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10. Plaintiffs and Defendants, and each of them, <br />warrants and represents that none of its claims, causes of <br />acltion, or demands herein released have been assigned to any <br />person or entity. <br /> <br /> 11. This Settlement Agreement shall be governed by the <br />la~is of the State of California and any questions arising <br />hereunder shall be construed and determined according to such law. <br /> ! <br /> <br /> ~2. Before initiating any litigation to remedy any <br />br~ach of this Settlement Agreement or the related Judgment, <br />Plaintiffs and Defendants, and each of them, agrees to provide <br />thirty (30) days' written notice of said breach to each breaching <br />patty to afford them an opportunity to correct the breach. Said <br />written notice will be sent by first class mail, postage prepaid, <br />ad~[ressed as follows: <br /> <br /> To Plaintiffs: <br /> <br /> Debra Fritz <br /> 10582 Sennit Avenue <br /> Garden Grove, California 92643 <br /> <br /> To Defendants: <br /> <br /> City Attorney <br /> City of Santa Aha <br /> 20 Civic Center Plaza <br /> Santa Ana, California 92702 <br /> <br /> 13. This Settlement Agreement may be signed by the <br /> <br />par~ies in different counterparts and the signature pages combined <br />to Create a single document binding on all parties. <br /> <br /> <br />