Correspondence - 3886 Park Lane - 5/28/2021WILLIAM D. SCHOELL
CARLISLE MADSON
JACK T. VOSLER .
JAMES R. ORR
HAROLD E. DAHLIN
LARRY L. HANSON
RAYMOND J. JACKSON
WILLIAM J. BREZINSKY
JACK E. GILL
THEODORE D. KEMNA
JOHN W.EMOND
KENNETH E: ADOLF
DANIEL R. BOXRUD
WILLIAM R. ENGELHARDT
SCHOELL & MAOSON.INC.
ENGINEERS ANO SURVEYORS
7601 - 50 NINTH AVENUE SOUTH - HOPKINS, MINNESOTA 55343
OFFICES AT HURON, SOUTH DAKOTA AND DENTON, TEXAS
August.12, 1977
City of Spring Park
c/o Mrs. Patricia Osmonson, Administrator/
Clerk -Treasurer
4349 Warren. Avenue
Spring Park Minnesota 55384
Subject: Thor Thompson Park
Parking Lot Cost Estimate.
Gentlemen:
As requested by the Administrator, we.herein present a cost estimate for
the construction of a bituminous parking lot along Park Lane by the Thor .
Thompson Park.
The parking lot construction would consist of widening Park Lane by 20 feet
to allow 90 degree parking to the street. We recommend.90 degree rather than
an parking because it eliminates the need for cars to make U-turns on Park
Lane. The proposed parking lot locations along Park Lane have been divided
into four sections as shown on attached Drawing No. 9628-1.
Section "A" -is directly south of the existing.gravel parking area. Construc-
tion of a parking lot in this section would require installation of ,storm sewer
in the existing ditch and filling the ditch to the street elevation before paving.
Section "B" is the existing gravel parking area. Parking lot construction
in this section would involve placing a gravel base and bituminous mat on the
existing grade.
Section "C" would require removal of four trees to allow parking lot
construction.
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SCHOELL & MAOSON, INC.
City of Spring Park
c/o Mrs. Patricia Osmonson,
Administrator/Clerk-Treasurer
Page 2
August 12, 1977
Section "D" is directly south of County Road No. 51. This section would
require storm sewer construction and a considerable amount of filling to meet
the existing street grade. The fence and back -stop of the ball field would have
to be moved back from the road to allow sufficient space for parking. It may
also be necessary to construct a timber retaining wall on the northerly portion
to retain the fill for the parking lot.
The following table shows the number of parking stalls provided and.costs
for each section.
Parking Stalls
Section Provided _ w `Total Cost Cost per Stall
A 12 $6,070 $506
6 . $ 580 $ 97
"C 6 $1,060 $177
"D" 9 $7,090 $788
As the table shows Sections "B" and "C" are the most economical locations
because no storm sewer construction or filling is required.. Section "C", how-
ever, requires the removal of four trees. Section "D is not feasible because
the high cost resulting from the relocation of the fence.and installation of the
retaining wall in addition to storm sewer construction and filling.
It may be possible to reduce the cost.of Section "A" by eliminating some of
the proposed storm sewer. Detailed field information is needed to.make that
determination. We have included the cost of all proposed storm sewer in the
total cost.
Bituminous parking can be feasibly provided along Park Lane. We trust
the information contained herein is sufficient to determine the location and
extent of the proposed parking.
Very truly yours,
SCHOELL & MADSON, INC.
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CITY OF SPRING PARK, MINNESOTA
UNNAMED STREET' THOR THOMPSON PARK PARKING LOT
�� ry
® PROPOSED BITUMINOUS PARKING LOT
PROPOSED STORM SEWER
EXISTING STORM SEWER
SCHOELL & MADSON, INC.
E N G I N E E R S & S U R V E Y O R S
HOPKINS, MINNESOTA 55343
SCALE: 1 �r = 40' DATE: AUG 1977
9628 - 1
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VILLAGE OF SPRING PARK
SPRING PARK, MINNESOTA
March 27, 1974
TO: Village Council and
Planning Commission ,
FROM: Village Administrator
SUBJECT: Building condemnation/permit,applications on
3889 Sunset Drive
3886 Park Lane
The above subject properties are scheduled to appear on the
District Court calendar the week of April 22, 1974. Both properties
are in disrepair and unoccupied. It is the recommendation of the
Village Building Inspector, and by order of the Village Council, that
the Village Attorney be instructed to proceed with court action to
resolve the problem.
Enclosed are copies of 'Orders" issued on Dec. 4, 1972'and April
16, 1973. This is an indication of the time involved in tracing owner-
ship, preparing and serving papers, etc.. The Village Attorney, Council-
men, Building Inspector, Assessor, Appraisers and Village Administrator
have participated in these separate pre-trial hearings to date. At the
last pre-trial hearing Judge Anderson agreed to let the owners submit
application for repair of the two buildings. These applications will
appear on the April 3 agenda.
