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acknowledge that this Mediated Settlement Agreement and Release was the result of a mediation <br />conducted by John M.Harens (the “Mediator”)and that they each received in writing the <br />statutory mediation disclosures including the following: <br />9 <br />9 <br />9 <br />j <br />In entering this Mediated Settlement Agreement and Release Sunram and Defending <br />Parties represent that they have relied upon the advice of their attorney,who is the attorney of <br />their own choice,concerning the legal consequences of this Mediated Settlement Agreement and <br />Release. <br />ENTIRE AGREEMENT.6. <br />Sunram and Defending Parties further understand and agree that this document contains <br />the entire agreement between Sunram and Defending Parties with respect to the Released <br />Claims,and that the terms of this Agreement are contractual and not a mere recital.By their <br />signatures below the undersigned each represent that they have carefully read this document, <br />know and understand the terms and effect hereof,have fully discussed the terms and effect of <br />this document with their attorneys or clients,have authority to enter into this Agreement,and <br />have signed this Agreement as their free and considered act. <br />ENFORCEMENT.7. <br />Releases do not apply to claims regarding enforcement of this Agreement,and prevailing <br />Party in any such dispute shall be entitled to recover attorneys fees and costs incurred to enforce <br />this Mediated Settlement Agreement and Release. <br />5 <br />the Mediator has no duty to protect their interests or provide the Parties with <br />information about their legal rights; <br />signing a mediated settlement agreement may adversely affect the Parties’legal <br />rights;and <br />Parties should consult an attorney before signing a mediated settlement agreement <br />if they are uncertain about their rights.