National Federation of the Blind et al v. Greyhound Lines, Inc. et al

Filing 29

STIPULATION AND ORDER RE 28 OF DISMISSAL OF CASE. Signed by Judge Richard Seeborg on 8/10/18. (cl, COURT STAFF) (Filed on 8/10/2018)

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1 TIMOTHY ELDER – 277152 ANNA LEVINE – 227881 2 TRE Legal Practice 4226 Castanos Street 3 Fremont, California 94536 Telephone: (410) 415-3493 4 Facsimile: (415) 952-9898 Email: telder@trelegal.com alevine@trelegal.com 5 6 LISA ELLS – 243657 MICHAEL S. NUNEZ – 280535 7 ROSEN BIEN GALVAN & GRUNFELD LLP 50 Fremont Street, 19th Floor 8 San Francisco, California 94105-2235 Telephone: (415) 433-6830 9 Facsimile: (415) 433-7104 Email: lells@rbgg.com mnunez@rbgg.com 10 11 Attorneys for Plaintiffs 12 13 UNITED STATES DISTRICT COURT 14 NORTHERN DISTRICT OF CALIFORNIA 15 16 NATIONAL FEDERATION OF THE BLIND, on behalf of itself and all others 17 similarly situated; GREG DEWALL, on behalf of himself and all others similarly 18 situated; RICHIE FLORES, on behalf of himself and all others similarly situated; 19 MICHAEL HINGSON, on behalf of himself and all others similarly situated; 20 MICHAEL RICHARDSON, on behalf of himself and all others similarly situated; 21 and TINA THOMAS , on behalf of herself and all others similarly situated, 22 Plaintiffs, 23 v. 24 GREYHOUND LINES, INC. and 25 FIRSTGROUP, PLC, LLC, 26 Case No. 3:17-cv-03368-RS [PROPOSED] ORDER GRANTING STIPULATED REQUEST TO DISMISS CASE Judge: Hon. Richard Seeborg Trial Date: None Set Defendants. 27 28 [3272874.1] Case No. 3:17-cv-03368-RS ORDER GRANTING STIPULATED REQUEST TO DISMISS CASE 1 Pursuant to the parties’ Stipulation of Dismissal of Case and the parties’ 2 representations to the Court concerning settlement NOW, THEREFORE, IT IS HEREBY 3 ORDERED as follows: 4 1. All individual claims by the named Plaintiffs are hereby dismissed, with 5 prejudice. 6 2. All class claims are hereby dismissed, without prejudice. 7 3. The Complaint is hereby dismissed. 8 4. This Court retains jurisdiction over this case for a period ending two years 9 after the first day of the Compliance Period established by the parties’ settlement 10 agreement to enforce the terms of the Agreement. Within fourteen days after the 11 Compliance Period begins, the parties shall notify the court in writing the date on which 12 the Compliance Period began, and the date, two years later, on which the term shall end. 13 But for acts of God, force majeure or other reasons that are outside of Greyhound’s 14 reasonable control, the Compliance Period shall begin no later than March 3, 2019. 15 Should this Court become unavailable during the term of the Agreement, the parties shall 16 request that another judge or magistrate judge be assigned authority over this matter. 17 18 DATED: August ___, 2018 10 19 20 21 Honorable Richard Seeborg 22 23 24 25 26 27 28 [3272874.1] Case No. 3:17-cv-03368-RS 1 ORDER GRANTING STIPULATED REQUEST TO DISMISS CASE

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