ATA Freight Line, Ltd. v. Arrogant Steel, LLC et al

Filing 30

STIPULATION AND ORDER OF CONSENT TO ENTRY OF JUDGMENT: NOW, THEREFORE, it is agreed that: 1. Defendants Arrogant Steel, LLC and Golden Voyage America LLC consent to the entry of judgment in the amount of $111,652.89, plus costs. 2. Plaintiff agrees to discontinue the Action as against Golden Voyage Plastics, Inc., without prejudice and without costs to either side. So Ordered (Signed by Judge Andrew L. Carter, Jr on 11/25/2024) (ks)

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T]NITED STATES DISTRICT COURT November 25, 2024 ::yr::Y :::11::.?T:Y ::T.........x ATA FREIGHT LINE, LTD., Plaintiff, - against - ARROGANT STEEL, LLC; GOLDEN VOYAGE AMERICA,LLC, and GOLDEN VOYAGE PLASTICS, INC. IN ADMIRALTY 23-cv- 03053 (ALC) STIPULATION AND ORDER OF CONSENT TO ENTRY oF JUDGMENT :*i_111____________, IT IS HEREBY STIPULATED AND AGREED between all of the parties to this Action as follows: WHEREAS, Plaintiff, ATA Freight Line, Ltd. acted as a shipper and exporter for Defendants, Arrogant Steel, LLC, and Golden Voyage America, LLC, for certain nylon material for shipment to Hong Kong; and, WHEREAS, Plaintiff incurred additional expenses by reason of the rejection of the goods in Hong Kong and Defendants failure to procure alternative arrangements to divert the shipments and cover all demurrage, storage and export charges/additional freight; and WHEREAS Defendants Arrogant Steel, LLC and Golden Voyage America LLC have no valid defenses to the Action. NOW, THEREFORE, it is agreed that: 1. Defendants Arrogant Steel, LLC and Golden Voyage America LLC consent to the entry ofjudgment in the amount of $11I,652.99, plus costs. 609604.2 2. Plaintiff agrees to discontinue the Action as against Golden Voyage Plastics, Inc., without prejudice and without costs to either side. Dated: Garden City, New York Iuly 3,2024 Freehill, Hogan & Mahar LLP Law Office of Robert S. Powers Peter J. Gutowski iff At t or neys for P I ai n t 80 Pine Street. 25th Floor New York, NY 10005-1750 (2r2) 42s-r900 gut ow s ki @fr e e hi I l. c o m Attorney for the Defendants 304 Kilbum Road South Garden City, New York 11530 (646) 660-2778 rpowers435@gmail.com Sd Ordered November 25, 2024 New York, NY 609604.2

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