Sphere, LLC v. Pawnee Leasing Corporation et al

Filing 37

ORDER granting ECF No. 36 Stipulation to Dismiss All Claims Against Defendant Pawnee Leasing Corporation and to Release Lis Pendens. Nothing herein shall affect the other claims in this action. Signed by Chief Judge Miranda M. Du on 2/6/2024. (Pawnee Leasing Corporation terminated.) (Copies have been distributed pursuant to the NEF - DRM)

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1 2 3 4 5 CHRISTINA H. WANG, ESQ. Nevada Bar No. 9713 FIDELITY NATIONAL LAW GROUP 8363 W. Sunset Road, Suite 120 Las Vegas, Nevada 89113 Telephone: (702) 667-3000 Facsimile: (702) 938-8721 Email: christina.wang@fnf.com Attorneys for Plaintiff Sphere, LLC 6 7 8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA 10 *** 11 12 SPHERE, LLC, a California limited liability company, Plaintiff, 13 vs. 14 15 16 Case No.: 3:23-cv-00176-MMD-CLB PAWNEE LEASING CORPORATION, a foreign corporation; DONALD CLARK, an individual; DOES I through X; and ROE BUSINESS ENTITIES XI through XX, 17 STIPULATION AND [PROPOSED] ORDER TO DISMISS ALL CLAIMS AGAINST DEFENDANT PAWNEE LEASING CORPORATION AND TO RELEASE LIS PENDENS Defendants. 18 Plaintiff SPHERE, LLC (“Plaintiff”), by and through its attorneys of record, the Fidelity 19 National Law Group, and Defendant PAWNEE LEASING CORPORATION (“Pawnee”), by 20 and through its attorneys of record, Dubowsky Law Office, Chtd., hereby stipulate and agree as 21 follows: 22 WHEREAS: 23 1. This action involves the real property commonly known as 5444 Spanish Moss 24 Court, Sparks, Nevada 89436, Washoe County, Nevada, Assessor’s Parcel No.: 518-643-13 25 (the “Property”). 26 2. 27 On April 26, 2023, Sphere commenced this action with the filing of a Complaint against Pawnee and Defendant Donald Clark. 28 Fidelity National Law Group 8363 W. Sunset Rd., Suite 120 Las Vegas, NV 89113 (702) 667-3000 Page 1 of 3 1 3. On the same day, Plaintiff filed a Notice of Lis Pendens regarding the Property 2 and caused it to be recorded as Document No. 5375703 of the Official Records of Washoe 3 County, Nevada. 4 4. 5 With respect to Pawnee, the Complaint states claims for declaratory judgment and/or quiet title (collectively referred to herein as, the “Claims Against Pawnee”). 6 5. 7 WHEREFORE, 8 IT IS HEREBY STIPULATED AND AGREED that all of the Claims Against 9 On December 4, 2023, Pawnee filed an Answer to the Complaint. Pawnee shall be dismissed with prejudice. 10 IT IS FURTHER STIPULATED AND AGREED that Plaintiff and Pawnee shall each 11 bear its own attorney’s fees and costs associated with the prosecution and defense of the Claims 12 Against Pawnee. 13 IT IS FURTHER STIPULATED AND AGREED that Plaintiff’s Notice of Lis 14 Pendens is hereby released as to the Property. 15 /// 16 /// 17 /// 18 19 20 21 22 23 24 25 26 27 28 Fidelity National Law Group 8363 W. Sunset Rd., Suite 120 Las Vegas, NV 89113 (702) 667-3000 Page 2 of 3

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