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l <br /> 4. The LONG CREEK FIRE PROTECTION DISTRICT objects to said annexation <br /> and the disconnection of the above-described real estate from its territory because such <br /> disconnection may cause the territory remaining in the District to be noncontiguous and that the <br /> loss of assessed valuation by reason of such disconnection will impair the ability of the District <br /> to render fully adequate fire protection service to the territory remaining within the District. <br /> WHEREFORE, the Petitioner respectfully prays that the action of the City of Decatur, <br /> Illinois, in annexing the property described herein be declared invalid as to the Petition and prays <br /> the court to order that the said property shall remain within the LONG CRE K FIRE <br /> PROTECTION DISTRICT. <br /> LONG CREEK FIRE PROTECTION DISTRICT, <br /> Petitioner <br /> ERICKSON, DAVIS, MU 4Y, JOHNSON, <br /> & WALSH D. <br /> By <br /> ist pher L. Siudyl <br /> I <br />