westerly line of said Sublot No. 6, 142.45 feet to the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssc">PARCEL NO. 2</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being part of Sublot No. 7 in the George M. Spangler's Subdivision of part of Original One Hundred Acre Lot No. 342, as shown by the recorded plat in Volume 31 of Maps, Page 9 of Cuyahoga County Records, bounded and described as follows: Beginning on the Easterly line of said Sublot No. 7 at the Southeasterly corner of a parcel of land conveyed to the City of Cleveland by deed dated December 28, 1940, and recorded in Volume 5196, Page 277 of Cuyahoga County Records, said place of beginning being also distant Southerly measured along the Easterly line of said Sublot No. 7, 5.80 feet from the Northeasterly corner of said Sublot No. 7; Thence Westerly along the Southerly line of land so conveyed to the City of Cleveland, 27.71 feet to the Southerly line of Hough Avenue, N.E.; Thence Westerly along the Southerly line of Hough Avenue, N.E., to the Northwesterly corner of said Sublot No. 7; Thence Southerly along the Westerly line of said Sublot No. 7, 132.66 feet to the Southwesterly corner of Sublot No. 7; thence easterly along the Southerly line of said Sublot No. 7, 40 feet to the Southeasterly corner of Sublot No. 7; Thence Northerly along the Easterly line of said Sublot No. 7, 142.45 feet to the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssj">Note: The above legal description was taken from Deed recorded in Volume 5280, Page 65 of Cuyahoga County Records.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $490.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb15-22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6390</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6390</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004982&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc.c of Clarence M. Howard, Deceased, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Clarence M. Howard, deceased, the place of residence of each being unknown; Marcise J. Howard, whose last known place of residence is 4271 East 114th Street, Cleveland, OH 44105, otherwise whose place of residence is unknown; and Unknown Spouse of Marcise J. Howard, whose last known place of residence is 4271 East 114th Street, Cleveland, OH 44105, otherwise whose place of residence is unknown, will take notice that on November 23, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $2,160.59 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 136-26-117</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being Sublot No. 178 in Hills and Frisbie's Second Miles Avenue Subdivision of part of Original 100 Acre Lot No. 467, as shown by the recorded plat in Volume 24 of Maps, Page 6 of Cuyahoga County Records and being 35 feet front on the Easterly side of East 114th Street (formerly Frisbie Avenue) and extending back of equal width 125 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb15-22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6391</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6391</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">CU08135023&mdash;In the matter of Ednaliz Talavera.</p><p class="ssc">Summons</p><p class="ssj">To: David Talvera, whose address is unknown, an application for custody has been filed in this Court concerning Ednaliz Talavera. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">If you fail to answer, judgment by default will be rendered against you for the relief demanded in the complaint. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 10, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6392</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6392</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11921211&mdash;In the matter of Erriana M. Crider.</p><p class="ssc">Summons</p><p class="ssj">To: Theodis Green, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Erriana M. Crider, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on February 21, 2012 at 1:00 PM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 13, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6393</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6393</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD10918154&mdash;In the matter of Dayonte Cunningham.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Dayonte Cunningham, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on March 7, 2012 at 9:30 AM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 13, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6394</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6394</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12900238&mdash;In the matter of Kimberly Hatch.</p><p class="ssc">Summons</p><p class="ssj">To: Phillip Hatch, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Kimberly Hatch, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 9th Floor, Cleveland, Ohio, on March 12, 2012 at 10:00 AM, before Magistrate Hilow, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 13, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6395</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6395</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11921211&mdash;In the matter of Erriana M. Crider.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Erriana M. Crider, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on February 21, 2012 at 1:00 PM, before Magistrate Graham, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 13, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6396</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6396</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicle will be offered for sale by Marion Community Credit Union at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 24, 2012.</p><p class="ssj">2006 Chrysler PT Cruiser 3A4FY48BX6T242428</p><p class="bold">By virtue of security interest, the above vehicle will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicle is sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6397</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6397</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicle will be offered for sale by Lakewood Acceptance Corp. dba CNAC at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on March 2, 2012.</p><p class="ssj">1998 Chevy Malibu 127136</p><p class="bold">By virtue of security interest, the above vehicle will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicle is sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6398</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6398</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicle will be offered for sale by Riversedge Investment at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 24, 2012.</p><p class="ssj">2001 Sable 1MEFM55S71A615581</p><p class="bold">By virtue of security interest, the above vehicle will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicle is sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6399</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6399</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicle will be offered for sale by Lakewood Acceptance Corp. dba CNAC at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 24, 2012.</p><p class="ssj">2003 Mazda Protege 204125</p><p class="bold">By virtue of security interest, the above vehicle will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicle is sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb15, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6400</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6400</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">770074&mdash;The Bank of New York Mellon fka The Bank of New York, as Trustee for the Certificateholders of the CWALT, Inc., Alternative Loan Trust 2007-HY7C Mortgage Pass-Through Certificates, Series 2007-HY7C vs. Lena Bissett (deceased), et al.</p><p class="ssj">Unknown Heirs at Law, Devisees, Legatees, Executors or Administrators of Lena Bissett, the place of residence of each being unknown, will take notice that on January 10, 2012, the undersigned, The Bank of New York Mellon fka The Bank of New York, as Trustee for the Certificateholders of the CWALT, Inc., Alternative Loan Trust 2007-HY7C Mortgage Pass-Through Certificates, Series 2007-HY7C c/o Bank of America, N.A., filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 642-24-010</p><p class="ssj">Address: 21350 Priday Ave., Euclid, Ohio 44123-2629</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of March, 2012.</p><p class="ssj">THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YORK, AS TRUSTEE FOR THE CERTIFICATEHOLDERS OF THE CWALT, INC., ALTERNATIVE LOAN TRUST 2007-HY7C MORTGAGE PASS-THROUGH CERTIFICATES, SERIES 2007-HY7C C/O BANK OF AMERICA, N.A.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Feb16-23Mar1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6401</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6401</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">762691&mdash;Wells Fargo Bank, N.A. vs. Gail M. Dietz aka Gail M. O'Connor, et al.</p><p class="ssj">Beechwood Glen Homeowners' Association, Inc., whose last known address and present address are unknown, will take notice that on January 20, 2012, the undersigned, Wells Fargo Bank, N.A., filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $93,881.86, plus any sums advanced, with interest at 5.5000% per annum from April 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 393-35-127</p><p class="ssj">Situated in the City of Strongsville, County of Cuyahoga, and State of Ohio: And known as being Sublot No. 16 in The Tax Split of Springfield Commons Subdivision, Phase II, of part of Original Strongsville Township Lot No. 78, as shown by the recorded plat in Volume 250 of Maps, Page 65 of Cuyahoga County Records and being a parcel of land 49 feet front on the Easterly side of Sun Meadow Trail and extending back of equal width 120 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 17339 Sun Meadow Trail, Strongsville, Ohio 44149</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the Granting Clause in the mortgage executed by the primary defendant does not contain the correct marital status of the mortgagor.</p><p class="ssj">Plaintiff is informed and believes that Gail M. Dietz aka Gail M. O'Connor was in fact unmarried at the time of the execution of the plaintiff's mortgage.</p><p class="ssj">Because this mistake was the result of a scrivener's error and mutual mistake of fact between the parties to said document, plaintiff is entitled to have the above described mortgage reformed to properly state &quot;unmarried&quot; in the Granting Clause of said mortgage. Plaintiff is further entitled to an order of this Court decreeing the property as described in  Plaintiff's mortgage be sold at Sheriff's Sale.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of March, 2012.</p><p class="ssj">WELLS FARGO BANK, N.A.</p><p class="bold">By Lori N. Wight and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb16-23Mar1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6402</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6402</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767948&mdash;Fifth Third Mortgage Company vs. Nicholas A. Konovaliv, et al.</p><p class="ssj">Grant Mnazakanow and Zhana Mnazakanow, whose last known place of residence is 3896 West 21st Street, Clevveland, OH 44109, otherwise whose place of residence is unknown, will take notice that on October 31, 2011, the undersigned, Fifth Third Mortgage Company, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $92,508.99, plus any sums advanced, with interest at 6.7500% per annum from June 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 016-19-025</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Southerly 1/2 of Sublot No. 65, in Joseph Storer's Allotment of part of Original Brooklyn Township Lot No. 46, as shown by the recorded plat in Volume 3 of Maps, Page 35 of Cuyahoga County Records and being 30 feet front on the Northwesterly side of West 50th Street, formerly Concord Street, and extending back of equal width 126 feet 9 inches, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 3418 West 50th St., Cleveland, OH 44102</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of March, 2012.</p><p class="ssj">FIFTH THIRD MORTGAGE COMPANY.</p><p class="bold">By Miranda S. Hamrick and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb16-23Mar1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6403</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6403</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">770238&mdash;U.S. Bank, National Association, as Trustee for the Holders of the Specialty Underwriting and Residential Finance Trust, Mortgage Loan Asset-Backed Certificates, Series 2006-BC3 vs. Michael T. Finnerty, et al.</p><p class="ssj">Michael T. Finnerty, whose last known place of residence is 2080 Reveley Avenue, Lakewood, OH 44107, otherwise whose place of residence is unknown; Angela M. Overman fka Angela M. Finnerty, whose last known place of residence and present place of residence are unknown, and the unknown heirs, devisees, legatees, executors, administrators, spouses and assigns and the unknown guardians of minor and/or incompetent heirs of Michael T. Finnerty, the place of residence of each being unknown, will take notice that on January 12, 2012, the undersigned, U.S. Bank, National Association, as Trustee for the Holders of the Specialty Underwriting and Residential Finance Trust, Mortgage Loan Asset-Backed Certificates, Series 2006-BC3, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $124,710.92, plus any sums advanced, with interest at 7.6500% per annum from December 1, 2009, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 314-16-137</p><p class="ssj">Situated in the City of Lakewood, County of Cuyahoga, and State of Ohio: And known as being the Southerly 24 feet from front to rear of Sublot No. 8 and the Northerly 16 feet from front to rear of Sublot No. 9, in the Warren-Athens Subdivision of part of Original Rockport Township Section No. 19 as shown by the recorded plat in Volume 60 of Maps, Page 11 of Cuyahoga County Records and together forming a parcel of land 40 feet front on the Westerly side of Reveley Avenue and extending back of equal width 106 feet as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 2080 Reveley Avenue, Lakewood, Ohio 44107</p><p class="ssj">Plaintiff further says that as the result of scrivener's error and mutual mistake of fact between the parties thereto, the deed to the defendant, Michael T. Finnerty, from Angela M. Overman f.k.a. Angela M. Finnerty, recorded on 09/15/83 in Volume No. 0423, page 20, of said County Recorder's records, contained an incorrect legal description. The error in legal is missing the number &quot;40&quot; and lists the word Reveley as &quot;Revely.&quot;</p><p class="ssj">Because these mistakes were the result of a scrivener's error and mutual mistake of fact between the parties to the said document, plaintiff is entitled to have the above-described deed reformed so as to have the appropriate legal description as hereinabove set forth; and plaintiff is further entitled to an order of this court decreeing that the property as described in plaintiff's mortgage be sold by the sheriff of this County at Sheriff Sale. Said correct legal description is also set forth in the deed from prior titleholders, Anita Wagner, et al., recorded on 07/25/77 in Volume No. 14497, page 899, of said County Recorder's records.</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the mortgage filed for record on 04/13/06, in Instrument No. 200604130773, and executed by the primary defendants and delivered by them to plaintiff fails to list Barbara G. Finnerty in the Granting Clause of said mortgage.</p><p class="ssj">Because this mistake was the result of a scrivener's error and mutual mistake of fact between the parties to said document, plaintiff is entitled to have the above described mortgage reformed to properly state &quot;Michael T. Finnerty, married to Barbara G. Finnerty,&quot; in the Granting Clause. Plaintiff is further entitled to an order of this Court decreeing the property as described in Plaintiff's mortgages be sold at sheriff's sale.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of March, 2012.</p><p class="ssj">U.S. BANK, NATIONAL ASSOCIATION, AS TRUSTEE FOR THE HOLDERS OF THE SPECIALTY UNDERWRITING AND RESIDENTIAL FINANCE TRUST, MORTGAGE LOAN ASSET-BACKED CERTIFICATES, SERIES 2006-BC3.</p><p class="bold">By Christopher J. Mantica and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb16-23Mar1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6404</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6404</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771881&mdash;Third Federal Savings and Loan Association of Cleveland vs. Pedro J. Davila, et al.</p><p class="ssj">Pedro J. Davila and Michelle Davila, whose last known place of residence and present place of residence are unknown, will take notice that on December 21, 2011, the undersigned, Third Federal Savings and Loan Association of Cleveland, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $64,467.95, plus any sums advanced, with interest at 5.35% per annum from May 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 017-20-074</p><p class="ssj">Address: 3405 W. 99th St., Cleveland, Ohio 44102-4613</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of March, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS AND LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Dean K. Hegyes, Attorney for Plaintiff. Jones &amp; Hegyes Co., L.P.A., 38040 Euclid Avenue, Willoughby, Ohio 44094. (440) 951-1181.</p><p class="ssj">Feb16-23Mar1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6405</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6405</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">773662&mdash;The Bank of New York Mellon fka Bank of New York, as Trustee for Certificateholders  CWABS Inc., Asset-Backed Certificates, Series 2006-26 vs. Karlean Magby, et al.</p><p class="ssj">Unknown Heirs at Law, Devisees, Legatees, Executors or Administrators of Harold Cohen, the place of residence of each being unknown; Unknown Heirs at Law, Devisees, Legatees, Executors or Administrators of Jean S. Cohen, the place of residence of each being unknown, will take notice that on January 17, 2012, the undersigned, The Bank of New York Mellon fka Bank of New York, as Trustee for Certificateholders  CWABS Inc., Asset-Backed Certificates, Series 2006-26 c/o Specialized Loan Servicing, LLC, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 703-20-010</p><p class="ssj">Address: 2093 S. Green Rd., Cleveland, OH 44121-4261</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further says that through mutual mistake, inadvertence or error, the legal descriptions contained in the conveyance deed from Harold Cohen, deceased, recorded as Instrument No. 200603310842 of the Cuyahoga County Records, and in the mortgage do not conform to the legal description as set forth above; that the intention of the parties at the time of the execution of the conveyance deed and mortgage was to convey all interest that they had in and to the aforesaid described real property, but that, through a scrivener's error, the legal descriptions were not entirely and properly placed in the conveyance deed and mortgage.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of March, 2012.</p><p class="ssj">THE BANK OF NEW YORK MELLON FKA BANK OF NEW YORK, AS TRUSTEE FOR CERTIFICATEHOLDERS  CWABS INC., ASSET- BACKED CERTIFICATES, SERIES 2006-26 C/O SPECIALIZED LOAN SERVICING, LLC.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Feb16-23Mar1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6406</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6406</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">773810&mdash;The Bank of New York Mellon fka The Bank of New York, as successor Trustee to JPMorgan Chase Bank, N.A., as successor to Bank One, NA, as Trustee for the holders of Structured Asset Securities Corporation Amortizing Residential Collateral Trust Mortgage Pass-Through Certificates, Series 2001-BC5 vs. Sally White, et al.</p><p class="ssj">Charles Home Improvement,  whose last known address is c/o Charles Durham, 3357 East 66th Street, Cleveland, OH 44127, otherwise whose address is unknown, will take notice that on January 18, 2012, the undersigned, The Bank of New York Mellon fka The Bank of New York, as successor Trustee to JPMorgan Chase Bank, N.A., as successor to Bank One, NA, as Trustee for the holders of Structured Asset Securities Corporation Amortizing Residential Collateral Trust Mortgage Pass-Through Certificates, Series 2001-BC5 c/o Bank of America, N.A., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 136-17-048</p><p class="ssj">Address: 4151 East 106th Street, Cleveland, Ohio 44105</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further says that through mutual mistake, inadvertence or error, the legal description contained in the mortgage does not conform to the legal description as set forth above; that the intention of the parties at the time of the execution of the mortgage deed was to convey all interest that the defendants had in and to the aforesaid described real property, but that, through a scrivener's error, the legal description was not entirely and properly placed in the mortgage.</p><p class="ssj">Plaintiff further says that on July 14, 2009, Defendant Melvin Robinson entered into a loan modification agreement with BAC Home Loans Servicing, LP as authorized loan servicer and agent for the Plaintiff, reducing the original interest rate loan amount of said note and mortgage to 2% per annum.</p><p class="ssj">Plaintiff further says that said modification agreement was supported by mutual consideration between the parties thereto; that the parties each accepted the benefits and burdens to said agreement, and each performed pursuant to the terms thereof. Plaintiff further states that as the party entitled to enforce the note and mortgage, Plaintiff has accepted and ratified the terms of said modification agreement, and the actions of its authorized loan servicing agent.</p><p class="ssj">Plaintiff further says that by mutual mistake of the parties, the loan modification agreement identifies BAC Home Loans Servicing, LP as the &quot;Lender&quot; instead of the loan servicing agent for the Plaintiff/Lender; that the borrower and Plaintiff intended to enter into a valid modification of the loan terms, but through mutual mistake and scrivener's error, the modification agreement fails to identify BAC Home Loans Servicing, LP's agency capacity on behalf of the Plaintiff/Lender.</p><p class="ssj">Plaintiff further says that it is entitled to reformation of the loan modification agreement to reflect that BAC Home Loans Servicing, LP was acting as authorized agent for and on behalf of the Plaintiff/Lender.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of March, 2012.</p><p class="ssj">THE BANK OF NEW YORK MELLON FKA THE BANK OF NEW YORK, AS SUCCESSOR TRUSTEE TO JPMORGAN CHASE BANK, N.A., AS SUCCESSOR TO BANK ONE, NA, AS TRUSTEE FOR THE HOLDERS OF STRUCTURED ASSET SECURITIES CORPORATION AMORTIZING RESIDENTIAL COLLATERAL TRUST MORTGAGE PASS- THROUGH CERTIFICATES, SERIES 2001-BC5 C/O BANK OF AMERICA, N.A.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Feb16-23Mar1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6407</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6407</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">763199&mdash;Fifth Third Mortgage Company vs. Betty Ann Shipley, as Heir to the Estate of J. Walleen, et al.</p><p class="ssj">Emilie Harber, as Heir to the Estate of Betty J. Walleen,  whose last known address is 2714 Chippendale Trail, Sanford, NC 27330, otherwise whose address is unknown, will take notice that on August 30, 2011, the undersigned, Fifth Third Mortgage Company, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 644-27-003</p><p class="ssj">Address: 481 Babbitt Rd., Euclid, Ohio 44133</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of March, 2012.</p><p class="ssj">FIFTH THIRD MORTGAGE COMPANY.</p><p class="bold">By David B. Bokor, Matthew P. Curry, John E. Codrea and Kristan A. Prill, Attorneys for Plaintiff. Manley Deas Kochalski, LLC, P.O. Box 165028, Columbus, OH 43216. (614) 222-4921.</p><p class="ssj">Feb16-23Mar1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6408</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6408</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769756&mdash;Fifth Third Mortgage Company vs. Susan B. Schikowski, et al.</p><p class="ssj">Mathew J. O'Keefe, whose last known place of residence is 16817 Grovewood, Cleveland, OH 44110, otherwise whose place of residence is unknown, will take notice that on November 21, 2011, the undersigned, Fifth Third Mortgage Company, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 821-28-071</p><p class="ssj">Address: 492 Miner Rd., Highland Heights, OH 44143</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 29th day of March, 2012.</p><p class="ssj">FIFTH THIRD MORTGAGE COMPANY.</p><p class="bold">By James L. Sassano, Attorney for Plaintiff.</p><p class="ssj">Feb16-23Mar1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/6409</link>
