Koppendrayer vs

SUMMONS
STATE OF MINNESOTA
COUNTY OF MILLE LACS
DISTRICT COURT
SEVENTH JUDICIAL DISTRICT
CASE TYPE: QUIET TITLE
COURT FILE NO.: 48-CV-14-659
Jacob LeRoy Koppendrayer
a/k/a J. LeRoy Koppendrayer, Carolyn Ann Koppendrayer, Lance Erickson and Kimberly L. Erickson,
Plaintiffs,
vs.
Bryan Timmerman; Nationstar Mortgage LLC; ABC Corporation; John Doe; Mary Rowe; XYZ Partnership; whose true names are unknown to Plaintiffs, and all other persons unknown, claiming any right, title, estate interest or lien in the real estate described in the Complaint herein,
Defendants.
THE STATE OF MINNESOTA TO THE ABOVE NAMED DEFENDANTS:
YOU ARE HEREBY SUMMONED and required to serve upon the attorney for Plaintiffs an Answer to the Plaintiffs Complaint which is herewith served upon you within twenty (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 proceeding involves, affects, or brings into question real property situated in the County of Mille Lacs State of Minnesota, legally described as follows:
EXHIBIT A
Koppendrayer Legal Description
That part of said Southeast Quarter of the Southeast Quarter of Section 1, Township 36, Range 27, Mille Lacs County, Minnesota, which lies Southerly of the North 495.00 feet of said Southeast Quarter of the Southeast Quarter, and which lies Westerly of the East 792.00 feet of said Southeast Quarter of the Southeast Quarter, and which lies Northerly of the South 330.00 feet of said Southeast Quarter of the Southeast Quarter.
AND ALSO:
The West 528.00 feet of said South 330.00 feet of the Southeast Quarter of the Southeast Quarter.
EXHIBIT B
Erickson Legal Description
The East 792.00 feet of the South 495.00 feet of the North 990.00 feet of the Southeast Quarter of the Southeast Quarter of Section 1, Township 36, Range 27, Mille Lacs County, Minnesota.
AND ALSO:
That part of the East 132.00 feet of the West 660.00 feet of said Southeast Quarter of the Southeast Quarter, which lies Southerly of said North 990.00 feet of the Southeast Quarter of the Southeast Quarter.
The object of this action is to obtain a judgment that Plaintiffs are each the owners in fee of their above described real property, and that none of the said Defendants have any estate or interest therein or lien thereon.
PARTIES ARE REQUIRED TO ATTEMPT ALTERNATIVE DISPUTE RESOLUTION UNDER MINNESOTA LAW. ALTERNATIVE DISPUTE RESOLUTION INCLUDES MEDIATION, ARBITRATION, AND OTHER PROCESSES AS SET FORTH IN THE DISTRICT COURT RULES. YOU MAY CONTACT THE COURT ADMINISTRATOR ABOUT RESOURCES IN YOUR AREA.
Dated: March 28, 2014
BLACK MOORE MAGNUSSEN, LTD.
By: /s/ Ronald G. Black
Ronald G. Black, I.D. #120893
Attorneys for Plaintiff
First National Financial Center
812 Main Street, Suite 102
Elk River, MN 55330
(763) 441-7040
Published in the
Mille Lacs County Times
May 1, 8, 15, 2014
212585

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