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  • KEVIN CARR V JOSHUA ADAMS (E-CASE) AC Unlawful Detainer document preview
  • KEVIN CARR V JOSHUA ADAMS (E-CASE) AC Unlawful Detainer document preview
  • KEVIN CARR V JOSHUA ADAMS (E-CASE) AC Unlawful Detainer document preview
  • KEVIN CARR V JOSHUA ADAMS (E-CASE) AC Unlawful Detainer document preview
						
                                

Preview

Electronically Filed - WASHINGTON - December 07, 2023 - 02:22 PM 23WA-AC00502 STATE OF MISSOURI ) ) SS COUNTY OF JEFFERSON ) IN THE ASSOCIATE CIRCUIT COURT OF THE TWENTY-FOURTH JUDICIAL CIRCUIT OF MISSOURI, AT HILLSBORO, WASHINGTON COUNTY, MISSOURI KEVIN CARR, ) ) Plaintiff, ) ) vs. ) Cause No. ) JOSHUA ADAMS, ) Division No. ) Defendant. ) PETITION COMES NOW Plaintiff, Kevin Carr, and for this Petition for Unlawful Detainer, states as follows: 1. Plaintiff is the owner of property known as 10631 Cedarwood Ln., Mineral Point, Missouri 63660 (the “Property”) which lies in Washington County, Missouri. 2. Defendant is a resident of the Property. 3. Defendant was served notice to vacate the Property, such notice stating that Defendant was to vacate the Property on or before November 30, 2023. 4. Defendant has willfully and without force held over possession after termination of the time for which the premises were let to Defendant. 5. Despite having received notice of the termination of this tenancy and a written demand for possession of the premises, Defendant has refused to vacate the premises and surrender and deliver possession to Plaintiff and has unlawfully and Electronically Filed - WASHINGTON - December 07, 2023 - 02:22 PM willfully detained the premises to which Plaintiff has been entitled to possession since the 1st day of December, 2023. 6. Reasonable rental value of the Property is $500.00 per month. WHEREFORE, Plaintiff prays for judgment for the immediate possession of the Property set forth above, for double rental value from December 1, 2023 until possession of the Property be delivered to Plaintiff, and for such other relief deemed just and proper under the circumstances. Respectfully submitted, ROBERTS, WOOTEN & ZIMMER, L.L.C. Attorneys at Law P.O. Box 888 10438 Business 21 Hillsboro, Missouri 63050 (636) 797-2693 Phone (636) 789-4205 Fax By: __/s/ Justin L. Cardwell ______ Justin L. Cardwell, #63747 Attorney for Plaintiff