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Legal Notice2024 ADV 289518—Paul R. Shugar, Guardian of the Person and Estate of Bobbie Jean Nimmons vs. Bobbie Jean Nimmons, et al.Cheyann Nimmons and Deann Nimmons, whose last known address is 5951 Marra Dr., Bedford Hts., OH 44146, otherwise whose address is unknown; Douglas Nimmons, whose last known address is 863 Lincoln Blvd., Bedford, OH 44146, otherwise whose address is unknown; and Shateeva Nimmons, whose last known address is 6030 Andover Blvd., Apt. 304, Cleveland, OH 44125, otherwise whose address is unknown, will take notice that on June 7, 2024, the undersigned, Paul R. Shugar, Guardian of the Person and Estate of Bobbie Jean Nimmons, filed a complaint in the Probate Court, 1 Lakeside Avenue, Cleveland, Ohio 44113, of Cuyahoga County, Ohio, alleging that the Court appointed Plaintiff as Guardian of the Person and Estate of Bobbie Jean Nimmons on March 27, 2024; that the Guardianship is seized in fee simple of an entire interest in the residential property located at 5951 Marra Drive, Bedford Heights, OH 44146, and further described as follows:
Permanent Parcel No. 792-06-071
Situated in the City of Bedford Heights, County of Cuyahoga and State of Ohio: and known as being Sublot No. 126 in Lee-Mar Inc., Columbus Heights Subdivision No. 2 of part of Original Bedford Township Lot No. 39, as shown by the recorded plat in Volume 183 of Maps, Page 53 of Cuyahoga County Records, and being 60 feet front on the Easterly side of Mara Drive and extending back of equal width 155 feet as appears by said plat, be the same more or less, but subject to all legal highways.
Plaintiff further says that the sale of the Guardianship's entire interest in the Property is necessary as the Ward no longer resides at the Property and it is no longer offering the Ward any benefit. As such, the Property should be sold pursuant to R.C. 2127.05 so that the proceeds from the sale may be used to provide for the Ward's benefit and best interests.
Plaintiff requests that the Court authorize him to sell the Guardianship's entire interest in the Property free of the claims, interests, liens, and rights in the expectancy of dower therein of all persons to this action, and for such other relief as Plaintiff may be entitled in the premises.
The defendants named above are required to answer on or before the 7th day of January, 2025.
Paul R. Shugar, Guardian of the Person and Estate of Bobbie Jean Nimmons.
By Michael A. Brody, Attorney for Plaintiff.Nov5-12-19-26Dec3-10, 2024
Class
135
First Run
11/05/2024
Second Run
11/12/2024
Third Run
11/19/2024
Fourth Run
11/26/2024
Fifth Run
12/03/2024
Sixth Run
12/10/2024
Case #
2024 ADV 289518
Plaintiff
Paul R. Shugar, Guardian of the Person and Estate of Bobbie Jean Nimmons
Defendant
Bobbie Jean Nimmons, et al
PPN
792-06-071