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3. That the Petitioner have judgment condemning the Property and Water Right for the <br />public uses as described herein and that a Rule and Order be entered conveying the Property to the <br />Petitioner upon the Petitioner's payment ofjust compensation as detemuned by the Court. <br />4. That the Court determine the proper deposit to be made by the Petitioner with the <br />Court for the taking of possession of the Property and Water Right and enter an Order <br />authorizing the Petitioner and its contractors, agents, directors, employees, and al] others acting <br />by or on behalf of it or with its permission to enter on, take and retain possession of the Property <br />and Water Right during the pendency of this proceeding for the purposes set forth in the Petition <br />without interference from Respondents, their successors, assigns, heirs, devisees, personal <br />representatives, guests, invitees, and all other persons claiming any right, title, or interest in and <br />to the Property by, through or under said Respondents. <br />5. That the Property described in Exhibit A shall be exempt from taxation so long as it <br />is used for public purposes. <br />6. That this Court grant such additional relief as may be deemed just and proper. <br />Respectfully submitted this 8th day of December, 2003. <br />DUNCAN, OSTRANDER &DINGESS, P.C. <br />A DULY SIGHED PHYSICAL COPY OF THIS <br />DOCUMENT IS ON FILE AT THE OFFICE OF D UNCAN, <br />OSTRANDER & DINGESS, P.C. PURSUANT TO <br />CRCP RULE 121, SECTION 1-26(9) <br />By: <br />Address of Petitioner: <br />City of Golden <br />911 Tenth Street <br />Golden, Colorado 80401 <br />Donald M. Ostrander, No. 12458 <br />Robert R. Duncan, No. 5733 <br />T. Daniel Platt, No. 31885 <br />WINDHOLZ & ASSOCIATES <br />James A. Windholz, No. 1253 <br />ATTORNEYS FOR PETITIONER <br />