IN THE CHANCERY COURT OF COUNTY, MISSISSIPPI , a/k/a , a/k/a , , PLAINTIFFSVS. CAUSE NO. DEFENDANT COMPLAINT FOR SPECIFIC PERFORMANCE COMES , a/k/a/ , a/k/a , , , and files
this their Complaint for Specific Performance against Defendant, and would state in
support thereof, the following: 1. This action involves the enforcement of a Contract to Purchase Real Estate covering
property located in County, Mississippi. The contract was made in County.
Defendant, may be served with process at , Mississippi. 2. On , , Plaintiffs, by and through their agent, , offered
acre(s) of real property in various parcels to the public by auction. The property is located on
*** approximately mile(s) from the , Mississippi City limits. The auction was
attended by various buyers. The property was sold in tracts and was purchased by persons,
including the Defendant, each person purchasing different parcels.
3. There were parcels total to be sold. After the tracts nearest to the highway were
sold, the remaining parcels, numbers , , , , , , , and
*** were offered choice, meaning that the highest bidder could take one or more of the parcels.
The bidding started at dollars per acre and went from to dollars in
dollar increments. The Defendant began bidding at $ per acre and was the highest bidder at
$ per acre. When asked how many parcels he/she wanted at that price he/she announced
"all of them", thereby precluding Plaintiffs from selling the property to other interested parties. 4. After the auction, Defendant executed a Contract to Purchase Real Estate reflecting the
purchase price of $ , a copy of said contract being attached hereto as Exhibit " ". Said
contract is definite it its terms and provided that it may be enforced by specific performance.
Defendant was required to deposit % down on the day of sale and mailed a check for $
** to when he/she returned home from attending the auction. 5. Thereafter, Plaintiffs complied with the terms of the contract and proceeded to have the
property surveyed and provided the survey and certificate of title to Defendant requested that
he/she close the sale. A copy of the description of the property and Certificate is attached hereto
as Exhibit " ". The Defendant, by and through his/her attorney, refused to close thereby
breaching the contract and necessitating this suit. 6.
The contract specifically provides that, "Buyer hereby represents that he/she has
personally inspected and examined the above mentioned property and accepts the property in its
"as is" and present condition. Buyer hereby acknowledges that unless otherwise set forth in
writing elsewhere in this contract neither Broker nor Seller nor their representatives have made
any representations concerning the present or past condition of the property, or the availability of
utilities". 7. Plaintiffs request that the court enter an order granting specific performance and ordering
Defendant to pay for the property in exchange for a Deed as specified in the contract. 8. The contract further provides that if suit is necessary to enforce the performance thereof,
the Sellers will be entitled to collect reasonable attorney fees and costs if they are successful.
Plaintiffs request that they be awarded a reasonable attorneys fee and all cost of court. 9. Since the amount is liquidated, Plaintiff requests pre-judgment interest on the amount due
until fully paid. WHEREFORE, PREMISES CONSIDERED, Plaintiffs pray that the court will enter an
Judgment granting them specific performance of the contract attached hereto as Exhibit "A"
ordering Defendant to pay for same as provided in the Contract and award Plaintiffs a reasonable
attorneys fee, all cost of court and pre-judgment interest on the purchase price.RESPECTFULLY SUBMITTED, this the day of , .
_______________________________________ Attorney for Of counsel: Telephone: MSB # Attorney for