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6. Medi-Cal. <br /> a. Valdez represents that she has not received Medi-Cal benefits arising <br /> from, in connection with, or related to the matters forming the basis of the Actions. Valdez <br /> acknowledges and agrees that it is her responsibility, and not the responsibility of the City or the <br /> Released Parties to reimburse Medi-Cal for any payments made by Medi-Cal on behalf of <br /> Valdez. <br /> b. Valdez specifically warrants and represents that any and all payments, <br /> liens, claims and subrogated interests of whatever nature or character asserted or potentially <br /> asserted by Medi-Cal and/or persons or entities acting on behalf of Medi-Cal (hereinafter"Medi- <br /> Cal Claims") arising from or related to the matters forming the basis of the Actions have been, or <br /> will be, resolved and satisfied prior to receipt of any settlement funds. <br /> C. Valdez agrees to indemnify and hold harmless the Released Parties from <br /> any and all Medi-Cal Claims that have been or may in the future be related to, arise out of, or are <br /> in connection with payments by Medi-Cal arising from or related to the matters forming the basis <br /> of the Actions. This indemnification obligation includes all damages and costs incurred by the <br /> City,their attorneys,their insurers,and the Released Parties, including but not limited to <br /> attorney's fees incurred by or on behalf of the Released Parties, their attorneys, and their insurers, <br /> as well as fines,penalties, multipliers, costs, interest, expenses, and judgments. <br /> d. The City is relying upon the representations and warranties of Valdez <br /> regarding Medi-Cal. If Valdez's representations are not correct or the required actions are not <br /> performed, it is acknowledged and agreed that Valdez shall indemnify the City,their attorneys, <br /> their insurers, and the Released Parties for any damages, legal fees, and costs or expenses for any <br /> failure to adhere to the representations and warranties contained herein. <br /> 7. Medicare <br /> a. Valdez represents that she has not received Medicare benefits arising from, <br /> in connection with, or related to the matters forming the basis of the Actions. Valdez <br /> acknowledges and agrees that it is her responsibility, and not the responsibility of the City or the <br /> Released Parties to reimburse Medicare for any payments made by Medicare on behalf of <br /> Valdez. <br /> b. Valdez specifically warrants and represents that any and all payments, <br /> liens, claims and subrogated interests of whatever nature or character asserted or potentially <br /> asserted by Medicare and/or persons or entities acting on behalf of Medicare (hereinafter <br /> "Medicare Claims") arising from or related to the matters forming the basis of the Actions have <br /> been, or will be,resolved and satisfied prior to receipt of any settlement funds. <br /> C. Valdez agrees to indemnify and hold harmless the Released Parties from <br /> any and all Medicare Claims that have been or may in the future be related to, arise out of, or are <br /> in connection with payments by Medicare arising from or related to the matters forming the basis <br /> of the Actions. This indemnification obligation includes all damages and costs incurred by the <br /> ZV-6886.1 4 of 9 J V <br /> City s Initials Valdez's Initials <br />