📄 Extracted Text (247 words)
Kellerhals Ferguson Kroblin PLLC
9100 Port of Sale Mall. Suite 15. St Thomas. VI 00802-3602
www kolllor corn
November 10, 2015
Via Electronic Mail
Maria Tankenson Hodge, Esq.
1340 Taameberg
Charlotte Amalie, VI 00802
CONFIDENTIAL SETTLEMENT COMMUNICATION
RE: Great St. Jim, LLC v. Kjaer &
GSJ Properties, Corp.
Case No. ST-15-CV-592
Dear Maria,
It is now apparent that your client does not wish to sell Great St. James in accordance with
the terms which were agreed. Your client's shifting legal theories evinces that your client's only
concern is not with the merit of any particular defense but with altering the agreed terms of the
contract after the fact. We were hoping your client would come to the table and cure the breach
caused by Attorney D'Amour's insistence upon non-standard terms, an insistence made after April
and Erika entered into a binding contract of sale. That has not happened.
Accordingly, we intend to proceed with our lawsuit filed in regard to this matter seeking our
attorneys' fees for having to close this deal by way of specific performance. Nevertheless, we give
your client one last chance to agree to cure the breach and to complete the sale based upon a
standard term contract for twenty-two and a half million dollars as agreed by April and Erika.
If you do not respond by this Friday indicating that you wish to close this deal as agreed we
will proceed with this matter in Court.
Sincerely,
Christopher Allen Kroblin, Esq.
EFTA00583997
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EFTA00583997
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