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County's complaint (nos. 34-38), or for the Court in the above-captioned case to make a correct <br /> distribution of escrowed funds without having an accounting by DMG. <br /> 21. Identify any and all documents to support the allegation, pleading, statement, belief <br /> or contention that it is impossible for MCR to make an accounting to Pitkin County as requested <br /> in the County's complaint or for the Court in the above-captioned case to make a correct <br /> distribution of escrowed funds without having an accounting by DMG. <br /> 22. State the basis for the allegation,pleading, statement, belief or contention in the <br /> Defendants' Amended Answer and Counterclaims (no. 42)that the Creditors' Trustee has a <br /> fiduciary duty to all creditors, and identify the actions that the Trustee has taken to fulfill his <br /> fiduciary duty to all creditors in regard to personal or real property taxes assessed by Pitkin <br /> County including the filing of any protests or requests for abatements. <br /> 23. Identify any and all documents to support your answer to Interrogatory 22 as to the <br /> actions the Creditors' Trustee has taken to fulfill his fiduciary duty to all creditors in regard to <br /> personal or real property taxes assessed by Pitkin County. <br /> 24. Identify all real or personal property sold and the taxes and interest paid to Pitkin <br /> County, and state the date when such property was sold,the price paid, the taxes due to Pitkin <br /> County and if and when such taxes were paid, or will be paid. In your identification of the <br /> property, include a reference to the corresponding tax schedule given to the property by Pitkin <br /> County. <br /> 25. Identify any and all personal or real property subject to MCR's liquidation plan <br /> which has not been sold, or which is subject to pending sale, and the estimated value of the <br /> 13 <br />