Corso v. New York State et al
Filing
40
STIPULATION AND ORDER OF DISCONTINUANCE: Approving the # 39 Stipulation of Discontinuance pursuant to Rule 41(A). Signed by Senior Judge Frederick J. Scullin, Jr. on 9/1/2015. (nmk)
TINITED STATES DISTRICT COURT
NORTHERN DISTzuCT OF NEW YORK
JOANN CORSO,
Plaintiff,
-against-
STIPULATION AND
ORDER OF
DISCONTINUANCE
PURSUANT TO RULE
41(A)
NEW YORK STATE, NEW YORK STATE DEPARTMENT
OF CORRECTIONAL SERVICES, VERNON FONDA, iN
his official capacity as Director of DEPARTMENT OF
1s-cv-0s99
CORRECTIONAL SERVICES INSPECTOR GENERL
OFFICE, VERNON FONDA, in his individual capacity,
LOUIS PINGOTTI, in his official capacity as Deputy
Superintendent Security at Wallkill Correctional Facility and
(FJS/CFH)
as Captain of the Shawangunk
Correctional Facility, LOUIS
PINGOTTI, in his individual capacity, LIEUTENANT
BADER in his capacity as Staffing Lieutenant at Wallkill
Correctional Facility, and LIEUTENANT BADER, in his
individual capacity,
Defendants.
IT IS HEREBY STIPULATED
AI\TD
AGREED by and betweeN thE UNdErSigNCd, PIAiNtiff
JOANN CORSO, appearing by her attorney, Bernard Weinreb, Esq., and Eric T. Schneiderman,
Attorney General of the State of New York, Denise P, Buckley, Assistant Attorney General, of
counsel, appearing for defendants, parties to the above entitled-action, the attorneys ofrecord for all
parties to the above entitled action, that whereas no party hereto is an infant or incompetent person
for whom a committee has been appointed and no person not a party has an interest in the subject
matter of the action, the above-entitled action be, and the same hereby is. discontinued with
prejudice against all the defendants in these proceedings, without costs to either party as against the
other. This
with the Clerk of the Court'
stipulation may be filed without further notice
Dated: Spring ValleY, New York
August 3 ,2015
(
2 Perlman Drive, Suite 301
Spring ValleY, NY 10977
T-elephone: (845) 369- I 0 I 9
boruchw@cs'com
Dated: AlbanY, New York
August 28,2015
EzuC T, SCHNEIDERMAN
Attorney General of the State of New York
AttorneY for the Defendants
The CaPitol
Albany, New York 12224-0341
By', ui^o e 9' {Jurftl4'
-E
Denise P. BuckleY
Assistant Attomey General, of Counsel
Bar Roll No, 519278
Telephone: (5 I 8) 776-2294
Emall : Denise.BuckleY@ag'nY' gov
Dated:
Albany, New York
August 28,2015
SO ORDERED:
ffiSCULLINJR'
LTNITED STATES DISTRICT
September 1, 2015
ruDGE
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