Loading...
HomeMy WebLinkAboutGerman, Mark & Theresa General Release and Settlement Agreement -2005 12 19 ..... CITY OF WINTER SPRINGS, FLORIDA 1126 EAST-STATE ROAD 434 WINTER SPRINGS. FLORIDA 32708-2799 Telephone: (407) 327-1800 Fax: (407) 327-4753 Website: www.winterspringsfl.org December 19,2005 Mr. and Mrs. M. German 1608 Little Sparrow Ct. Winter Springs, FL 32708 Dear Mr. and Mrs. German: Please find enclosed a General Release and Settlement Agreement representing the City of Winter Springs' and the Florida Municipal Insurance Trust's final offer of settlement. The enclosed General Release and Settlement Agreement is a full and complete release of any and all past, present, or future claims arising from the incident described in the General Release and Settlement Agreement. There are to be absolutely no modifications to this settlement document. Any modifications of the settlement document will render it null and void. The final settlement offer contained in this settlement document will terminate if not executed and post marked on or before January 9, 2006. Please note that the settlement document must be signed and notarized. A self-addressed envelope is enclosed for your convenience. ~cre:~ ~mith General Services Director Ijp cc: Mayor and Commission (w/o attachments) David Cominsky, FLC (w/o attachments) City Attorney (w/o attachments) City Manager Enclosure Sent via Certified Mail 121905 Settlement Agreement . .' GENERAL RELEASE AND SETTLEMENT AGREEMENT Recitals The term "Claimants" as used in this General Release shall mean MARK AND THERESA GERMAN (hereinafter referred to as CLAIMANTS), as well as their heirs, minor children, executors, administrators, personal representative, successors, assigns, and anyone who has ownership interest in the residence located at 1608 Little Sparrow Court, Winter Springs, Florida. The term "Defendants" as used in this General Release shall include the CITY OF WINTER SPRINGS, the Florida League of Cities, and the Florida Municipal Insurance Trust, as well as their present and former employees, officials, commissioners, council members, attorneys, agents, representatives, boards, commissions, agencies, councils, successors, assigns and any person or entity in privity with them, in their individual or official capacity, singular or plural, jointly or severally, where the context admits or requires. (Hereinafter referred to as DEFENDANTS) GENERAL RELEASE WHEREAS, on or about August 15, 2004, the residence of the CLAIMANTS located at the above-described address experienced flooding by sewage; and WHEREAS, as a result of the incident CLAIMANTS allegedly suffered damages including, but not limited to, property damage, diminution in the value of their residence, and personal injury; and WHEREAS, CLAIMANTS and DEFENDANTS are desirous of entering into this compromised settlement of a disputed claim in order to avoid further attorney's fees, costs, litigation and attendant costs; and .. WHEREAS, CLAIMANTS have agreed to accept the terms and conditions set forth in this General Release and Settlement Agreement in compromise and settlement of any and all claims they may have against the DEFENDANTS, whether now known or contemplated, arising out of the damages allegedly sustained by them resulting from the aforesaid incident as described above; and WHEREAS, CLAIMANTS further agree to indemnify DEFENDANTS, from any outstanding liens, arising from the alleged injuries they allegedly sustained as a result of the incident described herein and further agree to pay any and all of their outstanding liens, medical expenses and attorneys' fees and costs from the settlement proceeds; and WHEREAS, CLAIMANTS and DEFENDANTS are desirous of entering into this settlement in order to provide for certain payments in full settlement and discharge of all claims which are or might have been brought or asserted by the CLAIMANTS as a result of the above-described incident. NOW, THEREFORE, KNOW ALL MEN BY THESE PRESENTS 1. That the said and undersigned CLAIMANTS, for and in consideration of the sum of $6,041.77 (Six Thousand Forty One Dollars and Seventy Seven Cents, to them in hand paid, along with the other terms and conditions set forth herein, the receipt and sufficiency of all which is hereby acknowledged, do hereby remise, release and forever discharge DEFENDANTS from all past, present and future manner of action and actions, causes and causes of action, suits, debts, dues, sums of money, accounts, reckonings, bonds, bills, specialties, covenants, contracts, controversies, agreements, promises, variances, trespasses, damages, judgments, executions, claims Page 2 of 7 ~. and demands whatsoever, in law or in equity, which CLAIMANTS ever had, now have, shall or may have against DEFENDANTS by reason of any matter, cause or thing, from the beginning of the world to the date of this General Release and Settlement Agreement. 