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ELOUISE AUGUSTUS, ET AL. V. CITY OF SANTA ANA
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ELOUISE AUGUSTUS, ET AL. V. CITY OF SANTA ANA
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Last modified
4/25/2019 10:07:56 AM
Creation date
1/2/2019 9:23:42 AM
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Contracts
Company Name
ELOUISE AUGUSTUS, ET AL. V. CITY OF SANTA ANA
Contract #
A-2018-305
Council Approval Date
12/4/2018
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WO11K MAY PROCEED <br />L I K Ui COUNCIL <br />nrTr, 2 1 2019 <br />SETTLEMENT AGREEMENT <br />AND RELEASE OF ALL CLAIMS <br />F-UgSTUIRRM <br />S NLe. S chv aft^"° vt his Settlement Agreement and Release of All Claims (hereinafter "Agreement") is made <br />and entered into by and between Plaintiffs (as defined below) and CITY OF SANTA ANA <br />(hereafter "Defendant"). <br />WITNESSETH: <br />VVMREAS, Plaintiffs filed an action against Defendant in the Superior Court ofthe State <br />of California, County of Orange., Central Justice Center District known as TAYLOR PRAM, et <br />al.et al. v. CITY OF SANTA ANA Case No. 30-2018-00974931 (the "Action"). The Agreement <br />encompasses settlement of the Action and claims submitted on March 30, 2017, Clam No. 2017- <br />064. Specifically, two claimants, Consuelo Gutierrez and :Roland Sinclair, were not named <br />plaintiffs in the above Action, but their claims are being settled as part of this settlement. For <br />purposes of this Agreement and the settlement, these two claimants will be included and referred <br />to as"Pllaintiffs"inaddition�te, the named. Plaintiffs, inthhe`Acdon. TltisActiarrisintendedto•settle <br />allegations concerning City -owned trees located next to and near a walkway known as the <br />Sandpointe Paseo. <br />WHEREAS, Plaintiffs, and Defendant (collectively hereafter "parties"), desire to settle <br />fully and finally all differences between them, including, but in no way limited to, those differences <br />described above. <br />NOW, THEREFORE,, in consideration of the mutual covenants and promises herein <br />contained and other good and valuable consideration, receipt of which is hereby aclatowledged, <br />and to avoid unnecessary litigation, it is hereby agreed by and between the parties as follows; <br />FIRST: This Agreement and compliance with this Agreement shall not he construed as <br />an admission by the Defendant and of any liability whatsoever, or as an admission by the <br />Defendant of any violationof thexight& of Plaintiffs or any person, violatim a any. order, law, <br />statute, duty, or contract whatsoever against Plaintiffs or any person. Defendant specifically <br />disclaims any liability to Plaintiffs or any other person for any alleged violation of the rights of <br />Plaintiffs or any person, or for any alleged violation of any order, law, statute, duty, or contract on <br />the part of any employees, agents of Defendant. Likewise, this Agreement and compliance with. <br />this Agreement shall not be construed as an admission by Plaintiffs of any liability, misconduct, <br />or wrongdoing whatsoever. <br />SECOND- (a) Each party will exchange a fully signed executed copy or original of this <br />Agreement (in accordance with Paragraph "Thirteenth" below"). Defendant cannot proceed with <br />processing payment without a fully executed copy of the Agreement from Plaintiffs. <br />Page 1 of 7 <br />
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