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HomeMy WebLinkAbout1973 049 CC RESO1973 049 CC RESO(ÌìþçRESOLUTION NO. 73-49 A RESOLUTION OF THE CITY COUNCIL OF THE CITY OF BALDWIN PARK AUTHORIZING THE CITY MANAGER TO EXECUTE APPROPRIATE DOCUMENTS IN FULL SETTLEMENT OF THE CITY'S SUIT FILED AGAINST EDGINGTON OIL COMPANY, IN THE CASE OF STATE OF CALIFORNIA, ET AL. v. STANDARD OIL COMPANY OF CALIFORNIA, ET AL. CIVIL ACTION NO. 51107. THE CITY COUNCIL OF THE CITY OF BALDWIN PARK DOES RESOLVE AS FOLLOWS: SECTION 1. That the settlement of the suit filed on behalf of the City of Baldwin Park against Edgington Oil Company State of California, et al. v. Standard Oil Company of California, et al.. Civil Action No. 51107), as set forth in the Settlement Agreement dated August 1, 1972. entered into on behalf of the City of Baldwin Park by its counsel, is hereby authorized, approved and ratified SECTION 2. That the City Manager of the City of Baldwin Park be, and he hereby is, authorized to execute and deliver the Final Release approved by its counsel Exhibit C" to the Settlement Agreement), and cause the suit to be dismissed without prejudice, each party to bear its own costs and attorneys fees. ADOPTED AND APPROVED this 21st day of February 1973. ATTEST: x^^y THELMA L. BALKUS. CITY CLERK STATE OF CALIFORNIA COUNTY OF LOS ANGELES SS: CITY OF BALDWIN PARK I» THELMA L. BALKUS. City Clerk of the City of Baldwin Park, do hereby certify that the foregoing resolution was duly and regularly passed and adopted by the City Council of the City of Baldwin Park at its regular meeting of the City Council on the 21st day of February, 1973, by the following vote: AYES: COUNCILMEN HAMILTON, GREGORY, KING. MC CARON AND MAYOR BLEWETT NOES: COUNCILMEN____________________________________ ABSENT: COUNCILMEN 1-^£-^--^^<^<^^ t<-^ 7^ J^^,^€^ THELMA L. BALKUS, CITY CLERK BIB] 37691-U01 1973-U02 049-U02 CC-U02 RESO-U02 LI3-U03 FO10488-U03 FO11313-U03 DO11753-U03 C6-U03 RESO-U03 3/11/2003-U04 ROBIN-U04 1973 049 CC RESO(ÌìþçEVELLE J. YOUNGER, Attorney General of the State of California MICHAEL I. SPIEGEL CAROLE A. KORNBLUM RICHARD N. LIGHT Deputy Attorneys General 6000 State Building San Francisco, California 94102 415) 557-3415 Attorneys for Plaintiffs UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA IN RE COORDINATED PRETRIAL Master File No. PROCEEDINGS IN WESTERN LIQUID 50173 RES Civil ASPHALT CASES THIS DOCUMENT RELATES TO: THE STATE OF CALIFORNIA, et al., Civil Action No. 51107 Plaintiffs v. STANDARD OIL COMPANY OF CALIFORNIA, FINAL RELEASE et al.. v Defendants. FOR VALUABLE CONSIDERATION, the receipt of which is hereby acknowledged to the CITY OF BALDWIN PARK, acting by and through its duly authorized undersigned officer, does hereby release and discharge Edgington Oil Company, and the present and former officers, directors, employees, agents, attorneys, sub- sidiaries, affiliates, and successors of such company, from any and all claims and demands of whatever nature, anticipated or unanticipated, known or unknown, as indicated below: 1. All claims and demands based in whole or in part on the facts, or any of them, asserted in the complaint or other pleadings, records or documents in the case of the State of California, et al. v. Standard Oil Company of California, et al.. 1. BIB] 37691-U01 1973-U02 049-U02 CC-U02 RESO-U02 LI3-U03 FO10488-U03 FO11313-U03 DO11753-U03 C6-U03 RESO-U03 3/11/2003-U04 ROBIN-U04 1973 049 CC RESO(ÌìþçCivil Action No. 51107. 2. All claims and demands based upon monopolization, attempt to monopolize, conspiracy to monopolize, conspiracy or combination in restraint of trade, and unfair competition, in connection with the manufacture, marketing and sale of liquid asphalt up to and including the date of this release. 3. Any and all claims and demands arising out of, or by virtue of, any alleged violations of the laws or regulations of the United States Government, or any agency thereof, or the laws of any of the several states or political divisions thereof, or any agency thereof, in connection with the manufacture, marketing and sale of liquid asphalt up to and including the date of this release. This release is not intended to and does not release or in any way narrow any claims against any other person or entity), including any other defendant named in the case cited above. Executed this 23rd day of February______, 1973 CITY OF BALDWIN PARK MARTIN & FLANDRICK viLtjri^ City Attorneys 2. BIB] 37691-U01 1973-U02 049-U02 CC-U02 RESO-U02 LI3-U03 FO10488-U03 FO11313-U03 DO11753-U03 C6-U03 RESO-U03 3/11/2003-U04 ROBIN-U04