Settlement Agreement and Release of All Claims Sample Contracts

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • September 8th, 2016

entered into this 6th day of September, 2016, by and between the property owner, Apartment4U, LLC, (Property Owner), and the County of Jackson, Illinois (County).

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SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • March 31st, 2021 • Missouri

WHEREAS, without any admission of fault, wrongdoing or liability by the County and the County Parties (as defined herein), the Parties desire to forever resolve and compromise all Claims of Claimant (as defined herein) that Claimant may have against the County and County Parties prior to the Effective Date of this Agreement, including without limitation any claims that Claimant alleged or could have alleged in the lawsuit styled Elon Miles v. St. Louis County, Missouri, Andrew Huskey, and Keith Dibble, Cause No. 1822-CC11812, pending in Division 1 of the Circuit Court of St. Louis City, Missouri (the “Lawsuit”), and to avoid any future or further claims, lawsuits or litigation between the parties for any matter, claim or allegations that occur or occurred up to the Effective Date of this Agreement by Claimant and against County and County Parties, individually, together or in any combination thereof, and upon and subject to the terms and conditions set forth below; and

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • May 5th, 2021 • Ohio

This Settlement Agreement and Release of All Claims (“Agreement”) is entered into by and between Plaintiff, Southgate Company Limited Partnership (“Southgate”), and Defendant, City of Pataskala, Ohio (“City”). Together, Southgate and the City may be referred to as the “Parties”, and each may singularly be referred to as a “Party.” This Agreement is effective as of the date of the last-dated signature below (the “Effective Date”).

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • September 20th, 2023

Eldon E. Larson and Donna Larson; County of Goodhue; and all other persons unknown claiming any right, title, estate, interest, or lien in the real estate described herein.

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • June 21st, 2023

This Settlement Agreement and General Release (“Agreement”) is entered into between the County of Los Angeles and its past or present Board members, directors, governing body, employees, agents, predecessors, attorneys, divisions, departments, representatives, insurers, successors in interest and assigns, and all persons acting by, through, under or in concert with any of them (collectively the "County"), on the one hand, and (“Jane Doe”),

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • June 5th, 2013 • California

This Settlement Agreement and Release is entered into as of June 5, 2013, by and between Remote Broadcasting, Inc. (“Remote”) producer of the project currently entitled “Masters Of Sex” (the “Project”), on the one hand and the Angels (“Property Owner”) on the other hand with reference to the following facts:

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • May 3rd, 2017 • Career Education Corp • Services-educational services • Georgia

This Settlement Agreement and Release of All Claims (“Agreement”) is entered into as of this _15th_ day of February, 2017, by and between Career Education Corporation and American InterContinental University, Inc. (collectively “Defendants”), on the one hand, and Melissa Simms Powell, Angela Hitchens, Joseph P. Plumley, Jr. and Glenn W. Dobson (“Relators”) on the other hand (Defendants and Relators shall be collectively referred to herein as the “Parties” and separately as a “Party”), with reference to the following facts:

RECITALS
Settlement Agreement and Release of All Claims • March 24th, 2000 • Maui Land & Pineapple Co Inc • Canned, fruits, veg, preserves, jams & jellies • Hawaii
SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • June 20th, 2023

Florida (hereinafter referred to as “Tarpon Springs”), located at 324 E. Pine Street, Tarpon Springs, Florida 34689, and the Estate of Charles E. Burrowes Sr. (hereinafter referred to as “Burrowes”).

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • September 15th, 2021 • Massachusetts

This Settlement Agreement and Release of All Claims (“Agreement”) is being entered into between Gerald Alston (“Mr. Alston”) and the Town of Brookline (“Brookline”). Mr.

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • July 12th, 2006 • Bulldog Technologies Inc • Services-miscellaneous business services • British Columbia

THIS SETTLEMENT AGREEMENT AND MUTUAL RELEASE (the “Agreement”) dated as of July 1, 2006, is by and between Bulldog Technologies, Inc. (“Company”) and John M. Cockburn (“Cockburn”).

