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COMMON PLEAS COURT
of MAHONING COUNTY, OHIO

Full text of Legal Notice

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LEGAL NOTICE

JOHN D. CLUNK

TED A. HUMBERT

TIMOTHY R. BILLICK

ROBERT R. HOOSE

MICHAEL L. WIERY

CHARLES V. GASIOR

Attorneys At Law

JOHN D. CLUNK CO., LPA

5601 Hudson Drive, Suite 400

Hudson, Ohio 44236

Telephone: 1-330-342-8203

IN THE COURT OF

COMMON PLEAS,

MAHONING COUNTY, OHIO

120 Market Street

Youngstown, Ohio 44503-1751

Case No. 06CV 2477

ARGENT MORTGAGE COMPANY, LLC

PLAINTIFF,

VS.

PAUL WALTON, ET AL.

DEFENDANTS.

Paul Walton, whose last place of residence is known as 12218 Ashbury Avenue, Cleveland, Ohio 44106-0443, but whose present place of residence is unknown, and Felicia Walton, whose last place of residence is known as 12218 Ashbury Avenue, Cleveland, Ohio 44106-0443, but whose present place of residence is unknown, will take notice that on the 29th day of June, 2006, Argent Mortgage Company, LLC, filed its Complaint in Case No. 06CV 2477 in the Court of Common Pleas, Mahoning County, Ohio, alleging that the Defendants, Paul Walton and Felicia Walton, have or claims to have an interest in the real estate described below:

Situated in the City of Youngstown, County of Mahoning and State of Ohio:

Known as being Youngstown City Lot Number 34301 in Glenwood Manor as shown by the recorded plat of said Subdivision in Volume 19 of Maps, Page 11, Mahoning County Records. Said Youngstown City Lot Number 34301 has a frontage of 40 feet on the Northerly side of West Delason Avenue and extends back between parallel lines 100 feet on the Easterly line 100 feet on the Westerly line and has a rear line of 40 feet as appears by said Plat.

Known for street numbering purposes as 518 W. Delason Avenue, Youngstown, Ohio 44511

PERMANENT PARCEL NO. 53-059-0-383.00-0

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 proper 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 23rd DAY OF NOVEMBER, 2006.

THE LAW OFFICES OF

JOHN D. CLUNK CO., LPA

BY:  JOHN D. CLUNK, #0005376

TED A. HUMBERT, #0022307

TIMOTHY R. BILLICK, #0010390,

ROBERT R. HOOSE, #0074544,

MICHAEL L. WIERY, #0068898,

CHARLES V. GASIOR, #0075946,

Attorneys for Plaintiff-Petitioner.

Sep 21,28; Oct 5,12,19,26, 2006    06-01828

 

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