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PUBLIC NOTICES - MISCELLANEOUS CIVIL NOTICES

Miscellaneous Civil Notices From October 18, 2017

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LEGAL NOTICE

PURSUANT TO R.C. 163.07

The following party, namely: Unknown Transferees, Assigns, Executors, Administrators, Devisees and Heirs of the Thirty-Second Corporation and all persons claiming by, through, or under them, Addresses Unknown, will take notice that they has been named as Defendant by Jerry Wray, Director, Ohio Department of Transportation, who instituted Case No. 2017 CV 00802, now pending in the Common Pleas Court of Portage County, Ohio, which is an action to appropriate certain property for highway purposes, namely the making, constructing, repairing or improving of State Route 303, Section 0.70/1.21 and to fix the value of said property.

The property sought to be appropriated is more specifically described as follows:

PARCEL 8-T

POR-303(0.70)(1.21)

TEMPORARY EASEMENT FOR THE PURPOSE OF PERFORMING THE WORK NECESSARY TO CONSTRUCTION ACCESS & CONSTRUCT COFFERDAM FOR 12 MONTHS FROM DATE OF ENTRY BY THE STATE OF OHIO, DEPARTMENT OF TRANSPORTATION

 Situated in the City of Streetsboro, County of Portage and State of Ohio, being part of Original Streetsboro Township Lot 42, being part of a parcel of land, now or formerly owned by The Thirty-Second Corporation per Deed Volume 686, Page 31, this and all further references to the Portage County Recorder records, and be more fully decsribed as follows:

Being a parcel of land lying on the left side of the centerline of right of way of State Route 303 per a survey made by AECOM for the Ohio Department of Transportation in April of 2014, by or under the direct supervision of Dan Stankavich, P.S. 7122, as part of Ohio Improvement plan designated as POR-303-(0.70)(1.21) on file with the ODOT District 4;

Commencing at a point at the intersection of the Grantor's East line and the existing Northerly right of way line of State Route 303 (Variable width), said point being located 40.00 feet left of State Route 303 existing centerline of right of way Station 107+00.05, said point also being the True Point of Beginning for the following parcel herein described:

Thence N. 89 deg. 34' 00" W., 65.05 feet, along the existing Northerly right of way line of State Route 303, to a point being located 40.00 feet left of State Route 303 centerline of right of way Station 106+35.00; thence N. 00 deg. 26' 00" E., 60.00 feet, to a point being located 100.00 feet left of State Route 303 centerline of right of way Station 106+35.00; thence S. 89 deg. 34' 00" E., 29.95 feet, to a point on the Grantor's East line, said point being located 100.00 feet left of State Route 303 centerline of right of way Station 106+64.95; thence S. 42 deg. 33' 46" E., 37.38 feet, along the Grantor's East line, to an angle point located 72.66 feet left of State Route 303 centerline of right of way Station 106+90.45; thence S. 15 deg. 57' 23" E., 34.04 feet, along the Grantor's East line, to the point of beginning and containing 0.072 acres of land, more or less, of which 0.000 acres of land, more or less, are present road occupied. The above described area is contained entirely within Portage County Auditor Parcel Number 34-041-00-00-021.000. The above description was prepared by, or under the direct supervision of Dan Stankavich, P.S. 7122, on April 18, 2017 and is based on an actual field survey performed by AECOM by, or under the direct supervision of Dan Stankavich, P.S. 7122 in April of 2014. Bearings are grid bearings and are based on the Ohio State Plane Coordinate System, North Zone, NAD 83.

 

Pursuant to Civil Rule 12(A)(1), said persons mentioned above shall take further notice that they have 28 days after the completion of the service by publication within which to answer or otherwise defend against Plaintiff's petition.

The original of any such Answer or other pleading defending against Plaintiff's petition must be filed with the Clerk of the Common Pleas Court of Portage County, Ohio, whose office is located at 203 West Main Street, Ravenna, Ohio 44266. A copy of any such answer or other pleading defending against Plaintiff's petition must be served upon Plaintiff's attorney, namely: Eric M. Hopkins, Assistant Attorney General, at 150 East Gay Street, 22nd Floor, Columbus, Ohio 43215-3167.

A failure to answer or otherwise defend within said 28 days will result in Plaintiff, pursuant to Civil Rule 55, asking the court to grant a judgment by default against any such person who fails to answer or otherwise defend.

Jerry Wray

Director, Ohio Department of Transportation

Oct 13, 20, 2017 17-00479

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FORECLOSURE

The parties listed below whose last known address is listed below, the place of residence of each being unknown, will take notice that on the date of filing listed below, the undersigned Plaintiff filed its Complaint in the Court of Common Pleas, of Portage County, Ohio, alleging that Plaintiff is the holder of certain tax certificates (listed below), purchased from the Portage County Treasurer in conformity with statutory authority, and is vested with the first lien previously held by the State of Ohio and its taxing districts for the amount of taxes, assessments, penalties, charges and interest charged against the subject parcel. Plaintiff further alleges that the certificate redemption price of each certificate is due and unpaid, and that it has filed a Notice of Intent to Foreclose with the Portage County Treasurer, which the Treasurer has certified indicating the certificate has not been redeemed. Plaintiff further alleges that there are also due and payable taxes, assessments, penalties and charges on the subject parcel that are not covered by the certificate, including all costs related directly or indirectly to the tax certificate (including attorneys fees of the holders’ attorney and fees and costs of the proceedings). Plaintiff further alleges that it is owed the sums shown below on each tax certificate, plus interest at a rate of 17.5% per annum on the first tax certificate, from the certificate’s purchase date to the date a notice of intent was filed, and 18% thereafter and on any other subsequently purchased tax certificate which are a first and prior lien against the real estate described below, superior to all other liens and encumbrances upon the subject parcel shown below.

Plaintiff prays that the defendants named below 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 the action, including reasonable attorney fees, on the tax certificates 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 below are required to answer on or before the 22nd day of November, 2017.

By Andrew M. Tomko, attorney for Plaintiff(s), The Sandhu Law Group, LLC, 1213 Prospect Avenue, Suite 300, Cleveland, OH, 44115, (216) 373-1001, attorneys for Plaintiff(s) and/or Defendant(s) listed below.

 

2017CV00164 TAX EASE OHIO, LLC V. STANLEY GREATHOUSE, ET AL.

Date of Filing:  February 21, 2017

Published on: James Ruegg whose last known addresses are:  4100 State Route 225, Diamond, OH 44412 and 152 E. Front Street, Adrian, MI 49221 Base Lien: 2014-143 Certificate Purchase Price: $6,668.47 Additional Liens: 2015-063 Certificate Purchase Price: $1,475.78 Permanent Parcel No.: 26-104-00-00-005-000 Also known as: 4090 State Route 225, Diamond, OH 44412 (A full copy of the legal description can be found in the Portage County Recorder's office)

Oct 11, 18, 25, 2017 17-00488

 

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