      <guid>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/6409</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 ADV 175686&mdash;Emily N. Kaplan, et al. vs. Charles E. Kaplan, et al.</p><p class="ssj">Charles E. Kaplan, whose last known place of residence is 32700 Aspen Glen, Solon, OH 44139, otherwise whose place of residence is unknown, will take notice that on the 3rd day of February,  2012, Emily N. Kaplan, Zachary M. Kaplan and Sarah E. Kaplan filed their complaint in the Probate Court, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, One Lakeside Avenue, N.W., Cleveland, Ohio 44113, alleging that on account of the absence of Charles E. Kaplan for more than five years from  Solon, Ohio, the place of his last domicile, Charles E. Kaplan is presumed to be dead and praying that proceedings may be had to establish the legal presumption of the death of Charles E. Kaplan.</p><p class="ssj">Notice is hereby given that on the 1st day of May, 2012, at 10:00 a.m., said Court will hear evidence concerning the alleged absence of said presumed decedent and the circumstances and duration thereof.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge.</p><p class="bold"> Michael J. Caticchio, Attorney.</p><p class="ssj">Feb16-23May1-8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/6410</link>
      <guid>http://www.dln.com/noticeprobatecourtnotices/details/ref_index/6410</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 ADV 175513&mdash;John P. Hodge, Successor Trustee vs. Michael J. Hodge, et al.</p><p class="ssj">Michael J. Hodge, whose last known place of residence is 4526 West 172nd Street, Cleveland, Ohio 44135, otherwise whose place of residence is unknown, will take notice that on the 30th day of January,  2012, John P. Hodge, Successor Trustee of the Maureen E. Hodge Revocable Living Trust dtd 4/16/2004 filed his complaint in the Probate Court, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, One Lakeside Avenue, N.W., Cleveland, Ohio 44113, alleging that on account of the absence of Michael J. Hodge for more than five years from  Cleveland, Ohio, the place of his last domicile, Michael J. Hodge is presumed to be dead and praying that proceedings may be had to establish the legal presumption of the death of Michael J. Hodge.</p><p class="ssj">Notice is hereby given that on the 16th day of April, 2012, at 2:30 p.m., said Court will hear evidence concerning the alleged absence of said presumed decedent and the circumstances and duration thereof.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge.</p><p class="bold"> Patrick J. Cooney, Attorney.</p><p class="ssj">Feb16-23Mar1-8, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6411</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6411</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004777&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Roy Vernice Reese, Deceased, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Roy Vernice Reese, deceased, the place of residence of each being unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Roy V. Reese, Jr., deceased, the place of residence of each being unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Ernestine Woodland, a.k.a. Ernestine Reese, deceased, the place of residence of each being unknown; Willene Woodland, whose last known place of residence is 3462 East 119th Street, Cleveland, OH 44120, otherwise whose place of residence is unknown; Unknown Spouse of Willene Woodland, whose last known place of residence is 3462 East 119th Street, Cleveland, OH 44120, otherwise whose place of residence is unknown; Dorothy Woodland, a.k.a. Dorothy Scott, whose last known place of residence is 3462 East 119th Street, Cleveland, OH 44120, otherwise whose place of residence is unknown; Unknown Spouse of Dorothy Woodland, a.k.a. Dorothy Scott, whose last known place of residence is 3462 East 119th Street, Cleveland, OH 44120, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Wyolene Woodland, deceased, the place of residence of each being unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Frank L. Woodland, III, deceased, the place of residence of each being unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Wyolene Woodland, deceased, the place of residence of each being unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Sandra D. Woodland, a.k.a. Sandra D. Clemons, deceased, the place of residence of each being unknown; Beverly G. Mitchell, a.k.a. Bevery Mitchell, whose last known place of residence is 3552 East 75th Street, Apartment 5, Cleveland, OH 44105, otherwise whose place of residence is unknown; Unknown Spouse of Beverly G. Mitchell, a.k.a. Beverly Mitchell, whose last known place of residence is 3552 East 75th Street, Apartment 5, Cleveland, OH 44105, otherwise whose place of residence is unknown; Nathaniel Reese, whose last known place of residence is 4395 Northfield Road, Cleveland, OH 44128, otherwise whose place of residence is unknown; Unknown Spouse of Nathaniel Reese, whose last known place of residence is 4395 Northfield Road, Cleveland, OH 44128, otherwise whose place of residence is unknown; Irwin Reese, whose last known place of residence is 3462 East 119th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; Unknown Spouse of Irwin Reese, whose last known place of residence is 3462 East 119th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; Sheldon Reese, whose last known place of residence is 4122 East 106th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; Unknown Spouse of Sheldon Reese, whose last known place of residence is 4122 East 106th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; Ruby Bell, whose last known place of residence is 3462 East 119th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; Unknown Spouse of Ruby Bell, whose last known place of residence is 3462 East 119th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Ruby Bell, deceased, the place of residence of each being unknown, will take notice that on September 30, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,178.07 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 130-20-064</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot Number Fifty-Four (54) in the Union-Rice Subdivision of part of Original 100 Acre Lots Numbers 444 and 452, as shown by the recorded plat in Volume 47 of Maps, Page 24 of Cuyahoga County Records, and being thirty-five (35) feet front on the Westerly side of East 119th Street, and extending back of One Hundred Forty-eight and seventy-hundredths (148.70) feet deep on the Northerly line, One Hundred Forty-nine and forty-three hundredths (149.43) feet deep on the Southerly line and being Thirty-five (35) feet in the rear, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb16-23Mar1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6412</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6412</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004637&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Harold L. Nelson, Deceased, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Harold L. Nelson, deceased, the place of residence of each being unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Lois C. Nelson, deceased, the place of residence of each being unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Carma Nelson, deceased, the place of residence of each being unknown; Harold Nelson Jr., whose last known place of residence is 14519 Detroit Avenue, Lakewood, OH 44107, otherwise whose place of residence is unknown; Unknown Spouse of Harold Nelson, Jr., whose last known place of residence is 14519 Detroit Avenue, Lakewood, OH 44107, otherwise whose place of residence is unknown; Judy Nelson, whose last known place of residence is 5802 Fir Avenue, Cleveland, OH 44102, otherwise whose place of residence is unknown; Unknown Spouse of Judy Nelson, whose last known place of residence is 5802 Fir Avenue, Cleveland, OH 44102, otherwise whose place of residence is unknown; Susie Nelson, whose last known place of residence is 5802 Fir Avenue, Cleveland, OH 44102, otherwise whose place of residence is unknown; Unknown Spouse of Susie Nelson, whose last known place of residence is 5802 Fir Avenue, Cleveland, OH 44102, otherwise whose place of residence is unknown; John Paul Nelson, whose last known place of residence is 1900 West 58th Street, Cleveland, OH 44102, otherwise whose place of residence is unknown; and Unknown Spouse of John Paul Nelson, whose last known place of residence is 1900 West 58th Street, Cleveland, OH 44102, otherwise whose place of residence is unknown, will take notice that on August 31, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $2,421.30 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 002-29-040</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being part of Sublot No. 63 in Sommers &amp; Winterton Subdivision of part of Original Brooklyn Township Lots Nos. 49 &amp; 50, as shown by the recorded plat in Volume 2 of Maps, Page 41 of Cuyahoga County Records, and bounded and described as follows: Beginning at the intersection of the Northerly line of Fir Avenue, N.W. with the Westerly line of West 58th Street; Thence Northerly along said Westerly line of West 58th Street, 34.67 feet to the Northeasterly corner of said Sublot No. 63; Thence Westerly along the Northerly line of said Sublot No. 63, 45.80 feet; Thence Southerly parallel with said Westerly line of West 58th Street, 34.67 feet to the Northerly line of Fir Avenue, N.W.; Thence Easterly along said Northerly line, 45.80 feet to the place of beginning, be the same more or less.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb16-23Mar1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6413</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6413</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004137&mdash;Treasurer of Cuyahoga County, Ohio vs. Thiaesha Perrymond, et al.</p><p class="ssj">Thiaesha Perrymond, whose last known place of residence is 1141 East 148th Street, Cleveland, OH 44110, otherwise whose place of residence is unknown; and Unknown Spouse of Thiaesha Perrymond, whose last known place of residence is 1141 East 148th Street, Cleveland, OH 44110, otherwise whose place of residence is unknown, will take notice that on May 31, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $4,375.73 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 120-11-007</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being a part of Original 100 Acre Lot No. 388, and bounded as follows:</p><p class="ssj">Beginning at a point on the East line of a proposed Avenue called Oakland Avenue, now East 120th Street, (which Avenue is 40 feet in width) and the East line of said Avenue is 168 feet East of the West line of land in said lot owned by Lyman G. Beers, and which beginning point is 129.07 feet North of the South line of said Beers' land; thence North 89 degrees 59 minutes East, 130 feet; thence North parallel with the East line of said Avenue, 30 feet; thence Westerly parallel with the Easterly line of land hereby conveyed, 130 feet to the East line of said proposed Avenue; thence South along the East line of said Avenue, 30 feet to the place of beginning and being further known as 17 feet in width, from front to rear, off the South side of Sublot No. 30, and 13 feet in width, from front to rear, off the North side of Sublot No. 31 of L.B. Beers proposed Subdivision of part of said Original 100 Acre Lot No. 388, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb16-23Mar1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6414</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6414</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12902407&mdash;In the matter of Savion Penny.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Savion Penny, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on March 5, 2012 at 9:30 AM, before Magistrate Wallace, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 14, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6415</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6415</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12902407&mdash;In the matter of Savion Penny.</p><p class="ssc">Summons</p><p class="ssj">To: Mark Davis, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Savion Penny, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on March 5, 2012 at 9:30 AM, before Magistrate Wallace, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 14, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6416</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6416</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12902316&mdash;In the matter of Romina Rosario.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Romina Rosario, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on March 7, 2012 at 10:30 AM, before Magistrate Yeomans-Salvador, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 14, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6417</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6417</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12902105&mdash;In the matter of Charkeya King.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Charkeya King, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on March 13, 2012 at 9:00 AM, before Magistrate Morton, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 14, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6418</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6418</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12902104&mdash;In the matter of Cheyenne L. Bell.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Cheyenne L. Bell, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on March 13, 2012 at 9:00 AM, before Magistrate Morton, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 14, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6419</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6419</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12902103&mdash;In the matter of Santino Tate.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Santino Tate, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 7th Floor, Cleveland, Ohio, on March 13, 2012 at 9:00 AM, before Magistrate Morton, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 14, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6420</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6420</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12902079&mdash;In the matter of D'Rondric Lavender, Jr.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning D'Rondric Lavender, Jr., you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on March 6, 2012 at 9:00 AM, before Magistrate Yeomans-Salvador, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 14, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6421</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6421</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12901691&mdash;In the matter of Luna Burgos.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Luna Burgos, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 22, 2012 at 9:00 AM, before Magistrate Wallace, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 14, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foundation Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticefoundationnotices/details/ref_index/6422</link>
      <guid>http://www.dln.com/noticefoundationnotices/details/ref_index/6422</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Foundation Notice</p><p class="bold">Pursuant to the provisions of Section 6104 (d) of the Internal Revenue Code, notice is hereby given that the 2011 Annual Return of The Luciano Family Foundation, a private foundation, is available for inspection during regular business hours by any citizen on request made within 180 days after February 16, 2012, the date of this publication, at 6385 Evergreen Drive, Independence, Ohio 44131.</p><p class="ssj">Such requests should be made to the undersigned.</p><p class="ssj">THE LUCIANO FAMILY FOUNDATION.</p><p class="bold">By Daniel K. Luciano, President.</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6423</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6423</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175887&mdash;In the matter of the change of name of Eric William Elston.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 10, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Eric William Elston, 3585 East 129th Street, Cleveland, Cuyahoga County, Ohio 44105, to Eric William Hood.</p><p class="ssj">This application is set for hearing on the 30th day of March, 2012, at 2:30 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6424</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6424</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175870&mdash;In the matter of the change of name of Kwang-Hyun Syn.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 10, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Kwang-Hyun Syn, 20110 Lorain Road, #305, Cleveland, Cuyahoga County, Ohio 44126, to Ben KwanHyun.</p><p class="ssj">This application is set for hearing on the 28th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6425</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6425</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175869&mdash;In the matter of the change of name of Linda Chang.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 10, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Linda Chang, 20110 Lorain Road, #305, Fairview Park, Cuyahoga County, Ohio 44126, to Lynda Eliya Syn.</p><p class="ssj">This application is set for hearing on the 28th day of March, 2012, at 9:15 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6426</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6426</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 174741&mdash;In the matter of the change of name of Damien Ray Childers.</p><p class="ssj">To whom it may concern: you are hereby notified that on December 28, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Damien Ray Childers, 3116 West 38th Street, Cleveland, Cuyahoga County, Ohio 44109, to Damien Nephtali Ramos.</p><p class="ssj">This application is set for hearing on the 15th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6427</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6427</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175900&mdash;In the matter of the change of name of Paul Duane Suber-Bey.</p><p class="ssj">To whom it may concern: you are hereby notified that on 10th of February, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Paul Duane Suber-Bey, 11305 Lamontier, Cleveland, Cuyahoga County, Ohio 44104, to Paul Duane Hicks.</p><p class="ssj">This application is set for hearing on the 27th day of March, 2012, at 9:15 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6428</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6428</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 NCH 173519&mdash;In the matter of the change of name of Diane Louise Cyngier.</p><p class="ssj">To whom it may concern: you are hereby notified that on November 8, 2011, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Diane Louise Cyngier, 1604 Tarlton Avenue, Cleveland, Cuyahoga County, Ohio 44109, to Diane Louise Forster.</p><p class="ssj">This application is set for hearing on the 30th day of March, 2012, at 10:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6429</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6429</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175904&mdash;In re: Estate of Ann E. Olds, deceased.</p><p class="ssj">Unknown creditors of the Estate of Ann E. Olds, deceased, the address of each being unknown, will take notice that on February 10, 2012, the undersigned, Robert H. Olds, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Ann E. Olds, deceased, late of Euclid, Ohio, who died January 8, 2012.</p><p class="ssj">Said application is ordered set for hearing on the 26th day of March, 2012, at 2:00 p.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">ROBERT H. OLDS,</p><p class="ssc">Applicant.</p><p class="bold">By E. Daniel Mamrach, Attorney</p><p class="ssj">Feb16-23Mar1, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Miscellaneous Legal Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticemisc/details/ref_index/6430</link>
