Elawyers Elawyers
Washington| Change

United States v. 2011 BMW 328I, VIN: WBAPH7C53BE460537, 2:19-MC-00053-TLN-CKD. (2020)

Court: District Court, E.D. California Number: infdco20200113888 Visitors: 3
Filed: Jan. 10, 2020
Latest Update: Jan. 10, 2020
Summary: STIPULATION AND WITHDRAWAL OF VERIFIED CLAIM OF LIENHOLDER TRANS LEASE, INC. TROY L. NUNLEY , District Judge . IT IS HEREBY STIPULATED by and between petitioner, Trans Lease, Inc. ("Claimant"), and Plaintiff, the United States of America ("Plaintiff"), by and through its undersigned counsel, Kevin C. Khasigian, Assistant U.S. Attorney, as follows: 1. Claimant asserted a lienholder interest in the defendant property described as a 2018 Featherlite H3-S2 Motorhome with VIN No. 2PCV33492GC713
More

STIPULATION AND WITHDRAWAL OF VERIFIED CLAIM OF LIENHOLDER TRANS LEASE, INC.

IT IS HEREBY STIPULATED by and between petitioner, Trans Lease, Inc. ("Claimant"), and Plaintiff, the United States of America ("Plaintiff"), by and through its undersigned counsel, Kevin C. Khasigian, Assistant U.S. Attorney, as follows:

1. Claimant asserted a lienholder interest in the defendant property described as a 2018 Featherlite H3-S2 Motorhome with VIN No. 2PCV33492GC713105 (the "2018 Motorhome").

2. The 2018 Motorhome was sold at auction with Claimant's permission and the proceeds were paid to Claimant and applied toward the loan.

3. Claimant released its interest in the 2018 Motorhome.

4. Accordingly, Claimant hereby withdraws its claim filed September 26, 2019 [Document 13] in the above-captioned case with respect to the 2018 Motorhome.

5. To the extent required under the Federal Rules of Civil Procedure, Rule 41(a), Plaintiff agrees to dismiss without prejudice Claimant in the above-captioned case pursuant to the Federal Rules of Civil Procedure, Rule 41(a).

6. Each party hereto is to bear its own costs.

7. Claimant is hereby removed from the Service List for the above-captioned case.

Date: 1/7/2020__________________ By:_/s/__________________________ MARK GORTON (SBN 099312) THOMAS G. MOUZES BOUTIN JONES, INC. 555 Capitol Mall, Suite 1500 Sacramento, California 95814 Telephone: (916) 321-4444 Facsimile: (916) 441-7597 Email: mgorton@boutinjones.com tmouzes@boutinjones.com JAMES R. CAGE (Colorado SBN 10153) (Pro Hac Vice Pending) KELSEY R. BOWERS (Colorado SBN 46128) (Pro Hac Vice Pending) 16 Market Square 6th Floor 1400 16th Street Denver, CO 80202-1486 Telephone (303) 292-2900 Facsimile 303-292-4510 jim.cage@moyewhite.com kelsey.bowers@moyewhite.com Attorneys for Petitioner Trans Lease, Inc. Date: 1/7/2020__________________ McGREGOR W. SCOTT United States Attorney By:__/s/_______________________ KEVIN C. KHASIGIAN Assistant U.S. Attorney

ORDER

The Court has read and considered the Stipulation of Withdrawal of Claim by Trans Lease, Inc. ("the Stipulation") by Claimant, Trans Lease, Inc. ("Petitioner"), and Plaintiff, United States of America ("Plaintiff"), by and through their respective counsel (collectively, the "Parties"). For the reasons stated in the Stipulation and for good cause shown,

IT IS HEREBY ORDERED as follows:

1. The Stipulation is approved.

2. Petitioner's claim filed September 26, 2019 [Dk. 13] in the above-captioned case are hereby deemed withdrawn.

3. Claimant is hereby deemed dismissed without prejudice from the above-captioned case.

IT IS SO ORDERED.

Source:  Leagle

Can't find what you're looking for?

Post a free question on our public forum.
Ask a Question
Search for lawyers by practice areas.
Find a Lawyer