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12/20/2006 Agreement DANNY L. KOLHAGE CLERK OF THE CIRCUIT COURT DATE: December 29, 2006 TO: Suzanne A. Hutton County Attorney A TTN: Kathy Peters Executive Assistant Pamela G. Hanco(t Deputy Clerk FROM' At the December 20,2006, Board of County Commissioner's meeting the Board granted approval and authorized execution of a Settlement Agreement in Monroe County, Florida v. Timothy John Woods and Barbara Woods, Case No. CE05060056. Enclosed is the original Agreement for your handling. Should you have any questions please do not hesitate to contact this office. cc: Finance Filel BEFORE THE CODE ENFORCEMENT SPECIAL MASTER OF MONROE COUNTY, FLORIDA The Honorable J. Jefferson Overby, Presiding MONROE COUNTY, FLORIDA Petitioner, vs. CASE NO.: CE05060056 TIMOTHY JOHN WOODS and BARBARA A. WOODS, Respondent(s) I SETTLEMENT AGREEMENT The Petitioner Board of County Commissioners of Monroe County and Timothy John Woods and Barbara A. Woods, Respondent(s), hereby agree to settle the code enforcement lien imposed in the above-referenced case by the Special Master against property owned by the Respondent(s) as follows: 1. The parties agree to settle the code enforcement lien for $1,250.00. 2. The property in question has a legal description of CONCH KEY PB2-130 A SUB IN FRACTIONAL SECS 14 & 15 alkla 2 NORTH CONCH AVE., CONCH KEY MONROE COUNTY, FLORIDA (RE:00385780-000000) OR: Bk.# 2242, page 137. 3. Upon approval of this agreement by the Board of County Commissioners, the Respondent(s) shall remit a check in the amount of $1,250.00 made payable to the Board of County Commissioners. 4. Once the aforementioned check has cleared, the County will issue to the Respondent(s) a release and satisfaction of said lien for filing by the Respondent(s) In the Official Records of Monroe County. 5. The County will file a copy of the release and satisfaction in the official Code Enforcement file. 6. By entering into this agreement, the each party agrees to waive any and all claims that it could have raised and/or potential claims that it might have been able to raise as a result of the above-captioned code enforcement case. 7. Both parties warrant that they have had an opportunity to consult with counsel before entering into this agreement. 8. Each party agrees to bear its own costs and attorney's fees other than as specified in this agreement. ATTEST: DANNYL. KOLHAGE CLERK; B~~~ Deputy Clerk. 12/20/2006 BOARD OF COUNTY COMISSIONERS OF MO ROE COUN Mario DiGennaro Dated /, - U,- - II (-. /7 ~/J1fh otary Public , ~ '.....'..;:.....~\,:,~.,' .;'.;.~\lil ,.....~ #'::'~~ ' .~ j' ,--: By: ,r,:if.~r~ \j()r;'ry Public " ", ,~HIC ,4~~.,. ~. Notary Public;';~":~:i . '\" J-' .",' ;~;/:, \j(;t'lry ~JubP' ",,"-1 f '.;'~: ':-;hiC, " ::x,jlr,~:, ;<-~V,'. ;~5. 2007 " Barbara A. Woods, Respondent 1 /1or By: This document was prepared. and approved f~ legal sufficiency by: . / 11 Y .' (" ~V( ..{A~ . Pedro J. Mercad ,Esq. Assistant<: ttorney Florida Bar No.: 0084050 P.O. Box 1026 Key West, FL 33041-1026 (305) 292-3470