      <guid>http://www.dln.com/noticemisc/details/ref_index/6430</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 CVF-000293&mdash;Edgewater-Cove Apartments, Inc. vs. Jeff Gannelli, et al.</p><p class="ssj">Blaine Thomas, whose last known place of residence is 12065 Edgewater Dr., #4, Lakewood, Ohio 44107, otherwise whose place of residence is unknown, will take notice that on February 1, 2012, the undersigned, Edgewater-Cove Apartments, Inc., filed its complaint in the Lakewood Municipal Court, 12650 Detroit Avenue, Lakewood, OH 44107, of Cuyahoga County, Ohio, alleging that on or about the 1st day of October, 2010, Plaintiff leased to Defendants suite number 4 at 12065 Edgewater Drive, Lakewood, Ohio, in the building known as the Edgewater-Cove Apartments; that pursuant to the terms of said lease agreement, Defendants agreed to pay to Plaintiff the sum of $725.00 per month in rent; that further pursuant to said lease, Defendants were given a reduction in the rent of $30.00 per month in exchange for their agreement to sand and refinish the hardwood floors within the suite, all work to be completed by the termination date of said lease, i.e. September 30, 2011; that Defendants did not pay any rent for the months of June, 2011, July, 2011, August, 2011 or September, 2011; that Defendants vacated the suite on or about the 30th day of September, 2011, and upon inspection of the premises, Plaintiff discovered that the work on the hardwood floors had never been started; that Defendants owe rent for June, July, August and September, 2011, at the monthly rental rate of $695.00 per month, plus late fees of $25.00 per month, plus the twelve months of rent reduction in the amount of $360.00 for the work on the hardwood floors to which they agreed, but never actually did perform; that Defendants owe for damages to the bathtub in the amount of $150.00, replacement of a window pane in the amount of $202.39, removal of personal items which they left in the suite when they vacated, in the amount of $130.00, and replacement of the mailbox key and lock in the amount of $15.00.</p><p class="ssj">Plaintiff demands judgment against Defendants Gannelli and Thomas, both jointly and severally, in the total amount of $3,737.39, plus the costs of this action.</p><p class="ssj">The defendant named above is required to answer on or before the 19th day of April, 2012.</p><p class="ssj">EDGEWATER-COVE APARTMENTS, INC.</p><p class="bold">By Roger D. Tiktin, Attorney for Plaintiff.</p><p class="ssj">Feb16-23Mar1-8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6431</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6431</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicle will be offered for sale by Security Auto Loans at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on March 2, 2012.</p><p class="ssj">2004 Chrysler Sebring 104282</p><p class="bold">By virtue of security interest, the above vehicle will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicle is sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb16, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6432</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6432</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">772139&mdash;Bank of America, N.A. Successor by Merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. John W. Bjornson, et al.</p><p class="ssj">Countrywide Home Loan Servicing, LP, whose last known address and present address are unknown, will take notice that on December 23, 2011, the undersigned, Bank of America, N.A. Successor by Merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 281-24-063</p><p class="ssj">Address: 8502 Bradford Gate, Olmsted Falls, Ohio 44138-1873</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further says that through mutual mistake, inadvertence or error, the proper assignee's name was misidentified. Upon discovering this, a corrective Assignment of Mortgage was recorded on August 10, 2011 as Instrument No. 201108100493, that the re-executed assignment correctly identifies the name of the assignee as Countrywide Home Loans Servicing, LP.</p><p class="ssj">Plaintiff is entitled to a Declaratory Judgment against Defendant Countrywide Home Loan Servicing, LP finding that the first Assignment of Mortgage incorrectly identified the name of the assignee, that Countrywide Home Loan Servicing, LP has no interest in the mortgaged premises, and that the Plaintiff is the proper party entitled to enforce the mortgage.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 30th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A. SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6433</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6433</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">763476&mdash;Bank of America, N.A., successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP vs. William E. Ormonde, as Administrator of the Estate of Richard T. Ormonde, et al.</p><p class="ssj">John Ormonde and Jane Doe, name unknown, spouse of John Ormonde, whose last known place of residence is 449 Kingwood Road, Linthicum Heights, MD 21090, otherwise whose place of residence is unknown, will take notice that on October 6, 2011, the undersigned, Bank of America, N.A., successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $28,042.69, plus any sums advanced, with interest at 6.3750% per annum from August 1, 2009, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 231-37-335</p><p class="ssj">Situated in the City of North Olmsted, County of Cuyahoga, and State of Ohio, and known as being Unit No. 201 along with an undivided percent interest in the Common Areas and Facilities of Olmsted Park Condominium located in North Olmsted, Ohio, as the same in shown of record upon the drawings in Condominium Plat Book 14, Pages 9 to 20 inclusive, Recorder's Office, Cuyahoga County, Ohio, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 4183 Columbia Road, #201, North Olmsted, Ohio 44070</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 30th day of March, 2012.</p><p class="ssj">BANK OF AMERICA, N.A., SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Maria Divita, Jennifer Powers and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6434</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6434</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">753122&mdash;BAC Home Loans Servicing, LP fka Countrywide Home Loans Servcing LP vs. Lillie M. Paige aka Lillie Paige, et al.</p><p class="ssj">Denise Paige, whose last known place of residence is 484-486 East 124th Street, Cleveland, OH 44108, otherwise whose place of residence is unknown, will take notice that on December 6, 2011, the undersigned, Substitute Plaintiff Bank of America, N.A., successor by merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing, LP, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the Substitute Plaintiff the sum of $18,276.83, plus any sums advanced, with interest at 6.3750% per annum from September 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 111-10-029</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Sublot No. 133 in the Realty Trust Company's Bart Estates Allotment of part of Original One Hundred Acre Lot No. 365, as shown by the recorded plat in Volume 41 of Maps, Page 26 of Cuyahoga County Records, and being 35 feet front on the Westerly side of East 125th Street, and extending back of equal width 95 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 484-486 East 125th Street, Cleveland, OH 44108</p><p class="ssj">Substitute Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Substitute Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of Substitute Plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 30th day of March, 2012.</p><p class="ssj">SUBSTITUTE PLAINTIFF BANK OF AMERICA, N.A., SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING, LP.</p><p class="bold">By Susana E. Lykins and Romi T. Fox, Attorneys for Substitute Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6435</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6435</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767551&mdash;Deutsche Bank National Trust Company, as Indenture Trustee, for New Century Home Equity Loan Trust 2004-4 vs. Myron D. Williams, et al.</p><p class="ssj">Donald Martens &amp; Sons Ambulance Service, Inc.,  whose last known address is c/o Donald Martens Sr., Registered Agent, 11210 Detroit Avenue, Cleveland, OH 44102, otherwise whose address is unknown, will take notice that on October 25, 2011, the undersigned, Deutsche Bank National Trust Company, as Indenture Trustee, for New Century Home Equity Loan Trust 2004-4, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 015-04-019 &amp; 015-04-170</p><p class="ssj">Address: 3319 W. 33rd Street, Cleveland, Ohio 44109</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff states that due to a scrivener's error, through inadvertence and mutual mistake among the parties, the mortgage executed by Defendant Myron D. Williams and delivered by them contained an incorrect legal description and fails to properly describe the property intended to be encumbered and, moreover, it was the original intention of the parties to encumber the property described above.</p><p class="ssj">Because this mistake resulted from a scrivener's error, through inadvertence and mutual mistake among the parties to said documents, Plaintiff is entitled to have the above described Mortgage reformed to reflect the correct legal description and Plaintiff is further entitled to an Order of this Court so decreeing the property as described above be sold by the Sheriff of this county at Sheriff's sale.</p><p class="ssj">Plaintiff states that due to a scrivener's error, through inadvertence and mutual mistake among the parties, the deed executed by Defendant Myron D. Williams and delivered by them contained an incorrect legal description and fails to properly describe the property intended to be encumbered and, moreover, it was the original intention of the parties to encumber the property described above.</p><p class="ssj">Because this mistake resulted from a scrivener's error, through inadvertence and mutual mistake among the parties to said documents, Plaintiff is entitled to have the above described Deed reformed to reflect the correct legal description \and Plaintiff is further entitled to an Order of this Court so decreeing the property as described above be sold by the Sheriff of this county at Sheriff's sale.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 30th day of March, 2012.</p><p class="ssj">DEUTSCHE BANK NATIONAL TRUST COMPANY, AS INDENTURE TRUSTEE, FOR NEW CENTURY HOME EQUITY LOAN TRUST 2004-4.</p><p class="bold">By Sarah A. Okrzynski, Franco M. Barile, D. Anthony Sottile, Erin K. McConnell, Susan B. Klineman, Attorneys for Plaintiff.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6436</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6436</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">761087&mdash;First Place Bank vs. Noah Block aka Noah C. Block, et al.</p><p class="ssj">Jane Doe, real name unknown, the Unknown Spouse, if any, of Sheldon Bloch, whose last known places of residence are 5348 Bluebell Drive, Lyndhurst, OH 44124 and 1195 Oxford Road, Cleveland Heights, OH 44121 otherwise whose place of residence is unknown; Jimmy Dale Taylor aka Jimmy D. Taylor, whose last known place of residence is 2851 Noble Road, Cleveland Heights, OH 44118, otherwise whose place of residence is unknown, will take notice that on December 6, 2011, the undersigned, First Place Bank, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 682-28-093</p><p class="ssj">Address: 1195 Oxford Road, Cleveland Heights, Ohio 44121</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 30th day of March, 2012.</p><p class="ssj">FIRST PLACE BANK.</p><p class="bold">By James L. Sassano, Attorney for Plaintiff.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
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    <item>
      <title>Personal Injury Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepersonalinjury/details/ref_index/6437</link>
      <guid>http://www.dln.com/noticepersonalinjury/details/ref_index/6437</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">764755&mdash;Scott Forbes vs. Alan Poptik, et al.</p><p class="ssj">Alan Poptik, whose last known place of residence is 5026 Cheswick, Solon, Ohio 44139, otherwise whose place of residence is unknown; Sonia L. Fry, whose last known place of residence is 446 County Road 58 South Point, Ohio 45680, otherwise whose place of residence is unknown, will take notice that on September 19, 2011, the undersigned, Scott Forbes, filed his complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on or about September 8, 2010 at 5026 Cheswick Drive, City of Solon, Cuyahoga County, Ohio, Defendant Alan Poptik, committed an assault on or about the person of Plaintiff, Scott Forbes, whereby Defendant did strike Plaintiff, Scott Forbes about his person causing injury; that the assault was malicious, intentional, willful and without provocation, therefore, entitling Plaintiff, Scott Forbes, to an award of punitive damages; that as a direct and proximate result of the aforementioned negligence and/or acts and/or failure to act of the Defendant, Alan Poptik, Plaintiff, Scott Forbes sustained personal injuries, incurred medical expenses, lost wages and other damages.</p><p class="ssj">Defendant, Sonia L. Fry, was negligent by not informing and/or conveying to Defendant Alan Poptik, that Plaintiff, Scott Forbes had been called to come to the subject property to assist with a disabled auto and not to repossess the vehicle. Further, Defendant Sonia, L. Fry, was negligent for not informing Plaintiff, Scott Forbes, and/or all Defendants, that she and the Defendant, Alan Poptik, were having a verbal argument which would have put Plaintiff, Scott Forbes, on notice of a dangerous situation so he could take appropriate precautions.</p><p class="ssj">Plaintiff, Scott Forbes, prays for judgment against the Defendant, Alan Poptik, on Count One of Plaintiff, Scott Forbes' Complaint in an amount in excess of $25,000.00 for compensatory damages and in an amount in excess of $25,000.00 for punitive damages, together with costs incurred herein and interest from the date of judgment. Plaintiff, Scott Forbes further prays for any and all other relief deemed appropriate by this Court including, but not limited to, court costs, interest, costs and/or attorney fees.</p><p class="ssj">Plaintiff, Scott Forbes, prays for judgment against the Defendant, Alan Poptik, on Count Two of Plaintiff, Scott Forbes' Complaint in an amount in excess of $25,000.00 for compensatory damaged, together with costs incurred herein and interest from the date of judgment. Plaintiff, Scott Forbes further prays for any and all other relief deemed appropriate by this Court including, but not limited to, court costs, interest, costs and/or attorney fees.</p><p class="ssj">Plaintiff, Scott Forbes, prays for judgment against the Defendant, Sonia L. Fry, on Count Three of Plaintiff, Scott Forbes' Complaint in an amount in excess of $25,000.00 for compensatory damaged, together with costs incurred herein and interest from the date of judgment. Plaintiff, Scott Forbes further prays for any and all other relief deemed appropriate by this Court including, but not limited to, court costs, interest, costs and/or attorney fees.</p><p class="ssj">Plaintiff, Scott Forbes, prays for judgment against the Defendants, Mike Inman Auto Rescue and.or Mike Inman and/or John Does 1 through 10, jointly and severally, on Count Four of Plaintiff, Scott Forbes' Complaint in an amount in excess of $25,000.00 for compensatory damaged, together with costs incurred herein and interest from the date of judgment. Plaintiff, Scott Forbes further prays for any and all other relief deemed appropriate by this Court including, but not limited to, court costs, interest, costs and/or attorney fees.</p><p class="ssj">The defendants named above are required to answer on or before the 20th day of April, 2012.</p><p class="ssj">SCOTT FORBES.</p><p class="bold">By Dustin S. Lewis and Kenneth C. Podor, Attorneys for Plaintiff.</p><p class="ssj">Feb17-24Mar1-8-15-22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Personal Injury Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepersonalinjury/details/ref_index/6438</link>
      <guid>http://www.dln.com/noticepersonalinjury/details/ref_index/6438</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">762313&mdash;Anthoney Sheppard vs. Montsenia R. Taylor, et al.</p><p class="ssj">Montsenia R. Taylor, whose last known place of residence is 9604 Sophia Ave., Cleveland, Ohio 44104, otherwise whose place of residence is unknown; Lillie Taylor, whose last known place of residence is 9604 Sophia Ave., Cleveland, Ohio 44104, otherwise whose place of residence is unknown, will take notice that on August 18, 2011, the undersigned, Anthoney Sheppard, filed his complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on or about September 22, 2009, Plaintiff, Anthoney Sheppard, was bitten by a dog owned and/or kept and/or harbored by the Defendants, Montsenia R. Taylor and Lillie J. Taylor, in the City of Cleveland, County of Cuyahoga, State of Ohio; that said Defendants are liable for Plaintiff, Anthoney Sheppard's injuries pursuant to O.R.C. &sect;955.28(B); that as a direct and proximate result of the aforementioned negligence and/or acts and/or failure to act and/or O.R.C. &sect;955.28(B), of the Defendants, Montsenia R. Taylor and Lillie J. Taylor, Plaintiff Anthoney Sheppard has sustained personal injuries, incurred medical expenses and other damages.</p><p class="ssj">Plaintiff, Anthony Sheppard, prays for judgment against the Defendants Montsenia R. Taylor and Lillie J. Taylor, jointly and severally, on Count One (1) in an amount which exceeds $25,000.00 in compensatory damages, together with costs incurred herein and interest from the date of judgment. Plaintiff, Anthony Sheppard, further prays for any and all other relief deemed appropriate by this Court including but not limited to court costs, interest, costs and/or reasonable attorney fees.</p><p class="ssj">The defendants named above are required to answer on or before the 20th day of April, 2012.</p><p class="ssj">ANTHONEY SHEPPARD.</p><p class="bold">By Dustin S. Lewis and Kenneth C. Podor, Attorneys for Plaintiff.</p><p class="ssj">Feb17-24Mar2-9-16-23, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Common Pleas Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticecommonpleasnotices/details/ref_index/6439</link>
      <guid>http://www.dln.com/noticecommonpleasnotices/details/ref_index/6439</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">762311&mdash;Kenneth C. Podor, et al. vs. Joe Orlando.</p><p class="ssj">Joe Orlando, whose last known place of residence is 3035 Marengo Ct., #104, Naples, Florida 34114, otherwise whose place of residence is unknown, will take notice that on August 18, 2011, the undersigned, Kenneth C. Podor and The Podor Law Firm, LLC, filed their complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that on or about September 9, 2010, in Solon, Ohio, Plaintiffs, Kenneth C. Podor and The Podor Law Firm, LLC entered into an agreement with Defendant, Joe Orlando; that in said agreement, Defendant Joe Orlando, agreed to split all gross revenue with Plaintiffs, Kenneth C. Podor and The Podor Law Firm, LLC from a new business regarding detailing vehicles as documented by &quot;Agreement&quot;; that Plaintiffs, Kenneth C. Podor and The Podor Law Firm, LLC as consideration paid $3,000.00 to Defendant, Joe Orlando; that Defendant, Joe Orlando, has failed to pay Plaintiffs, Kenneth C. Podor and The Podor Law Firm, LLC, any money and Plaintiffs Kenneth C. Podor and The Podor Law Firm, LLC have demanded that Defendant, Joe Orlando pay Plaintiffs, Kenneth C. Podor and The Podor Law Firm, LLC, the agreed upon amount of gross revenues; that as a result of Defendant, Joe Orlando, failing to perform his promised actions, Plaintiffs, Kenneth C. Podor and The Podor Law Firm, LLC have been damaged in amount to be determined at trial.</p><p class="ssj">Plaintiffs, Kenneth C. Podor and The Podor Law Firm, LLC, pray for judgment against the Defendant, Joe Orlando, on Court One, in an amount in excess of $25,000.00, as compensatory damages. Plaintiffs Kenneth C. Podor and The Podor Law Firm, LLC, further pray for any and all other relief deemed appropriate by this Court including but not limited to court costs, interest, costs, and/or reasonable attorney fees.</p><p class="ssj">Plaintiffs, Kenneth C. Podor and The Podor Law Firm, LLC, prays for judgment against Defendant, Joe Orlando, on Count Two, in an amount in excess of $25,000.00, in compensatory damages. Plaintiffs, Kenneth C. Podor and The Podor Law Firm, LLC, also prays for judgment against the Defendant, Joe Orlando, in the amount of $750,000.00 for punitive damages, together with costs incurred herein and interest from the date of judgment. Plaintiffs, Kenneth C. Podor and The Podor Law Firm, LLC, further pray for any and all other relief deemed appropriate by this Court including but not limited to court costs, interest, costs, and/or reasonable attorney fees.</p><p class="ssj">The defendant named above is required to answer on or before the 20th day of April, 2012.</p><p class="ssj">KENNETH C. PODOR AND THE PODOR LAW FIRM, LLC</p><p class="bold">By Dustin S. Lewis and Kenneth C. Podor, Attorneys for Plaintiffs.</p><p class="ssj">Feb17-24Mar2-9-16-23, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6440</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6440</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004717&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Willie B. Smith, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Willie B. Smith, the place of residence of each being unknown; Virginia Jackson, whose last known place of residence is 1466 East 94th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; Unknown Spouse of Virginia Jackson, whose last known place of residence is 1466 East 94th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; Thomas Jackson, whose last known place of residence is 1466 East 94th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown; and Unknown Spouse of Thomas Jackson, whose last known place of residence is 1466 East 94th Street, Cleveland, OH 44106, otherwise whose place of residence is unknown, will take notice that on September 16, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $178.07 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 107-13-169</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being part of Sublot No. 41 in the Morison Realty Company's Parkview Subdivision of part of Original One Hundred Acre Lot No. 385, as shown by the recorded plat in Volume 31 of Maps, Page 15 of Cuyahoga County Records, and bounded and described as follows: Beginning on the Southwesterly line of East 94th Street at its intersection with the Northwesterly line of Crawford Road, N.E.; thence Northwesterly along said Southwesterly line of East 94th Street, 62 feet to the most Easterly corner of land conveyed to Ernest Schwartz by deed dated May 10, 1916, and recorded in Volume 1793, Page 577 of Cuyahoga County Records and the principal place of beginning; thence Southwesterly along the Southeasterly line of land so conveyed, about 83.27 feet to the Southerly line of Sublot No. 41; thence Westerly along the Southerly line of Sublot No. 41, about 41.99 feet to the most Westerly corner of said Sublot No. 41; thence Northeasterly along the Northwesterly line of said Sublot, 107.53 feet to the Southwesterly line of East 94th Street; thence Southeasterly along the Southwesterly line of East 94th Street, 35 feet to the place of beginning, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6441</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6441</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004725&mdash;Treasurer of Cuyahoga County, Ohio vs. Fennie Partridge, et al.</p><p class="ssj">Margaret Rembert, whose last known place of residence is 16001 Euclid Beach Boulevard, Cleveland, OH 44110, otherwise whose place of residence is unknown, will take notice that on September 20, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $719.88 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 129-25-045</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being part of Sublot No. 508, 509 and 510 in the L.H. Wain Land Company's Rice Heights Allotment No. 2 part of the Original One Hundred Acre Lots Nos. 429 and 437, as shown by the recorded plat in Volume 48 of Maps, Page 2 of Cuyahoga County Records, and together forming a parcel of land bounded and described as follows:</p><p class="ssj">Beginning on the Westerly line of East 130th Street at a point distant Southerly 40 feet from the Northeasterly corner of Sublot No. 508;</p><p class="ssj">Thence Westerly parallel to the Northerly line of Sublot 508, 509 and 510, 105 feet;</p><p class="ssj">Thence Southerly parallel to the Westerly line of East 130th Street, 40 feet;</p><p class="ssj">Thence Easterly parallel to the Northerly line of said Sublots Nos. 510, 509, 508, 105 feet to the Westerly line of East 130th Street;</p><p class="ssj">Thence Northerly along the Westerly line of East 130th Street, 40 feet to the place of beginning, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6442</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6442</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 005144&mdash;Treasurer of Cuyahoga County, Ohio vs. Jessica Palsa, et al.