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COTNT SEVEN <br /> 1. The Plaintiff incorporates herein, as if <br /> fully herein set forth and by reference thereto, paragraphs <br /> 1 through 7 of Count 1. <br /> 2. The Plaintiff owns real property in Sections <br /> 7 and 17 heretofore described and Defendants Cornell, <br /> Sanders, Santerre, Spear, Billups, Weakland, Barnes, <br /> Wofford, Biggs, Blue, Ocken, Cassidy, William D. Barnes, <br /> Pape, Sherwood, Knight and Wilson also own property in said <br /> Sections 7, 8 and 17 as heretofore described in this Com- <br /> plaint. The properties owned by them were derived from <br /> patentees of the United States of America and such paten- <br /> tees entered said lands before the issuance of said patents <br /> and used the road herein described as a means of access to <br /> their claims, and later to their patented land, in said <br /> Sections 7, 8 and 17 and did so for a period of twenty <br /> years or more prior to the commencement of this action and, <br /> thereby the owners of the lands in said Sections 7,. 8 and <br /> 17 acquired by adverse use a private roadfrom from the <br /> established road, now known as State Highway 115, State of <br /> Colorado, to their lands and the said road was the sole and <br /> only access to said lands_ and the Defen- <br /> dants named in this Count axe the owners of a private <br /> road or right of way for ingress and egress purposes along <br /> the road which is the subject of this action by reason of <br /> the fact that such road was appurtenant to their convey- <br /> ances. <br /> EZ/0T 39Cd 3-EWIN 68006696TL 4£:EZ 9TOZ/LZ/E0 <br /> EXHIBIT 3 <br />