Legals and public notices from Red Wing and surrounding area
NOTICE OF MORTGAGE
DATE OF MORTGAGE: October 5, 1999
ORIGINAL PRINCIPAL AMOUNT OF MORTGAGE: $124,000.00
MORTGAGOR(S): Gregory D. Ericksen , and Cheryl R. Ericksen, Husband and Wife as joint tenants
MORTGAGEE: Ameriquest Mortgage Company
DATE AND PLACE OF RECORDING: Recorded: October 20, 1999, Goodhue County Recorder, Document #434888
LEGAL DESCRIPTION OF PROPERTY:
Parcel 1 Lot 1 and the East 15 feet of Lot 2 in Block 56 in Cannon Falls City, an addition to the town (now City) of Cannon Falls, according to the plat thereof on file and of record in the Office of the County Recorder for Goodhue County, State of Minnesota, including that portion of Vacated Almond Street lying adjacent to and East of the property above described.
Parcel 2 The West 45 feet of Lot Two (2) and the East 30 feet of Lot Three (3). Block Fifty Six (56) of Cannon Falls City, an addition to the town, now City of Cannon Falls, Minnesota, as per the recorded plat thereof
Parcel 3 That part of Block 45 of Cannon Falls City, an addition to the Town (now City) of Cannon Falls, according to the plat thereof on file and of record in the Office of the County Recorder for Goodhue County, State of Minnesota, lying Southerly of the Railroad right of way
COUNTY IN WHICH PROPERTY IS LOCATED: Goodhue
AMOUNT DUE AND CLAIMED TO BE DUE AS OF DATE OF NOTICE, INCLUDING TAXES, IF ANY, PAID BY MORTGAGEE: $113,613.90
THAT all pre-foreclosure requirements have been complied with; that no action or proceeding has been instituted at law or otherwise to recover the debt secured by said mortgage, or any part thereof;
PURSUANT to the power of sale contained in said mortgage, the above described property will be sold by the Sheriff of said county as follows:
DATE AND TIME OF SALE: March 5, 2003 10:00 A.M.
PLACE OF SALE: Main Lobby, Law Enforcement Center, 430 W. Sixth Street, Red Wing, MN 55066
to pay the debt secured by said mortgage and taxes, if any, on said premises and the costs and disbursements, including attorneys fees allowed by law, subject to redemption within 6 months from the date of said sale by the mortgagor(s), their personal representatives or assigns.Mortgagor(s) released from financial obligation: NONE
THIS COMMUNICATION IS FROM A DEBT COLLECTOR ATTEMPTING TO COLLECT A DEBT. ANY INFORMATION OBTAINED WILL BE USED FOR THAT PURPOSE.
THE RIGHT TO VERIFICATION OF THE DEBT AND IDENTITY OF THE ORIGINAL CREDITOR WITHIN THE TIME PROVIDED BY LAW IS NOT AFFECTED BY THIS ACTION.
THE TIME ALLOWED BY LAW FOR REDEMPTION BY THE MORTGAGOR, THE MORTGAGOR'S PERSONAL REPRESENTATIVES OR ASSIGNS, MAY BE REDUCED TO FIVE WEEKS IF A JUDICIAL ORDER IS ENTERED UNDER MINNESOTA STATUTES, SECTION 582.032, DETERMINING, AMONG OTHER THINGS, THAT THE MORTGAGED PREMISES ARE IMPROVED WITH A RESIDENTIAL DWELLING OF LESS THAN FIVE UNITS, ARE NOT PROPERTY USED IN AGRICULTURAL PRODUCTION, AND ARE ABANDONED.
