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  • BEAUGRAND, IRIS vs. O'TOOLE, ROBERT Other - Matters not falling within the Other civil Subcategories document preview
  • BEAUGRAND, IRIS vs. O'TOOLE, ROBERT Other - Matters not falling within the Other civil Subcategories document preview
  • BEAUGRAND, IRIS vs. O'TOOLE, ROBERT Other - Matters not falling within the Other civil Subcategories document preview
  • BEAUGRAND, IRIS vs. O'TOOLE, ROBERT Other - Matters not falling within the Other civil Subcategories document preview
						
                                

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Filing # 60461977 E-Filed 08/16/2017 09:33:18 AM IN THE CIRCUIT COURT OF THE TWELFTH JUDICIAL CIRCUIT IN AND FOR CHARLOTTE COUNTY, FLORIDA CIVIL ACTION IRIS BEAUGRAND, individually and as POA for Heidrun Riedner, Plaintiff, Vv. CASE NO: 17000181 CA ROBERT O’TOOLE, Defendant. STIPULATION COMES NOW the parties to this matter who hereby stipulate to the following: 1 The parties were a couple for many years. 2. As a part of their relationship they became joint title owners of property. One property is located in Charlotte County, the other property is located in Sarasota County. 3 Plaintiff has brought a partition and accounting complaint in this court to address the jointly title real property in Charlotte County, and a partition and accounting complaint in Sarasota County to address the jointly title real property in Sarasota County. The parties have another case in the Twelfth Judicial Circuit Court, to-wit: Case Number: 2016 CA 6351 NC (the Sarasota case) which concerns the Sarasota County real property the parties jointly own. The Sarasota case is set for trial during December 2017, and the parties expect the issues between them to resolve the title issues and claims involved in this case at such time. For economies of the parties and the judiciary, the parties will resolve and try all issues they have between them in the Sarasota case and will request the ruling the court in Sarasota County to be controlling as to the disposition of all matters at issue in this case. 11Page This matter should be stayed until settlement or resolution of the Sarasota case. Upon resolution of the Sarasota case, the parties, either of them, will report by motion to this Court what the resolution of the Sarasota case was and what the disposition of this case should be as a result. Attorney for Plaintiff A ttorney for Defendant Steele T. Williams. (Bret Clark STEELE T. WILLIAMS, ESQ. BRET CLARK, ESQUIRE Florida Bar Number 079995 Florida Bar Number 384038 STEELE T. WILLIAMS, PA BRET SHAWN CLARK, PA 1381 McAnsh Square PO BOX 1133 Sarasota, Florida 34236 Englewood, Florida 34295 (941) 378-1800 (941) 404-4704 SteeleT William @ comcast.net BretClark @ WebNetLawyer.Com Date signed: August 15, 2017 Date signed: August 16, 2017 21Page