EFTA00299482.pdf
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GOVERNMENT OF THE VIRGIN ISLANDS
BEFORE THE DEPARTMENT OF PLANNING AND NATURAL RESOURCES
DIVISION OF COASTAL ZONE MANAGEMENT
IN THE MATTER OF
) NOVA 04-16-S1T
THE DEPARTMENT OF PLANNING AND
)
NATURAL RESOURCES, COMMISSIONER )
DAWN L. HENRY, ESQUIRE,
)
)
)
COMPLAINANT,
)
)
vs.
)
)
GREAT ST. JIM, LLC
)
)
)
)
RESPONDENT.
)
)
NOTICE OF FAILURE TO CURE
BREACH OF SETTLEMENT
AGREEMENT AND
ENFORCEMENT OF SETTLEMENT
AGREEMENT
SUPPLEMENTAL CONSENT AGREEMENT
WHEREAS, the Complainant, the Department of Planning and Natural Resources
(DPNR), is responsible for the administration and enforcement of laws and regulations
pertaining to the protection and preservation of the coastal resources of the United States Virgin
Islands, including the Coastal Zone Management Act (the "CZM Act"), Title 12, Chapter 21, of
the Virgin Islands Code, and the Division of Coastal Zone Management ("CZM") is a division
thereof; and
WHEREAS, the Complainant, commenced an administrative enforcement proceeding by
serving Respondent on April 25, 2016 with Notice of Violation No. NOVA-04-16-STT dated
April 22, 2016 ("NOVA"); and
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WHEREAS, on or about August 4, 2016, respondent entered into a Settlement
Agreement ("Settlement Agreement") with DPNR regarding issues pertaining to the NOVA; and
WHEREAS, on or about November 4, 2016, Complainant served Respondent with a
Notice to Cure Breach of Settlement Agreement ("Notice") requiring Respondent within ten (10)
days to remove all unpermitted development and structures and failure to comply will subject
Respondent to further enforcement action pursuant to V.I. Code Ann. Tit. 12 § 913 and Section
3(d) of the Settlement Agreement; and
WHEREAS, on or about December 15, 2016, Complainant served Respondent with a
Notice of Failure to Cure Breach of Settlement Agreement and Enforcement of Paragraph 3(d) of
the Settlement Agreement ("Failure to Cure"); and
WHEREAS, Respondent has taken action to appropriately and comprehensively address
all of Complainant's concerns as set forth in the Notice and the Failure to Cure, and moving
forward has demonstrated a genuine and substantial commitment to work proactively with
Complainant to preserve and protect the coastal resources in the United States Virgin Islands and
to be a responsible steward of those resources on Great St. James Island; and
WHEREAS, the commitment of Respondent and its affiliates to the preservation and
protection of the Coastal Resources of the United States Virgin Islands is evidenced, among
other ways, by a grant to the St. Thomas Historical Trust, an exempt entity under Section
501(c)(3) of the Internal Revenue Code (the "Historic Trust"), which Gratitude America, Ltd., an
affiliate of Respondent, is making in the amount of One Hundred Sixty Thousand Dollars
($160,000) for the purpose of paying fees, costs and expenses in connection with the
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construction of a raveling wall at Fort Christian located in Tier 1 on St. Thomas in the United
States Virgin Islands (the "Fort Christian Project"); and
WHEREAS, Complainant and Respondent are collectively referred to herein as the
Parties; and
WHEREAS, the Parties agree that: (a) resolution of the matters set forth in the NOVA,
the Settlement Agreement, the Notice and the Failure to Cure are in the best interest of the
Parties and the public; (b) entry of this Supplemental Consent Agreement without litigation is the
most appropriate means of resolving this matter; and (c) by entering into this Supplemental
Consent Agreement, Respondent agrees that this Supplemental Consent Agreement shall be
enforceable in the event of any failure by the Parties to comply with the provisions contained
herein; and
WHEREAS, the Parties recognize that this Supplemental Consent Agreement has been
negotiated in good faith and that it is fair, reasonable, and in the public interest.
NOW THEREFORE, the Parties agree as follows:
1.
Compliance with Applicable Laws
This Agreement in no way relieves Respondent of its responsibility to comply with any
other applicable federal or territorial laws, regulations and permits not specifically
mentioned herein, and compliance with this Agreement shall not constitute a defense to
any action pursuant to said laws, regulations, or permits raised by any territorial or
federal agency other than DPNR.
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2.
