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SETTLEMENT AND RELEASE
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This SETTLEMENT AND RELEASE (the "Release dated March /2 2008, by Andrew W.
Crook and Rhonna L. Crook (jointly and severally, "Claimant in favor of Justus Home Builders, Inc.
"Justus and the owners of Lots 17, 18, 19, 20, and 21 of Westwood Estates (the "Lot Owners
WITNESSETH:
WHEREAS, Claimant has potential claims against Justus and Lot Owners for the failure
heretofore to install the landscape buffer required as a condition to the approval of the primary plat of
Westwood Estates (the "Claims and
WHEREAS, Claimant has agreed to settle and release the Claims in consideration of the
payments by and other obligations of Justus pursuant to that certain Landscape Buffer Agreement, dated
January 10, 2008, between Justus and Claimant, attached hereto (the "Landscape Buffer Agreement
Now, THEREFORE, in consideration of the foregoing, Claimant covenants and agrees as
follows:
1. Claimant, for itself and its officers, agents, attorneys, successors, and assigns, hereby
unconditionally releases and discharges Justus, the Lot Owners, and their respective officers, agents,
attorneys, successors, and assigns from the Claims, all other claims, and all other rights of action of any
nature that arise out of, are based upon, or in any manner are connected with, the Claims.
2. Claimant, for itself and its officers, agents, attorneys, successors, and assigns, hereby
covenants and agrees that neither it nor any of its officers, agents, attorneys, successors, or assigns will
institute, or cause or permit to be instituted on its behalf, any suit, action, or proceeding in any court
against Justus, the Lot Owners, or their respective officers, agents, attorneys, successors, or assigns that
arises out of, is based upon, or in any manner is connected with, the Claims.
3. Nothing in this Release shall be construed as a release, discharge, or waiver of any
future claims or rights of action Claimant, itself officers, agents, attorneys, successors, or assigns may
have against Justus, the Lot Owners, or their respective officers, agents, attorneys, successors, or
assigns that arise out of, are based upon, or in any manner are connected with, Justus' breach of or
default under the Landscape Buffer Agreement.
IN WITNESS WHEREOF, Claimant has executed and delivered this Settlement and Release
as of the date set forth above.
CLAIMANT:
BY: il,1∎41 G 4,9,L
Andrew W. Crook
By:
Rhonna L. Crook