Kirkland v. Hess Retail Operations, LLC et al
Filing
16
ORDER OF DISMISSAL: Approving the # 15 Stipulation of Dismissal. It is hereby ORDERED that Defendants Hess Retail Operations, LLC and Hess Corporation are hereby dismissed with prejudice. Signed by Senior Judge Frederick J. Scullin, Jr. on 3/2/2016. (nmk)
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF NEW YORK
KELLY KIRKLAND,
PROPOSED ORDER
Plaintiff.
Civil Action No. 5:15-cv-01184-FJS-DEP
- against HESS RETAIL OPERATIONS, LLC, SPEEDWAY
LLC, and HESS CORPORATION,
Defendants.
ORDER OF DISMISSAL
THIS MATTER, having come before the Court upon the parties’ Joint Stipulation of
Voluntary Dismissal With Prejudice, and the Court having reviewed this matter and being
otherwise fully advised in the premises, it is hereby:
ORDERED and ADJUDGED that Defendants Hess Retail Operations LLC and Hess
Corporation are hereby DISMISSED with prejudice.
2nd
March
SIGNED ____ day of ____________ 2016.
_____________________________
Honorable Frederick J. Scullin
United States District Judge
March 2, 2016
138072521.1
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF NEW YORK
KELLY KIRKLAND, individually and on behalf of
all others similarly situated,
Plaintiff.
- against -
JOINT STIPULATION OF
VOLUNTARY DISMISSAL WITH
PREJUDICE
Civil Action No. 5:15-cv-01184-FJS-DEP
HESS RETAIL OPERATIONS, LLC, SPEEDWAY
LLC, and HESS CORPORATION,
Defendants.
Plaintiff KELLY KIRKLAND, individually and on behalf of all others similarly situated,
(“Plaintiff”) and Defendants HESS RETAIL OPERATIONS, LLC, SPEEDWAY LLC, and
HESS CORPORATION (“Defendants”), by and through their undersigned counsel, hereby file
this Joint Stipulation of Voluntary Dismissal with Prejudice of all claims against Defendant
HESS RETAIL OPERATIONS, LLC and Defendant HESS CORPORATION and would ask
that the Court enter an Order dismissing these Defendants with prejudice. A proposed order is
being filed with this Joint Stipulation.
No party hereto is an infant, incompetent person for whom a committee has been
appointed or conservatee and no person not a party has an interest in the subject matter of the
action.
DATED this 1st day of March, 2016.
Respectfully submitted,
E. STEWART JONES HACKER MURPHY LLP
7 Airport Blvd
Latham, NY 12110
518-783-3843
rfinn@joneshacker.com
LITTLER MENDELSON, P.C.
375 Woodcliff Drive, 2nd Floor
Fairport NY 14450
585-203-3400
jlowell@littler.com
/s/ Ryan Finn___________________________
Ryan Finn, Esq.
COUNSEL FOR PLAINTIFF
/s/ Jill M. Lowell______________
Jill M. Lowell, Esq.
COUNSEL FOR DEFENDANT
138072521.1
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