IN THE COURT OF COMMON PLEAS MONTGOMERY COUNTY, OHIO TAX EASE OH V LLC Plaintiff vs. JoAnn Warren, et al., Defendants Case No.: 2026 CV 02693 Judge: Mary E. Montgomery Legal Notice Defendant(s), JoAnn Warren And John Doe, Real Name Unknown, the Unknown Spouse, if any, of JoAnn Warren, whose last known address is 4430 Waymire Ave, Dayton, OH 45406, Randy Morris And Jane Doe, Real Name Unknown, the Unknown Spouse, if any, of Randy Morris, whose last known Addresses are 727 W. Riverview Ave., Apt 601, Dayton, OH 45406 and 5231 Cartier Dr, Pensacola, FL 32507, Jane Doe, Real Name Unknown, the Unknown Spouse, if any, of Jeffrey Morris, whose last known address is 4430 Waymire Ave, Dayton, OH 45406, Jane Doe, Real Name Unknown, the Unknown Spouse, if any, of Wesley Neil Morris, whose last known address is 4430 Waymire Ave, Dayton, OH 45406 And John Doe and/or Jane Doe, Real Name Unknown, the Unknown Heirs, Devisees, Legatees, Executors, and Assigns of Annette Shields, whose Identities and Address(es) are Unknown, will take notice that on May 6, 2026, TAX EASE OH V LLC, filed its Complaint in Case Number 2026 CV 02693, Montgomery County, Ohio, alleging that the defendant(s), JoAnn Warren, John Doe, Real Name Unknown, the Unknown Spouse, if any, of JoAnn Warren, Randy Morris, Jane Doe, Real Name Unknown, the Unknown Spouse, if any, of Randy Morris, Jane Doe, Real Name Unknown, the Unknown Spouse, if any, of Jeffrey Morris, Jane Doe, Real Name Unknown, the Unknown Spouse, if any, of Wesley Neil Morris And John Doe and/or Jane Doe, Real Name Unknown, the Unknown Heirs, Devisees, Legatees, Executors, and Assigns of Annette Shields, whose Identities and Address(es) are Unknown, have or claim to have an interest in the real estate described below: Situated in the City of Dayton, County of Montgomery, and State of Ohio, and being Lot Numbered SEVENTY THOUSAND THREE HUNDRED THIRTEEN (70313) of consecutive numbers of lots on the Revised Plat of the said City of Dayton, Ohio. Premises commonly known as: 4430 Waymire Ave, Dayton, OH 45406 Parcel No.: R72 15906 0022 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 defendants 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. The defendants named above are required to answer the complaint within twenty-eight (28) days after the last publication of this legal notice on August 6, 2026. Answer Date: September 3, 2026 TAX EASE OH V LLC /s/ William L. Costello By: William L. Costello (0040631) James L. Sassano (0062253) Maureen Delaney (0083507) Attorneys for Plaintiff Sassano, Deighton, Delaney, Higgins & Mommsen Co., L.P.A. 4834 Richmond Rd, Suite 201 Cleveland, OH 44128 216-360-7200 Phone 216-360-7210_Facsimile montgomerymail@carlisle-law.com 7-23 7-30, 8-6/2026


