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EXHIBIT A <br /> SETTLEMENT AGREEMENT <br /> AND RELEASE OF CLAIMS <br /> This Settlement Agreement and Release of Claims is entered into by and between Michael <br /> Sommer, ("Sommer") and the City of Mounds View("the City"). <br /> WHEREAS, Sommer filed a charge of age discrimination (Charge No. 444-2016-01024) <br /> against the City with the Equal Employment Opportunity Commission (EEOC), under the Age <br /> Discrimination in Employment Act of 1967, as amended; and <br /> WHEREAS, a companion charge of age discrimination (Charge No. 66697) was also filed with <br /> the Minnesota Department of Human rights ("MDHR"); and <br /> WHEREAS, the parties now seek to resolve all claims and rights arising out of or related to <br /> Sommer's employment with the City including but not limited to all of Sommer's claims of <br /> discrimination against the City for damages, attorneys' fees and injunctive relief. <br /> NOW, THEREFORE, in consideration of the mutual covenants and agreements as set forth <br /> herein, the sufficiency of which is hereby acknowledged by both parties, Sommer and the City agree as <br /> follows: <br /> 1. Settlement Amount/Dismissal. In full and complete settlement of all claims and causes <br /> of action by Sommer, including but not limited to any claims for unpaid damages, wages, benefits, <br /> overtime, attorneys' fees and costs, the City agrees to pay Sommer a total gross amount of Four <br /> Thousand and 00/100ths Dollars ($4,000.00). This Settlement Amount will be paid to Sommer by the <br /> City within ten (10) days after the expiration of the last rescission period identified in Paragraph 4 <br /> herein. Sommer agrees that upon payment of the Settlement Amount to him by the City, all charges of <br /> discrimination filed with either the EEOC or the MDHR shall be dismissed and that Sommer will <br /> execute any documents necessary to effectuate such dismissal. <br /> 2. Taxes. Sommer understands and agrees that he shall be responsible for any tax <br /> obligation, state or federal, as a result of this settlement amount, and he agrees to hold the City <br /> harmless as to any of Sommer's tax liabilities. <br /> 3. Consideration. The parties acknowledge and agree that the terms described herein <br /> constitute sufficient consideration for this "Settlement Agreement and Release of Claims". <br /> 4. Release. In consideration of the above referenced Settlement Amount in paragraph 1, <br /> Sommer, for himself, his heirs, administrators, representatives, successors, and assigns, hereby releases <br /> and forever discharges the City, and its attorneys, agents, representatives, employees, former <br /> employees, insurers, and assigns of and from any and all, past and present claims, demands, <br /> obligations, actions, or causes of action at law or in equity, whether arising by statute, common law, <br /> contract, or otherwise, and for all claims for damages of whatever kind or nature, and for all claims for <br /> attorneys' fees and costs and expenses, including but not limited to all claims of any kind arising out of <br /> or related to Sommer's employment with the City, including but not limited to claims for harassment, <br /> discrimination, wrongful termination, defamation, intentional/ reckless/negligent infliction of <br /> 493529v3 AMB MU210-111 <br />