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Contract No
P5 L
__ .RE ' CAUSE NO. 348-350374-24 APR 17 `25 r,m._: " 88
LUIS ANGEL ARELLANO AND § IN THE DISTRICT COURT
MANUEL ARELLANO, §
Plaintiffs, §
§ 348TH JUDICIAL DISTRICT
V. §
CITY OF FORT WORTH, TEXAS §
§ TARRANT COUNTY, TEXAS
Defendants. §
COMPROMISE SETTLEMENT AGREEMENT AND RELEASE OF ALL
CLAIMS
I. RECITALS
WHEREAS, Luis Angel Arellano, Plaintiff in the above -entitled and numbered
cause ("Plaintiff'), alleges that on or about July 6, 2023, he received personal injuries
resulting from a collision at the Intersection of Rosedale Street and Evans Avenue in Fort
Worth, Tarrant County, Texas.
WHEREAS, Plaintiff Luis Angel Arellano further alleges that the negligence of the
City of Fort Worth ("City" or "Defendant"), proximately caused the above -described
accident;
WHEREAS, as a result of such accident, injuries, and damages allegedly suffered
by Plaintiff Luis Angel Arellano, suit was filed against the City in the above -entitled and
numbered cause, reference being made to the pleadings on file in said cause for a more full
and complete description of Plaintiff's claims and cause(s) of action;
WHEREAS, Plaintiff Luis Angel Arellano has offered to compromise and settle all
claims and causes of action of any kind which he may have against the City, its agents,
employees, workers and representatives, and all others connected with or in privity with
the City, arising out of or connected in any way with the above -described accident in
consideration of payment by the City to Plaintiff Luis Angel Arellano, and his attorney
Andrew Poulis, Herrman & Herrman, P.L.L.C., the sum of Seventy Thousand and 00/100
Dollars ($70,000.00) in full and final settlement of all claims against the City, its agents,
employees, workers or representatives, arising out of the accident described above and
Plaintiff's alleged injuries, and;
OFFICIAL RECORD
CITY SECRETARY
FT WORTH, TX
WHEREAS, even though the City denies any liability of any kind on account of
the alleged incident made the subject of Plaintiff, Manuel Arellano's, lawsuit, the City has
agreed to the payment terms described above in compromise and settlement of the disputed
claims and in order to avoid further time consuming and costly litigation.
II. TERMS
NOW, THEREFORE, in consideration of the recitals set forth above, the mutual
promises and agreements made herein, and other valuable consideration, the receipt and
sufficiency of which is acknowledged, the City and Plaintiff agree that:
1. Manuel Arellano, Plaintiff herein, for and in consideration of payment by the
City of Fort Worth to Plaintiff Manuel Arellano and Herrman & Herrman, P.L.L.C., the
sum of Seventy Thousand and 00/100 Dollars ($70,000.00) in full and final settlement of
all claims against the City, its agents, employees, workers or representatives, arising out of
Plaintiff's alleged injuries, and the receipt and sufficiency of such consideration being
hereby acknowledged and confessed by Plaintiff, does for himself, his heirs,
representatives, successors and assigns, unconditionally release, acquit and forever
discharge the City of Fort Worth, and its agents, employees, workers and representatives,
and all others connected with or in privity with the City of Fort Worth, of and from any
and all claims of every kind, character or nature which said Plaintiff might assert by reason
of the above described incident together with all claims heretofore asserted in Cause No.
348-350374-24, in the 348th Judicial District Court, Tarrant County, Texas, including
claims for physical pain and suffering (past and future), mental anguish (past and future),
physical disfigurement (past and future), medical expenses (past and future), physical
impairment (past and future), lost wages, loss of earning capacity, property damages and
any other kind, character or nature of damage which could or might be the subject of a
claim by him arising from the incident hereinabove described.
