"Where Fillmore County News Comes First"
Monday, September 1st, 2014
Volume ∞ Issue ∞
- 4:40:55, Aug 19th 2014 - dave - Gas prices were $1.79 a gallon when GWB left office ... [Read More]
Which school facilities in our area do you feel demonstrate the highest level of security for students and faculty?
Fri, Dec 16th, 2005
Posted in Legals
Posted in Legals
STATE OF MINNESOTA
COUNTY OF FILLMORE IN DISTRICT COURT THIRD JUDICIAL DISTRICT Case Type: Other Civil, Quiet Title Court File No. CV-05-248 Chris D. Queensland Plaintiff, v. The Chicago, Milwaukee, St. Paul and Pacific Railroad Company, The Winona & Southwestern Railway Company, Wisconsin, Minnesota and Pacific Railroad Company, The Chicago Great Western Railway Company, Chicago and Northwestern Transportation Company, Gertie R. Swenson, aka Gertie L. Swenson and Gertie R.L. Swenson, Algy R. Swenson, Floyd Wilkie, Georgia Wilkie, Henry Harms, Jr., Swen Swenson, Caroline Swenson, Elizabeth M. Diddams, Hans Johnson, Anna Johnson, David Algy Swenson, Dawn M. Swenson, State of Minnesota, Defendants. SUMMONS THE STATE OF MINNESOTA, To the above-named Defendants: You are hereby summoned and required to serve upon the Plaintiff’s 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 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. The object of said action is to obtain a judgment determining that the Plaintiff, Chris D. Queensland, is the owner in fee of the following real estate lying and being in the County of Fillmore, State of Minnesota, to-wit: The South 1/2 of the NE 1/4 of Section 31, Township 102 North, Range 13 West, Fillmore County, Minnesota, the title to which land is affected by said action, and that the Defendants and each of them have no estate or interest therein or lien thereon, and quieting title to said premises in the Plaintiff. Dated this 22nd day of November, 2005. ADAMS, RIZZI & SWEEN, P.A. By /s/ Paul V. Sween Paul V. Sween Attorney Registration No. 107761 Attorneys for Plaintiff 300 First Street NW Austin, Minnesota 55912 Telephone (507) 433-7394 Publish 19,26,2