HomeMy WebLinkAbout5.4 Authorize a motion to approve settlement agreement and general release - Eric T. Jakubowski 7/16/2019 BoardDocs®Pro
IL
Agenda Item Details
Meeting Jul 16, 2019 - REGULAR MEETING OF THE MOUNT PROSPECT VILLAGE - 7:00 .
Category 5. CONSENT AGENDA
Subject uthorize a motionrove a SettlementAgreement eneral Release in the
matter of Eric T. J kubowski vs. Hanna Burzynska,, Ciorba Group., Inc and the Village o
Mount Prospect.
Access lic
Tye Action (Consent)
Preferred to Jul 16, 2019
Absolute Date Jul 16, 2019
Dollar Amount 200,,000.00
Budgeted Yes
Budget orce Risk Managementn
Recommended Action Authorize a motionrove a SettlementAgreement General Release in the matter
f Eric T. Jakubowski vs. Hanna Burzynska., Ciorba Group, Inc and the Village Mount
Prospect.
Public Content
Information
II parties of the above referenced litigation participated in a settlement i tion on July 11th. The mediation was
facilitated by retired Judge Williamlisi. As a result of mediation, The Village of Mount Prospect has reached n
agreement resolve J kubowski v. Village of Mount Prospect, et al,. The two-year-old lawsuit rose from fatal
accident occurred when a driver struck a bicyclistwho was attemptingo cross Central Road usingthe crosswalk
at Weller Lane.
Under the terms of the settlement ree , the Village will pay the Estate of Joni Beaudry $200,000 in exchange
for the plaintiff dismissingthe lawsuit with prejudice. The Villpayment represents slightly more than % of the
total settlement value the agreements reached II the parties. Under the terms of the agreement there i
no admission of any wrongdoing r liability by the Village of Mount Prospect.
This settlement servesthe best interests of the Village in several ways. First, Judge Gomolinski indicated ri the
mediation that the most recent Cook Countyjury awards for wrongful death cases decided in favor of a plaintiff
run to millions of dollars. If the case went to trial, the illexposure with an adverse verdict would havebeen
considerable. Secon , the cost of the Village preparing for and tryingc - which probably would have
lasted two weeks - would havec settlement amount. Third, a prolongedtrial likely would havee
publicized n ion I for all involved. Settlementthis time allow the parties to bringtragic event to closure.
Alternatives
. Authorize a motionprove a SettlementAgreement General Release in the matter of Eric T. Jakubowski vs.
Hanna urzynska, Ciorba Group,, Inc. and the Village of MountProspect in an amount not to exceed $200,000.
. Action at discretionill r .
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7/16/2019 BoardDocs®Pro
RecommendationStaff
Authorize i rySettlement Agreement r I Release in the matter of Eric T. Jakubowski v .
Hanna rzyska, Ciorba Group., Inc. and the Village of MountProspect in an amount not to exceed $200,000.
Village _ a ku bows ki Litigation—Settlement Agreement.
Administrative Content
Executive Content
All items under Consent Agenda areconsidered routine by the Village Board andwill be enacted by one motion. There
will be no separate discussion of those items unless a Boardr or member from the audience so requests, in
which the item will be removed from the Consent Agenda and considered in its sequence on the agenda.
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IN THE CIRCUIT COURT OF COOK COUNTY
COUNTY DEPATMENT,LAW DIVISION
ERIC T.JAKUBOWSKI, )
As Administrator of the Estate of )
JONI BEAUDRY, deceased, )
Plaintiff, ) Case No. 17 L 471
Consolidated with
Vs. ) Case No. 17 L 5881
HANNA BURZYNSKA, ) Judge Flanagan
CIORBA GROUP,INC. and )
VILLAGE OF MOUNT PROSPECT, )
A Municipal Corporation, )
Defendants. )
SETTLEMENT AGREEMENT AND GENERAL RELEASE
This Settlement Agreement and General Release ("Agreement") is made and entered into
this day of July, 2019, by and between the following parties: Eric T. Jakubowski
("Plaintiff'), as Administrator of the Estate of Joni Beaudry, deceased, and the Village of Mount
Prospect, Illinois ("Village") (collectively"Parties").
Preamble
WHEREAS, Plaintiff filed a first amended complaint against Hanna Burzynska, Ciorba
Group, Inc. and the Village on May 21, 2017 and said case is pending in the Circuit Court of
Cook County, Illinois, Law Division as Case No. 17 L 471 (the "Lawsuit"); and
WHEREAS, Plaintiff asserted state law claims against the Village as set forth more
particularly in the pleadings in the Lawsuit, which claims the Village has denied and continues to
deny; and
WHEREAS, it is now the desire of Plaintiff and the Village to fully and finally resolve
and settle the Lawsuit, their respective claims, which exist between them and any and all other
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claims or matters which may exist or arguably existed between them, as of the date of this
Agreement and enter into a full and final compromise, settlement and mutual release.
