Settlement Agreement and Mutual Release of Claims Sample Contracts

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • August 17th, 2009 • California

This Settlement Agreement and Mutual Release of Claims (“AGREEMENT”) is entered into between the California Sportfishing Protection Alliance (“CSPA”) and Solano Garbage Company (“SGC”) (collectively, the “SETTLING PARTIES”) with respect to the following facts and objectives:

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SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • December 10th, 2009 • California

This Settlement Agreement and Mutual Release of Claims (“Agreement”) is entered into by and between The STATE OF CALIFORNIA by and through Preston DuFauchard, California Corporations Commissioner (“Plaintiff”), on the one hand, and BENICORD, LLC, UNIVERSAL CONSUMER MARKETING, INC., JODY J.

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • August 28th, 2008 • California

This Settlement Agreement and Mutual Release of Claims (“AGREEMENT”) is entered into between the California Sportfishing Protection Alliance (“CSPA”) and Gladding McBean (collectively, the “SETTLING PARTIES”) with respect to the following facts and objectives:

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • February 26th, 2016 • California

This Settlement Agreement and Mutual Release of Claims ("Agreement") is entered into between California River Watch ("CRW") and the City of Santa Rosa ("City") (collectively, the "Parties") with respect to the following facts and objectives:

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • June 21st, 2011 • California

This Settlement Agreement and Mutual Release of Claims (“AGREEMENT”) is entered into between the California Sportfishing Protection Alliance (“CSPA”) and Allied Waste Services of North America, LLC d/b/a Allied Waste Services of Sacramento (“AW”) (collectively, the “SETTLING PARTIES”) with respect to the following facts and objectives:

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • August 2nd, 2012 • California

This Settlement Agreement and Mutual Release of Claims (this “Agreement”) is entered into between Northern California River Watch, a non-profit corporation, on behalf of itself and its members (“River Watch”) and West Valley Sanitation District, a sewer district organized under the laws of the State of California (the “District”), (collectively the “Parties”) as of the last date executed below (the “Effective Date,”) with respect to the following facts and objectives.

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • March 2nd, 2009 • California

This Settlement Agreement and Mutual Release of Claims (“AGREEMENT”) is entered into between the California Sportfishing Protection Alliance (“CSPA”) and Nelson’s Marine, Inc. (“Nelson’s Marine”) (collectively, the “SETTLING PARTIES”) with respect to the following facts and objectives:

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • November 26th, 2007 • PSPP Holdings Inc • Mining & quarrying of nonmetallic minerals (no fuels) • California

This Settlement Agreement and Mutual Release of Claims Agreement ("Settlement Agreement") is made and entered into as of the last date of execution of this Settlement Agreement as shown on the signature page of this Settlement Agreement (“Effective Date”) by and between PSPP Holdings, Inc., a Nevada Corporation, (“PSPP”); UC HUB Group, Inc., a Nevada Corporation, (“UCHUB”); eSafe, Inc., a Nevada Corporation, (“ESAFE”); Wilcox Family Partners, a California Limited Partnership (“WFP”); Piedmont Properties, Inc., a, Oregon corporation (“PIEDMONT”); Larry Wilcox, an individual (“WILCOX”); Leonard Gotshalk, an individual (“LEONARD”); Kyle Gotshalk, an individual (“KYLE”) and Cherish Adams, an individual (“ADAMS”) hereinafter collectively or individually referred to as the “Parties” or “Party,” respectively.

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • February 22nd, 2024 • Florida

This Settlement Agreement and Mutual Release of Claims (“Agreement”) is executed on this day of February 2024 (the “Effective Date”) by Shawn T. Kaleta, personally and as principal/authorized corporate representative of Bali Hai JV, LLC, 3605 Gulf Dr., LLC, 100 73rd LLC, 100 73rd 203A LLC, and 100 73rd St. Unit 202C LLC (“Plaintiffs”), and the City of Holmes Beach, Florida (“Defendant” or “City”). Plaintiffs and Defendant shall hereinafter be referred to collectively as the “Parties.” The Parties stipulate and agree that all issues asserted, or which might be asserted, between the Parties have been resolved pursuant to the following terms and conditions:

