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• <br /> Executive subject to said Deed Restriction; and would become <br /> effective when Mr. Garfoot registered with the Dane County Register <br /> of Deeds the Deed Restrictions enforced upon him by the County <br /> authorities. Mr. Garfoot was given until December 13, 1994 to file <br /> such registration. <br /> 10. The restrictions imposed are appended hereto as Exhibit <br /> A, RESTRICTIONS and incorporated herein by reference. <br /> FIRST CAUSE OF ACTION <br /> 11. Plaintiff realleges and incorporates by reference as <br /> though fully set forth herein paragraphs 1 through 10 above. <br /> 12. In imposing said Deed Restrictions on Mr. Garfoot as a <br /> requirement for approval of his requested rezoning, Dane County has <br /> violated Plaintiff's Equal Protection Rights under the fourteenth <br /> amendment of the United States Constitution and Article I, Sec. 13 <br /> of the Wisconsin Constitution, because no other R-3A zoning <br /> districts in the Town of Springdale are subject to Deed <br /> Restrictions. <br /> SECOND CAUSE OF ACTION <br /> 13 . Plaintiff realleges and incorporates by reference as <br /> though fully set forth herein paragraphs 1 through 12 above. <br /> 14 . In imposing said Deed Restrictions on Mr. Garfoot as a <br /> requirement for approval of his requested rezoning, the County <br /> authorities have engaged in illegal contract zoning. <br /> THIRD CAUSE OF ACTION <br /> 15. Plaintiff realleges and incorporates by reference as <br /> though fully set forth herein paragraphs 1 through 14 above. <br /> 3 <br />