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  • Liberty Mutual Insur Ance Co Vs Holden MikalAuto Negligence-Property Damage document preview
  • Liberty Mutual Insur Ance Co Vs Holden MikalAuto Negligence-Property Damage document preview
  • Liberty Mutual Insur Ance Co Vs Holden MikalAuto Negligence-Property Damage document preview
  • Liberty Mutual Insur Ance Co Vs Holden MikalAuto Negligence-Property Damage document preview
						
                                

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CAM-L-001251-20 07/30/2020 3:30:11 PM Pg 1 of2 Trans ID: LCV20201322697 Paul S. Kennedy, Esquire - 024501985 KENNEDY LAW FIRM 503 UNION AVENUE BRIELLE, NEW JERSEY 08730 ATTORNEY FOR THE PLAINTIFF TELEPHONE: 732-528-1880 ¢ FACSIMILE: 732-528-1884 OUR FILE NO: 20-0124 LIBERTY MUTUAL INSURANCE COMPANY SUPERIOR COURT OF NEW JERSEY A/S/O SHIRLEY BIMBO LAW DIVISION: CAMDEN COUNTY PLAINTIFF(S) -VS- DOCKET NO. L-001251-20 MIKAL HOLDEN CIVIL ACTION DEFENDANT(S) STIPULATION OF SETTLEMENT we eI This matter having been brought before the Court upon “application of the Kennedy Law Firm, LLC. attorneys for plaintiff, and by the defendant(s), Mikal Holden, IT IS HEREBY STIPULATED AND AGREED, that the defendant(s), Mikal Holden shall pay the sum of! $21,561.69, plus costs of $274.80 for a total sum of $21,836.49; and IT IS FURTHER STIPULATED AND AGREED, that the defendant(s), Mikal Holden, shall pay the plaintiff the sum of $136.49 on or before August 1, 2020, and the sum of $100.00 on the 1* day of each mont! thereafter until the settlement herein, together with costs and accrued interest is paid in full, with all payments to be made to the Kennedy Law Firm, LLC; and mailed to 503 Union Avenue, Brielle, New Jersey 08730, indicating! our file number 20-0124 on all such payments; IT IS FURTHER STIPULATED AND AGREED that the plaintiff shall forbear from proceeding to enter} judgment against the defendant(s), Mikal Holden, so long as the defendant(s) shall make timely payments as set fort! herein. In the event any payment is not made when due, the balance then due and owing under the terms hereof, shall immediately become due and the plaintiff may proceed to enter judgment without any further notice to the defendant(s) and upon Ex Parte application of the plaintiff. JSC. CAM-L-001251-20 07/30/2020 3:30:11 PM Pg 2 of 2 Trans ID: LCV20201322697 The undersigned hereby consent to the form and entry of the within Stipulat ion of Settlei Dated : 4 hohe wa istopher tora, Esquire Dated: % 9 ik: ‘olden, Defefidant