On March 03, 2017 a
Complaint-Civil
was filed
involving a dispute between
and
for Eviction (UD)
in the District Court of Ramsey County.
Preview
62-HG-CV-17-546
Filed in Second Judicial District Court
3/6/2017 11:05:27 AM
Ramsey County, MN
STATE OF MINNESOTA DISTRICT COURT
RAMSEY COUNTY SECOND JUDICIAL DISTRICT
HOUSING COURT DIVISION
Wentworth, LLC Court File No. 62-HV-CV-17-546
c/o Robert C. Black, III
7400 Metro Boulevard
Suite 425
Edina MN 55439
AMENDED
Plaintiff, EVICTION
ACTION
Dara Jean Tyler COMPLAINT
1869 Highway 96 E.
White Bear Lake MN 55510
Defendant.
TO: Defendant, Dara Jean Tyler, 1869 Highway 96 E., White Bear Lake, Minnesota 55110.
Plaintiff Wentworth, LLC, for it Eviction Action Complaint, states and alleges as follows:
1. The plaintiff, Wentworth, LLC, is an Arizona Limited Liability company, located at 3714
East Indian School Road, Phoenix, Arizona. The plaintiff is represented in this matter by Robert
C. Black, III, Attorney at Law.
2. The plaintiff purchased property located at 1869 Highway 96 E. White Bear Lake
Minnesota (the Property) on December 20, 2016 from the Estate of Janice M. Tyler.
3. Upon information and belief, at the time of the purchase, the defendant resided, and as of
the date hereof, continues to reside at the Property.
4. Upon information and belief, at the time of the purchase of the Property, there was no
lease or rental agreement in place between the Estate of Janice M. Tyler and defendant. Since
the time of the purchase of the Property, the plaintiff has not entered into any lease or rental
agreement with defendant regarding the property. Accordingly, the defendant has no rights to
reside in the Property or any other possessory rights.
5. Via Correspondence dated January 30, 2017, defendant was informed of the plaintiff’s
purchase of the Property and requested to vacate the property.
GZ'HG'CV'17'546
Filed in Second Judicial District Court
3/6/2017 11:05:27 AM
Ramsey County, MN
6. The plaintiff seeks judgment against the defendant for restitution of said premises plus
costs and disbursements.
7. Upon information and belief, the defendant is not in the military service of the United
States,
8. I declare under penalty of perjury that everything I have stated in this document is true
and correct. Minn. Stat. § 358.116.
Dated: March 2, 2017 /s/ Robert C. Black, III/s/
Robert C. Black, 111
Attorney for Plaintiff
7400 Metro Boulevard
Suite 425
Edina, MN 55439
952-831-1454
Atty. Reg. No. 186855
RCBlackLaW@aol.com
Document Filed Date
March 06, 2017
Case Filing Date
March 03, 2017
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