HomeMy WebLinkAboutR-2017-023 Settlement Agreement for Lawsuit Brought by Charles "Doug" MayoA RESOLUTION
RESOLUTION NO. R-2017-023
authorizing the City Manager of the City of Yakima to consent to a
settlement entered into by the City of Yakima, CIAW and Munich
Reinsurance to resolve and settle the lawsuit brought by Charles "Doug"
Mayo
WHEREAS, on May 23, 2016, a lawsuit was filed in U.S. District Court for the Eastern
District of Washington No 16 -CV -3092 -SAB entitled Charles "Doug" Mayo v City of Yakima,
et al., and
WHEREAS, through a mediation, a settlement was reached by the City of Yakima, Cities
Insurance Association of Washington ("CIAW") and Munich Reinsurance and the plaintiff to
resolve and conclude all claims in the matter; and
WHEREAS, in the settlement agreement, liability for all such claims is denied by the
entities being released; and
WHEREAS, part of the settlement is to be paid by the City of Yakima and the remainder
by CIAW and reinsurer Munich Reinsurance; and
WHEREAS, the City Council of the City of Yakima deems it to be in the interest of the City
to authorize the City Manager to consent to a settlement entered into by the City of Yakima,
CIAW and Munich Reinsurance and the plaintiff to resolve and conclude the lawsuit; now,
therefore,
BE IT RESOLVED BY THE CITY COUNCIL OF THE CITY OF YAKIMA:
The City Manager of the City of Yakima is authorized to consent to the settlement entered
into by the City of Yakima, Cities Insurance Association of Washington and Munich Reinsurance
to resolve and settle the lawsuit brought by Charles "Doug" Mayo, which settlement will be paid
in part by the City of Yakima, and in part by CIAW and Munich Reinsurance
ADOPTED BY THE CITY COUNCIL this 21st day of February, 2017.
ATTEST:
Sonya CO,ar Tee, City Clerk
ori.,
BUSINESS OF THE CITY COUNCIL
YAKIMA, WASHINGTON
AGENDASTATEMENT
Item No. 6.F.
For Meeting of: February 21, 2017
ITEM TITLE: Resolution authorizing consent to a settlement entered into by the
City of Yakima, CIAW and Munich Reinsurance to resolve and settle
the lawsuit brought by Charles "Doug" Mayo
SUBMITTED BY: Helen A. Harvey, Senior Assistant City Attorney
SUMMARY EXPLANATION:
This matter is on for consideration of a Resolution authorizing the City Manager to consent to a
settlement entered into by the City of Yakima, Cities Insurance Association of Washington
("CIAW") and reinsurer Munich Reinsurance to resolve and settle the lawsuit filed by
Charles "Doug" Mayo on May 23, 2016, in U.S. District Court for the Eastern District of
Washington Case No. 16 -CV -3092 -SAB entitled Charles "Doug" Mayo v. City of Yakima, et al.,
and to settle all claims by the plaintiff.
The claim against the City of Yakima was settled by the City of Yakima, CIAW and Munich
Reinsurance through mediation with mediator Thomas W. McLane of Randall Danskin in
Spokane, subject to the presentation of the settlement before the Yakima City Council. A copy of
the Settlement Agreement is attached. The amount of the settlement is $300,000. Of this
amount, $15,605.42 is to be paid by the City of Yakima by reimbursement to CIAW, and the
balance of $284,394.58 by CIAW and CIAW's insurance carrier Munich Reinsurance.
ITEM BUDGETED: Yes
STRATEGIC PRIORITY: Public Trust and Accountability
STAFF RECOMMENDATION:
Adopt Resolution.
BOARD/COMMITTEE RECOMMENDATION:
APPROVED FOR
SUBMITTAL:
ATTACHMENTS:
Description
D Resolution
D Settlement Agreement
Upload Date
2/13/2017
2/13/2017
Type
Resolution
Backup Material
SETTLEMENT AGREEMENT
• Mediation
On February 3, 2017, the parties in the matter of Charles "Doug" Mayo v. City of
Yakima, Tony O'Rourke and Debbie Cook, United States District Court for the Eastern
District of Washington Case No. 1:16-cv-3092-SAB, engaged in a mediation with Thomas
W. McLane acting as mediator,
2. Release
For the consideration recited below, Charles "Doug" Mayo and Bronwyn Mayo, husband
and wife and the marital community composed thereof, and their representatives,
beneficiaries, heirs, children, grandchildren, executors, administrators, successors and
assigns (hereinafter "Releasing Parties"), forever release the City of Yakima ("City"),
Tony O'Rourke and Susan O'Rourke, individually and the marital community of them
composed, Debbie Cook, Cities Insurance Association of Washington ("CIAW"), Clear
Risk Solutions, Munich Reinsurance, and all their respective past and present elected
and/or appointed officials, directors, officers, employees, agents, assigns, successors,
attorneys, insurers, and related entities (hereinafter "Entities Released") from all past and
present claims.
As referred to herein, "past and present claims" mean those claims, rights and causes of
action, whether known or unknown, suspected or unsuspected, vested or contingent,
arising on or before the date that this Settlement Agreement is signed by Releasing
Parties which in any way arise out of or are related to any incidents, acts or omissions
between the Releasing Parties and the City of Yakima and its past and present elected
and/or appointed officials, directors, officers, employees, and agents, including but not
limited to: (1) all matters arising from or related to Charles "Doug" Mayo's employment
with the City of Yakima, (2) all those matters which are or could have been asserted as a
claim by Bronwyn Mayo, (3) all those matters which are or could have been the subject
of the Notice of Tort Claim and the Amended Notice of Tort Claim respectively filed
by/on behalf of Charles "Doug" Mayo on or about December 7, 2015 and February 18,
2016, (4) all those matters which are or could have been the subject of United States
District Court for the Eastern District of Washington Case No. 1:16-cv-3092-SAB, and
(5) any other incidents, acts or omissions involving the Releasing Parties and the Entities
Released.