</p><p class="ssj">Jessica Palsa, whose last known place of residence is 1541 East 47th Street, Cleveland, OH 44103, otherwise whose place of residence is unknown; and Unknown Spouse of Jessica Palsa, whose last known place of residence is 1541 East 47th Street, Cleveland, OH 44103, otherwise whose place of residence is unknown, will take notice that on December 22, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $397.07 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 104-24-083</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being part of Sublot Nos. 71 and 72 in Alexander McIntosh's Subdivision of part of Original Ten Acre Lot Nos. 125 and 126, as shown by the recorded plat in Volume 11 of Maps, Page 31 of Cuyahoga County Records and bounded and described as follows:</p><p class="ssj">Beginning in the Northeasterly line of East 47th Street (formerly Rondley St.) at a point distant Southeasterly 30.00 feet from the most Westerly corner of said Sublot No. 72; Thence Southerly 30.00 feet along said Northeasterly line of East 47th Street to a point; Thence Northeasterly 146.84 feet parallel to the Southeasterly line of said Sublot No. 72 to a point in the Northeasterly line of said Sublot No. 71; Thence Northwesterly 11.50 feet along said Northeasterly line of Sublot No. 71 to a point; Thence Southwesterly 58.84 feet, parallel to said Southeasterly line of Sublot No. 72 to a point; Thence Northwesterly 16.50 feet parallel to said Northeasterly line of East 47th Street to a point; Thence Southwesterly 83.00 feet parallel to said Southeasterly line of Sublot No. 72 to the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $425.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6443</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6443</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004733&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Roberto Ocasio, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Roberto Ocasio, the place of residence of each being unknown, will take notice that on September 20, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $256.25 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 007-09-190</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being part of Sublot No. 245 in Barber and Lord's Subdivision of part of Original Brooklyn Township Lots Nos. 51, 52, 69 and 70, as shown by the recorded plat in Volume 11 of Maps, Page 26 of Cuyahoga County Records, bounded and described as follows: Beginning on the Southeasterly line of Hancock Avenue, S.W., at the most Northerly corner of said Sublot No. 245; thence Southwesterly along said Southeasterly line of Hancock Avenue, S.W., 32 feet; thence Southeasterly on a line parallel with the Northeasterly line of said Sublot No. 245, 128 feet; thence Northeasterly parallel with said Southeasterly line of Hancock Avenue, S.W., 32 feet to said Northeasterly line of said Sublot No. 245; thence Northwesterly along said Northeasterly line of said Sublot No. 245, 128 feet to the place of beginning, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6444</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6444</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004716&mdash;Treasurer of Cuyahoga County, Ohio vs. Briddock Williams, et al.</p><p class="ssj">Ford Consumer Finance Company, Inc., whose last known address is 11311 Cornell Park Drive, Suite 400, Cincinnati, OH 45242, otherwise whose address is unknown, will take notice that on September 16, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $616.55 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 111-06-059</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being Sublot No. 11 in George E. Whitehouse Subdivision of part of Original 100 Acre Lot No. 356 as shown by the recorded plat in Volume 79 of Maps, Page 34 of Cuyahoga County Records.</p><p class="ssj">Said Sublot No. 11 has a frontage of 42.5 feet on the Easterly side of Dundee Drive, N.E. and extends back of equal width at right angles thereto a distance of 127.30 feet on the Southerly line, and 127.37 feet on the Northerly line, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $442.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6445</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6445</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 005245&mdash;Treasurer of Cuyahoga County, Ohio vs. Farah W. Issa, et al.</p><p class="ssj">Farah W. Issa, whose last known place of residence is 33603 Hawksbury Court, Avon, OH 44011, otherwise whose place of residence is unknown; and Unknown Spouse of Farah W. Issa, whose last known place of residence is 33603 Hawksbury Court, Avon, OH 44011, otherwise whose place of residence is unknown, will take notice that on January 23, 2012, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,402.38 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 113-15-052</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 23 in the Walworth Realty Company's Subdivision of part of Original Euclid Township Tract No. 16 as shown by the recorded plat of said Subdivision in Volume 30 of Maps, Page 23 of Cuyahoga County Records said Sublot No. 23 has a frontage of 40 feet on the Southerly side of Huntmere Avenue, N.E. (formerly Depew Avenue) and extends back of equal width 110 feet as appears by said plat, also that part of the Northerly one-half of Fordham Court N.E. (10 feet wide) lying between the Southerly prolongations of the Easterly line of Sublot No. 23 and the Westerly line of Sublot No. 22, vacated by Ordinance No. 81491 passed by the Counsel of the City of Cleveland December 19, 1927, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $425.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Judith Miles, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6446</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6446</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004794&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Marvin D. Burns, Deceased, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Marvin D. Burns, deceased, the place of residence of each being unknown, will take notice that on February 10, 2012, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his supplemental complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $2,068.53 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 135-13-039</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as Sublot No. 259 in The City Allotment Company's East Boulevard Subdivision, of part of Original 100 Acre Lot No. 451, as shown by the recorded plat in Volume 68 of Maps, Page 8 of Cuyahoga County Records, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $480.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on April 27, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Gregory B. Rowinski, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6447</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6447</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 005045&mdash;Treasurer of Cuyahoga County, Ohio vs. Kenneth C. Kurp, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Edythe M. Rueting, the place of residence of each being unknown, will take notice that on December 7, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $869.22 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 133-16-055</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being part of Sublot No. 14 in Gaius Burke's Subdivision of Original One Hundred Acre Lots Nos. 315 and 455, as shown by the recorded plat in Volume 2 of Maps, Page 57 of Cuyahoga County Records, and bounded and described as follows: Beginning on the Southeasterly line of Worley Avenue, S.E. (formerly Worley Street), at its point of intersection with the Northeasterly line of Spafford Road, S.E., (formerly Spafford Street); Thence Northeasterly along said Southeasterly line of Worley Street, S.E., 50.50 feet; Thence Southeasterly on a line parallel to the Northeasterly line of Spafford Road, S.E., 64 feet; Thence Southwesterly on a line parallel to said Southeasterly line of Worley Avenue, S.E., 50.50 feet to the Northeasterly line of Spafford Road, S.E.; Thence Northwesterly along said Northeasterly line of Spafford Road, S.E., 64 feet to the place of beginning, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $425.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6448</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6448</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004727&mdash;Treasurer of Cuyahoga County, Ohio vs. Jesse Gibbs, Deceased, et al.</p><p class="ssj">Jesse Gibbs, Deceased, whose last known place of residence is 358 Cleveland Road, Cleveland, OH 44108, otherwise whose place of residence is unknown; Unknown Spouse of Jesse Gibbs, Deceased, whose last known place of residence is 358 Cleveland Road, Cleveland, OH 44108, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Jesse Gibbs, deceased, the place of residence of each being unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Lillian Travis, the place of residence of each being unknown; Virginia Gibbs, whose last known place of residence is 3006 East 71st Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Phyllistine Gibbs, the place of residence of each being unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Arrianna Gibbs, the place of residence of each being unknown, will take notice that on September 20, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $13,632.83 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 111-16-035</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 175 in Forest Park Subdivision by L.M. Southern of part of Original One Hundred Acre Lots Nos. 358, 359, 365, and 366, as shown by the recorded plat in Volume 27 of Maps, Page 23 of Cuyahoga County Records, and together forming a parcel of land 107.98 feet front on the Southwesterly side of Cleveland Road, and extending back 86.55 feet deep on the Northerly line, which is also the Southerly line of Taft Avenue, 148.77 feet deep on the Southerly line, and being 88.22 feet wide in the rear, as appears by said plat.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $445.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6449</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6449</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12902539&mdash;In the matter of Brandon Abercrombie.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Brandon Abercrombie, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 29, 2012 at 9:15 AM, before Magistrate Wallace, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 15, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6450</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6450</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12902532&mdash;In the matter of Andrew Compton.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Andrew Compton, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on March 14, 2012 at 9:00 AM, before Magistrate Yeomans-Salvador, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 15, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6451</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6451</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD12902531&mdash;In the matter of Orlando Torres, III.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect motion and complaint has been filed in this Court concerning Orlando Torres, III, you being the legal guardian or alleged parent of said child. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 8th Floor, Cleveland, Ohio, on March 14, 2012 at 9:00 AM, before Magistrate Yeomans-Salvador, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 15, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6452</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6452</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11902928&mdash;In the matter of DeJohnne Morris.</p><p class="ssc">Summons</p><p class="ssj">To: DeJohnne Donovan, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning DeJohnne Morris, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 28, 2012 at 9:00 AM, before Judge Corrigan, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 15, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6453</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6453</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD11902928&mdash;In the matter of DeJohnne Morris.</p><p class="ssc">Summons</p><p class="ssj">To: Cress Wright, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning DeJohnne Morris, you being the legal guardian or alleged parent of said child and a motion for permanent custody for the purpose of adoption has been filed in this Court. You are hereby notified that should this motion for permanent custody be granted that the parents will be permanently divested of all legal rights and privileges. You are hereby commanded to appear before this Court at 9300 Quincy Avenue, 6th Floor, Cleveland, Ohio, on February 28, 2012 at 9:00 AM, before Judge Corrigan, when a hearing will be held on this matter.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 15, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6454</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6454</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175952&mdash;In the matter of the change of name of J.R. Clark.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 13, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of J.R. Clark, 1607 Bunts Road, Lakewood, Cuyahoga County, Ohio 44107, to J.R. Adkins Clark.</p><p class="ssj">This application is set for hearing on the 5th day of April, 2012, at 10:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6455</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6455</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175958&mdash;In the matter of the change of name of Stephen Lamont Branch.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 13, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Stephen Lamont Branch, 4215 Sackett Avenue, Cleveland, Cuyahoga County, Ohio 44109, to Stephen Mustafa El-Amin.</p><p class="ssj">This application is set for hearing on the 5th day of April, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6456</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6456</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175962&mdash;In the matter of the change of name of Carianne Carter Monhart.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 13, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Carianne Carter Monhart, 3329 Brookview Blvd., Parma, Cuyahoga County, Ohio 44134, to Carianne Carter Torkowski.</p><p class="ssj">This application is set for hearing on the 5th day of April, 2012, at 9:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6457</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6457</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175925&mdash;In the matter of the change of name of Meagan Lynn Ray.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 13, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Meagan Lynn Ray, 1177 Cook Avenue, Down, Lakewood, Cuyahoga County, Ohio 44107, to Meagan Lynn Ray-Novak.</p><p class="ssj">This application is set for hearing on the 3rd day of April, 2012, at 10:15 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6458</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6458</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175936&mdash;In the matter of the change of name of Calyssa Rupert, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 13, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Calyssa Rupert, 3351 West 130th Street, Cleveland, Cuyahoga County, Ohio 44111, to Calyssa Fasino.</p><p class="ssj">This application is set for hearing on the 29th day of March, 2012, at 3:00 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6459</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6459</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175939&mdash;In the matter of the change of name of Sharia Alyce Tyler.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 13, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Sharia Alice Tyler, 10004 St. Clair Avenue, Cleveland, Cuyahoga County, Ohio 44108, to Sharia Alyce McDonald.</p><p class="ssj">This application is set for hearing on the 4th day of April, 2012, at 10:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6460</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6460</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175941&mdash;In the matter of the change of name of Elizabeth Nicole Sanders.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 13, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Elizabeth Nicole Sanderds, 3699 Normandy Road, Shaker Heights, Cuyahoga County, Ohio 44120, to Elizabeth Nicole Sydnor.</p><p class="ssj">This application is set for hearing on the 2nd day of April, 2012, at 9:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6461</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6461</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175942&mdash;In the matter of the change of name of Mariah Josette Mitchell, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 13, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Mariah Josette Mitchell, 295 East 248th Street, Euclid, Cuyahoga County, Ohio 44123, to Mariah Ariel Graves.</p><p class="ssj">This application is set for hearing on the 4th day of April , 2012, at 11:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6462</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6462</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2011 MSC 173519&mdash;In the matter of the change of name of Diane Louise Cyngier.</p><p class="ssj">To whom it may concern: you are hereby notified that on November 8, 2011, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Diane Louise Cyngier, 1604 Tarlton Avenue, Cleveland, Cuyahoga County, Ohio 44109, to Diane Louise Forster.</p><p class="ssj">This application is set for hearing on the 30th day of March, 2012, at 10:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6463</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6463</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175912&mdash;In the matter of the change of name of D&eacute;Andre Johnson.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 13, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of D&eacute;Andre Johnson, 27618 Caroline Circle Apt. D., Westlake, Cuyahoga County, Ohio 44145, to Jamaal Abdul Aziz.</p><p class="ssj">This application is set for hearing on the 30th day of March, 2012, at 10:45 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6464</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6464</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175921&mdash;In the matter of the change of name of Samer Luay Susan.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 10, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Samer Luay Susan, 25707 Danielle Drive, Westlake, Cuyahoga County, Ohio 44145, to Samer Luay Soussahn.</p><p class="ssj">This application is set for hearing on the 30th day of March, 2012, at 10:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6465</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6465</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175922&mdash;In the matter of the change of name of Dawn Murie Novak.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 13, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Dawn Murie Novak, 1177 Cook, Down, Lakewood, Cuyahoga County, Ohio 44107, to Dawn Murie Ray-Novak.</p><p class="ssj">This application is set for hearing on the 3rd day of April , 2012, at 10:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6466</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6466</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175924&mdash;In the matter of the change of name of Sherry Denise Carter-Henderson.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 10, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Sherry Denise Carter-Henderson, 13116 Oakpark Blvd., Garfield Heights, Cuyahoga County, Ohio 44125, to Zykia Zuna Green Henderson.</p><p class="ssj">This application is set for hearing on the 5th day of April, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6467</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6467</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175944&mdash;In re: Estate of Donald Rothman, deceased.</p><p class="ssj">Unknown creditors of the Estate of Donald Rothman, deceased, the address of each being unknown, will take notice that on February 13, 2012, the undersigned, Brenda Leikala, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Donald Rothman, deceased, late of Mayfield Hts., Ohio, who died December 13, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 6th day of April, 2012, at 9:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">BRENDA LEIKALA,</p><p class="ssj">Applicant.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6468</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6468</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175935&mdash;In re: Estate of John A. LaRosa, Jr., deceased.</p><p class="ssj">Unknown creditors of the Estate of John A. LaRosa, Jr., deceased, the address of each being unknown, will take notice that on February 13, 2012, the undersigned, Catherine M. LaRosa, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of John A. LaRosa, Jr., deceased, late of North Olmsted , Ohio, who died December 29, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 4th day of April, 2012, at 10:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">CATHERINE M. LAROSA,</p><p class="ssc">Applicant.</p><p class="bold">By James N. Taylor, Attorney</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
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    <item>
      <title>Authority to Administer Estate Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6469</link>
      <guid>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6469</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2011 EST 170606&mdash;In re: Estate of Eric J. Stanton, deceased.</p><p class="ssj">Frank Stanton, whose last known place of residence is 1454 Goldengale Blvd., Mayfiedl Hts., OH 44124, otherwise whose place of residence is unknown, will take notice that on the 29th day of July, 2011, the undersigned, Eric J. Turner, filed an application in the Probate Court of Cuyahoga County, Ohio, for the authority to administer the Estate of Eric J. Stanton, deceased, late of Garfield Heights, Cuyahoga County, Ohio, who died on June 18, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 5th day of April, 2012 at 2:00 p.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">ERIC J. TURNER,</p><p class="ssj">Applicant.</p><p class="ssj">Feb17-24Mar2, 2012</p>]]></content:encoded>
