LEGAL NOTICE Savanna Ross aka Savanna R. Ross whose
Legals : Legals
| Order no: | 90224831 |
| Publication: | 3201-Wilmington News Journal |
| Start Date: | 08/29/2026 |
| Expires: | 09/12/2026 |
LEGAL NOTICE Savanna Ross aka Savanna R. Ross whose last places of residence/business are 312 Columbus Street, Wilmington, OH 45177, and 5176 Gurneyville Road, Wilmington, OH 45177, Unknown Spouse, if any, of Savanna Ross aka Savanna R. Ross whose last places of residence/business are 312 Columbus Street, Wilmington, OH 45177, and 5176 Gurneyville Road, Wilmington, OH 45177 but whose present place of residence/business is unknown will take notice that on February 6, 2026, PennyMac Loan Services, LLC filed its Complaint in Case No. CVE20260038 in the Court of Common Pleas Clinton County, 46 S High Street, Wilmington, OH 45177, alleging that the Defendant(s) Savanna Ross aka Savanna R. Ross, Unknown Spouse, if any, of Savanna Ross aka Savanna R. Ross have or claim to have an interest in the real estate described below: Permanent Parcel Number: 290-16-09-20-A007-00, 290-16-09-20-B008-00; Property Address: 312 Columbus Street, Wilmington, OH 45177. The legal description may be obtained from the Clinton County Auditor at 46 South Street, Wilmington, Ohio 45177-2296, 937-382-2250. The Petitioner further alleges that by reason of default of the Defendant(s) in the payment of a promissory note, according to its tenor, the conditions of a concurrent mortgage deed given to secure the payment of said note and conveying the premises described, have been broken, and the same has become absolute. The Petitioner 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 marshalling of any liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of Petitioner'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 10TH DAY OF OCTOBER, 2026. BY: TIFFANY & BOSCO P.A. Douglas A. Haessig, Attorney at Law Attorney for Plaintiff-Petitioner P.O. Box 39696 Solon, Ohio 44139 (440)600-5500 (Sat., Aug. 29, Sept. 5, 12, 2026) 90224831
Print This Ad
Mail This Ad