HomeMy WebLinkAboutFROST, KARYL09/13/2013 14:31 17148501978
A-2013-060
SETTLEMENT AGREEMENT
AND RELEASE OF ALL CLAIMS
This Settlement Agreement and Release of All Claims (hereinafter "Agreement") is made
and entered into by and between KARYL FROST (hereinafter referred to as "Plaintiff'), and
CITY OF SANTA ANA (hereinafter "Defendant").
WITNESSETH:
WHEREAS, Plaintiff filed an action against Defendants in the Superior Court of the
State of California, County of Orange, Central Justice Center District known as KARYL FROST
v. CIIY OF SANTA ANA, et al., Case No. 30-2012-00564920 (the "Action").
WHEREAS, Plaintiff and the Defendant desire to settle fully and finally all differences
between them, including, but in no way limited to, those differences described above.
NOW, THEREFORE, in consideration of the mutual covenants and promises herein
contained and other good and valuable consideration, receipt of which is hereby acknowledged,
and to avoid unnecessary litigation, it is hereby agreed by and between the parties as follows:
FIRST: This Agreement and compliance with this Agreement shall not be construed as
an admission by the Defendant of any liability whatsoever, or as an admission by the Defendant
of any violation of the rights of Plaintiff or any person, violation of any order, law, statute, duty,
or contract whatsoever against Plaintiff or any person. The Defendant specifically disclaims any
liability to Plaintiff or any other person for any alleged violation of the rights of Plaintiff or any
person, or for any alleged violation of any order, law, statute, duty, or contract on the part of any
employees, agents of the CITY OF SANTA ANA. Likewise, this Agreement and compliance
with this Agreement shall not be construed as an admission by Plaintiff of any liability,
misconduct, or wrongdoing whatsoever.
SECOND: (a) Plaintiff will sign a Request for Dismissal with Prejudice form
dismissing Case No. 30-2011-00518423 as to Defendant, CITY OF SANTA ANA, in its
entirety.
(b) At the time Plaintiff delivers to counsel for the Defendant a fully
signed original of this Agreement and the Medicare letter stating its lien amount, the Defendant
will deliver to Plaintiff, a check made payable to her and her attorney and another check made
payable to Medicare both which together will total the amount of THIRTY SEVEN
THOUSAND FIVE HUNDRED DOLLARS ($37,500.00) in full and complete settlement of all
claims made against City of Santa Ana in this litigation. This amount is in full and complete
settlement of Plaintiffs claims for all damages alleged in the above-referenced Complaint.
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LAW OFFICES OF W DOUGLAS EASTON 96267 P.012/018
(c) Plaintiff, KARYL FROST, and Defendant, CITY OF SANTA ANA,
agree that the foregoing mutual dismissals constitute full and complete settlement of all claims
made against all parties in this litigation. Plaintiff will not seek any further compensation for any
other claimed damage, costs, or attorney's fees in connection with the matters encompassed in
this Agreement.
(d) Plaintiff acknowledges and agrees that the Defendant had made no
representations regarding the tax consequences of any amounts received pursuant to this
Agreement. Plaintiff agrees that she and she alone is liable for all taxes, if any, which are owed
by her on any amount received hereunder, including interest and penalties. Plaintiff will hold the
Defendant harmless from any and all claims made by federal, state, or local taxing authorities or
lien holders against Plaintiff on amounts owed by her.
THIRD: Plaintiff represents that, with the exception of Case No. 30-2011-00518423 and
the government tort claim associated therewith, she has not filed any complaints, claims, or
actions against Defendant including any of its officers, agents, directors, supervisors, employees,
or representatives of MY OF SANTA ANA with any state, federal, or local agency or court
and that they will not do so at any time hereafter as it relates to this action and that if any agency
or court assumes jurisdiction of any complaint, claim, or action against the Defendant on
Plaintiffs behalf, Plaintiff will direct that agency or court to withdraw and dismiss with
prejudice the matter.
FOURTH: The parties hereto hereby agree that all rights under Section 1542 of the
Civil Code of the State of California are hereby waived. Civil Code Section 1542 provides as
follows:
"A general release does not extend to claims which the creditor does not
know or suspect to exist in his favor at the time of executing the release,
which if known by him must have materially affected his settlement with the
debtor."
