Bruno v. Equifax Information Services, LLC, 2:17-cv-00327-WBS-EFB. (2019)
Court: District Court, E.D. California
Number: infdco20190821995
Visitors: 3
Filed: Aug. 19, 2019
Latest Update: Aug. 19, 2019
Summary: VOLUNTARY REQUEST FOR DISMISSAL WITHOUT PREJUDICE AS TO DEFENDANTS ANDY MITCHELL AND REBS SUPPLY INC., AND [PROPOSED] ORDER WILLIAM B. SHUBB , District Judge . Pursuant to Federal Rule of Civil Procedure 41(a)(1)(A)(i), Plaintiff Daniel Bruno ("Plaintiff") requests this honorable Court to enter an order for voluntary dismissal of Defendants Andy Mitchell ("Mr. Mitchell") and REBS Supply Inc., ("REBS"), and that all claims for relief in the above-captioned action, as they pertain to Mr
Summary: VOLUNTARY REQUEST FOR DISMISSAL WITHOUT PREJUDICE AS TO DEFENDANTS ANDY MITCHELL AND REBS SUPPLY INC., AND [PROPOSED] ORDER WILLIAM B. SHUBB , District Judge . Pursuant to Federal Rule of Civil Procedure 41(a)(1)(A)(i), Plaintiff Daniel Bruno ("Plaintiff") requests this honorable Court to enter an order for voluntary dismissal of Defendants Andy Mitchell ("Mr. Mitchell") and REBS Supply Inc., ("REBS"), and that all claims for relief in the above-captioned action, as they pertain to Mr...
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VOLUNTARY REQUEST FOR DISMISSAL WITHOUT PREJUDICE AS TO DEFENDANTS ANDY MITCHELL AND REBS SUPPLY INC., AND [PROPOSED] ORDER
WILLIAM B. SHUBB, District Judge.
Pursuant to Federal Rule of Civil Procedure 41(a)(1)(A)(i), Plaintiff Daniel Bruno ("Plaintiff") requests this honorable Court to enter an order for voluntary dismissal of Defendants Andy Mitchell ("Mr. Mitchell") and REBS Supply Inc., ("REBS"), and that all claims for relief in the above-captioned action, as they pertain to Mr. Mitchell and REBS, be dismissed without prejudice. Federal Rule of Civil Procedure 41(a)(1)(A)(i) permits this Court to grant Plaintiff's dismissal request as, to date Mr. Mitchell and REBS have not filed an answer nor sought summary judgment. Plaintiff shall bear his own costs, including attorneys' fees, with respect to the claims dismissed hereby. Upon entry of this dismissal, Plaintiff's claims as against all Defendants for this matter will conclude.
DATED: August 19, 2019
Joseph Messer (pro hac vice)
Messer Strickler, Ltd.
225 W. Washington St., Suite 575
Chicago, IL 60602
(312) 334-3442 (Phone)
(312) 334-3473 (Fax)
jmesser@messerstrickler.com
Attorney for Plaintiffs DANIEL BRUNO,
Individually and behalf of all others
similarly situated
IT IS SO ORDERED.
Source: Leagle