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COMMON PLEAS COURT
of MAHONING COUNTY, OHIO
Full text of Legal Notice
LEGAL NOTICE
ALDEN CHEVLEN
Attorney At Law
5202 Nashua Drive
Youngstown, Ohio 44515
Telephone: 330-779-3855
IN THE COURT OF
COMMON PLEAS,
MAHONING COUNTY, OHIO
120 Market Street
Youngstown, Ohio 44503-1751
Case No. 13CV 1005
PLAINTIFF,
VS.
THE ESTATE OF ARTHUR E. WESTER, THE ESTATE OF WARD W. WESTER AND THE ESTATE OF HAROLD D. LEACH, ET AL
DEFENDANTS.
The legal representatives of the Estates of Arthur E. Wester, Ward W. Wester and Harold D. Leach, whose exact address cannot be ascertained with reasonable diligence, shall take notice that on the 11th day of April, 2013, Plaintiff, Tiger Land Holdings, LLC, filed its Complaint in Foreclosure in Case No. 13CV 1005 in the Court of Common Pleas, Mahoning County, Ohio, to foreclose the liens held by it for delinquent real estate taxes, assessments, penalties, interest, charges and costs with respect to the following parcels of real property.
Parcel Nos. 53-039-0-150 and 53-039-0-151
Situated in the City of Youngstown, County of Mahoning, and State of Ohio, and being known as a part of Youngstown City Out Lot Number 539, bounded and described as follows:
Beginning at an iron pin set in the southerly line of Out Lot No. 539 being also the northerly line of Parnell Street if extended westerly and north 86° 12' west 429.69 feet distance from the intersection of the northerly line of Parnell Street with the westerly line of Zedaker Street if extended northerly.
Thence north 2° 31' east a distance of 616.57 feet to a point on the southerly line of land now or formerly owned by B&B Realty Company.
Thence south easterly 59° 59' east along the southerly line of said B&B Realty Company lands a distance of 485.60 feet to an iron pin set on the westerly line of Zedaker Street if extended northerly.
Thence south 2° 31' west along the westerly line of the proposed Zedaker Street a distance of 406.33 feet to a point on the southerly line of Out Lot 539 where the same is intersected by the westerly line of Zedaker Street also being the northerly line of Parnell Street if extended westerly.
Thence north 86° 12' west a distance of 429.69 feet along the northerly line of Parnell Street if extended, to the place of beginning and deducting therefrom all that part of the above described land that was deeded to the State of Ohio for Highway Purposes which contained approximately ___ acres of land, for the construction of Project 502 and being Interstate 680. Said property contains any easement over any part of the proposed Zedaker Street if extended northerly into Out Lot Number 539.
Parcel No: 53-039-0-154 (Out Lot Number 542)
(No legal description available)
Parcel No: 53-043-0-234
Situated in the City of Youngstown, County of Mahoning and State of Ohio, and known as being City Lot No. 24816 according to the latest enumeration of lots in said City, in the Burnett Heights Allotment, a subdivision of a part of Youngstown City Out Lot No. 576 and part of Great Lot No. 44 of the original survey of Youngstown Township, as appears by the recorded plat of said subdivision in Volume 15 of Maps, Page 81, Mahoning County Records.
Parcel No: 53-108-0-027
Situated in the City of Youngstown, County of Mahoning and State of Ohio, and know as being City Lot No. 24823 according to the latest enumeration of lots in said City, in the Burnett Heights Allotment, a subdivision of a part of Youngstown City Out Lot No. 576 and part of Great Lot No. 44 of the original survey of Youngstown Township, as appears by the recorded plat of said subdivison in Volume 15 of Maps, Page 81, Mahoning County Records.
The prayer of the Complaint is for an order directing that the properties be sold at public action and that the proceeds therefrom be used to satisfy Plaintiff's liens. Plaintff further prays for such other relief as the Court may deem just, equitable, and necessary, that any and all persons claiming an interest in the properties be required to answer and set up their interest or be forever barred from asserting the same, that Plaintiff's liens be found to be good and valid first liens on the properties, and that the equity of redemption of the properties be foreclosed.
The above-named Defendants are required to answer Plaintiff's Complaint within Twenty-eight (28) days after the last date of publication of this notice, which notice shall be made once per week for three consecutive weeks, said answer day being 18th day of April, 2014. If said Defendants fail to timely respond, the Court may enter a default judgment against them for the relief requested in the Complaint.
BY: ALDEN CHEVLEN,
Attorney for Tiger Land Holdings, LLC
Mar 7,14,21, 2014 14-00282
