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  • 209 WOLCOTT REALTY, LLC v. NESBIT, KENNETH Et AlH00 - Housing - Summary Process document preview
  • 209 WOLCOTT REALTY, LLC v. NESBIT, KENNETH Et AlH00 - Housing - Summary Process document preview
						
                                

Preview

STIPULATED AGREEMENT OF THE PARTIES 2: STATE OF CONNECTICUT JD-HM-11C Rev. 6-22 SUPERIOR COURT www.jud.ct.gov. oa 8 S For information on ADA accommodations, contact a court clerk or go to: www.jud.ct.gov/AD, Docket number Judicial Housing Waterbury WTHCV246013416S District at Session at Name of Case 209 WOLCOTT REALTY, LLC V. NESBIT, KENNETH. Stipulated Agreement of the Parties Judgment for possession may enter in favor of the plaintiff with a stay of execution through August 31, 2024 on the condition(s) that: Both parties agree reasonable use and occupancy shall be $950.00 Parties agree that this Judgment may enter for lapse of time. 1. Defendant agrees to vacate the subject premises located at 32 Farragut Street, Apt. 19, Waterbury ct 06705 on or before August 31, 2024 and agrees not to file any motions to open, appeal or seek any further stays. (except as stated herein.) 2. Defendant represents that he is the sole adult occupant of the subject premises and this shall remain as such through the duration of this stay. 3. Parties agree reasonable use and occupancy shall be $950.00 per month due on or before the 10th day of each month commencing June 2024 and continuing through and including August 2024 4, Parties agree to abide by all terms and conditions of the lease and all Landlord Tenant responsibilities under CGS 47a 5. If all terms and conditions of this agreement are abided by, upon vacating the premises the Defendant may file a Motion to Open and vacate the Judgment. Upon granting of that motion, Plaintiff will then file a Withdrawal of Action. 6. Parties understand they did not have to enter into this stipulation, and that either of them could have chosen to take this matter to trial and have it heard on the merits. 7. Counsel for the Plaintiff is authorized to enter into this Stipulation on behalf of their client. 8. Parties represent that they fully understand the terms and conditions of the Stipulation. 9. Parties waive canvass before the Court. The premises shall be left broom-clean and the keys to the premises returned to: Plaintiff via kitchen counter Any personal property left in the premises after the keys are returned will be considered abandoned. Payments shall be made to the Plaintiff with good funds via check Payments must be received on or before the due dates. If the defendant does not make any agreed payment, the plaintiff may immediately file an affidavit requesting an execution without additional court hearings. {f either party violates any condition other than a payment condition, the adversely affected party may file an affidavit with the clerk's office requesting a court hearing eS. Wo Plaintif(syAttomey(s) for Plaintif(s) Defendani(sy/Attomey(s) for Defendaft(s) Atty for the plaintiff; Atty Santa Maria bttb Datefle KENNETH NESBIT sh Housing Mediator signed ‘After a canvass by the Mediator, parties agreewith the ter ms oF Joseph Sullivan Sse 05/08/2024 the stipulation and resegyeyetRat the court approve the agree ‘Approved (Signature of Jude) (Ce teil sfalex