Yoakum et al v. Perysian et al
Filing
21
STIPULATION and ORDER signed by District Judge Morrison C. England, Jr on 3/13/2017 ORDERING the above entitled action is DISMISSED, with prejudice, each side to bear its own costs. The having now been concluded in its entirety, the Clerk of Court is directed to close the file. CASE CLOSED (Washington, S)
1 CLAYEO C. ARNOLD, ESQ. (SBN 65070)
JOHN T. STRALEN, ESQ. (SBN) 171227)
2 CLAYEO C. ARNOLD
A Professional Corporation
3 865 Howe Avenue
Sacramento, CA 95825
4 Telephone: (916) 924-3100
Facsimile: (916) 924-1829
5 E-Mail: carnold@justice4you.com
6 Attorney for Plaintiffs
7 Gordon W. Bowley (SBN 187624)
POWERS MILLER
8 A Professional Corporation
2180 Harvard Street, Suite 200
9 Sacramento, California 95815
Telephone No. (916) 924-7900
10 Facsimile No. (916) 924-7980
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E-Mail: gwb@powersmiller.com
Attorney for LAWRENCE S. YOAKUM
12 On the Counter-Claim
13
JOHN P. COLEMAN, SBN 60844
14 BOLLING & GAWTHROP
A Professional Corporation
15 8880 Cal Center Drive, Suite 190
Sacramento, California 95826
16 Telephone: (916) 369-0777
Facsimile: (916) 369-2698
17 E-Mail: jpc@bwg-inc.com
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Attorneys for Michelle A. Perysian and
19 Van Eerden Trucking Company, Inc
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21
UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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24 LAWRENCE S. YOAKUM, DANIELLE
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26
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YOAKUM, SHELBY A. YOAKUM,
Plaintiffs,
v.
CASE NO.: 2:15-cv-02508-MCE-AC
STIPULATION AND ORDER OF
DISMISSAL WITH PREJUDICE
MICHELLE A. PERYSIAN, VAN
28 EERDEN TRUCKING COMPANY, INC.
and DOES 1 through 25, inclusive,
Bolling &
Gawthrop
A Professional
Corporation
1
STIPULATION AND ORDER OF DISMISSAL WITH PREJUDICE
1
Defendants
2 __________________________________
3 VAN EERDEN TRUCKING COMPANY,
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5
6
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INC.,
Counter-Claimant,
v.
LAWRENCE S. YOAKUM,
Plaintiff.
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1.
WHEREAS, plaintiffs Lawrence S. Yoakum, Danielle Yoakum and Shelby A.
11 Yoakum have agreed to dismiss this action in its entirety with prejudice, under Federal Rules of
12 Civil Procedure, Rule 41(a)(1); and
13
2.
WHEREAS, the parties to this action have duly executed a Settlement Agreement
14 and Full Release of all Claims; and
15
3.
WHEREAS, the parties to this action agree that each side is to bear its own costs
16 and attorney’s fees in this matter;
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4.
WHEREAS, notice of settlement was duly filed with this Court (Doc. No. 17),
18 pursuant to Local Rule 160 and 272 and the Court issued its Minute Order providing that
19 dispositional documents are to be filed on or before March 15, 2017 (Minute Order, Doc. No. 18);
20
5.
WHEREAS, plaintiffs erroneously filed on March 7, 2017, a Notice of Dismissal
21 without prejudice (Doc. No. 19);
22
6.
The parties to this action agree and hereby stipulate, through their respective
23 attorneys, that plaintiffs and counter-claimant dismiss their actions in their entirety with prejudice,
24 each side bearing its own costs.
25
26 DATED: March 8, 2016
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28
Bolling &
Gawthrop
A Professional
Corporation
BOLLING & GAWTHROP
By:
/s/ John P Coleman
John P. Coleman, Esq.
2
STIPULATION AND ORDER OF DISMISSAL WITH PREJUDICE
1
2
DATED: March 8, 2016
CLAYEO C. ARNOLD
3
By: __/s/ John Stralen_
John T. Stralen
4
5
6 DATED: March 8, 2016
POWERS & MILLER
7
By:
8
/s/ Gordon W. Bowley
Gordon W. Bowley Esq.
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10
ORDER
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12
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Having considered the foregoing stipulation of the parties, and good cause appearing, the
14 above entitled action is hereby dismissed, with prejudice, each side to bear its own costs. The
15 having now been concluded in its entirety, the Clerk of Court is directed to close the file.
16
IT IS SO ORDERED.
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18
Dated: March 13, 2017
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25
26
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Bolling &
Gawthrop
A Professional
Corporation
3
STIPULATION AND ORDER OF DISMISSAL WITH PREJUDICE
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