Laserfiche WebLink
APR -5 -20316 92:21P PROM:NUNLEY BUSINESS 7148843846 T0:1562624117B <br />SETTLEMENT AGREEMENT AND RELEASE <br />This Settlement Agreement and Release (the "Settlement Agreement ") is made and <br />entered into this Sa day of NWch, 2016 by and among: <br />0,0 Rt 1 0.s <br />"Plaintiff' Hailley Hallstrom, by and through her guardian ad litem Tiffany Nunley <br />"Defendant" City of Santa Ana <br />RECITALS <br />A. Plaintiff Hailley Hallstrom filed a complaint against City of Santa Ana and its <br />police officers, in the United States District Court, Central District of California, entitled Tiffany <br />Nunley, etc. v. City of Santa Ana, etal , which bears case number SACV 14 -0766 CAS (FFMx) <br />(hereinafter "Action "). This Action arose out of the shooting, and subsequent incarceration and <br />hospitalization, of Jason Hallstrom on March 15, 2013 and alleged civil rights violations and <br />various state torts and negligent acts or omissions by the City and its police officers. In the <br />Action, Plaintiff sought to recover monetary damages as a result of that certain occurrence on <br />March 15, 2013, which allegedly resulted in physical injuries and personal injuries to Plaintiff <br />and Decedent Jason Hallstrom. <br />A- 2015 -305 <br />F.I. <br />B. The parties desire to enter into this Settlement Agreement in order to provide for <br />certain payments in full settlement and discharge of all claims which are, or might have been, the <br />subject matter of the Complaint, upon the terms and conditions set forth below. <br />AGREEMENT <br />The parties agree as follows; <br />1.0 RELEASE AND DISCHARGE <br />IA In consideration of the payments set forth in Section 2, which has a current cost of <br />one mullion six hundred thousand dollars and no cents ($1,600,000.00), including up -front cash <br />and the promise of future periodic payments, Plaintiff hereby completely releases and forever <br />discharges any named defendant in the Action, including but not limited to the City of Santa <br />Ana, Officer John Rodriguez and Officer Peter Picone from any and all past, present or future <br />claims, demands, obligations, actions, causes of action, wrongful death claims, rights, damages, <br />costs, losses of services, expenses and compensation of any nature whatsoever, whether based on <br />a tort, contract or other theory of recovery, which the Plaintiff now has, or which may hereafter <br />accrue or otherwise be acquired, on account of, or may in any way grow out of, or which are the <br />subject of the Action including, without limitation, any and all known or unknown claims for <br />bodily and personal injuries to Plaintiff, or any future wrongful death claim of Plaintiff's <br />representatives or heirs, which have resulted or may result from the alleged acts or omissions of <br />the Defendant. <br />IIPage <br />