Levine et al v. Sleep Train, Inc. et al

Filing 95

STIPULATION and ORDER signed by Senior Judge William B. Shubb on 7/6/2016 DISMISSING WITH PREJUDICE pursuant to FRCP 41(a)(1) as to the Defendants Sleep Train, Inc., Live Nation Entertainment, Inc., and BGE Yuba, LLC ONLY. Plaintiffs request that the Court not dismiss this action as to Defendant Costal Breeze Limousine, LLC. The disputes between Plaintiff and Defendant Costal Breeze Limousine, LLC, have not been completely resolved. (Jackson, T)

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1 2 3 4 5 CELIA MCGUINNESS, Esq. (SBN 159420) PAUL L. REIN, Esq. (SBN 43053) LAW OFFICES OF PAUL L. REIN 200 Lakeside Drive, Suite A Oakland, CA 94612 Telephone: 510/832-5001 Facsimile: 510/832-4787 reinlawoffice@aol.com 6 Attorneys for Plaintiffs ROBERT LEVINE and VERONICA GUZMAN 7 * Defendants’ counsel listed after the caption. 8 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA 9 10 11 12 ROBERT LEVINE and VERONICA GUZMAN, Plaintiffs, 13 14 15 16 17 CASE NO. C15-00002 WBS Civil Rights STIPULATION AND ORDER FOR DISMISSAL OF CERTAIN DEFENDANTS v. THE SLEEP TRAIN, INC.; LIVE NATION ENTERTAINMENT, INC.; COASTAL BREEZE LIMOUSINE, LLC; BGE YUBA, LLC; and DOES 1-20, Inclusive, FRCP 41(a)(1)(A)(ii) Defendants. 18 19 20 21 22 23 24 25 26 27 SHEPPARD, MULLIN, RICHTER & HAMPTON LLP A Limited Liability Partnership Including Professional Corporations GREGORY F. HURLEY, Cal. Bar No. 126791 ghurley@sheppardmullin.com BRADLEY J. LEIMKUHLER, Cal. Bar No. 261024 bleimkuhler@sheppardmullin.com 650 Town Center Drive, 4th Floor Costa Mesa, California 92626-1993 Telephone: 714.513.5100 Facsimile: 714.513.5130 Attorneys for Defendants LIVE NATION ENTERTAINMENT, INC. and THE SLEEP TRAIN, INC. 28 STIPULATION AND [PROPOSED] ORDER FOR DISMISSAL OF CERTAIN DEFENDANTS CASE NO. C15-00002 WBS -1- G:\DOCS\SHU\DSHU2\inBOX\Signed\15cv2.Levine.Stip to Dismiss Certain Defts.0706.docx STIPULATION 1 2 Plaintiffs ROBERT LEVINE and VERONICA GUZMAN (“PLAINTIFFS”) and 3 Defendants THE SLEEP TRAIN, INC. and LIVE NATION ENTERTAINMENT, INC., hereby 4 jointly stipulate and request through their attorneys of record that this action be and is hereby 5 dismissed with prejudice pursuant to FRCP 41(a)(1) as to the Defendants THE SLEEP TRAIN, 6 INC., LIVE NATION ENTERTAINMENT, INC., and BGE YUBA, LLC, ONLY. The Parties have 7 resolved their disputes as to injunctive relief, damages, attorney fees, litigation expenses and costs. 8 The Court will retain jurisdiction to enforce any compliance disputes as stated in the parties’ 9 settlement agreement. Plaintiffs request that the Court not dismiss this action as to Defendant 10 COASTAL BREEZE LIMOUSINE, LLC. The disputes between Plaintiff and Defendant 11 COASTAL BREEZE LIMOUSINE, LLC, have not been completely resolved. 12 13 14 Date: July 5, 2016 LAW OFFICE OF PAUL L. REIN 15 By: /s/ Celia McGuinness CELIA McGUINNESS, ESQ. Attorneys for Plaintiffs ROBERT LEVINE and VERONICA GUZMAN 16 17 18 19 Date: July 5, 2016 20 SHEPPARD, MULLIN, RICHTER & HAMPTON LLP 21 By: /s/ Bradley J. Leimkuhler BRADLEY J. LEIMKUHLER, ESQ. Attorneys for Defendants LIVE NATION ENTERTAINMENT, INC. and THE SLEEP TRAIN, INC. 22 23 24 25 26 27 28 STIPULATION AND [PROPOSED] ORDER FOR DISMISSAL OF CERTAIN DEFENDANTS CASE NO. C15-00002 WBS -2- G:\DOCS\SHU\DSHU2\inBOX\Signed\15cv2.Levine.Stip to Dismiss Certain Defts.0706.docx ORDER 1 2 Pursuant to stipulation, and for good cause shown, IT IS SO ORDERED. 3 4 Dated: July 6, 2016 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND [PROPOSED] ORDER FOR DISMISSAL OF CERTAIN DEFENDANTS CASE NO. C15-00002 WBS -3- G:\DOCS\SHU\DSHU2\inBOX\Signed\15cv2.Levine.Stip to Dismiss Certain Defts.0706.docx

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