Liddle v. Cowell et al
Filing
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ORDER Granting 49 Stipulation of Dismissal with prejudice. Signed by Judge Richard F. Boulware, II on 5/31/2019. (Copies have been distributed pursuant to the NEF - ADR)
1 Matthew T. Cecil, Esq.
Nevada Bar No. 9525
2 Sydney R. Gambee, Esq.
Nevada Bar No. 14201
3 HOLLAND & HART LLP
9555 Hillwood Drive, 2nd Floor
4 Las Vegas, NV 89134
Phone: 702-222-2500
5 Fax: 702-669-4600
Email: mtcecil@hollandhart.com
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srgambee@hollandhart.com
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Attorneys for Defendants
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UNITED STATES DISTRICT COURT
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HOLLAND & HART LLP
9555 Hillwood Drive, 2nd Floor
Las Vegas, NV 89134
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DISTRICT OF NEVADA
CAROL-LYN LIDDLE, an individual,
Case No. 2-18-cv-00918-RFB-PAL
Plaintiff,
v.
HARRY COWELL, an individual; ROCK
VAULT TOURS, INC., a Delaware
Corporation; DOE individuals 1 through 10;
and ROE business entities 11 through 20,
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STIPULATION TO DISMISS WITH
PREJUDICE
Defendants.
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Whereas, on May 18, 2018, Plaintiff Carol-Lyn Liddle (“Plaintiff”) filed a Complaint
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[ECF No. 1] against Defendants Harry Cowell and Rock Vault Tours, Inc. (collectively
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“Defendants”) which alleged claims for: sexual harassment – hostile work environment,
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violation of NRS 613, gender and age discrimination, breach of contract, and intentional
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infliction of emotional distress;
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Whereas, on February 6, 2019, Plaintiff filed a First Amended Complaint [ECF No. 35],
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which retained each claim alleged in the Complaint and added an alleged claim for retaliation
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and tortious interference;
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Whereas, on May 24, 2019 Plaintiff filed a stipulated notice to voluntarily dismiss with
prejudice each of her claims against Defendants except the breach of contract claim;
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Now therefore, Plaintiff Carol-Lyn Liddle, by and through her attorneys of record, the
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Rodriguez Law Offices, P.C., and Defendants Harry Cowell and Rock Vault Tours, Inc., by and
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through their attorneys of record, Holland & Hart LLP, hereby stipulate and respectfully request
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the Court dismiss Plaintiff’s breach of contract claim with prejudice and order that this matter,
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Case Number 2-18-cv-00918-RFB-PAL and the Complaint [ECF No. 1] and the First Amended
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Complaint [ECF No. 35] therein be dismissed in their entirety with prejudice.
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The Parties further stipulate that the parties will bear their respective attorneys’ fees and
costs incurred with respect to this dispute.
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Dated: May 29, 2019.
Dated: May 29, 2019.
Respectfully submitted,
Respectfully submitted,
/s/ Esther C. Rodriguez
Esther C. Rodriguez, Esq.
Rodriguez Law Offices, P.C.
/s/ Matthew T. Cecil
Matthew T. Cecil, Esq.
Holland & Hart, LLP
Attorneys for Plaintiff
Attorneys for Defendants
HOLLAND & HART LLP
9555 Hillwood Drive, 2nd Floor
Las Vegas, NV 89134
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ORDER
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IT IS SO ORDERED.
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Dated: _____________________, 2019.
________________________________
RICHARD F. BOULWARE, II
UNITED STATES DISTRICT JUDGE
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DATED this 31st day of May, 2019.
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UNITED STATES DISTRICT COURT JUDGE
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