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COMMON PLEAS COURT
of MAHONING COUNTY, OHIO

Full text of Legal Notice

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LEGAL NOTICE

COLIN R. BEACH

Attorney At Law

LIKENS & BLOMQUIST, P.A.

3700 Corporate Drive, Suite 120

Columbus, Ohio 43231

Telephone: 1-614-818-2573

IN THE COURT OF

COMMON PLEAS,

MAHONING COUNTY, OHIO

120 Market Street

Youngstown, Ohio 44503-1751

Case No. 06CV 4900

ONE SOURCE MORTGAGE

PLAINTIFF,

VS.

FRANK BRENNER, ET AL

DEFENDANTS.

Frank Brenner, whose place of residence is unknown and who cannot be served within the State of Ohio, will take notice that on the 26th day of December, 2006, One Source Mortgage ("Plaintiff"), filed a Complaint in the Court of Common Pleas of Mahoning County, Ohio, in Case Number 06CV 4900 against Frank Brenner and others as Defendants, demanding Judgment in the sum of $59,714.35 plus interest and costs and for foreclosure of the Mortgage recorded as Document Number 200300010845, Mahoning County, Ohio Records; all relating to a certain real property:

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

And known as being Lot Number Twenty-six Thousand Five Hundred Thirteen (26513) according to the latest enumeraion of lots in said City, fka Sublot Number 612 in Plat No. 5 of Powerstown as recorded in Volume 15 of Plats, Page 8, Mahoning County Records.

Said lot has a frontage of Forty (40) feet on the west line of Lenox Avenue and extends back on its North line One Hundred Twenty-five (125) feet, and on its South line One Hundred Twenty-five (125) feet, having a rear line of Forty (40) feet, as appears by said plat, be the same more or less, but subject to all legal highways.

As currently set forth in Volume 5317, Page 2740, Recorded 04/18/2003.

PERMANENT PARCEL NO.: 53-069-452.00

PROPERTY LOCATION: 3436 Lenox Avenue, Youngstown, OH 44502.

The Complaint further demands that all Defendants be required to set forth any claim, lien or interest asserted in the property, or be forever barred; that Plaintiff's Mortgage be declared to be a vaild first and best lien upon the property; that Plaintiff's Mortgage be foreclosed; that all liens be marshalled; that the equity of redemption of all Defendants be forever barred, and the property be sold in accordance with law; that upon sale of such property the proceeds be paid to Plaintiff to satisfy the amount of its existing liens and interests, together with its disbursements, advancements and costs, and for such other legal and equitable relief to which Plaintiff may be entitled.

Frank Brenner is further notified that he is required to answer the Complaint within Twenty-eight (28) days from the last date of publication of this notice, which will be published for six (6) successive weeks, said answer day being the 21st day of June, 2007.

In case of your failure to answer or otherwise respond as required by the Ohio Rules of Civil Procedure, judgment by default will be rendered against you for the relief demanded in the Complaint.

LIKENS & BLOMQUIST, P.A.

BY:  COLIN R. BEACH,

  Plaintiff's Attorney.

Apr 19,26; May 3,10,17,24, 2007   07-00816

 

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