Kaplan et al v. Lightyear Network Solutions, Inc. et al

Filing 76

ORDER Granting 75 Stipulation of Dismissal. Based on the parties' stipulation, IT IS HEREBY ORDERED this action is DISMISSED with prejudice, each side to bear its own fees and costs. The Clerk of Court is instructed to CLOSE this case. Signed by Judge Jennifer A. Dorsey on 3/15/17. (Copies have been distributed pursuant to the NEF - MR)

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Case 2:14-cv-02120-JAD-PAL Document 75 Filed 03/14/17 Page 1 of 2 CAMPBELL & WILLIAMS DONALD J. CAMPBELL, ESQ. (1216) djc@campbellandwilliams.com J. COLBY WILLIAMS, ESQ. (5549) jcw@campbellandwilliams.com 700 South Seventh Street Las Vegas, Nevada 89101 Telephone: (702) 382-5222 Facsimile: (702) 382-0540 FROST BROWN TODD LLC PETER M. CUMMINS, ESQ. (pro hac vice) pcummins@fbtlaw.com 400 West Market Street, 32nd Floor Louisville, KY 40202-3363 Telephone: (502) 589-5400 Facsimile: (502) 581-1087 Attorneys for Defendants UNITED STATES DISTRICT COURT DISTRICT OF NEVADA HAROLD KAPLAN, EDWARD FEIGHAN, JEFF WEINTRAUB, JIM LEES, JERRY HICKSON, WILL ALCORN, DAVID PERLMUTTER and SCOTT DUNLOP, : : : : : Plaintiffs, : v. : : LIGHTYEAR NETWORK SOLUTIONS, INC., : LY HOLDINGS LLC, CHRIS T. SULLIVAN, : W. BRENT RICE, SHERMAN HENDERSON : and RICK HUGHES, : Defendants. : ___________________________________________: Case No. 2:14-cv-02120-JAD-PAL STIPULATION AND [PROPOSED] ORDER OF DISMISSAL WITH PREJUDICE IT IS HEREBY STIPULATED AND AGREED by and between Plaintiffs Harold Kaplan, Edward Feighan and Scott Dunlop (collectively, “Plaintiffs”), on the one hand, and Defendants Lightyear Network Solutions, Inc., LY Holdings, LLC, Chris T. Sullivan, W. Brent Rice, J. Sherman Henderson and Rick Hughes (collectively, “Defendants”), on the other hand, through their respective attorneys, that whereas no party hereto is an infant or an incompetent person for whom a committee has been appointed and no person not a party has an interest in the subject matter of the action, that said action be dismissed with prejudice and without costs to any party. This stipulation and dismissal with prejudice completely terminates the above-entitled Case 2:14-cv-02120-JAD-PAL Document 75 Filed 03/14/17 Page 2 of 2 action as between all parties. Dated: March 14, 2017 __/s/ Richard A. Roth__________ John P. Aldrich, Esq. ALDRICH LAW FIRM, LTD. 1601 S. Rainbow Blvd., Ste. 160 Las Vegas, Nevada 89146 _/s/ J. Colby Williams_________________ J. Colby Williams, Esq. CAMPBELL & WILLIAMS 700 South Seventh Street Las Vegas, Nevada 89101 The Roth Law Firm, PLLC Richard A. Roth, Esq. 295 Madison Avenue, 22nd Fl. New York, NY 10017 FROST BROWN TODD LLC Peter M. Cummins (pro hac vice) 400 West Market Street, 32nd Floor Louisville, KY 40202-3363 Attorneys for Plaintiffs Attorneys for Defendants ORDER IT IS SO ORDERED: ________________________________________ UNITED HEREBY ORDERED this action is Based on the parties' stipulation, IT IS STATES DISTRICT JUDGE DISMISSED with prejudice, each side to bear its own fees and costs. The Clerk of DISMISSED with prejudice, each sidethisbear its own fees and costs. The Clerk of Court is Court is instructed to CLOSE to case. March 15, 2017 DATED: _____________________________ instructed to CLOSE this case. instructed to CLOSE this case. 0121451.0623582 4822-7983-5202v1 Dated: March 15, 2017. ________________________________ UNITED STATES DISTRICT JUDGE

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