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In the Court of Common Pleas Montgomery County

IN THE COURT OF COMMON PLEAS MONTGOMERY COUNTY, OHIO TAX EASE OHIO II LLC Plaintiff vs. DENNIS D. DILLON, et al. Defendants CASE NO. 2020 CV 00541 JUDGE: TIMOTHY N. O'CONNELL LEGAL NOTICE FOR SERVICE BY PUBLICATION To: Dennis D. Dillion and Unknown Spouse, if any, of Dennis D. Dillion, Name Unknown, you will take notice that on the 17th day of February, 2020, Plaintiff, filed a Supplemental Complaint for foreclosure in the Montgomery County Court of Common Pleas, 41 North Perry Street, Dayton, OH 45402-1431, being Case No. 2020 CV 00541, alleging that there is due to the Plaintiff on Tax Certificate No. 2018-0000000042, the principal amount of $4,480.34, plus interest at 17.50% from February 27, 2018 through December 16, 2019, plus interest at 18.00% per annum thereafter. On Tax Certificate No. 2018-0000000717, the principal amount of $2,415.36, plus interest at 18.00% from November 21, 2018. Plus additional amounts as may accrue during the pendency of this action as is allowed by Ohio Revised Code Sections 5721.30 through 5721.41 or otherwise; plus attorney fees and additional amounts due which are secured by the Tax Lien Certificates on the real property, which has a street address of 7342 Brandt Pike, Dayton, OH 45202, being permanent parcel number Parcel No. P70 01106 0004. Plaintiff further alleges that the Tax Certificate(s) be deemed a valid first statutory lien on the Property pursuant to ORC §5721.10 and §5721.35, and otherwise, for the amount owing, together with Plaintiff's advances for demolition and other costs, the amount owing on subsequent tax certificates acquired by Plaintiff concerning the Property, taxes, assessments, and other charges, costs and attorneys' fees; and by reason of a default in payment by Burl R. Maynard Jr., for amounts due pursuant to the Tax Lien Certificates; Plaintiff alleges such lien(s) are entitled to be foreclosed, that the Court make findings in accordance with ORC §5721.39 (A) and (B), and that unless the amount found due, including Plaintiff's attorneys' fees and costs relating directly or indirectly to the Tax Certificate(s), be tendered to the Plaintiff prior to the filing of an Entry of Confirmation of Sale in this matter, the equity of redemption of all defendants be foreclosed. Plaintiff prays that the Defendant named above be required to answer and assert any interest in said real property or be forever barred from asserting any interest therein, for foreclosure of said mortgage, marshalling of liens, and the sale of said real property, and that the proceeds of said sale be applied according to law. Said Defendant is required to file an Answer on or before the 12th day of August, 2020. By: Nathan Duvelius, Attorney for Plaintiff Tax Ease Ohio II LLC c/o Weltman, Weinberg & Reis Co., LPA 525 Vine Street, Suite 800 Cincinnati, OH 45202 7-1,7-8,7-15/2020
July 1, 2020
August 12, 2020
August 12, 2020 8:05pm