MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • January 30th, 2004
Contract Type FiledJanuary 30th, 2004
MEDIATION CONFIDENTIALITY AGREEMENT FILE NAME:Mediation Confidentiality Agreement • August 13th, 2015
Contract Type FiledAugust 13th, 2015
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • March 9th, 2015
Contract Type FiledMarch 9th, 2015
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • January 27th, 2011
Contract Type FiledJanuary 27th, 2011THIS AGREEMENT IS AMONG THE PARTIES TO THIS MEDIATION, THEIR UNDERSIGNED REPRESENTATIVES AND COUNSEL AND THE MEDIATOR, ADRIENNE FECHTER. THE PARTIES HAVE AGREED TO ENTER INTO MEDIATION IN AN EFFORT TO REACH A SETTLEMENT OF THEIR DISPUTES AND UNDERSTAND THE CONFIDENTIAL NATURE OF THIS PROCEDURE.
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • March 30th, 2016
Contract Type FiledMarch 30th, 2016IT IS HEREBY AGREED by and between the mediator and each mediation participant identified below that all matters discussed during any and all mediation sessions shall be confidential, may not be admissible in any court proceeding, nor shall not be disclosed by the participants or the mediator in any court proceeding or any court of law, except as follows:
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • February 23rd, 2021
Contract Type FiledFebruary 23rd, 2021Subject to, and in keeping with, the provisions contained in sections 703.5, and 1115 through 1128 of the California Evidence Code, the Participants to the mediation of this dispute agree to and acknowledge the following:
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • December 13th, 2013
Contract Type FiledDecember 13th, 2013This Mediation Confidentiality Agreement (“Agreement”) is made and entered into this 17th day of December, 2013 (“Effective Date”), by and between Christine Smith (“Plaintiff”) and the City of Redlands (“Defendant”). Plaintiff and Defendant are sometimes individually referred to herein as a “Party” and, together, as the “Parties.”
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • August 4th, 2005
Contract Type FiledAugust 4th, 2005Consistent with California Evidence Code sections 703.5 and 1115-1128, and judicial interpretations thereof, the participants in this mediation session agree that they shall treat as “confidential information” anything that happened or was said or any document that was developed in connection with the mediation session. Such “confidential information” shall not be disclosed to anyone not involved in any existing litigation, or any litigation that may arise, concerning the subject matter of this mediation session, shall not be disclosed to any judicial officer assigned to any such litigation, and shall not be used for any purpose, including impeachment, in any pending or future proceedings unless all parties and the mediator agree.
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • May 23rd, 2017
Contract Type FiledMay 23rd, 2017
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • March 15th, 2020
Contract Type FiledMarch 15th, 2020Subject to, and in keeping with, the provisions contained in sections 703.5, and 1115 through 1128 of the California Evidence Code, the Participants to the mediation of this dispute agree to and acknowledge the following:
CAI-CV MEDIATION PROGRAM MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • April 1st, 2022
Contract Type FiledApril 1st, 2022
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • February 25th, 2020
Contract Type FiledFebruary 25th, 2020
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • August 9th, 2020
Contract Type FiledAugust 9th, 2020The parties, attorneys and/or their representatives have agreed to retain Carole Helfert Aragon as their mediator for the purpose of assisting in the resolution of their dispute described below, and have signed the Mediation Retention Agreement which is incorporated herein by this reference.
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • January 30th, 2004
Contract Type FiledJanuary 30th, 2004
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • March 31st, 2024
Contract Type FiledMarch 31st, 2024
SOUTHWEST VIRGINIA MEDIATIONS MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • August 29th, 2016
Contract Type FiledAugust 29th, 2016
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • November 15th, 2016
Contract Type FiledNovember 15th, 2016Each of the parties and their respective counsel, as identified by signatures below, have agreed to voluntary mediation of the legal (disputes) at issue in this matter and further agree as follows:
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • August 19th, 2019
Contract Type FiledAugust 19th, 2019Subject to, and in keeping with, the provisions contained in sections 703.5, and 1115 through 1128 of the California Evidence Code, the Participants to the mediation of this dispute agree to and acknowledge the following:
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • September 4th, 2015
Contract Type FiledSeptember 4th, 2015In order to promote communication among the Parties and the Mediator and to facilitate settlement of the dispute, all parties agree as follows:
MEDIATION CONFIDENTIALITY AGREEMENTMediation Confidentiality Agreement • July 22nd, 2020
Contract Type FiledJuly 22nd, 2020Subject to, and in keeping with, the provisions contained in sections 703.5, and 1115 through 1128 of the California Evidence Code, the Participants to the mediation of this dispute agree to and acknowledge the following:
MEDIATION CONFIDENTIALITY AGREEMENT FILE NAME:Mediation Confidentiality Agreement • May 9th, 2020
Contract Type FiledMay 9th, 2020This Agreement governs all aspects of the mediation process, including those that pre-date the execution of this Agreement, including, but not limited to, the selection of a mediator, the convening of the mediation, all phone calls, correspondence, e-mail and other documents relating to the mediation and the mediation process, all person to person meetings, site visits, or conferences of any kind, and any post-mediation communications or conferences relating to the mediation.