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08/09/2006 12:41 7198360200 ED HARTSHORN PAGE 04/06 <br />11. There may be persons interested in the subject matter of this action whose names cannot <br />be inserted herein because said names are unknown to the Plaintiff, although diligent <br />effons have been made to ascertain the names of said persons. Said persons have been <br />made Defendants and designated as "all unknown persons who may claim any interest in <br />the subject matter of this action"; insofar as Plaintiffs' knowledge extends, the interest, if <br />any, of the unknown parties is derived through one or more of the named Defendants. <br />I2. The Defendants may claim some right, title or interest in and to the above-described <br />mineral interests in said real properly adverse to the Plaintiff; the claims of said <br />Defendants are without foundation or right. <br />WHEREFORE, the Plaintiffs pray for complete adjudication of the rights of all parties to this <br />action with respect to one-half of all the oil, gas, and other minerals, including sand and gravel, <br />in the real property hereinabove described; for a Decree requiring the Defendants to set forth the <br />nature of their claims, determining that the Defendants, and each of them, have no interest, estate <br />or claim of any kind whatsoever in or to the above-described mineral interest in the above <br />described real properly, forever barring and enjoining the Defendants from ever asserting any <br />claim or title thereto, quieting the title of the Plaintiffs in and to the above-described mineral <br />interest in said real property, and adjudging that the Plaintiff Cargill is the owner in Fee simple <br />and is entitled to possession of one-half of all the oil; gas, and other minerals, including sand and <br />gravel, in the real property hereinabove described in Exhibit A, and the Plaintiff Neighbors for a <br />Desirable Park County, Inc., is the owner in fee simple and is entitled to possession with respect <br />to one-half of all the oil, gas, and other minerals, including sand and gravel, in the real property <br />hereinabove described in Paragraph 3 above; and for such other and further relief as the Court <br />may deem just and proper. <br />Respectfully submitted this ~ day of ~/~ ~~/1 , 2006. <br />/. _... <br />~~1 <br />Ed Hartshorn <br />ATTORNEY FOR PLAINTIFF <br />ADDRESS OF PLAINTIFF: <br />Neighbors for a Desirable Park County, Inc, <br />P. O. Box 43 <br />Fairplay, CO 80440 <br />