Login | July 27, 2026

COMMON PLEAS COURT
of PORTAGE COUNTY, OHIO

Full text of Legal Notice

LEGAL NOTICE

SASSANO, DEIGHTON

DELANEY, HIGGINS & MOMMSEN, CO. L.P.A.

4834 Richmond Rd., Suite 201

Cleveland, OH 44128

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

Case No. 2026 CV 00575.

FIG 20, LLC FBO SEC PTY, Plaintiff vs. John G Lindsey Jr, et al., Defendants.

Defendant(s John G Lindsey Jr. And Jane Doe, Real Name Unknown, the Unknown Spouse, if any, of John G Lindsey Jr , whose last known address is 6426 Lakeview Dr, Ravenna, OH 44266, will take notice that on June 11, 2026, FIG 20, LLC FBO SEC PTY, filed its Complaint in Case Number 2026CV00575, Portage County, Ohio, alleging that the defendant(s), John G Lindsey Jr. And Jane Doe, Real Name Unknown, the Unknown Spouse, if any, of John G Lindsey Jr., have or claim to have an interest in the real estate described below:

PARCEL 1:

Situated in the Township of Franklin, County of Portage, and State of Ohio: and known as being a part of original Township Lot Number 38 and more particularly known as Lot Number 148 in the Brady Lake Park Allotment as the same is platted, numbered and recorded as shown in Plat Book No. 4, Pages 5 and 6, in the Recorder's Office of Portage County. Permanent Parcel No(s).:12-038-70-16-018-000

PARCEL 2:

Situated in the Township of Franklin, County of Portage, and State of Ohio: and known as being all of Lot No. 147 of the Brady Lake Park as the same is platted and recorded in Plat Book No. 4, Pages 5 and 6, be the same more or less, but subject to all legal highways.

Permanent Parcel No(s).:12-038-70-16-019-000

Premises commonly known as: 6426 Lakeview Dr and V/L, Ravenna, OH 44266

Parcel No(s).: 12-038-70-16-019-000 and12-038-70-16-018-000

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(s) 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(s) will further take notice that they are required to answer the Complaint on or before August 28, 2026.

FIG 20, LLC FBO SEC PTY,

Plaintiff

By: JAMES L. SASSANO, (#0062253), WILLIAM L. COSTELLO, (#0040631) and MAUREEN DELANEY, (#0083507), Attorneys for Plaintiff.

Jul 17, 24, 31, 2026

26-00167

 

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