Attorneys for the owners have granted permission to'all concerned
to inspect the property. If you have any questions or care to arrange
for an inspection of these properties, contact the Village Office. We
would suggest that everyone concerned make every attempt to personnally
inspect the buildings and review all the enclosed data.
GDS/po
cc: Al Quel to
.Gerrit D. Schmidt
Village Administrator
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ELMER J. PETERSON COMPANY
P. O. Box 161
SPRING PARK, MIINNESOTA 55384
Phone 471-8151
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STATE OF MINNESOTA
COUNTY OF HENNEPIN
DISTRICT COURT
FOURTB JUDICIAL DISTRICT
..���-- ..---------• -----ww--------- ---------------- ------
In the Matter 4f the hazardous
duelling building located at rile No. 691369
3366 Park in the Village of Cal. No. 91394
Spring Park.
O R D E R
and '---_w
In the Matter of a hazardous
duelling building located at File No. 694371
3389 Sunset Drive in the Village Cal. No.
of Spring Park
---- --------------- w ----M----------�-------- - - - - - - - - - - - -- -
The above -entitled natters came r7gularly on for hearing
before the undersigned on the Calandar.notions Calendar on
November 20, 1973 on notion of the Village of Spring Park,
Hennepin County, Minnesota for an ordeir consolidating said
actions for trial and advancing them in the trial calendar.
Allan T. Quallo, Esq., appeared as counsel for and on
behalf of the Village of Spring Park, and Elisabet4 Bonham
appeared as counsel for and an behalf of William O, and Tinotte
J. Larson, Mark Allen, T� _. and Birdie M. Stapp, Hobert E.
Allen and C. R. Fans, I�c.
i
upon all the files,: records and proceedings herein, and
upon the arqunents of oqunsel, IT I8 ORDEBBOs
That the above actions be, and hereby are, consolidated for
trial as non -jury cases for a week certain of January 14, 1974.
That if counsel for the Village has not at this time filed
his Certificate of Readiness and No" of ,Issue in case No. 694371,
that such filing be accomplished within ten days of this order.
BY THE COURTS\
Don las K. Amdahl
Dateds November 200 1973. Douglas K. AmdM7,
Chief Judge.
ALL -AN T. QUELLO
ATTORNEY AT LAW
401 E. LAKE STREET
WAYZATA. MINN. 55391
TELEPHONE 473-7326
AREA CODE a12
November 9, 1973
Mr. Garritt Schmidt
The Village of Spring Park
Spring Park, Minnesota
Dear Gerritt:
I have set on for a Motion in District Court the Motion to
advance for trial to a date that is as early as possible
on the condemnation matters for the properties located at
3886 Park Avenue and 3389 Sunset Drive in Spring Park. This
matter will be on for hearing at 9:00 o'clock A.M. on the
20th, hopefully with trial to be sometime during the month
of December.
Sincerely,
,V-
Allan T. Ruello
ATQ : and
THE VILLAGE COUNCIL
of the
VILLAGE OF SPRING PARK
In the matter of a hazardous File No. 691369
dwelling building located at
3886 Park in the Village of Spring Park ANSWER of
MARK ALLEN
Tot William 0. Larson and Tinette J. Larson,
husband and wife,
Rte. 2, Box 286T
Excelsior, Minnesota
Mark Allen 139 E. Grove Wayzata, Minnesota 55391
Mark Allen for his Answer to the Order of the Village of
Spring Park herein answers as followas
1. That Mark Allen is the owner of real estate legally
described as the Southeasterly or rear 1/2 of Lot 30, Togo Park
Lake Minnetonka, Hennepin County, Minnesota.
2. That the above premises are improved with a dwelling that
is the home of Mark Allen.
3. That the stature of real estate taxes on the above property
is not applicable to the above proceeding.
b. That the Village of Spring Park caused the above prop-
erty to become vacate and unoccupied by putting notices of condemnation
on said building on or about October 16, 19721, and maintaining said
notices at all times material herein.
5. That this answering defendant specifically denies that
the building on the above described premises is unfit for human habit-
ation,, lacks maintenance, is dilapidated, is in a state of disrepair and
deterioration, is unfit for human habitation of occupancy, has inadequate
heating facilities, has insufficent and inadequate electric wiring, is a
fire hazard, is a hazard to public safety and health and is beyond reason -
a ble repair.
6. That this answering defendant generally denies the Order of the
Village Council of the Village of Spring Park and specifically denies
all of the alleged facts in said Order and places all facts specifically
- 1 -
In dispute except as above admitted herein.
7. That this answering defendant denies that the Villag000f
Spring Park has the legal right to condemn and destroy defendant's_prop-
ery without just compensation or to sell the personal property of this
answering defendant without just compensation.
