Skyline Steel, LLC v. Target Construction, Inc., et al

Filing 59

ORDER Granting 58 Stipulation of Dismissal with Prejudice. Signed by Chief Judge Gloria M. Navarro on 7/11/2018. (Copies have been distributed pursuant to the NEF - MR)

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1 2 3 4 5 6 Brenoch Wirthlin, Esq., NV Bar No. 10282 Brandi M. Planet, Esq., NV Bar No. 11710 FENNEMORE CRAIG, P.C. 300 South Fourth Street, Suite 1400 Las Vegas, Nevada 89101 Telephone: (702) 692-8000 Facsimile: (702) 692-8099 Email: bwirthlin@fclaw.com Attorneys for Defendants UNITED STATES DISTRICT COURT 7 FOR THE DISTRICT OF NEVADA 8 9 UNITED STATES OF AMERICA FOR THE Case No.: 2:17-cv-00700-GMN-VCF USE OF SKYLINE STEEL, LLC, 10 Plaintiff, 11 12 13 STIPULATION AND ORDER TO DISMISS WITH PREJUDICE v. TARGET CONSTRUCTION, INC. and LIBERTY MUTUAL INSURANCE COMPANY, 14 Defendants. 15 IT IS HEREBY STIPULATED AND AGREED by and between Plaintiff UNITED 16 STATES OF AMERICA FOR THE USE OF SKYLINE STEEL, LLC (“P”), and Defendants, 17 TARGET CONSTRUCTION, INC. and LIBERTY MUTUAL INSURANCE COMPANY 18 (collectively “Defendants” and with Plaintiff referred to as the “Parties”), by and through their 19 respective counsel of record, as follows: 20 1. WHEREAS, on or about April 23, 2018, the Parties reached a settlement of this 21 matter and entered into a Settlement Agreement and Mutual Release of All Claims (the 22 “Settlement Agreement”), resolving the claims in this action; and 23 2. WHEREAS, pursuant to the Settlement Agreement, the Parties agreed that upon 24 execution of the Settlement Agreement and payment of a Settlement Amount, the above- 25 captioned case should be dismissed in its entirety with prejudice, each party to bear its own 26 attorneys’ fees and costs; and 27 /// 28 /// FENNEMORE CRAIG ATTORNEYS LAS VEG AS 1 2 3 4 5 6 7 8 9 3. WHEREAS, the Parties have now executed the Settlement Agreement and Defendants have now paid the Settlement Amount. NOW THEREFORE, in consideration of the foregoing, the Parties hereby agree and stipulate as follows: A. The above-captioned case shall be dismissed in its entirety with prejudice as to each of the Defendants; B. All currently calendared status checks, pre-trial conferences, calendar calls, and any other pre-trial proceedings or pending hearings shall be vacated; and C. Each party is to bear its own attorneys’ fees and costs. 10 11 Howard & Howard Attorneys PLLC Fennemore Craig, P.C. /s/ Brian J. Pezzillo, Esq. Brian J. Pezzillo, Esq. 3800 Howard Hughes Pkwy., Suite 1000 Las Vegas, NV 89169 Telephone: (702) 257-1483 Facsimile: (702) 567-1568 Attorney for Plaintiff /s/ Brandi M. Planet, Esq. Brenoch R. Wirthlin, Esq. Brandi M. Planet, Esq. 300 S. Fourth St., # 1400 Las Vegas, NV 89101 Telephone: (702) 692-8000 Facsimile: (702) 692-8099 Attorney for Defendants 12 13 14 15 16 17 18 19 20 ORDER IT IS SO ORDERED. 21 22 23 11 DATED this ____ day of July, 2018. ______________________________________ 24 Gloria M. Navarro, Chief Judge 25 United States District Court 26 27 28 FENNEMORE CRAIG ATTORNEYS LAS VEG AS 2 1 CERTIFICATE OF SERVICE 2 Pursuant to FRCP 5(b), I hereby certify that I am an employee of Fennemore Craig, P.C. 3 and that on this date, I served the foregoing STIPULATION AND ORDER TO DISMISS 4 WITH PREJUDICE on the parties set forth below by legally serving via U.S. District Court 5 CM/ECF filing system: 6 7 8 9 10 11 12 Jennifer R. Lloyd, Esq. Brian J. Pezzillo, Esq. Howard & Howard Attorneys PLLC 3800 Howard Hughes Parkway, Suite 1000 Las Vegas, NV 89169 jrl@h2law.com bjp@h2law.com Attorneys for Plaintiff DATED this 9th day of July, 2018. 13 14 /s/ Morganne Westover An Employee of Fennemore Craig, P.C. 15 16 17 18 19 20 21 22 23 24 25 26 27 28 FENNEMORE CRAIG ATTORNEYS LAS VEG AS 3

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