PLN52149_CPA - 2023 02 21 Joint Status Report
JOINT STATUS REPORT - 1
Bricklin & Newman, LLP
Attorneys at Law
123 SW 36th Street, Suite 205
Seattle WA 98107
Tel. (206) 264-8600
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
Andrew Reeves
Hearing Examiner
BEFORE THE HEARING EXAMINER
FOR THE CITY OF BAINBRIDGE ISLAND
In re: Appeal by
STETSON RIDGE HOMEOWNERS
ASSOCIATION
of SEPA Determination of Non-Significance
for PSE Winslow Comprehensive Plan
Amendment/Rezone, PLN52149 CPA/REZ
JOINT STATUS REPORT
On January 4, 2023, the Hearing Examiner granted the Parties’ Joint Motion to Strike
Remaining Appeal Deadlines and Reschedule. See Order of Continuance (Jan. 4, 2023). In that order,
the Examiner requested that the Parties file a joint status report by February 24, 2023, concerning the
status of this appeal, whether any settlement has been reached, or whether a new hearing date and
briefing schedule should be issued. Since that time, this appeal has been held in abeyance.
The Parties now wish to inform the Examiner as follows:
On February 13, 2023, the Parties executed a settlement agreement fully and completely
resolving the claims of Petitioner Stetson Ridge Homeowners Association in this appeal. The
settlement was made contingent on the City Council’s adoption and later recording of a certain
development agreement. The City Council approved the development agreement the next day, on
JOINT STATUS REPORT - 2
Bricklin & Newman, LLP
Attorneys at Law
123 SW 36th Street, Suite 205
Seattle WA 98107
Tel. (206) 264-8600
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
February 14, 2023. Currently, the parties are awaiting the final recording of the development
agreement. After it is recorded, Petitioner will dismiss the present appeal with prejudice.
In light of the above, the Parties request that the Examiner continue to hold this case in
abeyance. Once the development agreement is recorded, Petitioner will file papers dismissing this
appeal.
Dated this 21st day of February, 2023.
Respectfully submitted,
BRICKLIN & NEWMAN, LLP
By: _____________________________________
Bryan Telegin, WSBA No. 46686
Attorney for Appellant Stetson Ridge
Homeowners Association
OGDEN MURPHY WALLACE PLLC
By:
James E. Haney, WSBA No. 11058
Attorney for Respondent City of Bainbridge
Island
VAN NESS FELDMAN
By:
Clara Park, WSBA No. 52255
Attorney for Respondent Puget Sound Energy
with e-mail
permission for
with e-mail
permission for