Liddle v. Cowell et al

Filing 50

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)

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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 6 srgambee@hollandhart.com 7 Attorneys for Defendants 8 UNITED STATES DISTRICT COURT 9 10 11 HOLLAND & HART LLP 9555 Hillwood Drive, 2nd Floor Las Vegas, NV 89134 12 13 14 15 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, 16 STIPULATION TO DISMISS WITH PREJUDICE Defendants. 17 18 Whereas, on May 18, 2018, Plaintiff Carol-Lyn Liddle (“Plaintiff”) filed a Complaint 19 [ECF No. 1] against Defendants Harry Cowell and Rock Vault Tours, Inc. (collectively 20 “Defendants”) which alleged claims for: sexual harassment – hostile work environment, 21 violation of NRS 613, gender and age discrimination, breach of contract, and intentional 22 infliction of emotional distress; 23 Whereas, on February 6, 2019, Plaintiff filed a First Amended Complaint [ECF No. 35], 24 which retained each claim alleged in the Complaint and added an alleged claim for retaliation 25 and tortious interference; 26 27 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; 28 Page 1 of 2 12542203_1 1 Now therefore, Plaintiff Carol-Lyn Liddle, by and through her attorneys of record, the 2 Rodriguez Law Offices, P.C., and Defendants Harry Cowell and Rock Vault Tours, Inc., by and 3 through their attorneys of record, Holland & Hart LLP, hereby stipulate and respectfully request 4 the Court dismiss Plaintiff’s breach of contract claim with prejudice and order that this matter, 5 Case Number 2-18-cv-00918-RFB-PAL and the Complaint [ECF No. 1] and the First Amended 6 Complaint [ECF No. 35] therein be dismissed in their entirety with prejudice. 7 8 The Parties further stipulate that the parties will bear their respective attorneys’ fees and costs incurred with respect to this dispute. 9 10 11 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 12 13 14 15 16 ORDER 17 IT IS SO ORDERED. 18 19 Dated: _____________________, 2019. ________________________________ RICHARD F. BOULWARE, II UNITED STATES DISTRICT JUDGE 20 21 DATED this 31st day of May, 2019. 22 UNITED STATES DISTRICT COURT JUDGE 23 24 25 26 27 28 Page 2 of 2 12542203_1

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