Dey v. Cardinal Health 200, LLC et al

Filing 40

STIPULATION AND ORDER FOR DISMISSAL WITH PREJUDICE. Signed by Judge Nathanael Cousins on 10/9/2019. (lmhS, COURT STAFF) (Filed on 10/9/2019)

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4 Matthew S. Da Vega (Cal. Bar No. 195443) DA VEGA | FISHER | MECHTENBERG, LLP 940 Stewart Drive Sunnyvale, California 94085 Telephone: (408) 758-8974 Facsimile: (877) 535-9358 E-mail: Mdavega@mdmflaw.com 5 Attorneys for Plaintiff Coco Dey 6 Dylan B. Carp (Cal. Bar No. 196846) JACKSON LEWIS P.C. 50 California Street, 9th Floor San Francisco, California 94111 Telephone: (415) 394-9400 Facsimile: (415) 394-9401 E-mail: Dylan.Carp@jacksonlewis.com 1 2 3 7 8 9 10 11 12 13 14 15 David K. Montgomery (Cal. Bar No. 120066) JACKSON LEWIS P.C. 201 E. Fifth Street, 26th Floor Cincinnati, Ohio 45202 Telephone: (513) 898-0050 Facsimile: (513) 898-0051 E-mail: David.Montgomery@jacksonlewis.com Attorneys for Defendants CARDINAL HEALTH 200, LLC and BRADLY COLLINS 16 UNITED STATES DISTRICT COURT 17 NORTHERN DISTRICT OF CALIFORNIA 18 COCO DEY, an individual, 19 Plaintiff, 20 21 Case No. 5:18-CV-05348-NC STIPULATON AND ORDER FOR DISMISSAL WITH PREJUDICE v. CARDINAL HEALTH 200, LLC; BRADLY COLLINS, 22 Defendants. 23 24 Plaintiff Coco Dey and Defendants Cardinal Health 200, LLC and Bradly Collins 25 (collectively referred to as the “Parties”) in this action, acting through counsel, and pursuant to 26 Federal Rule of Civil Procedure 41(a)(1)(A)(ii) hereby stipulate, in consideration of a negotiated 27 settlement executed by them on September 20, 2019 (“Confidential Settlement Agreement”), to the 28 Dismissal With Prejudice of this action, including all claims and counterclaims stated herein against 1 Case No. 5:18-CV-05348-NC STIPULATION AND ORDER FOR DISMISSAL WITH PREJUDICE 1 all Parties, with each party to bear its own attorneys’ fees and costs. The Court shall retain 2 jurisdiction to enforce the terms of the Parties’ Confidential Settlement Agreement. 3 WHEREFORE, the Parties hereby request this Honorable Court to enter an order dismissing 4 the above matter with prejudice, including all claims, counterclaims, and causes of action, and for 5 such other and further relief as the Court may deem appropriate. 6 Dated: September 30, 2019 DA VEGA, FISHER, MECHTENBERG LLP 7 By: 8 9 10 Dated: September 30, 2019 11 ____ JACKSON LEWIS P.C. By: 12 13 14 15 /s/ Matthew S. Da Vega Matthew S. Da Vega Attorney for Plaintiff COCO DEY /s/ Dylan Carp ____ Dylan Carp David K. Montgomery Attorney for Defendants CARDINAL HEALTH 200, LLC and BRADLY COLLINS ATTESTATION 16 Concurrence in the filing of this document has been obtained from each of the individual(s) 17 whose electronic signature is attributed above. 18 Dated: October 9, 2019 ___ 19 20 The stipulation is approved. The entire action, including all claims and counterclaims stated herein against all parties, is hereby dismissed with prejudice. RT ER H 28 _____________________________ Nathanael Cousins Cousins United StatesNathanael M. Judge e Magistrate Judg NO 27 Dated: October 9, 2019 FO 26 TED GRAN R NIA 25 UNIT ED IT IS SO ORDERED: ISTRIC ES D TC AT T RT U O 24 S 23 LI 22 ORDER A 21 s/Dylan B. Carp_______________________ Dylan B. Carp C F D IS T IC T O R 2 Case No. 5:18-CV-05348-NC STIPULATION AND ORDER FOR DISMISSAL WITH PREJUDICE N

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