Release Of Liability Of Property Damage

This Release for Damage to Property (this "Release") is made on 22nd day of June, 2021 between:

Releasor: Brendan Zipfel, at 65 Washington St., 4B, Brooklyn, NY 11201 (“Releasor”) and

Releasee: J Sutton and Co. Moving Services LLC, at 1510 Castle Hill Ave, PMB 304, Bronx, NY 10462 (“Releasee”).

1. Releasor and anyone claiming on Releasor’s behalf release and forever discharge Releasee and its affiliates, successors, officers, employees, representatives, partners, agents and anyone claiming through them (collectively, the “Released Parties”), in their individual and/or corporate capacities from any and all claims, liabilities, obligations, promises, agreements, disputes, demands, damages, causes of action of any nature and kind, known or unknown, which Releasor has or ever had or may in the future have against Releasee or any of the Released Parties arising out of or relating to: Movinghelp.com Case No: 28260 damage claims relating to couch, a wall in Unit 4B and reimbursement for FixMySofa movers (“Claims”).

2. In exchange for the release of Claims, Releasee will provide Releasor a payment:

In consideration of such payment, Releasor agrees to accept the payment as full and complete settlement and satisfaction of any present and prospective claims. 3. This Release shall not be in any way construed as an admission by the Releasee that it has acted wrongfully with respect to Releasor or any other person, that it admits liability or responsibility at any time for any purpose, or that Releasor has any rights whatsoever against the Releasee. 4. This Release shall be binding upon the parties and their respective heirs, administrators, personal representatives, executors, and successors. Releasor has the authority to release the Claims and has not assigned or transferred any Claims to any other party. The provisions of this Release are severable. If any provision is held to be invalid or unenforceable, it shall not affect the validity or enforceability of any other provision. This Release constitutes the entire agreement between the parties and supersedes any prior oral or written agreements or understandings between the parties concerning the subject matter of this Release. This Release may not be altered, amended or modified, except by a written document signed by both parties. The terms of this Release shall be governed by and construed in accordance with the laws of the State of New York. 5. Both parties represent they fully understand their right to review all aspects of this Release with attorneys of their choice, that they have had the opportunity to consult with attorneys of their choice, that they have carefully read and fully understand all the provisions of this Release and that they are freely, knowingly and voluntarily entering into this Release
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In consideration of such payment, Releasor agrees to accept the payment as full and complete settlement and satisfaction of any present and prospective claims.

3. This Release shall not be in any way construed as an admission by the Releasee that it has acted wrongfully with respect to Releasor or any other person, that it admits liability or responsibility at any time for any purpose, or that Releasor has any rights whatsoever against the Releasee.

4. This Release shall be binding upon the parties and their respective heirs, administrators, personal representatives, executors, and successors. Releasor has the authority to release the Claims and has not assigned or transferred any Claims to any other party. The provisions of this Release are severable. If any provision is held to be invalid or unenforceable, it shall not affect the validity or enforceability of any other provision. This Release constitutes the entire agreement between the parties and supersedes any prior oral or written agreements or understandings between the parties concerning the subject matter of this Release. This Release may not be altered, amended or modified, except by a written document signed by both parties. The terms of this Release shall be governed by and construed in accordance with the laws of the State of New York.

5. Both parties represent they fully understand their right to review all aspects of this Release with attorneys of their choice, that they have had the opportunity to consult with attorneys of their choice, that they have carefully read and fully understand all the provisions of this Release and that they are freely, knowingly and voluntarily entering into this Release

Consent

In consideration of such payment, Releasor agrees to accept the payment as full and complete settlement and satisfaction of any present and prospective claims.

3. This Release shall not be in any way construed as an admission by the Releasee that it has acted wrongfully with respect to Releasor or any other person, that it admits liability or responsibility at any time for any purpose, or that Releasor has any rights whatsoever against the Releasee.

4. This Release shall be binding upon the parties and their respective heirs, administrators, personal representatives, executors, and successors. Releasor has the authority to release the Claims and has not assigned or transferred any Claims to any other party. The provisions of this Release are severable. If any provision is held to be invalid or unenforceable, it shall not affect the validity or enforceability of any other provision. This Release constitutes the entire agreement between the parties and supersedes any prior oral or written agreements or understandings between the parties concerning the subject matter of this Release. This Release may not be altered, amended or modified, except by a written document signed by both parties. The terms of this Release shall be governed by and construed in accordance with the laws of the State of New York.

5. Both parties represent they fully understand their right to review all aspects of this Release with attorneys of their choice, that they have had the opportunity to consult with attorneys of their choice, that they have carefully read and fully understand all the provisions of this Release and that they are freely, knowingly and voluntarily entering into this Release

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RELEASOR'S NAME(Required)
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This Release for Damage to Property (this "Release") is made on 22nd day of June, 2021 between: Releasor: Brendan Zipfel, at 65 Washington St., 4B, Brooklyn, NY 11201 (“Releasor”) and Releasee: J Sutton and Co. Moving Services LLC, at 1510 Castle Hill Ave, PMB 304, Bronx, NY 10462 (“Releasee”). 1. Releasor and anyone claiming on Releasor’s behalf release and forever discharge Releasee and its affiliates, successors, officers, employees, representatives, partners, agents and anyone claiming through them (collectively, the “Released Parties”), in their individual and/or corporate capacities from any and all claims, liabilities, obligations, promises, agreements, disputes, demands, damages, causes of action of any nature and kind, known or unknown, which Releasor has or ever had or may in the future have against Releasee or any of the Released Parties arising out of or relating to: Movinghelp.com Case No: 28260 damage claims relating to couch, a wall in Unit 4B and reimbursement for FixMySofa movers (“Claims”). 2. In exchange for the release of Claims, Releasee will provide Releasor a payment:
This Release for Damage to Property (this "Release") is made on 22nd day of June, 2021 between: Releasor: Brendan Zipfel, at 65 Washington St., 4B, Brooklyn, NY 11201 (“Releasor”) and Releasee: J Sutton and Co. Moving Services LLC, at 1510 Castle Hill Ave, PMB 304, Bronx, NY 10462 (“Releasee”). 1. Releasor and anyone claiming on Releasor’s behalf release and forever discharge Releasee and its affiliates, successors, officers, employees, representatives, partners, agents and anyone claiming through them (collectively, the “Released Parties”), in their individual and/or corporate capacities from any and all claims, liabilities, obligations, promises, agreements, disputes, demands, damages, causes of action of any nature and kind, known or unknown, which Releasor has or ever had or may in the future have against Releasee or any of the Released Parties arising out of or relating to: Movinghelp.com Case No: 28260 damage claims relating to couch, a wall in Unit 4B and reimbursement for FixMySofa movers (“Claims”). 2. In exchange for the release of Claims, Releasee will provide Releasor a payment: