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<br />SETTLEMENT AGREEMENT <br /> <br />THIS SETTLEMENT AGREEMENT (hereinafter "Agreement") made by and between <br /> <br />JOHN CASSELBERRY (hereinafter "CASSELBERRY") and the CITY OF CASSELBERRY, a <br /> <br />Florida municipal corporation (hereinafter "CITY"). Both CASSELBERRY and CITY shall <br /> <br />collectively be known as the "Parties." <br /> <br />WITNESSETH: <br /> <br />WHEREAS, the CITY has filed a Complaint for Foreclosure against John Casselberry and <br /> <br />other parties in the Eighteenth Judicial Circuit in and for Seminole County, Florida, entitled City of <br /> <br />Casselbe/'lY v. John Casselbe/'lY. ef al., Case No. 2009-CA-1806-14-L (hereinafter referred to as <br /> <br />"Lawsuit") for foreclosure of Municipal Code Enforcement liens; and <br /> <br />WHEREAS, the lawsuit included two counts. Count I is related to property located at 535 <br /> <br />Queens Mirror Circle, Casselberry, Florida (hereinafter "Queens Mirror"), and Count II is related to <br /> <br />property located at 1140 Lancelot Way, Casselberry, Florida (hereinafter "Lancelot") although both /fi-~ <br />liens apply to all real property owned by John Casselberry in Seminole Count)\~d'pt homestead property <br /> <br />WHEREAS, CASSELBERRY has indicated to the CITY that he desires to pay off the lien <br /> <br />and related costs on Lancelot in order to settle Count II of the lawsuit; and <br /> <br />WHEREAS, the code enforcement lien, interest, attorney's fees and costs are calculated as <br /> <br />shown on attached Exhibit "A," and do not include all the attorney's fees to date; and <br /> <br />NOW, THEREFORE, for and in consideration of the promises contained herein and other <br /> <br />good and valuable consideration, the receipt and sufficiency of which is hereby acknowledged, the <br /> <br />parties agree as follows: <br /> <br />I. The recitals set forth herein form a material part of this Agreement. <br />