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DOCKET NO.: HHB-CV20-5028921-S SUPERIOR COURT
VINCENT PARISI, et al J.D. OF NEW BRITAIN
Vv AT NEW BRITAIN
TOWN OF STRATFORD, et al JULY 26, 2021
MOTION FOR JUDGMENT
The Parties in the above-captioned matter hereby move this Honorable Court to enter
judgment in accordance with the Joint Stipulation for Judgment annexed hereto.
THE PLAINTIFF, THE DEFENDANTS,
VINCENT PARISI TOWN OF STRATFO! (TAX
ASSESSOR, et al
we ome Foo BY:
Vincent Parisi Al fr J. Flore!
2190 Broadbridge Ave 2885 Main Street
Stratford, CT 06614 Stratford, CT 06614
ioe ) 378-5324 (203) 3775090
tycho@aol.com Alexander.Florek@gmail.com
represented party Juris #: 437194
Counsel for the Defendants
THE PLAINTIFF,
JUDITH A. PARISI
BY:
fudith A. Parisi
2190 Broadbridge Ave
Stratford, CT 06614
(203) 378-5324
Vpatycho@aol.com
Self-represented party
DOCKET NO.: HHB-CV20-5028921-S SUPERIOR COURT
VINCENT PARISI, et al J.D. OF NEW BRITAIN
Vv AT NEW BRITAIN
TOWN OF STRATFORD, et al JULY 26, 2021
JOINT STIPULATION FOR JUDGMENT
Plaintiffs, VINCENT PARISI and JUDITH A. PARISI, and Defendants, TOWN OF
STRATFORD, TAX ASSESSOR and CHAIRMAN, BOARD OF ASSESSMENT APPEALS, hereby
stipulate and agree that judgment may enter in the above-entitled case in accordance with the following:
1, The Complaint in this action alleged that the Plaintiff owned a parcel of real estate located at
2190 BROADBRIDGE AVENUE in Stratford, Connecticut, and identified as Map/Block/Lot Number
30/11/11/31 in the records of the Tax Assessor of the Town of Stratford for the Grand List of October 1,
2019.
2. The true and actual value of said property on October 1, 2019, as determined by the Tax
Assessor, was $ 269,100, and the valuation of said property for purposes of assessment at seventy (70%)
percent of its true and actual value was $ 188,370.
3. Thereafter, upon appeal by the PLAINTIFFS, the Board of Assessment Appeals determined
the true and actual value of said property on October 1, 2019, was $ 238, 600, and the valuation of said
property for purposes of assessment at seventy (70%) percent of its true and actual value was $ 167,020
4. That in accordance with the proposed Stipulated Judgment, the true and actual
value of said property is modified and found to be $ 224,300 and the valuation of said property at
seventy (70%) percent thereof for the purposes of assessment as of October 1, 2019 is modified and
found to be $ 157,010.
5. The Parties further stipulate that the above-described valuations shall continue to be effective
until the subsequent town-wide revaluation of property for tax purposes. That the true and actual value
of said property for assessment purposes for the Grand List of the Town of Stratford as of October 1,
2019 and subsequent years shall be amended to conform to the above modified values for the List of
October 1, 2019, and the above-described valuations shall continue to be effective until the subsequent
town-wide revaluation of property for tax, absent any material change to the property.
6. The Parties further stipulate that the Tax Assessor shall adjust the assessment records of the
Town of Stratford in the foregoing manner, effective for the subject Grand Lists.
7.. The Parties further stipulate that any amount overpaid by the Plaintiff for the 2019 and 2020
Grand List years shall be credited 100% to taxes due and payable in January, 2022. No interest shall be
deemed to have accrued in favor of the Plaintiff.
8. No Party shall be entitled to costs.
9. This Stipulation is binding on the Parties, their heirs, successors, and/or assigns.
10. The Parties further stipulate that each of the individuals signing this agreement has
the authority to do so, and to bind the party they represent to the terms of this Stipulation.
THE PLAINTIFF, THE DEFENDANTS,
VINCENT PARISI TOWN OF STRATBORD, TAX
ASSESSOR, et
BY: Ae, BY
Vincent Parisi Ale er, lore!
2190 Broadbridge Ave 2885 Main Street
Stratford, CT 06614 Stratford, CT 06614
(203) 378-5324 (203) 3775090
VPatycho@aol.com Alexander.Florek@gmail.com
Self-represented party Juris #: 437194
Counsel for the Defendants
THE PLAINTIFF,
JUDITH A. PARISI
[22
Judith A. Parisi
2190 Broadbridge Ave
Stratford, CT 06614
(203) 378-5324
Vpatycho@aol.com
Self-represented party
DOCKET NO.: HHB-CV20-5028921-S : SUPERIOR COURT
VINCENT PARISI, et al : J.D. OF NEW BRITAIN
v : AT NEW BRITAIN
TOWN OF STRATFORD, et al : JULY 26, 2021
STIPULATION FOR JUDGMENT
The Parties hereby stipulate and agree that judgment may enter, without costs to either
Party, in accordance with the proposed Judgment File annexed hereto.
THE PLAINTIFF, THE DEFENDANTS,
VINCENT PARISI TOWN OF STRATEORD, TAX
ASSESSOR, et
BY: Kte-~¢ Zoe BY:
Vincent Parisi Ale’ der Fi
2190 Broadbridge Ave 2885 Main Street
Stratford, CT 06614 Stratford, CT 06614
(203) 378-5324 (203) 3775090
VPatycho@aol.com Alexander.Florek@gmail.com
Self-represented party Juris #: 020380
Counsel for the Defendants
THE PLAINTIFF,
JUDITH A. PARISI
Judith A. Parisi
2190 Broadbridge Ave
Stratford, CT 06614
(203) 378-5324
Vpatycho@aol.cor
Self-represented party