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4. The HICKORY POINT FIRE PROTECTION DISTRICT objects to said <br /> annexation and the disconnection of the above-described real estate from its territory <br /> because such disconnection may cause the territory remaining in the District to be <br /> noncontiguous and that the loss of assessed valuation by reason of such disconnection <br /> will impair the ability of the District to render fully adequate fire protecti n service to the <br /> territory remaining within the District. <br /> WHEREFORE, the Petitioner respectfully prays that the action of the City of <br /> Decatur, Illinois, in annexing the property described herein be declared invalid as to the <br /> Petition and prays the Court to order that the said property shall remain within the <br /> HICKORY POINT FIRE PROTECTION DISTRICT. <br /> HICKORY POINT FIRE PROTECTION <br /> DISTRICT, Defendant <br /> ERICKSON, DAVIS, MU )HY, JOHNSON <br /> & WALS , LTD., Its Attor ys <br /> 1 ,a 1) <br /> By: <br /> M C <br /> Gat E. Davi <br /> 3 <br />