HomeMy WebLinkAboutCA Concepts Foundation Full & Final Release CIV1704075 (missing signatures)1
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ARTHUR W. CURLEY, BAR NO. 60902
ROBERT W. MARCHI, BAR NO. 130353
BRADLEY, CURLEY, BARRABEE
& KOWALSKI, P.C.
1100 Larkspur Landing Circle, Suite 350
Larkspur, California 94939
Telephone: (415) 464-8888
Facsimile: (415) 464-8887
Attorneys for Cross -Defendant
CONCEPTS FOUNDATION, INC.
IN THE SUPERIOR COURT OF THE STATE OF CALIFORNIA
IN AND FOR THE COUNTY OF MARIN
(UNLIMITED JURISDICTION)
BERKSHIRE IIATHAWAY HOMESTATE ) No. CIV1704075
INSURANCE COMPANY, )
Plaintiff, ) FULL AND FINAL RELEASE
V.
CITY OF SAN RAFAEL; CONCEPTS
FOUNDATION, INC.; and DOES 1 to 50,
Defendants.
CITY OF SAN RAFAEL,
Cross -Complainant,
V.
CONCEPTS FOUNDATION, INC.; AND
ROES 1 TO 5,
Cross -Defendants.
This Full and Final Release (the "Release") is made and entered by:
"Cross -Complainant" CITY OF SAN RAFAEL
and
"Cross -Defendant" CONCEPTS FOUNDATION, INC.
I. RELEASE AND DISCHARGE
A. FOR AND IN CONSIDERATION of the payment of Five Thousand Dollars
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FULL AND FINAL RELEASE
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($5,000.00), to be paid to plaintiff Berkshire Hathaway Homestate Insurance Co., the CITY OF
SAN RAFAEL ("Cross -Complainant"), hereby releases, acquits, and forever discharges Cross -
Defendant CONCEPTS FOUNDATION, INC., and their agents, servants, present and past
employees, assigns, successors, trustees, directors, officers, personal representatives, and
managers (hereinafter referred to as the "Releasees") from any and all actions, causes of actions,
claims, liens, demands, damages, costs, or consequential damages on account of, or in any way
arising from, claims for damages known and unknown, related to or brought about by the
accident and injuries to Conrad Lenox on or about February 12, 2016, the benefits paid to or on
behalf of Conrad Lenox by plaintiff Berkshire Hathaway Homestate Insurance Co., and not
limited to the complaints described in the Cross -Complaint filed in the Superior Court of
California, County of Marin known as Civil Case No. 1704075, and not limited to potential
claims for damages arising from or related to the workers compensation claim of Conrad Lenox
arising from his employment related injuries of February 12, 2016.
Cross -Complainant hereby declares and represents that in making this Release, it is
understood and agreed this Release is entered into voluntarily, and Cross -Complainant has had
the opportunity to rely on an attorney or counsel of her own choosing in order to come to a full
understanding of the impact of this Release.
B. It is understood that liability for any such claims is disputed, and this final
compromise and settlement thereof shall never be treated as an admission of liability or
responsibility at any time or for any purpose.
C. Cross -Complainant warrants that no promise or inducement has been made or
offered, accepting as herein set forth, that this Release is executed without reliance upon any
statement or representation by any of the parties released or their representatives, or any of them,
concerning the nature or extent of injuries or damages or legal liability therefor.
D. It is understood by Cross -Complainant that it is possible that other injuries or
damages not now known will develop or be discovered, or consequences or results of known
injuries will develop or will be discovered, and this final compromise and release is expressly
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FULL AND FINAL RELEASE
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intended to cover and include, and does cover and include, all such future injuries or damages or
future consequences or results of known or unknown injuries or damages, and all rights of action
therefore are included herein to the fullest extent possible under California and/or federal law.
E. The provisions of Section 1542 of the Civil Code of the State of California are
expressly waived and Cross -Complainant understands that said section provides as follows:
A general release does not extend to claims that the creditor or
releasing party does not know or suspect to exist in his or her favor
at the time of executing the release and that, if known by him or
her, would have materially affected his or her settlement with the
debtor or released party.
F. This Release shall be fully binding on Cross -Complainant, and their heirs, assigns
and successors. This Release is fully enforceable pursuant to California Code of Civil Procedure
§ 664.6.
H. DELIVERY OF DISMISSAL WITH PREJUDICE
It is further understood that in exchange for the payment above-mentioned, Cross -
Complainant will, cause to be dismissed, and dismiss with prejudice as against all persons,
entities, or organizations identified as "Releasees" its Cross -Complaint in Marin County Superior
Court, Case No. 1704075. Cross -Complainant shall deliver to counsel for Releasees an executed
dismissal with prejudice of its Cross -Complaint against Releasees concurrent with the execution
of this Release, on the condition that the Releasees shall not file the executed Dismissal until
Releasees present to plaintiff the consideration set forth in paragraph I(A).
