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b) The second check shall be made payable to Kimberly Cerda in the amount of <br />Thirty -Four Thousand Forty -Eight Dollars and 95/100 ($34,048.95), as a "non- <br />wage payment," for damages and emotional distress. A 1099 statement will be <br />issued in the normal course of business; <br />c) The third check shall be made payable to the "Mahoney Law Group, APC Trust <br />Account" whose tax identification number is 45-490-5084, in the amount of <br />Forty -Two Thousand Four Hundred Thirty -Eight Dollars 81/100 ($42,438.81), for <br />payment of attorneys' fees and costs. A 1009 statement will be issued in the <br />normal course of business. <br />2. Plaintiff, for her part, expressly agrees to dismiss said civil action and all claims <br />thereof, with prejudice, as against Defendant, and all of Defendant s employees, agents and <br />servants, arising out of the subject matter of said civil action. Plaintiff acknowledges that she is <br />responsible for any liens, if any, that exist or may exist in the future, arising out of the <br />aforementioned action. However, nothing in this paragraph is intended to obligate Plaintiff for <br />any liens incurred as a result of her filing her worker's compensation case, specifically, case <br />number ADJ 10065182 <br />3. Plaintiff and Defendant, and each of them, agree that each shall be responsible for <br />their own respective costs and attorneys' fees in said civil action, and agree that each shall make <br />no claim against the other therefore. <br />4. Each of the undersigned Parties to this agreement does hereby forever release and <br />discharge each other Party to this agreement and any of their past and present agents, servants, <br />representatives, employers and employees from any and all actions, claims, causes of actions, <br />obligations, costs, attorney's fees, and each of them, and each and every agent, employer, <br />