Broadcast Music, Inc. et al v. Cooper et al
Filing
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ORDER by Judge Haywood S. Gilliam, Jr. Granting 18 Stipulation Re Dismissal of Action With Prejudice. (ndrS, COURT STAFF) (Filed on 10/4/2016)
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
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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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,
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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.
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JACQUELINE MARIA COOPER and
18 PETER COOPER, each individually,
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Defendants.
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TroyGould
PC
JOINT STIPULATION REQUESTING DISMISSAL OF ACTION
03202-0052 286577.1
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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.
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A.
hereby jointly request that the action be dismissed with prejudice.
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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
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any future hearing dates be vacated. Good cause exists in light of the fact the
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parties have entered into a Settlement Agreement resolving all issues relating
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to this action.
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C.
Pursuant to Rule 41(a)(1) of the Federal Rules of Civil Procedure, Counsel
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for Plaintiffs and Defendant further stipulate that the claims and causes of
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action alleged against Defendants are hereby dismissed WITH PREJUDICE,
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each of the parties to pay their own costs of the action.
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D.
The parties further stipulate that the Court shall retain jurisdiction to enforce
the Settlement Agreement.
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TroyGould
PC
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JOINT STIPULATION REQUESTING DISMISSAL OF ACTION
03202-0052 286577.1
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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.
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SO STIPULATED.
Dated: October 4, 2016
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JEFFREY W. KRAMER
ANNMARIE MORI
TROYGOULD PC
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By: /s/ AnnMarie Mori
AnnMarie Mori
Attorneys for Plaintiffs
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11 Dated: October 4, 2016
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CHRISTOPHER D. SULLIVAN
DIAMOND MCCARTHY LLP
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By: /s/ Christopher D. Sullivan
Christopher D. Sullivan
Attorneys for Defendants
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TroyGould
PC
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JOINT STIPULATION REQUESTING DISMISSAL OF ACTION
03202-0052 286577.1
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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.
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SO ORDERED.
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7 Dated: October 4, 2016
Hon. Judge Haywood S. Gilliam, Jr.
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TroyGould
PC
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JOINT STIPULATION REQUESTING DISMISSAL OF ACTION
03202-0052 286577.1
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