Legal Notice

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STATE OF MINNESOTA  COUNTY OF STEARNS Shannon A. Dahl, Plaintiff, vs.  Steven Ray Parsons a/k/a Steve R. Parsons, Heidi Carol Parsons a/k/a Heidi C. Parsons, Jerry Bryan, Wanda Cox, Ken Finken a/k/a Kenneth Finken, Marcene Finken, Charles Larson, Frances Doege, and all other unknown persons 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 Plaintiff’s attorneys an Answer to the Complaint which has been filed with the Court Administrator of the above-named Court, at the Courthouse in the City of St. Cloud, County of Stearns, State of Minnesota, within twenty (20) days after service of this Summons upon you, exclusive of the date of such service. If you fail to do so, Judgment by Default will be taken against you for the relief demanded in the Complaint. You are further notified that this action involves the title to the following-described real estate situation in the County Stearns, State of Minnesota, to-wit The East 107 feet of the West 116 feet of Lot Twelve (12), North of Highway, less the North 75 feet thereof in Brower’s Addition to Kimball, more particularly described as follows: That part of Lot 12 of Brower’s Addition to Kimball describes as follows: Beginning at a point on the North line of said Lot 12 which is 9.00 feet East of the Northwest corner of said Lot 12; thence East a distance of 107 feet; thence South parallel to the West line of said Lot 12 to its interesection with the Northerly line of Minnesota State Highway No. 55; thence Northwesterly along the North line of said Highway to a point which is 9 feet from the West line of said Lot 12 (measured at right angles to said West line); thence North parallel to said West line to the point of beginning, except the North 75 feet thereof; according to the plat and survey thereof, now on file and of record in the office of the Stearns County Recorder. The object of this action is to secure a judgment that Plaintiff is the owner in fee simple in the above-described property. Dated this second day of   January 2004. Gray, Plant, Mooty,   Mooty & Bennett, P.A.  Robert J. Walter  I.D. No. 114248  Attorneys for Plaintiff  1010 West St. Germain  Suite 600  St. Cloud, MN 56301  (320) 252-4414 Published in the Tri-County News Jan. 15, 22 and 29, 2004.