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efta-efta00587413DOJ Data Set 9Other

DS9 Document EFTA00587413

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DOJ Data Set 9
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efta-efta00587413
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EFTA Disclosure
Text extracted via OCR from the original document. May contain errors from the scanning process.
AM' AMERICAN MEDIATION INSTITUTE SPECIALISTS IN DISPUTE RESOLUTION P.O. BOX 6832 ST. THOMAS, U.S. VIRGIN ISLANDS 00804 PHONE: FAX: VIA EMAIL TO: Christopher Kroblin, Esq. Eugenio Geigel, Esq. David E. Nichols, Esq. FM: Nancy Clark June 2, 2017 RE: LSJE, LLC v. Better Roads Asphalt Corporation Case No. ST-16-CV-615 This will confirm the mediation of the above matter on Thursday, June 8, 2017 at 10:00 A.M. with David E. Nichols, Esq. as the Mediator. The mediation will take place at Kellerhalls & Ferguson, St. Thomas. Attorney Nichols' mediation fee is $400.00/hour (two-hour minimum) divided equally between counsel. We ask each attorney to forward a deposit in the amount of $400.00. NOTE: Attorney Nichols requests that counsel for each party forward a brief ex pane summary of the case. Without creating excess paper flow, please include copies of documents that you deem are important in this matter. Please forward the summary and documents via email to Attorney Nichols. We look forward to assisting you in resolving this matter. EFTA00587413 AGREEMENT TO MEDIATE This is an Agreement to mediate signed by David E. Nichols, Esq. of American Mediation Institute, LSJE, LLC and Better Roads Asphalt Corporation the parties. The matter to be mediated is the settlement of a dispute involving the parties. The Mediation will be conducted according to this Agreement. The purpose of this Agreement is to ensure that the parties to the mediation understand the nature, costs and terms of the mediator's services as well as the responsibility of the parties and the mediator to maintain the confidentiality of the mediation process. The parties agree to abide by the following understanding: Parties Initials: I understand that the mediator, although an attorney at law, does not and will not give legal advice while working as a mediator. The mediator is not my lawyer, but is employed only to assist us both as a mediator, facilitating discussions and negotiations. The mediator has encouraged me to employ legal and other professional counsel as I see fit to assist me in the mediation. I agree that I will not, at any time (before, during, or after mediation of this dispute), call the mediator as a witness in any proceeding concerning this dispute. Further, I agree that the mediator and all adverse parties have a privilege to refuse to testify and to prevent each and all others from testifying about communications of any kind made during any aspect of the mediation. I understand that the mediator is not employed to, or is expected to make any decisions for me. I do not expect the mediator to act as a judge for me. I agree that the mediator shall have the same immunity and protection from law suits from damages and other relief as a judge of a Superior Court or District Court of the United States Virgin Islands. Any attempt to break or question this Agreement in a court shall entitle the mediator to a judgment against the party breaching this Agreement or raising such questions, for the amount of the reasonable attorney's fees and the court costs and expenses incurred by the mediator as the result of such proceedings. I agree not to disclose to anyone, at any time, any communication made and documents produced during the mediation proceedings except for the disclosure of any settlement agreement, which is ultimately signed by the parties to the mediation. All statements made in mediator follow-up thereafter at anytime prior to complete settlement of this matter are privileged settlement discussions and are non- discoverable and inadmissible for any purpose including in any legal proceeding. I am EFTA00587414 Mediation Agreement Page two LSJE, LLC v. Betteroads Asphalt Corporation Case No. ST-16-CV-615 however free to discuss any communication made during the mediation proceedings with my attorneys, CPA's, religious and mental health counselors, provided that they are bound not to disclose these communications to third parties who could be required to disclose them to others. I understand that American Mediation Institute will charge us at the rate of $400.00 per hour, (Two hour minimum) to be divided equally between counsel, I also agree to remit any balance due at the immediate conclusion of the mediation. The attorneys are equally responsible with their client(s) for the mediation fee as acknowledged by their signature. It is understood that the mediator may terminate or continue the mediation any time. The mediator shall not be required to disclose the reason for terminating or continuing the mediation, but may do so to the extent deemed appropriate. LSJE, LLC Party BY: Representative and/or Counsel Date Better Roads Asphalt Corporation Party BY: Representative and/or Counsel Date ACCEPTED David E. Nichols, Esq. Date Mediator American Mediation Institute EFTA00587415 IN THE SUPERIOR COURT OF THE VIRGIN ISLANDS DIVISION OF ST. THOMAS AND ST. CROIX LSJR, LLC, ) ) Plaintiff, ) v. ) ) BETTER ROADS ASPHALT ) CORPORATION, ) ) Defendant. ) ) CASE NO. ST-16-CV-615 MEDIATION REPORT Pursuant to the Court Order for Mediation, a mediation conference was held on the 8th day of June 2017. The following were present: 1. All Plaintiffs. 2. Plaintiffs trial counsel. 3. If Plaintiff is not an individual, the representative who appeared had total authority. 4. All Defendants. 5. Defendant's trial counsel. 6. If Defendant is not an individual, the representative who appeared had total authority. The result of the mediation conference is as follows: The conflict has been completely resolved. The parties are submitting a Stipulation Agreement and/or Notice of Dismissal. The conflict has been partially resolved. The parties are submitting a stipulation for the Court's approval. Some issues still require Court resolution: The parties have reached a total impasse, all issues require Court action. EFTA00587416 Mediation Report Page Two LSJE, LLC v. Betteroads Asphalt Corporation Case No. ST-16-CV-615 The matter has been recessed for further mediation. Other: DATE: AMERICAN MEDIATION INSTITUTE Distribution: Christopher Kroblin, Esq. Eugenio Geigel, Esq. David E. Nichols, Esq. Mediator 1000 Blackbeard's Hill St. Thomas, VI 00802 EFTA00587417

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