Rodriguez v. Ethicon, Inc. et al
Filing
67
CONSENT ORDER OF DISMISSAL WITH PREJUDICE: This matter having been brought before the Court jointly by the parties, Plaintiff Judy Rodriguez and Defendants Ethicon, Inc., Johnson & Johnson, (no party hereto being an infant or incompetent), seek ing an Order dismissing this action with prejudice pursuant to Fed. R. Civ. P. 41, and for good cause shown, IT IS ON THIS 18th day of November, 2021; ORDERED that no party hereto is an infant or incompetent; and IT IS FURTHER ORDERED that all claims, cross-claims, and third party claims between the parties be and are hereby dismissed with prejudice, each party to bear its own costs and fees. (Signed by Judge Andrew L. Carter, Jr on 11/18/2021) (ate)
Case 1:20-cv-09750-ALC Document 67 Filed 11/18/21 Page 1 of 2
RIKER DANZIG SCHERER HYLAND & PERRETTI, LLP
Headquarters Plaza
One Speedwell Avenue
Morristown, NJ 07962-1981
(973) 538-0800
11/18/2021
Attorneys for Defendants,
Ethicon, Inc. and Johnson & Johnson
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
(FOLEY SQUARE)
JUDY RODRIGUEZ,
Plaintiff,
CIVIL ACTION NO. 1:20-cv-09750-ALC
HON. ANDREW L. CARTER, JR., U.S.D.J.
HON. STEWART D. AARON, U.S.M.J.
vs.
ETHICON, INC. and JOHNSON & JOHNSON,
CONSENT ORDER OF DISMISSAL WITH
PREJUDICE
Defendants.
This matter having been brought before the Court jointly by the parties,
Plaintiff Judy Rodriguez and Defendants Ethicon, Inc., Johnson & Johnson, (no party
hereto being an infant or incompetent), seeking an Order dismissing this action with
prejudice pursuant to Fed. R. Civ. P. 41, and for good cause shown,
November
18th
IT IS ON THIS _____ day of ______________, 2021; ORDERED that no
party hereto is an infant or incompetent; and
IT IS FURTHER ORDERED that all claims, cross-claims, and third party
claims between the parties be and are hereby dismissed with prejudice, each party to bear
its own costs and fees.
______________________________________
HON. ANDREW L. CARTER, JR., U.S.D.J
Case 1:20-cv-09750-ALC Document 67 Filed 11/18/21 Page 2 of 2
CONSENT TO AS FOR FORM AND ENTRY this date, June 2, 2021:
Respectfully submitted,
/s/ Kelly S. Crawford
Kelly S. Crawford, Esq.
/s/ Maha M. Kabbash
Maha M. Kabbash, Esq.
RIKER DANZIG SCHERER
HYLAND & PERRETTI, LLP
Headquarters Plaza
One Speedwell Plaza
Morristown, NJ 07962
(973) 538-0800
kcrawford@riker.com
mkabbash@riker.com
COUNSEL FOR DEFENDANTS
/s/ Mark Alan Milstein
Mark Alan Milstein, Esq.
/s/ Levi M. Plesset
Levi M. Plesset, Esq.
MILSTEIN JACKSON
FAIRCHILD
& WADE, LLP
10250 Constellation Blvd.
Suite 1400
Los Angeles, CA 90067
(310) 396-9600
mfox@mjfwlaw.com
lplesset@mjfwlaw.com
COUNSEL FOR PLAINTIFF
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