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<br />counsel of record, John C. Lukacs, P.A., Trust Account. Petitioner's offer of the Cash Payment and <br /> <br />Gold Club's acceptance of the same is for the sole and exclusive purpose of inducing each respective <br /> <br />party to enter into this Partial Stipulated Order of Taking. The Cash Payment shilll constitute <br /> <br />complete and final payment of Defendant, Gold Club's attorneys fees, cost and expenses incu:r:red <br /> <br />f:rom the beginning of time up to the date of this executed Partial Stipulated Order of Taking, which <br /> <br />Defendant might otherwise be entitled to payment by Petitioner under Chapters 73 and 74, Florida <br /> <br />Statutes (2009). Petitioner Cash Payment shilll also constitute complete and final payment to <br /> <br />Defendant, Gold Club for any and illl monies Defendant might otherwise be entitled to seek <br /> <br />payment f:rom Petitioner pertaining to any relocation benefits p:rovided under applicable law. <br /> <br />Defendant, Gold Club understands and agrees that the Cash Payment shilll be <br /> <br />construed, interpreted and operate as complete and final payment by Petitioner for illl Gold Club's <br /> <br />claims against Petitioner in the instant case, and shilll not hereafter seek or claim right or entitlement <br /> <br />to any additional sums or monies, of any nature whatsoever, f:rom Petitioner excepting Gold Club's <br /> <br />reasonable attorneys fees and costs which may be incurred after the date of this executed Partial <br /> <br />Stipulated Order of Taking for apportionment or in supplemental proceedings, pursuant to <br /> <br />applicable Florida law. Petitioner neither waives nor forfeits its right to contest or dispute the <br /> <br />reasonable amount of any such claims. <br /> <br />c.(i) Extended Possession. Petitioner hereby agrees that Defendant, Gold Club, <br /> <br />for a period which shilll not, exceed twenty-four (24) months f:rom the date of Petitioner's deposit of <br /> <br />its good faith estimate of value, (hereinafter refe:r:red to as the "Extended Possession Period"), shilll <br /> <br />be permitted to remain in possession of its current leased premises located at 255 Sunny Isles <br /> <br />Boulevard, Sunny Isle Beach, FL 33160 (''Leased Premises"), which possession shilll include the <br /> <br />right of access, use and enjoyment of illl such parking spaces on Parcel A. The Parties further agree <br /> <br />3 of 13 <br /> <br />FLDOCS 5503460 2 <br />1/23/1012:36 PM <br />