Sara Altamirano et al v. Matsu, LLC et al

Filing 124

ORDER ON PLAINTIFFS' AND DEFENDANTS' JOINT STIPULATION TO DISMISS by Judge Beverly Reid O'Connell, re Joint MOTION to Dismiss Case. ORDER DISMISSING CASE by Judge Beverly Reid O'Connell, Case Terminated. (Made JS-6. Case Terminated.) (rfi)

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ROGERM. MANSUKHANI (SBN: 164463) rmansukhani@gordonrees. com 2 STEVEN S013EL (SBN: 177210) ssobel@gordonrees.com 3 K.C. SWISHER (SBN: 245238) kswisher@gordonrees.com 1 4 GORDON & REES LLP 101 W. Broadway Suite 2000 6 San Diego, CA 92101 Telephone: (619) 696-6700 7 Facsimile: (619) 696-7124 5 8 Attorneys for Defendant MATSU, LLC & LEXINGTON ASSET MANAGEMENT, LLC 9 10 UNITED STATES DISTRICT COURT 11 CENTRAL DISTRICT OF CALIFORNIA 12 SARAALTAMIRANO,DAVID ALTAMIRANO, et al. 13 Plaintiffs, 14 vs. 15 16 17 MATSU, LLC, a Delaware limited liability company, and LEXINGTON ASSET MANAGEMENT (TN), LLC., a Tennessee Limited Liability Company, and DOES 1 through 200, 18 , CASE NO. CV12-6023 BRO (AJWx) ORDER ON ) ) PLAINTIFFS' AND DEFENDANTS' ) JOINT STIPULATION AND MOTION TO DISMISS ENTIRE ACTION WITH PREJUDICE Judge.: Beverly Reid O'Connell Courtroom: 14- Spring Complaint Filed: June 13, 2012 Defendants. 19 20 21 22 23 24 25 26 27 AND RELATED ACTION. TO THIS HONORABLE COURT, ALL PARTIES AND THEIR COUNSEL OF RECORD HEREIN: Plaintiffs and defendants MATSU, LLC and LEXINGTON ASSET MANAGEMENT COMPANY, LLC (collectively "Defendants"), by and through their counsel of record, hereby stipulate and jointly move this Court, pursuant to Federal Rule of Civil Procedure 41, subsection (a)(1)(A)(ii), to dismiss this entire action with prejudice, including Plaintiffs' Complaint and Defendants' 28 -1- PLAINTIFFS' AND DEFENDANTS' JOINT MOTION TO DISMISS CASE NO. CV12-6023-BRO (AJWx) 1 Counterclaim. The parties have resolved this matter in its entirety. Plaintiffs and 2 Defendants further stipulate to bear their own fees and costs. All persons 3 executing this joint stipulation for dismissal hereby acknowledge that they have 4 full authority to do so on behalf of their respective clients. 5 6 7 8 Respectfully submitted, Dated: November 20, 2014 GORDON & REES LLP 9 10 11 K.C. SWISHER Attorneys for Defendants MATSU, LLC & LEXINGTON ASSET MANAGEMENT, LLC 12 13 14 15 Dated: November 20, 2014 BASTA, INC. 16 17 18 19 By: -------------------MATT BRINTON Attorneys for Plaintiffs 20 21 22 23 24 25 26 27 28 1087527/21395485v.l -2- PLAINTIFFS' AND DEFENDANTS' JOINT MOTION TO DISMISS CASE NO. CV12-6023-BRO (AJWx) 1 Counterclaim. The parties have resolved this matter in its entirety. Plaintiffs and 2 Defendants further stipulate to bear their own fees and costs. All persons 3 executing this joint stipulation for dismissal hereby acknowledge that they have 4 full authority to do so on behalf of their respective clients. 5 6 7 ~~~ur ~.; 8 9 Dated: November 14,2014 GORDON & REES LLP 10 11 By: 12 -K-.C-.-.-SWI--S-HE-R~:-::-:-::--:-...-~.~--::. . ... . . : .... ~LLV111C>J~ 13 14 15 HJ.l ll"' MATSU, LLC & LEXINGTON ASSET MANAGEMENT, LLC Dated: November ~D, 2014 BASTA, INC. 16 17 18 19 By: -------------------Matt Brinton Attorneys for Plaintiffs 20 21 22 November 21, 2014 23 24 25 26 27 28 I 087527/ll395485v, I -1PLAINTIFFS' AND DEFENDANTS' JOINT MOTION TO DISMISS CASE NO. CV12-6023-BRO (AJWx)

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