2. CLAIMANTS waive, release, acquit and forever discharge DEFENDANTS from any claim they may have for past, present and future compensatory damages, injunctive relief, declaratory relief, punitive damages, interest, costs, attorneys' fees, wages, impairment of earning capacity, physical, emotional or psychological injury, property damage, diminution in the value of their property and residence, mental anguish, pain and suffering, past and future medical or psychological expenses and any other claims for damages, injunctive relief or equity which CLAIMANTS may have under any Federal, State, Local or common law. TAX LIABILITY CLAIMANTS agree and acknowledge that in the event any tax liability ensues from the payment of the above-described sum, CLAIMANTS shall assume sole responsibility for said liability and such tax liability shall not be a grounds for setting aside the settlement and/or this General Release and Settlement Agreement. CLAIMANTS further agree and acknowledge that in the event the DEFENDANTS are determined to be responsible for the payment of any taxes as are result of the payment to CLAIMANTS as described herein, the CLAIMANTS shall indemnify DEFENDANTS for any and all such payments. Such indemnification shall not be a ground for setting aside this General Release and Settlement Agreement. Page 3 of 7 , SCOPE OF RELEASE CLAIMANTS acknowledge and agree that the Release and discharge set forth above is a General Release and Settlement Agreement of all past, present and future claims arising from the incident described herein. CLAIMANTS expressly waive and assume the risk of any and all claims for damages which exist as of the date of this General Release and Settlement Agreement, of which the CLAIMANTS do not know or suspect to exist, whether through ignorance, oversight, error, negligence or otherwise and which, if known, would materially affect CLAIMANTS decision to enter into this settlement and provide this General Release and Settlement Agreement. CLAIMANTS further agree that they have accepted payment of the sum specified herein as a complete compromise of matters involving disputed issues of law and fact. CLAIMANTS assume the risk that the facts or law may be other than CLAIMANTS believe. It is understood and agreed by CLAIMANTS that this is a compromised settlement of a doubtful and disputed claim and the payments are not to be construed as an admission of liability on the part of DEFENDANTS. LIENS CLAIMANTS further state that, at the time of the execution of this General Release and Settlement Agreement, there are no outstanding claims by way of lien, reimbursement or subrogation by insurance carriers, medical providers, psychologists, counselors, contractors, subcontractors, materialman, suppliers, or other entities for amounts paid on behalf of CLAIMANTS by reason of the above-described incident, or in the alternative, if there are outstanding claims, CLAIMANTS will satisfy those claims Page 4 of 7 .. and liens and will hold DEFENDANTS harmless from such claims and will satisfy any such claims which may be outstanding at the present time, including, but not limited to, liens for the provision of medical and psychological services or liens held by Medicaid or Medicare or any other Federal or State agency or liens held by contractors, subcontractors, materialman or suppliers. ENTIRE AGREEMENT. ADVICE OF COUNSEL. ETC. CLAIMANTS further warrant that no promises or inducement not herein expressed have been made, the payment of the above-mentioned sum is in full settlement and full satisfaction of all the aforesaid actions, claims and demands whatsoever; that this release is given in good faith and discharges DEFENDANTS from all liability for contribution to any other alleged tortfeasor; that the undersigned is over twenty-one years of age, legally competent to execute this General Release and Settlement Agreement, has read the contents of this General Release and Settlement Agreement and has executed it voluntarily and after seeking and obtaining advice of counsel, did not sign this General Release and Settlement Agreement under coercion, distress or duress of any kind whatsoever and sign this General Release and Settlement Agreement with full knowledge and appreciation of its meaning. Page 5 of 7 WITNESS MARK GERMAN Jointly and Severally SWORN TO AND SUBSCRIBED before me this day of , 2005. Signature of Notary Public - State of Florida Print, type or Stamp Commissioned Name of Notary Personally known _ or Produced Identification _ Type identification produced (SEAL) Page 6 of 7 WITNESS SWORN TO AND SUBSCRIBED before me this day of , 2005. THERESA GERMAN Jointly and Severally Signature of Notary Public - State of Florida Print, type or Stamp Commissioned Name of Notary Personally known _ or Produced Identification Type identification produced (SEAL) Page 7 of 7