Berg v. King County
Filing
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STIPULATION AND ORDER by Judge Barbara J. Rothstein granting 72 Motion to Dismiss all remaining claims with prejudice as to Defendants Ramona Flores, William Hayes, King County, Troy Bacon, and Carol Bundy. The case will be closed after judgment is entered. (PM)
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The Honorable Barbara J. Rothstein
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UNITED STATES DISTRICT COURT
WESTERN DISTRICT OF WASHINGTON
AT SEATTLE
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SUNDEE BERG, an individual,
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Plaintiff,
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No. C15-01890-BJR
v.
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KING COUNTY, et al., a political subdivision,
DOW CONSTANTINE, King County
Executive and an individual, the
DEPARTMENT OF ADULT AND JUVENILE
DETENTION, et al., a local government
agency, WILLIAM HAYES, DAJD Director
and an individual, TROY BACON, DAJD
Captain and an individual, RAMONA
FLORES, DAJD Senior Human Resource
Analyst and an individual, CAROLL BUDNY,
DAJD Human Resource Analyst and an
individual,
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STIPULATION AND SUBJOINED
ORDER TO DISMISS REMAINING
DEFENDANTS KING COUNTY,
WILLIAM HAYES, TROY BACON,
RAMONA FLORES AND CAROLL
BUDNY
Defendants.
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NOTE ON MOTION CALENDAR:
January 12, 2017
STIPULATION TO DISMISS
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The parties, through their counsel, hereby stipulate that, having concluded discovery,
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Plaintiff agrees not to pursue this case further, and Defendants agree not to seek any costs
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or fees in this case. The parties further stipulate that the remaining defendants: King
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County (including its subdivisions), William Hayes, Troy Bacon, Ramona Flores and
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STIPULATION AND SUBJOINED ORDER TO DISMISS
REMAINING DEFENDANTS (C15-01890-MJP) - 1
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Caroll Budny should be dismissed, with prejudice, as parties to this case, without costs or
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fees awarded to any party and that this case may be closed.
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DATED: January 12, 2017
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By:
s/Lisa Elliott
LISA ELLIOTT, WSBA #41803
JOSEPH W. CREED, WSBA #42451
Attorneys for Plaintiff
Law Office of Joseph W. Creed
11120 NE 2nd St., Ste. 200
Bellevue, WA 98004
Phone: (206) 569-6422
Email: lelliott@cefirm.com
jcreed@cefirm.com
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By:
s/Endel Kolde
ENDEL KOLDE, WSBA #25155
Senior Deputy Prosecuting Attorney
Attorney for Defendants
King County Prosecuting Attorney
500 Fourth Avenue, Suite 900
Seattle, WA 98104
Phone: (206) 296-8820 / Fax: (206) 296-8819
Email: endel.kolde@kingcounty.gov
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ORDER
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In accordance with the stipulation of the parties, IT IS ORDERED that plaintiff
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Sundee Berg’s remaining claims against all remaining Defendants are dismissed with
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prejudice and without assessment of costs or attorneys' fees to either party. The case
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will be closed after judgment is entered.
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A
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Barbara Jacobs Rothstein
U.S. District Court Judge
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STIPULATION AND SUBJOINED ORDER TO DISMISS
REMAINING DEFENDANTS (C15-01890-MJP) - 2
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Presented by:
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s/Lisa Elliott
LISA ELLIOTT, WSBA #41803
JOSEPH W. CREED, WSBA #42451
Attorneys for Plaintiff
Law Office of Joseph W. Creed
11120 NE 2nd St., Ste. 200
Bellevue, WA 98004
Phone: (206) 569-6422
Email: lelliott@cefirm.com
s/Endel Kolde
ENDEL KOLDE, WSBA #25155
Senior Deputy Prosecuting Attorney
Attorney for Defendants
King County Prosecuting Attorney
500 Fourth Avenue, Suite 900
Seattle, WA 98104
Phone: (206) 296-8820 / Fax: (206) 296-8819
Email: endel.kolde@kingcounty.gov
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STIPULATION AND SUBJOINED ORDER TO DISMISS
REMAINING DEFENDANTS (C15-01890-MJP) - 3
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