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  • HAHN, JOHN C. et al vs BANGERT, MICHAEL W.Circuit Civil 3-C document preview
  • HAHN, JOHN C. et al vs BANGERT, MICHAEL W.Circuit Civil 3-C document preview
  • HAHN, JOHN C. et al vs BANGERT, MICHAEL W.Circuit Civil 3-C document preview
  • HAHN, JOHN C. et al vs BANGERT, MICHAEL W.Circuit Civil 3-C document preview
						
                                

Preview

Filing # 173292679 E-Filed 05/16/2023 04:22:41 PM IN THE CIRCUIT OF THE EIGHTH JUDICIAL CIRCUIT IN AND FOR UNION COUNTY, FLORIDA. CIRCUIT CIVIL DIVISION. MARK A. LINK AND JOHN C. HAHN, Plaintiff, -Vs+ CASE.NUMBER: 63-2022-CA-000055 MICHAEL W. BANGERT PM inee0790001228 P:312DateI17 12023 12:48 Defendant. Page:1of 2B: Court, Clerk of the Circuit Kellie Hen dricks Rhoades, IC, Deputy Clerk Union County, By. NORMAN a _ a a wa —— JOINT STIPULATION OF SETTLEMENT AND DISMISSAL COMES NOW, the above styled Plaintiffs and Defendant, by and through. their undersigned attorneys, who freely and voluntarily enter into this: stipulated agreement for the purpose of resolving by compromise, a portion of thé claims, liabilities, and disputes arising between these parties. The Parties, by and: through their respective undersigned counsel, Stipulate to the following facts, to-wit: 1, The caption property sale has closed based on a gross sale price of $200,000.00, and the net proceeds have been distributed equally between the Plaintiffs and the Defendant, pursuant to their prior agreement. 2. The Parties have executed a_Mutual General Release releasing each other from claim or liability of any nature. Electronically Filed Union Case # 22000055SCAAXMX 95/16/2023 04:22:41 PM This Voluntary Dismissal has been agreed upon by all parties to the case and the respective attorneys execute under direction for their respective clients. All outstanding motions are hereby withdrawn and this case should be dismissed and closed with prejudice. The Lis Pendens recorded at O.R. Book 434, Page 361, of the Public Records of Union County, Florida is hereby cancelled. By signing this stipulation, counsel for the Plaintiff and counsel for the Defendant acknowledge that they have the consent and ability to stipulate as to these matters in this case on behalf of their respective clients. Agreed to by: RYAN C. CURTIS AARON DUKES, ESQ. Curtis Law Firm, LLC. Dukes Legal, P.A. Attorney for Plaintiffs Attomey for Defendant 175 NW 138* Terrace, Suite 100 P.O. Box 328 Jonesville, Florida 32669 Lake Butler, FL 32054 Telephone: (352) 333-7207 Telephone: 386-269-2394 A, Ryan C. Curtis fb Aaron Dukes Florida Bar Number: 0163589 Florida Bar Number: 124349 Date: May 16 , 2023 Date: May ie. 2023