Daily Legal News - Common Pleas Notices

  • LEGAL NOTICE

    928393—Josephti Cruz, Trustee of the Revocable Trust of Josephti Cruz vs. Charles C. Brenner, et al.

    Charles C. Brenner, Vera Belle Brenner aka Vera B. Brenner and the unknown heirs of Charles C. Brenner and Vera Belle Brenner aka Vera B. Brenner, whose last known place of residence is 3941 Newark Ave., Cleveland, Ohio 44109, otherwise whose last know place of residence is unknown, will take notice that on January 24, 2020, the undersigned, Josephti Cruz, Trustee of the Revocable Trust of Josephti Cruz, filed his complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that Plaintiff possess and is the owner of the real property and improvements commonly known as 3941 Newark Ave., Cleveland, Ohio 44109 ("Property"). The Property is more fully described as:

    Situated in the City of Cleveland, County of Cuyahoga, and State of Ohio, and known as being Sublots Nos. 192 and 193 in Rhodes, Hartnell, Barber & Shelden's Allotment of part of Original Brooklyn Township Lot No. 54, as shown by the recorded Plat in Volume 5 of Maps, Page 3 of Cuyahoga County Records, and forming a parcel of land 70.00 feet front on the Southerly side of Newark Avenue and extending back between parallel lines 125.00 feet, as appears by said Plat, be the same more or less, but subject to all legal highways.

    Permanent Parcel No. 007-29-116 and 007-29-117

    Defendant Charles C. Brenner may claim an interest in the Property, pursuant to an Ohio Quit-Claim Deed, filed with the Official Records of Cuyahoga County, bearing Document Number 200112260693.

    Defendant Charles C. Brenner has not occupied or otherwise exercised any interest in the Property since 2001 and has therefore abandoned title to the Property.

    Upon information and belief Defendants Charles C. Brenner and Vera Belle Brenner aka Vera B. Brenner are deceased.

    Plaintiff is in possession of the Property and entitled to an order quieting title in favor of Plaintiff.

    Wherefore, Plaintiff prays to be declared the true and lawful owner of the Property described above; that Plaintiff's title in and to the real estate be quieted against any claim or interest of all Defendants, if any, and all others claiming through or under them; that Defendants be required to set forth their interests or be forever barred; and that Plaintiff be awarded costs of this action and for such further legal and equitable relief as the Court deems just and proper.

    The defendant^ named above ^ required to answer on or before the 23rd day of April, 2020.

    Josephti Cruz, Trustee of the Revocable Trust of Josephti Cruz.

    By Michael K. Rieke, Attorney for Plaintiff.

    Feb20-27Mar5-12-19-26, 2020

About your information and the public record.