III. ATTORNEY'S FEES
A. Cross -Complainant also agrees that all sides shall bear their own attorney's fees
and costs arising from all litigation and claims described herein and with respect to the
preparation and review of this Release, and the performance of all acts necessary to implement
this Release.
B. All parties agree to cooperate fully and to execute any and all supplementary
documents and to take all actions which may be necessary and appropriate to give full force and
effect to the basic terms and intent of this Release.
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FULL AND FINAL RELEASE
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IV. ENTIRETY OF AGREEMENT
Cross -Complainant further declares and represents that no promise, inducement or
agreement not herein expressed has been made, this Release contains the entire agreement
among the parties hereto, and the terms of this Release are contractual and not a mere recital.
Any oral representations or modifications concerning this Release shall be of no force or effect.
This Release may not be amended, altered, modified or otherwise changed in any respect
whatsoever, except by a writing duly executed by Cross -Complainant and Releasees and their
authorized representatives.
V. CONTINGENCY
If the injured worker, Conrad Lenox, seeks to intervene in Case No. 1704075 before the
action is dismissed in its entirety, it is understood and agreed that this Release is null and void
without any legal effect.
VI. GOVERNING LAW
A. This Release shall be construed and interpreted in accordance with the laws of the
State of California.
VII. REPRESENTATION OF COMPREHENSION AND WARRANTY OF
CAPACITY TO EXECUTE
A. In entering into this Release, Cross -Complainant represents that they have had an
opportunity to consult with her attorneys, who are the attorneys of their own choice, concerning
this Release, and that the terms of this Release are fully understood and voluntarily accepted by
Cross -Complainant. Cross -Complainant further states that they have carefully and completely
read the Release, consisting of five (5) typewritten pages, and knows the contents thereof.
B. Cross -Complainant represents and warrants that no other person or entity has, or
has had, any interest in the claims, demands, obligations or causes of action referred to in this
Release, except as otherwise set forth herein; that Cross -Complainant has the sole right and
exclusive authority to execute this Release and receive the sums specified in it; and that Cross -
Complainant has not sold, assigned, transferred, conveyed or otherwise disposed of any of the
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FULL AND FINAL RELEASE
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claims, demands, obligations or causes of action referred to in this Release.
Dated: ff—ZZ _! (
C TY F SAN RAFA L
As to Form:
Dated:
Attorney for Cross -Complainant CITY OF SAN RAFAEL .
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FULL AND FINAL RELEASE
CONTRACT ROUTING FORM
INSTRUCTIONS: Use this cover sheet to circulate all contracts for review and approval in the order shown below.
TO BE COMPLETED BY INITIATING DEPARTMENT PROJECT MANAGER:
Contracting Department: City Attorney
Project Manager: Lisa Goldfien Extension: 3081
Contractor Name: Concepts Foundation (Centerpoint)
Contractor's Contact: Contact's Email:
❑ FPPC: Check if Contractor/Consultant must file Form 700
Step
RESPONSIBLE
DESCRIPTION
COMPLETED
REVIEWER
DEPARTMENT
a. Email PINS Introductory Notice to Contractor
DATE
Check/Initial
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Project Manager
❑
b. Email contract (in Word) and attachments to City
Mick here to
Attorney c/o Laraine.Gittens@cityofsanrafael.org
enter a date.
❑
c. Check with City Attorney re Insurance
Requirements for extra small or large projects
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City Attorney
a. Review, revise, and comment on draft agreement
8/15/2019
® LG
and return to Project Manager
8/15/2019
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b. Confirm insurance requirements, create Job on
Department Director
PINS, send PINS insurance notice to contractor
8/15/2019
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Approval of final agreement form to send to
contractor
Forward three (3) originals of final agreement to
❑
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Project Manager
contractor for their signature
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Project Manager
When necessary, contractor -signed agreement
❑ N/A
agendized for City Council approval *
*City Council approval required for Professional Services
Agreements and purchases of goods and services that exceed
Or
$75,000; and for Public Works Contracts that exceed $175,000
7/15/2019
PRINT
Project Manager
Date of City Council approval
CONTINUE ROUTING PROCESS WITH HARD COPY
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Forward signed original agreements to City
City Attorney
Attorney with printed copy of this routing form
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Review and approve hard copy of signed
/
agreement
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City Attorney
Review and approve insurance in PINS, and bonds
gl2.0 19
ax
(for Public Works Contracts)
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City Manager/ Mayor
Agreement executed by City Council authorized
official
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City Clerk
Attest signatures, retains original agreement and
forwards copies to Project Manager