Shockley v. Screen Actors Guild-American Federation of Television and Radio Artists
Filing
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STIPULATION AND ORDER OF DISMISSAL. Signed by Judge Charles R. Breyer on 12/5/2017. (lsS, COURT STAFF) (Filed on 12/5/2017)
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SAN FRA N CI S CO
ATTO RNEY S AT LAW
H IRSCHFELD K RAEMER LLP
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JOHN F. BAUM (SBN 148366)
jbaum@hkemploymentlaw.com
IAN FORGIE (SBN 307721)
iforgie@hkemploymentlaw.com
HIRSCHFELD KRAEMER LLP
505 Montgomery Street 13th Floor
San Francisco, CA 94111
Telephone: (415) 835-9000
Facsimile: (415) 834-0443
Attorneys for Defendant
Screen Actors Guild - American Federation of
Television and Radio Artists
COREY PAGE (EVANS) (SBN 218789)
cpage@evansandpage.com
EVANS & PAGE
2912 Diamond Street #346
San Francisco, CA 94131
Telephone: (415) 896-5072
Facsimile: (415) 358-5855
Attorneys for Plaintiff
Lori Shockley
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SAN FRANCISCO DIVISION
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LORI SHOCKLEY, an individual,
Plaintiff,
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STIPULATION OF DISMISSAL AND
[PROPOSED] ORDER
vs.
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Case No. 3:17-cv-03468-CRB
SCREEN ACTORS GUILD AMERICAN FEDERATION OF
TELEVISION AND RADIO ARTISTS;
and DOES 1 through 10, inclusive,
Complaint Filed: June 14, 2017
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Defendants.
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STIPULATION OF DISMISSAL AND [PROPOSED] ORDER
CASE NO.: 3:17-CV-03468-CRB
4835-4607-5735
WHEREAS Plaintiff Lori Shockley commenced the above-entitled action (the “Action”)
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against Defendant, Screen Actors Guild – American Federation of Television and Radio Artists
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on June 14, 2017, alleging causes of action for disability discrimination under state and federal
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law;
WHEREAS the parties to this Action stipulate and agree to pursue this matter in
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arbitration and to dismiss the action with prejudice;
IT IS HEREBY STIPULATED by and between the parties to this Action, through their
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undersigned counsel, that the above-captioned action be and hereby is dismissed with prejudice as
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to all Defendants pursuant to Federal Rule of Civil Procedure 41(a)(1);
undersigned counsel, that the case management conference currently scheduled for December 8,
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SAN FRA N CI S CO
ATTO RNEY S AT LAW
IT IS FURTHER STIPULATED by and between the parties to this Action, through their
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H IRSCHFELD K RAEMER LLP
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2017 is requested to be taken off calendar;
IT IS FURTHER STIPULATED by and between the parties to this Action, through their
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undersigned counsel, that each party shall bear its own attorneys’ fees and costs of suit.
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Dated:
December 1, 2017
HIRSCHFELD KRAEMER LLP
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By: /s/ John F. Baum
John F. Baum
Ian W. Forgie
Attorneys for Defendant
Screen Actors Guild - American Federation of
Television and Radio Artists
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Dated:
December 1, 2017
EVANS & PAGE
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By: /s/ Corey Page (Evans) Permission to e-file given 12/1/17
Corey Page (Evans)
Attorneys for Plaintiff
Lori Shockley
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STIPULATION OF DISMISSAL AND [PROPOSED] ORDER
CASE NO.: 3:17-CV-03468-CRB
ORDER
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Having reviewed the parties’ stipulation above, and finding good cause therefore, the
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Court dismisses this Action with prejudice and removes from the calendar the case management
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conference scheduled for December 8, 2017.
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IT IS SO ORDERED.
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December 5
DATED: _______________ , 2017
_________________________________________
Judge Charles R. Breyer
United States District Court
Northern District of California
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SAN FRA N CI S CO
ATTO RNEY S AT LAW
H IRSCHFELD K RAEMER LLP
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STIPULATION OF DISMISSAL AND [PROPOSED] ORDER
CASE NO.: 3:17-CV-03468-CRB
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