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their property amount to an unconstitutional taking of <br />Plaintiffs' property without compeiisation in violation of the <br />Constitution of the State of Minnesota and the Constitution of <br />the United States; further, ordering an award of money damages to <br />Plaintiffs for said unconstitutional taking in excess of <br />$50,000.00. <br />F. For such other and further relief as the Court deems <br />fair, just and equitable, under the circumstances hereof. <br />DATED;/7, MO <br />CARSON AND CLELLAND <br />Jeffrey^T Carson; ID #1543X <br />Attoi^ey for Plaintiffs <br />305 Brookdale Corporate Center <br />6300 Shingle Creek Parkway <br />Minneapolis, Minnesota 55430 <br />(612) 561-2800 <br />ACKNOWLEDGEMENT <br />Plaintiffs in the above-entitled action herewith acknowledge <br />that this Court may award costs, disbursements, reasonable <br />attorneys' fees and witness to any opposing party if it is found <br />tnat a party and/or his attorney has acted in bad faith, asserted <br />a claim or defense that is frivolous and which is costly to <br />another party, asserted an unfound position solely to delay the <br />ordinary course of proceedings or to harass or commit a fraud <br />upon the Court. <br />DATED: <br />CARSON AND CLELLAND <br />Jeffye;^j^%. Carson; ID #1543X <br />Attorney for Plaintiffs <br />305 Brookdale Corporate "enter <br />6300 Shingle Creek Parkv,'ay <br />Minneapolis, Minnesota 55430 <br />(612) 561-2800 <br />-9-