Court File No. 79-CV-24-218 - CASE TYPE: Quiet Title Action

STATE OF MINNESOTA
COUNTY OF WABASHA
DISTRICT COURT
THIRD JUDICIAL DISTRICT

Court File No. 79-CV-24-218
CASE TYPE: Quiet Title Action

SUMMONS
Craig Johnson,
    Plaintiff,
vs.

Helen Friel, and her heirs and Assigns, and other persons, unknown, claiming any right title estate, interest or lien in the real property 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 attorney an Answer to the Complaint which is on file in the Office of the Court Administrator of the above-named Court within twenty (20) days after service of the first day of publication.  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 Wabasha, State of Minnesota, described as follows, to-wit:

That part of the Southeast Quarter of the Southeast Quarter, Section 34, Township 109 North, Range 14 West, Wabasha County, Minnesota, described as follows:

Beginning at the most southerly corner of Lot 5, RYAN’S PLAT “A”, according to the plat thereof on file at the County Recorder’s Office, said Wabasha County; thence on an assumed bearing of North 67 degrees 41 minutes 26 seconds West along the southwest line of said Lot 5 a distance of 34.87 feet to the most westerly corner of said Lot 5; thence South 30 degrees 12 minutes 23 seconds West along the southwesterly extension of the northwest line of said Lot 5 a distance of 33.32 feet to the southeast line of a private access easement described in Book 116 of Deeds, Pages 528 and 529, as recorded in said County Recorder’s Office; thence South 67 degrees 41 minutes 26 seconds East along said southeast line a distance of 34.87 feet to the intersection with the southwesterly extension of the southeast line of said Lot 5; thence North 30 degrees 12 minutes 23 seconds East along said southwesterly extension a distance of 33.32 feet to the point of beginning.

The object of this action is to obtain a judgment that the Plaintiff is the owner in fee, of the above-described real property and that Defendants do not have the estate or interest indicated in the tract index.

OHLY LAW LTD

Dated: February 14, 2024

/s/ James C. Ohly           
James C. Ohly (#203749)
Travis M. Ohly (#0347176)
Attorneys for Plaintiffs
Ohly Law Ltd.
1850 North Broadway
Rochester, Minnesota 55906
(p) 507.289.4529
(f) 507.289.0987

Published in the Lake City Graphic
on March 28, April 4 and April 11, 2024

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