NOW THEREFORE, in consideration of the foregoing, and for other good and valuable
consideration, the sufficiency of which is hereby acknowledged:
1. Incorporation of Preamble. Each of the introductory statements contained in the
Preamble hereto are incorporated into Section 1 of this Agreement as material terms and
provisions agreed to by Plaintiff and the Village.
2. Compromise and Settlement. This Agreement constitutes the compromise and
settlement of disputed claims that is made to avoid further costs of litigation. Nothing contained
herein, nor any actions taken by Plaintiff or the Village in connection herewith, shall constitute,
be construed as or be deemed to be, any admission of fault, liability or wrongdoing whatsoever
on the part of any party.
3. Settlement of All Claims. Plaintiff and the Village intend this Agreement to be a
complete and total resolution and settlement of any and all claims of any kind, whether asserted
or not asserted, known or unknown, that Plaintiff may have or possibly could have against the
Village up to the date of this Agreement.
4. Dismissal of the Lawsuit. Plaintiff will dismiss with prejudice his lawsuit against the
Village in its entirety.
5. Payment to the Plaintiff. In return for the Plaintiff's dismissal and waiver of all his
claims, causes of action and other actionable matters of any kind and the dismissal with prejudice
of the Lawsuit filed against the Village in its entirety, the Village agrees to pay the Plaintiff the
sum of$200,000 inclusive of all attorney fees, costs and expenses incurred by the Plaintiff
or the Plaintiff's attorneys relative to the Lawsuit. Additionally, the Village will pay the
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expense for the July 11, 2019 mediation conference with Judge William Gomolinski of ADR
Systems, Chicago and the Village shall consider and not reasonably object to the application of
the Jakubowski family to install a nondescript memorial plaque for Joni Beaudry on a tree in the
Village.
6. The Plaintiff's Responsibility for Liens. The Plaintiff agrees to assume responsibility
for all outstanding liens of any kind, those known and unknown, including but not limited to --
medical liens, tax liens, real property liens and attorney liens -- from the proceeds of this
settlement. To the extent that any person seeks to enforce any liens against the Village, or
anyone associated with the Village, the Plaintiff agrees to hold harmless the Village or anyone
associated with the Village, and its past, current and future elected and appointed officials,
President and Trustees, officers, employees, attorneys, agents, volunteers, successors, executors,
legal and/or personal representatives of any kind, insurers and assigns (hereinafter referred to as
"Village Affiliates") for all said liens. The Plaintiff also hereby agrees to defend the Village and
the Village Affiliates against the enforcement of said liens and to assume all costs, expenses and
attorney fees related to said defense.
7. General Release and Covenant Not To Sue. The Plaintiff, on behalf of himself and
the Estate of Joni Beaudry, their heirs known and unknown, executors, administrators, successors
and assigns, for and in consideration of the payment set forth herein, irrevocably and
unconditionally releases and forever until the end of time discharges and acquits the Village and
the Village Affiliates from any and all claims, charges, liabilities, debts, demands, grievances
and causes of action of any kind (hereinafter referred to as the "Claims"), whether at law or in
equity, whether accrued, contingent or inchoate, and whether known or unknown, suspected or
unsuspected, or otherwise which the Plaintiff has, had or may have against the Village or the
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Village Affiliates arising from or relating to any acts or omissions through the effective date of
this Agreement, or involving the future or continuing effects of any acts or omissions which
occurred through the effective date of this Agreement. This Settlement Agreement and General
Release does not include or in any way release the State of Illinois, Illinois Department of
Transportation, or any of its agencies, employees or affiliates named in the claim presently
pending in the Court of Claims under the caption — Eric T.jakubowski, as Administrator of the
Estate of joni Beaudry, deceased, et al. v. The State of Illinois and the Illinois Department of
Transportation, 18 CC 2595.
8. The Claims released and waived by this Agreement include, but are not limited to, the
specific Claims relating to or arising out of the allegations and the Claims set forth in the
pleadings in the Lawsuit, claims for pain and suffering, mental and emotional distress, and
monetary damages, or other claims under any federal, state or local constitution, statute,
regulation, order, ordinance, common law or other authority having the force of law.
9. The Plaintiff acknowledges and agrees that the nature, materiality, extent and results
of the Claims compromised and released by this Agreement may not now all be known or
anticipated by him. However, it is the intention of the Plaintiff and the Village hereto THAT
THIS AGREEMENT SHALL BE EFFECTIVE AS A BAR FOR ALL TIME TO EACH AND
EVERY CLAIM, CHARGE, LIABILITY, AND/OR CAUSE OF ACTION OF ANY KIND
THAT THE PLAINTIFF MAY HAVE OR HAS HAD AGAINST THE VILLAGE AND THE
VILLAGE AFFILIATES. The Plaintiff further acknowledges and agrees that even if he may
hereafter discover facts different from or in addition to those now known, suspected or believed
to be true with respect to such claims, demands or causes of action, that this Agreement will be
and remain effective in all respects notwithstanding any such different or additional facts.
