Skip to content

Public Notices November 17

Independent School District GFW Public Schools October 18, 2021 Summary of regular school board meeting. Full text is available for public inspection at 323 East 11th Street, Gibbon, MN 55335. CALL TO ORDER The regular board meeting of the GFW School Board was held on October 18, 2021 at the Elementary School Gibbon, MN. Board Chair Kuehn called the meeting to order at 6:35 pm. ALSO present: Superintendent Horton, Press Hanson, Press Fritz, Schmidt, Merkel, Kuehn, Prochniak, staff, Tech Werner Absent: Haas APPROVE AGENDA Schmidt moved with support from Lee to approve the agenda with the removal of Superintendent Evaluation until the November meeting. Motion Carried. CONSENT AGENDA Kuehn moved with support from Prochniak to approve the following consent agenda. Motion Carried. APPROVAL OF RESOLUTIONS AND ACTION ITEMS Resolution: Donations Prochniak moved with support from Schmidt to approve a $63.53 donation from Ecolab-Blackbaud Anonymous Employee. Yes – Lee, Merkel, Kuehn, Schmidt, Prochniak No – None Motion Carried. EXECUTIVE (CLOSED) SESSION Superintendent Performance Evaluation ADJOURNMENT Lee moved with support from Prochniak to adjourn at 6:49pm. Motion Carried. Marisa Lee, Clerk 7c

STATE OF MINNESOTA COUNTY OF SIBLEY DISTRICT COURT FIRST JUDICIAL DISTRICT Court File No.: 72-PR-21-41 NOTICE OF AND ORDER FOR HEARING ON PETITION FOR DETERMINATION OF DESCENT In Re: Estate of Dale N. Monson aka Dale Monson, Decedent Carol Monson (“Petitioner”) has filed a Petition for Determonation of Descent. It is Ordered that on December 7, 2021, at 10:45 a.m., a hearing will be held in this Court at 400 Court Avenue, Gaylord, Minnesota, on the petition. The petition represents that the Decedent died testate more than three (3) years ago leaving property in Minnesota. The petition requests the Court probate the decedent’s last Will dated November 28, 2007, and any Separate Writing(s) dated September 14, 2011, determine the descent of such property and assign the property to the persons entitled. Any objection to the petition must be raised at the hearing or filed with the Court prior to the hearing. If the petition is proper and no objections are filed or raised the petition will be granted. Notice shall be given by publishing this Notice and Order as provided by law and by: Mailing a copy of this Notice and Order to each interested person by United States mail at least 14 days before the time set for the hearing. BY THE COURT /s/ Amber Donley Judge of District Court Dated: November 4, 2021 /s/Teresa B.Giesen Karen V. Messner Court Administrator Dated: November 4, 2021 THIS INSTRUMENT WA DRAFTED BY: Paul C. Glaeser, Attorney at Law 1013 First Avenue, P.O. Box 437 Giobbon Minnesota 55335 507-834-6212 ARN# 215958 pcg@pailglaeser.com ATTORNEY FOR PETITIONER 6-7(af)c

 

NOTICE OF PUBLIC HEARING ON IMPROVEMENTS TO WHOM IT MAY CONCERN: TIME AND PLACE: Notice is hereby given that the City Council of Gibbon, Minnesota will meet at the Gibbon Municipal Building (985 First Avenue) in the City of Gibbon, Minnesota at 7:00 P.M. on December 7, 2021, to consider the construction of the following improvements, to-wit: Bituminous paving and related reconstruction within 12th Street east from approximately 170 feet east of the centerline of Ely Avenue to the dead-end east of Ely Avenue. NATURE OF IMPROVEMENT: The construction of: Bituminous paving of an existing aggregate surfaced street and related improvements. ESTIMATED COST: The total estimated cost of said improvements is $158,600. AREA PROPOSED TO BE The area proposed to be assessed for such improvements ASSESSED: is as follows: Those properties adjacent to the portions of 12th Street east from approximately 170 feet east of the centerline of Ely Avenue to the dead-end east of Ely Avenue. AUTHORITY: The Council proposes to proceed under the authority granted by Minnesota Statutes Chapter 429. Such persons as desire to be heard with reference to the proposed improvements will be heard at this meeting. Written or oral objections will be considered. A reasonable impact of the assessments will be available at this meeting. DATED: November 8, 2021. BY ORDER OF THE CITY COUNCIL Dana Lietzau City Administrator 7-8(af)c