Settlement Agreement- 1 of 4
Subject to the limitations on release of claims in Section 3 below, this includes all claims,
rights and causes of action under federal, state, or local law, including, but not limited to,
those based on statute, regulation, code, ordinance, tort, contract, equity or otherwise, and
specifically including by way of illustration, but not limited to, all claims under the
United States Constitution, the Washington State Constitution, Americans with Disabili-
ties Act, Civil Rights Act of 1871 (42 USC §1983), Title VII of the Civil Rights Act of
1964 (as amended by the Civil Rights Act of 1991), Older Workers Benefit Protection
Act, Age Discrimination in Employment Act, Family Medical Leave Act, Washington
Family Leave Act (RCW Chapter 49,78), Washington Law Against Discrimination
(RCW Chapter 49.60), the Washington State Civil Service Law (RCW Chapter 41.06),
and any Washington State wage and hour laws (including, but not limited to, RCW
Chapters 49,48 and 49.52).
Limitations on Release of Claims
Nothing in this Settlement Agreement, including but not limited to the release of claims,
prevents the Releasing Parties from filing a charge or complaint with or from participat-
ing in an investigation or proceeding conducted by the EEOC, NLRB, or any other
federal, state or local agency charged with the enforcement of any laws, although by
signing this release the Releasing Parties are waiving rights to individual relief based on
claims asserted in such a charge or complaint, except where such a waiver of individual
relief is prohibited.
4. Consideration
The consideration for the aforementioned release contained in paragraph 2 above and for
this settlement includes the following:
1) Payment by the City of Yakima, CIAW and/or Munich Reinsurance
to the Trust Account of Eymann Allison Hunter Jones, P.S. Trust
Account the sum of Three Hundred Thousand Dollars
($300,000.00), payable for the benefit of the Releasing Parties, and
payment of the mediation fee, subject to the approval by the Yakima
City Council. This payment is additional consideration to which
former employee Charles "Doug" Mayo would not otherwise be en-
titled;
2) Dismissal with prejudice and without costs or fees of United States
District Court for the Eastern District of Washington Case No. 1:16-
cv-3092-SAB;
Settlem
nt Agreement - 2 of 4
3) Tax liability, if any, on the proceeds of the settlement sum shall be
paid by the Releasing Parties, and the Releasing Parties agree to hold
the City of Yakima harmless and to indemnify them from any tax
consequences of this settlement. The duty to indemnify and hold
harmless the City of Yakima includes, but is not limited to, any re-
quired employer contribution or payment if any of the settlement
proceeds are determined to be taxable income as to the Releasing
Parties or their law firms,
5. Indemnification for Subrogation and Lien Claims, and Hold Harmless
The Releasing Parties represent that all lienable expenses, and all subrogation claims, and
all claims of any other persons or entities legally entitled to share in the proceeds of this
settlement have been paid, or will be paid or otherwise resolved from the proceeds of this
settlement.
The Releasing Parties agree to defend, indemnify and hold harmless the Entities Released
from and against all lien and subrogation claims, if any, including all costs and attorneys'
fees incurred in the defense of such claims.
6. Warranty of Capacity to Execute Settlernent Agreement
The Releasing Parties certify and warrant that they are fully authorized to enter into this
Settlement Agreement and bind themselves and the parties thereto. The Releasing Parties
further warrant that no other person or entity has or has had any interest in the claims or
causes of action referred to in this Settlement Agreement and that they have the sole right
and exclusive authority to execute this Settlement Agreement and to receive the settle-
ment proceeds.
7.
Governing Law
This Settlement Agreement shall be construed and interpreted according to the laws of
the State of Washington. The venue of any action necessary under this Settlement
Agreement shall be solely in Yakima County Superior Court, Yakima, Washington.
8. Denial of Liability
This Settlement Agreement expresses the full and complete settlement of all claims. It is
expressly agreed that liability for all such claims is denied by the Entities Released as is
any fault relating to the matters described. It is agreed and understood that this settlement
Settlement Agreement - 3 of 4
is a compromise of disputed claims. Acceptance of this Settlement Agreement shall not
operate or be construed as an admission by the Entities Released of any liability to the
Releasing Parties, breach of any agreement between any of the Entities Released and the
Releasing Parties, or violation by the Entities Released of any statute, law or regulation.
9. Consultation With Counsel
The Releasing Parties have read this Settlement Agreement and fully understand the
terms. They have been given full opportunity and have been encouraged to seek
independent legal counsel of their choice regarding the legal implications of this Settle-
ment Agreement and have done so. The Releasing Parties understand and acknowledge
the significance and consequences of this Settlement Agreement and expressly confirm
that it is to be given full force and effect according to each and all of its expressed terms
and provisions. Knowing and understanding this, the undersigned accepts the above sums
in full settlement as provided in this Settlement Agreement.
Charles "Doug" Mayo
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Bronwyn Mao
CITY CONTRACT NO:
RESOLUTION NO: 2.-01 7- C3a3
Settlement Agreement - 4 of 4
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