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i nuy �t . 7�� a� .'•i rw .�v, r .vu <br /> 1990 alleging causes of ACTION for broach of lease and <br /> declaratory relief. <br /> 1.6The term "DERDERIANO" refers to plaintiffs Arthur Berberian, <br /> Victoria E. Berberian, and Ronald Sorborian, their heirs, <br /> assigns, executors, successors in intareot, and any <br /> beneficiaries of each and any trust or which the Berberiano <br /> are trustees. <br /> 1.5 The term "CRAIG" refers to Patrick Craig, his heirs, <br /> aasigns, executors, successors in interest, and any <br /> beneficiaries of each and any trust of Craig is a trustee. <br /> 1.6 The term "FORMER SERVICE STATION SITE" refers to that <br /> certain parcel of property commonly mown as 2109 Country <br /> Club Boulevard, Stockton, California. <br /> 2. PURPOSE.OF AGREEMENT <br /> By this Agreement, the BERDBRIAN6, CRAIG and CHEVRON seek to <br /> resolve all disputes referred to, arising out of, or raised by <br /> the COMPLAINT, including any disputes relating to responsibility <br /> for potential, future groundwater or soils clean up required, <br /> demanded or ordered by the Regional water Quality Control Board <br /> and/or Local Enforcement Agency resulting from contamination at <br /> or emanating from the FORMER SERVICE STATION SITE, attributable <br /> to cxtVRON service station operations. <br /> _Z_ <br />