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  • LEGAL NOTICE

    2019 ADV 243200—Stephen W. Wolf, as Guardian of Vincent Zangara, Incompetent vs. Vincent Zangara, Incompetent, et al.

    Jacqueline Zangara, whose last known place of residence and present place of residence are unknown, will take notice that on May 6, 2019, the undersigned, Stephen W. Wolf, Guardian of Vincent Zangara, Incompetent, filed his complaint in the Probate Court, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that said ward is seized with full interest of the following real estate proposed to be sold:

    Situated in the City of Richmond Hts., County of Cuyahoga, and State of Ohio:

    And known as being Sublot 53 in Cary Jay Construction Co.'s Richmond Country Club Estates Subdivision No. 2, of part of Original Euclid Township Lot No. 33, Tract No. 12 as shown by the recorded plat Volume 162 of Maps, Page 16 of Cuyahoga County Records, and being 119.04 feet front on the Northeasterly side of Audrey Drive, and extending back 194.38 feet on the Northwesterly line, 159.89 feet on the Southeasterly line, and having a rear line of 60.08 feet as appears by said plat, be the same more or less, but subject to all legal highways.

    Permanent Parcel Number 662-16-086

    Mailing address: 443 Audrey Drive, Richmond Heights, Ohio 44143

    The sale of the real estate is necessary for the support, or payment of just debts of the ward and real estate is suffering unavoidable waste and in the best interest of the Ward pursuant to R.C. 2127.05.

    The plaintiff desires to sell the entire interest of all Defendants in said real estate, pursuant to the statutory authority granted under R.C. 2127.08

    Wherefore, Plaintiff asks the Court for authorization to sell the entire interest in the said real estate free of the claims, interest, liens, and rights of expectancy therein of all persons to this action; that he be authorized to employ a real estate broker to assist in such sale and to pay such broker the real estate commission customary in the vicinity of said real estate, and for such other and further relief which the Court deems proper.

    The defendant named above is required to answer on or before the 25th day of July, 2019.

    Stephen W. Wolf, Guardian of Vincent Zangara, Incompetent.

    By Stephen W. Wolf, Attorney for Plaintiff.

    May23-30Jun6-13-20-27, 2019

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