Free Motion to Dismiss - District Court of California - California


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Date: July 16, 2008
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State: California
Category: District Court of California
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Case 3:08-cv-00454-H-LSP

Document 21

Filed 07/16/2008

Page 1 of 2

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II

Amy B. Vandeveld,
LAW OFFICES Diego, OF AMY San

SBN 137904
B. VANDEVELD 92101

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1850 Fifth Avenue , Suite 22
California (619)

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Telephone:
Facsimile:

(619) 231-8883
231-8329

Attorney

for KAREL SPIKES

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IN THE UNITED STATES DISTRICT COURT

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SOUTHERN DISTRICT OF CALIFORNIA

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10 11 12 13 vs. TEPI-NORTE MEX CITY; FRANCISCO CHAVEZ; CHRISTINA CHAVEZ; ROBERTO BARNET dba OLD COTIJAS and DOES 1 THROUGH 10, Inclusive, and DOES 1 THROUGH 10, Inclusive,
Defendants.

KAREL SPIKES, Plaintiff,

Case No.: 08 CV 0454 H (LSP) JOINT MOTION FOR DISMISSAL AS TO DEFENDANTS FRANCISCO CHAVEZ and CHRISTINA CHAVEZ ONLY [F.R.Civ.P. Rule 41 (a) (1), (2)]

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IT IS HEREBY Plaintiff, CHAVEZ,

STIPULATED

by and between

KAREL

SPIKES, and CHRISTINA "the

on the one hand, and FRANCISCO on the other hand,

CHAVEZ

Defendants, through

(hereinafter

Parties")

their respective

attorneys

of record that said them by way of

Parties have agreed to resolve the case between
settlement.

The Parties

further

stipulate

that Magistrate

Judge Leo S.

Papas, or any other Magistrate shall retain jurisdiction

Judge appointed

by the Court, the Parties

over all disputes

between

arising out of the Settlement Agreement including, but 1

not

Case 3:08-cv-00454-H-LSP

Document 21

Filed 07/16/2008

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limited to, interpretation Settlement Agreement. further 41(a)

and enforcement

of the terms of the

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The Parties Civil Procedure

stipulate,

pursuant

to Federal

Rules of of
TO

(1,2), that this Court enter a dismissal
08 cv 0454

Plaintiff's Complaint in USDC Case No. DEFENDANTS
prejudice.
FRANCISCO

H (LSP)

AS

CHAVEZ and CHRISTINA CHAVEZ ONLY, with
claims against other named The Parties Defendants stipulate are

Plaintiff's

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reserved

and are not dismissed.

further

that each shall bear its, his or her own costs and fees with respect to any claims they may have against instant action,
Agreement.

each other in the

except

as otherwise

set forth in the Settlement

IT IS SO STIPULATED. LAW OFFICES OF AMY B. VANDEVELD

DATED:

June 19, 2008

S/Arnv B. Vandeveld AMY B. VANDEVELD, Attorney for Plaintiff E-mail: [email protected]

LAW OFFICES OF PAMELA E. HAVIRD

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DATED:

By:

PAMELA E. HAVIRD, ESQ. Attorney for Defendants FRANCISCO CHAVEZ and CHRISTINA CHAVEZ

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