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Agenda 05/13/2013 Item #16A235/14/2013 16.A.23. EXECUTIVE SUMMARY Recommendation to ratify and approve a stipulated Final Judgment as to the interest of 7- Eleven, Inc., in Parcels 105FEE1, 105FEE2, 105FEE3, 105TCE1, 105TCE2, 105TCE3, 105TCE4, 107FEE, 107TCE1, 107TCE2 and 109FEE as part of the US -41 / Collier Boulevard Intersection Improvement project (Project No. 60116) Fiscal Impact: $5,205.50. OBJECTIVE: To settle the lawsuit styled Collier County v. Lowe's Home Center, Inc., et al, as to the interest of 7- Eleven, Inc., in Parcels 105FEE1, 105FEE2, 105FEE3, 105TCE1, 105TCE2, 105TCE3, 105TCE4, 107FEE, 107TCE1, 107TCE2 and 109FEE and eliminate exposure to further costs arising out of extended litigation. CONSIDERATIONS: The above - referenced parcels were taken by Collier County for the purpose of constructing at -grade improvements to the intersection of US-41 and Collier Boulevard. 7- Eleven, Inc., is the holder of a reciprocal access easement over the Lowe's Home Center, Inc., shopping center property. As such they had to be served as a parry defendant in the eminent domain lawsuit styled Collier County v. Lowe's Home Center, Inc., and were therefore entitled to hire counsel, and expert witnesses for the purpose of exercising their right to make an apportionment claim on the proceeds from the County's deposit. 7- Eleven has agreed to resolve their entitlement to apportionment for the total sum of $5,000 inclusive of all attorney fees and expert witness costs. (See Paragraph 1 of the attached Stipulated Final Judgment.) FISCAL IMPACT: Additional expenditures include $5,000 to defendant's attorney's trust account, $35.50 in recording fees, and $170 Clerk's Service Fee. Funds in the amount of $5,205.50 are available in the project. Source of funds are impact fees. There are no on -going maintenance or repair costs associated with the acquisition of right -of -way for the project. GROWTH MANAGEMENT IMPACT: There is no growth management impact associated with the approval of this agenda item. LEGAL CONSIDERATIONS: This item is legally sufficient for Board action and requires a majority vote for approval. JW RECOMMENDATION: That the Board of County Commissioners of Collier County, Florida, approve entry of the attached Stipulated Final Judgment with the Circuit Court. Prepared by: Kevin Hendricks, Right -of -Way Acquisition Manager Attachments: Stipulated Final Judgment with legal description attached thereto Packet Page -1349- 5/14/2013 16.A.23. COLLIER COUNTY Board of county commissioners Item Number: 16.16.A.16.A.23. Item Summary: Recommendation to ratify and approve a stipulated Final Judgment as to the interest of 7- Eleven, Inc., in Parcels 105FEE1, 105FEE2, 105FEE3, 105TCE1, 105TCE2, 105TCE3, 105TCE4, 107FEE, 107TCE1, 107TCE2 and 109FEE as part of the US -41 / Collier Boulevard Intersection Improvement project (Project No. 60116) Fiscal Impact: $5,205.50. Meeting Date: 5/14/2013 Prepared By Name: HendricksKevin Title: Manager - Right of Way,Transportation Engineering 4/2/2013 11:33:10 AM Approved By Name: AhmadJay Title: Director - Transportation Engineering,Transportation Engineering & Construction Management Date: 4/2/2013 2:10:54 PM Name: LynchDiane Title: Administrative Assistant Date: 4/18/2013 12:51:35 PM Name: KearnsAllison Date: 4/19/2013 8:10:52 AM Name: KearnsAllison Date: 4/19/2013 8:41:03 AM Name: ShueGene Date: 4/19/2013 2:28:04 PM Name: MarcellaJeanne Title: Executive Secretary,Transportation Planning Date: 4/24/2013 8:13:15 AM Name: WrightJeff Packet Page -1350- Title: Assistant County Attorney,County Attorney Date: 4/24/2013 8:43:43 AM Name: KlatzkowJeff Title: County Attorney Date: 4/24/2013 4:05:48 PM Name: UsherSusan Title: Management/Budget Analyst, Senior,Office of Manage Date: 5/2/2013 12:25:31 PM Name: OchsLeo Title: County Manager Date: 5/2/2013 4:44:59 PM Packet Page -1351- 5/14/2013 16.A.23. 