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    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6470</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6470</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicles will be offered for sale by Motor Service Corporation at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on March 2, 2012.</p><p class="ssj">2005 Chrysler Pacifica 356758</p><p class="ssj">2008 Kia Optima 190589</p><p class="ssj">2001 Cadillac Deville 110527</p><p class="ssj">2005 Ford Freestyle A15136</p><p class="ssj">2006 Kia Rio 061085</p><p class="ssj">2003 Chevy Monte Carlo 189071</p><p class="ssj">2000 Chevy Camaro 175428</p><p class="ssj">2010 Chevy HHR 508541</p><p class="bold">By virtue of security interest, the above vehicles will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicles are sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb17, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6471</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6471</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">764296&mdash;Third Federal Savings and Loan Association of Cleveland vs. Deborah A. Pervez, Fiduciary of the Estate of Anita J. Swann, deceased, et al.</p><p class="ssj">Unknown Heirs, Devisees and Legatees of Anita J. Swann, deceased, the place of residence of each being unknown, will take notice that on February 9, 2012, the undersigned, Third Federal Savings and Loan Association of Cleveland, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 132-25-034</p><p class="ssj">Address: 7014 Park Ave., Cleveland, Ohio 44105-4967</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of April, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS AND LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Dean K. Hegyes, Attorney for Plaintiff. Jones &amp; Hegyes Co. L.P.A., 38040 Euclid Avenue, Willoughby, Ohio 44094. (440) 951-1181.</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6472</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6472</guid>
      <content:encoded><![CDATA[<p class="bold ssc">PUBLIC Notice</p><p class="bold">771931&mdash;FIRST FEDERAL SAVINGS AND LOAN ASSOCIATION OF LAKEWOOD -vs- PAUL C. SHAVER, ET AL. DEFENDANTS.</p><p class="ssj">Unknown Heirs, Assigns, Legatees, and Devisees of Elizabeth A. Shaver, Deceased, whose last known address is unknown, and who cannot be served, will take notice that on December 21, 2011, Plaintiff filed a Complaint for Money, Foreclosure and other Equitable Relief in the Cuyahoga County Court of Common Pleas, Cuyahoga County, Ohio, Case No. CV-11-771931 against Paul C. Shaver and others as Defendants, alleging that, on or about February 14, 2005, Paul C. Shaver and Elizabeth A. Shaver, executed and delivered a mortgage note (&quot;Note&quot;), in writing, in the original amount of $259,250.00; that Paul C. Shaver and Elizabeth A. Shaver are in default for all payments from August 01, 2011; that on February 14, 2005, Paul C. Shaver and Elizabeth A. Shaver, Husband and Wife, executed and delivered a certain Mortgage Deed in which said Defendants agreed, among other things, to pay the Note and to comply with all of the terms of the Mortgage Deed hereinafter described, which Mortgage Deed was filed in the Recorder's Office of Cuyahoga County, Ohio on February 15, 2005, recorded in Instrument No. 200502150707 that, further, the balance due on the Note is ($230,500.22) with interest at the rate of (4.875%) per annum from August 01, 2011; that to secure the payment of the Note, Paul C. Shaver and Elizabeth A. Shaver, executed and delivered a certain Mortgage Deed to and thereby conveying, in fee simple, the following described premises:</p><p class="ssj">Situated in the City of Shaker Heights, County of Cuyahoga and State of Ohio:</p><p class="ssj">And known as being Sublot No. 889-C in a Re-Subdivision of part of the Van Sweringen Company's Subdivision No. 23 of part of Original Warrensville Township Lots Nos. 43 and 44, as shown by the recorded plat of said Re-Subdivision in Volume 84 of Maps, Page 23 of Cuyahoga County Records. Said Sublot No. 889-C has a frontage of 60 feet on the Westerly side of Lynnfield Road, and extends back 138 feet on the Northerly line, 138 63/100 feet on the Southerly line, and has a rear line of 60 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">3448 Lynnfield Road</p><p class="ssj">Shaker Heights, OH 44122</p><p class="ssj">Permanent Parcel Number: 736-06-026</p><p class="ssj">Commonly known as 3448 Lynnfield Road, Shaker Heights, OH 44122</p><p class="ssj">and further alleging that the aforesaid Mortgage is a valid and subsisting first and best lien upon said premises after the lien of the Treasurer; that the Note is in default, whereby the conditions set forth in the Note and Mortgage have been broken, that the Mortgage has become absolute and that Plaintiff is entitled, therefore, to have the Mortgage foreclosed, the premises sold, and the proceeds applied in payment of Plaintiff's claims; that the Defendant, Unknown Heirs, Assigns, Legatees, and Devisees of Elizabeth A. Shaver, Deceased, among others, may have or claim to have some interest in or lien upon said premises; that all of the Defendants are required to set forth any claim, lien of interest in or upon the premises that he, she, or it may have or claim to have or be forever barred therefrom; that Plaintiff's Mortgage be declared to be a valid and subsisting first and best lien upon said premises after the lien of the Treasurer, if any, that its Mortgage be foreclosed; that all liens be marshalled; that the equity of redemption of all Defendants be forever cut off, barred, and foreclosed; that upon the sale of said premises the proceeds be paid to Plaintiff to satisfy the amount of its existing lien and the interest, together with its disbursements, advancements, and costs herein expended; and for such other and further relief to which is may be entitled in equity or at law.</p><p class="ssj">Defendants are further notified that they are required to answer the Complaint on or before April 2, 2012 which includes twenty-eight (28) days from the last publishing, or judgment may be rendered as prayed for therein.</p><p class="bold">By Manbir S. Sandhu, Attorney for Plaintiff.</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6473</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6473</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771858&mdash;MidFirst Bank vs. Lisa M. Duncan fka Lisa M. Erickson, et al.</p><p class="ssj">Lisa M. Duncan fka Lisa M. Erickson, whose last known place of residence is 20718 Watson Road, Maple Heights, OH 44137, otherwise whose place of residence is unknown; Unknown Spouse (if any) of Lisa M. Duncan fka Lisa M. Erickson, whose last known place of residence is 20718 Watson Road, Maple Heights, OH 44137, otherwise whose place of residence is unknown; Brian K. Duncan, whose last known place of residence is 20718 Watson Road, Maple Heights, OH 44137, otherwise whose place of residence is unknown, will take notice that on December 20, 2011, the undersigned, MidFirst Bank, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $38,581.03, plus any sums advanced, with interest at 8.5% per annum from August 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 782-15-043</p><p class="ssj">Address: 20718 Watson Road, Maple Heights, OH 44137</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of April, 2012.</p><p class="ssj">MIDFIRST BANK.</p><p class="bold">By John E. Codrea, David B. Bokor, Matthew P. Curry and Kristan A. Prill, Attorneys for Plaintiff. Manley Deas Kochalski, LLC, P.O. Box 165028, Columbus, OH 43216. (614) 222-4921.</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6474</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6474</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">768979&mdash;CitiMortgage, Inc. vs. Myrtle Farr, et al.</p><p class="ssj">Myrtle Farr, whose last known place of residence is 17819 Neff Road, Cleveland, Ohio 44119, otherwise whose place of residence is unknown; John Doe, Unknown Spouse, if any, of Myrtle Farr, whose last known place of residence is 17819 Neff Road, Cleveland, Ohio 44119, otherwise whose place of residence is unknown, will take notice that on November 10, 2011, the undersigned, CitiMortgage, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $71,516.01, plus any sums advanced, with interest at 6.125% per annum from September 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 114-03-023</p><p class="ssj">Address: 17819 Neff Road, Cleveland, OH 44119</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of April, 2012.</p><p class="ssj">CITIMORTGAGE, INC.</p><p class="bold">By Edward G. Bohnert, Ronald J. Chernek and Douglas A. Haessig, Attorneys for Plaintiff. Reimer, Arnovitz, Chernek &amp; Jeffrey Co., L.P.A., P.O. Box 968, Twinsburg, Ohio 44087, (330) 425-4201.</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6475</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6475</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767737&mdash;OneWest Bank, FSB vs. Virginia Klamer, et al.</p><p class="ssj">John Doe, name unknown, spouse of Virginia Klamer, whose last known place of residence is 11322 Woodstock Avenue, Cleveland, OH 44104, otherwise whose place of residence is unknown, will take notice that on October 27, 2011, the undersigned, OneWest Bank, FSB, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that there is due the plaintiff the sum of $91,612.62, as of October 6, 2011, on a Home Equity Conversion Note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 121-33-018</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio:</p><p class="ssj">And known as being Sublot No. 23 in the Quincy Heights Subdivision of part of Original One Hundred Acre Lots Nos. 418, 419 and 420, as shown by the recorded plat in Volume 37 of Maps, Page 2 of Cuyahoga County Records, and being 36 feet front on the Southerly side of Quincy Avenue (now known as Woodstock Avenue) and extending back of equal width 84-28/100 feet deep as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Address: 11322 Woodstock Avenue, Cleveland, OH 44104</p><p class="ssj">Plaintiff further says that as the result of a scrivener's error and mutual mistake of fact between the parties thereto, the mortgage filed for record on July 29, 2004, in Instrument No. 200407291062, and executed by the primary defendant and delivered by her to plaintiff's predecessor in interest fails to list a marital status in the Granting Clause of said mortgage.</p><p class="ssj">Because this mistake was the result of a scrivener's error and mutual mistake of fact between the parties to said document, plaintiff is entitled to have the above described mortgage reformed to properly state &quot;Virginia Klamer, unmarried&quot; in the Granting Clause. Plaintiff is further entitled to an order of this Court decreeing the property as described in Plaintiff's mortgage be sold by the Sheriff of this County at Sheriff's Sale.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors in the payment of a Home Equity Conversion Note according to its tenor, the conditions of a concurrent mortgage deed given to secure the payment of said note  and conveying the above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 2nd day of April, 2012.</p><p class="ssj">ONEWEST BANK, FSB.</p><p class="bold">By Lorelei C. Bolohan and Romi T. Fox, Attorneys for Plaintiff. Lerner, Sampson &amp; Rothfuss, 120 East Fourth St., 8th Floor, Cincinnati, Ohio 45202, (513) 241-3100.</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6476</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6476</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004953&mdash;Treasurer of Cuyahoga County, Ohio vs. Evans Land Management, et al.</p><p class="ssj">Evans Land Management, whose last known address is 6402 Varian Avenue, Cleveland, OH 44103, otherwise whose address is unknown, will take notice that on November 18, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $1,580.66 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 104-13-088</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being Sublot No. 74 in John Glass Re-Subdivision of M.M. Spangler's Subdivision of part of Original One Hundred Acre Lot No. 343, as shown by the recorded plat of said Re-Subdivision in Volume 4 of Maps, Page 12 of Cuyahoga County Records. Said Sublot No. 74 has a frontage of 40 feet on the Northeasterly side of East 61 Street (formerly Dana Street) and extends back between parallel lines 140 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6477</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6477</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004925&mdash;Treasurer of Cuyahoga County, Ohio vs. Tavia Bernson, a.k.a. etc., et al.</p><p class="ssj">Tavia Bernson, a.k.a. Tavia Benson, whose last known place of residence is 9514 Sandusky Avenue, Cleveland, OH 44105, otherwise whose place of residence is unknown; and Unknown Spouse of Tavia Bernson, a.k.a. Tavia Benson, whose last known place of residence is 9514 Sandusky Avenue, Cleveland, OH 44105, otherwise whose place of residence is unknown, will take notice that on January 12, 2012, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his amended complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $578.64 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 135-16-104</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: and known as being Sublot No. 161 in the Re-Survey of Allotment made by Ariel Harris, of part of Original One Hundred Acre Lot Nos. 449 and 457, as shown by the recorded plat in Volume 11 of Maps, Pages 54 and 55 of Cuyahoga County Records. Said Sublot No. 161 has a frontage of 50 feet on the Southerly side of Sandusky Avenue, S.E., and extends back on the Easterly and Westerly lines 100 feet, and it is 50.05 feet in the rear, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6478</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6478</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004233&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of Benjamin Franklin, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Benjamin Franklin, the place of residence of each being unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Portia Franklin, the place of residence of each being unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Elliot Franklin, the place of residence of each being unknown, will take notice that on June 15, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $181.64 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 107-13-018</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as being part of Sublot No. 46 in the Park View Subdivision of part of Original One Hundred Acre Lot No. 385, as shown by the recorded plat in Volume 31 of Maps, Page 15 of Cuyahoga County Records, and bounded and described as follows: Beginning on the Northwesterly line of Crawford Road, N.E., at the Southeasterly corner of said Sublot No. 46; thence Northeasterly along the Northwesterly corner of Crawford Road, N.E., 35 feet to the Southeasterly corner of land described in the Deed to John L. and Mary M. Quass, by Deed dated June 24, 1910, and recorded in Volume 1255, Page 255 of Cuyahoga County Records; thence Northwesterly along the Southwesterly line of land described in the Deed to John L. and Mary M. Quass, 115 feet to the Easterly line of land conveyed to Jessie M. Baer by Deed dated July 1, 1908 and recorded in Volume 1096, Page 3 of Cuyahoga County Records; thence Southerly along the Easterly line of land so conveyed to Jessie M. Baer to the Southerly line of Sublot No. 46; thence Southeasterly along the Southwesterly line of said Sublot No. 46, 120 feet to the place of beginning, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Juvenile Court Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6479</link>
      <guid>http://www.dln.com/noticejuvenilecourtnotices/details/ref_index/6479</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">AD98990294&mdash;In the matter of Kamonte' Hagwood.</p><p class="ssc">Summons</p><p class="ssj">To: John Doe, whose address is unknown, an abuse, dependency, neglect complaint has been filed in this Court concerning Kamonte' Hagwood. A copy of any response that you file must be served upon the moving party's attorney, or upon the movant. You are hereby required to attend a future hearing upon notice from the court. You may lose valuable rights or be subject to court sanction if you fail to attend when notified.</p><p class="ssj">The person herein requested to appear shall not fail to obey this summons under penalty of law. You have the right to be represented by counsel and to have counsel appointed, if indigent.</p><p class="ssj">In testimony whereof, I have hereunto set my hand and affixed the seal of the said Court, at Cleveland, Ohio, on February 16, 2012. </p><p class="ssc">THOMAS F. O'MALLEY,</p><p class="ssj">Judge and ex-officio Clerk.</p><p class="bold"> William D. Fromwiller, Deputy Clerk.</p><p class="ssj">Feb18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6480</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6480</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175890&mdash;In the matter of the change of name of Bella Marie Beauchamp, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 10, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Bella Marie Beauchamp, 7660 Broadview Road, Apt. 313, Parma, Cuyahoga County, Ohio 44134, to Bella Marie Smith.</p><p class="ssj">This application is set for hearing on the 5th day of April, 2012, at 2:30 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6481</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6481</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175915&mdash;In the matter of the change of name of P. Sudhan Sibi, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 10, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of P. Sudan Sibi, 1226 Summit Drive, Mayfield Heights, Cuyahoga County, Ohio 44124, to Sudhan Puthethu Sibi.</p><p class="ssj">This application is set for hearing on the 29th day of March, 2012, at 3:30 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6482</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6482</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175923&mdash;In the matter of the change of name of Joane Lynnea Cox, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 13, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Joane Lynnea Cox, 16238 Maplewood Court, Maple Heights, Cuyahoga County, Ohio 44137, to Joane Lynnea Martin.</p><p class="ssj">This application is set for hearing on the 29th day of March, 2012, at 3:15 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6483</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6483</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 176000&mdash;In the matter of the change of name of Cierra Gwen Marie Hunter, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 14, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Ciera Gwen Marie Hunter, 9606 Garfield Blvd., Garfield Heights, Cuyahoga County, Ohio 44125, to Cierra Gwen Marie Tate.</p><p class="ssj">This application is set for hearing on the 3rd day of April, 2012, at 10:00 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb18, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6484</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6484</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175981&mdash;In re: Estate of Billy R. Hall, deceased.</p><p class="ssj">Unknown creditors of the Estate of Billy R. Hall, deceased, the address of each being unknown, will take notice that on February 14, 2012, the undersigned, Francine Hall, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Billy R. Hall, deceased, late of Bedford, Ohio, who died December 14, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 11th day of April, 2012, at 10:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">FRANCINE HALL,</p><p class="ssc">Applicant.</p><p class="bold">By Sherry A. Pidala, Attorney</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6485</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6485</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175989&mdash;In re: Estate of Robert A. Gilleland, deceased.</p><p class="ssj">Unknown creditors of the Estate of Robert A. Gilleland, deceased, the address of each being unknown, will take notice that on February 14, 2012, the undersigned, James P. Koscianski, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Robert A. Gilleland, deceased, late of Middleburgh Heights, Ohio, who died November 2, 2011.</p><p class="ssj">Said application is ordered set for hearing on the 5th day of April, 2012, at 2:00 p.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">JAMES P. KOSCIANSKI,</p><p class="ssc">Applicant.</p><p class="bold">By James P. Koscianski, Attorney</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6486</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6486</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175943&mdash;In re: Estate of Walter Lollis, deceased.</p><p class="ssj">Unknown creditors of the Estate of Walter Lollis, deceased, the address of each being unknown, will take notice that on February 13, 2012, the undersigned, Anthony Lollis, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Walter Lollis, deceased, late of Cleveland, Ohio, who died March 18, 2002.</p><p class="ssj">Said application is ordered set for hearing on the 11th day of April, 2012, at 10:30 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">ANTHONY LOLLIS,</p><p class="ssc">Applicant.</p><p class="bold">By Timothy J. Howard, Attorney</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate of Will Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobateofwill/details/ref_index/6487</link>
      <guid>http://www.dln.com/noticeprobateofwill/details/ref_index/6487</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175907&mdash;In re: Estate of Chester Boyd Romp o.w. etc., deceased.</p><p class="ssj">Rick Ferris, whose place of residence is unknown, will take notice that the undersigned, Louise E. Romp, presented to the Probate Court of Cuyahoga County, Ohio, a paper writing purporting to be the Last Will and Testament of Chester Boyd Romp o.w. Chester B. Romp o.w. Chester Romp, deceased, late of Lakewood, Cuyahoga County, Ohio, who died September 28, 2011; that said paper writing was filed and admitted to probate on the 10th day of February, 20112.</p><p class="ssc">LOUISE E. ROMP,</p><p class="ssc">Applicant.</p><p class="bold"> Jennifer L. Eschedor, Attorney.</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate of Will Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobateofwill/details/ref_index/6488</link>
      <guid>http://www.dln.com/noticeprobateofwill/details/ref_index/6488</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2011 EST 173774&mdash;In re: Estate of Stephen F. Shields, deceased.</p><p class="ssj">Cathy King, whose place of residence is unknown, will take notice that the undersigned, Edgar T. Shields, II, presented to the Probate Court of Cuyahoga County, Ohio, a paper writing purporting to be the Last Will and Testament of Stephen F. Shields, deceased, late of Chagrin Falls, Cuyahoga County, Ohio, who died October 17, 2011; that said paper writing was filed and admitted to probate on the 10th day of February, 20112.</p><p class="ssc">EDGAR T. SHIELDS, II,</p><p class="ssc">Applicant.</p><p class="bold"> Laura J. Gorretta, Attorney.</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Probate of Will Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprobateofwill/details/ref_index/6489</link>
