Cheringal Associates, Inc. v. Electronics For Imaging, Inc.
Filing
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STIPULATION AND ORDER re 36 STIPULATION WITH PROPOSED ORDER for Dismissal of Entire Action with Prejudice filed by Electronics For Imaging, Inc., ***Deadlines terminated. 36 STIPULATION WITH PROPOSED ORDER for Dismissal of Entire Action with Prejudice filed by Electronics For Imaging, Inc... Signed by Judge Edward M. Chen on 9/9/14. (bpf, COURT STAFF) (Filed on 9/9/2014)
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LAW OFFICES OF ROBERT F. KNOX
ROBERT F. KNOX (SBN 71524)
bob@robertfknox.com
REED E. HARVEY (SBN 161318)
reedeharvey@gmail.com
319 Miller Avenue, Suite 1
Mill Valley, CA 94941
Telephone: (415) 388-9090
Facsimile: (415) 388-9590
Attorneys for Plaintiff
CHERINGAL ASSOCIATES, INC.,
doing business as CONTROL
GROUP
IVO LABAR (203492)
labar@kerrwagstaffe.com
FRANK BUSCH (258288)
busch@kerrwagstaffe.com
KERR & WAGSTAFFE LLP
100 Spear St., 18th Floor
San Francisco, CA 94105–1528
Tel: (415) 371-8500
Fax: (415) 371-0500
Attorneys for Defendant
ELECTRONICS FOR IMAGING, INC.
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UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA, SAN FRANCISCO DIVISION
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CHERINGAL ASSOCIATES, INC., a
) Case No. 3:14-cv-00189-EMC
New Jersey Corporation doing business as )
Control Group,
)
) STIPULATION AND ORDER FOR
) DISMISSAL OF ENTIRE ACTION
Plaintiff,
) WITH PREJUDICE
)
v.
) Courtroom 5
ELECTRONICS FOR IMAGING, INC., a ) Hon. Edward M. Chen
Delaware Corporation, doing business as )
) Action Filed: January 13, 2014
EFI,
) Trial Date: April 27, 2015
)
Defendant.
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AND RELATED COUNTERCLAIM
)
)
)
)
_____________________________________
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Case No. 3:14-cv-00189-EMC
STIPULATION AND ORDER FOR DISMISSAL
OF ENTIRE ACTION WITH PREJUDICE
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Pursuant to the Settlement Agreement and Release of Claims, dated as of July 31, 2014,
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between the parties, Plaintiff Cheringal Associates, Inc. and Defendant Electronics For Imaging,
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Inc. hereby stipulate that the entire above-entitled action, including both the Complaint filed by
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Plaintiff and the Counterclaim filed by Defendant, be dismissed with prejudice, with each party
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to bear its own costs and fees. The parties stipulate that this Court shall retain jurisdiction over
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this action for the purpose of enforcing the terms of the Settlement Agreement and Release of
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Claims.
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Dated: August 29, 2014
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LAW OFFICES OF ROBERT F. KNOX
By:
/s/ Robert F. Knox
ROBERT F. KNOX
Attorneys for Plaintiff
CHERINGAL ASSOCIATES, INC.,
Doing business as CONTROL GROUP
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DATED: August 29, 2014
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KERR & WAGSTAFFE LLP
By:
/s/ Ivo Labar
IVO LABAR
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Attorneys for Defendant
ELECTRONICS FOR IMAGING, INC.
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NO
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AS M
RT
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dward
Judge E
ER
H
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R NIA
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D
HONORABLE EDWARD RE CHEN
ORDE M.
IS SO DISTRICT JUDGE
I STATES DIFIED
UNITED T
O
n
M. Che
FO
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LI
9/9
Dated: __________, 2014
C
TA
RT
U
O
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S
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vacated.
IT IS SO ORDERED. All hearing dates areST
S DI RICT
TE
UNIT
ED
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A
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N
F
D IS T IC T O
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C
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Case No. 3:14-cv-00189-EMC
STIPULATION AND ORDER FOR DISMISSAL
OF ENTIRE ACTION WITH PREJUDICE
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I, Frank Busch, am the ECF User whose ID and password is being used to file this
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Stipulated Protective Order. In compliance with Civil Local Rule 5-1(i)(3), I hereby attest that
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each signatory indicated above has concurred in this filing.
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DATED: August 29, 2014
KERR & WAGSTAFFE LLP
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By: /s/ Frank Busch
FRANK BUSCH
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Attorneys for Defendant
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ELECTRONICS FOR IMAGING, INC.
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Case No. 3:14-cv-00189-EMC
STIPULATION AND ORDER FOR DISMISSAL
OF ENTIRE ACTION WITH PREJUDICE
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