Jeanette Brown v. Victor Z Hanson et al

Filing 26

STIPULATION AND ORDER re 25 of dismissal. Signed by Judge Edward M. Chen on 2/7/18. 2/8/18 CMC vacated. (bpf, COURT STAFF) (Filed on 2/7/2018)

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2 3 4 THOMAS E. FRANKOVICH (State Bar #074414) AMANDA LOCKHART (State Bar #289900) THOMAS E. FRANKOVICH, A PROFESSIONAL LA W CORPORA TION 702 Mangrove Avenue, #304 Chico, CA 95926 Telephone: (415) 389-8600 Email: alockhart@disabilitieslaw.com 5 6 Attorney for Plaintiff 7 UNITED STATES DISTRICT COURT 8 NORTHERN DISTRICT OF CALIFORNIA 9 10 JEANETTE BROWN, ) ) II Plaintiff, 12 13 14 v. 17 ) STIPULATION OF DISMISSAL AND ) [PROPOSED] ORDER THEREON ) ) HANSON SHOPPING CENTER, et al. ) ) 15 16 ) CASE NO. 3: 17-cv-01914-EMC Defendants. ) ) ---------------------) 18 19 20 The Parties, by and through their respective counsel, stipulate to dismissal of this action in its entirety with prejudice pursuant to Fed.R.Civ.P.4I (a)(2). 21 IT IS HEREBY STIPULATED by and between parties to this action through their 22 designated counsel that the above-captioned action become and hereby is dismissed with 23 prejUdice and each side is to bear its own costs and attorneys' fees. 24 The parties further consent to and request that the Court retain jurisdiction over 25 enforcement of the Agreement. See Kokonen v. GuardianLife Ins. Co., 511 U.S. 375 (1994) 26 (empowering the district courts to retain jurisdiction over enforcement of settlement 27 agreements). 28 Joint Slipulution Case No. 17-0191" 2 IT IS SO STIPULATED. 3 4 Dated: February 7, 2018 THOMAS E. FRANKOVICH, APLC A PROFESSIONAL LA W CORPORATION 5 By: /s/ Thomas E. Frankovich Thomas E. Frankovich Attorney for Plaintiff 6 7 8 9 Dated: February 7, 2018 NEARY and O'BRIEN 10 . er M. O'Brien ttorney for Defendants II 12 13 [proposed) ORDER 14 IT IS HEREBY ORDERED that this matter is dismissed with prejudice pursuant to 15 16 Fed.R.Civ.PAI(a)(2) and each side is to bear its own costs and attorneys' fees. IT IS 17 FURTHER ORDERED that the Court shall retain jurisdiction for the purpose of enforcing 18 the parties' Settlement Agreement and General Release should such enforcement be 19 necessary. 20 21 2/7/18 DERED SO OR IT IS Honorable Edward M. Chen United States District Court Judge hen rd M. C ge Edwa Jud 25 H ER LI RT 27 FO NO 26 28 Joint Slipullliinn A 24 Dated: R NIA 23 UNIT ED S IT IS SO ORDERED. RT U O 22 S DISTRICT TE C TA N F D IS T IC T O R C Cuse No. 17-01914

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