Free Motion to Dismiss - District Court of California - California


File Size: 828.8 kB
Pages: 2
Date: May 9, 2008
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State: California
Category: District Court of California
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Case 3:07-cv-02395-LAB-AJB

Document 13

Filed 05/09/2008

Page 1 of 2

1 II Amy
LAW

B. Vandeveld, SBN 137904 OFFICES OF AMY B. VANDEVELD

2

"

1850 Fifth Avenue,
San Diego,

Suite 22
92101 231-8329

California (619)

3 4

"

Telephone:
Facsimile:

(619) 231-8883

Attorney

for KAREL SPIKES

5 6 7
IN THE UNITED STATES DISTRICT COURT

8 SOUTHERN DISTRICT OF CALIFORNIA 9 10
11
II

KAREL SPIKES,
Plaintiff,

Case No.: 07 cv 2395 LAB (AJB) JOINT MOTION DISMISSAL 10, Inclusive, FOR

12 13 vs.

14 THE AUTO CENTER; CARLTON SELL, LLC
and DOES 1 THROUGH 15 16 17 18 19 20 21 22 IT IS HEREBY Plaintiff, STIPULATED
Defendants.

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

by and between

KAREL SPIKES, and CARLTON "the

on the one hand, and THE AUTO CENTER on the other hand,

SELL, LLC, Defendants, Parties") through

(hereinafter

their respective

attorneys

of record that said them by way of

Parties have agreed to resolve the case between settlement.

23 24 25 26 27 28

The Parties further stipulate that Magistrate Judge Anthony J. Battaglia, or any other Magistrate Judge appointed by the Court, shall retain jurisdiction over all disputes between the Parties arising out of the Settlement Agreement including, but not limited to, interpretation and enforcement of the terms of the Settlement Agreement. The terms of the Settlement Agreement

1

Case 3:07-cv-02395-LAB-AJB
05/09/2008 11:15 FAX 18:81 1 BS/B9/2BS8

Document 13

Filed 05/09/2008

Page 2 of 2
003 PAGE 63
I4J

VANDEVELDESbI

1 2 3 4 5

are

her~)y

incorporated further

in th1s Joint Motion stipulate, pursuant

for Dismissal. to Federal Rule$ Qf

The Parties

Civil PXCJcedure

41(a) (1,2), that this Court enter a dismissal of
in

Plaint1f~'s Complaint in USDC Case No. 07 cv 2395 LAB (AJB) its e1'1ti:::ety
a.nd

with prejudice. The Parties

further

stipulate

6 II that eaQ1.shall bear its, his or he~ own costs and fees with 7 ';0any claims they may have a9ainst each other. in the re:spect

8 9 10 11
II

instant .~c:t1on, except as othan/ise set forth in

the

Settlement

Aqreemen't.
IT :IS SO S1.':IPULADD.
LAW OFFICES or AMY B. VANDEVELD

12 13 DATED: 14 15 16 17
18 /,DATED:
19 20 21 22 23 24 25 26 27 28 S/Amv B. Vande~eld AMY B. VANDEVELD, Attorney for Plaintiff E-mail: [email protected]

5-1-01

By:

2

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