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N-2025-065 <br /> AR19giS <br /> SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS <br /> This Settlement Agreement and Release of All Claims ("Agreement") is made and entered into by <br /> and between CARMEN PHILLIPS ("Plaintiff"), and the CITY OF SANTA ANA("City"). <br /> WITNESSETH: <br /> WHEREAS, Plaintiff filed an action against Defendant in the Superior Court of the State California, <br /> County of Orange, Central Justice Center known as CARMEN PHILLIPS, an individual v. CITY OF <br /> SANTA ANA and DOES 1 through 50,Inclusive.Case No. 30-2022-01277670-CU-PO- <br /> WJC(the"Action")wherein Plaintiff alleges injuries and damages with a date of injury of <br /> September 3, 2021, resulting from an alleged trip and fall at or near the intersection of 4th Street <br /> and Tustin Avenue in the City of Santa Ana. <br /> WHEREAS, Plaintiff and Defendant (collectively, the "Parties"), desire to settle fully and finally <br /> all differences between them, including,but in no way limited to, those differences described above. <br /> This Agreement hereby documents a global settlement between the parties of all issues arising from <br /> the Action. <br /> NOW, THEREFORE, in consideration of the mutual covenants and promises herein contained <br /> and other good and valuable consideration, receipt of which is hereby acknowledged, and to avoid <br /> unnecessary litigation, it is hereby agreed by and between the Parties as follows: <br /> 1. This Agreement and compliance with this Agreement shall not be construed as an admission <br /> by Defendant of any liability whatsoever, or as an admission by Defendant of any violation of the <br /> rights of Plaintiff or any person,violation of any order,law, statute, duty, or contract whatsoever <br /> against Plaintiff or any person. Defendant specifically disclaims any liability to Plaintiff or any <br /> other person for any alleged violation of the rights of Plaintiff or any person, or for any alleged <br /> violation of any order, law, statute, duty, or contract on the part of any employees or agents of <br /> Defendant. Likewise,this Agreement and compliance with this Agreement shall not be construed as <br /> an admission by Plaintiff of any liability,misconduct, or wrongdoing whatsoever. <br /> 2. Each party will exchange a fully signed executed copy, or original, of this Agreement. <br /> Defendant cannot proceed with processing payment without a fully executed copy of the Agreement <br /> from Plaintiff. <br /> 3. Following the City's receipt of an executed Request for Dismissal with prejudice of the <br /> entire Action from Plaintiff, the City will make available to Plaintiff a check in the amount of <br /> Seven Thousand Dollars and no cents($7,000.00) made payable to "CARMEN PHILLIPS AND <br /> BELORYAN &MANUKYAN LLP". <br /> 4. The foregoing amount to be paid by Defendant represents the Defendant's full and complete <br /> settlement of Plaintiff's claims for all damages alleged in the Action. The City will file the Request <br /> for Dismissal following confirmation that counsel for Plaintiff has received the check from <br /> Defendant. <br /> 5. Plaintiff and Defendant agree that this Agreement constitutes full and complete settlement <br /> of all claims made against Defendant in this Action. Plaintiff will not seek any further <br /> Page 1 of 4 <br />