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Public Notice in the Court of Common Pleas

PUBLIC NOTICE IN THE COURT OF COMMON PLEAS BUTLER COUNTY, OHIO CASE NO. CV 2018 10 2258 DEUTSCHE BANK NATIONAL TRUST COMPANY, AS TRUSTEE FOR CDC MORTGAGE CAPITAL TRUST 2003-HE2, MORTGAGE PASS-THROUGH CERTIFICATES, SERIES 2003-HE2 -VS- JOSHUA J. HIBBARD, ET AL. DEFENDANTS. Joshua J. Hibbard whose last known addresses are: 17 Elmont Avenue, Hamilton, OH 45013 and 228 Gordon Avenue, Hamilton, OH 45013, and who cannot be served, will take notice that on October 18, 2018, Plaintiff filed a Complaint for Money, Foreclosure and other Equitable Relief in the Butler County Court of Common Pleas, Butler County, Ohio, Case No. CV 2018 10 2258 against Joshua J. Hibbard and others as Defendants, alleging that, Joshua J. Hibbard is/are in default for all payments from December 1, 2017; that on October 24, 2014, Joshua J. Hibbard, executed and delivered a certain Land Contract in which said Defendants agreed, among other things, to comply with all of the terms of the Land Contract, hereinafter described, and that further, the balance due on the Land Contract is $38,858.68 with interest at the rate of 9.9% per annum from December 1, 2017; that to secure the payment of the Land Contract upon the following described premises: Situated in the State of Ohio, in the County of Butler, and in the City of Hamilton: Commonly known as: 17 Elmont Avenue, Hamilton, OH 45013 and further alleging that the aforesaid Land Contract is a valid and subsisting first and best lien upon said premises after the lien(s) of the Treasurer; that the Note is in default, whereby the conditions set forth in the Land Contract have been broken, that the Land Contract has become absolute and that Plaintiff is entitled, therefore, to have the Land Contract foreclosed, the premises sold, and the proceeds applied in payment of Plaintiff's claims; that the Defendant, Joshua J. Hibbard, among others, may have or claim to have some interest in or lien upon said premises; that all of the Defendants are required to set forth any claim, lien or interest in or upon the premises that he, she, or it may have or claim to have or be forever barred therefrom; that Plaintiff's Land Contract be declared to be a valid and subsisting first and best lien upon said premises after the lien of the Treasurer, if any, that its Land Contract be foreclosed; that all liens be marshaled; that the equity of redemption of all Defendants be forever cut off, barred, and foreclosed; that upon the sale of said premises the proceeds be paid to Plaintiff to satisfy the amount of its existing lien and the interest, together with its disbursements, advancements, and costs herein expended; and for such other and further relief to which is may be entitled in equity or at law. Defendants are further notified that they are required to answer the Complaint on or before August 15, 2019 which includes twenty-eight (28) days from the last publishing, or judgment may be rendered as prayed for therein. Submitted by: Mark M. Schonhut (0093698), Sandhu Law Group, LLC, 1213 Prospect Avenue, Suite 300, Cleveland, OH 44115, 216-373-1001, Attorney for Plaintiff 6-13, 6-20, 6-27, 7-4, 7-11, 7-18/2019
June 13, 2019
August 15, 2019
August 15, 2019 8:10pm