BUSINESS AND PROPERTY COURTS IN BRISTOL
PROPERTY TRUSTS & PROBATE (CH)
2 Redcliff Street Bristol BS1 6GR Start Time: 1523 Finish Time: 1624 |
||
B e f o r e :
(Sitting as a Judge of the High Court)
____________________
(1) STEPHEN KINDRED (2) MARY KINDRED (3) GEOFFREY PETER SIMCOX |
Claimants |
|
- and - |
||
(1) CHRISTOPHER WARHURST (2) PAUL SERJEANT (3) DEBORAH SERJEANT (4) CATHERINE SERJEANT |
Defendants |
____________________
2nd Floor, Quality House, 6-9 Quality Court, Chancery Lane, London WC2A 1HP.
Telephone No: 020 7067 2900. DX 410 LDE
Email: info@martenwalshcherer.com
Web: www.martenwalshcherer.com
DR. SANDY JOSEPH (C) for the 1st Defendant
MS. CHERYL REID (C) (instructed by Gordons Partnership) for the 2nd to 4th Defendants
____________________
Crown Copyright ©
JUDGE RUSSEN QC:
"By purported agreement dated 13th April 2021, the defendants, to the objection of the third claimant, agreed to sell unidentified 25 per cent shares in the yacht to a Mr. and Mrs. Robert Dewhurst and the first and second claimants. Prior to 13th April 2021 it was the defendants' perverse contention that they had power to sell the shares of the claimants".
.
"A dispute has arisen between the parties relating to the ownership and management of the yacht Condor, a syndicate-owned and managed yacht.
The parties have settled their differences and have agreed the terms of a full and final settlement of the Dispute and wish to record those terms of settlement on a binding basis in this agreement".
"Effect of this agreement
The parties hereby agree that upon signature, this agreement shall immediately be fully and effectively binding on them. The agreement breaks the Yacht Syndicate (as defined). This agreement dissolves The Syndicate Bank Account. This agreement novates the 2019 YSA (as defined) at Appendix 1".
"This agreement is in full and final settlement of each party hereby releasing and forever discharging all and any actions, claims, rights, demands and set-offs whether in this jurisdiction or any other, whether or not presently known to the parties or to the law and whether in law or equity that is related parties or any of them that ever had, may have or hereafter can, shall or may have against the other party or any of its related parties arising out of or connected with (a) the dispute; (b) the underlying facts relating to the dispute; (c) any inconvenience arising out of the dispute. Any issues relating to the dispute known at the date of this agreement and any other matter arising or connected with the relationship between the parties known about at the date of this dispute".