Docusign Envelope ID: 16E112FF-704F-42CB-8ECE-9BO4AO27CEOD
<br />Arbitration Panel as provided in, and for resolving disputes to the extent otherwise
<br />provided in, the Kroger Settlement.
<br />7. The Governmental Entity has the right to enforce the Kroger Settlement as provided
<br />therein.
<br />8. The Governmental Entity, as a Participating Subdivision, hereby becomes a Releasor for
<br />all purposes in the Kroger Settlement, including without limitation all provisions of
<br />Section XI (Release), and along with all departments, agencies, divisions, boards,
<br />commissions, districts, instrumentalities of any kind and attorneys, and any person in
<br />their official capacity elected or appointed to serve any of the foregoing and any agency,
<br />person, or other entity claiming by or through any of the foregoing, and any other entity
<br />identified in the definition of Releasor, provides for a release to the fullest extent of its
<br />authority. As a Releasor, the Governmental Entity hereby absolutely, unconditionally,
<br />and irrevocably covenants not to bring, file, or claim, or to cause, assist or permit to be
<br />brought, filed, or claimed, or to otherwise seek to establish liability for any Released
<br />Claims against any Released Entity in any forum whatsoever. The releases provided for
<br />in the Kroger Settlement are intended by the Parties to be broad and shall be interpreted
<br />so as to give the Released Entities the broadest possible bar against any liability relating
<br />in any way to Released Claims and extend to the full extent of the power of the
<br />Governmental Entity to release claims. The Kroger Settlement shall be a complete bar to
<br />any Released Claim.
<br />9. The Governmental Entity hereby takes on all rights and obligations of a Participating
<br />Subdivision as set forth in the Kroger Settlement.
<br />10.In connection with the releases provided for in the Kroger Settlement, each
<br />Governmental Entity expressly waives, releases, and forever discharges any and all
<br />provisions, rights, and benefits conferred by any law of any state or territory of the
<br />United States or other jurisdiction, or principle of common law, which is similar,
<br />comparable, or equivalent to § 1542 of the California Civil Code, which reads:
<br />General Release; extent. A general release does not extend to claims that
<br />the creditor or releasing party does not know or suspect to exist in his or
<br />her favor at the time of executing the release that, if known by him or her
<br />would have materially affected his or her settlement with the debtor or
<br />released party.
<br />A Releasor may hereafter discover facts other than or different from those which it
<br />knows, believes, or assumes to be true with respect to the Released Claims, but each
<br />Governmental Entity hereby expressly waives and fully, finally, and forever settles,
<br />releases and discharges, upon the Effective Date, any and all Released Claims that may
<br />exist as of such date but which Releasors do not know or suspect to exist, whether
<br />through ignorance, oversight, error, negligence or through no fault whatsoever, and
<br />which, if known, would materially affect the Governmental Entities' decision to
<br />participate in the Kroger Settlement.
<br />Ell! �.ipfflp
<br />2 Dd
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