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  • COPPOLA, JEANNE Et Al v. SASSO, JAMES Et AlC90 - Contracts - All other document preview
  • COPPOLA, JEANNE Et Al v. SASSO, JAMES Et AlC90 - Contracts - All other document preview
  • COPPOLA, JEANNE Et Al v. SASSO, JAMES Et AlC90 - Contracts - All other document preview
  • COPPOLA, JEANNE Et Al v. SASSO, JAMES Et AlC90 - Contracts - All other document preview
  • COPPOLA, JEANNE Et Al v. SASSO, JAMES Et AlC90 - Contracts - All other document preview
  • COPPOLA, JEANNE Et Al v. SASSO, JAMES Et AlC90 - Contracts - All other document preview
  • COPPOLA, JEANNE Et Al v. SASSO, JAMES Et AlC90 - Contracts - All other document preview
  • COPPOLA, JEANNE Et Al v. SASSO, JAMES Et AlC90 - Contracts - All other document preview
						
                                

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DOCKET NO.: LLI CV21 6028673 S : SUPERIOR COURT JEANNE COPPOLA and : J.D. OF LITCHFIELD RONALD JUDSON v. : AT TORRINGTON JAMES SASSO and ROBERTA SASSO : FEBRUARY 16, 2022 MOTION FOR JUDGMENT IN ACCORDANCE WITH STIPULATION The Plaintiffs move for Judgment in accordance with the stipulation executed by the parties and attached hereto.DOCKET NO.: LLI CV21 6028673 § : SUPERIOR COURT JEANNE COPPOLA and : J.D. OF LITCHFIELD RONALD JUDSON y. : AT TORRINGTON JAMES SASSO and ROBERTA SASSO : FEBRUARY 16, 2022 STIPULATION Plaintiffs, JEANNE COPPOLA and RONALD JUDSON (Plaintiffs), by counsel, and Defendants, JAMES SASSO and ROBERTA SASSO (“Defendants”), by counsel, as evidenced by the signatures appearing below, hereby agree as follows: Plaintiffs and Defendants (collectively, the “Parties”) deny any and all liability and all unlawful or wrongful conduct alleged or which could have been alleged by the other in the above captioned lawsuit; Nonetheless the Parties have concluded that it is in their best interest to avoid the further time, expense, burden and uncertainty of protracted litigation by settling their disagreements and disputes on the terms set forth herein; and pursuant to the terms and conditions of this agreement, the Parties intend to fully and completely settle all claims, controversies, obligations and liabilities that were or could have been brought in this lawsuit or otherwise. THERFORE, the Parties agree that judgment may enter in the amount of $12,422.65 (“Judgment Amount”) in favor of Plaintiffs. Of said Judgment Amount, Defendants shall make payment to Plaintiffs by March 1, 2022, of $6,000.00 as follows: $3,000.00 held in Escrow by Drakeley Real Estate 256 Main Street South Woodbury, Connecticut 06798 which the Parties shall request be released to Plaintiffs and $3,000.00 paid to Plaintiffs by Defendants, As to the remaining balance of $6,422.65, Plaintiffs shall be awarded post- judgment interest thereon pursuant to C,G.S. §37-3a(a) at 4% per annum as follows: Monthly payments shall be due and payable to Plaintiffs on or before the 15th day of each month beginning March 15, 2022, in equal amounts of $145.02 over four (4) years for a total of $6,960.96 unless paid in full sooner. There is no prepayment penalty. Defendants shall have a 15-day grace period to make all payments pursuant to this agreement, Thus, no default may arise during this grace period. Defendants are in default if any payment is received later than 15 days after being due. Upon default and without further notice to the Defendants, the total remaining unpaid balance of the Judgment Amount is immediately due together with an additional sum of $3,000.00. The parties agree said 4% interest shall continue on the totalremaining obligation until paid in full. The Parties agree that no execution or recorded judgment lien on real property shall issue on this Judgment so long as the required payments are timely made. Plaintiffs shall be entitled to any additional court costs pursuant to the Connecticut Practice Book that may be incurred in enforcing this Judgment. The Parties agree that the Defendants shall send payment payable to Jeanne Coppola via U.S. Mail attn: Jeanne Coppola Post Office Box 308 Roxbury, Connecticut 06783. PLAINTIFFS, JEA) COPPOLA and RONALD JUDSON BY: Robert Shayér, Bsq. DEFENDANTS, JAMES SASSO and ROBERTA SASSO ie Nickse, Esq.DOCKET NO.: LLI CV21 6028673 S JEANNE COPPOLA and RONALD JUDSON v. JAMES SASSO and ROBERTA SASSO SUPERIOR COURT J.D. OF LITCHFIELD AT TORRINGTON FEBRUARY 16, 2022 CERTIFICATION This is to certify that a copy of the foregoing has been sent his date by regular US Mail or by electronic mail pursuant to Practice Book Section 10-13: Stephanie B. Nickse, Esq. SB Nickse Law Offices, LLC 100 Mill Plain Road, Third Floor Danbury, Connecticut 06811 Phone (203) 546-3450 (W) snickse@sbnickselaw.com faver, Esq. th Street, Suite 4 Post Pffice Box 307 Roxbury, Connecticut 06783 860.354.8575 (tel) 860.210.1185 (fax) shaveresq@gmail.com