EXHIBIT A
Settlement Agreement and Mutual Release of Claims • July 28th, 2019

This Settlement Agreement and Release of Claims (“Agreement”) is entered into by and between Namrata Pereira (“Pereira”), Denese Faulkner (“Faulkner”), Sarah Hilbert (“Hilbert”) and John Edward Widener II (“Widener”) (collectively “Plaintiffs”) and Brand New Start Treatment Centers, LLC, Brand New Start Treatment Center – Paulding, Georgia Treatment Center, LLC, Woodstock Treatment Center, LLC and Walton County Treatment Center LLC, and Sunjay Sood and Nalini Singh (collectively “Brand New Start” or “Defendants”). Plaintiffs and Brand New Start are referred to collectively herein as (“the Parties”).

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • February 3rd, 2016 • Ohio

(the “Agreement”) is made and executed on the date last signed below, by and among Reiter Dairy, LLC (“Reiter Dairy”), the Southwestern Ohio Educational Purchasing Council (“Council”), a duly organized Regional Council of Governments under Ohio Revised Code

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • December 11th, 2019 • Innovative Payment Solutions, Inc. • Retail-catalog & mail-order houses • Nevada

This Settlement Agreement and Mutual Release (hereinafter “AGREEMENT”) is entered into on this, the 9th day of December, 2019, by, between, and among Innovative Payment Solutions, Inc, a Nevada Corporation (“Company”) and Qpagos Corporation, a Delaware Corporation (“Subsidiary”), on the one hand, and Andrey Novikov (“Claimant”), on the other hand. Company, Subsidiary and the Claimants are hereinafter referred to collectively as “SETTLING PARTIES”. The SETTLING PARTIES enter this AGREEMENT individually, and on behalf of themselves and their respective principals, agents, attorneys, officers, directors, shareholders, servants, representatives, employees, members, partners, subsidiaries, affiliated companies, insurers, predecessors, successors-in-interest and assigns.

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • November 18th, 2022 • Humbl, Inc. • Wholesale-durable goods • Nevada

This Settlement Agreement and Mutual Release of Claims (“Agreement”) is entered into as November 15, 2022 by and between Forwardly, Inc. (“Forwardly”), a Nevada corporation, and HUMBL, Inc. (“HUMBL”), a Delaware corporation. Forwardly and HUMBL are individually referred to as a “Party” and collectively as the “Parties.”

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • September 18th, 2022

This Settlement Agreement and Mutual Release of Claims (“Agreement”) is entered into between Northern California River Watch (“River Watch”) and the City Of Sausalito (“The City”) (collectively “the Parties”) as of the last date executed below (the “Effective Date”), with respect to the following facts and objectives.

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • June 15th, 2011 • Seawright Holdings Inc • Bottled & canned soft drinks & carbonated waters

THIS SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS ("Agreement") is entered into this 10th day of November, 2009 by and between (i) JOEL PATRICKSENS and SEAWRIGHT HOLDINGS, INC. (collectively "Sens and Seawright"), on the one hand, and (ii) AMICUS FUNDING, INC. ("Amicus"), on the other hand.

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • November 21st, 2007 • UC Hub Group Inc • Services-prepackaged software • California

This Settlement Agreement and Mutual Release of Claims Agreement ("Settlement Agreement") is made and entered into as of the last date of execution of this Settlement Agreement as shown on the signature page of this Settlement Agreement (“Effective Date”) by and between PSPP Holdings, Inc., a Nevada Corporation, (“PSPP”); UC HUB Group, Inc., a Nevada Corporation, (“UCHUB”); eSafe, Inc., a Nevada Corporation, (“ESAFE”); Wilcox Family Partners, a California Limited Partnership (“WFP”); Piedmont Properties, Inc., a, Oregon corporation (“PIEDMONT”); Larry Wilcox, an individual (“WILCOX”); Leonard Gotshalk, an individual (“LEONARD”); Kyle Gotshalk, an individual (“KYLE”) and Cherish Adams, an individual (“ADAMS”) hereinafter collectively or individually referred to as the “Parties” or “Party,” respectively.