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10. The Plaintiff further covenants and agrees not to sue, to file a charge, to make a claim
or demand, to commence or maintain, or assist or otherwise participate (except, as required by
law, to give testimony), in any action or proceeding of any kind in any court, before any
government agency or in any other forum or to accept any money, benefit, or other relief from
any proceeding, which would be precluded by this Agreement, whether brought directly by the
Plaintiff, or brought by any other person, agency or entity which would provide relief or benefit
to the Plaintiff, and agrees to indemnify the Village against any and all liability, costs and
expenses and attorneys' fees in the event the Plaintiff breaches the release and covenant not to
sue. The Plaintiff also assigns to the Village all his rights, titles, and interests in any relief from
any proceeding that would be precluded by this Agreement.
11. No Attorneys' Fees and Costs. The Plaintiff waives his right, if any, to attorney fees
and costs. The Plaintiff will pay all litigation costs he incurred and the Plaintiff will bear all his
incurred expenses in the negotiation and preparation of this Agreement.
12. Choice of Law; Savings Provision; Venue. This Agreement will be governed by
Illinois law. If any provisions of this Agreement shall be invalidated or refused enforcement by
any court of competent jurisdiction, the provisions not invalidated or refused enforcement shall
remain in full force and effect.
13. Entire Agreement. This Agreement represents the entire agreement between the
Plaintiff and the Village with respect to the matters set forth herein and supersedes all prior
agreements or understandings, if any, between the Plaintiff and the Village. The Plaintiff
acknowledges that except for the explicit provisions of this Agreement, no promises or
representations of any kind have been made to him by the Village or its attorneys, to induce him
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to enter into this Agreement. No modification of this Agreement can be made except in writing
and signed by the Plaintiff and and an authorized representative of the Village.
14. For Settlement Only. This Agreement is entered into for settlement purposes only
and represents the compromise of all disputed Claims, actual or potential, which the Plaintiff has
or may believe he has. Neither this Agreement, the decision to enter into this Agreement, nor
anything done pursuant to this Agreement, shall be construed to be an admission or evidence of
any wrongdoing or any liability by the Plaintiff or the Village, such wrongdoing and liability
being expressly denied. Nor will this Agreement, its existence or its terms, be admissible in any
proceeding other than a proceeding to enforce the terms of this Agreement.
15. Representations & Warranties by the Plaintiff and the Village. The Plaintiff and the
Village represent and warrant that (a) they have the capacity, full power and authority to enter
into this Agreement; (b) the individual signing on behalf of the Village is authorized to do so; (c)
they have not assigned, encumbered or in any manner transferred all or any portion of the claims
covered by this Agreement; (d) there are no other claims, charges, complaints, actions for relief,
suits, arbitrations or other claims or proceedings, pending between the Plaintiff and the Village in
any court, before any agency, or in any forum; and (e) no other person or third party has any
right, title or interest in any of the Claims covered by this Agreement.
16. Successors &Assigns. This Agreement shall be binding upon and inure to the benefit
of the Plaintiff and the Village, and their respective personal representatives, official
representatives, agents, insurers, attorneys, executors, administrators, heirs, successors and
assigns.
17. Knowing and Voluntary Signing of Binding Contract. The Plaintiff represents and
warrants that he has read this Agreement and understands all of its terms and he executes this
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Agreement voluntarily and without duress or undue influence, and with full knowledge of its
significance, intending to be legally bound. The Plaintiff acknowledges that by signing this
Agreement, he is GIVING UP ALL CLAIMS AGAINST THE VILLAGE OF MOUNT
PROSPECT.
18. Opportunity To Consult Advisors. The Plaintiff and the Village have had reasonable
opportunity to consult with attorneys or other advisors of their own choosing before executing
this Agreement.
19. Counterparts. This Agreement may be executed in counterparts, each of which may
be signed separately and may be enforceable as an original, but all of which together shall
constitute but one agreement.
20. IN WITNESS WHEREOF, the Plaintiff and the Village have executed this
Agreement by affixing their signatures and the dates of execution where indicated below. The
effective date of this Agreement, as noted on Page 1 above, shall be the date on which the last
signatory signs and dates this Agreement.
ERIC JAKUBOWSKI, ADMINISTRATOR VILLAGE OF MOUNT PROSPECT
ESTATE OF JONI BEAUDRY
Arlene A. Juracek, Village President
Dated: Dated:
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