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1999-05-19_GENERAL DOCUMENTS - C1981017
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1999-05-19_GENERAL DOCUMENTS - C1981017
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Last modified
3/19/2021 8:35:57 PM
Creation date
5/3/2012 9:33:11 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1981017
IBM Index Class Name
GENERAL DOCUMENTS
Doc Date
5/19/1999
Doc Name
Fax, settlement agreement
From
Burns, Figa & Will, P.C.
To
Cheryl Linden
Permit Index Doc Type
General Correspondence
Media Type
D
Archive
No
Tags
DRMS Re-OCR
Description:
Signifies Re-OCR Process Performed
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05/19/99 16:21 FAX 3037962777 BURNS FIGA & WILL Z007/014 <br /> I <br /> (judicial, administrative or otherwise) filed against MCR, the Trustee, MidCon and/or Mid- <br /> Continent Minerals Corporation, their members, managers, partners sh.treholders, directors, <br /> officers, agents, employees, attorneys, spouses, executors, personal represer tatives, successors in <br /> interest or assigns by any party which alleges in whole or in part that reclai ration activities have <br /> been inadequate or that MCR has some continuing liability under its waste,2vater permit with the <br /> state of Colorado, Permit No. CO-0000396 or stormwater permit CIM 040023. MCR, the <br /> Trustee and MidCon agree that in such a case they will not claim any relief or remedies above or <br /> beyond the relief or remedies claimed by the party or parties initiating the l awsuit(s) or action(s) <br /> against them. <br /> 9.9-: At the same time the Trustee makes the payment of $:;85,800 to DMG as <br /> specified in paragraph 5 above, the Trustee further agrees to transfer $30,0,)0 to Stewart Title of <br /> Aspen, as escrow agent, to hold the escrow under the terms of the Escrow Agreement which is <br /> attached as Exhibit A to this Settlement Agreement. <br /> 10. 9-. Subject to the continuing jurisdiction of the Pitkin County District Court as stated <br /> herein, the Parties stipulate to dismissal of the Lawsuit with prejudice, with each party to pay his <br /> or its own attorneys fees and costs. <br /> 11.E DMG agrees to conduct the following r-emainin reclam.a:ion activities within <br /> Coal Basin: ppa,Esiaant to the <br /> Reclamation Cest Estimate Spa y"" dated-1�2 1,139, which was provide 1 by Tl7 G's attefHey <br /> to atter-aeys fer-the other- parties under eever letter dated 3anuar3-22-49-94 ("Reclamation <br /> Activities ate"). As part of this Settlement Agreement, DMG s)ecifically agrees to <br /> complete reclamation on the real estate within Coal Basin currently owned by MidCon in <br /> workman-like fashion to DMO sta so that no additional reclamation obligation will remain <br /> 6 <br />
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