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SECOND: <br />(a) The parties agree to waive their right to a hearing on Neighbors' Motion for <br />Attorney's fees currently scheduled for December 2, 2019, at 2:00 p.m, in Orange County <br />Superior Court, Central Justice Center, Department C15. <br />(b) City agrees to pay to Neighbors' attorney of record, Mark S. Rosen, thirty-nine <br />thousand dollars and zero cents ($39,000.00) made payable to the "Mark S. Rosen Client Trust <br />Account" in full and complete satisfaction of Neighbors' claim for attorney's fees and costs in this <br />Matter. In consideration of such promise and the other rights conferred by this Agreement, <br />Neighbors agrees to release, remise, and forever discharge City, Mitre and Gomez, from any and <br />all claims for attorney's fees or costs in this Matter, which may be due to Neighbors by reason of <br />such claim/complaint. Neighbors agree to provide all necessary paperwork including a signed <br />copy of this Settlement Agreement, a W-9, and any other paperwork necessary to process payment <br />by Thursday, September 26, 2019 at 10:00 a.m., failure to do so will result in an extension of City's <br />time to pay the settlement amount equal to the delay in submitting the paperwork. <br />(c) The City agrees to pay in full the amount listed in subsection (b) above on or <br />before Monday, September 30, 2019 by 11:59 p.m. to Neighbors' attorney Mark S. Rosen, subject <br />to a potential extension if there is a delay on the part of Neighbors in submitting the necessary <br />paperwork. <br />(d) Neighbors agree to provide City's attorney with a signed Notice of Withdrawal <br />of its Motion for Attorney's fees an September 30, 2019 by noon. City agrees not to file said <br />Notice until payment has been made to Neighbors' attorney pursuant to subsection (b) of this <br />Section of the Agreement. <br />THIRD: Neighbors represent that it has not filed any complaints, claims, or actions <br />against City as a result of the incident set forth in the complaint including any of its officers, agents, <br />directors, supervisors, employees, or representatives of City with any state, federal, or local agency <br />or court and that it will not do so at any time hereafter as it relates to this action and that if any <br />agency or court assumes jurisdiction of any complaint, claim, or action against City, its employees, <br />volunteers, officials, or agents on Neighbors' behalf, Neighbors will direct that agency or court to <br />withdraw and dismiss with prejudice the matter. <br />FO Wr : The parties hereto hereby agree that all rights under Section 1542 of the Civil <br />Code of the State of California are hereby waived, Civil Cocle Section 1542 provides as follows; <br />"A general release does not extend to claims which the creditor does not Imo%s <br />or suspect to exist in his or her favor at the tints of executing the release, which <br />if known by hinr or her must have materially affected his or her settlement <br />Page, 2of5 <br />