arrow left
arrow right
  • David Nelson, Vickie Nelson vs Ryan Joseph Mcguire Eviction (UD) document preview
  • David Nelson, Vickie Nelson vs Ryan Joseph Mcguire Eviction (UD) document preview
  • David Nelson, Vickie Nelson vs Ryan Joseph Mcguire Eviction (UD) document preview
  • David Nelson, Vickie Nelson vs Ryan Joseph Mcguire Eviction (UD) document preview
  • David Nelson, Vickie Nelson vs Ryan Joseph Mcguire Eviction (UD) document preview
  • David Nelson, Vickie Nelson vs Ryan Joseph Mcguire Eviction (UD) document preview
  • David Nelson, Vickie Nelson vs Ryan Joseph Mcguire Eviction (UD) document preview
  • David Nelson, Vickie Nelson vs Ryan Joseph Mcguire Eviction (UD) document preview
						
                                

Preview

ml if i-Ci-L'Z‘enrt Sate of Minnesota Dated State of Minnesota District Court County of: Judicial District: glam—— Wm Court File Number: Case Type: “4” Housing . - 3 “C EVICTION ACTION COMPLAINT (Minn. Stat. §504B.321) Plaintiff #1 (Landlord) Plaintiff #2 (Landlord) Name: :DQVA‘& Ndsm Name: (RUM: Ndsun Address: 3353 A90“ Sr Address: 33‘53, “—913“ 3;. City/State/Zip When mu 5:05 a; City/State/Zip: W Obell W 5b§93 Defendant #1 (Tenant) VS . Defendant #2 (Tenant) Name: Namaflu‘on 3059.0): Mcbuk'rc Address: Address: AUG N SF City/State/Zip:Q“ maze». mm fins 9. 9 City/State/Zip Check box if there are more than two plaintiffs or more than two defendants. List the El information for the other parties on the Additional Litigants Form (HOU125). 1. Rental Agreement Landlord leased or rented property located at: ‘-\\O N 5:.— Apartment # in the city of Qm‘nobe» , the state of Minnesota, Zip Code 5196 9-9 ,in the county of \n'\ \km and E] does Q does not include a garage. The agreement for the property, beginning from '\9~- ‘5- 90\q and ending is an El ORAL or \BL WRITTEN agreement and is for: (Check all that apply) [XPayment of Rent. The current rent due and payable under this agreement each month is $ ‘00 03- due on the \9‘ day of each month. [:1 Exchange of Services. The agreement for exchange of services was: (explain in detail) 2. Notice of Right of Possession by Landlord for Residential Leases HOU102 State ENG Rev 5/19 www.mncourtsgov/forms Page 1 0f 4 Landlord having present right of possession of the residential property, has followed Minn. Stat. §504B. 181 by: (You must check either A and B, or C) D a. informing the Tenant, either in the rental agreement or otherwise in writing, before the beginning of the tenancy the name and address of: i. the person authorized to manage the property AND ii.a landlord or agent authorized by the landlord to accept service of process and receive and give receipt for notices and demands AND D b. Posting in an obvious place on the property a printed or typewritten notice that includes the information above. Explain where the notice is posted: OR D c. The Tenant knew of the name and address of the person authorized to manage the property and accept and give receipt for notices and demands, at least 3O days before the filing of this action because: 3. Grounds for Eviction Landlord seeks to have the Tenant evicted for the following reasons: (Check all that apply) E a.The Tenant is still in possession of the premises and has failed to pay the rent for the month(s) of 5—24 MWL [9,39 —9) in the amount of $ \00 09— per month Bayable on the \g' day of each month for a total due of $ N on “9- D b. The Tenant failed to vacate the property afier written notice was given: (Check all that apply) D Landlord gave written notice to tenant on to vacate the property by .Tenant has failed to vacate the property. D Tenant gave written notice to Landlord on that they would HOU102 State ENG Rev 5/19 www.mncourts.gov/forms Page 2 0f 4 vacate the property by .Tenant has failed to vacate the property. Q c. The Tenant has broken the terms of the rental agreement with property landlord by: (be specific) N! i . a E QZICZ:' E . @llpgdg D d. The Tenant has breached the covenants at stated in Minn. Stat. §504B. 171 by: (be specific) D e.The Tenant defaulted on the mortgage and the property has been sold at a Sheriff‘s sale. The Redemption period has expired and Plaintiff is entitled to possession. D f. The Tenant defaulted on a Contract for Deed and is holding over after proper cancellation of the contract. 4. The Landlord seeks judgment against the above Tenants for restitution of said premises plus costs and disbursements. 5. Tenant #1 date of birth / D Unknown; Tenant #2 date of birth / E] Unknown; If a tenant is a business, leave this section blankfor that tenant. 6. Military status for Tenant: Tenant # 1 D is in the military service D is not in the military service E Unknown Tenant # 2 [j is in the military service D is not in the military service D Unknown If a tenant is a business, leave this section blank for that tenant. I declare under penalty of perjury that everything that I have stated in this document is true and correct. Minn. Stat. § 358.116. ****Notice: A licensed attorney must sign the Complaint and appear in court on behalf of a corporation or LLC. **** Hou102 State ENG Rev 5/19 www.mncourts.gov/forms Page 3 of 4 Dated: (o- a} 309:; \mm Signature m VT \ Name: \(‘L on C Ndfikk County and State where signed Address: 5355 Q90“ 3* City/State/Zip: mm mm 3065—) Telephone: 79 \- rpm) -193 E-mail address: M- MM hWW HOU102 State ENG Rev 5/19 www.mncourts.gov/forms Page 4 of 4