Gabrielson et al v. United States Postal Service et al

Filing 84

STIPULATION and ORDER 83 approving Compromis Settlement signed by Chief Judge Morrison C. England, Jr. on 8/12/2013. This action is DISMISSED with prejudice and Clerk directed to CLOSE this file. (Marciel, M)

Download PDF
Gabrielson et al v. United States Postal Service et al Doc. 84 1 BENJAMIN B. WAGNER United States Attorney 2 EDWARD A. OLSEN CHI SOO KIM 3 Assistant United States Attorneys 501 I Street, Suite 10-100 4 Sacramento, CA 95814 Telephone: (916) 554-2700 5 Facsimile: (916) 554-2900 6 Attorneys for Defendant 7 United States of America 8 IN THE UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA 10 11 12 TROY GABRIELSON, Plaintiff, 13 14 15 v. UNITED STATES OF AMERICA, 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND ORDER APPROVING COMPROMISE SETTLEMENT WITH PLAINTIFF TROY GABRIELSON AND DISMISSING ACTION WITH PREJUDICE Defendant. 16 17 CASE NO. 2:09-CV-00538 MCE-CMK It is hereby stipulated by and between Plaintiff Troy Gabrielson and Defendant United States of America, by and through their respective attorneys, as follows: 1. The parties do hereby agree to settle and compromise each and every claim of any kind, whether known or unknown, arising directly or indirectly from the acts or omissions that gave rise to the above-captioned action under the terms and conditions set forth in this Settlement Agreement. 2. The United States of America agrees to pay the sum of $75,000.00, which sum shall be in full settlement and satisfaction of any and all claims, demands, rights, and causes of action of whatsoever kind and nature, arising from, and by reason of any and all known and unknown, foreseen and unforeseen bodily and personal injuries, damage to property and the consequences thereof, resulting, and to result, from the subject matter of this settlement, including any claims for wrongful death, for which Plaintiff or his guardians, heirs, executors, administrators, or assigns, and each of them, now have 1 Dockets.Justia.com 1 or may hereafter acquire against the United States of America, its agents, servants, and employees. 2 3. Plaintiff and his guardians, heirs, executors, administrators or assigns hereby agree to 3 accept the sums set forth in this Stipulation of Compromise Settlement in full settlement, satisfaction, 4 and release of any and all claims, demands, rights, and causes of action of whatsoever kind and nature, 5 including claims for wrongful death, arising from, and by reason of any and all known and unknown, 6 foreseen and unforeseen bodily and personal injuries, damage to property and the consequences thereof 7 which they may have or hereafter acquire against the United States of America, its agents, servants and 8 employees on account of the same subject matter that gave rise to the above-captioned action, including 9 any future claim or lawsuit of any kind or type whatsoever, whether known or unknown, and whether 10 for compensatory or exemplary damages. Plaintiff and his guardians, heirs, executors, administrators or 11 assigns further agree to reimburse, indemnify and hold harmless the United States of America, its 12 agents, servants, and employees from and against any and all such causes of action, claims, liens, rights, 13 or subrogated or contribution interests incident to or resulting from further litigation or the prosecution 14 of claims by Plaintiff or his guardians, heirs, executors, administrators or assigns against any third party 15 or against the United States, including claims for wrongful death. 16 4. Plaintiff expressly waives any rights or benefits available pursuant to Section 1542 of the 17 Civil Code of the State of California, which provides as follows: “A general release does not extend to claims which the creditor does not know or suspect to exist in his or her favor at the time of executing the release, which if known by him or her must have materially affected his or her settlement with the debtor.” 18 19 20 21 22 23 24 25 26 27 28 The parties understand and agree that this Stipulation of Compromise Settlement shall act as a release of future claims that may arise from the subject matter of the above-captioned action, whether such claims are currently known, unknown, foreseen or unforeseen. The parties understand and acknowledge the significance and consequences of the specific waiver of section 1542 and hereby assume full responsibility for any injury, loss, damage or liability that may be incurred hereafter by reason of or related to the subject matter that gave rise to this action. 