5/14/2013 16.A.23. IN THE CIRCUIT COURT OF THE TWENTIETH JUDICIAL CIRCUIT IN AND FOR COLLIER COUNTY, FLORIDA CIVIL ACTION COLLIER COUNTY, FLORIDA, a political subdivision of the State of Florida, Petitioner, VS. LOWE'S HOME CENTER, INC., allorth Carolina corporation; RED NAPLES HOLDINGS V., LLC, a Florida limited liability company; KRG EAGLE CREEK III, LLC, an Indiana limited liability company; TJS NAPLES, LLC, a Florida limited liability company; BARRON COLLIER RESOURCES, LLLP, a Florida limited liability limited partnership; COLLIER LAND AND CATTLE CORPORATION, a Florida corporation; WALGREEN CO., an Illinois corporation; 7- ELEVEN, INC., a Texas corporation; FLORIDA POWER & LIGHT COMPANY; GULF COAST DONUTS, LLC, a Florida limited liability company, d/b /a Dunkin' Donuts; LARRY H. RAY, as Collier County Tax Collector, Respondents. Case No.: 2013 -CA -142 Parcels: 105FEE1, 105FEE2, 105FEE3, 105TCE1, 105TCE2, 105TCE3, 105TCE4, 103FEE,103TCE, 107FEE, 107TCE1, 107TCE2,109FEE STIPULATED FINAL JUDGMENT AS TO 7- ELEVEN'S INTEREST IN PARCELS 105FEE1 105FEE2 105FEE3 105TCE1 105TCE2 105TCE3 105TCE4 AND 109FEE THIS CAUSE came before the Court upon the Joint Motion for Entry of Final Judgment as to Parcels 105FEE1, 105FEE2, 105FEE3, 105TCE1, 105TCE2, 105TCE3, 105TCE4 AND 109FEE ("Joint Motion ") filed by Petitioner, COLLIER COUNTY, FLORIDA ("PETITIONER "), and Defendant, 7- ELEVEN, INC. ( "RESPONDENT "). The Court having reviewed the record and it appearing that the parties hereto were authorized to enter into the Joint Motion and that the papers filed herein by Petitioner are in proper and sufficient form, and the Page 1 of 4 Packet Page -1352- 5/14/2013 16.A.23. Court finding that the compensation to be paid by Petitioner is full, just and reasonable for all parties concerned, and being otherwise fully advised in the premises, it is hereby ORDERED and ADJUDGED that: 1. RESPONDENT shall have and recover from Petitioner the sum of Five Thousand and NO/100 Dollars ($5,000.00), in full compensation for the property interests taken, improvements taken, severance damages, cure costs, business damages, and all other damages claimed by or through them, their successors and assigns, now and in the future arising from the taking of Parcels 105FEEI, 105FEE2, 105FEE3, 105TCE1, 105TCE2, 105TCE3, 105TCE4, 109FEE, 109SWE1, 109SWE2 and 109TCE in this cause, including all experts, fees and costs, appraisal services and costs and attorney's fees. 2. Pursuant to the Joint Motion, COUNTY agrees to the following terms: a. COUNTY shall construct the project in substantial conformity to the 90% Construction Plans [ "Design and Related Services Intersection Capacity Improvements SR 90 (US 41) & SR/CR 951 "1 dated November 21, 2012, filed with the Court on this matter and incorporated herein by this reference, reserving to 7- ELEVEN all claims under Central and Southern Florida Flood Control Dist. Y. Wye River Farms, Inc., 297 So.2 323 (Fla.4t" DCA 1974); b. The COUNTY shall not store any vehicles, equipment, materials or other items within the driveways; C. The COUNTY shall perform all work in such a manner that existing improvements shall not be damaged. It is further understood and agreed that the COUNTY shall, at its own expense, restore the remaining lands to a safe and sanitary condition; Page 2 of 4 Packet Page -1353- 5/14/2013 16.A.23. d. The COUNTY shall maintain continuous access through each driveway at all times. 