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0 <br />ORDER <br />1. That Plaintiffs and Defendants shall, at the earliest <br />possible date, make joint application to the Lake Elmo City Council <br />for a minor subdivision of the subject property and relocation of <br />the temporary turnaround from Springborn's Acres 2nd Addition to <br />the location as the "cul-de-sac" shown on the attached drawing <br />dated September 1, 1990, which is attached hereto and incorporated <br />into this Order. <br />2. That the Defendants shall pay all costs incurred or <br />assessed against either the Plaintiffs or the Defendants for <br />vacating, if necessary, the temporary turnaround located at the <br />Southern border of Springborn's Acres 2nd Addition, and the <br />construction of the temporary turnaround as shown on the attached <br />drawing dated September 1, 1990. Additionally, Defendants shall <br />indemnify, defend, and hold the Plaintiffs harmless from all <br />lawsuits, liens, and/or claims of any kind arising from the <br />construction of the temporary turnaround. <br />3. That the Plaintiffs shall sign a Quit Claim Deed <br />conveying to the City of Lake Elmo that portion of the temporary <br />turnaround as will exist upon their property. That Defendants will <br />obtain the necessary signatures on a Quit Claim Deed to convey to <br />the City of Lake Elmo that portion of the temporary turnaround <br />which will exist on the Maistrovich property. <br />4. That as soon as possible, the parties shall apply to <br />the Lake Elmo City Council for minor subdivision of said property <br />as follows: The northernmost lot (which encompasses the location <br />3 <br />