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�n' SCE NOT REQUIRED <br />411 WORK MAY PRO(,EED <br />CLERK Of C0LWM <br />COMPLIANCE AGREEMENT <br />N-2021-175 <br />)�x�nl""lo��� <br />his Compliance Agreement (hereinafter "Agreement") is made and entered into on this <br />4—day of July 2021 ("Effective Date') by and between CITY OF SANTA ANA, a charter <br />City and municipal corporation, and THE PEOPLE OF TEE STATE OF CALIFORNIA, by the <br />City Attorney for the City of Santa Ana (hereinafter "City"), and SIGNATURE SPORTS 1, <br />LLC, a California limited liability company (hereinafter "Buyer"). City and Buyer are also <br />collectively referred to as "the Parties" herein. <br />RECITALS <br />WHEREAS, the City of Santa Ana has determined the property, which encompasses 904, <br />914, and 936 East 2nd Street, as well as two parcels without addresses, is located on Assessor's <br />Parcel Numbers (APN) 398-473-04, 398-473-08, 398-473-09, and 398-473-12 (the "Property") to <br />be a public nuisance and is being maintained in violation of the Santa Ana Municipal Code <br />("SAMC"), requiring immediate rehabilitation and/or r-pairs; and <br />WHEREAS, on October 29, 2020, the City filed an action against the property owner, <br />CARL P. & MARION B. STEVENS TRUST, under declaration of trust dated September 15,1989; <br />RON STEVENS, as co -trustee; and JUDY WISLOCKI as co -trustee ("Defendants") in the <br />Superior Court of the State California, County of Orange, Central Justice Center District known as <br />City of Santa Ana, et al. v. CARL P. & MARION B. STEVENS TRUST, et al., Case No. 30-2020- <br />01167808-CU-MC NJC (the "Action"). The City's complaint in the Action includes a prayer for <br />injunctive relief, civil penalties, attorneys' fees and costs, and other equitable relief against Settling <br />Defendants; and <br />WHEREAS, Defendants are the Co -Trustees of the Carl P. & Marion Stevens Trust (the <br />"Trust") and, as such Co -Trustees, intend to distribute the Property to a beneficiary of the Trust, <br />James Stevens. James Stevens intends to then transfer the Property to SIGNATURE SPORTS 1, <br />LLC, a California limited liability company ("Buyer'). Buyer understands and agrees that it will <br />assume all liabilities and claims associated with the Action; and <br />WHEREAS, Buyer acknowledges that the Property contains multiple Santa Ana <br />Municipal Code ("SAMC") violations and understands and acknowledges that these violations <br />must be abated in order for the Property to be in compliance with the SAMC; and <br />WHEREAS, the Parties seek to enter into this Agreement to ensure that Buyer will bring <br />the Property into compliance with State laws and SAMC; and <br />WHEREAS, concurrently with this Agreement, Defendants have entered into an <br />agreement with City to settle the Action as set forth in Exhibit "A" and incorporated herein by this <br />reference ("Settlement Agreement"); and <br />WHEREAS, this Agreement is a condition prey lent to settle all disputes with Defendants <br />with respect to the Action. 4 <br />