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Legal Notice Eugene R. Wightman, Deceased

LEGAL NOTICE EUGENE R. WIGHTMAN, DECEASED, and the unknown spouse, heirs, devisees, legatees, assignees, executors, administrators and representatives of Eugene R. Wightman, deceased, and the unknown guardians of minor and/or incompetent heirs of Eugene R. Wightman, whose last known address was 8510 N. Kimmel Road, Clayton, OH 45315; ANTHONY R. PARFITT, DECEASED, and the unknown spouse, heirs, devisees, legatees, assignees, executors, administrators and representatives of Anthony R. Parfitt, deceased, and the unknown guardians of minor and/or incompetent heirs of Anthony R. Parfitt, deceased, whose last known address was 531 Madison Avenue, Covington, KY 41011; and WATERFIELD MORTGAGE COMPANY, INC., whose last known address was 123 W. Berry St., Fort Wayne, IN 46802, will take notice that on November 20, 2018, Plaintiff Tax Redevelopment, LLC filed its Complaint in Case No. 2018 CV 05422 in the Court of Common Pleas, Montgomery County, Ohio located at 41 N. Perry Street, Dayton, OH 45422-2150. Plaintiff alleges that it is the holder of certain delinquent real estate tax lien(s) on the property known as 3115 N Dixie Dr, Dayton, OH 45414 and identified as Montgomery County Auditor's Parcel Number E21 17403 0001 (the "Property"), and as of November 19, 2018, there is due and unpaid thereon the sum of $35,219.37, plus all accrued but unpaid interest while this case is pending, plus court costs, attorneys' fees, advances, and other charges as allowed by law. Plaintiff alleges that it is the holder of the first and best lien on the Property, that it has complied with all conditions precedent to filing this action, and that Plaintiff is entitled to have said lien(s) foreclosed and the Property sold. Plaintiff further alleges that the defendants may have or may claim to have an interest in the Property. Plaintiff's Complaint prays for the right to foreclose on the Property and that all parties be required to set forth their interest in the property or be forever barred from asserting a claim. Plaintiff therefore prays that the above listed defendants be required to answer Plaintiff's Complaint. The last date of Publication is January 6, 2019. The following defendants are required to answer Plaintiff's Complaint within twenty-eight (28) days after the last date of publication: (i) Eugene R. Wightman, Deceased, and the unknown spouse, heirs, devisees, legatees, assignees, executors, administrators and representatives of Eugene R. Wightman, deceased, and the unknown guardians of minor and/or incompetent heirs of Eugene R. Wightman; (ii) Anthony R. Parfitt, Deceased, and the unknown spouse, heirs, devisees, legatees, assignees, executors, administrators and representatives of Anthony R. Parfitt, deceased, and the unknown guardians of minor and/or incompetent heirs of Anthony R. Parfitt, deceased; and (iii) Waterfield Mortgage Company, Inc.. BY: STAGNARO, SABA & PATTERSON CO., L.P.A. Paul T. Saba, Esq. Attorney for Plaintiff 2623 Erie Avenue Cincinnati, Ohio 45208 (513) 533-5166 12-20, 12-27/2018, 1-6/2019
December 23, 2018
February 3, 2019
February 3, 2019 8:11pm