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Summons - Ryan K. Thon


Fri, Oct 1st, 2004
Posted in Legals

State of Minnesota

County of fillmore

in district court

Third judicial District

Civil court division

File No. C4-04-536

SUMMONS

Ryan K. Thon,

Plaintiff,

vs.

Samuel B. Ruggles, Albon P. Man, Peter M. Meyers, John Johnson, Alrick H. Man, trustees; Robert T. Swaine and Donald C. Swatland Harris Trust and Savings Bank; Manley G. Burmeister; Southern Minnesota Railroad Company; Citizens’ Right to Purchase Property Association; Chicago, Milwaukee, St. Paul & Pacific Railroad Company; Richard B. Ogilvie, trustee; Southern Minnesota Railway Company; Chicago, Milwaukee & St. Paul Railway Company; Chicago, Clinton, Dubuque and Minnesota Railroad Company; Caledonia and Mississippi Railway Company; Chicago, Clinton, Dubuque and Minnesota Railroad Co.; Caledonia, Mississippi and Western Railroad Company; Chicago, Milwaukee and Puget Sound Railway Company; Chicago, Milwaukee and Pacific Railroad Company; United States Trust Company of New York; Guaranty Trust Company of New York and Alexander J. Hemphill, as Trustee; Herbert A. Lundahl, Special Master; H.E. Byram, Mark W. Potter and Edward J. Brundage, as Receivers of Guarantee Trust Company of New York, and Merrel P. Callaway, as Trustee; The Farmers Loan and Trust Company, as Trustee; United States Mortgage and Trust Company and William Nelson Cromwell, as Trustee; Bankers Trust Company, as Trustee; United States Trust Company of New York and Edward W. Sheldon, as Trustee; United States Mortgage and Trust Company and Calvert Brewer, Trustees; Guarantee Trust Company of New York and Merrel P. Callaway, Trustees; The National City Bank of New York and William W. Hoffman, Trustee; Chemical Bank and Trust Company; Continental Illinois National Bank and Trust Company of Chicago, Trustee; State of Minnesota; also the unknown heirs of any of the herein named Defendants who may be deceased; and also all the others persons or parties unknown claiming any right, title, estate, interest or lien in the real estate described in the Complaint herein,

Defendants.

STATE OF MINNESOTA TO THE ABOVE-NAMED DEFENDANTS:

YOU ARE HERBY SUMMONED and required to serve upon Plaintiff’s attorney an Answer to the original Complaint which is on file in the Office of the Clerk 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.

This action involves, affects, or brings in question real property situated in the County of Fillmore, State of Minnesota, described as follows:

The Northeast Quarter of the Northeast Quarter of Section 32, Township 103 North, Range 13 West, Fillmore County, Minnesota, Excepting Therefrom the former right of way of the now abandoned Chicago and Northwestern Transportation Railroad described as follows:

That part of the Northeast Quarter of the Northeast Quarter (NE 1/4 NE 1/4) of Section 32, Township 103 North, Range 13 West, Fillmore County, Minnesota, described as follows: Beginning at the Southeast Corner of said NE 1/4 NE 1/4, thence North 00 degrees 27 minutes 09 seconds East (assumed bearing) along the East line of said NE 1/4 NE 1/4, 40.92 feet to the South R.O.W. line of C.S.A.H. No. 1 (also the North R.O.W. line of the now abandoned Chicago and North Western Transportation Company Railroad); thence North 86 degrees 50 minutes 43 seconds West along said South R.O.W. line of said C.S.A.H. No. 1 (also the North R.O.W line of said abandoned Railroad), 253.72 feet; thence Westerly 243.11 feet along said South R.O.W. line of said C.S.A.H. No. 1 (also the North R.O.W line of said abandoned Railroad) and along a tangential curve, concave to the South, having a radius of 1160.07 feet and a central angle of 12 degrees 00 minutes 26 seconds (chord bears South 87 09 minutes 04 seconds West and chord length is 242.67 feet); thence South 81 degrees 08 minutes 51 seconds West tangent to said curve and along said South R.O.W. line of said C.S.A.H. No. 1 (also the North R.O.W. line of said abandoned Railroad), 297.57 feet to the South line of said NE 1/4 NE 1/4; thence North 89 degrees 47 minutes 03 seconds East along said South line, 789.41 feet to the point of beginning and containing 0.74 acres, more or less. Subject to easement for C.S.A.H. No. 1 across the Northerly line thereof.

The object of this action is to determine adverse claims to the above-entitled real estate.

Notice of No Personal Claim

No personal claim is made against any of the defendants in the above-entitled action.

Dated this 22nd day of September, 2004

Baudler Baudler Maus & Blahnik, LLP

/s/ Robert E. Blahnik

Robert E. Blahnik, #8722

P.O. Box 1268

Spring Valley, MN 55975

(507) 346-7301

Publish 4,11,18

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