66

affected by this action, and it is not necessary in order to protect the rights of such Defendants for the Court to impose any conditions upon the entry of a judgment herein.

3.
That the Plaintiff has named as Defendants all persons and corporations disclosed by the public records of Delaware County, Indiana, by, under or through which any claim, right or interest in said land might possibly be asserted. That said Plaintiff has been unable, upon diligent search, to learn whether or not the persons so named are living or dead, or as to their legal residence, or whether or not they are married or single, or the names or whereabouts of the husbands, wives, widows or widowers of such persons so named as Defendants, if in fact there are such husbands, wives, widows or widowers, except where it is otherwise shown in Plaintiff's complaint or the names or whereabouts of such persons, heirs or devisees if they are dead.
4.
That each and all of the allegations of Plaintiff's complaint are true and Plaintiff is entitled to the relief therein prayed for.
5.
That at the commencement of this action the Plaintiff was, and is now the owner in fee simple and in possession of all of the real estate in said complaint described and as herein above described, and that said Plaintiff has full and complete rights, title and interest in and to said described real estate as against each and all of the persons and corporations named and designated as Defendants in said complaint and all persons claiming by and through them and as against the world. That any claims of said Defendants and all personas claiming by, through or under them, in and to said real estate are wholly adverse to the ownership tot he Plaintiff herein and are unfounded and without right and a cloud upon Plaintiff's title to said real estate.
6.
That the Plaintiff is entitled to have this Court quiet Plaintiff's title to said described real estate and forever set Plaintiff's title at rest against the Defendants and each of them, and all persons claiming by, through and under them, and against the whole world and to have this Court perpetually enjoin and restrain each and all of the Defendants and persons claiming by, through or under them, and the whole world, from claiming or asserting any title in and to the real estate described in the complaint which is adverse to or which conflicts in any way with the Plaintiff's title and possession of said real estate.
IT IS THEREFORE ORDERED, ADJUDGED AND DECREED by the Court:
1.
That the Plaintiff, Honey Rock Farms, LLC, is the owner in fee simple of the following described real estate located in Delaware County, State of Indiana, to-wit:

A part of the Northeast Quarter of Section 19, Township 19 North, Range 11 East in Perry Township, Delaware County, Indiana, described as follows: