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Response to Interrogatory No. 23. <br /> (a) "Settlement Stipulation" between Pitkin County and MCR; dated <br /> January 28,1998,filed with this Court and served upon counsel for DMG that is the subject <br /> matter of MCR's "Motion to Approved Settlement Stipulation Between Plaintiffs and <br /> Defendants," dated January 29, 1998, and the Court's Order approving the same entered <br /> February 23, 1998. <br /> (b) Petition for Abatement filed by MCR with Pitkin County, dated <br /> December 11, 1997. <br /> Interrogatory No. 24. Identify all[1] real or [2] personal property sold and the <br /> [3] taxes and interest paid to Pitkin County,and [4] state the date when such property was <br /> sold, the [5] price paid, the [6] taxes due to Pitkin County and [7] if and when such taxes <br /> were paid,or will be paid.In your identification of the property,include a reference to the <br /> corresponding tax schedule given to the property by Pitkin County. <br /> Response to Interrogatory No. 24. In answering the foregoing question,we <br /> assume it relates only to Pitkin County property because of the parts relating to payment <br /> of taxes and interest to Pitkin County [3] and corresponding Pitkin County tax schedules <br /> [7]. <br /> Part 1. All MCR Pitkin County real property is described by parcel and <br /> complete legal description in Defendants' Answer Exhibit 3, the various Tax Assessment <br /> Schedules and the property to which the schedules pertain is contained in Answer Exhibit <br /> 4 both of which were attached to Defendants' amended answer in this action a copy of <br /> which was provided counsel for DMG. <br /> Part 2. Neither MCR nor the Creditors' Trustee has sold any MCR <br /> personal property,except for a D-8 Caterpillar Dozer sold by the Creditors'Trustee.Under <br /> the terms and conditions of the M&E/KL\TG CONTRACT,approved by the Bankruptcy Court <br /> in the liquidation PLAN(§1.22),Defendants' Answer Exhibit 1,M&E/King is the"exclusive <br /> sales agent in negotiating, marketing, and selling all of the salvageable and salvaged <br /> Equipment" of MCR not specifically withheld or exempted by the M&E/KmIG CO\TRACT. <br /> Part 3. As of this date,ad valorem taxes and accrued interest on ad valorem <br /> taxes have been paid Pitkin County, Colorado for each of the sale enumerated in the <br /> response to Interrogatory No. 13. <br /> Part 4. The dates on which MCR Pitkin County properties were sold are <br /> set forth in Defendants' response to Interrogatory No. 13. <br /> MCR RESPONSES TO <br /> CIVIL No.97 cV 131-3 -20- DMG INITLAL DISCOVERY <br />