5. This stipulation for compromise settlement is not, is in no way intended to be, and should not be construed as, an admission of liability or fault on the part of the United States, its agents, 2 1 servants, or employees, and it is specifically denied that they are liable to Plaintiff. This settlement is 2 entered into by all parties for the purpose of compromising disputed claims under the Federal Tort 3 Claims Act and avoiding the expenses and risks of further litigation. 4 6. It is also agreed, by and among the parties, that the respective parties will each bear their 5 own costs, fees, and expenses and that any attorney’s fees owed by Plaintiff will be paid out of the 6 settlement amount and not in addition thereto. 7 7. It is also understood by and among the parties that pursuant to Title 28, United States 8 Code, Section 2678, attorney’s fees for services rendered in connection with this action shall not exceed 9 25 per centum of the amount of the compromise settlement. 10 8. The persons signing this Settlement Agreement warrant and represent that they possess 11 full authority to bind the persons on whose behalf they are signing to the terms of the settlement. In the 12 event any plaintiff is a minor or a legally incompetent adult, Plaintiff must obtain Court approval of the 13 settlement at their expense. Plaintiff agrees to obtain such approval in a timely manner: time being of 14 the essence. Plaintiff further agrees that the United States may void this settlement at its option in the 15 event such approval is not obtained in a timely manner. In the event Plaintiff fails to obtain such Court 16 approval, the entire Stipulation For Compromise Settlement And Release and the compromise 17 settlement are null and void. 18 9. Payment of the settlement amount will be made by check for seventy-five thousand 19 dollars ($75,000.00) and made payable to Troy Gabrielson, Plaintiff, and Rivera & Associates, 20 Plaintiff’s attorney. The check will be mailed to Plaintiff’s attorney at the following address: Jonathan 21 B. Paul, Rivera & Associates, 2180 Harvard Street, Suite 310, Sacramento, CA 95815. Plaintiff’s 22 attorney agrees to distribute the settlement proceeds to Plaintiff, and to obtain a dismissal of the above23 captioned action with prejudice, with each party bearing its own fees, costs, and expenses. 24 10. The parties agree that this Stipulation for Compromise Settlement and Release, including 25 all the terms and conditions of this compromise settlement and any additional agreements relating 26 thereto, may be made public in their entirety, and Plaintiff expressly consents to such release and 27 disclosure pursuant to 5 U.S.C. § 552a(b). 28 11. It is contemplated that this Stipulation may be executed in several counterparts, with a 3 1 separate signature page for each party. All such counterparts and signature pages, together, shall be 2 deemed to be one document. 3 12. Upon approval by the Court as provided below, Plaintiff’s action against the United 4 States is hereby DISMISSED WITH PREJUDICE in its entirety and the Clerk of the Court is requested 5 to enter this dismissal and release in the official docket and to close the case 6 13. Notwithstanding the entry of a dismissal herein, the parties agree that that the Honorable 7 Morrison C. England, Jr. shall retain jurisdiction to enforce the terms of this compromise settlement. 8 9 10 Respectfully submitted, Dated: August 1, 2013 //Troy Gabrielson TROY GABRIELSON Plaintiff 11 12 13 14 RIVERA & ASSOCIATES Dated: August 6, 2013 //Jonathan B. Paul JONATHAN B. PAUL Attorneys for Plaintiff Troy Gabrielson 15 16 17 BENJAMIN B. WAGNER United States Attorney 18 Dated: July 25, 2013 19 /s/ Edward A. Olsen EDWARD A. OLSEN Assistant United States Attorney 20 21 22 23 24 25 26 27 28 4 1 ORDER 2 Pursuant to the parties’ stipulation, the above-entitled action, Gabrielson v. United States, 3 No. 2:09-cv-00538-MCE-CMK, is hereby DISMISSED with prejudice. The Clerk of the Court is 4 directed to close the file. 5 IT IS SO ORDERED. 6 Dated: August 12, 2013 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 5

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?