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INSI3!'ANC,E NOT REIlURED <br /> G'VORK MAY MOCEED N-2fl25-270 <br /> 01iY CLMN <br /> DATE: NOV 0 5 2025 <br /> s.Get N ( ) <br /> Svz Unne.St.G1okir SETTLEMENT AGREEMENT <br /> 76oQVnan MaVt-M tz CD70 AND RELEASE OF ALL <br /> CLAIMS <br /> This Settlement Agreement and Release of All Claims ("Agreement") is made and <br /> entered into by and between CITY OF SANTA ANA, a charter City and municipal corporation <br /> (the "City"), and THE PEOPLE OF THE STATE OF CALIFORNIA, (hereinafter "Plaintiffs") <br /> and CARL P. & MARION B. STEVENS TRUST, under declaration of trust dated September 15, <br /> 1989, RON STEVENS, as co-trustee and JUDY WISLOCKI, as co-trustee ("Defendants"). <br /> Plaintiffs and Defendants are also collectively referred to as "the Parties" herein or individually <br /> as a"Party." <br /> WITNESSETH: <br /> WHEREAS, the Defendants are the current owner of property within the City of Santa <br /> Ana, which encompasses 904, 914, and 936 East 2nd Street, as well as two parcels without <br /> addresses,on Assessor's Parcel Numbers(APN) 398-473-04, 398-473-08, 398-473-09, and 398- <br /> 473-12 (the "Property"). <br /> WHEREAS, RON STEVENS and JUDY WISLOCKI are the current Co-Trustees of the <br /> CARL P. & MARION B. STEVENS TRUST(the"Trust"), but JAMES STEVENS, also served <br /> as a Co-Trustee of the Trust from the death of MARION B. STEVENS on August 23, 2019, up <br /> until his resignation on November 4, 2021, at which time JUDY WISLOCKI began serving as a <br /> Co-Trustee, RON STEVENS and JUDY WISLOCKI shall sometimes be known as the "Co- <br /> Trustees". <br /> WHEREAS, Plaintiffs filed an action against Defendants in the Superior Court of the <br /> State California, County of Orange, Central Justice Center known as CITY OF SANTA ANA v. <br /> CARL P. & MARION B. STEVENS TRUST,et al., Case No. 30-2020-01167808-CU-MC-NJC <br /> (the "Action"). <br /> WHEREAS, the City has recently inspected the Property and agrees that all prior <br /> violations identified by the City with respect to the Property have been fully addressed by the <br /> Defendants, including, without limitation, all violations identified in the Action, except for the <br /> concerns expressed by the City with respect to the three-sided structure located on the Property <br /> that has some fire damage. Pictures of said three-sided structure are attached hereto as Exhibit <br /> "A"and incorporated herein by this reference (the "3-Sided Structure"). <br /> WHEREAS, the City has confirmed that the amount of outstanding fees being requested <br /> by the City for violations is $1,500. There are no other fees, costs, or expenses due from <br /> Defendants in connection with the Property or from prior tenants of the Property, of if there are, <br /> they are expressly waived by the City. <br /> Page l of 5 <br />