Document 5b3wgRdrbyxOdxGo2KkYYjKEN
Vorys, Sater, Seymour and Pease
Suite 2100 Atrium t w o 221E. Fourth Street Post Office Box 0236 Cincinnati, Ohio 45201-0236 Telephone (513) 723-4000 . Facsimile (513)723-4056
Arthur 1. Vorys 1856-1933
Lowry F, Sater 1807-1935
Augustus T, Seymour 1873-1926
Edward L. Pease 1873-192+
in Columbus 52 East Cay Street Posi Office Box 1008 Columbus, Ohio 43216-1008
"telephone (614) 464-ti+oo Facsimile (614) 464-6350 Rapifax (61+) 464-6453 telex 241345
Cable V0HYSATE1K
in Washington Suite mi 1828 i- Street. NW Washington, DC, 20036-S10+
Telephone (202) 822-8200 Facsimile (202) 83S-O690 "telex 440693
In Cleveland 2100 One Cleveland center 1375 East Ninth Street Cleveland, Ohio 44114-1724
telephone (216) 621-7001 Facsimile (216) 631-8366
Writer's Direct Dial Number (513) 723-4012
January 16, 1990
Anthony J. Colangelo Manager - Worker's Compensation Sherwin Williams Company 101 Prospect Ave. Cleveland, Ohio 44115 - 1075
REDACTED
RE:
Claimant; Employer: Claim No.
Sherwin Williams 888596-2
. Sherwin Williams Co., et al. Case No. A 8701440
Dear Tony:
I enclose herewith a letter to me from Dennis Miller which
summarizes the settlement terms in the referenced case. The
terms he sets forth in his letter are the terms that we agreed
upon. We are still looking into the anticipatory release of a
claim that is not yet in existence, in connection with the
potential claim of F
wife. Initial results of research
indicate that Mr.
s wife cannot at this time release her
potential claim. If you have any questions regarding this,
please do not hesitate to call.
Very truly yours,
YW/tck cc: Thomas M
l/olanda 'v 7 Vofys
L
Taggart, Esq.
06X20573.WP5
N40187
, nm-SWP-005804666
1 )
%
A. DENNIS MILLER W, JOHN SELLINS DENNIS W. VAN HOUTEN* ROBERT G. BLOCK KEVIN J RYAN RICHARD J. RINEAR* EDWARD J. COLLINS BRADLEY A POWELL
DRODER & MILLER CO., L.P.A
ATTORNEYS AT LAW
410 PROVIDENT BANK BUILDING SEVENTH & VINE STREETS
CINCINNATI, OHIO 43202-242 1
<513>72t-IS04 FAX<513> 7210310
EUGENE DRODER (1924-1984)
EUGENE DRODER. JR. (1 957-1 984)
Al s o a d mit t e d in Ke n t u c k t
January 10, 1990
Yolanda V. Vorys, Esq. Vorys, Sater, Seymour & Pease Suite 2100- Atrium Two 221 E, Fourth Street Post Office Box 0236 Cincinnati, Ohio 455201-0236
r edac t ed
RE:
Our File 087-066-082-m/588 vs. Sherwin Williams Co., et al.
Case No. A 8701440
Dear Ms. Vorys:
This will confirm my phone conversation with you on
January 8, 1990, wherein we have agreed to settle the
Workers' Compensation Claim with your client, Sherwin
Williams Company. I have confirmed the details of the
settlement with my client by phone and have written him a
letter. Based upon our phone conversation, my client has
agreed to accept the sum of $40,000.00 in full settlement of
all workers' compensation claims against Sherwin Williams.
This settlement will also be executed by his wife, waiving any
further spousal claims. The claim will also be enforceable by
bot
,,s wife, Sherwin Williams will pay the
amount of the settlement in a lump sum upon approval by the
industrial Commission and/or Attorney General under the new
procedure. You have agreed to attempt to expedite the
settlement and process this claim. I further understand that
you will prepare the settlement documents and prepare an Entry
of Dismissal With Prejudice at your costs. The dismissal with
prejudice will be a conditional dismissal subject to the
approval by the Industrial Commission.
We have also agreed that Sherwin Williams will continue
to pay
imporary total disability benefits in the
amount that he is now receiving. Any payment made to him after
January IS, 1990, will be deducted from the final lump sum
settlement. The final lump sum settlement will be made payable
and our law firm.
N40187.01
G007-S WP-005804667 CONFIDENTIAL