Broadcast Music, Inc. et al v. Cooper et al

Filing 19

ORDER by Judge Haywood S. Gilliam, Jr. Granting 18 Stipulation Re Dismissal of Action With Prejudice. (ndrS, COURT STAFF) (Filed on 10/4/2016)

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1 JEFFREY W. KRAMER (SBN 71547) Email: jkramer@troygould.com 2 ANNMARIE MORI (SBN 217835) Email: amori@troygould.com 3 TROYGOULD PC 1801 Century Park East, 16th Floor 4 Los Angeles, CA 90067-2367 Telephone: (310) 553-4441 5 Facsimile: (310) 201-4746 6 Attorneys for Plaintiffs Broadcast Music, Inc., Paul Simon Music, Universal 7 Music-Z Tunes LLC d/b/a Universal Music Z Songs, Forceful Music, Interior Music Corp, Sony/ATV 8 Songs LLC 9 UNITED STATES DISTRICT COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 12 BROADCAST MUSIC, INC.; PAUL SIMON MUSIC; 13 UNIVERSAL MUSIC Z-TUNES LLC d/b/a UNIVERSAL MUSIC Z SONGS; 14 FORCEFUL MUSIC; INTERIOR MUSIC CORP.; 15 SONY/ATV SONGS LLC, 16 Case No. 3:16-cv-02225-HSG JOINT STIPULATION REQUESTING DISMISSAL OF ACTION Assigned for All Purposes To: Hon. Haywood S. Gilliam, Jr. Plaintiffs, v. 17 JACQUELINE MARIA COOPER and 18 PETER COOPER, each individually, 19 Defendants. 20 21 22 23 24 25 26 27 28 TroyGould PC JOINT STIPULATION REQUESTING DISMISSAL OF ACTION 03202-0052 286577.1 1 Plaintiffs Broadcast Music, Inc., Paul Simon Music, Universal Music-Z Tunes LLC 2 d/b/a Universal Music Z Songs, Forceful Music, Interior Music Corp and Sony/ATV Songs 3 LLC (collectively, “Plaintiffs”), by their attorneys, and Defendants Jacqueline Maria 4 Cooper and Peter Cooper (collectively, “Defendants”), by their attorneys, jointly submit 5 this request for dismissal. 6 A. hereby jointly request that the action be dismissed with prejudice. 7 8 The Parties to this action have jointly reached a settlement of all claims and B. The parties mutually request that this matter be dismissed by stipulation and 9 any future hearing dates be vacated. Good cause exists in light of the fact the 10 parties have entered into a Settlement Agreement resolving all issues relating 11 to this action. 12 C. Pursuant to Rule 41(a)(1) of the Federal Rules of Civil Procedure, Counsel 13 for Plaintiffs and Defendant further stipulate that the claims and causes of 14 action alleged against Defendants are hereby dismissed WITH PREJUDICE, 15 each of the parties to pay their own costs of the action. 16 17 D. The parties further stipulate that the Court shall retain jurisdiction to enforce the Settlement Agreement. 18 19 20 21 22 23 24 25 26 27 28 TroyGould PC 1 JOINT STIPULATION REQUESTING DISMISSAL OF ACTION 03202-0052 286577.1 1 2 Good cause appearing therefore, the parties stipulate to dismiss this action with 3 prejudice, with the Court to retain jurisdiction to enforce the Settlement Agreement. 4 5 SO STIPULATED. Dated: October 4, 2016 6 JEFFREY W. KRAMER ANNMARIE MORI TROYGOULD PC 7 8 By: /s/ AnnMarie Mori AnnMarie Mori Attorneys for Plaintiffs 9 10 11 Dated: October 4, 2016 12 CHRISTOPHER D. SULLIVAN DIAMOND MCCARTHY LLP 13 By: /s/ Christopher D. Sullivan Christopher D. Sullivan Attorneys for Defendants 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 TroyGould PC 2 JOINT STIPULATION REQUESTING DISMISSAL OF ACTION 03202-0052 286577.1 1 2 ORDER Good cause appearing therefor, pursuant to the stipulation of the parties, this action 3 is dismissed with prejudice, with the Court to retain jurisdiction to enforce the Settlement 4 Agreement. 5 SO ORDERED. 6 7 Dated: October 4, 2016 Hon. Judge Haywood S. Gilliam, Jr. 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 TroyGould PC 3 JOINT STIPULATION REQUESTING DISMISSAL OF ACTION 03202-0052 286577.1

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