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VILLA CASTANEDA, OFELIA
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VILLA CASTANEDA, OFELIA
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Last modified
2/25/2026 9:45:11 AM
Creation date
2/25/2026 9:45:06 AM
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Contracts
Company Name
VILLA CASTANEDA, OFELIA
Contract #
N-2026-043
Agency
City Attorney's Office
Expiration Date
1/1/1900
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i14S11RAW,E NIOT REQUIRED <br /> WORK MAY PROCEED - N-2026-043 <br /> UTY CLERK <br /> DATF: FEB 2 5 2071, <br /> v.olio(t?) <br /> D(AcffaW,indet j SETTLEMENT AGREEMENT AND <br /> RviathanTerKWSt(Dz) RELEASE OF ALL CLAIMS <br /> This Settlement Agreement and Release of All Claims ("Agreement") is made and entered into <br /> by and between OFELIA VILLA CASTANEDA("Plaintiff'), and CITY OF SANTA ANA and ERIC <br /> JONATHAN O'ROURKE (collectively, "Defendants"). <br /> WITNESSETH: <br /> WHEREAS, Plaintiff filed an action against Defendants in the Superior Court of the State <br /> California,County of Orange,Central Justice Center District known as OFELIA VILLA CASTANEDA <br /> v. CITY OF SANTA ANA, et al., Case No. 30-2024-01447045-CU-PA-CJC (the"Action"). <br /> WHEREAS, Plaintiff and Defendants (collectively, the "Parties"), desire to settle fully and <br /> finally all differences between them, including, but in no way limited to, those differences described <br /> 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 acknowledged, and to <br /> avoid unnecessary litigation, it is hereby agreed by and between the Parties as follows: <br /> 1. This Agreement and compliance with this Agreement shall not be construed as an <br /> admission by Defendants of any liability whatsoever, or as an admission by Defendants of any <br /> violation of the rights of Plaintiff or any person,violation of any order,law, statute,duty,or contract <br /> whatsoever against Plaintiff or any person. Defendants specifically disclaim any liability to Plaintiff <br /> or any other person for any alleged violation of the rights of Plaintiff or any person, or for any alleged <br /> violation of any order, law, statute, duty, or contract on the part of any employees or agents of <br /> Defendants. Likewise, this Agreement and compliance with this Agreement shall not be construed as an <br /> admission by Plaintiff of any liability,misconduct, or wrongdoing whatsoever. <br /> 2. Each party will exchange a fully signed executed copy or original of this Agreement. <br /> Defendants cannot proceed with processing payment without a fully executed copy of the Agreement <br /> from Plaintiff. <br /> 3. Following receipt of, or in exchange for, an executed copy of a Request for Dismissal <br /> farm from Plaintiff dismissing this Action with prejudice, Defendants will make available a check in <br /> the amount of Forty-Five Thousand($45,000) made payable"OFELIA VILLA CASTANEDA AND <br /> WINDSOR TROY LAW, LLP". This amount represents a full and complete settlement of Plaintiffs claims <br /> for all damages alleged in the Action. The City of Santa Ana will file the Request for Dismissal following <br /> receipt of the foregoing check by Plaintiff's counsel. <br /> 4. Plaintiff and Defendants agree this Agreement constitutes full and complete settlement <br /> of all claims made against Defendants in this Action. Plaintiff will not seek any further compensation <br /> for any other claimed damages, costs, or attorney"s fees in connection with the matters encompassed in <br /> this Agreement. <br /> Page I of 4 <br />
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