Release
Complainant fully and unconditionally releases and discharges Respondent and its
successors, assigns, members, managers, employees, affiliates, subsidiaries, agents,
representatives and attorneys (hereinafter "Respondent Parties"), except as specifically
provided in Paragraph 4 of this Agreement, from any and all claims, demands, liens,
causes of action, suits, damages, judgments, debts or liabilities whatsoever, both at law or
in equity, which any of DPNR, the Commissioner of DPNR and any of the successors or
assigns thereof ever had or now has against any of the Respondent Parties arising out of,
relating to or connected with any violation or alleged violation of any agreement or
understanding with DPNR or the Commissioner of DPNR, or any violation or alleged
violation of any permit or approval issued by, or of any Federal or Virgin Islands law or
regulation within the enforcement jurisdiction of, DPNR or the Commissioner of DPNR,
based upon any matter, facts or circumstances from the beginning of time through the
date of this Agreement, including, without limitation any violation or alleged violation
indicated herein or in the Notice of Violation Assessment NOVA-04-16-STT, the
Settlement Agreement, the Notice, and the Failure to Cure.
3. Covenant Not to Sue
In consideration of the actions heretofore performed by Respondent in response to the
Notice and the Failure to Cure, and except as specifically provided in Paragraph 4 of this
Agreement, DPNR and the Commissioner of DPNR each covenants not to sue or to take
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further administrative action against the Respondent Parties in respect of any matters
contemplated by the release provided in Paragraph 2 hereof, including without limitation,
in respect of any violation indicated herein or contemplated in the Notice of Violation
Assessment NOVA-04-16-STT, the Settlement Agreement, the Notice, and the Failure to
Cure, whether existing now or at any time prior to the date hereof.
4. Reservations of Rights by DPNR-CZM
DPNR reserves and this Agreement is without prejudice to, all rights against Respondent
with respect to all matters not expressly included within the Covenants Not To Sue in
Paragraph 3. Notwithstanding any other provisions of this Agreement, DPNR reserves,
and this Agreement is without prejudice to, all rights against Respondent with respect to:
(a)
Liability for failure of Respondent to meet a requirement of this Agreement; and
(b)
Liability for costs incurred or to be incurred by the United States Virgin Islands
not specifically contemplated by this Agreement;
(c)
Liability for future violations (occurring after the Commissioner's approval of this
Agreement).
(d)
Liability for damages for injury to, destruction of, or loss of natural resources, and
for costs of any natural resource damage assessments not specifically contemplated by
this Agreement.
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Nothing in this Agreement is intended to be or shall be construed as a release, covenant
not to sue, or compromise of any claim or cause of action, administrative or judicial, civil
or criminal, past or future, in law or in equity, which the Government of the Virgin
Islands may have against any person, firm, corporation or other entity not a signatory to
this Agreement, other than Respondent Parties. This Supplemental Consent Agreement
does not limit or affect the rights of Respondent or the Government of the Virgin Islands
against any third parties not named herein, nor the rights of third parties not parties to this
Agreement against any other parties, other than Respondent Parties.
5. No Admission
Neither this Agreement, nor anything provided herein or in the recitals hereof, nor any
actions taken by Respondent in response to the Notice or the Failure to Cure, shall be
deemed or construed at any time for any purpose as an admission by Respondent of any
liability, unlawful conduct of any kind or violation of any law by Respondent.
6. Modification
This Agreement constitutes the entire agreement between the Parties relating to the
subject matter hereof and supersedes any and all prior agreements, representations and
understanding, whether written or oral, relating to the subject matter hereof. Prior drafts
of this Agreement shall not be used in any action involving the interpretation or
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enforcement of this Agreement. All modifications to this Agreement shall be in writing
and signed by the Parties hereto.
7. Jurisdiction
This Agreement shall be construed and its performance enforced under the laws of the
United States Virgin Islands.
8. Representations
Each person executing this Agreement represents that the party hereto on whose behalf
the person is executing this Agreement has duly authorized the execution of this
Agreement and that such person is authorize
ute this Agreement on
such party.
JEAN-PIERRE L. ORIOL
Director — Coastal Zone Management
8100 Lindberg Bay, Suite #61
Cyril E. King Airport
Terminal Building, 2nd Floor
St. Thomas, USVI 00802
SO ORDERED THIS
DAY OF
Y EP
ident of
Poplar, Inc., the Sole Member of
GREAT ST. JIM, LLC
2017
HONORABLE DAWN L. HENRY, COMMISSIONER
DEPARTMENT OF PLANNING AND NATURAL RESOURCES
EFTA00299488
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| Filename | EFTA00299482.pdf |
| File Size | 800.6 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 10,146 characters |
| Indexed | 2026-02-11T13:24:28.217772 |