Daily Legal News - Prosecutor Notices

  • Legal Notice

    907609—Treasurer of Cuyahoga County, Ohio vs. Donald E. McCants II, et al.

    Donald E. McCants II, whose last known place of residence is 1581 Charteridge Drive, Apt. 2, Fairborn, OH 45324, otherwise whose place of residence is unknown; and Buckeye State Credit Union, Inc. f.k.a. Shaker Community Credit Union, Inc. f.k.a. The Shaker Heights Teachers Credit Union Inc. a.k.a. The Shaker Heights Teachers Credit Union, Inc. n.k.a. Buckeye State Credit Union, Inc., whose last known address is c/o John Nelson, Statutory Agent, 155 East Voris Street, Akron, OH 44311, otherwise whose address is unknown, will take notice that on November 29, 2018, the undersigned, Treasurer of Cuyahoga County, Ohio, filed his complaint in the Court of Common Pleas, 1200 Ontario Street, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that by reason of default of the defendants in the payment of taxes, assessments, penalties and the interest upon real estate as delinquent the sum of $5,114.78 is due and unpaid and a first and prior lien against the following described real estate to wit:

    Permanent Parcel No. 763-32-399

    Situated in the City of Cleveland, County of Cuyahoga and State of Ohio and also known and described as and known as being all of family units no. 99 together with an undivided .696% interest in and to all the common areas and facilities and limited common areas and facilities in Cranbrook Meadows Condominium as shown by the drawings recorded in Volume 1 of Condominium Maps, Pages 25 and 40 by Cuyahoga County Records, and as further described by the declaration and by-laws of said condominium recorded in Volume 11342, Page 1 of Cuyahoga County Records, together with and subject to all the rights, duties, conditions, restrictions and limitations contained in the declaration and by-laws and drawings referred to above and incorporated herein as though set forth in full together with the right to use the common areas, but subject to all legal highways.

    Plaintiff prays that the defendants named above be required to answer and set up their interest in said premises or be forever barred from asserting the same; that all taxes, assessments, penalties and interest due and unpaid, together with the costs of certificate of title, be found to be a good and valid first lien on said premises, that the equity of redemption of said premises be foreclosed, said premises sold as provided by law, and for such other relief as is just and equitable.

    The defendants named above are required to answer on or before the 3rd day of May, 2019.


    By Michael C. O'Malley, County Prosecutor, Hannah Singerman, Assistant County Prosecutor, Attorneys for Plaintiff.

    Mar22-29Apr5, 2019

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