      <guid>http://www.dln.com/noticeprobateofwill/details/ref_index/6489</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175092&mdash;In re: Estate of Newell W. Phillips, deceased.</p><p class="ssj">Robyn Buetner, whose place of residence is unknown, will take notice that the undersigned, Robert N. Phillips, presented to the Probate Court of Cuyahoga County, Ohio, a paper writing purporting to be the Last Will and Testament of Newell W. Phillips, deceased, late of Parma, Cuyahoga County, Ohio, who died December 10, 2011; that said paper writing was filed and admitted to probate on the 15th day of February, 2012.</p><p class="ssc">ROBERT N. PHILLIPS,</p><p class="ssc">Applicant.</p><p class="bold"> David R. Boldt, Attorney.</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Authority to Administer Estate Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6490</link>
      <guid>http://www.dln.com/noticeauthtoadministerestate/details/ref_index/6490</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 175946&mdash;In re: Estate of Lucy R. Bartolini, deceased.</p><p class="ssj">Unknown next of kin of Luey R. Bartolini, whose place of residence is unknown, will take notice that the undersigned, Judith M. Metzler, presented to the Probate Court of Cuyahoga County, Ohio, a paper writing purporting to be the Last Will and Testament of Lucy R. Bartolini, deceased, late of Seven Hills, Cuyahoga County, Ohio, who died December 10, 2011; that said paper writing was filed and admitted to probate on the 13th day of February, 2012.</p><p class="ssc">JUDITH M. METZLER,</p><p class="ssc">Applicant.</p><p class="bold"> Anthony Rinaldi, Attorney.</p><p class="ssj">Feb18-25Mar3, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6491</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6491</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">On March 9th 2012 at 12:07 PM CubeSmart (formerly U-Store-It) at 5440 S. Marginal Rd. Cleveland OH 44114,  With Reserve, will sell by the unit to the highest bid for CASH or Credit Card all rights, title and interest to the following property now in the possession of:</p><p class="ssj">All items in storage units contain household items unless otherwise mentioned.  </p><p class="ssj">Unit 402 Melonie L. Clinton 3516 E. 105th St. Cleveland OH 44105</p><p class="ssj">Unit 519 Brandi M. Chatmon 1133 E. 72nd  St. Cleveland OH 44103</p><p class="ssj">Unit 541 Maisha M. Gilbert 911 Ida Rd. Cleveland OH 44103</p><p class="ssj">Unit 535 Marcus L. Pittman 806 East 100th St. Apt 2 Cleveland OH 44108</p><p class="ssj">Unit 626 Marcus L. Benison 9316 Wright Court Cleveland OH 44108</p><p class="ssj">Unit 722 Barbara G. Finley 3554 E. 105th Street Cleveland OH 44105</p><p class="ssj">Unit 868 Emma J. Taylor  12915 Maplerow Ave. Garfield Heights OH 44105</p><p class="ssj">Terms are Cash or Credit Card! A $50.00 cash (only) deposit will be required for any purchase. All items bought must be removed the same day by 5:00 pm. CubeSmart reserves the right to withdraw a unit from Public Sale at any time. The terms and conditions of sale will be made available at CubeSmart 5440 S. Marginal Rd. Cleveland OH 44114, on sale day. For information all interested parties call (216) 432-2122 between 9:30 am and 6:00 pm Monday through Friday.</p><p class="ssj">Feb18-25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6492</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6492</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">On March 9th at 1:37 P.M. CubeSmart (formerly U-Store-It) at 23711 Miles Rd. in Warrensville Hts., OH 44128 With Reserve, Will sell by the unit to the highest bid for Cash or Credit Card all rights, title and interest to the following property now in the possession of:</p><p class="ssj">K0039, Trina R. Jones, 16685 Geneva St., Chagrin Falls, OH 44023</p><p class="ssj">J0073, Fernando J. Barbeito, 16476 SW 66th St., Miami, FL 33193</p><p class="ssj">H0007, Shauntell L. Winchester, 3672 E 146th, Down, Cleveland, OH 44120</p><p class="ssj">G0007, Marselle Williams, 3700 Northfield Rd., Apt 353, Highland Hill, OH 44122; 11908 Parkhill Ave, Up, Cleveland, OH 44120</p><p class="ssj">M0059, Steven C. Cooke, P O Box 94065, Cleveland, OH 44101</p><p class="ssj">All units contain household items unless other wise mentioned. Terms are Cash or Credit Card! A $50.00 cash deposit will be required for any purchase. All items bought must be removed the same day by 5:00 pm. CubeSmart (formerly U-Store-It) reserves the right to withdraw a unit from Public Sale at any time. The terms and conditions of sale will be made available at CubeSmart (formerly U-Store-It) 23711 Miles Rd, Warrensville Hts., OH 44128 on sale day. For information all interested parties call (216) 663-1842 between 9:30 am and 6:00 pm Monday through Friday.</p><p class="ssj">Feb18-25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6493</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6493</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">On March 8, 2012 at 10:47 A.M. CubeSmart  (formerly U-Store-It) at 6801 Engle Rd. in Middleburg Hts., OH 44130 With Reserve, Will sell by the unit to the highest bid for CASH or Credit Card all rights, title and interest to the following property now in the possession of:</p><p class="ssj">All items in storage units contain household items unless otherwise mentioned.</p><p class="ssj">Guy J. Smith: Cube N0039- 6573 Engle Rd, Brook Park, OH 44142</p><p class="ssj">Nikki D. Elias: Cube K0008-10- 5990 A Glenway Dr, Brook Park, OH 44142</p><p class="ssj">Kathleen M. Badger: Cube N0001- 485 N Rocky River Dr, Berea, OH 44017</p><p class="ssj">Terms are Cash or Credit Card! A $50.00 cash (only) deposit is required for each purchased unit. All items bought must be removed the same day by 5:00 pm. CubeSmart (formerly U-Store-It) reserves the right to withdraw a unit from Public Sale at any time. The terms and conditions of sale will be made available at CubeSmart (formerly U-Store-It) 6801 Engle Rd. Middleburg Hts., OH 44130 on sale day. For information all interested parties call (440)234-8900 between 9:30 am and 6:00 pm Monday through Friday.</p><p class="ssj">Feb18-25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6494</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6494</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">On March 8, 2012 at 1:07 PM CubeSmart  at 24360 Sperry Dr., Westlake, OH 44145 With Reserve, will sell by the unit to the highest bid for CASH or Credit Card all rights, title and interest to the following property now in the possession of:</p><p class="ssj">All items in storage units contain household items unless otherwise mentioned.  </p><p class="ssj">Rachia M. Stephenson cube 233, 3412 Church Dr., Lorain, OH 44053</p><p class="ssj">Terms are Cash or Credit Card! A $50.00 cash (only) deposit will be required for any purchase. All items bought must be removed the same day by 5:00 pm. CubeSmart reserves the right to withdraw a unit from Public Sale at any time. The terms and conditions of sale will be made available at 24360 Sperry Drive, Westlake, OH on sale day. For information all interested parties call (440) 808-9800 between 9:30 am and 6:00 pm Monday through Friday.</p><p class="ssj">Feb18-25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6495</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6495</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">On March 8, 2012 at 11:37 AM CubeSmart at 24000 Lorain Rd.; N. Olmsted, Ohio 44070 With Reserve, will sell by the unit to the highest bid for CASH or Credit Card all rights, title and interest to the following property now in the possession of:</p><p class="ssj">All items in storage units contain household items unless otherwise mentioned.  </p><p class="ssj">Joseph M. Koelliker - Cube B0037 24689 Lebern Dr.; N. Olmsted, Ohio 44070</p><p class="ssj">Annamaria Stellato - Cube D0110 2713 Riverside Ave.; Cleveland, Ohio 44109</p><p class="ssj">Stephen M. Weldon - Cube E0012 2191 Niagra Dr.; Lakewood, Ohio 44107</p><p class="ssj">Terms are Cash or Credit Card! A $50.00 cash (only) deposit will be required for any purchase. All items bought must be removed the same day by 5:00 pm. CubeSmart reserves the right to withdraw a unit from Public Sale at any time. The terms and conditions of sale will be made available at CubeSmart 24000 Lorain Rd.; N. Olmsted, Ohio 44070 on sale day. For information all interested parties call (440) 734-7548 between 9:30 am and 6:00 pm Monday through Friday.</p><p class="ssj">Feb18-25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6496</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6496</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">On March 9th 2012 at 11:07 am, CubeSmart formerly (U-Store-It) at 10645 Leuer Ave Cleveland OH 44108, With Reserve, Will sell by the unit to the highest bid for CASH all rights, title and interest to the following property now in the possession of:</p><p class="ssj">Unit 194 Christine  Daniels 1721 Allandale Ave Apt 3 East Cleveland OH 44112:</p><p class="ssj">Unit 224 Jacqueline M. Harris-Clark 10605 Dupont ave Cleveland OH 44108:</p><p class="ssj">Unit 239 Thomas L. Mccray 1092 E. 98th St Cleveland OH 44108:</p><p class="ssj">Unit 388 Judy L. Murphy 12319 Phillips Ave Cleveland OH 44108:</p><p class="ssj">Unit 410 Yolanda M. Freeman 899 E. 131st Cleveland OH 44108:</p><p class="ssj">Unit 423-424 Andrew L. Brown 1575 East Blvd Apt 209 Cleveland OH 44106:</p><p class="ssj">Unit 514 James Coleman 6711 Bonna Ave Up Cleveland OH 44103:</p><p class="ssj">Unit 417 Ester V. Myers 3354 Lownesdale Rd Cleveland Heights OH 44142:</p><p class="ssj">Unit 611 Aisha Muhammad 8916 Beckman Ave Cleveland OH 44104:</p><p class="ssj"> &quot;All Items in storage units contain household items unless other wise mentioned&quot;.</p><p class="ssj">Terms are Cash Only! A $50.00 cash deposit will be required for any purchase. All items bought must be removed within 24 hours. CubeSmart reserves the right to withdraw a unit from Public Sale at any time. The terms and conditions of sale will be made available at CubeSmart formerly U-Store-It 10645 Leuer Ave., Cleveland OH 44108, on sale day. For information all interested parties call (216) 451-5151 between 9:30 am and 6:00 pm Monday through Friday.</p><p class="ssj">Feb18-25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6497</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6497</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">On March 8, 2012, at 12:17 p.m. CubeSmart (formerly U-Store-It) at 28429 Lorain Rd., in N. Olmsted, OH 44070, With Reserve, will sell by the unit to the highest bid for CASH or Credit Card all rights, title and interest to the following property now in the possession of:</p><p class="ssj">All items in storage units contain household items unless otherwise mentioned.</p><p class="ssj">Santra P. Gutierrez, unit E6, 5394 Whitehaven Ave., North Olmsted, OH 44070</p><p class="ssj">Jasmine J. Yates, unit B34, 5933 Porter Rd., North Olmsted, OH 44070</p><p class="ssj">Brandon K. Krapes, unit C3233, 1559 Elbur Ave., Lakewood, OH 44107</p><p class="ssj">Terms are Cash or Credit Card! A $50.00 cash (only) deposit will be required for any purchase. All items bought must be removed the same day by 5:00 P.M. CubeSmart reserves the right to withdraw a unit from Public Sale at any time. The terms and conditions of the sale will be made available at CubeSmart, 28429 Lorain Rd., N. Olmsted, OH 44070 on sale day. For information all interested parties call (440) 779-0323 between 9:30 a.m. and 6:00 p.m. Monday through Friday.</p><p class="ssj">Feb18-25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6498</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6498</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">On March 8th, 2012 at 10:07 A.M. CubeSmart (formerly U Store It) at 15910 Pearl Road, Strongsville, OH 44136 With Reserve, will sell by the unit to the highest bidder for CASH and/or credit card all rights, title and interest to the following:</p><p class="ssj">All items in storage units contain household items unless otherwise mentioned.</p><p class="ssj">Steven M. Caruso - unit 1346 - 18646 Windward Way Strongsville Oh 44136</p><p class="ssj">Terms are Cash and Credit Card Only! A $50.00 cash (only) deposit will be required for any purchase. All items purchased must be removed the same day by 5:00 pm. CubeSmart reserves the right to withdraw a unit from Public Sale at any time. The terms and conditions of sale will be made available at CubeSmart 15910 Pearl Road, Strongsville, OH 44136 on sale day. For more information, all interested parties call (440) 572-0173 between 9:30 am and 6:00 pm Monday through Friday.</p><p class="ssj">Feb18-25, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6499</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6499</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771019&mdash;Nationstar Mortgage LLC vs. Kevin R. Russell, et al.</p><p class="ssj">Kevin R. Russell, whose last known places of residence are 4836 East Thunderbird Drive, Chandler, Arizona 85249-7138 and 4670 East 86th Street, Garfield Heights, Ohio 44125-1330, otherwise whose place of residence is unknown; Jane Doe, Unknown Spouse, if any, of Kevin R. Russell, whose last known places of residence are 4836 East Thunderbird Drive, Chandler, Arizona 85249-7138 and 4670 East 86th Street, Garfield Heights, Ohio 44125-1330, otherwise whose place of residence is unknown; Yoroba K. Russell aka Yoroba K. Mays, whose last known places of residence are 4836 East Thunderbird Drive, Chandler, Arizona 85249-7138 and 4670 East 86th Street, Garfield Heights, Ohio 44125-1330, otherwise whose place of residence is unknown, will take notice that on December 9, 2011, the undersigned, Nationstar Mortgage, LLC, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 541-09-072</p><p class="ssj">Address: 4670 E. 86th Street, Garfield Heights, Ohio 44125</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 3rd day of April, 2012.</p><p class="ssj">NATIONSTAR MORTGAGE, LLC.</p><p class="bold">By Edward G. Bohnert, Ronald J. Chernek and Douglas A. Haessig, Attorneys for Plaintiff. Reimer, Arnovitz, Chernek &amp; Jeffrey Co., L.P.A., P.O. Box 968, Twinsburg, Ohio 44087, (330) 425-4201.</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6500</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6500</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">710522&mdash;Capital Source Bank FBO vs. John Sankey, et al.</p><p class="ssj">Pioneer Mortgage Company,  whose last known addresses are P.O. Box 15236, Columbus, Ohio 43215 and 306 N. Pennsylvania Avenue, Rosewell, NM 08201 and P.O. Box 130, Roswell, NM 08201 and 222 E Town Street, Columbus, Ohio 43215 and c/o MG Investments, Statutory Agent, 4424 Vogel Road, Suite 401, Evansville, IN 47715 and c/o Thomas E. Klunk, Statutory Agent, 306 E Gay Street, Columbus, Ohio 43215, and 1707 Montgomery Highway, Donthan, AL 36303, otherwise whose address is unknown; Spouse if any of June Allen, whose last known place of residence is 4053 West 49th Street, Cleveland, Ohio 44144, otherwise whose place of residence is unknown, will take notice that on November 7, 2011, the undersigned, Substitute Defendant, Deutsche Bank National Trust Company, as Trustee for Argent Securities Inc.. Asset- Backed Pass-Through Certificates Series 2005-W2, filed its answer and cross-claim in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 013-21-101</p><p class="ssj">Address: 4053 West 49th Street, Cleveland, Ohio 44144</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff Defendant further says that the Defendant, John Sankey is the owner of the hereinafter described real property, but that through inadvertence or error, the legal description as contained in the mortgage deed does not conform to the legal description as set forth above; that the intention of the parties at the time of execution of the mortgage deed was to transfer to the mortgage holder all interest the said Defendant had in and to the aforementioned described real property, but that through a scrivener's error, the legal description was not entirely and properly correct.</p><p class="ssj">Substitute Defendant requests reformation of the mortgage deed to include the correct legal description as set forth above.</p><p class="ssj">Substitute Defendant states that the Defendant, John Sankey, is the owner of the hereinafter described real property, and acquired the property through a Warranty Deed as filed in Instrument No. 200506300571; June 30, 2005, of Cuyahoga County, Ohio Records.</p><p class="ssj">Substitute Defendant states that the legal description as contained in the Warranty Deed as filed in Instrument No. 200506300571; June 30, 2005, of Cuyahoga County, Ohio Records, contains errors, and that the Defendant, John Sankey, is the owner in fee simple of the real property, as described herein, and further says that the real property described herein is commonly known as 4053 West 49th Street, Cleveland, Ohio, 44144.</p><p class="ssj">Substitute Defendant requests reformation of the Warranty Deed as filed in Instrument No. 200506300571; June 30, 2005 of Cuyahoga County, Ohio Records to include the correct legal description as set forth above.</p><p class="ssj">Substitute Defendant, Deutsche Bank National Trust Company, further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Substitute Defendant, Deutsche Bank National Trust Company, 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of substitute defendant's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 3rd day of April, 2012.</p><p class="ssj">SUBSTITUTE DEFENDANT, DEUTSCHE BANK NATIONAL TRUST COMPANY, AS TRUSTEE FOR ARGENT SECURITIES INC.. ASSET-BACKED PASS-THROUGH CERTIFICATES SERIES 2005-W2.</p><p class="bold">By Edward G. Bohnert, Attorney for Substitute Defendant. Reimer, Arnovitz, Chernek &amp; Jeffrey Co., L.P.A., P.O. Box 968, Twinsburg, Ohio 44087, (330) 425-4201.</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6501</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6501</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">775739&mdash;New York Community Bank vs. Ollie Dotson aka Ollie Dotson, et al.</p><p class="ssj">The Unknown Heirs, Devisees, their Spouses and Creditors, Legatees and the Fiduciary  of the Estate, and Spouse and Creditors, of Ollie H. Dotson, deceased, the place of residence of each being unknown, will take notice that on February 10, 2012, the undersigned, New York Community Bank, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 108-27-002</p><p class="ssj">Address: 10706 Kimberly Avenue, Cleveland, OH 44108</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 3rd day of April, 2012.</p><p class="ssj">NEW YORK COMMUNITY BANK.</p><p class="bold">By Benjamin N. Hoen, Attorney for Plaintiff.</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6502</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6502</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">775629&mdash;The Huntington National Bank vs. Melissa L. Miller aka Melissa M. Miller, et al.</p><p class="ssj">The Unknown Heirs, Devisees, their Spouses and Creditors, Legatees and the Fiduciary of the Estate and Spouses and Creditors of Carl Edward Smith, Corinne Marie Smith, John Doe, name unknown, Unknown Spouse of Corinne Marie Smith, Donald W. Miller, Diane R. Miller, the place of residence of each being unknown, will take notice that on February 9, 2012, the undersigned, The Huntington National Bank, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 022-01-128</p><p class="ssj">Address: 14127 San Diego Avenue, Cleveland, Ohio 44111</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 3rd day of April, 2012.</p><p class="ssj">THE HUNTINGTON NATIONAL BANK.</p><p class="bold">By Robert H. Young, Attorney for Plaintiff.</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6503</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6503</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771853&mdash;The Bank of New York Mellon, fka The Bank of New York, as Trustee for the Certificateholders of the CWABS Inc., Asset-Backed Certificates, Series 2006-24 vs. Kanise Lewis, et al.</p><p class="ssj">Kanise Lewis, whose last known place of residence is 1865 Allandale Avenue, East Cleveland, OH 44112, otherwise whose place of residence is unknown; Jessie L. Lewis, whose last known place of residence is 1865 Allandale Avenue, East Cleveland, OH 44112, otherwise whose place of residence is unknown, will take notice that on December 20, 2011, the undersigned, The Bank of New York Mellon, fka The Bank of New York, as Trustee for the Certificateholders of the CWABS Inc., Asset-Backed Certificates, Series 2006-24 c/o Bank of America, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $113,451.69, plus any sums advanced, with interest at 7.5% per annum from June 1, 2009, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 673-12-062</p><p class="ssj">Address: 1865 Allandale Ave., East Cleveland, Ohio 44112-2035</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 3rd day of April, 2012.</p><p class="ssj">THE BANK OF NEW YORK MELLON, FKA THE BANK OF NEW YORK, AS TRUSTEE FOR THE CERTIFICATEHOLDERS OF THE CWABS INC., ASSET-BACKED CERTIFICATES, SERIES 2006-24 C/O BANK OF AMERICA.</p><p class="bold">By David B. Bokor, Matthew P. Curry, John E. Codrea and Kristan A. Prill, Attorneys for Plaintiff. Manley Deas Kochalski, LLC, P.O. Box 165028, Columbus, OH 43216. (614) 222-4921.</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6504</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6504</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">771142&mdash;Springleaf Financial Services of Ohio, Inc., formerly known as American General Financial Services, Inc. vs. Craig M. Ross, et al.</p><p class="ssj">Craig M. Ross, whose last known places of residence are 556 Juneway Drive, Bay Village, Ohio 44140 and 9660 Richmond Circle, Boca Raton, Florida 33434, otherwise whose place of residence is unknown; Shannon Rosse, whose last known places of residence are 556 Juneway Drive, Bay Village, Ohio 44140 and 9660 Richmond Circle, Boca Raton, Florida 33434, otherwise whose place of residence is unknown; John Doe, Unknown Spouse, if any, of Helen T. Hess, whose last known place of residence and present place of residence are unknown; The Unknown Heirs at Law or Under the Will, if any, of Helen T. Hess, deceased, the place of residence of each being unknown, will take notice that on December 12, 2011, the undersigned, Springleaf Financial Services of Ohio, Inc., formerly known as American General Financial Services, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 204-01-039</p><p class="ssj">Address: 556 Juneway Dr., Bay Village, OH 44140</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff says that as a result of the mutual mistake of the parties to the General Warranty Deed as filed in Instrument Number 200308280903 of Cuyahoga County, Ohio Records, Christine Hess signed as the attorney in fact for Helen T. Hess, however, there is no power of attorney of record.