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Settlement Agreement

Settlement Agreement

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Published by TechCrunch
Settlement Agreement between Jenn Allen and Mike Arrington
Settlement Agreement between Jenn Allen and Mike Arrington

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Published by: TechCrunch on Jun 24, 2014
Copyright:Traditional Copyright: All rights reserved

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07/17/2014

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Settlement
Agreement
And
Mutual
Release
This
Agreement
s
made
s
of
pril
24,
014
the
Effective
Date )
by
and between
Michael
Arrington
( Arrington ),
a
esident
of
Washington
state,
and
Jennifer
Allen ( Allen ),
a
esident
of
alifornia collectively,
the
Parties ).
Whereas
rrington
filed
an
action
for
defamation
and
alse light
against
Allen
in
United
States
District
CouR
or the
Western
DisUict
of
ashington
on
May
7,
013
n
cause
number
2:13-CV-00810-JLR
the
Lawsuit ),
lleging
that
Allen
had
made
alse
and
defamatory
tatements
about
Arrington
(hereafter,
he Statements );
andWhereas
he
Parties desire
to resolve
by
hemselves
the
claims
and
defenses
in
the
Lawsuit;
Therefore,
n
consideration
of
he
mutual promises
and
obligations
of
he
Parties,
the
adequacyand
sufficiency
of
hich
they
each
acknowledge,
he
Parties
agree
to
be
ontractually
bound
as
follows:
1.
The
Lawsuit
shall
be
ismissed with
prejudice
and
without
assessment
of
osts
and
ees
to
either
party.
Counsel
or
the
Parties
shall
file
a
tipulation
of
ismissal,
which
ounsel
for
Allen
shall
present
to
the
Court
or
filing.
2.
Allen
retracts,
and
expresses her
regret
for
making,
he
Statements.3.
Each
of
he
Parties releases
the other
party
of
ny
known
and
unknown
claims through
the
Effective
Date
gainst the other
party
whether such
claims
are
based
in
tort
or
ontract
or
on
any
alleged
violation
of
ny
tatute,
ule
or
regulation.
However,
n
the
event
that
Allen
makes
statements
about
Arrington
after
the
Effective
Date, Arrington
shall
not
be
prohibited
in
the
event
he
commences
egal action
against
Allen
—from
eeking
to introduce
as evidence
those
statements
that
Allen
made
bout
Arrington
prior
to
the
Effective
Date.
4. Except
s
otherwise provided
in this
Agreement,
t
is
the
intention
of
he
Parties
in
executing
this
Agreement
hat
t
constitute
a
ull
and
complete
release
of
any
potential
or
ossible
claims
azising
out
of
he
subject
matter
hereof,
whether
known
r
unknown.
n
furtherance
of
hisintention,
the
parties
expressly
and
voluntarily
waive
the
provisions
of
ection
1542
of
he
California Civil
Code
and
expressly
acknowledge
and
agree
that this release
shall
be
given
full
force
and
t~ ect
according
to
each
and
ll
of
ts
express
terms
and
provisions, including
as
well
those
relating
to
unknown
r
unsuspected claims,
demands
and
auses
of
ction, if
any,
and
that
this
waiver
is
an
essential
and
material
term
of
he
release.
Section
1542
rovides:
 A
GENERAL
RELEASE
DOES NOT EXTEND
TO
LAIMS
WHICH THE
CREDITORDOES
NOT
NOW
OR
USPECT
TO
EXIST
N HIS
OR
HER FAVOR
AT
THE
TIME
OF
EXECUTING
THE
RELEASE,
WHICH
F
NOWN
BY HIM
OR
HER MUST
HAVE
MATERIALLY
AFFECTED
IS
OR
HER
SETTLEMENT WITH
THE
DEBTOR.

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