 

STATE OF MINNESOTA COUNTY OF SIBLEY IN DISTRICT COURT FIRST JUDICIAL DISTRICT Case Type: Civil (Quiet Title) Court File No. SUMMONS In Re the Matter of: Chad Wendinger a/k/a Chad Theodore Wendinger Plaintiff, vs. Kenneth H. Wendinger and Gwen Wendinger; Darrel M. Busse; Brent Lindemann; Robert Schuft and Gina Schuft; McLeod Cooperative Power Assoc.; All unknown legal heirs of Joseph Covode, deceased all unknown legal heirs of Frederick Von der Brelje, deceased all unknown legal heirs of Martin Shaughnessey, deceased all unknown legal heirs of August Rubenhagen, deceased all unknown legal heirs of Herman Paetzold, deceased all unknown legal heirs of Fred Von der Brelje, deceased all unknown legal heirs of Gustav Von der Brelje, deceased all unknown legal heirs of Kenneth Wendinger all unknown legal heirs of Johan Hahn, deceased all unknown legal heirs of Carl Hahn, deceased all unknown legal heirs of John Krecklau deceased all unknown legal heirs of Elmer H. Krecklau all unknown legal heirs of Anne Stoeckman all unknown legal heirs of Elmer H. Krecklau and Cerina Krecklau, his wife, as joint tenants all unknown legal heirs of Thomas C. Strobel and Delores A. Strobel, as joint tenants all unknown legal heirs of Gloria Dalin and Jeffrey Weber, joint tenants of an und. 1/2 interest as tenants in common with Delores Strobel and Jeffrey Weber joint tenants of und. 1/2 share as tenants common all unknown legal heirs of Gloria Dalin, a married person, Delores Strobel, a single person, and Jeffrey Weber, a married person, as equal tenants in common also, all other persons or parties unknown claiming any right, title, estate, lien, or interest in the real estate described in the Complaint herein, Defendants YOU ARE HEREBY SUMMONED: 1. YOU ARE BEING SUED. The Plaintiff has started a lawsuit against you. The Plaintiff’s Complaint against you is attached to this Summons. Do not throw these papers away. They are official papers that affect your rights. You must respond to this lawsuit even though it may not yet be filed with the Court and there may be no court file number on this Summons. 2. YOU MUST REPLY WITHIN 20 DAYS TO PROTECT YOUR RIGHTS. You must give or mail to the person who signed this summons a written response called an Answer within 20 days of the date on which you receive this Summons. You must send a copy of your Answer to the person who signed this Summons located at: Margaret K. Koberoski SUNDE, OLSON, KIRCHER AND ZENDER 108 Armstrong Blvd. South P.O. Box 506 St. James, MN 56081 3. YOU MUST RESPOND TO EACH CLAIM. The Answer is your written response to the Plaintiffs’ Complaint. In your Answer you must state whether you agree or disagree with each paragraph of the Complaint. If you believe the Plaintiffs should not be given everything asked for in the Complaint, you must say so in your Answer. 4. YOU WILL LOSE YOUR CASE IF YOU DO NOT SEND A WRITTEN RESPONSE TO THE COMPLAINT TO THE PERSON WHO SIGNED THIS SUMMONS. If you do not answer within 20 days, you will lose this case. You will not get to tell your side of the story, and the Court may decide against you and award the Plaintiffs everything asked for in the Complaint. If you do not want to contest the claims stated in the Complaint, you do not need to respond. A default judgement can then be entered against you for the relief requested in the Complaint. 5. LEGAL ASSISTANCE. You may wish to get legal help from a lawyer. If you do not have a lawyer, the Court Administrator may have information about places where you can get legal assistance. Even if you cannot get legal help, you must still provide a written Answer to protect your rights or you may lose the case. 6. ALTERNATIVE DISPUTE RESOLUTION. The parties may agree to or be ordered to participate in an alternative dispute resolution process under Rule 114 of the Minnesota General Rules of Practice. You must still send you written response to the Complaint even if you expect to use alternative means of resolving this dispute. 