Login | April 17, 2026
COMMON PLEAS COURT
of MAHONING COUNTY, OHIO
Full text of Legal Notice
LEGAL NOTICE
KIRK E. YOSICK
Attorney At Law
GALLAGHER, STELZER & YOSICK, LTD.
216 South Lynn Street
Bryan, OH 43506
Telephone: 1-419-636-3166
IN THE COURT OF
COMMON PLEAS,
MAHONING COUNTY, OHIO
120 Market Street
Youngstown, Ohio 44503-1751
Case No. 07CV 1726
PLAINTIFF,
VS.
TONYA LYNN HEARNS, ET AL
DEFENDANTS.
TO THE DEFENDANTS: Tonya Lynn Hearns and the unknown Spouse of Tonya Lynn Hearns, whose last known place of residence and Post Office address was 530 Redondo Road, Youngstown, Ohio 44505 and to all the unknown heirs, devisees, legatees, trustees, successors in title, widows, widowers, executors, administrators, receivers, creditors, and assignees of Carmella Wilkins, who is believed and averred to be deceased and whose last known place of residence and Post Office Address was 530 Redondo Road, Youngstown Ohio 44505, but whose present residence addresses are unknown and cannot with reasonable diligence be ascertained:
Plaintiff has brought this action naming you as Defendants in the Mahoning County Court of Common Pleas by filing its Complaint on the 14th day of May, 2007.
The object of the Complaint is to foreclose the equity of redemption under a mortgage against the following described real estate:
Situated in the City of Youngstown, County of Mahoning and State of Ohio, and known as being the east Twenty-five (25) feet of Youngstown City Lot No. 40955 and the west Twenty (20) feet of Youngstown City Lot No. 40956 according to the latest enumeration to lots in said City as shown by a plat recorded in Volume 20, Page 125, Mahoning County Records.
Said east Twenty-five (25) feet of Youngstown City Lot No. 40955 and west Twenty (20) feet of Youngstown City Lot No. 40956 together form a parcel of land having a combined frontage of Forty-five (45) feet on the north line of Redondo Road and extending back One Hundred Fifty (150) feet on the east line, One Hundred Fifty (150) feet on the west line having a combined rear line of Forty-five (45) feet.
PERMANENT PARCEL NOS.: 53-081-0-205.000 and 53-081-0-206.00-0
PROPERTY LOCATION: 530 Redondo Road, Youngstown, OH 44505.
For judgment upon a Promissory Note executed to Plaintiff, Sky Bank, sucessor by merger to Mahoning National Bank by Carmella Wilkins.
The relief demanded is an in rem judgment against the Defendants, Tonya Lynn Hearns, and the wives or husbands and the former wives or husbands of Carmella Wilkins, if any, whose names are unknown and the unknown heirs, devisees, legatees, trustees, successors in title, widows, widowers, executors, administrators, receivers, creditors, and assignees of Carmella Wilkins, who is believed and averred to be deceased defunct or dissolved, in the amount of $19,878.91, along with interest at the rate of $4.83 per day from December 1, 2006, until paid, and for court costs; that said mortgage may be foreclosed and the said real estate described herein be sold at Sheriff's Sale and the proceeds of said sale applied for payment of Plaintiff's claim; further that Defendants Tonya Lynn Hearns, and the wives or husbands and the former wives or husbands of Carmella Wilkins, if any, whose names are unknown and the unknown heirs, devisees, legatees, trustees, successors in title, widows, widowers, executors, administrators, receivers, creditors, and assignees of Carmella Wilkins, who is believed and averred to be deceased, defunct, or dissolved, be required to answer setting forth their claim or interest in the subject real estate, if any, or forever be barred from claiming or asserting same; and for such other and further relief to which Plaintiff may be entitled.
You are 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 31st day of August, 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.
GALLAGHER, STELZER AND YOSICK
BY: KIRK YOSICK,
Plaintiff's Attorney.
Jun 29; Jul 6,13,20,27; Aug 3, 2007 07-01333
