Skaff v. Ritz-Carlton Hotel Company, LLC et al
Filing
76
ORDERFOR DISMISSAL WITH PREJUDICE re 75 STIPULATION WITH PROPOSED ORDER FOR DISMISSAL WITH PREJUDICE OF DEFENDANTS RITZ-CARLTON HOTEL COMPANY LLC, SHC HALF MOON BAY LLC, DTRS HALF MOON BAY, LLC, AND MARRIOTT INTERNATIONAL, INC. filed by Richard Skaff. Ritz-Carlton Hotel Company, LLC, SHC Half Moon Bay, LLC, DTRS Half Moon Bay, LLC and Marriott International, Inc. terminated.. Signed by Judge Charles R. Breyer on 8/7/2012. (beS, COURT STAFF) (Filed on 8/8/2012)
Case3:10-cv-01115-CRB Document75 Filed08/07/12 Page1 of 3
SIDNEY J. COHEN, ESQ., SBN 39023
SIDNEY J. COHEN PROFESSIONAL CORPORATION
2 427 Grand Avenue
Oakland, CA 94610
3 Telephone: (510) 893-6682
Facsimile: (510) 893-9450
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Attorney for Plaintiff
RICHARD SKAFF
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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RICHARD SKAFF
Plaintiff,
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CASE NO. C 10 01115 CRB
Civil Rights
V.
RITZ -CARLTON HOTEL
COMPANY, LLC; SHC HALF
12 MOON BAY, LLC; DTRS HALF
MOON BAY, LLC; MARRIOTT
13 INTERNATIONAL, INC.; OCEAN
COLONY PARTNERS, LLC and
14 DOES 1-25, Inclusive,
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Defendants.
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Stipulation And Order For Dismissal
STIPULATION AND ORDER
FOR DISMISSAL WITH
PREJUDICE OF DEFENDANTS
RITZ -CARLTON HOTEL
COMPANY, LLC, SHC HALF
MOON BAY, LLC, DTRS HALF
MOON BAY, LLC, AND
MARRIOTT INTERNATIONAL,
INC.
FRCP section 41
Case3:10-cv-01115-CRB Document75 Filed08/07/12 Page2 of 3
Plaintiff RICHARD SKAFF and defendants RITZ -CARLTON HOTEL
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COMPANY, LLC, SHC HALF MOON BAY, LLC, DTRS HALF MOON BAY,
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LLC, and MARRIOTT INTERNATIONAL, INC, by and through their attorneys
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of record, file this Stipulation of Dismissal pursuant to Federal Rule of Civil
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Procedure section 41.
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Plaintiff filed this lawsuit on March 16, 2010.
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Plaintiff and defendants have entered into a “Release and Settlement
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Agreement” that settles all aspects of the lawsuit against all defendants. A copy
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of the “Release And Settlement Agreement” is incorporated by reference herein
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as if set forth in full.
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The “Release And Settlement Agreement states in part that “The court
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shall retain jurisdiction to enforce this Agreement.”Plaintiff and defendants
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stipulate to the court retaining jurisdiction to enforce the “Release And
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Settlement Agreement .”
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Plaintiff moves to dismiss with prejudice the lawsuit against defendants
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RITZ -CARLTON HOTELCOMPANY, LLC, SHC HALF MOON BAY, LLC,
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DTRS HALF MOON BAY, LLC, and MARRIOTT INTERNATIONAL, INC.
Defendants RITZ -CARLTON HOTELCOMPANY, LLC, SHC HALF
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MOON BAY, LLC, DTRS HALF MOON BAY, LLC, and MARRIOTT
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INTERNATIONAL, INC, who have answered the Complaint, agree to the
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dismissal with prejudice.
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This case is not a class action, and no receiver has been appointed.
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This Stipulation and Order may be signed in counterparts, and electronic
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and facsimile signatures shall be as valid and as binding as original signatures.
Wherefore, plaintiff and defendants, by and through their attorneys of
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record, so stipulate.
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//
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Stipulation And Order For Dismissal
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Case3:10-cv-01115-CRB Document75 Filed08/07/12 Page3 of 3
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Date: 7/18/12
SIDNEY J. COHEN
PROFESSIONAL CORPORATION
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/s/ Sidney J. Cohen
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Sidney J. Cohen
Attorney for Plaintiff Richard Skaff
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Date: 7/18/12
DEUTSCH, KERRIGAN, &STILES
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/s/ Theodore L. White
_____________________________
Theodore L. White
Attorneys for Defendants SHC Half
Moon Bay, LLC and DTRS Half
Moon Bay, LLC
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Date: 7/18/12
SEYFARTH SHAW LLP
/s Minh N. Vu
_____________________________
Minh N. Vu
Attorneys for Defendants Ritz
Carlton Hotel Company, LLC and
Marriott International, Inc.
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PURSUANT TO STIPULATION OF THE PARTIES, IT IS SO ORDERED:
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The lawsuit against defendants RITZ -CARLTON HOTELCOMPANY,
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LLC, SHC HALF MOON BAY, LLC, DTRS HALF MOON BAY, LLC, and
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MARRIOTT INTERNATIONAL, INC, is dismissed with prejudice. The Court
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shall retain jurisdiction to enforce the parties’ “Release And Settlement
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Agreement.”
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Date: August 7, 2012
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RT
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ER
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Stipulation And Order For Dismissal
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er
R. Brey
A
H
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R NIA
harles
Judge C
NO
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FO
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Charles R. Breyer
United States District Judge
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UNIT
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