2. In consideration of the payment described above, Plaintiff agrees to
indemnify and forever hold harmless and defend the City of Fort Worth, and all agents,
employees, workers and representatives of the City of Fort Worth, and all others connected
with or in privity with the City of Fort Worth, its heirs, representatives, successors and
assigns, from any and all claims or cause(s) of action, including any costs or expenses in
connection therewith, which may hereafter be brought by Plaintiff Manuel Arellano, or by
anyone on his behalf, arising out of the above described incident.
3. For the same consideration, Plaintiff, Manuel Arellano, declares and
warrants that all medical, hospital, and/or other expenses of any and every nature and
character whatsoever incurred by him, or on his behalf, or in any way pertaining to or
arising out of the injury that allegedly occurred on or about July 6, 2023, made the basis of
this litigation, have been or will be paid or compromised by Plaintiff, and Plaintiff hereby
agrees to defend, indemnify and hold harmless Defendant, City of Fort Worth and any
other person, corporation, association, partnership, or entity in privity with or connected
with it, as well as any person, corporation, association, partnership, or entity it is or may
be required to defend, indemnify, or hold harmless from and against any claims for
medical, hospital, and/or other claims and expenses of any and every nature, including but
not limited to, claims which may hereafter be made under the authority of the Texas
Hospital Lien Law or any other state or federal statute, rule, or regulation. PLAINTIFF
REPRESENTS THAT NONE OF THE MEDICAL BILLS OF MANUEL
ARELLANO HAVE BEEN PAID BY MEDICARE, MEDICAID OR BY ANY
OTHER GOVERNMENTAL OR QUASI -GOVERNMENTAL AGENCY. IF
PLAINTIFF IS MISTAKEN IN THIS REGARD AND MEDICARE, MEDICAID
OR SOME OTHER GOVERNMENTAL OR QUASI -GOVERNMENTAL
AGENCY HAS PAID ANY BILLS, WHATSOEVER, PLAINTIFF WILL FULLY
SATISFY ANY CLAIM EVER ASSERTED BY MEDICARE, MEDICAID OR
OTHER GOVERNMENTAL OR QUASI -GOVERNMENTAL AGENCY FOR
REIMBURSEMENT AND WILL DEFEND, INDEMNIFY AND HOLD
HARMLESS THE CITY OF FORT WORTH AND ANY OTHER PERSON,
CORPORATION, ASSOCIATION, PARTNERSHIP OR ENTITY IN PRIVITY
WITH OR CONNECTED WITH IT AGAINST ANY SUCH CLAIM.
4. Taxes. The Parties will report, as may be required by law, their respective
payments and receipt of the amounts described herein. Plaintiff, Manuel Arellano, and his
attorney, Andrew Poulis, Herrman & Herrman, P.L.L.C., acknowledge and agree that: (1)
the City and its counsel have made no representations to Plaintiff or his counsel regarding
the tax consequences of the payments made to him or to his attorney under this Agreement;
and (2) Plaintiff and his attorney are ultimately responsible for determining the taxability
of any of the payments made to Plaintiff and his attorney in this Agreement, and for paying
taxes (federal, state, or otherwise), if any, which any taxing authority determines or claims
are owed with respect to such payments.
5. The release of claims contained herein is given with full knowledge of all
parties to the referenced suit that there is a dispute on the part of the City regarding whether
or not it is liable for any damages alleged in the above -entitled and numbered cause. It is
also understood and agreed that this settlement is in compromise of disputed claims and
that the payment made hereunder is not to be construed as admission of liability on the part
of the City of Fort Worth, and, in fact, City denies liability for the above -described
accident, if any, and intends, by this settlement, merely to buy its peace. Plaintiff Manuel
Arellano acknowledges that he and his attorney, Andrew Poulis, Herrman & Herrman,
P.L.L.C., are the only parties entitled to the proceeds of this settlement and agrees to defend
and indemnify the City of Fort Worth and all persons or entities connected with the City
of Fort Worth against any person or entity who claims to be entitled to the proceeds of this
settlement.
