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  • EASTGATE APARTMENTS, LLC v. ROBINSON, CALVINH00 - Housing - Summary Process document preview
  • EASTGATE APARTMENTS, LLC v. ROBINSON, CALVINH00 - Housing - Summary Process document preview
						
                                

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STIPULATED AGREEMENT OF THE PARTIES STATE OF CONNECTICUT JD-HM-11E Rev. 6-22 SUPERIOR COURT www.jud.ct.gov For information on ADA accommodations, contact a court clerk or go to: www.jud.ct.gov/ADA. Docket Number Judicial Housing Waterbury WTHCV246013457S District at Session at Name of case EASTGATE APARTMENTS, LLC V. ROBINSON, CALVIN Stipulated Agreement of the Parties Judgment for possession may enter in favor of the plaintiff with a stay of execution through December 31, 2024 on the condition(s) that: *subject to HUD rules, regulations and recertification 1. Both parties agree: [x] reasonable use and occupancy shall be $ 347.00 due on or before the 10th day of each month commencing July 10, 2024 the defendant acknowledges owing the plaintiff the sum of $1,160.73 which represents rental arrearage and use and occupancy of $ 1,160.73 costs of $ 9.00 and reasonable attorney's fees of $0.00 through and including June 12, 2024. 2. Defendant(s) shall make the following payments towards the arrearage $ 1,160.73 due on or before July 31, 2024 through EPF. the day-efeach commencing and-continuing-through-and including ~ Parties agree that any previous payments made are applied to legal fees and court costs first with the remainder to the arrearage. This results in a zero balance for legal fees and costs. 3). For the avoidance of doubt, the above stay of execution is a NON-FINAL stay of execution. 4). The Defendant will continue to comply with all the terms, conditions, rules, and regulations of any former lease agreement with the Plaintiff. The Defendant agrees to comply with all Tenant Responsibilities under C.G.S. 47a-11. The Plaintiff agrees to comply with all Landlord Responsibilities under C.G.S. 47a-7. 5). Counsel is authorized to enter this Stipulation on behalf of their client. Defendant represents that they fully understands the terms and conditions of this stipulation. Parties waive canvass before the Court. 6). The address of the subject premises is 2221 East Main Street, Unit 21K, Waterbury CT 06705 Payments shall be made to the Plaintiff at dropped off to rental office in the form of money order Payments must be received on or before the (Check, money order, etc.) (Received/postmarked) above due dates. Upon fulfillment of the above conditions the defendant shall be reinstated as tenants in good standing effective: January 1, 2025 If the defendant does not make any agreed payment, the plaintiff may immediately file an affidavit requesting an execution without additional court hearings. If 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. wh jant(s)/Attorney(s) for Defendant(s) vantly WZ led Date signed “} eladde Pooh pL t) ‘After a canvass by the Mediator, parties agree with the terms of Xhovana Collaku 06/12/2024 x the stipulation and request that the court approve the agreement. Date signed 4