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STATE OF MINNESOTA IN DISTRICT COURT SEVENTH JUDICIAL DISTRICT ——————————————— 14. OTHER CIVIL REAL PROPERTY Court File # 56-CV-24-488 Jed Karold Evavold; Robert B. Ritter, Jr; Laurel A. Ritter; Robert B. Ritter, Jr and Laurel A. Ritter as Trustees of the Ritter Family Trust dated July 13, 1988; Plaintiffs, vs. Harry R. Bengston; the unknown heirs of Florence E. Bengston, deceased; Obed J. Ellingson; Berdell Ellingson; Evelyn Eyleen Bengston; Eyleen Bengston; Orlin P. Urbach; Ione I. Urback; Carol Place; David Place; Larry S. Ohman; Diana R. Ohman; Gerald N. Coleman Revocable Living Trust dated the 20th day of September, 2012; George E. Bengston; Eileen Bengston; Richard A. Hilscher; Twyla M. Hilscher; John H. Moe; Sharlot F. Moe; Tara L. Hilscher-Decker, aka Tara L. Decker; First Federal Bank of Florida; Thomas C. Athens; Jean C. Athens; Brenda Zabel; Robert Zabel; Trudy D. Determan fna Trudy D. Ikeogu; Jon Determan; Dale R. Oletzke; Tara L. Hilscher; Jason R. Decker; Henry W. Stromwall; Emma Stromwall; Karold Evavold; Violet Evavold; Alvin C. Vogt as Trustee of the Alvin C. Vogt Living Trust dated April 10, 1992; Harold C. Jensen; Mabeth J. Jensen; Gerhart Jensen; Avis Jensen; Eric M. Mounts; Kathleen F. Mounts; Orvis G. Dahlen; Reta S. Dahlen; Ryan T. Risbrudt; Darcy R. Risbrudt; Kathy L. Evavold; Michael Van Santen; Patricia Van Santen; also the unknown heirs, successors or assigns of any of the above defendants, and all other persons unknown claiming any right, title, estate, interest or lien in the real estate described in the complaint herein. Defendants. ———————————————————————————————– SUMMONS ———————————————————————————————– THE STATE OF MINNESOTA TO THE ABOVE-NAMED DEFENDANTS: You are hereby summoned and required to serve upon Plaintiffs’ 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 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 Otter Tail, State of Minnesota described as follows: All that part of Government Lots 1 and 2 of Section 14, Township 131, Range 40, Otter Tail County, Minnesota, lying southerly of the following described line: Beginning at the north quarter corner of said Section 14; thence South 89 degrees 52 minutes 46 seconds West (bearing based on Otter Tail County Coordinates, 2011 adjustment) along the north line of said Section 14, a distance of 798.57 feet to the northwesterly line of a dedicated road as dedicated in the plat of BENGSTON BEACH, according to the recorded plat thereof; thence South 89 degrees 52 minutes 46 seconds West along said north line, a distance of 211.36 feet; thence South 44 degrees 26 minutes 26 seconds East a distance of 3.95 feet; thence South 45 degrees 35 minutes 40 seconds West a distance of 100.38 feet; thence South 46 degrees 03 minutes 22 seconds West a distance of 79.88 feet; thence South 59 degrees 14 minutes 46 seconds West a distance of 407.77 feet to the most easterly corner of a tract of land described in Document No. 1136384, as filed in the office of the County Recorder; thence South 59 degrees 14 minutes 46 seconds West along the southeasterly line of said tract of land, a distance of 149.04 feet to the most southerly corner of said tract of land; thence South 59 degrees 14 minutes 46 seconds West a distance of 71.57 feet; thence South 63 degrees 28 minutes 28 seconds West a distance of 98.66 feet; thence South 59 degrees 12 minutes 14 seconds West a distance of 101.66 feet to the most easterly corner of REINKE BEACH, according to the recorded plat thereof; thence South 59 degrees 40 minutes 07 seconds West along the southeasterly line of said REINKE BEACH, a distance of 387.16 feet to the most southerly corner of said REINKE BEACH; thence South 59 degrees 40 minutes 07 seconds West a distance of 360.00 feet; thence South 72 degrees 30 minutes 07 seconds West a distance of 140.00 feet to the west line of said Section 14 and there terminating. Containing 63.14 acres more or less. Subject to Eagle Lake Road South YOU ARE FURTHER NOTIFIED that the object of this action is to obtain a judgment that Plaintiff, Jed Karold Evavold, is the owner in fee simple of the above-described real property; and that the Defendants, and each of them, be declared to have no right, title, estate, right to possession, lien or interest in the real estate described above. The Defendants will take notice that no personal claim is made by the Plaintiffs against any of the Defendants. Civil cases are subject to Alternative Dispute Resolution processes as provided in Rule 114 of the General Rules of Practice for the District Courts. Alternative Dispute Resolution includes mediation, arbitration, and other processes set forth in the rules. You may contact the Court Administrator for information about these processes and about resources available in your area. Dated: 2-28-24 /S/ Penn C. Brandborg Penn C. Brandborg, Attorney for Plaintiffs 315 S. Mill Street Fergus Falls, MN 56537 218-736-7447, Att. Reg. No. 166546 penn@brandborglaw.com (Published July 31, August 7 and 14, 2024.)