Filed: Jan. 06, 2020
Latest Update: Jan. 06, 2020
Summary: STIPULATION AND ORDER OF DISMISSAL WITH PREJUDICE AS TO DEFENDANT TRANS UNION, LLC ONLY MORRISON C. ENGLAND, JR. , District Judge . Plaintiff Jacqulyn Deniston, by counsel, and Defendant Trans Union, LLC ("Trans Union"), by counsel, hereby stipulate and agree that all matters herein between them have been compromised and settled, and that Plaintiff's cause against Trans Union only should be dismissed, with prejudice, pursuant to Fed. R. Civ. P. 41(a)(1)(A)(ii), with each party to bear its o
Summary: STIPULATION AND ORDER OF DISMISSAL WITH PREJUDICE AS TO DEFENDANT TRANS UNION, LLC ONLY MORRISON C. ENGLAND, JR. , District Judge . Plaintiff Jacqulyn Deniston, by counsel, and Defendant Trans Union, LLC ("Trans Union"), by counsel, hereby stipulate and agree that all matters herein between them have been compromised and settled, and that Plaintiff's cause against Trans Union only should be dismissed, with prejudice, pursuant to Fed. R. Civ. P. 41(a)(1)(A)(ii), with each party to bear its ow..
More
STIPULATION AND ORDER OF DISMISSAL WITH PREJUDICE AS TO DEFENDANT TRANS UNION, LLC ONLY
MORRISON C. ENGLAND, JR., District Judge.
Plaintiff Jacqulyn Deniston, by counsel, and Defendant Trans Union, LLC ("Trans Union"), by counsel, hereby stipulate and agree that all matters herein between them have been compromised and settled, and that Plaintiff's cause against Trans Union only should be dismissed, with prejudice, pursuant to Fed. R. Civ. P. 41(a)(1)(A)(ii), with each party to bear its own costs and attorneys' fees.
Respectfully submitted,
Date: December 30, 2019 /s/ Joseph B. Angelo (w/consent)
Joseph B. Angelo, Esq.
Gale, Angelo, Johnson, & Pruett, P.C.
1430 Blue Oaks Boulevard, Suite 250
Roseville, CA 95747
Telephone: (916) 290-7778
Fax: (916) 721-2767
E-Mail: jangelo@gajplaw.com
Counsel for Plaintiff Jacqulyn Deniston
Date: December 30, 2019 /s/ Terri R. Brown
Terri R. Brown, Esq. (IN #26279-49)
(admitted Pro Hac Vice)
Schuckit & Associates, P.C.
4545 Northwestern Drive
Zionsville, IN 46077
Telephone: 317-363-2400
Fax: 317-363-2257
E-Mail: tbrown@schuckitlaw.com
Lead Counsel for Defendant Trans Union, LLC
Eileen T. Booth, Esq. (CSB #182974)
Jacobsen & McElroy PC
2401 American River Drive, Suite 100
Sacramento, CA 95825
Telephone: 916-971-4100
Fax: 916-971-4150
E-Mail: ebooth@jacobsenmcelroy.com
Local Counsel for Defendant Trans Union, LLC
ORDER
PURSUANT TO STIPULATION, IT IS SO ORDERED that all claims of Plaintiff Jacqulyn Deniston against Defendant Trans Union, LLC are dismissed, with prejudice. Plaintiff Jacqulyn Deniston and Defendant Trans Union, LLC shall each bear their own costs and attorneys' fees. This case shall proceed on Plaintiff's remaining claims.
IT IS SO ORDERED.