IN THE COURT OF COMMON PLEAS
FAIRFIELD COUNTY, OHIO
Case No.: 2025 CV 01077
Judge: David A. Trimmer
Tax Ease OH V, LLC
Plaintiff
vs.
Robert H. Johnson, Jr., Successor Co-Trustees of The Henrietta K. Johnson Trust, Dated May 18, 2000, and the Robert H. Johnson Trust, Dated May 18, 2000, et al.,
Defendants
Legal Notice
Defendant(s), Karl D Johnson, Successor Co-Trustee of the Henrietta K. Johnson Trust Dated May 18, 2000 and the Robert H. Johnson Trust, Dated May 18, 2000, whose last known address is 3202 Manet Court, Houston, TX 77082, will take notice that on October 1, 2025, Tax Ease OH V, LLC, filed its Complaint in Case Number 2025 CV 01077, Fairfield County, Ohio, alleging that the defendant(s), Karl D Johnson, Successor Co-Trustee of the Henrietta K. Johnson Trust Dated May 18, 2000 and the Robert H. Johnson Trust, Dated May 18, 2000, have or claim to have an interest in the real estate described below:
Situated in the County of Fairfield, State of Ohio, and in the City of Lancaster, and bounded and described as follows:
Being a part of Out Lot Number 6 East of Lancaster, commencing at a point five (5) poles West of the Northeast corner of said Out Lot Number 6; thence West five (5) poles; thence South eleven (11) poles; thence East five (5) poles; thence North eleven (11) poles to the place of beginning.
Said Out Lot 6 having been formerly known as Out Lot 4 on the Auditor's duplicates of taxable real estate in Lancaster but being correctly known as Out Lot 6 and of record in Plat Book 1 Page 7 of Recorder's Office, Fairfield County, Ohio
Being the same premises conveyed by Jacob Keller and Susan Keller, his wife, to Jacob Keller Kirn by warranty deed dated December 17, 1912, recorded in Fairfield County Deed Book 125, Page 105.
Premises commonly known as: 320 E Main St., Lancaster, OH 43130
Parcel No.: 0535095300
The Plaintiff further alleges that it is the holder of tax certificates purchased from the county treasurer, that the certificates are valid and have not been redeemed. The Plaintiff demands that the named defendants be required to set forth their interest in response to the Plaintiff's complaint.
The Plaintiff demands that the defendants 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 marshaling of any liens, and the sale of said real estate, and the proceeds of said sale applied to the payment of plaintiff's claim in the proper order of its priority and for such other and further relief as is just and equitable.
The defendants named above are required to answer the complaint within twenty-eight (28) days after the last publication of this legal notice on January 11, 2026.
Tax Ease OH V, LLC
/s/ William L. Costello
By: William L. Costello (0040631)
James L. Sassano (0062253)
Maureen C. Zink (0083507)
Attorneys for Plaintiff
Ulrich, Sassano, Deighton, Delaney & Higgins Co., L.P.A.
4834 Richmond Rd, Suite 201
Cleveland, OH 44128
216-360-7200 Phone
216-360-7210_Facsimile
(LEG,Nov.30,Dec.7,14,'25#11867232)