Login | April 17, 2026

COMMON PLEAS COURT
of MAHONING COUNTY, OHIO

Full text of Legal Notice

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LEGAL NOTICE

FED F. KAMENSKY

Attorney At Law

WELTMAN, WEINBERG &

REIS CO., L.P.A.

323 W. Lakeside Avenue

Suite 200

Cleveland, Ohio 44113-1099

Telephone: 1-216-363-4000

IN THE COURT OF

COMMON PLEAS,

MAHONING COUNTY, OHIO

120 Market Street

Youngstown, Ohio 44503-1751

Case No. 04CV 3491

SEVEN SEVENTEEN CREDIT UNION, INC.

PLAINTIFF,

VS.

THE UNKNOWN HEIRS, ETC OF RICHARD C. REGAN, ET AL,

DEFENDANTS.

The Unknown Heirs, Executors, Administrators, Creditors and Assigns of Richard C. Reagan and The Unknown Heirs, Executors, Administrators, Creditors and Assigns of Marcelene A. Reagan, whose last known place of residence is unknown, each of you will take notice that on the 6th day of October, 2004, the undersigned, Seven Seventeen Credit Union, Inc., filed a Complaint for Money, Foreclosure, and Other Equitable Relief in the Mahoning County Court of Common Pleas, alleging that there is due to the Plaintiff the sum of $18,617.06 plus interest at the rate of 4.5% (variable) per annum from June 15, 2004, plus late charges applicable to the terms of the Note and Mortgage, on a Promissory Note secured by a Mortgage Deed of even date conveying the following-described property, to-wit:

Situated in the City of Youngstown, County of Mahoning, State of Ohio, and known as being Lot No. 26972 according to the latest enumeration of lots in said City, as recorded in Volume 13 of Plats, Page 43, Mahoning County Records.

Said lot has a frontage of 50 feet on the Easterly line of Julian Street and extends back on its Northerly line 140 feet, and on its Southerly line 140 feet, having a rear line of 50 feet, as appears by said plat, subject to all legal highways.

Known for street numbering purposes as 2925 Julian Street, Youngstown, OH 44502

PERMANENT PARCEL NO. 53-109-243.00

The Plaintiff further alleges that by reason of the default of the Defendant obligors in the payment of said Promissory Note according to its tenor, the conditions of said Mortgage Deed have been broken and the same has become absolute.

Plaintiff prays that the Defendants named above be required to answer and set forth their interest in said real estate, or be forever barred from asserting the same, for foreclosure of said mortgage, marshalling of 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 relief as is just and equitable.

The Defendants named above are required to answer on or before the 22nd day of December, 2004.

WELTMAN, WEINBERG &

REIS CO., L.P.A.

BY:  FED F. KAMENSKY

Attorney for Plaintiff.

Oct 20,27; Nov 3,10,17,24, 2004  04-01651

 

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