Court case filed against Chun Ying Lin for breach of lease guaranty.
Official Courthouse Record · AI-summarized for clarity
- Published
- Category
- Court Notice
- City
- Canton
- Case #
- 2025CV01143
View full case dossier
See all filings for case 2025CV01143 with AI case status analysis.
What You Should Do Next
- 1
Respond to the notice
Chun Ying Lin must file an answer within 28 days from the notice date.
- 2
Contact the attorney
Reach out to Michael R. Stavnicky at (216) 292-5807 for legal advice.
- 3
Review lease agreement
Examine the lease and guaranty terms to prepare for the court case.
Frequently Asked Questions
- What is the case number for the court notice?
- The case number is 2025CV01143.
- What should Chun Ying Lin do after receiving this notice?
- Chun Ying Lin must respond within 28 days of this notice.
- Who is the plaintiff in this case?
- The plaintiff is The Strip Delaware, LLC.
The above suggestions and answers are AI-generated for informational purposes only. They may contain errors. NoticeRegistry assumes no responsibility for their accuracy. Consult a qualified professional before taking action.
Full Notice Text
LEGAL NOTICE
IN THE COURT OF COMMON PLEAS
STARK COUNTY, OHIO
110 Central Plaza N.,
Suite 400
Canton, Ohio 44702
Case No. 2025CV01143
The Strip Delaware, LLC, Plaintiff v. Wasabi House, LLC, et. al., Defendants
Chun Ying Lin, upon on information and belief, whose last known address was 3774 Cascade Oaks Trail, Richfield, Ohio 44286-9168; will take notice that on September 22, 2025, the Plaintiff The Strip Delaware, LLC filed its Amended Complaint in the Stark County Common Pleas Court, 115 Central Plaza N., Suite 400, Canton, Ohio 44702, in order to assert causes of action against Chun Ying Lin ("Defendant Guarantor). Defendant Chun Ying Lin signed a Guaranty of the Lease. Defendant Tenant defaulted under the Lease during the initial term; thus the Guaranty remains in effect. As a direct and proximate result of Defendant Guarantor's breach of the Guaranty, Plaintiff has been and continues to be damaged.
Plaintiff demands judgment as follows: (1) On Counts I, II and III jointly and severally against Defendants, for compensatory and punitive damages in an amount in excess of $25,000.00, plus interest, the cost of this suit and attorney's fees and such other relief as this Court deems just and equitable.
The Defendant named above is required to answer on or before the 28 days from this notice.
The Defendant named above is required to answer on or before the 28 days from this notice.
THE STRIP DELWARE, LLC
By Michael R. Stavnicky, Attorney for Plaintiff, 3333 Richmond Road, Suite 370, Beachwood, Ohio 44122. (216) 292-5807.
six run dates
February 6, 13, 20, 27, March 6, 13 2026
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