Opinion
2:23-cv-00803-CDS-BNW
10-20-2023
CONSUMER ATTORNEYS Michael Yancey, NV #16158 Attorneys for Plaintiff BAUMAN LOEWE WITT & MAXWELL, PLLC Nevada Bar No. 3534 Bauman Loewe Witt & Maxwell, PLLC Counsel for Defendant National Center for Safety Initiatives, LLC
CONSUMER ATTORNEYS
Michael Yancey, NV #16158 Attorneys for Plaintiff
BAUMAN LOEWE WITT & MAXWELL, PLLC
Nevada Bar No. 3534
Bauman Loewe Witt & Maxwell, PLLC
Counsel for Defendant National Center for Safety Initiatives, LLC
STIPULATION OF DISMISSAL WITH PREJUDICE
HONORABLE CRISTINA D. SILVA UNITED STATES DISTRICT JUDGE
Pursuant to Federal Rule of Civil Procedure 41, Plaintiff Jasmine Grace (“Plaintiff' or “Ms. Grace”) and Defendant NATIONAL CENTER FOR SAFETY INITIATIVES, LLC (“NCSI”), by and through undersigned counsel, hereby stipulate that this action and all claims and defenses asserted therein be dismissed with prejudice, without assessment of fees or costs by the Court.
Based on the parties' stipulation and with good cause appearing, this case is dismissed with prejudice, with each party to bear its own costs and fees. The Clerk of Court is kindly directed to close this case.