7. THIS LAWSUIT MAY AFFECT OR BRING INTO QUESTION TITLE TO REAL PROPERTY located in Sibley County, State of Minnesota, legally described as follows: SECTION 15-114-28 The Northeast Quarter of the Northeast Quarter (NE1/4 of NE1/4), Section 15, Township 114, Range 28, Sibley County, Minnesota ALSO part of the Northeast Quarter of the Northwest Quarter of the Northeast Quarter (NE 1/4 of NW 1/4 of NE 1/4) of said Section 15, described as follows: Commencing at the Northeast corner of said Northeast Quarter of said Section 15; thence on an assumed bearing of South 98 degrees 01 minutes 41 seconds West along the north line of said Northeast Quarter 1325.91 feet to the northeast corner of said Northeast Quarter of the Northwest Quarter of the Northeast Quarter and the point of beginning of the tract to be described; thence continuing South 89 degrees 01 minutes 41 seconds West, along said north line 132.60 feet to the west line of the East 2.00 acres of said Northeast Quarter of the Northwest Quarter of the Northeast Quarter; thence South 00 degrees 14 minutes 23 seconds East, along the last described line 656.99 feet to the south line of said Northeast Quarter of the Northwest Quarter of the Northeast Quarter; thence North 89 degrees 06 minutes 10 seconds East, along the last described line 132.60 feet to the east line of said Northeast Quarter of the Northwest Quarter of the Northeast Quarter; thence North 00 degrees, 14 minutes 23 seconds West, along the last described line 627.16 feet to the point of beginning. This tract contains 42.01 acres and is subject to any and all easements of record. SECTION 14-114-28 Part of the Northeast Quarter of the Northeast Quarter of Section 14, Township 114, Range 28, Sibley County, Minnesota, described as follows: Beginning at the northeast corner of said Section 14; thence on an assumed bearing of South 88 degrees 54 minutes 38 seconds West along the North line of said Northeast Quarter 1317.08 feet to the West line of said Northeast Quarter of the Northeast Quarter; thence South 00 degrees 10 minutes 11 seconds East along said West line 992.14 feet to the South line of the North 30.00 acres of said Northeast Quarter of the Northeast Quarter; thence North 88 degrees 54 minutes 38 seconds East along said South line 1317.58 to the East line of said Northeast Quarter; thence North 00 degrees 11 minutes 54 seconds West along said East line 992.13 feet to the point of beginning. This tract contains 30.00 acres of land. EXCEPTING THEREFROM the following two (2) described parcels: Beginning at the northeast corner of said Section 14, thence South along the east line of Section 14, 435 feet to the point of beginning, thence West 249 feet, thence North 350 feet, thence East 249 feet, to a point on the east line of said Section 14, thence South along said east section line 350 feet to the point of beginning. AND ALSO EXCEPTING: Part of the Northeast Quarter of the Northeast Quarter of Section 14, Township 114, North Range 28 West, described as follows: Commencing at the northeast corner of said Section 14; thence on an assumed bearing of South 00 degrees 11 minutes 54 seconds East along the East line of said Northeast Quarter 435.00 feet to the point of beginning of the tract to be described; thence South 89 degrees 48 minutes 06 seconds West 249.00 feet; thence North 00 degrees 11 minutes 54 seconds West 172.00 feet; thence South 89 degrees 48 minutes 06 seconds West 290.00 feet; thence South 00 degrees 11 minutes 54 seconds East 469.08 feet; thence North 89 degrees 48 minutes 06 seconds East 539.00 feet to the East line of said Northeast Quarter; thence North 00 degrees 11 minutes 54 seconds West along said East line 297.08 feet to the point of beginning. The object of this action is to obtain a judgement that Plaintiff is owner in fee of the above described real estate, and that none of said Defendants have any estate or interest therein or lien thereon. Further that Plaintiff’s title and all adverse claims to such lands and the rights of all parties therein, respectively, be determined. Dated: 8-5-2021 SUNDE, OLSON, KIRCHER AND ZENDER Attorneys for Plaintiff By: /s/ Margaret K. Koberoski Reg. No.: 0262717 108 Armstrong Blvd. South P.O. Box 506 St. James, MN 56081 (507) 375-3352 (507) 375-4483 Fax margaret@sundeolson.com 5-7(af)c

Leave a Comment