Daily Legal News - Common Pleas Notices
904863—Lewellen Homes One LLC vs. Dorothy Woodley.
Dorothy Woodley; Unknown Spouse, if any, of Dorothy Woodley; Unknown Heirs of Dorothy Woodley; Unknown Heirs of Ebenezer Woodley, the place of residence of each being unknown, will take notice that on October 9, 2018, the undersigned, Lewellen Home One LLC, filed its amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that Plaintiff is record owner and is in possession of the subject real property commonly known as 14720 Ohio Avenue, Cleveland, Ohio 44128 PPN 142-26-031 (the "Property") by virtue of a warranty deed recorded on November 5, 2004 as Document No. 201703240432, in the records of Cuyahoga County, Ohio (the "Plaintiff's Deed").
On or about September 29, 1995, PPN 142-26-30 was surveyed, split and consolidated with PPN 142-26-31 to create the Property, said survey being filed for record in Volume 95-11144, Page 22, in the records of Cuyahoga County, Ohio (the "Survey").
On or about February 14, 2017, Miles Heights executed and delivered a warranty deed conveying the Property to OH Capital Partners I, LLC ("OH Capital"), said warranty deed being filed for record as Document No. 201703030508, in the records of Cuyahoga County, Ohio (the "OH Capital Deed").
On or about March 3, 2017, OH Capital executed and delivered the above referenced Plaintiff's Deed conveying the Property to Plaintiff.
Defendant, Dorothy Woodley, Unknown Spouse, if any, of Dorothy Woodley, Unknown Heirs of Dorothy Woodley, and/or the Unknown Heirs of Ebenezer Woodley may claim some interest in the Property by virtue of Ebenezer Woodley's interest in Defendant's Deed, which was never conveyed to Miles Heights.
Plaintiff has a right to a declaration of quiet title to the Property by virtue of the fact that it is currently in title and in possession of the Property.
The claims of Defendants, in any, are adverse to Plaintiff and accordingly, Plaintiff is entitled to a declaration that its title to the Property be quieted as against Defendants.
Wherefore, plaintiff, Lewellel Homes One LLC demands a declaratory judgment (a) that Plaintiff's title to the Property be quieted as against Defendants and all others claiming through or under it; (b) that Defendants be required to set up their interests in the Property, or be forever barred; (c) that Plaintiff recover its costs of this action; and (d) that Plaintiff be awarded such other legal and equitable relief to which Plaintiff which may be entitled.
The defendants named above are required to answer on or before the 20th day of December, 2018.
LEWELLEL HOMES ONE LLC.
By Colin R. Beach and Adam A. Beane, Attorneys for Plaintiff.