Daily Court Reporter - Forclosure Notices

Legal Notices: Forclosure Notices 2016CV02847

  • LEGAL NOTICE In the Montgomery County Court of Common Pleas, Dayton, Ohio. Case No. 2016CV02847. PNC BANK, NATIONAL ASSOCIATION SUCCESSOR BY MERGER TO NATIONAL CITY BANK, Plaintiff vs. PRISCILLA PORTER AKA PRISCILLA K. PORTER, DECEASED, et al., Defendants John Doe unknown spouse if any of Priscilla Porter aka Priscilla K. Porter whose last known address is 5680 Coach Drive W, Unit B, Kettering, OH 45440; Amber Marine and John Marine whose last known address is 2181 Firebrand Ave., Perris, CA 92571; Megan Porter and John Doe unknown spouse if any of Megan Porter whose last known address is 439 Danforth Pl., Dayton, OH 45431; Suzanna Kelson and Greg Kelson whose last known address is 4300 Appleton Pl., Kettering, OH 45440 and Unknown Heirs, Creditors, Executors, Administrators, Legatees and Devisees if any of Priscilla Porter aka Priscilla K. Porter, deceased whose last known address is unknown, will take notice that on the 7th of June, 2016, Plaintiff filed its Complaint, on the 8th of June, 2016 Plaintiff filed its Amended Complaint, and on the 5th of July, 2016 Plaintiff filed its Second Amended Complaint, in Case Number 2016CV02847 in the Montgomery County Common Pleas Court, alleging that Defendant(s) have or claim to have an interest in the real estate commonly known as 5680 Coach Drive W, Unit B, Kettering, OH 45440, and also known as Parcel Number N64-502-14-184 of the Auditor’s Records of Montgomery County, Ohio. Said parcel is more particularly described in Exhibit “A” attached to the mortgage filed in Instrument Number 09-024673, on the 14th day of April, 2009 in the Recorder’s Office of Montgomery County, Ohio. The Complaint further alleges that by reason of default of Phillip J. Porter aka Phillip Porter in the payment of a promissory note according to its tenor, the conditions of a mortgage deed given to it to secure payment of the said note and conveying the premises described therein have been broken and the same has become absolute. The Complaint further 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 marshaling of any liens, and the sale of said real estate, and further that the proceeds of said sale be applied to payment of Plaintiff’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 16th day of December, 2016, or a judgment may be rendered as prayed for herein. Robert K. Hogan Attorney for Plaintiff Javitch & Block LLC 700 Walnut St., Suite 302 Cincinnati, OH 45202 foreclosure@jbandr.com (513) 744-9600 (513) 744-9602 fax 11-04, 11-11, 11-18-2016 3Fri ___________________________________
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