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AgdaPkt 2018-02-26 Joint SA PFA
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AgdaPkt 2018-02-26 Joint SA PFA
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Last modified
3/13/2018 11:23:11 AM
Creation date
2/23/2018 1:00:30 PM
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Template:
CC Index
CC Index - Document Type
Agenda Packet
Meeting Type
Joint
Agency Type
City Council and Successor Agency and Public Financing Authority
Date
2/26/2018
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GENERAL AND SPECIAL RELEASE 6.1.D. - Page 4 <br />injury and other loss and damage were alleged to have been sustained by Plaintiff. This is a full <br />and final Release of any and all claims arising out of the matters set forth above. <br />6. RISK OF UNKNOWN CLAIMS. Plaintiff acknowledges that there is a risk <br />that subsequent to the execution of this Agreement, Plaintiff may discover, incur or suffer claims <br />which were unknown or unanticipated at the time this Agreement is executed, including, without <br />limitation, unknown or unanticipated claims which arise from, are based upon, or are related to the <br />Subject Action or some aspect thereof, which if known by Plaintiff on the date of this Agreement <br />being executed, may have materially affected Plaintiff's decision to execute this Agreement. Plaintiff <br />expressly assumes the risk of such unknown and unanticipated claims and agree that the releases <br />provided in this Agreement apply to all such claims. <br />7. WAIVER OF UNKNOWN CLAIMS. Plaintiff acknowledges that she has read <br />and is familiar with Civil Code § 1542 which states: <br />A general release does not extend to claims which the creditor does not <br />know or suspect to exist in his or her favor at the time of executing the <br />release, which if known by him or her must have materially affected his or <br />her settlement with the debtor. <br />Plaintiff waives and relinquishes all rights and benefits which she has or may have under Section <br />1542 of the California Civil Code. <br />Plaintiff Velma Lambert Initial: 1!/_1 <br />S. REPRESENTATIONS, COVENANTS AND WARRANTIES BY PLAINTIFF. <br />Plaintiff represents, covenants, and warrants: (1) that she has not assigned, transferred, encumbered or <br />otherwise impaired her rights to settle her claims released by this Agreement; (2) that she has engaged <br />no other attorneys to represent her in the Subject Action and that no other attorneys are entitled to liens <br />or attorney's fees on any recovery in the Subject Action; and (3) that she will pay or resolve any and <br />all Medicare, Medi -Cal, insurance, medical, dental and any other medical liens, if any exist. <br />9. INDEMNIFICATION. In addition to and without limiting any other language in <br />the Release, Releasor will defend, protect, indemnify and hold harmless the Releasees from any <br />and all lien claims and/or subrogation claims which might arise from the Subject Action and/or <br />the Litigation as a result of payments made to or on behalf of Releasor arising out of injuries <br />allegedly caused by the Releasees, provided that the Releasees promptly notify Owens Law Firm, <br />of any such liens, claims, demands and/or suits and cooperate in the defense of such liens, <br />claims, demands and/or suits. <br />10. ADVICE OF COUNSEL. The parties to this Agreement acknowledge that they <br />have consulted with and received the advice of an attorney admitted to practice law in the State <br />of California, and that they execute this Agreement relying upon the advice of their counsel and <br />their own, independent investigation of the facts and analysis of the terms of this Agreement. <br />ATTY/AG REE ME NTS/SETT L E ME NTS/LAM BERT <br />REV: 02-05-18 ME <br />Page 2 of 4 <br />
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