Dey v. Cardinal Health 200, LLC et al
Filing
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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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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
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Attorneys for Plaintiff Coco Dey
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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
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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
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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COCO DEY, an individual,
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Plaintiff,
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Case No. 5:18-CV-05348-NC
STIPULATON AND ORDER FOR
DISMISSAL WITH PREJUDICE
v.
CARDINAL HEALTH 200, LLC;
BRADLY COLLINS,
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Defendants.
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Plaintiff Coco Dey and Defendants Cardinal Health 200, LLC and Bradly Collins
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(collectively referred to as the “Parties”) in this action, acting through counsel, and pursuant to
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Federal Rule of Civil Procedure 41(a)(1)(A)(ii) hereby stipulate, in consideration of a negotiated
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settlement executed by them on September 20, 2019 (“Confidential Settlement Agreement”), to the
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Dismissal With Prejudice of this action, including all claims and counterclaims stated herein against
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Case No. 5:18-CV-05348-NC
STIPULATION AND ORDER FOR DISMISSAL WITH PREJUDICE
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all Parties, with each party to bear its own attorneys’ fees and costs. The Court shall retain
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jurisdiction to enforce the terms of the Parties’ Confidential Settlement Agreement.
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WHEREFORE, the Parties hereby request this Honorable Court to enter an order dismissing
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the above matter with prejudice, including all claims, counterclaims, and causes of action, and for
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such other and further relief as the Court may deem appropriate.
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Dated: September 30, 2019
DA VEGA, FISHER, MECHTENBERG
LLP
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By:
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Dated: September 30, 2019
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____
JACKSON LEWIS P.C.
By:
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/s/ Matthew S. Da Vega
Matthew S. Da Vega
Attorney for Plaintiff
COCO DEY
/s/ Dylan Carp
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Dylan Carp
David K. Montgomery
Attorney for Defendants
CARDINAL HEALTH 200, LLC and
BRADLY COLLINS
ATTESTATION
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Concurrence in the filing of this document has been obtained from each of the individual(s)
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whose electronic signature is attributed above.
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Dated:
October 9, 2019
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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
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_____________________________
Nathanael Cousins
Cousins
United StatesNathanael M. Judge
e Magistrate
Judg
NO
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Dated: October 9, 2019
FO
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TED
GRAN
R NIA
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UNIT
ED
IT IS SO ORDERED:
ISTRIC
ES D
TC
AT
T
RT
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S
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ORDER
A
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s/Dylan B. Carp_______________________
Dylan B. Carp
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F
D IS T IC T O
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Case No. 5:18-CV-05348-NC
STIPULATION AND ORDER FOR DISMISSAL WITH PREJUDICE
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