6. Plaintiff agrees to dismiss the cause(s) of action in the above -entitled and
numbered matter, with prejudice, and hereby authorizes and directs his attorney, Andrew
Poulis, Herrman & Herrman, P.L.L.C., to prepare and file the appropriate Motion and
Order of Dismissal, with prejudice, with respect to Manuel Arellano's claims and causes
of action in the above entitled and numbered case against the City. And, in this connection,
Plaintiff Manuel Arellano and his attorney, Andrew Poulis, Herrman & Herrman, P.L.L.C.
agree to expeditiously provide any information the Court may require, and/or to attend any
hearings the Court may require, in connection with the dismissal of said lawsuit.
7. It is understood and agreed that all taxable court costs will be paid by the
party incurring same.
8. This Compromise Settlement Agreement and Release of All Claims may be
executed in a number of identical counterparts, each of which shall be deemed an original
for all purposes. The Parties agree that this Agreement contains the entire agreement
between the Parties and supersedes any and all prior agreements, arrangements, or
undertakings between the Parties relating to the subject matter. No oral understandings,
statements, promises, or inducements contrary to the terms of this Agreement exist. This
Agreement cannot be changed orally, and any changes or amendments must be signed by
all Parties affected by the change or amendment.
9. Plaintiff, Manuel Arellano, represents and acknowledges that this
Compromise Settlement Agreement and Release of All Claims has been read in its entirety
before signing and that it has been fully explained, in detail, to him by his attorney, Andrew
Poulis, Herrman & Herrman, P.L.L.C., and that it is fully understood.
10. Plaintiff assumes the risk of mistake of fact or law with regard to any aspect
of this Settlement Agreement and to the dispute described herein, or any asserted rights
released by this Agreement.
11. By his signature hereto, Manuel Arellano, Plaintiff, represents and declares
that he is more than eighteen (18) years of age and is fully competent to enter into this
Compromise Settlement Agreement and Release of All Claims, that the representations,
declarations and agreements herein are accurate, binding, and are contractual in nature and
that no representation or agreement not herein expressed has been made to him as
inducement to enter into this Compromise Settlement Agreement and Release of All
Claims.
12. It is understood and agreed that this Agreement shall be governed by and
construed and enforced in accordance with, and subject to, the laws of the State of Texas,
to the extent not preempted by federal law.
13. This Agreement is the product of arm's-length negotiations between the
Parties, and no Parry shall be deemed to be the drafter of any provision or the entire
Agreement. The wording in this Agreement was reviewed and accepted by all Parties after
reasonable time to review with legal counsel, and no Party shall be entitled to have any
wording of this Agreement construed against the other Party as the drafter of the
Agreement in the event of any dispute in connection with this Agreement.
This agreement should be effective as of the date the last party's signature is affixed
hereto as indicated by the dates set forth below.
MANUEL ARELLANO, Plaintiff
Date: 03/27/2025
STATE OF TEXAS §
COUNTY OF TARRANT §
BEFORE ME, the undersigned authority, on this day personally appeared
MANUEL ARELLANO, known to me to be the person whose name is subscribed to the
foregoing instrument, and acknowledged to me that he executed the same as his free act
and deed for purposes and consideration therein expressed.
2025.
GIVEN UNDER MY HAND AND SEAL OF OFFICE this T*day of MArCh
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APPROVED:
- 03/27/2025
Date:
Andrew Poulis
HERRMAN & HERRMAN, P.L.L.C.
The Herrman Building
1201 Third Street
Corpus Christi, Texas 78404
Phone: (361) 882-4357
Fax: (361) 883-7957
Litip-ationa,herrmanandherrman.com
anoulis(a,herrmanandherrman.com
CITY OF FORT WORTH:
APPROVED:
Date:
Assistant City Manage
CITY OF FORT WO TH
APPROVED:
yj �w Date:
Attorney for Defendant, City of Fort Worth
Harvey L. Frye, Jr.
Sr. Assistant City Attorney
ATTEST:
J nette S. Goodall, City Secretary
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0SC
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Date: po---257—