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • September 28th, 2020

This Settlement Agreement and Release of All Claims ("Agreement") is made between Plaintiff Randall Waltz ("Plaintiff' or "Complainant") and Defendant Glenn County (hereinafter "Defendant" or "Respondent") (collectively referred to as "The Parties"):

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • December 21st, 2018 • Colorado

This Settlement Agreement and Release of All Claims (the “Settlement Agreement”) is entered into by and between CWH Properties, LLC, a Colorado limited liability company (“CWH”), and the State of Colorado, by and through the State Board of Land Commissioners (“State Land Board”), and the County of Routt, by and through its Board of County Commissioners (“County”).

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • February 27th, 2019

This Agreement applies to all claims that could be made by, and that are in any way related to, Plaintiff’s claims arising from an automobile accident on November 30, 2017, that is the subject of the Complaint filed by Plaintiff, in the Superior Court of and for Orange County, California, Case No. 30-2018-00994748-CU-PO-CJC, filed on or about May 23, 2018 (hereafter, the “Claim”).

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • May 10th, 2016 • Trimble Navigation LTD /Ca/ • Measuring & controlling devices, nec • California

This Settlement Agreement and Release of All Claims (hereinafter “Agreement”) is entered into by and between Francois Delepine (hereinafter “Employee”) and Trimble Navigation Limited (hereinafter the “Company”) as of this 14th day of March, 2016. In consideration of the covenants set forth below and other good and valuable consideration, receipt of which is hereby acknowledged, and to avoid unnecessary litigation, the parties agree to settle the disputes between them as follows:

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • January 22nd, 2010 • Whos Your Daddy Inc • Bottled & canned soft drinks & carbonated waters • California

This settlement agreement and mutual release of all claims (Settlement Agreement) is made and entered into as of this 19th day of January, 2010 by and between Who’s Your Daddy, Inc., a California corporation (“WYD CA”), Who’s Your Daddy, Inc., a Nevada corporation (“WYD NE”) (collectively referred to herein as “the Companies”) and Fish & Richardson P.C. (“Fish”), a Massachusetts professional corporation.

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • March 31st, 2017 • Armstrong Energy, Inc. • Bituminous coal & lignite surface mining • Kentucky

This SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS (“Agreement”) is entered this 29th day of March, 2017 (the “Effective Date”) by and between Armstrong Energy, Inc. (“AE”), Armstrong Coal Company, Inc. (“ACC”), Elk Creek GP, LLC (“Elk Creek”), Thoroughfare Mining, LLC (“Thoroughfare”), Western Diamond LLC (“WD”), and Western Land Company, LLC (“WLC”, and together with AE, ACC, Thoroughfare, Elk Creek, WD, and any other wholly-owned subsidiary of AE, collectively referred to as the “Armstrong Entities”); and Thoroughbred Holdings GP, LLC (“Thoroughbred Holdings”), Thoroughbred Resources, L.P. (“Thoroughbred”), Western Mineral Development, LLC (“WMD”), and Ceralvo Holdings, LLC (“Ceralvo”, and, together with Thoroughbred, WMD and any other wholly-owned subsidiary of Thoroughbred Holdings, the “Thoroughbred Entities”) (collectively, the “Parties”).

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • February 9th, 2018 • Kentucky

This Settlement Agreement and Release of All Claims (hereinafter referred to as “Settlement Agreement”) is entered into by the Releasing Party on the date hereinafter set forth. As used throughout this Settlement Agreement:

SETTLEMENT AGREEMENT AND RELEASE OF ALL CLAIMS
Settlement Agreement and Release of All Claims • November 22nd, 2021 • Missouri

WHEREAS, without any admission of fault, wrongdoing or liability by the County and the County Parties (as defined herein), the Parties desire to forever resolve and compromise all Claims of Claimant (as defined herein) that Claimant may have against the County and County Parties through the Effective Date of this Agreement, including without limitation any claims that Claimant alleged or could have alleged in the lawsuit styled Angelo Gant v. St. Louis County, et al., Cause No. Cause No. 1922-CC10761, pending in the Circuit Court of the City of St. Louis, (the “Lawsuit”), and to avoid any future or further claims, lawsuits or litigation between the parties for any matter, claim or allegations that occur or occurred through the Effective Date of this Agreement by Claimant and against County and County Parties, individually, together or in any combination thereof, and upon and subject to the terms and conditions set forth below; and

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