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Case No. CA K 04-578 IN THE CIRCUIT COURT OF THE 16TH JUDICIAL CIRCUIT IN AND FOR MONROE COUNTY, FLORIDA CIVIL DIVISION BOCC of MONROE COUNTY, Plaintiff, -vs- Case No: CA K 04-578 Judge: Jones JOEL G. ROGERS, MARIA ROGERS, PATRICIA MENENDEZ-CAMBO; and TIB BANK OF THE KEYS. Defendants. / SETTLEMENT AGREEMENT The Plaintiff Board of County Commissioners of Monroe County (hereinafter "the County") and Defendant Patricia Menendez-Cambo (hereinafter "Cambo"), hereby agree to settle the above-styled matter as follows: 1. The Defendant Cambo agrees to pay the County a fine in the amount of ten thousand dollars ($10,000.00). 2. In exchange the County will file a notice of voluntary dismissal with prejudice of the above-captioned matter and issue for recording in the Public Records of Monroe County a satisfaction and release of the code enforcement lien previously recorded at Book 1925, Page 658 of the Public Records of Monroe County against the property known as Lot 10, Whispering Pines Subdivision, Big Pine Key, Monroe County, Florida (RE: 00286090-000000) (hereinafter "the Rogers property") and against all properties owned by Patricia Menendez-Cambo located within Monroe County, Florida. 3. Upon approval of this agreement by the Board of County Commissioners, Defendant Cambo or her attorney shall remit a check in the amount of $10,000.00 made payable to the Board of County Commissioners. 4. Once the aforementioned check has cleared, the County will: a. Dismiss the above-captioned action with prejudice; b. Issue to the Defendants Joel G. Rogers and Marie Rogers (hereinafter "the Rogers") a satisfaction and release of the code enforcement lien against the Rogers property for recording by the Rogers in the Official Records of Monroe County; c. Issue to the Defendant Cambo a release of the code enforcement lien against all properties owned by her; d. File a copy of the aforementioned releases in the official Code Enforcement file; and e. File releases of all/is pendens filed in relation to this action in the official records of Monroe County. 5. By entering into this agreement, the County and Cambo agree to waive any and all claims that either could have raised against the other and/or potential claims that either might have been able to raise against the other as a result of the above-captioned matter and the underlying code enforcement case. 6. The parties each warrant that they have had an opportunity to consult with counsel before entering into this agreement. 7. Each party agrees to bear its own costs and attorney's fees other than as specified in this agreement. ATTEST: DANNY L. KOLHAGE CLERK: Dated BOARD OF COUNTY COMISSIONERS OF MONROE COUNTY BY:-'Jf~ )j;. ~4-u. ixie Spehar;- ayor l/11/oS . Patricia Menendez-Cambo If, 111 ~ Defendant (date) "':~ Barbera J SIma ! ff. j My Commillion DD304404 '\;or~ Expires MaIdl28, 2001 MONROE COUNTY ATTORNEY 7~M: ROBERT B. SHILLINGER, JR. ASSI?ANT COUNTY ATTORNEY Date - " - CL S" _. -_.~-_.-............-......;;