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    2020 ADV 253426—Anthony W. Kerber, Administrator of the Estate of Warren C. Kelbacher vs. Unknown Heirs.

    The unknown heirs of the Estate of Warren C. Kelbacher, the address of each being unknown, will take notice that on July 30, 2020, the undersigned, Anthony W. Kerber, Administrator of the Estate of Warren C. Kelbacher, deceased, filed his complaint in the Probate Court 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that said decedent died seized in fee simple of the following described real estate, to-wit:

    Permanent Parcel No. 012-03-027

    Situated in the City of Cleveland, County of Cuyahoga and State of Ohio, and known as Sublot No. 56 in The M.J. Herr Company's Memphis Heights Subdivision of a part of Original Brooklyn Township, Lot No. 43, as shown by the recorded plat in Volume 73 of Maps, Page 36 of Cuyahoga County Records.

    Subject to all legal highways and also subject to the covenants and restrictions as contained in the Deed from The M.J. Herr Company to The Memphis Heights Company, dated September 26, 1932, same being Land Title Registration Document No. 72386.

    Also subject to the conditions, and easement as contained in the Deed from The Memphis Heights Realey Company to Jack Kelman, same being Land Title Registration Document No. 96933.

    Also subject to the agreement between the City of Cleveland and The M.J. Herr Company, its successors and assigns, and shown on the recorded plat of said Subdivision providing that the building lines shown on said plat shall be enforced.

    Plaintiff further says that the Estate needs to sell the real estate in order to obtain funds to pay decedent's bills and debts; to proceed with the administration of the estate; to avoid further damage to the realty, the expense and maintaining the upkeep of the realty, i.e. lawn and general exterior maintenance, utilities, insurance, etc.; the fact that the continued vacancy of the realty only increases a further diminishment of its potential sale value; and the remaining vacancy of the realty creates and increases the very real possibility of the realty being subject to vandalism as it remains vacant.

    Plaintiff demands that the real estate be sold; that the rights, interests and liens of all parties may be fully determined, adjusted and protected; and that Plaintiff be authorized and ordered to sell the real estate according to the statutes in such case made and provided, and for such other relief for which they may be entitled.

    The defendants named above are required to answer on or before the 29th day of October, 2020.


    By Anthony W. Kerber, Attorney for Plaintiff.

    Aug27Sep3-10-17-24Oct1, 2020

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