Pearson Education, Inc., v. Alahmad et al

Filing 49

STIPULATED JUDGMENT - MAJDOLENE QASIM signed by Judge Kimberly J. Mueller on 9/27/13. (Kaminski, H)

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1 2 3 4 5 6 CANDICE L. FIELDS (CA SBN 172174) CANDICE FIELDS LAW 455 Capitol Mall, Suite 350 Sacramento, CA 95814 Tel: (916) 414-8050 Fax: (916) 790-9450 cfields@candicefieldslaw.com Attorney for Defendants ZEINA SIDAQUI, MAMOON “MIKE” ALAHMAD and MAJDOLENE QASIM 7 8 9 10 11 MICHAEL STUSIAK (CA SBN 142952) MStusiak@mofo.com ROBERT PETRAGLIA (CA SBN 264849) RPetraglia@mofo.com MORRISON & FOERSTER LLP 400 Capitol Mall, Suite 2600 Sacramento, California 95814-4428 Telephone: 916.448.3200 Facsimile: 916.448.3222 12 13 Attorneys for Plaintiff PEARSON EDUCATION, INC. 14 15 UNITED STATES DISTRICT COURT 16 EASTERN DISTRICT OF CALIFORNIA 17 18 PEARSON EDUCATION, INC., a Delaware Corporation, 19 20 21 22 23 24 25 26 Plaintiff, v. MAMOON “MIKE” ALAHMAD, ZEINA SIDAQUI, and MAJDOLENE QASIM as individuals and d/b/a KOOGIX, KOOGIX BOOKS, MOTIONS, ZUZBOOKS, BO0OKIES, BOOKIES, SELLER BOOKS and INSTRUCTORS BOOKS; BOA CORPORATION, a Wyoming Corporation; DOES 1 through 100, Defendants. 27 28 STIPULATED JUDGMENT - QASIM CASE NO. 2:12-CV-02936-KJM-CKD sf-3332584 Case No. 2:12-cv-02936-KJM-CKD STIPULATED JUDGMENT – MAJDOLENE QASIM Crtrm: 3, 15th Floor Judge: Hon. Kimberly J. Mueller 1 Plaintiff PEARSON EDUCATION, INC. (Plaintiff), by and through its attorney of record, 2 and Defendant MAJDOLENE QASIM (“Defendant”) hereby stipulate and agree that judgment in 3 this matter shall be entered in favor of Plaintiff and against Defendant as follows: 4 Defendant is hereby enjoined from selling or distributing any product published, 5 manufactured, sold, or distributed by Pearson Education Inc.; or facilitating, aiding, or directing 6 the sale or distribution, or receiving any payments derived directly or indirectly from the sale or 7 distribution, of any product published, produced or distributed by Pearson Education Inc. Said 8 products shall include, but not be limited to, any textbook, book, pamphlet, book sample, 9 promotional material, and software. 10 Defendant is hereby enjoined from representing explicitly or implicitly that she or any co- 11 defendant are or have ever been agents or employees of Pearson or any Pearson affiliate or 12 subsidiary. Defendant shall be enjoined from distributing or selling any Pearson branded 13 promotional materials. 14 Plaintiffs are hereby awarded the sum of one million, nine hundred thousand dollars 15 ($1,900,000.00) against Defendant for fraud, breach of contract, and violation of California 16 Business & Professions Code Section 17200. 17 18 19 Defendant hereby waives any right to contest, appeal, modify or seek reduction of the Damages Award. IT IS SO STIPULATED. 21 MICHAEL STUSIAK ROBERT PETRAGLIA MORRISON & FOERSTER LLP 22 By: 20 Dated: September 24, 2013 23 24 Dated: September 24, 2013 25 26 27 28 STIPULATED JUDGMENT - QASIM CASE NO. 2:12-CV-02936-KJM-CKD sf-3332584 /s/ Michael Stusiak MICHAEL STUSIAK Attorneys for Plaintiff PEARSON EDUCATION, INC. CANDACE L. FIELDS CANDICE FIELDS LAW By: /s/ Candice L. Fields (as authorized on 9/24/13) CANDICE L. FIELDS Attorney for Defendant MAJDOLENE QASIM 1 1 ORDER 2 Good Cause appearing based on the stipulation of the parties, 3 IT IS SO ORDERED. 4 Dated: September 27, 2013. 5 6 UNITED STATES DISTRICT JUDGE 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATED JUDGMENT - QASIM CASE NO. 2:12-CV-02936-KJM-CKD sf-3332584 2

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