Roper et al v. BorgWarner Morse Tec Inc et al
Filing
134
STIPULATION AND ORDER of Dismissal without Prejudice as to Defendant Lone Star Industries, Inc. only. Signed by Judge Thomas S. Zilly. (TH)
THE HONORABLE THOMAS S. ZILLY
1
2
3
4
5
6
7
UNITED STATES DISTRICT COURT
WESTERN DISTRICT OF WASHINGTON
AT SEATTLE
8
9
10
11
WILLIAM ROPER and CAROL ROPER,
individually and as a marital community,
Plaintiffs,
12
13
NO. 2:16-cv-01453-TSZ
STIPULATION AND ORDER OF
DISMISSAL WITHOUT PREJUDICE AS
TO DEFENDANT LONE STAR
INDUSTRIES, INC. ONLY
vs.
14
15
BORGWARNER MORSE TEC, INC., et al.
Defendants.
16
17
STIPULATION
18
Plaintiffs William Roper and Carol Roper (“Plaintiffs”) and Defendant Lone Star
19
20
21
Industries, Inc. (“Lone Star Industries”), by and through their counsel of record, stipulate that all
claims against Lone Star Industries may be dismissed without prejudice and without costs or
22
attorney fees as to any party in the above-captioned matter, reserving to plaintiffs their claims
23
against the other parties.
24
///
25
STIPULATION AND ORDER OF
DISMISSAL WITHOUT PREJUDICE AS
TO DEFENDANT LONE STAR
INDUSTRIES, INC. ONLY
NO. 2:16-cv-01453-TSZ
Page 1
Foley & Mansfield, PLLP
999 Third Avenue, Suite 3760
Seattle, WA 98104
Telephone: (206) 456-5360
1
DATED this 24th day of August, 2017.
2
3
NAPOLI SHKOLNIK, PLLC
FOLEY & MANSFIELD, PLLP
4
/s/ Christopher P. Gladd
Christopher P. Gladd, NYB #2516169
(Pro Hac Vice)
Counsel for Plaintiffs
/s/ Howard (Terry) Hall
Howard (Terry) Hall, WSBA #10905
Counsel for Defendant
Lone Star Industries, Inc.
5
6
7
8
9
ORDER
10
11
12
13
14
Pursuant to the parties’ stipulation, it is hereby ORDERED that all claims against
Defendant Lone Star Industries are hereby dismissed without prejudice and without costs or
attorney fees as to any party, reserving to plaintiffs their claims against the other parties.
DATED this 25th day of August, 2017.
A
15
16
Thomas S. Zilly
United States District Judge
17
18
19
20
21
22
Presented by:
23
FOLEY & MANSFIELD, PLLP
24
25
STIPULATION AND ORDER OF
DISMISSAL WITHOUT PREJUDICE AS
TO DEFENDANT LONE STAR
INDUSTRIES, INC. ONLY
NO. 2:16-cv-01453-TSZ
Page 2
Foley & Mansfield, PLLP
999 Third Avenue, Suite 3760
Seattle, WA 98104
Telephone: (206) 456-5360
1
2
/s/ Howard (Terry) Hall
Howard (Terry) Hall, WSBA #10905
Counsel for Defendant Lone Star Industries, Inc.
3
Approved by:
4
5
6
7
NAPOLI SHKOLNIK, PLLC
/s/ Christopher P. Gladd
Christopher P. Gladd, NYB #2516169
(Pro Hac Vice)
Counsel for Plaintiffs
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
STIPULATION AND ORDER OF
DISMISSAL WITHOUT PREJUDICE AS
TO DEFENDANT LONE STAR
INDUSTRIES, INC. ONLY
NO. 2:16-cv-01453-TSZ
Page 3
Foley & Mansfield, PLLP
999 Third Avenue, Suite 3760
Seattle, WA 98104
Telephone: (206) 456-5360
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?