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STATE OF MICHIGAN IN THE 14A-3 DISTRICT COURT FOR THE COUNTY OF WASHTENAW TOWNSHIP OF NORTHFIELD, a municipal corporation, Plaintiff, v Case No. 16NZ01011-ON Honorable Richard Conlin RONALD DAUZET, Defendant. LAW OFFICE OF PAUL E. BURNS By: Paul E. Burns (P31596) By: Bradford L. Maynes (P68319) Attorneys for Northfield Township 133 West Grand River Avenue Brighton, Michigan 48116 (810) 227-5000 CONSENT JUDGMENT Ata session of said Court held Inthe City of Chelsea, County of Washtenaw, Stare of Michigan on this___day of. 2017, PRESENT: HONORABLE RICHARD CONLIN DISTRICT COURT JUDGE This case having come before this Court on the Complaint filed by Plaintiff, Township of ‘Northfield, and the parties to this case having presented evidence supporting the findings and conclusions set forth in this Judgment and to entry of this Judgment; and the Court being otherwise fully advised in the premises; WHEREFORE, Defendant, Ronald Dauz is the owner of property commonly known as LC “Property”); WHEREFORE, the Property currently contains 218 inoperable vehicles in violation of the Northfield Township Code of Ordinances, Section 10-19, et seq; and WHEREFORE, the parties hereto wish to resolve this matter as follows; NOW, THEREFORE, IT IS HEREBY ORDERED AND ADJUDGED as follows: 1 Defendant shall bring the subject property into substantial compliance with the Township Anti-Blight and Inopecable Motor Vehicles Ordinance 10-19, et seq, by taking actions, including but not limited to, the following: A B. Commencing with the entry of this Consent Judgment, Defendant shall decrease the number of iroperable vehicles by, at a minimum, twenty-five automobiles currently located on the Property per month, whether by sale, removal, or permanent inside storage in compliance with the Township’s Code of Ordinances, unti all 218 inoperable vehicles have been brought into compliance, If Defendant removes more than twenty-five vehicles in a month, the additional vehicles shall be counted against the next month or months. This figure shall not include the two vehicles being used by Ronald Dauzet and his wife (“Personal Vehicles”); Other than the Personal Vehicles, Ronald Dauzet shall not bring, or cause to be brought, any additional vehicles onto the Property; In the event that Defendant fails to comply with the requirements of Paragraph 1, Defendant shall be compelled to immediately bring the Property into compliance with the Township Anti-Blight and Inoperable Motor Vehicles Ordinance 10-19, et seq, by immediately removing all of the remaining vehicles from the Property, with the exception of the Personal Vehicles. In no event shall any of the following be grounds for relief from this Consent Judgment: & difficulty in obtaining buyers for the vehicles, b. failure of buyers to pick up vehicles, ©. any other problems in selling the vehicles, 4. weather, €. difficulty in accessing the vehicles, or £ difficulty in obtaining title for the vehicles. ‘This Consent Judgment shall not be interpreted or construed to create in Defendant any of the following rights: & aright to have automobiles on the Property in violation of Township Anti- Blight and Inoperable Mctor Vehicles Ordinance 10-19, et seq,; nor b. aright to carry on a commercial automobile sales operation, in violation of the Township zoning ordinances; nor c._ any right to be in violation of any other Township ordinances, or state or federal law. Defendant shall permit Township officials access to the Property, upon reasonable notice, for the purposes of determining compliance with the terms of this Consent Judgment. 6. This Court shall have continuing jurisdiction over this matter for purposes of enforcement. 7. This is a final order and resolves the last pending issues in the case and closes the case, RICHARD CONLIN DISTRICT COURT JUDGE APPROVED AS TO FORM AND CONTENT: LAW OFFICE OF PAULE. BURNS RONALD DAUZET By: Bradford L. Maynes (P68319) Attorney for Northfield Township Dared: June __, 2017 133 West Grand River Brighton, Michigan 48116 (810) 227-5000 Dated: June __, 2017 NORTHFIELD TOWNSHIP BY: MARLENE CHOCKLEY ITS: SUPERVISOR Dated: June _, 2017 Prepared By: LAW OFFICE OF PAUL E. BURNS BY: BRADFORD L. MAYNES (P68319) Attorneys for Plaintiff 133 West Grand River Brighton, Michigan 48116 o00s-27z (O18)

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