Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Citation
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Parent Document
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Jurisdiction
- Minnesota (state)
- Effective Date
- 2003-04-22
Other Sections in This Document (72)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
- Cimarron Village v. Washington, 659 N.W.2d 811 (2003)
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Full Text
831 charsRespondent Cimarron Village, which is federally subsidized under 26 U.S.C. § 42 (2002), sought to evict appellants due to numerous lease violations throughout their tenancy. The district court found that the lease violations, considered in their totality, provided Cimarron Village with good cause to terminate appellants’ tenancy. In challenging the grant of the writ of recovery, appellants argue that (1) the findings are insufficient to support an eviction because there is no finding of material noncompliance with the lease, and (2) the record does not support a finding that good cause existed to terminate appellants’ tenancy. Because a finding of material noncompliance is not required when a tenancy is terminated pursuant to 26 U.S.C. § 42, and because the record supports a determination of good cause, we affirm. FACTS