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • July 16th, 2009 • California

This Settlement Agreement and Mutual Release of Claims (“AGREEMENT”) is entered into between the California Sportfishing Protection Alliance (“CSPA”) and BLT Enterprises of Sacramento, Inc. (“BLT”) (collectively, the “SETTLING PARTIES”) with respect to the following facts and objectives:

RESTATED SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • March 9th, 2009 • Standard Pacific Corp /De/ • Operative builders • California

This Restated Settlement Agreement and Mutual Release of Claims (the “Agreement”) hereby restates and replaces in its entirety the Settlement Agreement and Mutual Release of Claims dated February 20, 2009, between Clay A. Halvorsen and Standard Pacific Corp. (“SPC” or “Company”).

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • March 12th, 2008 • Arizona

This Settlement Agreement and Mutual Release (hereinafter “Agreement”) is entered into and effective as of this day of , 2008 by and between the following parties:

RECITALS
Settlement Agreement and Mutual Release of Claims • August 14th, 1997 • Oxboro Medical International Inc • Surgical & medical instruments & apparatus • Minnesota
SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • January 4th, 2012 • California

This Settlement Agreement and Mutual Release of Claims (“Agreement”) is entered into between Northern California River Watch, a non-profit corporation, on behalf of itself and its members (“River Watch”) and the City of Healdsburg, a municipality organized under the laws of the State of California (“City”), (collectively the “Parties”) as of the last date executed below (the “Effective Date”), with respect to the following facts and objectives.

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • June 9th, 2011 • California

This Settlement Agreement and Mutual Release of Claims (“AGREEMENT”) is entered into between the California Sportfishing Protection Alliance (“CSPA”) and Syar Concrete LLC (“Syar”) (collectively, the “SETTLING PARTIES”) with respect to the following facts and objectives:

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SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • June 19th, 2018 • Arizona
SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • November 13th, 2013 • California

This Settlement Agreement and Mutual Release of Claims (“AGREEMENT”) is entered into between the California Sportfishing Protection Alliance (“CSPA”) and the City of Modesto (“Modesto” or “City”) (individually, a “Settling Party” and collectively, the “Settling Parties”) with respect to the following facts and objectives:

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • March 30th, 2004 • Home Solutions of America Inc • Services-management services • Texas

This Settlement Agreement and Mutual Release of Claims ("Release"), executed to be effective as of October 14, 2003 ("Effective Date") is made and entered into by and among Home Solutions of America, Inc., a Delaware corporation ("HSOA"), on the one side, and Jeff Hawkins, an individual resident of the State of Texas ("Hawkins"), and CTRS Holding Corp., a Texas corporation ("HOLDCO"), on the other side, on March 29, 2004 this Release was fully executed by all parties ("Execution Date").

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • February 7th, 2013 • Worthington Energy, Inc. • Crude petroleum & natural gas • Nevada

This Settlement Agreement and Mutual Release (hereinafter “AGREEMENT”) is entered into on this, the 25th day of January, 2013, by, between, and among Worthington Energy, Inc. (“Worthington”), on the one hand, and BLACK CAT Exploration & Production, LLC (“Black Cat”) and Anthony Mason (“Tony”) on the other hand. Black Cat and Tony are collectively referred to as the “Claimants”. Worthington and the Claimants are hereinafter referred to collectively as “SETTLING PARTIES”. The SETTLING PARTIES enter this AGREEMENT individually, and on behalf of themselves and their respective principals, agents, attorneys, officers, directors, shareholders, servants, representatives, employees, members, partners, subsidiaries, affiliated companies, insurers, predecessors, successors-in-interest and assigns.

RESTATED SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • March 9th, 2009 • Standard Pacific Corp /De/ • Operative builders • California

This Restated Settlement Agreement and Mutual Release of Claims ("Agreement") hereby restates and replaces in its entirety the Settlement Agreement and Mutual Release of Claims dated February 24, 2009, between Andrew H. Parnes and Standard Pacific Corp. ("SPC" or "Company").

