Arias et al v. FCA US LLC

Filing 38

ORDER signed by District Judge John A. Mendez on 6/7/19 GRANTING the parties 90 days for performance of all terms included in the Release Agreement including the issue of attorney's fees and costs. (Coll, A)

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1 2 3 4 Jill L. Harris (SBN 276832) HARRIS CONSUMER LAW 1581 Oak Knoll Ln Newcastle, CA 95968 P: (916) 572-9410 F: (916) 905-3888 E:jill@harrisconsumerlaw.com 5 6 Attorneys for Plaintiffs LUPE ARIAS and JAVIER ARIAS 7 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA 10 11 12 LUPE ARIAS and JAVIER ARIAS, Plaintiffs, 13 14 v. 15 FCA US LLC., et al., 16 Defendants. 17 18 ) ) ) ) ) ) ) ) ) ) ) ) ) ) Case No. 2:1 8-CV-00392-JAM -AC NOTICE OF SETTLEMENT; AND REQUEST THAT THE COURT RETAIN JURISDICTION OF THE MATTER PER THE TERMS OF THE SETTLMENT AGREEMENT ATTACHED HERETO AS, [EXHIBIT A] _____________________________________ 19 20 The parties in the above-referenced case, by and through their respective counsel, submit this 21 joint Notice of Settlement pursuant to the executed settlement agreement and release, attached hereto 22 as Exhibit A. 23 The parties requests that the court retain jurisdiction of the matter until; 1) each has 24 had time to perform the terms of the Release Agreement, and; 2) Attorney’ fees and costs have been 25 26 27 decided, either by motion per local rules 292 and 293, or stipulation of the parties. Per the terms of the Release Agreement, performance should be complete within 40 days from 28 ARIAS v FCA NOTICE OF SETTLEMENT 1 1 2 3 the date of execution of the Release, or in no event more than 60 days from that date. Once the Release terms are satisfied, and the issue of attorney’s fees and costs is decided by this court, or stipulated to between the parties, Plaintiffs will file a dismissal of the entire 4 action, with prejudice. 5 6 7 Accordingly, the parties respectfully request that the court allow 90 days for performance of all terms included in the Release Agreement, including the issue of attorney’s fees and costs. 8 9 10 HARRIS CONSUMER LAW Dated: June 6, 2019 11 12 /s/ Jill L. Harris ________________ Jill L. Harris Attorney for Plaintiffs LUPE ARIAS and JAVIER ARIAS 13 14 15 16 Dated: June 7, 2019 HAWKINS PARNELL & YOUNG LLP 17 18 ______________________________ Jeffrey T. Thayer Kristoffer S. Jacob Attorney for Defendant, FCA US LLC 19 20 21 22 IT IS SO ORDERED: 23 24 DATED: 6/7/2019 /s/ John A. Mendez_______________________ 25 John A. Mendez UNITED STATES DISTRICT COURT JUDGE 26 27 28 ARIAS v FCA NOTICE OF SETTLEMENT 2

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