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Correspondence - 3880 Sunset Drive - 6/28/2022 . },CR"d"i.!"r', d'm; ;�"rxa;""Y'? ``,` ,f '`r',5 �"; '^§),+¢ � MCGRANN SHEA CARNIVAL STRAUGHN lye LAMB, CHARTERED ATTORNrLys AT LAW � of at fi ai h„�Sy '�r iu ERa? #'sr ` 7pap x?a +r re. WILLIAM R.MCGRANN ROGER J.STELLJES CURT N.TRISKO DOUGLAS M.CARNIVAL JEFFREY C. URBAN KATHLEEN M.LAMB KATHLEEN MICHAELA BRENNAN OF COUNSEL JOHN R.SCHULZ CARL S.WOSMEK ROBERT O.STRAUGHN BRIAN L.SOBOL AMY L.COURT PETER L.COOPER SCOTT S.CROSSMAN CHRISTY E.LAWRIE ANDREW J.SHEA CARLA J.PEDERSEN ------ (1938-8018) June 24,2022 VIA HAND DELIVERY Mr.Erik ColsonhrJik 3878 Sunset Drive Spring Park, MN 55384 RE: Paul and Wendy Lewin Our File No.: 61,908-0002 Dear Mr. Colson: The purpose of this letter is to inform you that we have been retained by Paul and Wendy Lewin (our"Client")related to your trespassing on the Lewin property. It is important to understand that we represent Mr. and Mrs. Lewin only and that you have the right to retain an attorney to assist you with this matter. We suggest you retain an attorney if this matter remains contested. It is our understanding that you have been illegally using our Client's driveway and illegally crossing the shared property line. You do not own,or have an easement to use,the ten foot(10')Lewin driveway adjacent to your property. While there is a Deed of Appurtenant Easement(the"Easement") memorialized on your Certificate of Title,the Easement only grants the owner of Lot 15 the right to use eight feet (8') of such driveway that is directly adjacent to the Lot 15 lot line. Your property is not benefitted by the Easement and there is two feet(2')between your property line and the Lot 15 easement area You have no legal right to use our Client's driveway to access your property or the lake. The Lewins will not be removing the boulders that they have placed entirely on their property. Any attempt by you to use the driveway, cross the shared property line, or remove the boulders would constitute a trespass on our Client's property and potential damages to the Lewins. Any such efforts made by you or anyone on your behalf may prompt us to seek appropriate action against you. This may include submission to the court as necessary to request relief, including, but not limited, an award of damages,attorneys fees,expert fees,and any other fees that may be incurred should the need to institute legal action against you arise. Upon your review of these matters,please contact me if you wish to discuss further. All contact on this matter needs to run through our law firm. You are not authorized to have contact with our Client. Very truly yours, Cowl al j iPecio'wv u t £.s " 11, Iw � + Carla J.Pedersari ' c: Paul and Wendy Lewin(via e-mail) 1412076.00cx U.S.BANCORP CENTER • 800 NICOLLET MALL •SUITE 2600 - MINNEAPOLIS,MINNESOTA 55402 ;�'�^� �>�+ r���rA TELEPHONE(612) 338 2525 FACSIMILE t612)339-2386 - WWW.MCGRANNSHEA COM ��4�f v!+� a9$ ,� 8 }a'ih��„+k ✓ 5 F^,Y 9�,�4 4�,,d t�3 _ a f ,�s txr e�. ry�i. .t�:y, .s r tax „r ,. ,i, �,. �'r✓r a. �, s' i x �t `�+ e =,'"+ a $ . -,A;x,^ ✓As.. r.,:3�'H F 1FK1.. } iv '. .. 'Nul... �.... t $Y ..�'S,.;_� '^.,��^ ,,n �� " ,. ,> :N,'� M`.�^ �,n p L 7 M� (kri" `�4E ✓F. ,�. ,. :+,.�Su,n�`.„a.:,,:.»�?�.w,..,3 -���; r„�,v,'��.,;,$+�u�?t�, ��k.�u�.,��•... ��;r��, _.�:�,,..4�.�a �::>. .. x,.r ,.. �aw,;�m�'���,:r;a�����u� �`.�,rxu�;t�t�?I°>,ari3,� <u��„?;t,a..v ,�, .