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`SUPERIOR COURT OF CALIFORNIA
`
`COUNTY OF SAN FRANCISCO
`
`Document Scanning Lead Sheet
`Oct-08-2013 04:11 pm
`
`Case Number: CGC-12-521206
`
`Filing Date: Oct-07-2013 04:11 pm
`
`GENERIC CIVIL FILING (NO FEE)
`
`Filed by: JEFFREY LEE
`
`Juke Box: 001
`
`Image: 04231346
`
`ALLIED HEATING & AIR CONDITIONING, INC., A VS. GOTHAM BAY
`CONSTRUCTION CORPORATION, et al
`
`001004231346
`
`Instructions:
`Please place this sheet on top of the document to be scanned.
`
`

`

`nOFFWOPO—
`oOCOHN
`
`LAW OFFICES OF WILLIAM WEBB FARRER
`William Webb Farrer (SBN 095276)
`100 Smith Ranch Road, Suite 107
`San Rafael, CA 94903
`(415) 578-2102
`(415) 785-3102 (fax)
`
`Attorneys for Plaintiff
`Gotham Bay Construction Corporation
`
`ILED
`
`San Francisco Courity Sugerior Court
`
`OCT ~ 7 2013
`
`CLERK OF THE COURT
`BY:
`Deputy Clerk
`
`SUPERIOR COURT OF CALIFORNIA
`
`COUNTY OF SAN FRANCISCO
`
`UNLIMITED JURISDICTION
`
`ALLIED HEATING & AIR
`CONDITIONING,INC., a California
`corporation,
`
`CASE NO. CGC 12-521206
`(consolidated with CGC 12-521524)
`
`New”Nee”Seer”“ener”Sonera”eure”Saree”Sener”“eee”Samer”“weer”“eee”“weer”Seen”“eee”Samet”“seeee!‘are!samaget!Samet!“amu!~saeget!!amg!geet!\mse!
`
`LAWOFFICESOFWILLIAMWEBBFARRER100SMITH
`
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`RANCHRoaD,SUITE107SANRAFAEL,CA94903
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`(415)578-2102
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`Plaintiff,
`
`VS.
`
`GOTHAM BAY CONSTRUCTION
`CORPORATION,etal,
`
`Defendants.
`
`NOTICE OF CONDITIONAL
`SETTLEMENT(CRC 3.1385 (c))
`
`TRIAL DATE: Noneset
`CMC:
`October 23, 2013
`
`GOTHAM BAY CONSTRUCTION
`CORPORATION,a California Corporation,
`
`Plaintiff,
`
`VS.
`
`BRANDO EMPIRE SAN FRANCISCO,
`LLC,et al.,
`
`Defendants.
`
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`PLEASE TAKE NOTICEthatthe parties in the above-captioned consolidated cases
`
`entitled Allied Heating & Air Conditioning, Inc. v. Gotham Bay Construction Corporation, etal.
`
`and Gotham Bay Construction Corporation v. Brando Empire San Francisco LLC,et al., Cases
`
`Notice of Conditional Settlement (1444\P121a. WWF)
`
`

