RELEASE IN FULL SETTLEMENT AND COMPROMISE
<br />1. I, Maria Quintanilla [hereinafter referred to as "Plaintiff'], the
<br />undersigned, for and in consideration of the sum of four hundred and fifty
<br />thousand dollars ($450,000.00), for myself, my heirs, executors, administrators,
<br />and assigns do hereby remise, release and forever discharge the City of Santa.
<br />Ana and Officer Britain Speakman, their principals, employees, officers,
<br />agents, claims administrators, attorneys and insurers [hereinafter referred to as
<br />"Releasees"], from any and all claims and causes of action by reason of any
<br />injury, damage or civil rights violations, including any and all attorney's fees
<br />and costs, which I have sustained, or may have sustained, as a result of the
<br />events surrounding the detention and shooting of my son Jose Manuel
<br />Quintanilla on February 18, 2016,.as more fully described in the Complaint for
<br />Damages filed by me in the United States District Court — Central District of
<br />California in the matter entitled Maria Quintanilla, etc. v. City of'Santa Ana, et
<br />al., and which bears case number SACV 1.6-1400 JLS (JCx),
<br />2. Except for the obligations arising out of this Release, Plaintiff
<br />does hereby waive, release, acquit and discharge, for all time, all. Releasees of
<br />and from any and all claims, demands, causes of action, liabilities,
<br />controversies and damages whatsoever, of whatever kind _.ornature,_whether_
<br />known or unknown, contingent or liquidated, suspected or unsuspected, which
<br />Plaintiff now owns, holds, haves or claims to have against the Releasees, by
<br />reason of any matter or thing alleged or referred to, directly or indirectly, or in
<br />any way connected with or arising out of all or any of the matters, facts, events,
<br />occurrences, alleged or referred to in the lawsuit identified in this Release or in
<br />any way associated with the alleged 'incident referenced in and/or connected to
<br />the matters at issue in that lawsuit. It is the specific and express intention that
<br />this Release dispose of all of Plaintiff's claims as against the Releasees, and
<br />that the waivers and releases provided in this Release shall constitute, and be
<br />deemed understood and to act, as a full release of all past, present and future
<br />claims that may arise from the herein mentioned matters and issues as set forth
<br />in the recitals hereinabove or alleged or referred to in the litigation.
<br />3. This release and discharge shall apply to the past, present and
<br />future officers, directors, stockholders, attorneys, agents, servants,
<br />representatives, employees, subsidiaries, affiliates, partners, predecessors and
<br />successors in interest, and assigns and all other persons, firms or corporations
<br />with whom any of the former have been, are now, or may hereafter be affiliated
<br />with the Releasees and each of their attorneys, agents, servants, representatives,
<br />
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