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- the "maintenar p". <br />I i <br />4. Petitorers would like the Commission to note that: <br />(a) No portion of Government Lot 3 has ever been <br />deeded or dedicated to this County or its <br />predecessor counties. <br />(b) The driveway is in fact some 9 feet wide, not <br />50 feet wide, as may be seen in Exhibit "F". <br />i <br />(c) The "road" set forth on the "maintenance map" <br />has never been open to vehicular traffic down <br />to the edge of the river and serves merely as <br />a driveway for the Petitioners as noted on "Exhibit <br />"A" and as may be seen in Exhibits "C", "D" and "E". <br />(d) The Petitioners and their predecessors in title <br />have always paid taxes on the entirety of Govern- <br />ment Lot 3 including the said driveway. <br />(e) The "maintenance map" creates confusion<as to the <br />ownership of lands in Government Lot 3 to such an <br />extent that Telkamp and Brown are being assessed <br />for and are paying taxes on a portion of Holmes' <br />property. <br />WHEREFORE Petitioners request that the "maintenance map" <br />be amended and corrected by removing therefrom that portion of the <br />"roadway" in Lot 3 so that they may: <br />(a) Confirm their titles. <br />(b) Allow the property to remain on the ad valorem <br />tax rolls. <br />(c) Prevent any prescriptive rights from accruing. <br />(d) Have peace and quiet. <br />LeRoy �T. Telkamp <br />r r- <br />DorothyiB. Brown <br />W. E. Roddenberry <br />Attorney for James T. Holmes <br />W. E. Rodden� berry,, <br />a <br />BOCK, 45 Pact 685 <br />