LEGAL NOTICE The Unknown Heirs at Law, Devisees, Legatees, Administrators, and Executors of the Estate of Goldie A. Lawson, deceased, whose last place of residence is unknown, but whose present place of residence is unknown, Unknown Spouse, if any, of Goldie A. Lawson, whose last place of residence is known as 9137 Deardoff Road, Franklin, OH 45005 but whose present place of residence is unknown, and Aames Funding Corporation dba Aames Home Loan, whose last place of residence is known as 350 South Grand Avenue, Los Angeles, CA 90071 but whose present place of residence is unknown, will take notice that on June 10, 2026, U.S. Bank Trust Company, National Association, as Trustee, as successor-in-interest to U.S. Bank National Association, as Trustee, in trust for registered holders of First Franklin Mortgage Loan Trust, Mortgage Loan Asset-Backed Certificates, Series 2007-FF2, filed its Complaint in Foreclosure in Case No. 26CV100932 in the Court of Common Pleas Warren County, Ohio alleging that the Defendants, The Unknown Heirs at Law, Devisees, Legatees, Administrators, and Executors of the Estate of Goldie A. Lawson, deceased, Unknown Spouse, if any, of Goldie A. Lawson, and Aames Funding Corporation dba Aames Home Loan, have or claim to have an interest in the real estate located at 9137 Deardoff Road, Franklin, OH 45005, PPN #0427376004. A complete legal description may be obtained with the Warren County Auditor's Office located at 406 Justice Drive, Lebanon, OH 45036. The Petitioner further alleges that by reason of default of the Defendant(s) in the payment of a 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 Petitioner prays 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 marshalling of any liens, and the· sale of said real estate, and the proceeds of said sale applied to the payment of Petitioner's claim in the property order of its priority, and for such other and further relief as is just and equitable. THE DEFENDANT(S) NAMED ABOVE ARE REQUIRED TO ANSWER ON OR BEFORE THE 14TH DAY OF SEPTEMBER, 2026 BY: CLUNK, HOOSE CO., LPA Ethan J. Clunk #0095546 Attorneys for Plaintiff-Petitioner 495 Wolf Ledges Pkwy Akron, OH 44311 (330) 436-0300 - telephone (330) 436-030 I - facsimile notice@clunkhoose.com 8-2, 8-9, 8-16/2026


