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1901 FIRST STREET OWNER, LLC. (3)
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1901 FIRST STREET OWNER, LLC. (3)
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Last modified
8/10/2016 10:27:07 AM
Creation date
8/10/2016 10:25:57 AM
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Contracts
Company Name
1901 FIRST STREET OWNER, LLC.
Contract #
A-2016-222-02
Agency
City Attorney's Office
Expiration Date
6/23/2016
Destruction Year
2021
Notes
A-2016-222; 01
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A -2016- 222 -0� <br />SECOND AMENDMENT TO TOLLING A " E N9C <br />This Second Amendment to Tolling Agreement (the "Second Amendment ") is enterwt <br />into by and between the CITY OF SANTA ANA ( "City"), and 1901 FIRST STREET OWNER, <br />LLC COW First Street ") (collectively hereinafter "the Parties "), In connection with the real <br />property located at 1901, 1903 and 1905 R First Street,. In the City of Santa Ana, which is to be <br />developed as a multi - family residential development consisting of 264 units ("Project "). <br />t; <br />A, 1901. First Street sought and obtained approvals from the City to build the Project. <br />13, A dispute subsequently arose as to whodur the City properly calculated the <br />assessable space for school impact fees applicable to the Project, <br />C, The dispute involving the 'City, 1901 First Street and the Tustin Unified. School <br />District, is currently the subject of litigation filed in the Superior Court of California In the <br />County of Orange (Casa No, 30 -2015 - 00803234-01.7 - M -CJC). <br />D. On September 10, 2015, 1901 First Stxcet filed a claim under the Government <br />Claims Act against the City for damages arising from, and related to, the City's actions in <br />allegedly Improperly changing its standard practice for calculating assessable space for school <br />impact tees for the Project ( "Cho "C:laim "), <br />B. On or about .April 22, 2016, tire, Parties entered Into a tolling agreement (the <br />`° Tolling AgireenwnV) in order to toll any time limit on bringing any lawsuit or claim against the <br />other, including but not limited to any causes of action set forth in the Claim, anti agreed that <br />litigation, if any, of such claims be held in abeyance and without prejudice to the rights of the <br />Parties during the pendency of the Tolling Agroontent. Per the terms of the Tolling Agreement, <br />the Tolling Agreement was to expire on May 3I, 2016, at 11:59 pan, <br />R Prior to the expiration of the Tolling Agreement, the Parties entered into the First <br />Amendment to Tolling ASt)ccxucm (the "first Amendment'), in order to amend the Tolling <br />Agreement to further extend the tolling period until 11; 59 p.m., on 3une 10, 2016, <br />G. The Parties now desire to enter into this Second Amenduns nt in order to amend <br />the Tolling Agreement, as amended by die First A.ntendmain, to Rather extend the tolling period <br />until June 23, 2016, as described below, <br />AC: C"M10T <br />NOW, THEREFORE, in consideration of the covenants and conditions contained herein, <br />the Prudes agree as follows: <br />11 Section d of the Tolling Agreement, as amended by the First Amendment, is <br />hereby deleted in its erdhoty and replaced with the following: <br />
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