Case 1:03-cv-02608-WDM-MJW
Document 74
Filed 01/03/2007
Page 1 of 2
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No. 03-cv-02608-WDM-MJW LORNA FOOSHEE, individually, as personal representative of the estate of MICHAEL FOOSHEE, deceased, and as parent of DARLENE FOOSHEE, a minor; RICK FOOSHEE, and MARILYN FOOSHEE, Plaintiffs, v. UNITED STATES OF AMERICA, and MYLAN PHARMACEUTICALS, INC., Defendants.
STIPULATION FOR DISMISSAL OF DEFENDANT UNITED STATES OF AMERICA
COME NOW Plaintiffs and Defendant, United States of America, in the aboveentitled case, by and through their respective attorneys, and pursuant to Title 28 U.S.C. ยง 2671, stipulate to dismiss this cause of action, with prejudice, each party to pay its own costs, and for good cause therefor state: 1. In accordance with the provision of the Stipulation for Compromise Settlement Between Plaintiffs and Defendant United States of America (incorporated herein by reference), the parties no longer have any dispute with respect to the matters raised in the
Case 1:03-cv-02608-WDM-MJW
Document 74
Filed 01/03/2007
Page 2 of 2
subject lawsuit. 2. The parties recognize that the court has jurisdiction to enforce the terms in the Stipulation for Compromise Settlement. WHEREFORE, this action should be dismissed with prejudice, each party to pay its own costs. DATED this 3rd day of January, 2007.
Respectfully submitted, TROY A. EID United States Attorney
s/ Robert D. Jones ROBERT D. JONES, ESQ. D. Robert Jones, P.C. 219 West Colorado Ave., Suite 210 Telephone: (719) 630-1556 Fax: (719) 630-7004 Email: [email protected]
s/ Kurt J. Bohn KURT J. BOHN, ESQ. Assistant U.S. Attorney 1225 Seventeenth Street, Suite 700 Denver, Colorado 80202 Telephone: (303) 454-0100 Fax: (303) 454-0407 Email: [email protected] Attorney for Defendant United States
Attorney for Plaintiffs
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