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1 <br /> the petitioners . In addition to the air pollution , this <br /> 2 undeveloped corner lot constitutes a continuing nuisance in that <br /> 3 weeds , pieces of concrete, i e, and equipment are <br /> P Plying around, <br /> 4 <br /> and other builders use this undeveloped lot as a dumping ground <br /> 5 <br /> for their excess dirt. <br /> 6 Such use of this undeveloped land is both a <br /> P public and <br /> 7 private nuisance by virtue of the fact that its continuous <br /> 8 condition creates a dangerous condition and causes air pollution <br /> 9 to the members of the general Tracy community and additionally <br /> 10 <br /> causes petitioners to continue to suffer irreparable injury by <br /> 11 destroying the peaceful and quiet enjoyment and use of <br /> 12 petitioners ' property , as well as , contaminating petitioners ' <br /> 13 property. <br /> 14 The petitioners have already gone through the <br /> process of <br /> 15 repeated demands on the various governmental bodies, at the City, <br /> 16 State , County , Regional level . As such , petitioners have <br /> 17 requested those agencies to fulfill their ministerial duty of <br /> 18 enforcing the necessary regulations and laws to eliminate the <br /> 19 continuing nuisance presented by the aforementioned undeveloped <br /> 20 lot ' s condition . Despite there repeated demands , each <br /> 21 governmental body respondent has failed to carry out said duty. <br /> 22 III. <br /> 23 <br /> ARGUMENT <br /> 24 <br /> A. <br /> 25 A PETITION FOR A WRIT OF MANDATE MAY <br /> 26 PROPERLY BE ISSUED TO A PETITIONER <br /> WHO HAS A BENEFICIAL INTEREST IN THE <br /> 27 SUBJECT MATTER. <br /> 28 Petitioner as Beneficially Interested. One requirement <br /> for issuance of a writ of mandate is that it be issued on the <br /> 3 <br />