</p><p class="ssj">Plaintiff further says that the parties to the General Warranty Deed as filed in Instrument Number 200308280903 of Cuyahoga County, Ohio Records intended to have the grantors convey all their interest, so that Plaintiff is entitled to a declaration by the Court that despite no recorded power of attorney by the grantors thereto, the General Warranty Deed as filed in Instrument Number 200308280903 of Cuyahoga County, Ohio Records is valid.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 3rd day of April, 2012.</p><p class="ssj">SPRINGLEAF FINANCIAL SERVICES OF OHIO, INC., FORMERLY KNOWN AS AMERICAN GENERAL FINANCIAL SERVICES, INC.</p><p class="bold">By Edward G. Bohnert, Ronald J. Chernek and Douglas A. Haessig, Attorneys for Plaintiff. Reimer, Arnovitz, Chernek &amp; Jeffrey Co., L.P.A., P.O. Box 968, Twinsburg, Ohio 44087, (330) 425-4201.</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6505</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6505</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">770522&mdash;Bank of America, N.A., Successor by Merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing LP vs. Marcel D. Albota, et al.</p><p class="ssj">Marcel Albota, whose last known place of residence is 4375 West 189th Street, Cleveland, OH 44135, otherwise whose place of residence is unknown; Jane Doe, Unknown Spouse, if any, of Marcel Albota, whose last known place of residence is 4375 West 189th Street, Cleveland, OH 44135, otherwise whose place of residence is unknown, will take notice that on December 2, 2011, the undersigned, Bank of America, N.A., Successor by Merger to BAC Home Loans Servicing, LP fka Countrywide Home Loans Servicing LP, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $55,200.00, plus any sums advanced, with interest at 7.75% per annum from April 1, 2010, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 026-21-006</p><p class="ssj">Address: 4375 West 189th Street, Cleveland, Ohio 44135</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff says that the property address was referenced as &quot;4365 West 189th Street, Cleveland, Ohio&quot; instead of &quot;4375 West 189th Street, Cleveland, Ohio&quot; on page 3 of said mortgage.</p><p class="ssj">Plaintiff states that, upon discovering the error, Plaintiff re-recorded the mortgage on February 1, 2007 as Instrument No. 200702010069 of Cuyahoga County Records, to correct the property address.</p><p class="ssj">Plaintiff is entitled to reform the originally recorded mortgage to correct the designation of the secured property address to &quot;4375 West 189th Street, Cleveland, Ohio&quot; and/or to a Declaratory Judgment finding that the incorrect property address was mistakenly reflected on the originally recorded mortgage; that the originally recorded mortgage was and remains a good, valid and enforceable first lien on the subject real estate; and that Defendant Marcel D. Albota is estopped from denying that Plaintiff's mortgage is a good, valid and enforceable first lien on the subject real estate.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 3rd day of April, 2012.</p><p class="ssj">BANK OF AMERICA, N.A., SUCCESSOR BY MERGER TO BAC HOME LOANS SERVICING, LP FKA COUNTRYWIDE HOME LOANS SERVICING LP.</p><p class="bold">By Ted A. Humbert. Attorney for Plaintiff. 4500 Courthouse Blvd., Suite 400, Stow, Ohio 44224. (330) 436-0300 - telephone, (330) 436-0301 - facsimile, email: requests@johndclunk.com</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6506</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6506</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">728667&mdash;American General Financial Services, Inc. vs. William D. Duckworth, Deceased, et al.</p><p class="ssj">William D. Duckworth, II, Unknown Spouse, of William D. Duckworth, II, whose last known place of residence and present place of residence are unknown; Alex Duckworth, Unknown Spouse of Alex Duckworth, whose last known place of residence and present place of residence are unknown; Unknown heirs, legatees, devisees, executors, executrixes, administrators, administratrixes, assignees of Malinda Duckworth, the Unknown Spouse of Malinda Duckworth, the place of residence of each being unknown; Unknown heirs, legatees, devisees, executors, executrixes, administrators, administratrixes, and assignees of Linda Duckworth, deceased, the place of residence of each being unknown; if William D. Duckworth, II and/or Alex Duckworth are deceased, the Unknown heirs, legatees, devisees, executors, executrixes, administrators, administratrixes and assignees and surviving spouse of William D. Duckworth, II and/or Alex Duckworth, the place of residence of each being unknown; Michael Jackson Trustee Bank Insurance Company,  whose last known address is 11077 Detroit Road, Cleveland, OH 44102, otherwise whose address is unknown, will take notice that on February 8, 2012, the undersigned, American General Financial Services, Inc., filed its second amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 901-32-025</p><p class="ssj">Address: 28825 Hidden Valley Drive, Orange Village, Ohio 44022</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 3rd day of April, 2012.</p><p class="ssj">AMERICAN GENERAL FINANCIAL SERVICES, INC.</p><p class="bold">By Stephen D. Miles and Vincent A. Lewis, Attorneys for Plaintiff. 18 West Monument Avenue, Dayton, Ohio 45402; (937) 461-0444.</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Miscellaneous Legal Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticemisc/details/ref_index/6507</link>
      <guid>http://www.dln.com/noticemisc/details/ref_index/6507</guid>
      <content:encoded><![CDATA[<p class="bold ssc">BAILIFF'S SALE(Case No. 10-CVG-003274)</p><p class="ssj">The State of Ohio, County of Cuyahoga, City of Berea:</p><p class="bold">By virtue of an Execution duly issued from the Berea Municipal Court, and to me directed, in the action of Columbia-Brookpark Mgmt, LLC, Plaintiff, v. James Dubois, I Tony Bialowas, Bailifff, shall offer for sale at public auction in courtroom 1 of the Berea Municipal Court, 11 Berea Commons, Berea, Ohio 44017, on the 14th day of March, 2012 at, 8:00 a.m. of said day, the mobile and/or manufactured home known as a 1972 New York Model 621, Title No. 1806172764, and located at 44 Flagler Drive, Olmsted Township, Ohio 44138.</p><p class="ssj">A deposit of a certified check, payable to the Berea Municipal Court, or cash, for ten percent (10.00%) of the purchase price will be required at the time the bid is accepted.</p><p class="ssj">The Full purchase price shall be paid to the Berea Clerk of Courts within fourteen (14) days from the date of sale, and on failure to do so, the purchaser shall be adjudged in contempt of court.</p><p class="ssj">The mobile and/or manufactured home shall not be sold for less than two-thirds of its appraised value. Appraised at: $3,500.00.</p><p class="ssj">Tony Bialowas, Bailiff of the Berea Municipal Court.</p><p class="ssj">By: Gary Lieberman, Attorney for the Plaintiff.</p><p class="ssj">Feb21,22,23, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/6508</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/6508</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">772156&mdash;Treasurer of Cuyahoga County, Ohio vs. William C. Montville, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Melva R. Montville, the place of residence of each being unknown, will take notice that on December 27, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $403.26 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 009-04-033</p><p class="ssj">PARCEL NO. 1:</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being Sublot Nos. 51 and 52 in Kees and Bruch's Valley View Allotment of part of Original Brooklyn Township Lot No. 74, as shown by the recorded plat in Volume 29 of Maps, Page 1 of Cuyahoga County Records, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Note: The above legal description was taken from a Quit Claim Deed recorded May 24, 1988 in Volume 88-2325, Page 55 of Cuyahoga County Records. Our vesting deed omits the City, County and State.</p><p class="ssc">PARCEL NO. 2:</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being the Southerly 30.00 feet of Sublot No. 50 in Kees and Bruch's Valley View Allotment of part of Original Brooklyn Township Lot No. 74, as shown by the recorded plat in Volume 29 of Maps, Page 1 of Cuyahoga County Records, said parcel being further bounded and described as follows: Beginning at a stone monument found at the intersection of the centerline of Clayton Avenue, SW, 30 feet wide, and the Easterly line of West 17th Street, 40 feet wide;</p><p class="ssj">Thence due West, 20.00 feet along the centerline of Clayton Avenue, SW to the centerline of West 17th Street;</p><p class="ssj">Thence due South, 203.30 feet along the centerline of West 17th Street to its intersection with the Southerly line of Doering Court, SW, 20 feet wide;</p><p class="ssj">Thence due West, 90.00 feet along the Southerly line of Doering Court, SW to a drill hole set at its intersection with the Easterly line of West 17th Place (formerly Doering Place, SW) 20 feet wide;</p><p class="ssj">Thence due South 150.00 feet along the Easterly line of West 17th Place to a capped 5/8&quot; iron pin set at the principal place of beginning of the parcel herein described;</p><p class="ssj">Thence due East and passing through a capped 5/8&quot; iron pin set at 85.00 feet, a total distance of 120.00 feet to the Easterly line of Sublot No. 50 in Kees and Bruch's Valley View Allotment, as aforesaid;</p><p class="ssj">Thence due South, 30.00 feet along the Easterly line of Sublot No. 50 to the Southeasterly corner thereof;</p><p class="ssj">Thence due West, 120.00 feet along the Southerly line of Sublot No. 50 to a point on the Easterly line of West 17th Place (a 5/8&quot; iron pin was found distant 0.12 feet North and 0.03 feet East of said point);</p><p class="ssj">Thence due North, 30.00 feet along the Easterly line of West 17th Place to the principal place of beginning and containing 0.0826 acres of land according to a survey by Christopher J. Dempsey, Professional Surveyor No. 6914 of Dempsey &amp; Neff, Inc. dated September 11, 2001, being the same more or less, but subject to all legal highways. Bearings shown are to an assumed meridian and are used to denote angles only.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 3rd day of April, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Adam D. Jutte, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Prosecutor Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeprosecutor/details/ref_index/6509</link>
      <guid>http://www.dln.com/noticeprosecutor/details/ref_index/6509</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">769671&mdash;Treasurer of Cuyahoga County, Ohio vs. Unknown Heirs, etc. of John Brown Jr., et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of John Brown Jr., the place of residence of each being unknown; and the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Lynette Brown, a.k.a. Lynette Brown Harris, the place of residence of each being unknown, will take notice that on November 21, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate for one year after certification as delinquent the sum of $4,908.50 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 143-23-058</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio: And known as being the Easterly 13.77 feet of Sublot No. 71 and the Westerly 39.71 feet of Sublot No. 72 in The L.H. Wolfe Corporation's Lee Road McCracken Subdivision of part of Original Lot No. 91, Warrensville Township, as recorded in Volume 89 of Maps, Page 22 of Cuyahoga County Records, and together bounded and described as follows: Being 53.48 feet on the Southerly side of Kollin Avenue, S.E., and extending back between parallel lines of equal depth 125 feet to the Southerly line of Sublots Nos. 71 and 72, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 3rd day of April, 2012.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6510</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6510</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004855&mdash;Treasurer of Cuyahoga County, Ohio vs. April Hurd, et al.</p><p class="ssj">April Hurd, whose last known place of residence is 1142 East 113th Street, Apartment DN, Cleveland, OH 44108, otherwise whose place of residence is unknown; and Unknown Spouse of April Hurd, whose last known place of residence is 1142 East 113th Street, Apartment DN, Cleveland, OH 44108, otherwise whose place of residence is unknown, will take notice that on November 3, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $4,431.09 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 109-22-106</p><p class="ssj">Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and known as being Sublot No. 127 in Knight, Richardson and Moore's Subdivision of part of Original 100 Acre Lot No. 379, as shown by the recorded plat in Volume 24 of Maps, Page 5 of Cuyahoga County Records and being 35 feet front on the Westerly side of East 113th Street (formerly Wallace Street) and extending back of equal width 110 feet, as appears by said plat, be the same more or less, but subject to all legal highways</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Anthony J. Giunta, Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6511</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6511</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004027&mdash;Treasurer of Cuyahoga County, Ohio vs. Betty Moore, et al.</p><p class="ssj">The unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Betty Moore, deceased, the place of residence of each being unknown; Unknown Spouse of Michael Moore, whose last known place of residence is 2 Gateway Center, Apartment 1310, Pittsburgh, PA 15222, otherwise whose place of residence is unknown; Janice Moore, whose last known place of residence is 842 Englewood Road, Cleveland, OH 44121, otherwise whose place of residence is unknown; and Unknown Spouse of Janice Moore, whose last known place of residence is 842 Englewood Road, Cleveland, OH 44121, otherwise whose place of residence is unknown, will take notice that on May 5, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $3,598.45 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 671-19-024</p><p class="ssj">Situated in the City of East Cleveland, County of Cuyahoga and State of Ohio: And known as being Sublot No. 64 in James Eadie's Subdivision of a part of Original Euclid Township Lot No. 3, and also part of Original 100 Acre Lot No. 366, as shown by the recorded plat in Volume 48 of Maps, Page 22 of Cuyahoga County Records, and being 40 feet front on the Westerly side of East 141st Street and extending back 120.07 feet on the Northerly line, 120.04 feet on the Southerly line and having a rear line of 40 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Board of Revision Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6512</link>
      <guid>http://www.dln.com/noticeboardofrevisionnotices/details/ref_index/6512</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">BR 004153&mdash;Treasurer of Cuyahoga County, Ohio vs. Lola A. Henley-Penland, et al.</p><p class="ssj">Lola A. Henley-Penland, whose last known place of residence is 2926 East 75th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; Unknown Spouse of Lola A. Henley-Penland, whose last known place of residence is 2926 East 75th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown; the unknown heirs, devisees, legatees, assignees, executors, administrators and legal representatives of Lola A. Henley-Penland, deceased, the place of residence of each being unknown; and Jacqueline Motley, whose last known place of residence is 2626 East 75th Street, Cleveland, OH 44104, otherwise whose place of residence is unknown, will take notice that on May 31, 2011, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Board of Revision, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $4,578.30 is due and unpaid and a first and prior lien against the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 687-10-122</p><p class="ssj">Situated in the City of Cleveland Heights, County of Cuyahoga and State of Ohio: And known as being Sublot No. 419 in the J.A. Wigmore Co.'s Cedarbrook Allotment No. 2 of part of Original Warrensville Township Lot Nos. 2 and 3 as shown by the recorded plat in Volume 69 of Maps, Page 18 of Cuyahoga County Records, and being 61.66 feet on the curved turnout between the Northerly line of Silsby Road, and the Northeasterly side of Goodner Road and extending back 121.52 feet on the Easterly line, 91.02 feet on the Westerly line, which is also the Northeasterly side of Goodner Road and having a rear line of 80 feet, as appears by said plat, be the same more or less, but subject to all legal highways.</p><p class="ssj">That this action in foreclosure proceedings is convened under provisions of Section 323.25 and/or Section 5721.18(a) and/or 323.65 - 323.78 of the Ohio Revised Code.</p><p class="ssj">Plaintiff prays that the defendants named above be required to appear on the date specified herein and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises; that the Board of Revision make such order for payment of costs incurred herein together with $430.00 for the Preliminary Judicial Report; that the Board of Revision order said property to be sold according to law, or conveyed to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78 and that an Order of Sale or Order of Conveyance be issued to the Sheriff directing him to either advertise and sell the property at public sale in the manner provided by law; or, to convey the property to an eligible township, municipality, county, or community development group pursuant to ORC 323.65 through 323.78; that thereafter a report of such sale or conveyance be made by the Sheriff to the Board of Revision for further proceedings, if any, under law, and for such other relief as in law or equity this Plaintiff may be entitled.</p><p class="ssj">All parties are required to appear for a final hearing of all matters in the complaint on May 18, 2012, at 10:00 a.m., at 1219 Ontario Street, Room 451, Cleveland, Ohio 44113.</p><p class="ssc">TREASURER OF CUYAHOGA COUNTY, OHIO.</p><p class="bold"> William D. Mason, County Prosecutor, Michael A. Kenny, Jr., Assistant County Prosecutor, Attorneys for Plaintiff.</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6513</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6513</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 176047&mdash;In the matter of the change of name of Francine Gordon Immerman.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 15, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Francine Gordon Immerman, 4 Kenwood Court, Beachwood, Cuyahoga County, Ohio 44122, to Francine Miriam Gordon.</p><p class="ssj">This application is set for hearing on the 26th day of April, 2012, at 3:00 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6514</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6514</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 176027&mdash;In the matter of the change of name of Christopher Douglas Randle, Jr., minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 15, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Christopher Douglas Randle, Jr., 1825 Windermere&deg; Street, East Cleveland, Cuyahoga County, Ohio 44112, to Christopher Douglas Jones.</p><p class="ssj">This application is set for hearing on the 5th day of April, 2012, at 2:45 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6515</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6515</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 176035&mdash;In the matter of the change of name of Shannon Kathleen Zoure.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 15, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Shannon Kathleen Zoure, 3430 Warren Road, #27, Cleveland, Cuyahoga County, Ohio 44111, to Shannon Kathleen Johnson.</p><p class="ssj">This application is set for hearing on the 30th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6516</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6516</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 176036&mdash;In the matter of the change of name of Marie Grace Pierce.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 15, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Marie Grace Pierce, 10004 St. Clair, #105, Cleveland, Cuyahoga County, Ohio 44108, to Marie Grace DeArmond.</p><p class="ssj">This application is set for hearing on the 30th day of March, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6517</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6517</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 176038&mdash;In the matter of the change of name of Isabella Rose Holyk-Sawicki, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 15, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Isabella Rose Holyk-Sawicki, 7520 Pearl Road, Middleburg Heights, Cuyahoga County, Ohio 44130, to Isabella Rose Sawicki.</p><p class="ssj">This application is set for hearing on the 5th day of April, 2012, at 3:00 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6518</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6518</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 176044&mdash;In the matter of the change of name of Sophia Noelle Smith, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 15, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Sophia Noelle Smith, 6951 York Road, Apt. #207, Parma Heights, Cuyahoga County, Ohio 44130, to Sophie Noelle Palmer.</p><p class="ssj">This application is set for hearing on the 29th day of March, 2012, at 2:00 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb21, 2012</p>]]></content:encoded>
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    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6519</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6519</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 176025&mdash;In the matter of the change of name of Andrea Londono Shishehbor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 15, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Andrea Londono Shishehbor, 3403 Old Brainard Road, Pepper Pike, Cuyahoga County, Ohio 44124, to Andrea Londono-Shishehbor.</p><p class="ssj">This application is set for hearing on the 4th day of April, 2012, at 9:00 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6520</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6520</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 176028&mdash;In the matter of the change of name of Starr Novlet Campbell, minor.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 15, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Starr Novlet Campbell, 1825 Windermer, East Cleveland, Cuyahoga County, Ohio 44112, to Starr Willow Jones.</p><p class="ssj">This application is set for hearing on the 5th day of April , 2012, at 2:45 p.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge</p><p class="ssj">Feb21, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Name Change Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticenamechanges/details/ref_index/6521</link>
      <guid>http://www.dln.com/noticenamechanges/details/ref_index/6521</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 MSC 175997&mdash;In the matter of the change of name of Angela Louise Freeman.</p><p class="ssj">To whom it may concern: you are hereby notified that on February 14, 2012, an application was filed in the Probate Court of Cuyahoga County, Ohio, to change the name of Angela Louise Freeman.</p><p class="ssj">This application is set for hearing on the 2nd day of April, 2012, at 10:30 a.m., in Room 254 of the Court House, One Lakeside Avenue, N.W., Cleveland, Ohio 44113.</p><p class="ssc">Anthony J. Russo, Presiding Judge,</p><p class="ssj">Laura J. Gallagher, Judge.</p><p class="ssj">Feb21, 2012</p>]]></content:encoded>
