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In addition,we have been informed that we overpaid Country Lumber by approximately$6,000 <br /> for the windows for our home. Matt Bakke stated that he was told by Pam Robideau from <br /> Country Lumber that you asked her to create a dummy return account and refimd this$6,000 to <br /> this account to be used for your personal benefit Thankfully she has integrity and refused your <br /> fraudulent request <br /> In addition,we have been told by two subcontractors that you advised them not to provide the <br /> products they thought would work best for our home,but to use inferior products to keep the <br /> price down so that Legacy would get the contract to build our home.This is both fraudulent <br /> inducement as well as a breach of our Agreement. <br /> Finally,we have been informed by Matt Bakke that he resigned from Legacy yesterday morning <br /> due to your unethical and fraudulent business conduct as well as alleged criminal activities in <br /> your personal life.Not only have you not informed us of this fact,but it is a condition to our <br /> Agreement that Matt Bakke is the project manager for our home. <br /> Based on the foregoing frauds and breaches,we hereby terminate the Agreement effective as of <br /> end of business today. We note that your fraudulent actions are also criminal in nature and likely <br /> violate several Minnesota licensing provisions which could result in Legacy's license being <br /> permanently revoked. In connection with this termination,we demand the following: <br /> I. immediate repayment of$6,383 from the fraudulent overcharge from Molin. <br /> 2. Immediate repayment of all amounts we have paid you and Legacy, totaling$65,191.82 <br /> so that you are not unjustly enriched by your wrongful actions. <br /> 3. Retention of the construction trailer on our property. <br /> 4. You and Legacy will pay for replacement insurance on the project. <br /> 5. You and Legacy will reimburse us for all increased cost over the sworn construction <br /> statement and other damages. <br /> If our demands are not met in full,we will commence legal action against you personally and <br /> against Legacy. Please be advised that pursuant to Sections 21,31 and 32 of the Agreement,you <br /> are obligated to pay all of our costs and expenses in connection with any action,including, <br /> without limitation,attorneys' fees and expenses.We do intend on continuing with the <br /> subcontractors that have worked on our home and will pay them directly.We reserve all rights <br /> and remedies. <br /> Page 2 of 3 <br /> 4833-2102-4291,v.2 <br />