AGREEMENT
Settlement Agreement and Mutual Release of Claims • June 29th, 1999 • World Acceptance Corp • Personal credit institutions
SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • March 4th, 2010 • California

This Settlement Agreement and Mutual Release of Claims (“AGREEMENT”) is entered into between the California Sportfishing Protection Alliance and Northern California River Watch (collectively “CSPA”) and Syar Industries, Inc. (“Syar”) (collectively, the “SETTLING PARTIES”) with respect to the following facts and objectives:

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • April 9th, 2018 • Wright Richard A • Wholesale-groceries & related products • Arizona

THIS SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS (the “Agreement”), entered into as of this 31st day of October, 2017 (the “Effective Date”), by and between THE ALKALINE WATER COMPANY, INC., a Nevada corporation (“AWC”), LIFEWATER INDUSTRIES, LLC, an Arizona limited liability company (“Lifewater”), WRIGHT INVESTMENT GROUP, LLC, an Arizona limited liability company (“WIG”), RICHARD WRIGHT, an individual (“Wright”), and DAVID GUARINO, an individual (“Guarino”), all with a principal place of business located at 14646 N. Kierland Blvd., Suite # 255, Scottsdale, Arizona 85254 (AWC, Lifewater, WIG, Wright, and Guarino shall be collectively referred to as the “Alkaline Parties”) and CHRIS BROWN, an individual (“Brown”), and MCDOWELL 78, LLC, an Arizona limited liability company (“McDowell”), all located at 4435 Alla Road, Unit 4, Marina Del Ray, CA 90292 (Brown and McDowell shall be collectively referred to as the “Brown Parties”). The Alkaline Parties and the Brown Parties may be colle

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • August 28th, 2012 • California

This Settlement Agreement and Mutual Release of Claims (this “Agreement”) is entered into between Northern California River Watch, a non-profit corporation, on behalf of itself and its members (“River Watch”) and the Santa Clara County Sanitation District No. 2-3, a sewer district organized under the laws of the State of California (the “District”), (collectively the “Parties”) as of the last date executed below (the “Effective Date”), with respect to the following facts and objectives.

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • January 21st, 2009

This Settlement Agreement and Mutual Release of Claims (“Agreement”) is entered into between Northern California River Watch (“River Watch”) and the City Of Sausalito (“The City”) (collectively “the Parties”) as of the last date executed below (the “Effective Date”), with respect to the following facts and objectives.

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • January 15th, 2014 • California

This Settlement Agreement and Mutual Release of Claims (“Agreement”) is entered into between CALIFORNIA RIVER WATCH (“CRW”) and the CENTRAL CONTRA COSTA

SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS
Settlement Agreement and Mutual Release of Claims • June 20th, 2018 • ALKALINE WATER Co INC • Wholesale-groceries & related products • Arizona

THIS SETTLEMENT AGREEMENT AND MUTUAL RELEASE OF CLAIMS (the “Agreement”), entered into as of this 31st day of October, 2017 (the “Effective Date”), by and between THE ALKALINE WATER COMPANY, INC., a Nevada corporation (“AWC”), LIFEWATER INDUSTRIES, LLC, an Arizona limited liability company (“Lifewater”), WRIGHT INVESTMENT GROUP, LLC, an Arizona limited liability company (“WIG”), RICHARD WRIGHT, an individual (“Wright”), and DAVID GUARINO, an individual (“Guarino”), all with a principal place of business located at 14646 N. Kierland Blvd., Suite # 255, Scottsdale, Arizona 85254 (AWC, Lifewater, WIG, Wright, and Guarino shall be collectively referred to as the “Alkaline Parties”) and CHRIS BROWN, an individual (“Brown”), and MCDOWELL 78, LLC, an Arizona limited liability company (“McDowell”), all located at 4435 Alla Road, Unit 4, Marina Del Ray, CA 90292 (Brown and McDowell shall be collectively referred to as the “Brown Parties”). The Alkaline Parties and the Brown Parties may be colle

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