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COMMON PLEAS COURT
of PORTAGE COUNTY, OHIO

Full text of Legal Notice

LEGAL NOTICE

CARLISLE, MCNELLIE, RINI, KRAMER & ULRICH, LPA

24755 Chagrin Blvd., Suite 200

Cleveland, OH 44122

In the Court of Common Pleas, 203 West Main Street, Ravenna, Portage County, Ohio.

Case No. 2021 CV 00164.

U.S. Bank Trust National Association, Not in its individual capacity but solely as owner Trustee for REO Trust 2017-RPL1 c/o Rushmore Loan Mortgage Services, LLC, Plaintiff vs. Linda S. Misko, Individually and as Administrator of the Estate of Tory A. Misko, et al., Defendants.

Linda S. Misko, Individually and as Administrator of the Estate of Tory A. Misko and John Doe, Real Name Unknown, Real Name Unknown, the Unknown Spouse, if any, of Linda S. Misko, whose last known addresses are 4269 Alabama Ave., NW, North Lawrence, OH 44666 and 3317 Fairmount Blvd., NE, Canton, OH 44705, Dakota Misko and Jane Doe, Real Name Unknown, the Unknown Spouse, if any, of Dakota Misko, whose last known address is 6100 Melody Lane, North Canton, OH 44721, Justin Oney and Markee Oney, whose last known addresses are 134 Belvior Drive, NE, East Canton, OH 44730 and 2801 33rd Street, NE, Canton, OH 44705, will take notice that on February 12, 2021, U.S. Bank Trust National Association, Not in its individual capacity but solely as owner Trustee for REO Trust 2017-RPL1 c/o Rushmore Loan Mortgage Services, LLC, filed its Complaint against them and others in the Common Pleas Court of Portage County, Ohio, being Case No. 2021 CV 00164, alleging that the Defendants, Linda S. Misko, Individually and as Administrator of the Estate of Tory A. Misko and John Doe, Real Name Unknown, Real Name Unknown, the Unknown Spouse, if any, of Linda S. Misko, Dakota Misko and Jane Doe, Real Name Unknown, the Unknown Spouse, if any, of Dakota Misko, Justin Oney and Markee Oney, have or claim to have an interest in the real estate described below:

 

Premises commonly known as 3317 Fairmont Blvd, NE, Canton, OH 44705

Parcel No.: 205680.

 

The Plaintiff further alleges that by reason of default in the payment of the promissory note, according to its tenor, the conditions of a concurrent mortgage deed given to secure the payment of said note and conveying the premises described, have been broken and the same has become absolute.

The Plaintiff demands that the Defendant named above be required to answer and set up their interest in said real estate or be forever barred from asserting the same, for foreclosure of said mortgage, the marshaling of any liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of Plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.

Said above named Defendant will further take notice that they are required to answer the Complaint on or before May 6, 2021.

U.S. BANK TRUST NATIONAL ASSOCIATION, NOT IN ITS INDIVIDUAL CAPACITY BUT SOLELY AS OWNER TRUSTEE FOR REO TRUST 2017-RPL1 C/O RUSHMORE LOAN MORTGAGE SERVICES, LLC,

Plaintiff

By: JAMES L. SASSANO, (#0062253), BRADLEY P. TOMAN, (#0042720) and MAUREEN C. ZINK, (#0083507), its Attorneys.

Mar 25, 2021

21-00071

 

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