FIFTH: Notwithstanding the provisions of Civil Code section 1542, each party hereby
irrevocably and unconditionally releases and forever discharges each other party and each and all
of its officers, agents, directors, supervisors, employees, representatives, and its successors and
assigns and all persons acting by, through, under, or in concert with each other party from any
and all charges, complaints, claims, and liabilities of any kind or nature whatsoever, known or
unknown, suspected or unsuspected (hereinafter referred to as "claim" or "claims") which each
releasing party at any time heretofore had or claimed to have or which each releasing party at
any time hereafter may have or claim to have, incidental to the incident(s) which form the basis
of this lawsuit.
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13/018
SIXTH: Each person signing below represents that he/she has reviewed all aspects of
this Agreement, that the Agreement has been carefully read and fully explained to him/her and
that he/she understands all the provisions of this Agreement, that he/she understands that in
agreeing to this document he/she is releasing each party hereby from any and all claims he/she
may have against each parry released, that he/she voluntarily agrees to all the terms set forth in
this Agreement, that he/she knowingly and willingly intends to be legally bound by the same,
that he/she was given the opportunity to consider the terms of this Agreement and discussed
them with legal counsel.
SEVENTH: The Parties hereto represent and acknowledge that in executing this
Agreement they do not rely and have not relied upon any representation or statement made by
any of the parties or by any of the parties' agents, attorneys, or representatives with regard to the
subject matter, basis, or effect of this Agreement or otherwise, other than those specifically
stated in this Agreement.
EIGHTH: This Agreement shall be binding upon the parties hereto and upon their heirs,
administrators, representatives, executors, predecessors, successors, and assigns, and shall inure
to the benefit of said parties and each of them and to their heirs, administrators, representatives,
executors, predecessors, successors, and assigns.
NINTH: Should any provision of this Agreement be declared or be determined by any
court of competent jurisdiction to be illegal, invalid, or unenforceable, the legality, validity, and
enforceability of the remaining parts, terms, or provisions shall not be affected thereby, and said
illegal, unenforceable, or invalid part, term, or provision shall be deemed not to be a part of this
Agreement.
TENTH: This Agreement sets forth the entire agreement between the parties hereto and
fully supersedes any and all prior agreements or understandings, written or oral, between the
parties hereto pertaining to the subject matter hereof.
ELEVENTH: This Agreement shall be interpreted in accordance with the plain meaning
of its terms and not strictly for or against any of the parties hereto.
TWELFTH: Plaintiff promises that there is a single Medicare lien in this matter.
Plaintiff further agrees that the Medicare lien in this matter is made part of this settlement.
Satisfaction of any other lien shall be the sole responsibility of Plaintiff.
Dated: a 3 oZu/3
11) ?
Y Rlaintiff
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09/13/2013 14:31 17148501978
Dated; SEP 16 2013
ATTEST:
Dated: `1 7e3
APPROVED AS TO FORM:
LAW OFFICES OF W DOUGLAS EASTON :6267 P.014/018
CTI'Y OF SANTA ANA, a charter law city and municipal
corporation, duly organi?ed and existing under the
Constitution and laws of th ; rate of California
By:
Kevin O' urke, Interim City Manager
CITY OF SANTA ANA, a charter law city and municipal
corporation, duly organized and existing under the
Constitution and laws ofthe State of California
Maria D. Huizar, Clerk of the ouncil
LAW OFFICES OF DOUGLAS EASTON
Dated: 7
Brian W. Easton
Attorneys for Plaintiff
Karyl Frost
SONIA R. CARVALHO
j,13
Dated:
Attorney
City bf Santa Ana
4
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09/13/2013 14:31 17148501978
LAW OFFICES OF W DOUGLAS EASTON #6267 P.015/018
*ADDENDUM TO:
RELEASE IN FULL OF ALL CLAIMS AND RIGHTS
The settlement amount referred to herein is being paid to claimant
on account of claims made by claimant for personal physical injury
arising out of the accident or incident being released.
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