On March 23, 2021 a
Motion,Ex Parte
was filed
involving a dispute between
Sustainable 9 Design + Build,
Sustainable 9, Llc,
and
Coleman, Jacqueline,
Riverland Bank,
for Mechanics Lien
in the District Court of Hennepin County.
Preview
27-CV-21-3320
Filed in District Court
State of Minnesota
11/2/2022 2:25 PM
STATE OF MINNESOTA DISTRICT COURT
COUNTY OF HENNEPIN FOURTH JUDICIAL DISTRICT
Sustainable 9, LLC d/b/a Sustainable 9 Case Type: Mechanic’s Lien
Court File No.: 27-CV-21-3320
Design + Build,
The Honorable Kristin A. Siegesmund
Plaintiff,
v.
Jacqueline Coleman, Riverland Bank,
John Doe, Mary Roe, and XYZ
Partnership,
Defendants, THIRD-PARTY DEFENDANT
v. METRO FLOORS, INC.’S NOTICE
OF MOTION AND MOTION FOR
Action Overhead Garage Door, LLC, SUMMARY JUDGMENT
M.J. Lorenz Concrete & Masonry Inc.,
Preferred Exteriors Inc., JMS
Construction, L.L.C., HanDan LLC
d/b/a DWELL44, Metro Floors, Inc.,
Great Northern Granite LLC, GFC
Industrial Coatings LLC, BILT
Fabrication L.L.C.,
Third-Party Defendants.
TO: All Parties and Their Counsel of Record.
NOTICE OF MOTION
PLEASE TAKE NOTICE that on Thursday, December 15, 2022, at
12:30 p.m., or as soon thereafter as counsel may be heard, before the Honorable
Kristin A. Siegesmund, Third-Party Defendant Metro Floors, Inc. (“Metro Floors”),
will bring on the attached motion for hearing via Zoom. This Motion will be based
on oral argument of counsel, memoranda of law, affidavits, and all files, records,
and proceedings herein.
27-CV-21-3320
Filed in District Court
State of Minnesota
11/2/2022 2:25 PM
Zoom information for the hearing is provided below:
https://zoomgov.com/join
Meeting ID: 161 082 3319
Passcode: 013495
MOTION
Metro Floors will move the Court for an order pursuant to Rule 56 of the
Minnesota Rules of Civil Procedure dismissing Plaintiff Sustainable 9, LLC d/b/a
Sustainable 9 Design + Build’s claims on the merits and with prejudice on the
general grounds that there are no genuine issues of material fact and summary
judgment is appropriate as a matter of law.
Dated: November 2, 2022 ERICKSON, ZIERKE, KUDERER &
MADSEN, P.A.
By: s/Robert E. Kuderer
Robert E. Kuderer (#207652)
7301 Ohms Lane, Suite 207
Minneapolis, MN 55439
Tel: (952) 582-4711
Email: bob.kuderer@ezkm.net
Attorney for Third-Party Defendant
Metro Floors, Inc.
ACKNOWLEDGMENT REQUIRED BY
MINN. STAT. § 549.211
The undersigned hereby acknowledges that sanctions may be imposed
pursuant to Minn. Stat. § 549.211.
s/Robert E. Kuderer
Robert E. Kuderer
2
Document Filed Date
November 02, 2022
Case Filing Date
March 23, 2021
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