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Notice of Publication - Case No. 2019 CV

Notice of Publication - Case No. 2019 CV 02201 Dayton Daily News PUBLIC NOTICE IN THE COURT OF COMMON PLEAS MONTGOMERY COUNTY, OHIO, 41 N. PERRY STREET, DAYTON, OHIO 45422, CASE NO. 2019 CV 02201, TEMORA L. HOUSE, PLAINTIFF -VS- JOYCE JESTER, ET AL., DEFENDANTS. Joyce Jester, whose last known address is: 1485 W. 3rd Avenue, Columbus, Ohio 43212-2850, Laverne Dumay, whose last known address is: 3214 W. Desert Lane, Laveen, Arizona, 85339-3831, Gloria Colclough, whose last known address is: 1567 Norris Lake Drive, Snellville, Georgia, 30039-5735, and each of Joyce Jester, Laverne Dumay, and Gloria Colcough's respective Unknown Spouses, Heirs, Assigns, Legatees, and Devisees, whose addresses are unknown and cannot, with reasonable diligence, be ascertained; Lander Lee Tender, whose last known address is: 6123 Sabine Drive, Fayetteville North Carolina 28303-6322, Alleged Spouse of Omega Caudle, aka Omega Tender, and her other Unknown Spouses, Heirs, Assigns, Legatees, and Devisees, whose addresses are unknown and cannot, with reasonable diligence, be ascertained; Unknown Spouses, Heirs, Assigns, Legatees, and Devisees of Willie Caudle, Deceased, whose addresses are unknown and cannot, with reasonable diligence, be ascertained; Unknown Spouses, Heirs, Assigns, Legatees, and Devisees of Hughston Sinkfield, Deceased, whose addresses are unknown and cannot, with reasonable diligence, be ascertained; Defendants, John Does 1-99, whose addresses are unknown and cannot, with reasonable diligence, be ascertained; and Defendants ABC Companies 1-50, whose addresses are unknown and cannot, with reasonable diligence, be ascertained, all and each of whom cannot be served; will take notice that on May 14, 2019, Plaintiff filed a Complaint for Quiet Title, Contribution, and Declaratory Judgment in the Montgomery County Court of Common Pleas, Montgomery County, Ohio, Case No. 2019 CV 02201, against the aforementioned Defendants, praying for quiet title, contribution, and such other relief to which Plaintiff is or may be entitled in equity or at law, in the in the real estate described below: Parcel 1, being Montgomery County, Permanent Tax Parcel No. R72 09810 0006, aka 00 Rush Street, Dayton, Ohio 45417; Parcel 2, being Montgomery County, Permanent Tax Parcel No. R72 09810 0005, aka 26 Rush Street, Dayton, Ohio 45417; Parcel 3, being Montgomery County, Permanent Tax Parcel No. R72 09810 0007, aka 16 Rush Street, Dayton, Ohio 45417; all three parcels of which are more particularly described in the Complaint; alleging that Defendants may have or claim to have some interest in or lien upon the real estate; that all of the Defendants are required to set forth any claim, lien or interest in or upon the real estate, that he, she, or it may have or claim to have or be forever barred therefrom. Defendants are further notified that they are required to answer the Complaint on or before the 24th day of July, 2019, which includes twenty-eight (28) days from the last publishing, or judgment may be rendered as prayed for therein. Submitted by: R. Jason Howard, Attorney at Law, Howard Law Office, 4130 Linden Avenue, Suite 304, Dayton, OH 45432-3033, (937) 262-7600, Attorney for Plaintiff 5-22,5-29,6-5,6-12,6-19,6-26/2019
May 22, 2019
July 24, 2019
July 24, 2019 8:05pm