United States of America v. 2000 Chevrolet Extended Cab Truck, Vin #2GCEK19T1Y1398662 et al
Filing
55
AGREED ENTRY DISMISSING COMPLAINT AGAINST DEFENDANTS, (1) 2000 CHEVROLET EXTENDED CAB TRUCK, VIN#2GCEK19T1Y1398662 AND (2) 1998 FORD F-150 TRUCK, VIN#1FTZX1769WNB81503. Signed by Judge Thomas M Rose on 10/26/09. (pb1)
IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF OHIO WESTERN DIVISION
UNITED STATES OF AMERICA, PLAINTIFF, vs.
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CASE NO.: 3:05CV218 JUDGE THOMAS M. ROSE
2000 CHEVROLET EXTENDED CAB : TRUCK, VIN #2GCEK19T1Y1398662, et al : DEFENDANTS. AGREED ENTRY DISMISSING COMPLAINT AGAINST DEFENDANTS, (1) 2000 CHEVROLET EXTENDED CAB TRUCK, VIN#2GCEK19T1Y1398662 AND (2) 1998 FORD F-150 TRUCK, VIN#1FTZX1769WNB81503 IT IS HEREBY AGREED AND STIPULATED by and between Plaintiff, United States of America, and Claimants, ROBERT CHAD REED and PATRICIA A. TRAME-REED, that their Claim is resolved as follows: 1. The complaint against Defendant (1) 2000 Chevrolet Extended Cab Truck, VIN#2GCEK19T1Y1398662 and Defendant (2) 1998 Ford F-150 Truck, VIN#1FTZX1769WNB81503, shall be dismissed; Claimants, ROBERT CHAD REED and PATRICIA A. TRAME-REED, shall release any and all claims which they may have against the Plaintiff, its agencies, and/or employees as well as local law enforcement agencies and their employees, arising out of the facts giving rise to this forfeiture action; Each party shall bear their own costs, expenses and fees, including all attorneys' fees arising out of this action; and The Court shall retain jurisdiction to enforce the terms of the parties' agreement;
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THEREFORE, IT IS HEREBY ORDERED, ADJUDGED AND DECREED that: 1. The complaint against Defendant (1) 2000 Chevrolet Extended Cab Truck, VIN#2GCEK19T1Y1398662 and Defendant (2) 1998 Ford F-150 Truck, VIN#1FTZX1769WNB81503, is hereby dismissed; Any and all claims which Claimants, ROBERT CHAD REED and PATRICIA A. TRAME-REED, may have against the Plaintiff, its agencies, and/or employees as well as local law enforcement agencies and their employees, arising out of the facts giving rise to this forfeiture action are forever foreclosed and barred; Each party shall bear their own costs, expenses and fees, including all attorneys' fees arising out of this action; The Court shall retain jurisdiction to enforce the terms of the parties' agreement; and This case is hereby terminated on the docket.
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October 26, 2009 Dated: ____________________
s/Thomas M. Rose _______________________________________ THOMAS M. ROSE UNITED STATES DISTRICT COURT JUDGE
Respectfully submitted, CARTER M. STEWART United States Attorney
s/Pamela M. Stanek PAMELA M. STANEK (0030155) Assistant U.S. Attorney Attorney for Plaintiff 600 Federal Building 200 West Second Street Dayton, Ohio 45402 (937) 225-2910 (937) 225-2564 Fax pamela.stanek@usdoj.gov
s/ James T. Ambrose by facsimile auth. 10/19/09 JAMES T. AMBROSE (0011151) Attorney for Claimants, Robert Chad Reed and Patricia A. Trame-Reed 2102 First National Plaza 130 West Second Street Dayton, Ohio 45402 (937) 229-9999 (937) 229-7898 Fax jtambrose@daytonlaw.net
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