Free Motion to Dismiss - District Court of California - California


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Date: August 12, 2008
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State: California
Category: District Court of California
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Case 3:08-cv-00452-JAH-CAB

Document 12

Filed 08/12/2008

Page 1 of 2

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II

Amy B. Vandeveld,
LAW OFFICES Diego, OF AMY

SBN 137904
B. VANDEVELD

II

1850 Fifth Avenue,
San

Suite 22
92101 231-8329

California (619)

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II

Telephone:
Facsimile:

(619) 231-8883

Attorney

for KAREL SPIKES

IN THE UNITED STATES DISTRICT

COURT

8
SOUTHERN DISTRICT OF CALIFORNIA

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KAREL SPIKES, Plaintiff,

Case No.: 08 cv 0452 JAH (CAB) JOINT MOTION DISMISSAL INC. et. al., FOR

vs.
LA MESA AUTO CARE,

[F.R.Civ.P. Rule 41 (a) (1), (2)]

Defendants.

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IT IS HEREBY Plaintiff, JACOBSZOON REVOCABLE

STIPULATED

by and between

KAREL

SPIKES, INC., FAMILY on the respective the

on the one hand, and LA MESA AUTO CARE, REVOCABLE FAMILY TRUST dated 4/17/98,

CULVER

TRUST and JAREL G. CULVER TRUST, (hereinafter "the Parties")

Defendants, their

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other hand, attorneys through of record that said Parties have agreed to resolve them by way of settlement. further stipulate that Magistrate Judge Cathy by the the but

case between

The Parties Ann Bencivengo,

or any other Magistrate

Judge appointed

Court, shall retain jurisdiction Parties arising

over all disputes Agreement

between

out of the Settlement

including,

not limited to, interpretation

and enforcement

of the terms of

1

MICHAEL PALMER Case 3:08-cv-00452-JAH-CAB B7/6B/266B 11:64

6196672998 Document 12

Filed 08/12/200801:18pm P. of 2 Page 2 002 08/12/08
PAGE 63

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VANDEVELDESQ

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the Settlement are hereby

Agreement.

The terms in this

of the Settlement

Agreement

incorporated further 41(a)

Joint Motion pursuant

for Dismissal. to Federal enter Rules of of

The Parties Civil Pr~cedure

stipulate,

(1,2), that this Court

a dismissal JAH (CAB) in stipulate

Plaintiff's its entilety

Complaint

in USDC Case No. 07 cv 0452 The Parties

and with prejudice.

further ~nd

that eac~ shall bear respect instant to any claims

its, his or her own costs they may have against as otherwise

fees with in the

each

other

c.ctian, except

set forth

in the Sett~ement

Agreement..
IT ]:S SO S'1'tPULATED.

LAW OFFICES

OF AMY B. VANDEVELD

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I

DATED:

S/Amy a. Vandeveld AMY B. VAND~VELD, Attorney for ~laintiff E-mail: [email protected]

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1i1J..r;l

~()
By: MICAHEL W. PALMER, Esq. Attorney for Defe~dants

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