Foreclosure filed against Rising High Properties, LLC for property at 464 S. Warren Ave.
Official courthouse record · Indexed in NoticeRegistry archive · AI-enriched for research
- Published
- Category
- Foreclosure
- City
- Columbus
- Case #
- 25CV-10167
Research context
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What to do next
- 1
Review the Notice
Carefully read the foreclosure notice to understand your rights and obligations.
- 2
Contact an Attorney
Consider consulting with a legal professional to discuss your options and next steps.
- 3
Respond to the Complaint
Prepare and file your response within twenty-eight days to avoid default judgment.
- 4
Gather Documentation
Collect any relevant documents related to the property and your financial situation.
Frequently asked questions
- What is a foreclosure notice?
- A foreclosure notice informs property owners that a lender is seeking to reclaim property due to unpaid debts.
- How long do I have to respond to a foreclosure notice?
- You have twenty-eight days to respond to the complaint after the last publication date.
- What happens if I don't respond to the foreclosure notice?
- If you fail to respond, a default judgment may be entered against you.
- Who can I contact for more information about this notice?
- You can contact Gareth A. Whaley at (614) 525-3500 for more details.
The suggestions and answers above are AI-generated for general information only. They can be wrong, and we don't take responsibility for their accuracy. Talk to a qualified professional before acting on them.
Full Notice Text
FORECLOSURE NOTICE: Case No. 25CV-10167. Franklin County Treasurer, Cheryl Brooks Sullivan, Plaintiff, vs. Rising High Properties, LLC, et al., Defendants. Defendants, Rising High Properties, LLC, whose last known address is 464 S. Warren Ave., Columbus, OH 43204 and 1121 Sidney St., Columbus, OH 43201 and 2340 W. Adams St., Unit 32, Chicago, IL 60612 and 5186 Avalon Ave., Columbus, OH 43229 and 5630 Dorshire Dr., Galena, OH 43021 and c/o Kevin Mix, SA, 1163 E. 20th Ave., Columbus, OH 43211; the unknown surviving spouses, heirs, devisees, legatees, administrators, executors, guardians, successors and assigns, if any, of Rising High Properties, LLC, if they be deceased or remarried, and whose last known addresses are unknown; Zeke Liston, whose last known address is 175 S. Third St., Suite 200, Columbus, OH 43215; the unknown surviving spouses, heirs, devisees, legatees, administrators, executors, guardians, successors and assigns, if any, of Zeke Liston, if they be deceased or remarried, and whose last known addresses are unknown; Liston & Liston Investments, LLC, whose last known address is c/o Michael R. Nieman, SA, 175 S. Third St., Suite 200, Columbus, OH 43215; the unknown surviving spouses, heirs, devisees, legatees, administrators, executors, guardians, successors and assigns, if any, of Liston & Liston Investments, LLC, if they be deceased or remarried, and whose last known addresses are unknown; Josh Janus, whose last known address is 808 Yard St., Apt. 406, Columbus, OH 43212; the unknown surviving spouses, heirs, devisees, legatees, administrators, executors, guardians, successors and assigns, if any, of Josh Janus, if they be deceased or remarried, and whose last known addresses are unknown; Unknown Tenants, whose last known address is 464 S. Warren Ave., Columbus, OH 43204; and the unknown surviving spouses, heirs, devisees, legatees, administrators, executors, guardians, successors and assigns, if any, of the Unknown Tenant, if they be deceased or remarried, whose last known addresses are unknown; will take notice that the Plaintiff filed its Complaint in the Court of Common Pleas of Franklin County, Ohio, 345 S. High St., Columbus, OH 43215, seeking foreclosure of its lien interest in the real property located at 464 S. Warren Ave., Columbus, OH 43204, Parcel No. 010-002797-00; seeking a monetary judgment against the real property plus all interest, fees, costs, assessments, and any other equitable relief; and for the real property to be sold and to apply the proceeds to these claims. The Defendants are required to answer the Plaintiff's Complaint within twenty-eight (28) days after the last date of publication of this notice. If the Defendants fail to respond timely, judgment by default will be entered against them for the relief requested in the Complaint. Gareth A. Whaley, Asst. Prosecuting Attorney Phone: (614) 525-3500