Opinion
Case No. 05-CV-0387-LAB (WMc).
April 11, 2006
Andrew B. Kaplan, Esq. (SBN 127261) LAW OFFICES OF ANDREW B. KAPLAN San Diego, CA,
Matthew A. Becker, Esq., (SBN 190748) THE LAW OFFICE OF MATTHEW A. BECKER, PC Coronado, California, Attorneys for Plaintiff.
For Defendant, Ronan Tools, Inc.
Craig S. Hilliard, Esq., STARK STARK.
STIPULATION OF DISMISSAL AND [PROPOSED] ORDER THEREON
1. IT IS HEREBY STIPULATED by and between the parties to this action through their designated counsel that the above-captioned action, including Plaintiff's claims and Defendant Ronan's counterclaims, be and hereby is dismissed with prejudice pursuant to Fed.R.Civ.P. 41(a)(1), and that each party shall bear its own attorneys' fees and costs in the action, subject to the terms of the settlement agreement entered into by the Parties.
2. The Parties jointly request and stipulate that the Court specifically retain jurisdiction to enforce the Settlement Agreement between the Parties. The Parties consent to the exercise of jurisdiction by a United States Magistrate Judge in the form of attached hereto as Exhibit A.
3. The Parties specifically agree as follows:
The Magistrate Judge shall retain jurisdiction over all disputes between and among the Parties arising out of the Settlement Agreement, including but not limited to, interpretation and enforcement of the terms of the Settlement Agreement.
SO STIPULATED.
PROPOSED] ORDER DISMISSING WITH PREJUDICE ALL CLAIMS AND COUNTERCLAIMS IN THIS ACTION
The Court has reviewed the Stipulation of the parties dismissing this action in its entirety with prejudice. For good cause appearing,IT IS HEREBY ORDERED THAT:
1. The claims and counterclaims filed by the parties in this action are hereby dismissed with prejudice in their entirety; and
2. The Magistrate Judge shall retain jurisdiction over all disputes between and among the Parties arising out of the Settlement Agreement, including but not limited to, interpretation and enforcement of the terms of the Settlement Agreement.