IN THE COURT OF
COMMON PLEAS
MUSKINGUM COUNTY, OHIO
CASE NO. CE2025-0322
JUDGE KELLY J. COTTRILL
LEGAL NOTICE FOR SERVICE BY PUBLICATION
LAKEVIEW LOAN SERVICING, LLC
Plaintiff
vs.
UNKNOWN ADMINISTRATOR, EXECUTOR OR FIDUCIARY, UNKNOWN HEIRS, NEXT OF KIN, UNKNOWN SPOUSES, DEVISEES, LEGATEES, CREDITORS AND BENEFICIAR-IES OF THE ESTATE OF MELVIN J. FETTY, JR., DECEASED, et al.
Defendants
To: Unknown Administrator, Executor or Fiduciary, Unknown Heirs, Next of Kin, Unknown Spouses, Devisees, Legatees, Creditors and Beneficiaries of the Estate of Melvin J. Fetty, Jr.; Unknown Administrator, Executor or Fiduciary, Unknown Heirs, Next of Kin, Unknown Spouses, Devisees, Legatees, Creditors and Beneficiaries of the Estate of John R. Fetty; Unknown Administrator, Executor or Fiduciary, Unknown Heirs, Next of Kin, Unknown Spouses, Devisees, Legatees, Creditors and Beneficiaries of the Estate of Caldwell Mays; Unknown Administrator, Executor or Fiduciary, Unknown Heirs, Next of Kin, Unknown Spouses, Devisees, Legatees, Creditors and Beneficiaries of the Estate of Leonard Fetty; Unknown Administrator, Executor or Fiduciary, Unknown Heirs, Next of Kin, Unknown Spouses, Devisees, Legatees, Creditors and Beneficiaries of the Estate of Nila Beeler & Unknown Administrator, Executor or Fiduciary, Unknown Heirs, Next of Kin, Unknown Spouses, Devisees, Legatees, Creditors and Beneficiaries of the Estate of Virginia Allen, you will take notice that on August 19, 2025, Plaintiff, filed a Complaint for foreclosure in the Muskingum County Court of Common Pleas, being Case No. CE2025-0322, alleging that there is due to the Plaintiff the sum of the principal balance in the amount of $67,945.74, plus interest at 3.750% from June 1, 2024, plus late charges and fees applicable to the terms of a Promissory Note secured by a Mortgage on the real property, which has a street address of 8180 S River Rd, Blue Rock, OH 43720, being permanent Parcel Number: 06-40-04-03-000.
Plaintiff further alleges that by reason of a default in the terms of said Promissory Note, the conditions of said Mortgage have been broken and the same has become absolute.
Plaintiff prays that the Defendants named above be required to answer and assert any interest in said real property or be forever barred from asserting any interest therein, for foreclosure of said mortgage, marshalling of liens, and the sale of said real property, and that the proceeds of said sale be applied according to law.
Said Defendants are required to file an Answer on or before the twenty-eighth day following the last date of Publication.
/s/ Brandon W. Ellis
Brian S. Jackson, 0068516
Crystal L. Saresky, 0091328
Brandon W. Ellis, 0099077
Austin R. Decker, 0100918
Christina R. Griffith, 0102095
Alexander D. Weisser, 0103287
Robertson, Anschutz, Schneid, Crane & Partners, PLLC
Attorneys for Plaintiff
2400 Chamber Center Dr. Suite 220
Ft. Mitchell, KY 41017
Telephone: 470-321-7112
Facsimile: 833-310-1332
Email:
kyohfilings@raslg.com
ZTR,Sep9,16,23'25
#11641903