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    <item>
      <title>Release of Assets Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticereleaseofassets/details/ref_index/6522</link>
      <guid>http://www.dln.com/noticereleaseofassets/details/ref_index/6522</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">2012 EST 176052&mdash;In re: Estate of Philip J. Noch, deceased.</p><p class="ssj">Unknown creditors of the Estate of Philip J. Noch, deceased, the address of each being unknown, will take notice that on February 15, 2012, the undersigned, Kyle F. Noch, filed an application in the Probate Court, One Lakeside Avenue, N.W., of Cuyahoga County, Ohio 44113, for the release of assets without administration in the matter of the Estate of Philip J. Noch, deceased, late of Cleveland, Ohio, who died February 3, 2012.</p><p class="ssj">Said application is ordered set for hearing on the 2nd day of April, 2012, at 9:00 a.m., or as soon thereafter as the Court may hear the same.</p><p class="ssc">KYLE F. NOCH,</p><p class="ssj">Applicant.</p><p class="ssj">Feb21-28Mar6, 2012</p>]]></content:encoded>
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    <item>
      <title>Miscellaneous Legal Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticemisc/details/ref_index/6523</link>
      <guid>http://www.dln.com/noticemisc/details/ref_index/6523</guid>
      <content:encoded><![CDATA[<p class="bold ssc">STATE OF OHIO CERTIFICATE</p><p class="ssj">Ohio Secretary of State, Jon Husted</p><p class="ssj">502394</p><p class="ssj">It is hereby certified that the Secretary of State of Ohio has custody of the business records for PYRONICS, INC. and, that said business records show the filing and recording of:</p><p class="ssj">Document(s)</p><p class="ssj">DOMESTIC/DISSOLUTION</p><p class="ssj">Document No(s):</p><p class="ssj">201204500148</p><p class="ssj">Witness my hand and the seal of the Secretary of State of Columbus, Ohio this 14th day of February, A.D. 2012.</p><p class="ssj">JON HUSTED</p><p class="ssj">Ohio Secretary of State</p><p class="ssj">CNS-2263440#DAILY LEGAL NEWS</p><p class="ssj">Feb21-28, 2012</p>]]></content:encoded>
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    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6524</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6524</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">767125&mdash;Keybank National Association vs. Phyllis A. Slaughter, et al.</p><p class="ssj">John Doe, the Unknown Spouse, if any, of Alfreda Forte, whose last known place of residence and present place of residence are unknown, will take notice that on December 8, 2011, the undersigned, Keybank National Association, filed its supplemental complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 129-16-088</p><p class="ssj">Address: 2834 E. 126th Street, Cleveland, Ohio 44120</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 4th day of April, 2012.</p><p class="ssj">KEYBANK NATIONAL ASSOCIATION.</p><p class="bold">By Thomas J. Kelley, Attorney for Plaintiff. Cline Cook &amp; Weisenburger Co., LPA, 300 Madison Avenue, Suite 1100, Toledo, Ohio 43604-2605. (419) 321-6444.</p><p class="ssj">Feb22-29Mar7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6525</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6525</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">765992&mdash;CitiMortgage, Inc. vs. Jajuan D. Fitzgerald, et al.</p><p class="ssj">Jajuan D. Fitzgerald, whose last known place of residence is 6166 Randolph Road, Bedford Heights, Ohio 44146, otherwise whose place of residence is unknown; Jane Doe, Unknown Spouse, if any, of Jajuan D. Fitzgerald, whose last known place of residence is 6166 Randolph Road, Bedford Heights, Ohio 44146, otherwise whose place of residence is unknown; Quanna S. Hunt, whose last known places of residence are 1428 Golden Gate Boulevard, Cleveland, Ohio 44124 and 6166 Randolph Road, Bedford Heights, Ohio 44146, otherwise whose place of residence is unknown; John Doe, Unknown Spouse, if any, of Quanna S. Hunt, whose last known places of residence are 1428 Golden Gate Boulevard, Cleveland, Ohio 44124 and 6166 Randolph Road, Bedford Heights, Ohio 44146, otherwise whose place of residence is unknown, will take notice that on October 5, 2011, the undersigned, CitiMortgage, Inc., filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio alleging that there is due the plaintiff the sum of $97,530.49, plus any sums advanced, with interest at 5% per annum from May 1, 2011, on a promissory note secured by a mortgage deed of even date conveying the following described property to wit:</p><p class="ssc">Permanent Parcel No. 792-07-058</p><p class="ssj">Address: 6166 Randolph Road, Bedford Heights, Ohio 44146</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">The complaint further alleges that by reason of the default of the defendant obligors in the payment of said note according to its tenor, the conditions of said mortgage deed have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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, marshaling of liens, and sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority, and for such other relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 4th day of April, 2012.</p><p class="ssj">CITIMORTGAGE, INC.</p><p class="bold">By Edward G. Bohnert, Ronald J. Chernek and Douglas A. Haessig, Attorneys for Plaintiff. Reimer, Arnovitz, Chernek &amp; Jeffrey Co., L.P.A., P.O. Box 968, Twinsburg, Ohio 44087, (330) 425-4201.</p><p class="ssj">Feb22-29Mar7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6526</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6526</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">765513&mdash;RBS Citizens, N.A. fka Citizens Bank, N.A. Successor by Merger to CCO Mortgage Corp fka Chater One Mortgage Corp. vs. Norma M. Bejcek, et al.</p><p class="ssj">The unknown spouse, creditors, executors, executrices, administrators, heirs at law, next of kin, devisees, legatees and/or assigns and their spouses, executors, executrices, administrators, heirs at law, next of kin, devisees, legatees and/or assigns of Joseph E. Bejcek and the Actual Name unknown #1, present spouse, if any, of Norma M. Bejcek, the place of residence of each being unknown, will take notice that on January 12, 2012, the undersigned, RBS Citizens, N.A. fka Citizens Bank, N.A. Successor by Merger to CCO Mortgage Corp fka Charter One Mortgage Corp., filed its supplemental complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 023-17-047</p><p class="ssj">Address: 4645 West 147th Street, Cleveland, OH 44135</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 4th day of April, 2012.</p><p class="ssj">RBS CITIZENS, N.A. FKA CITIZENS BANK, N.A. SUCCESSOR BY MERGER TO CCO MORTGAGE CORP FKA CHARTER ONE MORTGAGE CORP.</p><p class="bold">By Roger W. Goranson, Attorney for Plaintiff. Goranson, Parker &amp; Bella 405 Madison Avenue, Suite 2200, Toledo, Ohio 43604. (419) 244-9500.</p><p class="ssj">Feb22-29Mar7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6527</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6527</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">765473&mdash;Metlife Bank, N.A. as Successor by merger to Everbank Reverse Mortgage LLC vs. Joyce Cherry aka Joyce M. Cherry, et al.</p><p class="ssj">First Reverse Financial Savings, a Subsidiary of Family Federal, whose last known address and present address are unknown, will take notice that on September 28, 2011, the undersigned, Metlife Bank, N.A. as Successor by merger to Everbank Reverse Mortgage LLC, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendant named above has or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 112-02-084</p><p class="ssj">Address: 13515 Argus Ave., Cleveland, Ohio 44110</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 4th day of April, 2012.</p><p class="ssj">METLIFE BANK, N.A. AS SUCCESSOR BY MERGER TO EVERBANK REVERSE MORTGAGE LLC.</p><p class="bold">By Larry R. Rothenberg, Attorney for Plaintiff.</p><p class="ssj">Feb22-29Mar7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6528</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6528</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">755927&mdash;Third Federal Savings and Loan Association of Cleveland vs. Tony Washtington, et al.</p><p class="ssj">Tony Washington and The Unknown Heirs, Devisees, their Spouses and Creditors, Legatees and the Fiduciary of the Estate, and Spouse and Creditors of Tony Washington, deceased, the place of residence of each being unknown, will take notice that on February 14, 2012, the undersigned, Third Federal Savings and Loan Association of Cleveland, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 121-16-052</p><p class="ssj">Address: 2245 E. 97th St., Cleveland, Ohio 44106-3555</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 4th day of April, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS AND LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Emily Honsa Hicks and Larry R. Rothenberg, Attorneys for Plaintiff.</p><p class="ssj">Feb22-29Mar7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Foreclosure Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticeforeclosures/details/ref_index/6529</link>
      <guid>http://www.dln.com/noticeforeclosures/details/ref_index/6529</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Legal Notice</p><p class="bold">755772&mdash;Third Federal Savings &amp; Loan Association of Cleveland vs. Anthony L. Walker aka Anthony Walker, et al.</p><p class="ssj">John Doe, name unknown, Unknown Spouse of Maria A. Walker, whose last known place of residence and present place of residence are unknown, will take notice that on May 20, 2011, the undersigned, Third Federal Savings &amp; Loan Association of Cleveland, filed its complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the defendants named above have or may claim to have an interest in the following described real estate to wit:</p><p class="ssc">Permanent Parcel No. 129-11-080</p><p class="ssj">Address: 2641 East 124th St., Cleveland, OH 44120</p><p class="ssj">A copy of the full legal description may be obtained from the County Auditor's Office, 1219 Ontario Street, Cleveland, OH 44113. (216) 443-7010.</p><p class="ssj">Plaintiff further alleges that by reason of the default of the defendant obligors 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 above described premises, have been broken and the same has become a deed absolute.</p><p class="ssj">Plaintiff 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 marshaling of liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.</p><p class="ssj">The defendants named above are required to answer on or before the 4th day of April, 2012.</p><p class="ssj">THIRD FEDERAL SAVINGS &amp; LOAN ASSOCIATION OF CLEVELAND.</p><p class="bold">By Benjamin N. Hoen, Attorney for Plaintiff.</p><p class="ssj">Feb22-29Mar7, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Miscellaneous Legal Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticemisc/details/ref_index/6530</link>
      <guid>http://www.dln.com/noticemisc/details/ref_index/6530</guid>
      <content:encoded><![CDATA[<p class="bold ssc">BAILIFF'S SALE(Case No. 10-CVG-003274)</p><p class="ssj">The State of Ohio, County of Cuyahoga, City of Berea:</p><p class="bold">By virtue of an Execution duly issued from the Berea Municipal Court, and to me directed, in the action of Columbia-Brookpark Mgmt, LLC, Plaintiff, v. James Dubois, I Tony Bialowas, Bailifff, shall offer for sale at public auction in courtroom 1 of the Berea Municipal Court, 11 Berea Commons, Berea, Ohio 44017, on the 14th day of March, 2012 at, 8:00 a.m. of said day, the mobile and/or manufactured home known as a 1972 New York Model 621, Title No. 1806172764, and located at 44 Flagler Drive, Olmsted Township, Ohio 44138.</p><p class="ssj">A deposit of a certified check, payable to the Berea Municipal Court, or cash, for ten percent (10.00%) of the purchase price will be required at the time the bid is accepted.</p><p class="ssj">The Full purchase price shall be paid to the Berea Clerk of Courts within fourteen (14) days from the date of sale, and on failure to do so, the purchaser shall be adjudged in contempt of court.</p><p class="ssj">The mobile and/or manufactured home shall not be sold for less than two-thirds of its appraised value. Appraised at: $3,500.00.</p><p class="ssj">Tony Bialowas, Bailiff of the Berea Municipal Court.</p><p class="ssj">By: Gary Lieberman, Attorney for the Plaintiff.</p><p class="ssj">Feb21,22,23, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6531</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6531</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">On March 09, 2012 at 10:07 A.M. CubeSmart (Formerly U-Store-It) at 1324 Hird Ave. Lakewood, Ohio 44107 with Reserve, will sell by the unit to the highest bid for CASH or Credit Card all rights, title and interest to the following property now in the possession of:</p><p class="ssj">D0096 Sara K. Jones 2448 W. 5th St. Cleveland, OH 44113</p><p class="ssj">&quot;All items in storage units contain household items unless otherwise mentioned&quot;</p><p class="ssj">Terms are Cash Only! A refundable $50.00 cash (only) deposit will be required for any purchase. All items bought must be removed the same day by 5:00 pm. CubeSmart reserves the right to withdraw a unit from Public Sale at any time. The terms and conditions of sale will be made available at CubeSmart 1324 Hird Ave. Lakewood, Ohio 44107 on sale day. For information all interested parties call (216) 228-8180 between 9:30 am and 6:00 pm Monday through Friday.</p><p class="ssj">Feb22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6532</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6532</guid>
      <content:encoded><![CDATA[<p class="bold ssc">Notice of Public Sale of Personal Property</p><p class="ssj">PS Orange Co., Inc. will sell the enclosed personal property pursuant of chapter 5322 of Ohio Revised Code. Notice is hereby given that pursuant to Section 41 of the Self Service Storage Facility Act, State of Ohio, the undersigned will sell at public auction by competitive bidding. Sales are for cash only. Removal within 24 hours. For sale on storage units in which rent and fees are past due.</p><p class="ssj">On the premises where said property has been stored and in which are located at Public Storage #26420 at 22800 Miles Rd. Bedford, Oh. 44128 (216)663-3753. The following units are up for public auction on March 8, 2012 at 11:00am:</p><p class="ssj">C015 Robert McCrary 1300 Superior #2210 Cleveland, OH. 44114 boxes, bags, stove</p><p class="ssj">C065 Kimberly Smith 25200 Rockside Rd. Apt. 302 Bedford Heights, OH. 44146 sofa, boxes, TV</p><p class="ssj">D015 Frank Jackson 14901 Turney Rd. Apt. 302 Maple Heights, OH. 44137 boxes, bags, totes</p><p class="ssj">D029 Shelia Ford 3192 E. 113rd St. Cleveland, OH. 44120 boxes, bags, tables</p><p class="ssj">D041 Myra Ancar 3513 E. 113th St. Cleveland, OH. 44105 boxes, bags, totes</p><p class="ssj">E063 Kiayana Taylor 4682 Walford #19 Warrensville Heights, OH. 44128 TV, sofa, chair</p><p class="ssj">G024 Elizabeth Andrews 90 Willard Bedford, OH. 44146 boxes, mattress, box spring</p><p class="ssj">G041 Balwinder Kaur 6549 Park North Dr. Solon, OH. 44139 boxes, bags, toys</p><p class="ssj">G063 Tiera Bryant 27601 Chagrin Blvd. APT 418 Beachwood, OH 44122 cabinet, furniture</p><p class="ssj">G102 Latoya Thomas 4680 E. 162nd St. Cleveland, OH. 44128 boxes, bags, TV</p><p class="ssj">G103 Maurice Shider 8380 Pearl Rd. Apt. 610 Strongsville, OH. 44136 dresser, chair, crib</p><p class="ssj">L001 Sarah Broadnax P.O. Box 835 Twinsburg, OH. 44087 boxes, totes, dresser</p><p class="ssj">L020 Jonas Allen 2664 Overlook Dr. Twinsburg, OH. 44087 boxes, bags, tools</p><p class="ssj">L027 Susan Brown 19976 Raymond St. Maple Heights, OH. 44137 dresser, TV, boxes</p><p class="ssj">L049 Iyesha Holman 7701 Aberdeen Ave. Cleveland, OH. 44103 TV, bikes, boxes</p><p class="ssj">On the premises where said property has been stored and in which are located at Public Storage #22001 at 2250 West 117th St. Cleveland, OH. 44111 (216)251-4097. The following units are up for public auction on March 8, 2012 at 1:00pm:</p><p class="ssj">A149 Sheila Hodge 2228 W. 104th St. Cleveland, OH. 44102 boxes, bags, totes</p><p class="ssj">A213 Arianna Austin 1802 E. 13th St. Apt. 504 Cleveland, OH. 44114 boxes, bags, totes</p><p class="ssj">A443 Lisa Kenney 4604 W. 56th Cleveland, OH. 44144 boxes, bags, table</p><p class="ssj">A522 Chermira Jones 26101 Country Club Apt. 604 North Olmsted, OH. 44070 toys, boxes, chair</p><p class="ssj">A534 Vanessa Williams 5247 Nollwood Dr. Apt. 2 Parma, OH. 44129 boxes, bags, totes</p><p class="ssj">A555 Mike Bonilla 11817 Cooley Ave. Cleveland, OH. 44111 bags, totes, tool box</p><p class="ssj">A635 Jackie Smith 4653 Blythin Ave. Garfield Heights, OH. 44125 bags, chairs, entertainment center</p><p class="ssj">A636 Douglas Wilks 4510 W. 157th St. Cleveland, OH. 44135 boxes, bags, totes</p><p class="ssj">A714 Michelle Kenton 11859 Edgewater Dr. Cleveland, OH. 44107 boxes, table, chairs</p><p class="ssj">A721 William Starr 11235 Exeter Rd. Garfield Heights, OH. 44125 boxes, sofa, dresser</p><p class="ssj">A823 Ann Kononow 11622 Madison Ave. Apt. #4 Cleveland, OH. 44102 boxes, bags, totes</p><p class="ssj">A832 Martin Keefe 155 Tahiti Rd. Marco Island, FL. 34145 boxes, bags, totes</p><p class="ssj">A929 Robert Gonzales 2413 McGee St. Fort Worth, TX. 76112 boxes, bags, totes</p><p class="ssj">B018 Dewayne Davis 3734 W. 137th Cleveland, OH. 44111 boxes, bags, sofa</p><p class="ssj">C035 Matthew Graff 2037 W. 98th St. Cleveland, OH. 44102 boxes, bags, dresser</p><p class="ssj">D064 Gabriel Miller 301 Bassett Rd. Bay Village, OH. 44140 boxes, bags, sofa</p><p class="ssj">E129 Priscilla Perkins 4107 E. 81st St. Cleveland, OH. 44105 boxes, bags, sofa</p><p class="ssj">F139 Sabrina Hamm 4478 State Rd. Apt. 4 Cleveland, OH. 44109 totes, pipes, tarp</p><p class="ssj">F148 Tonya Perez 1473 Lakewood Ave. Lakewood, OH. 44107 boxes, bags, totes</p><p class="ssj">On the premises where said property has been stored and in which are located at Public Storage #21902 at 11395 Brookpark Rd. Parma, OH. 44130 (216) 433-0363. The following units are up for public auction on March 8, 2012 at 3:00pm:</p><p class="ssj">A054 Robert Lorek 4222 W. 150th St. Cleveland, OH. 44135 boxes</p><p class="ssj">A068 Leon Duncan 5938 Stump Rd. Apt. 314-4 Parma, OH. 44130 boxes, bags, bike</p><p class="ssj">B025 G&amp;B Roofing and Maintence Co. 13936 Donald Dr. Brook Park, OH. 44142 cabinet, vacuum</p><p class="ssj">B044 Rosana Dela Cerna 800 O'Malley Dr. Apt. 301 Parma, OH. 44134 washer, dryer, bags</p><p class="ssj">B073 ShaDaryll Clark 7641 Normandie Blvd. Apt. C67 Middleburg Heights, OH. 44130 boxes, bags, totes</p><p class="ssj">C016 Keith Brown 6503 Big Creek Pkwy Parma Heights, OH. 44130 boxes, desk, dresser</p><p class="ssj">C019 Sandy Nichols 674 Prospect St. Apt. 106 Berea, OH. 44017 boxes, totes, bags</p><p class="ssj">D006 Sandra Davis 4758 Ridge Rd. Apt. 107 Brooklyn, OH. 44144 boxes, bags, totes</p><p class="ssj">E054 Beth Mikel 25157 Carlton Park Apt. 115 North Olmsted, OH. 44070 boxes, bags, totes</p><p class="ssj">E060 Glynn Urban 5151 Morning Song Dr. Medina, OH. 44256 table, dresser, foosball table</p><p class="ssj">E067 Lucia Gill P.O. Box 30407 Middleburg Heights, OH. 44130 boxes, bags, totes</p><p class="ssj">F014 April Sellers 4197 W. 20th Apt. 309 Cleveland, OH. 44109 boxes, bags, totes</p><p class="ssj">F054 Rick Catalano 26630 Bagley Rd. Olmsted Fall, OH. 44138 boxes, sofa, dresser</p><p class="ssj">G007 Sean Keys 1491 Riverside Dr. Apt. 2 Lakewood, OH. 44107 boxes, bags, tool box</p><p class="ssj">H010 Ray Mickol 7611 Jameson Rd. Parma, OH. 44129 chairs, stove, dresser</p><p class="ssj">Feb22-29, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6533</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6533</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicle will be offered for sale by Professional Financial Services at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on March 9, 2012.</p><p class="ssj">2004 Jeep Liberty 272313</p><p class="bold">By virtue of security interest, the above vehicle will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicle is sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6534</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6534</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicles will be offered for sale by Professional Financial Services at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on March 2, 2012.</p><p class="ssj">2002 Ford Escape C99936</p><p class="ssj">2005 Pontiac G6 116021</p><p class="ssj">2003 Ford Escape B042302</p><p class="bold">By virtue of security interest, the above vehicles will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicles are sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6535</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6535</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicle will be offered for sale by First Investors Servicing Corp. at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on March 2, 2012.</p><p class="ssj">2009 Kia Sorento 869042</p><p class="bold">By virtue of security interest, the above vehicle will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicle is sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6536</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6536</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicles will be offered for sale by Riversedge Investment at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on March 2, 2012.</p><p class="ssj">2002 Sunfire 1G2JB12432712B459</p><p class="ssj">1999 Intrigue 1G3WH52KGXF350815</p><p class="ssj">2000 Taurus 1FAFP56S9YG189512</p><p class="ssj">1999 Stratus 1B3EJ46X8XN572172</p><p class="ssj">2001 Gr Prix 1G2WK52J1F151990</p><p class="bold">By virtue of security interest, the above vehicles will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicles are sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb22, 2012</p>]]></content:encoded>
    </item>
    <item>
      <title>Public Sales Notices</title>
      <pubDate>Sat, 21 Jan 2012 19:15:06 -0500</pubDate>
      <link>http://www.dln.com/noticepublicsales/details/ref_index/6537</link>
      <guid>http://www.dln.com/noticepublicsales/details/ref_index/6537</guid>
      <content:encoded><![CDATA[<p class="bold ssc">NOTICE OF PUBLIC SALE</p><p class="ssj">The below listed vehicles will be offered for sale by Professional Financial Services at The Greater Cleveland Auto Auction, 5801 Engle Road, Cleveland, Ohio at 10:00 A.M. on February 24, 2012.</p><p class="ssj">2007 Ford Escape A66393</p><p class="ssj">2005 Ford 500 110398</p><p class="ssj">2004 Dodge Caravan 508780</p><p class="ssj">2001 Honda Odyssey 590773</p><p class="bold">By virtue of security interest, the above vehicles will be offered for sale. Seller reserves the right to withdraw vehicle from sale if adequate bids are not received. Vehicles are sold as is. Terms, cash and bank-certified funds.</p><p class="ssj">Feb22, 2012</p>]]></content:encoded>
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