Free Stipulation of Dismissal of Case - District Court of Colorado - Colorado


File Size: 16.9 kB
Pages: 2
Date: July 1, 2005
File Format: PDF
State: Colorado
Category: District Court of Colorado
Author: unknown
Word Count: 341 Words, 2,343 Characters
Page Size: Letter (8 1/2" x 11")
URL

https://www.findforms.com/pdf_files/cod/20844/82.pdf

Download Stipulation of Dismissal of Case - District Court of Colorado ( 16.9 kB)


Preview Stipulation of Dismissal of Case - District Court of Colorado
Case 1:03-cv-02541-WYD-PAC

Document 82

Filed 07/01/2005

Page 1 of 2

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO

Civil Action No. 03-D-2541 (PAC) GEOVISION, INC., a Taiwan corporation, Plaintiff, v. CENTRAL ALARM SYSTEMS, d/b/a 123CCTV, a Colorado corporation; and STEVEN COCHRAN, Defendants.

_____________________________________________________________________________ STIPULATION FOR DISMISSAL, WITH PREJUDICE _____________________________________________________________________________ Plaintiff, Geovision, Inc. ("Geovision") and Defendants, Central Alarm Systems, Inc. ("CAS"), and Steven Cochran ("Cochran"), by and through their respective counsel, hereby submit the following Stipulation for Dismissal With Prejudice ("Stipulation"): 1. This action has been administratively closed under Local Rule 41.2 of this Court, pending receipt by Geovision of all payments to be due under a certain settlement agreement to be entered into between the parties. 2. All such payments have now been received. 3. The parties now wish to dismiss all remaining claims in this matter, with prejudice, including those asserted by Plaintiffs in their Complaint, First Amended Complaint, Second Amended Complaint, and those asserted by CAS and Cochran in their Counterclaim. 4. Pursuant to F.R.C.P. 41(a)(1)(ii), dismissal may be entered upon stipulation of all parties which have appeared in an action. The parties to this Stipulation constitute the entirety of parties remaining active in this action. Accordingly, F.R.C.P. 41(a)(1)(ii) provides that dismissal by this Stipulated Notice is proper. 5. Accordingly, Geovision and CAS and Cochran hereby stipulate that all claims between them in this action, whether by Complaint, Counterclaim, or any amendment thereof, should be dismissed, WITH PREJUDICE, each party to pay its own costs and fees incurred herein.

Case 1:03-cv-02541-WYD-PAC

Document 82

Filed 07/01/2005

Page 2 of 2

ARCKEY & REHA, LLC

BURNS, FIGA & WILL, P.C.

By:

s/ John F. Reha John F. Reha, Esq. Attorney for Plaintiffs Arckey & Reha, LLC 26 W. Dry Creek Circle, Suite 740 Littleton, CO 80120 (303)798-8546

By:

s/ Dana L. Eismeier Dana L. Eismeier Attorney for Defendants Central Alarm Systems, Inc. and Steven Cochran 6400 S. Fiddlers Green Circle, #1030 Englewood, CO 80111 (303) 796-2626

2