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First Publication Date
Wednesday, August 4, 2004
STATE OF MINNESOTA
COUNTY OF WINONA
IN DISTRICT COURT
CIVIL DIVISION
THIRD JUDICIAL DISTRICT
Case Type: 14 Other Civil
Morris N. Sandvig and Shirley A. Sandvig,
Plaintiffs,
SUMMONS
vs.
John Bruger a/k/a John Brugger a/k/a Johan Brugger and Charlotte Brugger a/k/a Sharlotte Brugger, husband and wife; Juliana Bornholtz a/k/a Juliana Bernholtz and Detlost Bornholtz a/k/a Detlif Bernholtz, wife and husband; Frederick Pepper a/k/a Frederich Pepper a/k/a Friedrich Pepper a/k/a Friedrick Peper a/k/a Friederich Peper a/k/a Friedrich Pieper and Elizabeth C. Pepper a/k/a Elizabeth Pepper, a/k/a Elisbet Pepper a/k/a Elizabeth Peper a/k/a Elisabeth Pieper husband and wife; also the unknown heirs of the aforesaid persons and all other persons unknown claiming any right, title, estate, interest, or lien in the real property described in the Complaint herein,
Defendants.
Court File No. C2-04-1069
Case Assigned to: Judge Lawrence T. Collins
The State of Minnesota to the above named Defendants:
You are summoned and required to serve upon Plaintiffs' attorney an Answer to the Complaint which is herewith served upon you and which is on file in the office of the Court Administrator of the above named Court within 20 days after service of this Summons upon you, exclusive of the day of service. If you fail to do so, judgment by default will be taken against you for the relief demanded in the Complaint.
This action involves, affects, or brings into question real property situated in the County of Winona, State of Minnesota, described as follows:
That part of the East Half of the Northeast Quarter (E1/2 of NE1/2) of Section Twenty-eight (28), Township One Hundred Six (106) North, of Range Seven (7), West of the Fifth Principal Meridian, described as follows:
Commencing at the Northeast corner of said Section 28; thence on an assumed bearing of South 01 degree 27' 42" West, 1272.07 feet along the East line of said Section 28 to the centerline of C.S.A.H. #12 (formerly Trunk Highway No. 76) and the point of beginning; thence South 01 degree 27' 42" West, 723.11 feet along the East line of said Section 28 to the Northerly right-of-way of Interstate Highway No. 90; thence Northwesterly a distance of 327.23 feet along a curve concave to the Southwest and not tangent with the last described line, said curve has radius of 3088.79 feet, a central angle of 6 degrees 04' 18" and the cord of said curve bears North 80 degrees 42' 05" West; thence North 01 degree 27' 42" East, along a line, non tangent to said curve, a distance of 626.71 feet to the centerline of C.S.A.H. #12; thence North 82 degrees 22' 59" East, 328.22 feet to the point of beginning.
The object of this action is to determine that the Defendants have no right, title, estate, interest, or lien in the real property above described, and to quiet title to the above described real property in the Plaintiffs.
No personal claim is made against any of the Defendants in this action.
You are further informed that this matter may be subject to Alternative Dispute Resolution (ADR) processes under Rule 114 of the Minnesota General Rules of Practice for the District Courts. The Court Administrator or your attorney can provide you with information about ADR processes available and a list of neutrals who provide ADR services. ADR does not, however, affect your obligation to respond to the Complaint within the above-stated times period.
Dated July 8, 2004
EVAVOLD & RUTGERS LAW OFFICE, LLC
By: Dale Evavold #27844
305 S. Elm, P.O. Box 39
Rushford, MN 55971
Telephone: 507-864-7748
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