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Quiet Title: Neilsen Summons


Fri, Jun 13th, 2014
Posted in All Legals

STATE OF MINNESOTA

COUNTY OF FILLMORE

DISTRICT COURT

THIRD JUDICIAL DISTRICT

Quiet Title

Court File Number: 23-CV-14-407

Darlene A. Nielsen, Trustee of The Larry E. Nielsen and Darlene A. Nielsen Family Trust

Plaintiff, Summons

vs.

Martha Edwards a/k/a Martha Hendrickson and Hendrick Hendrickson, husband and wife, George A. Hayes, Charles D. Sherwood, Rueben Whittemore, Benjamin D. Sprague a/k/a B. D. Sprague, Samuel C. Barton, John Paul, Hiram Walker, W.W. Beers, Ezra Farnsworth, Jr., John Paulson, James L. Gates, Niles Carpenter, George G. Stevens, Charles Melgard and Caroline Melgard, his wife, The Rushford Power Co., Edwin B. Purdy, Elizabeth Sherwood, Byron C. Knapp, Charlotte P. Sherwood, Anna Rosencrantz, Elmer E. Loveridge and Emmet H. Loveridge, Jay E. Sherwood, Charles Davis, Tosten Nelson, John Nilson, Marlon A. Davis, Milton Reuben Davis and Amy E. Davis, his wife, Howard C. Davis, Norman Kopperud and Helen B. Kopperud, Lloyd Humble and Vivian Humble, John W. Moor and Marlon Y. Moor, Rushford Oil Co. Inc., Lyle E. Johnson, Marvin Baker, Truman A. Bremmer & Clara M. Bremmer, all heirs and devisees of any of the above-named persons who are deceased; and all other persons unknown claiming any right, title, estate, interest or lien In the real estate described in the complaint herein,

Defendants,

THIS SUMMONS IS DIRECTED TO: The above named Defendants.

1. YOU ARE BEING SUED. The Plaintiff has started a lawsuit against you. The Plaintiff’s Complaint against you is attached to this summons. Do not throw these papers away. They are official papers that affect your rights. You must respond to this lawsuit even though it may not yet be filed with the Court and there may be no court file number on this Summons.

2. YOU MUST REPLY WITHIN 20 DAYS TO PROTECT YOUR RIGHTS. You must give or mail to the person who signed this Summons a written response called an Answer within 20 days of the date on which you received this Summons. You must send a copy of your Answer to the person who signed this Summons located at: Chiglo Law Office, 210 E. Cedar Street, P.O. Box 507, Houston, MN 55943.

3. YOU MUST RESPOND TO EACH CLAIM. The Answer is your written response to the Plaintiff’s Complaint. In your Answer, you must state whether you agree or disagree with each paragraph of the Complaint. If you believe the Plaintiff should not be given everything asked for in the Complaint, you must say so in your Answer.

4. YOU WILL LOSE YOUR CASE IF YOU DO NOT SEND A WRITTEN RESPONSE TO THE COMPLAINT TO THE PERSON WHO SIGNED THIS SUMMONS. If you do not Answer within 20 days, you will lose this case. You will not get to tell your side of the story, and the Court may decide against you and award the Plaintiff everything asked for in the Complaint. If your do not want to contest the claims stated in the Complaint, you do not need to respond. A default judgment can than be entered against you for the relief requested in the Complaint.

5. LEGAL ASSISTANCE. You may wish to get legal help from a lawyer. If you do not have a lawyer, the Court Administrator may have information about places where you can get legal assistance. Even if you cannot get legal help, you must still provide a written Answer to protect your rights or you may lose the case.

6. ALTERNATIVE DISPUTE RESOLUTION. The parties may agree to or be ordered to participate in an alternative dispute resolution process under Rule 114 of the Minnesota General Rules of Practice. You must still send your written response of the Complaint even if you expect to use alternative means of resolving this dispute.

7. THIS LAWSUIT AFFECTS AND BRINGS INTO QUESTION TITLE TO REAL PROPERTY located in Fillmore County, State of Minnesota, legally described as follows:

A part of Lots 1, 4, and 6 in WALKER & COMPANY’S SUBDIVISION of HYDRAULIC BLOCK 3 of C.D. SHERWOOD’S ADDITION to South Rushford (now City of Rushford Village) also being a part of the Southeast Quarter of the Northeast Quarter of Section 23, Township 104 North, Range 8 West, Fillmore County, Minnesota, described as follows:

Commencing at the southeast corner of the Southeast Quarter of the Northeast Quarter of said Section 23; thence North 00 degrees 30 minutes 32 seconds West (NOTE: all bearings are on the Fillmore County NAD 1983, HARN 96 adjustment) along the east line of said Southeast Quarter of the Northeast Quarter for a distance of 757.00 feet to the southeast corner of said Hydraulic Block 3, thence South 73 degrees 57 minutes 23 Seconds West (previously described as South 74 deg. 29 min. West) for a distance of 100.00 feet; thence North 18 degrees 49 minutes 32 seconds West for a distance of 100.00 feet to a found ~ inch iron pipe to the POINT OF BEGINNING of the land to be described; thence North 18 degrees 50 minutes 46 seconds West for a distance of 152.70 feet to a found ~ inch iron pipe; thence continue North 18 degrees 50 minutes 46 seconds West for a distance of 10.57 feet to the northerly line of said Hydraulic Block 3; thence North 75 degrees 39 minutes 56 seconds East along said northerly line for a distance of 52.90 feet; thence South 00 degrees 30 minutes 32 seconds East, parallel with the east line of said Section 23, for a distance of 167.62 feet to the POINT OF BEGINNING.

Containing 4305 Square feet, more or less, subject to easements, covenants, and restrictions of record.

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.

NOTlCE OF NO PERSONAL CLAIM. No personal claim is made against any of the Defendants in this action above entitled.

Dated: May 15, 2014

/s/ Terry A. Chiglo

Chiglo Law Office

Terry A. Chiglo

210 E. Cedar Street

P.O. Box 507

Houston, MN 55943

Phone: (507) 896-2176

Attorney I.D. No. 243875

Publish 16, 23, 30

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