McDaniels v. County of San Joaquin
Filing
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ORDER signed by Senior Judge William B. Shubb on 7/10/2018 DISMISSING CASE with prejudice, pursuant to FRCP 41(a)(2); each party to bear their own fees and costs, including without limitation attorney's fees. CASE CLOSED(Reader, L)
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DANA A. SUNTAG (State Bar #125127)
JOSHUA J. STEVENS (State Bar # 238105)
HERUM/CRABTREE/SUNTAG
A California Professional Corporation
5757 Pacific Avenue, Suite 222
Stockton, California 95207
Telephone: (209) 472-7700
Facsimile: (209) 472-7986
dsuntag@herumcrabtree.com
jstevens@herumcrabtree.com
Attorneys for Defendant
COUNTY OF SAN JOAQUIN
JOHN L. BURRIS ESQ., SBN 69888
BEN NISENBAUM, ESQ., SBN 222173
JAMES COOK, ESQ., SBN 300212
LAW OFFICES OF JOHN L. BURRIS
Airport Corporate Centre
7677 Oakport Street, Suite 1120
Oakland, California 94621
Telephone: (510) 839-5200
Facsimile: (510) 839-3882
John.Burris@johnburrislaw.com
Ben.Nisenbaum@johnburrislaw.com
James.Cook@johnburrislaw.com
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Attorneys for Plaintiff
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UNITED STATES DISTRICT COURT
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FOR THE EASTERN DISTRICT OF CALIFORNIA
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SYNETTA MCDANIELS, individually and as
successors-in-interest to Decedent
CELESTINE ALLEN,
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Plaintiff,
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vs.
CASE NO.: 2:16-cv-02007-WBS-DB
STIPULATION AND ORDER FOR
DISMISSAL OF ENTIRE CASE WITH
PREJUDICE
[No hearing requested]
COUNTY OF SAN JOAQUIN, a municipal
corporation; and DOES 1-50, inclusive,
Defendants.
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STIPULATION AND ORDER FOR DISMISSAL
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RECITALS
A.
On March 14, 2017, Plaintiff filed her operative Complaint, naming the
County of San Joaquin as the sole Defendant. (ECF No. 16.)
B.
On March 27, 2017, the County of San Joaquin filed an answer to the
Plaintiff’s Complaint. (ECF No. 19.)
C.
The parties have settled, and Plaintiff now wishes to voluntarily dismiss
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the entire action, with prejudice, as part of her settlement with the County of San
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Joaquin.
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STIPULATION
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IT IS STIPULATED AND AGREED, by and between Plaintiff and the County of
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San Joaquin, through their undersigned counsel of record, that this entire action be
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dismissed with prejudice as to all Defendants, each party to bear their own fees and
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costs, including without limitation attorneys’ fees, pursuant to Rule 41(a)(2) of the
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Federal Rules of Civil Procedure.
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Respectfully Submitted,
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Dated: July 9, 2018
LAW OFFICES OF JOHN L. BURRIS
By:
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Dated: July 9, 2018
/s/ Benjamin Nisenbaum
Benjamin Nisenbaum
Attorneys for Plaintiff
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HERUM\CRABTREE\SUNTAG
A California Professional Corporation
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By:
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/s/ Joshua J. Stevens
JOSHUA J. STEVENS
Attorneys for Defendants
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ORDER
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IT IS SO ORDERED.
Dated: July 10, 2018
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STIPULATION AND ORDER FOR DISMISSAL
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