IN THE COURT OF COMMON PLEAS
FRANKLIN COUNTY, OHIO
ROCKET MORTGAGE, LLC F/K/A QUICKEN LOANS, LLC,
Plaintiff,
vs.
UNKNOWN HEIRS, DEVISEES, LEGATEE, EXECUTORS, ADMINISTRATORS, SPOUSES AND ASSIGNS, AND THE UNKNOWN GUARDIANS OF MINOR AND OR INCOMPETENT HEIRS OF JAMES E. ANDERS, DECEASED; et al;
Defendant(s).
CASE NO. 25CV009401
JUDGE: Mark Serrott
LEGAL NOTICE FOR SERVICE BY PUBLICATION
The Court finds that the service of summons cannot be made other than by publication on Defendant(s):
UNKNOWN SPOUSE OF VIRGINIA D. ANDERS, A/K/A VIRGINIA RUPPERSBURG, AS TO DEED DATED JANUARY 13, 1987; CATHY ENDRES; LOU ENDRES; JULIE SUDDATH; GEORGE SUDDATH;
whose last known place of residence is/are: Address(s) Unknown
Each Defendant will take notice that on October 30, 2025, Plaintiff filed a Complaint for Foreclosure in the Franklin County Court of Common Pleas, 373 S. High Street, 23rd floor, Columbus, OH 43215, being 25CV009401 alleging that there is due to Plaintiff the sum of $124,516.31 plus interest at 4.990% per annum from March 1, 2025, plus late charges, pre-payment penalties, title charges, court costs and expenses as applicable to the terms of the Promissory Note secured by a mortgage on the real property, which has a street address of 2133 PRESLEY DRIVE, GROVE CITY, OH 43123 and being permanent parcel number 04000574200.
Plaintiff further alleged that by a reason of default in payment of said Promissory Note, the conditions of said Mortgage have been broken and the same has become absolute.
The Defendant(s) named above are required to answer and assert any interest in said property or be forever barred from asserting any interest therein, and to raise any defense to foreclosure of said mortgage, the marshalling of liens, the sale of said real property. Said Defendant(s) are required to file an Answer within twenty-eight days after last date of publication, which shall be published once a week for three (3) consecutive weeks, or they might be denied a hearing in this case.
Respectfully submitted,
/s/ Paul M. Nalepka___________
Paul M. Nalepka
Bar No.: 0040796
Diaz Anselmo & Associates, P.A.
Attorneys for Plaintiff
P.O. BOX 19519
Fort Lauderdale, FL 33318
Telephone: (954) 564-0071
Facsimile: (954) 564-9252
Service E-mail: answersms@dallegal.com
Pursuant to the Fair Debt Collection Practices Act, you are advised that Diaz Anselmo & Associates, P.A. is deemed to be a debt collector and any information obtained may be used for that purpose.