Q.M.E Gunite, Inc v. Central Environmental, Inc. et al

Filing 25

ORDER granting 24 STIPULATION TO DISMISS With Prejudice. Each party to bear its own attorneys' fees and costs incurred in the litigation and settlement of this matter. Signed by Magistrate Judge Craig S. Denney on 1/28/2025. (Copies have been distributed pursuant to the NEF - GA)

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1 Matthew C. Addison (NSBN 4201) McDONALD CARANO LLP 2 100 West Liberty Street, Tenth Floor Reno, Nevada 89501 3 Telephone: (775) 788-2000 4 maddison@mcdonaldcarano.com 5 Attorneys for Central Environmental, Inc. and Liberty Mutual Insurance Company 6 7 UNITED STATES DISTRICT COURT 8 DISTRICT OF NEVADA 9 10 UNITED STATES OF AMERICA FOR THE USE AND BENEFIT OF Q.M.E. GUNITE, 11 INC., a California corporation, 12 13 Plaintiff, Case No. 3:24-cv-00230-CSD STIPULATION TO DISMISS WITH PREJUDICE AND ORDER v. 14 CENTRAL ENVIRONMENTAL, INC., an Alaska corporation; and LIBERTY MUTUAL 15 INSURANCE COMPANY, a Massachusetts corporation, 16 Defendants. 17 18 19 Plaintiff United States of America For The Use And Benefit of Q.M.E. Gunite, Inc., a 20 California corporation (“Plaintiff”), and Defendants Central Environmental, Inc., an Alaska 21 corporation, and Liberty Mutual Insurance Company, a Massachusetts corporation (“Defendants”), 22 through their respective undersigned counsel, hereby represent they have entered into a confidential 23 settlement of the above-captioned matter, and stipulate and agree as follows: 24 1. All of the claims and causes of action asserted, or that could have been asserted, by 25 Plaintiff against Defendants, including its related persons, entities, companies (as managers, 26 owners, shareholders, and/or members) and successors-in-interest, in this litigation may be, and 27 hereby are, dismissed with prejudice, with each party to bear its own attorneys’ fees and costs 28 incurred in the litigation and settlement of this matter. 1 2. All counterclaims and causes of action asserted, or that could have been asserted, 2 by Defendants against Plaintiff, including its related persons, entities, companies (as managers, 3 owners, shareholders, and/or members), and successors-in-interest, in this litigation may be, and 4 hereby are, dismissed with prejudice, with each party to bear its own attorneys’ fees and costs 5 incurred in the litigation and settlement of this matter. 6 Dated this 27th day of January, 2025 Dated this 27th day of January, 2025 7 LANAK & HANNA, P.C. McDONALD CARANO LLP 8 9 By:/s/ David R. Johnson 10 David R. Johnson (NSBN 006696) 8375 W. Flamingo Rd. #102 11 Las Vegas, NV 89147 12 Telephone: (702) 727-3565 drjohnson@lannak-hanna.com 13 Attorneys for United States of America For 14 The Use And Benefit if Q.M.E. Gunite Inc. By: /s/ Matthew C. Addison Matthew C. Addison (NSBN 4201) 100 West Liberty Street, Tenth Floor Reno, Nevada 89501 Telephone: (775) 788-2000 maddison@mcdonaldcarano.com Attorneys for Central Environmental, Inc. and Liberty Mutual Insurance Company 15 16 ORDER 17 IT IS SO ORDERED: 18 19 UNITED STATES MAGISTRATE JUDGE 20 21 January 28, 2025 DATED: _________________ 22 23 24 25 26 27 28 2

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