Legal Notice

| August 15, 2017





Division of The Park National Bank



EARL E. SMITH, et al.


Case No. 2017CI0785

Defendants, Earl E. Smith aka Earl Smith, whose last known address is 20520 St. Rt. 60, Warsaw, OH 43844; Theresa Smith, whose last known address is 20520 St. Rt. 60, Warsaw, OH 43844; Green Tree Financial Corp., whose last known address is 332 Minnesota St., Suite 610, St. Paul, MN 55101-1311; and the unknown tenants, if any, of 20520 St. Rt. 60, Warsaw, OH 43844, will take notice that on June 2, 2017, Century National Bank, Division of The Park National Bank, Plaintiff, filed a Complaint in the Court of Common Pleas of Coshocton County, Ohio, in Case #17CI0185 against said Defendants and others, demanding judgment on its First and Second Causes of Action against Defendants, Earl E. Smith aka Earl Smith and Theresa Smith, in the sum of $27,142.63 plus interest, and for foreclosure of the mortgage recorded at Coshocton County Recorder’s Office Official Record Volume 73, Page 1028, relating to certain real property located at 20520 St. Rt. 60, Warsaw, OH 43844, being Auditor’s Parcel No. 003-00000130-01 and recorded at Coshocton County Official Record Volume 86, Page 1000. A more complete legal description can be obtained at the Coshocton County Recorder’s Office.

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 valid lien upon the property, prior to all other liens, except real estate taxes; that Plaintiff’s mortgage be foreclosed; that all liens be marshaled; 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 lien and interest, together with its disbursements, advancements and costs, and for such other legal and equitable relief to which Plaintiff may be entitled.

The above named Defendants are further notified that they are required to answer the Complaint within 28 days of the last publication of this Notice, or judgment may be rendered against them as demanded by Plaintiff.

Scott D. Eickelberger

Kincaid, Taylor & Geyer

Attorney for Plaintiff

50 N. 4th St., P.O. Box 1030

Zanesville, OH 43702-1030


(Pub: CCB Aug 16,23,30’17 Smith, E. 2017CI0785)


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