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b. Relocation from Docktown <br />i. On or before November 14, 2022 ("Relocation Date"), Tenant shall <br />relocate herself and any and all of Tenant's remaining property from Docktown, <br />including without limitation Bohemia, and shall thereafter not reside at <br />Docktown, nor keep or store any property at Docktown. To the extent Tenant <br />has any family members (including without limitation her son), subtenants, <br />sublessees, renters, licensees, invitees, guests, or any other individuals residing <br />on or using Bohemia (or any other vessel at Docktown), Tenant shall also cause <br />such persons to vacate Docktown on or before the Relocation Date. <br />ii. Tenant further agrees that she shall not bring Bohemia or Grace back to <br />Docktown, nor dock any other watercraft or vessel at Docktown, unless City <br />has given express, prior written permission. <br />iii. Tenant shall provide notice to the City that she has satisfied her <br />obligations under subsection (i) above within seven (7) days thereof by <br />executing and delivering a "Certificate of Abandonment" in substantially the <br />form of Exhibit B attached hereto. <br />C.Quitclaim: Tenant does hereby remise, release and quitclaim to the City <br />of Redwood City, a California Public Corporation, any and all interests, including without <br />limitation possessory, ownership, or otherwise, that may exist with respect to real property <br />commonly known as and/or located at 1548 Maple Street in the City of Redwood City, San <br />Mateo County, State of California, Assessor's Parcel Numbers 052532020, 052532030 <br />052532040, 052532050, 052532060, 052532070, 052532080, 134291980, 134291930, <br />134291940, 052532999, 054329999. As to Inferno, Bohemia, and Grace, the Parties' <br />respective rights and obligations are addressed in foregoing sections of this Agreement and <br />exhibits hereto. <br />6. Dismissals: <br />a. Within fourteen (14) days of the Effective Date, Tenant shall provide to <br />the City an executed request for entry of dismissal with prejudice of the Fambrough Case <br />in substantially the same form as attached hereto as Exhibit C. The City is authorized to <br />and shall file a request for entry of dismissal at the same time the Initial Payment is <br />delivered or mailed. <br />b. Within seven (7) days of Tenant satisfying her obligations under both <br />Sections 4 and 5, the City shall file a request for entry of dismissal of Unlawful Detainer <br />Case, without prejudice, in substantially the same form as attached hereto as Exhibit D. <br />7. No Assistance to Third Parties: Tenant shall not participate in any legal or factual <br />research, advocacy, negotiations, or representation on behalf of any other party engaged in <br />Docktown-related litigation with the City or associated negotiations, if any. <br />8. Potential Supplemental Payment: Notwithstanding Section 2 above, if, within <br />150 days of the Effective Date, (a) the City enters into a settlement agreement with any of the <br />ATTY/AGR/SETTLEMENTS/SETTLEMENT AGREEMENT - ALISON MADDEN <br />REV: 07-21-22 VR <br />Page 6 of 13 <br />