WHEREFORE,* this answering defendant, Mark Allen, prays that
the Order of the Village of Spring Park be annulled and set aside and
that this answering defendant have Judgment herein together liith costs
and disbursements and attorneyt fees.
LoVAvJr Del nagiunac
Attorney for Mark Allen
240 South Minneto*a-�v`en
Wayzata, Minnesota 55391
2_
LERoY E. HAGLUND
ATTORNEY AT LAW
RESIDENCE JUSTICE BUILDING
473.9293
-240 SOUTH MINNETONKA AVENUE
WAYZATA, MINNESOTA
55391
December 19, 1972
Village of Spring Park
Office of the Clark
Spring Park Village Hall
Spring Park, Minnesota 55384
Re: Order In the matter of a hazardous dwelling building
located at 3886 Park in the Village of Spring Park
Gentlemen:
Enclosed please find Answer to the Order in the above matter
served on you in accordance with Minnesota Statutes 463.18
and in accordance with the Rules of Civil Practice of the District
Court.
Very t yours,
LeRoy Haglund
LEH/l
encl.
LAW OFFICE
473-4679
V-0
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ALLAN T. QUELLO
ATTORNEY AT LAW
401 E. LAKE STREET a
WAYZATA. MINN. 53391
�dovemher ?(, 1973
Village .>f' ";7rin�7 Pare
Snring Park, Minnesota
A.
Gentlemen:
TELEPHONE 473.7326
AREA CODE 612
Plol-.isr� find enclosed herein a xe.rox copy of the Order of the
r,ourt setti.nf; the date for trial in the two hazardous buildinf7
matters for January 14, 1974. Please notify Mr. Truelsen of
this date of trial. I will have to fret together with him
befor<h,ind to formalize our evidence.
Both cases are now to be tried at once, in as much as the Court
has consolidated them for trial. The trial will be before a
Jud; e alone and not before a jury.
I rece3_ved a call from Mr.. Ernest Frickson regardinfr, the other
delanitated building case we have. Fe will he calling the Village
and ma.kinfr an appointment with Mr. Schmidt for a review of the
bu ldi_n� to determine whether or not he should become involved.
,,rer., sincv�rel�1' ,1�?iars,f
"'. Quello
TC, : and
STATE OF MINNESOTA DISTRICT COURT
COUNTY OF HENNEPIN FOURTH JUDICIAL DIPTRICT
In the Matter of the hazardous
dwelling building located at File No. 691369
3366 Park in the Village of Cal. No. 91394
Spring Park.
O R D E R
and ---
In the Matter of a hazardous
dwelling building located at File No. 694371
3389 Sunset Drive in the Village Cal. No.
of Spring Park
The above -entitled matters CAM regularly on for hearing
before the undersigned on the Calendar notions Calendar on
Nove*oer 20, 1973 on motion of the Village of Spring Park,
hennepin County, Minnesota for an ordem consolidating said
actions for trial and advancing theme OR the trial calendar.
Allen T. Quallo, Esq., appeared counsel for and on
behalf of the Village of Spring park, "d Elisabeth Bonham
appeared as counsel for and on behalf sf William O. and Tinette
J. Larson, Mark Allen, T. B. and Birdie X- Stapp, Robert $.
Allen and C. R. Pares, Inc.
Upon all the files, records and proceedings herein, and
upon the arquments of counsel, IT I8 ORDERED:
That the above actions be, and hereby are, consolidated for
trial as non -jury oases for a week certain of January 14, 1974.
That if counsel for the Village has not at this time filed
his Certificate of Readiness and Note of Issue in case No. 694371,
that such filing be accoWlishad within ten days of this order.
Dateds November 20, 1973.
BY THE COURT:
Douglas R. Amdahl
Douglas X. Amdahle,
Chief Judge.
0
ALLAN T. QUELLO
ATTORNEY AT LAW
401 E. LAKE STREET
WAYZATA. MINN. 59391
TELEPHONE 473.7326
February 11, 1974 AREA CODE 612
Village of Spr3In9Park
Spring Park, Minnesota 55384
Attn: Gerrit D. Schmidt
Dear Gerrit:
Please find enclosed herein photostatic copies of the two trial
cards received in the matter of the hazardous buildings owned by
Jack Allen and his son. I note that the matters are set for trial
for the week of March 11, I have put them on my calendar for that
week.
Perhaps we should make Henry aware of the trial date, as well as
discussing at the next council meeting the availability of an
appraiser to be used at the time of trial.
