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Foreclosure Legal Notices
Notice Content: LEGAL NOTICE
Philip C. Davis, Attorney
In the Court of Common Pleas, Lucas County, Ohio, Case No. CI0201006817
Ron's Trailers, Inc., Plaintiff
William W. Crapo, Trustee, et al., Defendants
To: William W. Crapo, Trustee, and the Unknown Heirs, Devisees, Personal Representatives, Assigns, Successor Trustee's and Unknown Beneficiaries of the Trust under which William W. Crapo, Trustee, was authorized to hold title, whose addresses are unknown and cannot with reasonable diligence be ascertained, will each take notice that on September 29, 2010, Ron's Trailers, Inc., filed a Complaint in the Court of Common Pleas, Lucas County, Ohio, where the same is now pending as Case No. CI0201006817, and thereby commenced a civil action to quiet title by Adverse Possession in the following described real property:
A parcel of land in the Northeast 1/4 of Section ten (10), Town ten (10) South, Range nine (9) East, in Jerusalem Township, Lucas Countyl, Ohio, bounded and described as follows:
Commencing at a PK nail found, being the Northeast corner of said Sec. 10, thence S.89Âº-57'-08"W. 1632.59', along the North line of said Sec. 10, same also being the centerline of Jerusalem Rd., to the true point of beginning;
thence S.0Âº-46'-52"E. 2667.62', along the West line of Parcel #33-33332, passing thru a capped iron pin set this survey, at 30', 533.54' and 2362.62', to a capped iron pin set this survey on the South line of the Northeast 1/4 of said Sec. 10, same line also being the North line of Parcel #33-33771;
thence N.89Âº-59'-41"W. 33.44' along said South line of said Sec. 10, and the North line of Parcel #33-33771, to a capped iron pin set this survey, at the Southeast corner of Parcel #33-33634;
thence N.0Âº-33'-03"W. along the East line of said Parcel #33-33634, 2667.35', passing thru a capped iron pin to be set at a later date at 2637.35', to the North line of said Section 10, same also being the centerline of Jerusalem Rd.;
thence N.89Âº-57'-08"E. 22.72' along the North line of said Sec. 10, same also being the centerline of Jerusalem Rd., to the point of beginning.
This parcel contains 1.7195 AC. of which 0.0157 AC is P.R.O. for a net area of 1.7038 AC. The bearings used in this description are from an assumed meridian and are for the purpose of expressing angular measurement only. Prior deed ref: none, as this is a gap between 20100409-0013985, Volume 1837 page 37, along with MF 97 0428A10. This description is based on existing records, and an actual survey done by David Hohenberger P.S. #6256, in May 2010.
The relief demanded in the Complaint is that the Defendants answer the Complaint and set forth their respective interests in the subject real property or be forever barred from asserting same and that Plaintiff's title be forever quieted against any claim, estate or interest of Defendants, and all others claiming through or under them, and for such other relief that the court deems proper.
The Defendants are required to answer the Complaint on or before 10th day of December, 2010 or judgment by default will be rendered against you for the relief demanded in the Complaint.
Ron's Trailers, Inc.
Clerk of Courts
10-8 11-12-2010 6Fri