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In the Court of Common Pleas Butler County

IN THE COURT OF COMMON PLEAS BUTLER COUNTY, OHIO FIFTH THIRD BANK, NATIONAL ASSOCIATION Plaintiff vs. UNKNOWN SPOUSE, IF ANY, OF THELMA J. DUVALL, et al. Defendants CASE NUMBER: CV 2019 04 0663 JUDGE: J. GREGORY HOWARD LEGAL NOTICE IN SUIT FOR FORECLOSURE OF MORTGAGE Karen Harbin, Kevin Harbin, Unknown Heirs, Devisees, Legatees, Administrator, Assignees, if any, of Thelma J. DuVall, Unknown Spouse, if any, of Thelma J. DuVall, John Doe, name unknown, spouse of Karen Harbin, Jane Doe, name unknown, spouse of Kevin Harbin and W. Cory Phillips, Esp, Special Administrator to the Estate of Thelma J. DuVall aka Thelma Jean DuVall, whose current address is unknown, will take notice that on April 1, 2019 the Plaintiff, Fifth Third Bank, National Association, filed its Complaint in the Court of Common Pleas of Fifth Third Bank, National Association, Ohio, in Case No. Butler, seeking foreclosure of its mortgage lien in the following described real estate to wit: Property Address: 5523 Ponderosa Dr., Fairfield, OH 45014 THE FOLLOWING DESCRIBED REAL PROPERTY SITUATED IN THE COUNTY OF BUTLER, AND STATE OF OHIO, TO-WIT: ENTIRE LOT NUMBER 5647 AS THE SAME IS KNOWN AND DESIGNATED UPON THE LIST OF LOTS FOR THE CITY OF FAIRFIELD, BUTLER COUNTY, OHIO; SUBJECT TO CONDITIONS, EASEMENTS, AND RESTRICTIONS OF RECORD. BEING THE SAME PROPERTY CONVEYED TO THELMA J. DUVALL, ENTIRE ONE-HALF (1/2) INTEREST BY CERTIFICATE OF TRANSFER FROM ESTATE OF ROBERT E. DUVALL, DECEASED AS RECORDED 01/21/2003 IN BOOK 6996 AT PAGE 1741 AS DOCUMENT 200300007580. BEING THE SAME PROPERTY CONVEYED TO ROBERT E. DUVALL AND THELMA J. DUVALL BY CORPORATION DEED FROM FAIRHAVEN BUILDERS, INC. AN OHIO CORPORATION AS RECORDED 6/30/1975 IN BOOK 1170 AT PAGE 263 AS DOCUMENT 180028. Parcel No.: A0700-079-000-102 The above named Defendants are required to answer the Plaintiffs Complaint within twenty-eight (28) days after the last date of publication of this notice, which shall be published one a week for three consecutive weeks. In the event that the above named Defendants fail to respond in the allotted time, judgment by default can be entered against them for the relief requested in the Plaintiffs Complaint without further hearing. Isl Sarah A. Okrzynski Sarah A. Okrzynski OH Bar #0076571 Pamela S. Petas OH Bar #0058627 Attorneys for the Plaintiff The Law Office of Sarah A. Okrzynski, LLC PO Box 18638 Erlanger, KY 41018 Ph: (859) 360-2250 Fax: (888) 803-3259 foreclosure@saolawoffice.com 2-8,2-15,2-22/2020
February 8, 2020
March 21, 2020
February 22, 2020 10:50am