Very sincerely yours,
Allan A.Quello
APQ: cic
Encl
Calendar No. 91394 Case No.691369 Date31f 74
In -Re Haaardous Bldg. 3386 Park Larson --------------------
Vtll�ge-o3--Spr�rig-�arTc-------- vs ------------------
l. This case has been set for trial for the week of MA R 11 1974
2. Requests for a continuance and reasons therefore must be submitted in
writing to the undersigned within ten days of receipt of this notice,
with a copy of the request to other attorneys of record.
3. If the case has not been previously continued and if counsel desires a
different week for the trial, a designated date for such week (not earlier
than 5 weeks hence) must be specified and included in the request for
continuance.
4. If the case is not tried during the week indicated above, the case is
off alert and a new notice for trial will be sent.
Jack M. Provo, Administrator
Hennepin County District Court
Room 300 Court House
HC 3750 (1-74) Minneapolis, Minnesota 55415
(Tel: 348-3878
Calendar No.91395 Case No. 694371 Date2/7/74
.1n-9Q 3iazax_dog-.ldg—_338a_SunAet-Dx.-------- Stapp .................
Village of Spring Park
1. This case has been set for trial for the week of MAR 1�7Q
2. Requests for a continuance and reasons therefore must be su muted in
writing to the undersigned within ten days of. receipt of this notice,
with a copy of the request to other attorneys of record.
3. If the case has not been previously continued and if counsel desires a
different week for the trial, a designated date for such week (not earlier
than 5 weeks hence) must be specified and included in the request for
continuance.
4. If the case is not.tried during the week indicated above, the case is
off alert and anew notice for trial will be sent.
Jack M. Provo, Administrator
Hennepin County District Court
Room 300 Court House
HC 3750 (1-74) Minneapolis, Minnesota 55415
(Tel: 348-3878
VILLAGE OF SPRING PARK
SPRING PARK, MINNESOTA
October 19, 1972
To: Honorable Mayor and Village Council
From: Building Inspector
Subject: Letter of condemnation
3886 Park Lane
On August 10, 1972, a letter of condemnation and order
to remove the building within 15 days was sent to a William 0.
Larson Route 2, Box 286T, Excelsior, Minnesota, the registered
fee owner.
As of the above date no response has come and no action
on the demolition.
Permission is requested to turn this over to the Village
Attorney to take legal steps necessary to have this structure
removed without further delay.
Respectfully,
Hank Truelsan
August 10, 1972
Mr. William 0. Larson
Route 2.Box 286T
Excelsior, Minnesota 55331
Re: 3886 Park Lane - Village of Spring Park .
Plat 68147 Parcel 5610 Described as:
The southeasterly or rear one half of
Lot 30, Togo Park, Lake Minnetonka
Dear Mr. Larson:
The above described real estate is currently under
condemnation orde= for -removal as soon as possible..
The Village Council requests_ your cooperation in
regard to razing the structure.
If the building is not,removed in, f3.fteen (15) days,
the village will procede with steps to have it removed.
Any questions in regard to the above order may be.
directed to Hank Truelsen, Building Inspector, at the above
address.
Respectfully
H." Truelsen
Building Inspector '
HT/po
ALLAN T. QUELLO
ATTORNEY AT LAW
401 E. LAKE STREET
WAYZATA. MINN. 55391,
August 9, 1972
Village of Spring Park
Spring Park, Minnesota 55384
Re: A-2760
Gentlemen:
I have examined the title to the two properties referred to
at the Council Meeting on August 7, 1972, the following is
what my findings are as follows:
1. Plat 68147, Parcel 5610, District 17
Description: The Southeasterly or rear one half of Lot 30,
Togo Park, Lake Minnetonka
Recorded: Book 1493, Certificate of Title No. 450774
Owner: William 0. Larson (wife Tinette J. Larson)
Route 2 Box 286T
Excelsior, Minnesota
2. Plat 68147 Parcel 5620 District 17
Description: The Northwesterly or the front one half of
Lot 30 in Togo Park, Lake Minnetonka.
Recorded in Book 12623, Certificate of Title 381565
Owner: T. E. Stapp
Spring Park, Minnesota (or Aitkin, Minnesota)
Both parcels are Torrens or Registered Property, neither parcel
shows that it is encumbered with a mortgage. The above
information will be helpful in the event of condemnation.
Very si er ly ,yours,
,
Allan T. 9uello
ATO, • and
ADDRESS 3886 Park Lane
OWNER Jack Allen
CONTRACTOR
ELECTRICAL
CONTRACTOR
PERMIT NO. DATE
PLUMBING
CONTRACTOR
PERMIT NO. DATE,
ZONING
LOT-SQ. FTG.
CUti���uAT� o,�
PLAT68147 PERMIT NO.
PARCEL 5610 DATE
FINAL
LOT INSP.
OCCUPANCY
BLOCK PERMIT
SUBDIVISION
TYPE OF CONSTRUCTION:
BLDG. SQ. FTG. VALUE $ FEE $
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