Tamara v. El Camino Hospital et al
Filing
71
STIPULATION AND ORDER 69 for Dismissal of Action With Prejudice as to Defendant Dave Digant. Digant Dave Terminated. Signed by Judge Ronald M. Whyte on 7/23/14. (jgS, COURT STAFF) (Filed on 7/23/2014)
1 PAUL L. REIN, Esq. (SBN 43053)
CELIA MCGUINNESS, Esq. (SBN 159420)
2 CATHERINE M. CABALO, Esq. (SBN 248198)
LAW OFFICES OF PAUL L. REIN
3 200 Lakeside Drive, Suite A
Oakland, CA 94612
4 Telephone: 510/832-5001
Facsimile: 510/832-4787
5 reinlawoffice@aol.com
6 Attorneys for Plaintiff
ABIGAYIL TAMARA
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8 MARTIN J. EVERSON, Esq. (SBN 76350)
AARON T. SCHULTZ, Esq. (SBN 222949)
9 GALLOWAY, LUCCHESE, EVERSON & PICCHI
A Professional Corporation
10 1676 North California Blvd., Suite 500
Walnut Creek, CA 94596-4183
11 Telephone: 925/930-9090
Facsimile: 925/930-9035
12 aschultz@glattys.com
13 Attorneys for Defendants
EL CAMINO HOSPITAL and DIGANT DAVE
14 (sued as DAVID DIGANT)
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IN THE UNITED STATES DISTRICT COURT
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IN AND FOR THE NORTHERN DISTRICT OF CALIFORNIA
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18 ABIGAYIL TAMARA,
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CASE NO. C12-01032 RMW
Civil Rights
Plaintiff,
v.
21 EL CAMINO HOSPITAL; DAVID DIGANT;
and DOES 1-20, Inclusive,
22
Defendants.
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STIPULATION FOR DISMISSAL OF
ACTION WITH PREJUDICE AND
[] ORDER AS TO
DEFENDANT
DIGANT
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6517533.1
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CASE NO. C12-01032 RMW
STIPULATION FOR DISMISSAL OF ACTION WITH PREJUDICE AND
[] ORDER AS TO DEFENDANT DIGANT DAVE
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IT IS HEREBY STIPULATED by and between Plaintiff ABIGAYIL TAMARA on the
2 one hand and Defendant DIGANT DAVE (sued as DAVID DIGANT) on the other hand,
3 parties to this action, by and through their respective counsel, that pursuant to Federal
4 Rule of Civil Procedure 41(a)(1)(A)(ii), the above-captioned action be dismissed with
5 prejudice in its entirety as to Defendant DIGANT DAVE. Each side shall pay its own
6 attorneys' fees and costs.
Defendant DIGANT DAVE agrees to the dismissal with
7 prejudice. Defendant EL CAMINO HOSPITAL does not object to this dismissal.
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This Stipulation and Order may be signed in counterparts, and facsimile or
9 electronically transmitted signatures shall be valid and binding as original signatures.
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Wherefore, Plaintiff ABIGAYIL TAMARA and Defendant DIGANT DAVE, by and
11 through their attorneys of record, so stipulate.
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13 DATED: July 11, 2014
LAW OFFICES OF PAUL L. REIN
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By:
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/s/ Celia McGuinness
CELIA MCGUINNESS
Attorneys for Plaintiff
ABIGAYIL TAMARA
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18 DATED: July 11, 2014
GALLOWAY, LUCCHESE,
EVERSON & PICCHI
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By:
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/s/ Aaron T. Schultz
MARTIN J. EVERSON
AARON T. SCHULTZ
Attorneys for Defendant
DIGANT DAVE and EL CAMINO HOSPITAL
24 / / /
25 / / /
26 / / /
27 / / /
6517533.1
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CASE NO. C12-01032 RMW
-2STIPULATION FOR DISMISSAL OF ACTION WITH PREJUDICE AND
[] ORDER AS TO DEFENDANT DIGANT DAVE
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[] ORDER
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
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The lawsuit, as to Defendant Digant Dave, is dismissed with prejudice. Each side
4 shall pay its own attorneys' fees and costs.
5 DATED: ________________, 2014
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HONORABLE RONALD M. WHYTE
United States District Court Judge
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6517533.1
28
CASE NO. C12-01032 RMW
-3STIPULATION FOR DISMISSAL OF ACTION WITH PREJUDICE AND
[] ORDER AS TO DEFENDANT DIGANT DAVE
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