Cheringal Associates, Inc. v. Electronics For Imaging, Inc.

Filing 37

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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1 2 3 4 5 6 7 8 9 10 11 12 13 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. 14 15 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA, SAN FRANCISCO DIVISION 16 17 18 19 20 21 22 23 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. 24 25 26 AND RELATED COUNTERCLAIM ) ) ) ) _____________________________________ 27 Case No. 3:14-cv-00189-EMC STIPULATION AND ORDER FOR DISMISSAL OF ENTIRE ACTION WITH PREJUDICE 1 Pursuant to the Settlement Agreement and Release of Claims, dated as of July 31, 2014, 2 between the parties, Plaintiff Cheringal Associates, Inc. and Defendant Electronics For Imaging, 3 Inc. hereby stipulate that the entire above-entitled action, including both the Complaint filed by 4 Plaintiff and the Counterclaim filed by Defendant, be dismissed with prejudice, with each party 5 to bear its own costs and fees. The parties stipulate that this Court shall retain jurisdiction over 6 this action for the purpose of enforcing the terms of the Settlement Agreement and Release of 7 Claims. 8 9 Dated: August 29, 2014 10 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 11 12 13 DATED: August 29, 2014 15 KERR & WAGSTAFFE LLP By: /s/ Ivo Labar IVO LABAR 16 17 Attorneys for Defendant ELECTRONICS FOR IMAGING, INC. 18 NO 24 AS M RT 25 dward Judge E ER H 26 27 R NIA 23 D HONORABLE EDWARD RE CHEN ORDE M. IS SO DISTRICT JUDGE I STATES DIFIED UNITED T O n M. Che FO 22 LI 9/9 Dated: __________, 2014 C TA RT U O 21 S 20 vacated. IT IS SO ORDERED. All hearing dates areST S DI RICT TE UNIT ED 19 A 14 N F D IS T IC T O R C 1 Case No. 3:14-cv-00189-EMC STIPULATION AND ORDER FOR DISMISSAL OF ENTIRE ACTION WITH PREJUDICE 1 I, Frank Busch, am the ECF User whose ID and password is being used to file this 2 Stipulated Protective Order. In compliance with Civil Local Rule 5-1(i)(3), I hereby attest that 3 each signatory indicated above has concurred in this filing. 4 DATED: August 29, 2014 KERR & WAGSTAFFE LLP 5 6 By: /s/ Frank Busch FRANK BUSCH 7 8 Attorneys for Defendant 9 ELECTRONICS FOR IMAGING, INC. 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 2 Case No. 3:14-cv-00189-EMC STIPULATION AND ORDER FOR DISMISSAL OF ENTIRE ACTION WITH PREJUDICE

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