`

`Nos. CGC 12-521206 and CGC 12-521524, have agreed to settle those consolidated cases upon
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`completion of specified terms that are not to be performed within 45 days of the settlement. The
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`parties are in the process of documenting the settlement which was agreed to at a mediation of the
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`above-captioned consolidated cases that occurred before the Honorable Laurence Kay (Ret.) on
`
`October 1, 2013. Pursuantto the termsof settlement, plaintiffs Allied Heating and Air
`
`Conditioning, Inc. and Gotham Bay Construction Corporation have agreed to dismissall claims
`
`alleged in their respective complaints on file herein against all parties with prejudice, five (5) days
`
`after they each receive their agreed upon settlement payments whichis set to occur 60 daysafter
`
`the comprehensive settlement agreement is signed. The parties further agreed that the cross-
`
`complaints filed by Westfield Metreon, LLC (“Westfield”) in the above-captioned consolidated
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`cases will remain pending until Westfield has received the agreed upon settlement payments from
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`Brando Empire of San Francisco, LLC and Brandy Ho.
`
`Accordingly the parties request that all further hearings in these cases, including the Case
`
`Management Conference set for October 23, 2013, be taken off calendar and that a hearing for
`
`compliance with the settlement be set for January 23, 2014.
`
`Dated: October 3, 2013
`
`LAW OFFICES OF WILLIAM WEBB FARRER
`
`B
`
`——————=—=_—
`William Webb Farrer
`Attorneys for Gotham Bay Construction Corporation
`
`LAW OFFICES OF GREGORY R. SHAUGHNESSY
`
`By
`
`GREGORY R. SHAUGHNESSY
`Attorneys for Allied Heating and Air Conditioning,Inc.
`
`Notice of Conditional Settlement (1444\P121a.WWF)
`
`2
`
`
`
`LAWOFFICESOFWILLIAMWEBBFARRER100SMITH
`
`
`RANCHROAD,SuITe107SANRAFAEL,CA94903
`
`
`
`(415)578-2102
`
`aonsNN
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`LAWOFFICESOFWILLIAMWEBBFARRER100SMITH
`
`RANCHRoad,SUITE107
`
`SANRAFAEL,CA94903
`
`
`
`(415)578-2102
`
`Nos. CGC 12-521206 and CGC 12-521524, have agreedto settle those consolidated cases upon
`completion of specified terms that are not to be performed within 45 days of the settlement. The
`
`partics are in the process of documenting the settlement which wasagreed to at a mediationofthe
`above-captioned consolidated cases that occurred before the Honorable Laurence Kay (Ret.) on
`October 1, 2013. Pursuant to the terms of settlement, plaintiffs Allied Heating and Air
`Conditioning, Inc. and Gotham Bay Construction Corporation have agreed to dismissall claims
`alleged in their respective complaints onfile herein againstall parties with prejudice, five (5) days
`after they cach receive their agreed uponsettlement payments whichis set to occur 60 daysafter
`the comprehensive settlement agreementis signed. The parties further agreedthat the cross-
`
`complaints filed by Westfield Mctreon, LLC (“Westfield”) in the above-captioned consolidated
`
`cases will remain pending until Westfield has received the agreed upon settlement payments from
`Brando Empire of San Francisco, LLC and Brandy Ho.
`
`Accordingly the parties request thatall further hearings in these cascs, including the Case
`Management Conference set for October 23, 2013, be taken off calendar andthat a hearing for
`compliance with the setllementbe set for January 23, 2014.
`
`Dated: October 3, 2013
`
`LAW OFFICES OF WILLIAM WERR FARRER
`
`By
`
`William Webb Farrer
`Attorneys for Gotham Bay Construction Corporation
`
`LAWOFFICES OF GREGORY R. SHAUGHNESSY
`
`By
`
`( " SS _
`R. SHAUGHNESSY
`GREGORY
`Attorneys for Allied Heating and Air Conditioning, Inc.
`
`Notice of Conditional Settlement (14444? 12 fa.WWE)
`
`2
`
`

`

`PROOF OF SERVICE
`
`I, Laurel Knapp,certify and declare as follows:
`
`I am overthe age of eighteen years, and not a party to this action. My business
`address is 100 Smith Ranch Road, Suite 107, San Rafael, CA 94903, which is located in the
`county where the service described below tookplace.
`
`I am familiar with the business practice at my place of business for collection and
`processing of correspondence for mailing with the United States Postal Service. Correspondence
`so collected and processed is deposited with the United States Postal Service that same dayin the
`ordinary course of business.
`
`On October 3, 2013,
`
`the following document:
`
`*
`
`Notice of Conditional Settlement (CRC 3.1385(c))
`
`wasplaced for deposit in the United States Postal Service, in a sealed envelope, with postage
`fully prepaid, addressedto:
`
`Clifford Horner, Esq.
`Horner & Singer LLP
`1820 Bonanza Street, Suite 200
`Walnut Creek, CA 94596
`
`Gregory R. Shaughnessy, Esq.
`Law Offices of Gregory R. Shaughnessy
`55 Main Street
`Tiburon, CA 94920
`
`Jordan A. Lavinsky, Esq.
`Hanson Bridgett LLP
`425 Market Street, 26" Floor
`San Francisco, CA 94105
`
`Hon. Laurence D. Kay(Ret.)
`ADRServices,Inc.
`100 First St., 27th Floor
`San Francisco, CA 94105
`
`Michelle M. Scannell, Esq.
`Seyfarth Shaw LLP
`560 Mission Street, Suite 3100
`San Francisco, CA 94105-2930
`
`Honorable Marla Miller
`San Francisco Superior Court
`400 McAllister Street, Dept. 302
`San Francisco, CA 94102
`
`San Francisco Superior Court
`400 McAllister Street, Dept. 610
`San Francisco, CA 94102
`
`I certify and declare under penalty of perjury under the laws of the State of
`California that the foregoingis true and correct.
`
`Executed on October 3, 2013 at San Rafael, California.
`
`uCUALA594)
`
`Laurel Knapp
`
`Proofof Service (1444/POS093)
`
`

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