Blackstone v. Moore

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At issue was what type of reference within a chain of title is sufficient to preserve an earlier-created interest under Ohio’s Marketable Title Act, which generally allows a landowner who has an unbroken chain of title to land for a forty-year period to transfer title free of interests that existed prior to the beginning of the chain of title unless sufficient reference is made to interests within that chain of title.Landowners sought to extinguish an oil-and-gas royalty interest created in 1915. Landowners argued that a reference in a deed in their chain of title to the royalty interest, as well as the original holder of the interest, was not sufficient to preserve the interest because it did not include either the volume and page number of the record in which the interest was recorded or the date on which the interest was recorded. The court of appeals concluded that Landowners’ title remained subject to the royalty interest. The Supreme Court affirmed, holding that a reference that includes the type of interest created and to whom the interest was granted is sufficiently specific to preserve the interest in the record title. View "Blackstone v. Moore" on Justia Law