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STATE OF MINNESOTA IN DISTRICT COURT COUNTY OF OTTER TAIL SEVENTH JUDICIAL DISTRICT ——————————————– 14. OTHER CIVIL, REAL PROPERTY Court File # 56-CV-25-1715 Jon S. Martin aka Jon Stanley Martin; Martin Engineering Co., a North Dakota corporation; Plaintiffs, vs. Suzanne C. Lervick; Robert M. Lervick; Robert M. Lervick and Suzanne Lervick as Trustees of the Suzanne C. Lervick Revocable Living Trust U/D/T January 26, 2011; Norman John Family LTD partnership; Hanzon Properties of Pelican Lake, LLC; Midwest Bank; Peggy Tirk; Edward H. Fish; the unknown heirs of Beverly C. Fish aka Beverly Carol Fish, deceased; Edward H. Fish and Thomas E. Fish as Personal Representatives of the Beverly C. Fish probate estate; Edward H. Fish as trustee of the Edward H. Fish Revocable Trust dated September 18, 2002; Thomas E. Fish as successor trustee of the Edward H. Fish Revocable Trust dated September 18, 2002; Sandra S. Fleming; the unknown heirs of Arthur C. Gronlund, deceased; the unknown heir of Virginia Gronlund, deceased; the unknown heirs of Suzanne Emily Tirk, deceased; the unknown heirs of Frank H. Alexander, deceased; the unknown heirs of Jennie Alexander, deceased; Marion A. Keyworth; John McGrath; Charles J. Eldridge; Ruth McGrath; Ernest Erickson; Beatrice R. Erickson; Jennie M. King; Reimer Ullrich; Amalie Ullrich; J. C. Engelman Land Company; The Engelman Company, Corp; the unknown heirs of Charles F. Martin, deceased; the unknown heirs of Esther L. Martin, deceased; the unknown heirs of George A. Martin, deceased; the unknown heirs of Charles Martin, deceased; John J. Thompson; Thompson Company of Barnesville; 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: That part of Government Lot 6 and that part of the Southeast Quarter of the Northwest Quarter, Section 1, Township 137, Range 43, Otter Tail County, Minnesota, and that part of Lots 1 through 4, Block 4, KING’S ADDITION TO CLEAR VIEW, OTTER TAIL COUNTY, MINN. according to the recorded plat thereof all described as follows: Commencing at the North Quarter corner of said Section 1; thence North 89 degrees 09 minutes 15 seconds West (bearing is based on Otter Tail County Coordinates – 2011 adjustment), along the north line of said Section 1, a distance of 1275.63 feet to the easterly line of OTTER TAIL COUNTY RIGHT OF WAY PLAT NO. 26, COUNTY STATE AID HIGHWAY NO. 9, according to the recorded plat thereof; thence South 00 degrees 41 minutes 31 seconds West along said easterly line, a distance of 2675.14 feet to the point of beginning of the land to be described; thence continuing South 00 degrees 41 minutes 31 seconds West along said easterly line, a distance of 134.38 feet to the north line of Reserve “A”, said KING’S ADDITION TO CLEAR VIEW, OTTER TAIL COUNTY, MINN.; thence South 88 degrees 31 minutes 25 seconds East along last said north line, a distance of 165.92 feet to the east line of said Reserve “A”; thence South 01 degree 34 minutes 23 seconds West along last said east line and it’s southerly extension, a distance of 274.96 feet to the northerly right-of-way line of County State Aid Highway No. 20; thence South 74 degrees 27 minutes 43 seconds East along said northerly right-of-way line, a distance of 265.18 feet; thence easterly, along said northerly right-of-way line, on a tangential curve concave to the south, having a radius of 5427.17 feet and a delta angle of 02 degrees 29 minutes 42 seconds, for an arc distance of 236.33 feet; thence South 71 degrees 58 minutes 01 second East along said northerly right-of-way line, a distance of 495.90 feet; thence easterly, along said northerly right-of-way line, on a tangential curve concave to the north, having a radius of 904.93 feet and a delta angle of 10 degrees 34 minutes 04 seconds, for an arc distance of 166.91 feet to the west line of Lot 1, MARTIN KNOLL, according to the recorded plat thereof; thence North 00 degrees 35 minutes 40 seconds East along west line, a distance of 709.26 feet to the northwest corner of last said Lot 1; thence North 88 degrees 29 minutes 06 seconds West a distance of 1280.34 feet to the point of beginning. Containing 14.89 acres more or less. Subject to the alley dedicated in the said plat of KING’S ADDITION TO CLEAR VIEW. AND That part of the Southwest Quarter of the Northeast Quarter and part of Government Lot 7, Section 1, Township 137 North, Range 43 West, described as follows: Lot One of the plat of Martin Knoll as monumented. YOU ARE FURTHER NOTIFIED that the object of this action is to obtain a judgment that Plaintiffs are the owners 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: 7-23-25 /S/ Penn C. Brandborg Penn C. Brandborg, Attorney for Plaintiffs 315 S. Mill Street Fergus Falls, MN 56537 218-736-7447, 218-770-8608 Att. Reg. No. 166546 penn@brandborglaw.com (Published September 3, 10 and 17, 2025)


