"Where Fillmore County News Comes First"
Online Edition
Sunday, May 19th, 2013
Volume ∞ Issue ∞
- 5:56:33, May 18th 2013 - modgudur - I guess the child is anti-gun control since Obama went to all that trouble ... [Read More]
- 9:27:41, May 16th 2013 - caal girl - Nice outfit on you. I loved some of the dresses but am holding my breath ... [Read More]
- 2:03:34, May 14th 2013 - - Thanks for sharing the trip with us! ... [Read More]
- 4:12:01, May 9th 2013 - Amanda Ziebell - Wow! Thanks to the Fillmore County Journal for this kind story. For a ... [Read More]
- 11:47:30, May 7th 2013 - EW - ramble.....ramble.....ramble..... ... [Read More]
- 10:25:25, May 7th 2013 - Thunder6 - Great article! I love to see the Youth of Fillmore County receiveing acco ... [Read More]
- 6:52:10, May 6th 2013 - Jason Sethre, Publisher of Fillmore County Journal & Olmsted County Journal - Maryh, ... [Read More]
- 7:29:56, May 5th 2013 - maryh - Where are OCJ's available for pickup...other than at the new office? ... [Read More]
- 2:41:47, May 3rd 2013 - Remark1976 - Mrs. Buckbee, I just looked up Senate File 796 and in it there are said p ... [Read More]
- 2:22:20, May 3rd 2013 - Remark1976 - Mrs. Buckbee, how do you come up with $1.1 billion that trout fishing bri ... [Read More]
Paul A. Spande, Janice Spande, and John Spande - SUMMONS
Fri, Aug 6th, 2004
Posted in Legals
Posted in Legals
Comments
STATE OF MINNESOTA
IN DISTRICT COURT
COUNTY OF FILLMORE
THIRD JUDICIAL DISTRICT
Paul A. Spande, Janice Spande, and John Spande
Plaintiffs,
vs.
Oscar Garness, Anna Garness, Alton Spande, Milton Spande, Amelia Spande, Bushman Family Farms, Inc., Todd Hay, Lynda Welle, Alan R. Hockersmith and Michelle Hockersmith, and also all persons unknown claiming any right, title, estate, interest or lien in the real estate described in the complaint herein, also the known heirs of the aforesaid persons and all other persons unknown claiming any right, title, estate, interest or lien in the real estate described in the Complaint herein, subject to any easements of record.
Defendants
SUMMONS
State of Minnesota to the above named Defendants:
You are hereby summoned and required to serve upon Plaintiff’s attorney an answer to the Complaint which is herewith served upon you and which is on file in the office of the above named court administrator 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 into question real property situated in the County of Fillmore, State of Minnesota, described as follows:
That part of the Southwest Quarter of the Southwest Quarter, Section 32, Township 102, Range 8, Fillmore County, described as follows:
Beginning at the northwest corner of said Southwest Quarter of the Southwest Quarter; thence on an assumed bearing of North 88 degrees 56 minutes 19 seconds East, along the north line of said Southwest Quarter of the Southwest Quarter, a distance of 379.50 feet; thence South 15 degrees 35 minutes 32 seconds West a distance of 80.96 feet; thence South 01 degrees 34 minutes 30 seconds West a distance of 139.34 feet; thence South 32 degrees 09 minutes 37 seconds West a distance of 144.25 feet; thence south 10 degrees 07 minutes 46 seconds West a distance of 35.25 feet; thence South 46 degrees 14 minutes 42 seconds West a distance of 77.60 feet; thence South 30 degrees 42 minutes 33 seconds West a distance of 259 feet, more or less, to the center line of the South Fork of the Root River; thence northerly and northwesterly along said center line, to the west line of said Southwest Quarter of the Southwest Quarter; thence northerly, along said west line a distance of 485 feet, more or less 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 or on the above described real property.
NOTICE OF NO PERSONAL CLAIM
No personal claim is made against any of the defendants in the action above entitled mater.
Dated: August 4, 2004
Rippe, Hammel & Murphy
Attorneys for the Plaintiffs
/s/ Joseph L. Hammell
Joseph L. Hammell
Attorney for Plaintiff
110 East Main Street
Caledonia, MN 55921
507-725-3361
Publish 9,16,23
