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HomeMy WebLinkAbout2021CV30426 - City Of Fort Collins V. Aaron Million, Jordan Fox-Million; Million Agricultural Investments, Ltd., Arlo Richardson Aka Arlo Lee Richardson; The Pleasant Valley And Lake Canal Ditch Company - 028 - Notice Of Disclaimer Of Interest 1 of 4 District Court, Larimer County, Colorado 201 LaPorte Avenue, Suite 100 Fort Collins, Colorado 80521 (970) 494-3500 ▲ COURT USE ONLY ▲ Plaintiff: CITY OF FORT COLLINS, a Colorado home rule municipality, v. Defendants: AARON MILLION aka AARON P. MILLION; JORDAN FOX-MILLION; MILLION AGRICULTURAL INVESTMENTS, LTD., a Colorado limited partnership; ARLO RICHARDSON aka ARLO LEE RICHARDSON; THE PLEASANT VALLEY AND LAKE CANAL DITCH COMPANY; and ALL UNKNOWN PERSONS WHO CLAIM AN INTEREST IN THE SUBJECT MATTER OF THIS ACTION. Attorneys for Defendants Aaron Million aka Aaron P. Million, Jordan Fox-Million, Million Agricultural Investments, Ltd., a Colorado limited partnership, and Arlo Richardson aka Arlo Lee Richardson Crystal J. McDonough, #44621 Scott Slawson, #46001 McDonough Law LLC 1635 Foxtrail Drive Loveland, CO 80538 Phone: 970-776-3311 Fax: 877-800-5583 crystal@mcdonoughlawllc.com scott@mcdonoughlawllc.com Case No.: 2021CV030426 Courtroom: 5B NOTICE OF DISCLAIMER OF INTEREST IN REAL PROPERTY AT ISSUE TO ALL PARTIES AND THEIR ATTORNEYS OF RECORD: Defendant Arlo Richardson aka Arlo Lee Richardson, (“Defendant Richardson”), by and through his undersigned counsel McDonough Law LLC, hereby disclaims any interest in the real property at issue in this litigation. DATE FILED: December 23, 2021 11:13 AM FILING ID: 918D0D09C0775 CASE NUMBER: 2021CV30426 2 of 4 The real property at issue herein was sold during the pendency of this litigation. That sale is complete, and Defendant Richardson does not own and has no interest in the real property or any applicable adjoining real property. Respectfully submitted this 23th day of December 2021. Respectfully submitted, MCDONOUGH LAW LLC Original signature on file at the offices of McDonough Law LLC pursuant to C.R.C.P. 121 Sec. 1-26 /s/ Scott Slawson Scott Slawson, #46001 1635 Foxtrail Drive Loveland, CO 80538 P: (970) 776-3311 F: (877) 800-5583 scott@mcdonoughlawllc.com Attorney for Defendants Aaron Million aka Aaron P. Million, Jordan Fox-Million, Million Agricultural Investments, Ltd., a Colorado limited partnership, and Arlo Richardson aka Arlo Lee Richardson 3 of 4 CERTIFICATE OF SERVICE The undersigned hereby certifies that on the 23th day of December 2021, a true and correct copy of the foregoing UNOPPOSED MOTION FOR SECOND EXTENSION OF TIME TO RESPOND TO COMPLAINT was filed and served via the Colorado Courts E-filing System or delivered via US Mail, postage prepaid, upon the following parties of record: Attorney for City of Fort Collins Peter J. Dauster Daniel M. St. John II Johnson Muffly & Dauster, PC 323 South College Avenue, Suite 1 Fort Collins, CO 80524 pdauster@nocolawgroup.com dstjohn@nocolawgroup.com Attorney for Defendant The Pleasant Valley and Lake Canal Company Alden V. Hill Hill and Hill, LLC The Pleasant Valley and Lake Canal Ditch Company 160 W. Mountain Avenue Fort Collins, CO 80522 aldenhill@webaccess.net Fort Collins City Attorney’s Office Ingrid E. Decker 300 W. LaPorte Avenue Fort Collins, CO 80521 idecker@fcgov.com Aaron Million aka Aaron P. Million 1436 West Oak Fort Collins, CO 80521 million_1@hotmail.com Jordan Fox-Million 1436 West Oak Fort Collins, CO 80521 million_1@hotmail.com 4 of 4 Million Agricultural Investments, LTD., a Colorado limited partnership PO Box 25 Montrose, CO 81401 million_1@hotmail.com s/ Loni M. Gaudet Paralegal, McDonough Law LLC loni@mcdonoughlawllc.com