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  • GRABBE, PETER C vs BAKER, BEVERLY RHODA OTHER CIVIL (NON-MONETARY) - COUNTY document preview
  • GRABBE, PETER C vs BAKER, BEVERLY RHODA OTHER CIVIL (NON-MONETARY) - COUNTY document preview
  • GRABBE, PETER C vs BAKER, BEVERLY RHODA OTHER CIVIL (NON-MONETARY) - COUNTY document preview
  • GRABBE, PETER C vs BAKER, BEVERLY RHODA OTHER CIVIL (NON-MONETARY) - COUNTY document preview
  • GRABBE, PETER C vs BAKER, BEVERLY RHODA OTHER CIVIL (NON-MONETARY) - COUNTY document preview
  • GRABBE, PETER C vs BAKER, BEVERLY RHODA OTHER CIVIL (NON-MONETARY) - COUNTY document preview
						
                                

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IN THE COUNTY COURT, TWELFTH JUDICIAL CIRCUIT, IN AND FOR SARASOTA, COUNTY, FLORIDA, CIVIL DIVISION PETER C. GRABBE Plaintifi(s), vs. } ) Case Number: Bore cz A040 Ne BEVERLY RHODA BAKER > Defendant(s). COMPLAINT FOR UNLAWFUL DETAINER Plaintifi(s), PETER C. GRABBE , sues the Defendant(s), BEVERLY RHODA BAKER , and alleges as follows: 1. This is a cause of action for unlawful detainer pursuant to Chapter 82, Florida Statutes. 2. On or about (date) 98/01/2023 Defendant entered or took possession of the dwelling located at (address) 15383 SARAPOINTE COURT, SARASOTA, FL 34232 located in (name of county address is located in)SARASOTA County, Florida with the permission of the Plaintiff, but not pursuant to any lease agreement. 3. On or about (date) 93/27/2024 » Plaintiff revoked his/her/their consent for Defendant to be in possession of the dwelling and, on that date, so informed Defendant, and demanded that Defendant vacate the premises. 12/24 SHC/LL BS Filed 04/01/2024 09:16 AM - Karen E. Rushing, Clerk of the Circuit Court, Sarasota County, FL 4. However, Defendant refused to vacate the premises and continues in possession of the dwelling against the consent of Plaintiff, contrary to § 82.04, Florida Statutes. 5. In accordance with § 82.04(1), Florida Statutes, Plaintiff is entitled by this lawsuit to have Defendant removed from possession of the premises; and Plaintiff is entitled to the summary procedure set forth in § 51.011, Florida Statutes. WHEREFORE, Plaintiff respectfully requests that the Court will find that Defendant wrongfully holds possession of the premises, grant final judgment in favor of Plaintiff and against Defendant, issue a writ of possession in favor of Plaintiff and against Defendant in accordance with §82.091, Florida Statutes, award to Plaintiff the costsof this action, and grant to Plaintiff such other relief as justified by the circumstances in this case. be C. Yr he VA K ce snare aintift PETER C. GRABBE (Print Your Name) 5383 SARAPOINTE COURT (Address) SARASOTA, FL 34232 (City, State, Zip) 941-323-1144 (telephone number) 12/21 SHC/LLBS 3/28/2024 NOTICE OF UNLAWFUL DETAINER POSTED ON FRONT DOOR OF HOME and Hand Delivered Dear Beverly Rhoda Baker, This is to inform you that, in accordance with § 82.04, Florida Statutes, I hereby revoke my consent for you to live in my home at 5383 SARAPOINTE COURT, SARASOTA, FL 34232. I am the sole owner of this home. I further hereby notify you that you are required to vacate this dwelling on or before midnight of 3/30/2024. I wish you no ill will; but if you fail to remove yourself and your belongings by that time, I will then be required to file suit against you for unlawful detainer in County Court, Civil Division. - Please govern yourself accordingly. fhe Peter C. Grabbe