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A TRUE COPY <br />CERTIFICATION ON LAST PAGE <br />RYAN L. BUTLER, CLERK <br />IN THE CIRCUIT COURT OF THE NINETEENTH <br />JUDICIAL CIRCUIT, IN AND FOR INDIAN RIVER <br />COUNTY, FLORIDA <br />INDIAN RIVER COUNTY, FLORIDA, <br />A political subdivision of the State of Florida CASE NO. 31 -2024 -CA -000024 <br />Plaintiff, <br />vs. <br />SCOTT MARK COLLINS; <br />PATRICK BRIAN COLLINS; <br />SHAWN MICHAEL COLLINS; <br />DANIEL JOHN COLLINS; <br />UNKNOWN OCCUPANT NO. 1; <br />and UNKNOWN OCCUPANT NO. 2, <br />Defendants. <br />SETTLEMENT AGREEMENT <br />THIS SETTLEMENT AGREEMENT (the "Agreement" and "Settlement Agreement") is dated September 10, <br />2024 and is by and between: INDIAN RIVER COUNTY, FLORIDA, a political subdivision of the State of <br />Florida ("IRC"), and Defendant PATRICK BRIAN COLLINS ("Patrick Collins"). IRC and Patrick Collins are <br />collectively referred to herein as the "Parties": and individually, in context as applicable, as a "Party." <br />RECITALS <br />IRC, through its attorney of record, D. Johnathan Rhodeback, Esq., of Dill, Evan & Rhodeback (the "IRC <br />Attorney" and "IRC's Attorney") filed IRC's Plaintiff's Complaint (Filing #189755027 E -Filed 01/15/2024)(the <br />"Complaint") in the above -captioned action (the "Pending Action"). Plaintiff's Complaint in the Pending Action <br />asserts causes of action against Defendants, Scott Mark Collins, Patrick Brian Collins, Shawn Michael Collins, <br />Daniel John Collins, Unknown Occupant No. 1, and Unknown Occupant No. 2, (collectively referred to as the <br />"Defendants"). The causes of action and claims asserted by IRC as Plaintiff in the Complaint involve real property <br />commonly described as 356 18th Ave, Vero Beach, FL 32962 and further described as follows: <br />Lot 15, Block B, Indian River Heights, Unit #3, according to the plat thereof, as recorded in Plat Book 6, Page <br />49, of the Public Records of Indian River County, Florida. (the "Property") <br />IRC asserts in its Complaint the following causes of action: (1) Count I of the Complaint seeks for <br />Foreclosure of Code Enforcement Lien against the Property and requests a deficiency judgment relating to the <br />Property and liens at issue; (2) Count II of the Complaint seeks for Foreclosure of a claim for unpaid charges for <br />Water and Sewer Services pursuant to Section 153.67 Fla. Stat. and also requests a deficiency judgment relating <br />to the Property and liens at issue; (3) Count III of the Complaint seeks for money judgment based on the Code <br />Enforcement Lien against the named Defendants as the defined "Designated Representatives" which the <br />Complaint alleges includes the undersigned Defendant, Patrick Brian Collins; (4) Count IV of the Complaint <br />