Place an ad
WARNING: This ad has expired and is no longer valid as of April 17, 2019

ATTN: Matthew I. McKelvey Dinsmore & Shohl, LLP

Attn: Matthew I. McKelvey Dinsmore & Shohl, LLP 255 East Fifth Street, Suite 1900 Cincinnati, Ohio 45202 Phone: (513) 977-8200 Fax: (513) 977-8141 matt.mckelvey@dinsmore.com Re: Service by Publication EXHIBIT "A" Notice of Suit for foreclosure in the Montgomery County Court of Common Pleas, Dayton, Ohio. Case No. 2018 CV 05118, myCUmortgage, LLC vs. Brent LaRose, et al. Defendants, Brent L. LaRose and Jane Doe, Name Unknown Spouse, of Brent L. LaRose, whose places of residence are unknown and whom cannot be served within the State of Ohio, will take notice that on November 2, 2018, myCUmortgage, LLC filed a Complaint as Plaintiff in the Court of Common Pleas of Montgomery County, Ohio, in Case No. 2018 CV 05118 against the above named Defendants alleging that Brent L. LaRose defaulted on a promissory note held by Plaintiff and broke the covenants of the mortgage held by Plaintiff and Plaintiff seeks to foreclose that mortgage. The mortgage Plaintiff seeks to foreclose, secures the real property located at 2606 Rhapsody Drive, West Carrollton, OH 45449. The real property is more specifically described as follows: PARCEL NUMBER K47-18809-0011 LEGAL DESCRIPTION: Situated in the Township of Miami, County of Montgomery, State of Ohio and being Lot Numbered Three Hundred Thirty Two (332) Singing Hills Subdivision, Section 6, as the same is recorded in Plat Book 75, Page 53, of the plat records of said county. Brent L. LaRose and Jane Doe, Name Unknown Spouse, of Brent L. LaRose may have or may claim to have an interest in the above referenced property. Plaintiff seeks a finding from the Court of default relating to the promissory note held by Plaintiff; a finding that Plaintiff's mortgage is a valid and subsisting first lien on the above described real property, subject only to any lien that may be held by the Montgomery County Treasurer; an order (1) foreclosing the equity of redemption and dower of all defendants named in this action, (2) requiring that the above described real property be sold free and clear of all liens, interests, and dower, (3) requiring all defendants to set up their liens or interest in the above described real property or be forever barred from asserting such liens or interest, (4) requiring that the proceeds of the sale of the above described real property be applied to pay all amounts due Plaintiff under Plaintiff's promissory note, and (5) granting Plaintiff all other relief, legal and equitable, as may be proper and necessary, including a writ of possession. Defendants, Brent L. LaRose and Jane Doe, Name Unknown Spouse, of Brent L. LaRose are further notified that they are required to answer said Complaint on or before 28 days after the last week that the publication has run for three successive weeks, which dates are March 6, 13 and 20, 2019, or judgment may be rendered as prayed for therein. By: Matthew I. McKelvey (0074762), 255 East Fifth Street, Suite 1900, Cincinnati, Ohio 45202, Attorney for Plaintiff. 3-6, 3-13, 3-20/2019
March 6, 2019
April 17, 2019
April 17, 2019 8:10pm