Laserfiche WebLink
I <br />and Linddl have ri9ht# title and interest to their properties <br />free and clear of any interest of City in the alleged public <br />road. <br />2. Permanently enjoining Defendant from entering upon <br />Plaintiffs' properties to control the gates and to permit access <br />to Lake Minnetonka over and across Plaintiffs' properties by use <br />of the alleged public road. <br />3. Awarding damages to Plaintiffs in an amount to be <br />determined. <br />4. Awarding Plaintiffs their attorney's fees, costs and <br />disbursements. <br />5. Awarding such other relief as the Court deems just and <br />equitable. <br />Dated: AM < ^1994.O'CONNOR & HANNAN <br />n ^ • <br />h (#108Robert J. Tennesseh (#10873X) <br />Paul B. Zisla (#184147) <br />3800 IDS Center <br />80 South Eighth Street <br />Minneapolis, MN 55402 <br />Telephone; (612) 341-3800 <br />ATTORNEYS FOR PLAINTIFFS <br />- 7 -