arrow left
arrow right
  • Aeon BP LLC, dba Huntington Place Apartments vs Joseph Dweh, Jr. Eviction (UD) document preview
  • Aeon BP LLC, dba Huntington Place Apartments vs Joseph Dweh, Jr. Eviction (UD) document preview
  • Aeon BP LLC, dba Huntington Place Apartments vs Joseph Dweh, Jr. Eviction (UD) document preview
  • Aeon BP LLC, dba Huntington Place Apartments vs Joseph Dweh, Jr. Eviction (UD) document preview
						
                                

Preview

27-CV-HC-23-10224 Filed in District Court State of Minnesota 12/29/2023 10:40 AM State of Minnesota District Court County Judicial District: Fourth Court File Number: Hennepin Case Type: 30118123 Aeon BP LLC dba Huntington Place Apartments Plaintifi's Date ofBirth: "WW 5805 73rd Ave 0r in") N Brooklyn Park. MN 55429 Adam vs. Eviction Action Complaint .- b (Minn. Stat. § 5043.321) Defendant (1 Mm Tenant's Date of Birth: "" / \'\ \Ottr «tho-n) suit or MINNESOTA ) ) SS COUNTY OF Henretin l 1, Stephanie Matthews state the following: (am at m #911!!me 1. Landlord leased or rented to tenant(s) on \—\ Ix. by an 0 ORAL ES mum»: ' agreement the premises at: ':5'<5\ \ "\ (3. \36 (x) Aparttncnt # 5 and garage 0 YBSE No, in the city of Brookrvnpark . the state of Minnesota, zip code 55429 . in the county of HemePi" . The agreementwasfiomkilkalfi to Hlfibb'd The current rent due and payable under this agreementeachmonth isS 246: 0' clueonthel'iHit day ofthe month. 2. The landlord ofthe premises described above is A._______£l___6°n BF' LLC dba Huntin ton Place 3. Landlord having present right of possession of said property, has complied with Minn. Stat. § $043.18! by: Q a. disclosing to the tenant either in the rental agreement or otherwise in writing prior to beginning of the tenancy the name and address of: i. the person authorized to manage the property AND ii. a landlord or agent authorized by the landlord to accept service of process and receive and give receipt for notices and demands, AND El b. posting in a conspicuous place on the property a printed or typewritten notice Front entry 10 apartmnl containing the above informaticn . 0R Whine Posted El 0. the above information was known by the tenant not less than 30 days before the filing of this action because: 4. Landlord seeks to have the tenant evicted for the following reasons: H0010: State ENG Rev ms mmneonrtegevflonm Page t of 2 27-CV-HC-23-10224 Filed in District Court State of Minnesota 12/29/2023 10:40 AM if a. The tenant is still' in possession (0 o '4" «bar of above premises and has failed to pay rent for the . Dec in the amount - month(s)of ofS 55'; *b' permonthpayable on the \ day ofeach montl: for atotal -1 MOf$ 525;E\ '3)" Lt 4:4! SK" ,' ("A CLM\C>-"—| £3.1— U b. The tenant has failed to vacate property after tenant D was given El gave written notice to do so. 'IEs notice was served on El Tenant El Landlord on andtenant D was told I: Gave notice to vacate the property by U c. The tenant has broken the terms of the rental agreement with property landlord by: (be specific) [3 d. The tenant has breached the covenants set forth'm Minn. Stat. §504B. 171 by: (be Specific) III e. Defendant 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. El f. Defendant defaulted on a contract deed and is holding over alter proper cancellation of the contract. 5. The landlord seeks judgment against the above tenant(s) for restitution of said premises plus costs and disbursemertts herein. Verification and Affidavit of Non Military Status 1.(Name) Stephanie Matthews state that 1 am the plaintimagentlattorney in this action, that l have read the complaint and that it is true to the best of my lmowledge; that tenant(s) is/are not now in the military service of the United States, to the best of my information and belief. l declare under penalty of perjury that everything I have stated in this document is true and correct. Minn. Stat. § 358.1 l6. ****Notlce: A licensed attorney must sigrr the Complaint and appear in court on behalf of a corporation or LLC. In Hennepin County only, Housing Court Rule 603 may permit a corporation or LLC to file and appear in court without a licensed attorney.'*** Dated: IQ/ 9% «as S'rktntewq Signature Name: Stephanie Matthews Address: 5805 73rd Ave N Brooklyn Park. MN 55429 City/State/Zip; Telephone: m) 3L.(— {5036 E-mail address: — smatthewsQaeonorg Home: State ENG Rev 'ms mmnuourta.govnonns Page 2 of 2