DATED: January 13, 2003
Ameriquest Mortgage Company
Leonard, O'Brien, Wilford, Spencer & Gale
Attorneys for Mortgagee
Lawrence A. Wilford
James A. Geske
55 East Fifth Street
Saint Paul, Minnesota 55101
File ID: 48243
(Jan. 16, 23, 30, Feb. 6, 13 & 20)
STATE OF MINNESOTA
COUNTY OF GOODHUE
IN DISTRICT COURT
FIRST JUDICIAL DISTRICT
Court File No. CO-02-2068
Case Type: Other Civil
John S. Hall,
Patricia Christensen a/k/a Patricia M. Christensen, Martin K. Christensen a/k/a Martin Kristian Christensen, Roger Garlitch a/k/a Roger K. Garlitch, Pamela Garlitch a/k/a Pamela S. Garlitch, Daaron, Inc., Fred E. Krohn, Elenore A. Krohn, James L. Dollar a/k/a James Dollar, Carol J. Dollar a/k/a Carol Dollar, Scholastica Fuller, Timothy Fuller, Robert L. Phillips, Betsey Ann Phillips, Samuel Doughty, Levi M. Phillips, Marshall S. Phillips a/k/a M.S. Phillips, Eliza J. Phillips, Poliner Hide a/k/a Plina Hyde, Mary Hyde, Jane H. Weston a/k/a Janney H. Weston, Albert E. Weston a/k/a A.E. Weston, Charles Schumacher, Lillie Schumacher a/k/a Lillie Baker Schumacher, Arthur E. Schumacher, Mabel M. Platte, George Platte, Irene Shepard, Victor Shepard a/k/a Victor L. Shepard, Roy W. Zillgitt a/k/a Roy Zillgitt, Juanita M. Glander, Donald W. Glander a/k/a Donald Glander, James D. Roemer, Mary Ann Roemer, Therese Reck, Willard Bailey, Abner Tibbits, David C. Gardner, Lydia S.S. Gardner, Wesley F. Bailey, Hezekiah W. Bailey, Harriet E. Bailey, Ira Holt, William Cleveland, Seth Abbott, Almira M. Abbott, Josiah A. Temple, Charles L. Dempster, Nellie J. Dempster, W.L. Bowen a/k/a William Leddra Bowen and William L. Bowen, Alice M. Bowen, Bernard Wentink, Anna M. Wentink, Mary O'Neil, Henry O'Neil, Nels C. Wullum, Ray Bowers a/k/a Ray D. Bowers, Hattie Bowers a/k/a Hattie I. Bowers, Ed H. Rietmann /k/a Edward H. Reitmann, Rose F. Rietmann, Keith Toogood, Pauline Toogood, Walter A. Ludemann, Shirley A. Ludemann, Arthur H. Oelkers a/k/a Arthur Oelkers, Bertha M. Oelkers a/k/a Bertha Oelkers, Ardis M. Kohrs, Wendell Kohrs, Hans Peters, Dorothy Peters, Gudim Realty Co., Inc., Walter E. Reitmann, Adeline Reitmann and Calhoun Realty Co. Also, the unknown heirs of any deceased defendant and all other persons unknown claiming any right, title, estate, interest, or lien in the real estate described in the compliant herein,
THE STATE OF MINNESOTA TO THE ABOVE-NAMED DEFENDANTS:
You, and each of you, are hereby summoned and required to answer the complaint of the Plaintiff in the above-entitled action, which Complaint has been filed in the office of the Court Administrator in and for said County and State, and to serve a copy of your Answer to the said Complaint upon the subscriber at his office in the City of Lake City, in the County of Wabasha and State of Minnesota, within twenty (20) days after service, and if you fail to answer the said Complaint within the time aforesaid, the Plaintiff will apply to the Court for the relief demanded therein.
The object of this action is to establish the ownership of the Plaintiff in the following described property located in Goodhue County:
That part of Government Lot 4 of Section 32, Township 112 North, Range 12 West, Goodhue County, Minnesota, and that part of Block 34 of CENTRAL POINT, according to the plat thereof filed in the Goodhue County Recorder's Office and that part of Block 34 of the Auditor's Subdivision of CENTRAL POINT, according to the plat thereof filed in the Goodhue County Recorder's Office, and that part of the alley in said Block 34, described as follows:
Commencing at the most northerly corner of Block 7 of BAILEY'S ADDITION, according to the plat thereof filed in the Goodhue County Recorder's Office; thence on a 1927 Minnesota State Plane Grid Bearing of North 44 degrees 35 minutes 28 seconds West, along the northwesterly extension of the northeasterly line of said Block 7, a distance of 264.18 feet to a point on the southeasterly extension of the northeasterly line of said Block 34, distant 132.10 feet and South 44 degrees 35 minutes 28 seconds East from the most northerly corner of said Block 34, being on the northeasterly extension of the southeasterly line of Lot 2 of said Block 34 and also being the point of beginning of the land to be described; thence South 45 degrees 18 minutes 51 seconds West, along said extension and along the southeasterly line of Lot 2 and along the southeasterly line of Lot 7 of said Block 34, a distance of 156.36 feet to the most southerly corner of the northeasterly 8.00 feet of Lot 7 of said Block 34.; thence North 44 degrees 34 minutes 53 seconds West, parallel with the northeasterly lines of Lots 7 and 6 of said Block 34, a distance of 131.88 feet to the most westerly corner of the northeasterly 8.00 feet of Lot 6 of said Block 34; thence North 45 degrees 14 minutes 05 seconds East, to the most northerly corner of said Block 34; thence South 44 degrees 35 minutes 28 seconds East, a distance of 132.10 feet to the point of beginning.
NOTICE OF NO PERSONAL CLAIM
Pursuant to Minn. Stat. Section 557.03, please be on notice that Plaintiff, by this action, is making no personal claim against the above named Defendants.
PURSUANT TO MINN. STAT. 549.211, SUBD. 1, THE UNDERSIGNED HEREBY ACKNOWLEDGES THAT SANCTIONS MAY BE IMPOSED AGAINST THE ATTORNEYS, LAW FIRMS OR PARTIES RESPONSIBLE FOR VIOLATION OF MINN. STAT. 549.211, SUBD. 2.
Dated this 11 day of Nov. 2002
SCHREIBER & JARSTAD
Daniel R. Trost #154064
Attorney for Plaintiff
104 South Washington
Lake City, MN 55041
Telephone: (651) 345-3304
(Jan. 16, 23 & 30)