Daily Legal News - Common Pleas Notices
940621—Harriett Walemba vs. Chiquita Bellamy, et al.
Unknown spouses of James Kimber, Icie Mae Kimber, and Mattie Cunningham; and Misty Cunningham, all of who's last known and present addresses are unknown, will take notice that on April 8, 2021, the undersigned, Harriett Walemba, filed her second amended complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that Defendants Chiquita Bellamy and Nicholas McClinton's fraudulently attempted to convey the property at 638 East 125th Street, Cleveland, OH 44108, Parcel No. 110-06-031 ("Property") to Donald Belcher via Quitclaim deed after the Property was already sold and transferred to her via delivery of a deed.
Plaintiff owns and possesses the Property, more particularly described as:
Situated in the City of Cleveland, County of Cuyahoga and State of Ohio:
And known as being Sublot No. 12 in George M. Hick's Subdivision, and Glenville Addition of part of Original 100 Acre Lot No. 365, as shown by the recorded plat in Volume 20 of Maps, Page 23 of Cuyahoga County Records, and together forming a parcel of land 40 feet front on the Westerly side of East 125th Street (formerly Rosemer Avenue) and extending back of equal width 126 feet, as appears by said plat, be the same more or less, but subject to all legal highways. And known as Permanent Parcel Number: 110-06-031
Wherefore, Plaintiff prays:
As to Count I, for an order quieting Plaintiff's title to the Property, costs, and all other legal and equitable relief deemed just and proper.
As to Count II, against Defendants Bellamy and Belcher, for an order to set aside, invalidate, and rescind the deed from Void Conveyance, costs, and all other legal and equitable relief deemed just and proper.
As to Count III, against Defendants Bellamy and McClinton for compensatory and punitive damages in excess of $25,000, legal fees, interest and costs, and other legal and equitable relief deemed just and proper.
As to Count IV, against Defendant Bellamy, for compensatory damages in excess of $25,000, interest and costs, plus any other and further relief deemed just and equitable.
As to Count V, against Defendant Belcher, for compensatory damages and attorney fees pursuant to R.C. 5321.15
The defendants named above are required to answer on or before the 30th day of June, 2021.
By Brian C. Mulhall and Nathan B. Zion, Attorneys for Plaintiff.