3. Pursuant to the aforementioned joint motion, RESPONDENT and its counsel have each agreed that no nonmonetary benefits have been achieved in this cause and thereby have waived any additional claim for attorney's fees or costs against Petitioner in this cause as to Parcels 105FEE1, 105FEE2, 105FEE3, 105TCE1, 105TCE2, 105TCE3, 105TCE4 and 109FEE. Such stipulation is hereby ratified and incorporated into this order and judgment. 4. Further, pursuant to the aforementioned joint motion, RESPONDENT and its counsel have each agreed that no claim for apportionment will be made by RESPONDENT against the other parties in the action. 5. Accordingly, within thirty (30) days after the date of this order, Petitioner shall pay the total sum of Five Thousand and NO /100 Dollars ($5,000.00) to the trust account of Trenam, Kemker, Scharf, Barkin, Fyre, O'Neil &Mullis, P.A., c/o Paul Bain, Esquire, 101 East Kennedy Blvd., Suite 2700, Tampa, Florida 33602; which total sum shall satisfy the awards made herein. Upon such payment, RESPONDENT stands dismissed from this action without further Order of the Court. 6. There is no other or further compensation, attorneys' fees or costs due from Petitioner to this RESPONDENT in this matter. DONE and ORDERED in chambers in Collier County, Florida on this day of 2013. Copies furnished to: Jeffrey L. Hinds, Esquire Paul Bain, Esquire HONORABLE LAUREN L. BRODIE CIRCUIT COURT JUDGE Page 3 of 4 Packet Page -1354- 5/14/2013 16.A.23. IN TIME CIRCUIT COURT OF THE TNTvTNTIETH JUDICIAL CIRCUIT TN' -4.N FOR C011-LiE1^ COLS TY F, OI' D . CIVIL ACTION COLLIER COUNTY, FLORIDA, a political subdivision of the State of Florida, Petitioner, vs. LOWE'S HOME CENTER, INC., a North Carolina corporation; et al., Respondents. Case No.: 2013 -CA -142 Parcels: 105FEE1, 105FEE2, 105FEE3, 105TCE1, 105TCE2, 105TCE3, 105TCE4, 103FEE,103TCE, 107FEE,107TCE1, 107TCE2, 109FEE JOINT MOTION FOR ENTRY OF STIPULATED FINAL JUDGMENT AS TO 7- ELEVEN'S INTEREST IN PARCELS 105FEEII 105FEE2, 105FEE3,105TCE1, 105TCE2, 105TCE3 105TCE4 and 109FEE Petitioner, COLLIER COUNTY, and Respondent, 7- ELEVEN, INC., a Texas corporation, by and through their undersigned counsel, hereby stipulate that notwithstanding the Notice of Dropping Party previously filed, the parties hereto agree to submit to this Court's jurisdiction solely for the entry of this Final Judgment and jointly move that the Court enter the foregoing Stipulated Final Judgment as to Parcels 105FEEI, 105FEE2 105FEE3, 105TCE1, 105T E2,1 5 0 4 and 109FEE. Paul D. Bain,tsq. VF TRENAM, KEMKER, SCHA ARKII,1, FRYE, O'NEIL & MULLIS, P.A. 101 E. Kennedy Blvd., Suite 2700 Tampa, Florida 33602 (813) 223 -7474 FBN: 984655 Counsel for Respondent 7 1 even Dated this I day of , 2013. Jeffrey L. Hinds, Esq. SMOLKER BARTLETT SCHLOSSER LOEB & HINDS, P.A. 500 East Kennedy Blvd., Suite 200 Tampa, Florida 33602 (813) 223 -3888 FBN: 0008710 Special Counsel to the Petitioner Dated this day of _ 2013. Page 4 of 4 Packet Page -1355- 1 t -.i AERAIL PHOTO SHOWING REGION'S, CARRABB'S AND 7 -11 Packet Page -1356- I 5/14/2013 16.A.23. ERs .X > A