6. Defendant(s) has/have failed to pay the past due rent and has/have failed to move
from the premises within the three days notice given, and continue(s) to refuse to vacate the
leased premises.
7. Pursuant to Chapter 3 of Title 6 of the Idaho Code, Plaintiff(s) is/are entitled to
possession of the premises.
8. The Defendant(s) in this case is/are mentally competent and over the age of eighteen
(18) years.
9. [ ] Defendant(s) is/are not in the uniformed services as defined by the
Servicemembers Civil Relief Act of 2003; I know this because
. or
[ ] I am unable to determine whether Defendant(s) is/are in the uniformed services
as defined by the Servicemembers Civil Relief Act of 2003. or
[ ] Defendant is in the uniformed services as defined by the Servicemembers Civil
Relief Act of 2003, and has waived in writing Defendant’s rights under the Act.
VERIFICATION: I swear I have read this Complaint and state that all facts included are
true.
WHEREFORE, Plaintiff(s) prays for judgment for immediate restitution of the premises
and for costs and disbursements as allowed by Idaho Code Section 6-311A, as well as other
provisions of Idaho law.
DATE:
Signature of Plaintiff
SUBSCRIBED AND SWORN to before me this
day of
, 20
.
___________________________________
Notary Public for Idaho
Residing at: _________________________
My Commission expires: _______________
COMPLAINT FOR EVICTION
PAGE 2
CAO 16-3 5/5/2005