Opinion
2:22-cv-00985-JHC
10-11-2023
TESSA M. GORMAN, Acting United States Attorney WHITNEY PASSMORE, FL No. 91922 Assistant United States Attorney United States Attorney's Office, Attorneys for United States of America CMG LAW TYLER GOLDBERG-HOSS, WSBA No. 41653, Attorney for Plaintiff
Noted for Consideration: October 10, 2023
TESSA M. GORMAN, Acting United States Attorney WHITNEY PASSMORE, FL No. 91922 Assistant United States Attorney United States Attorney's Office, Attorneys for United States of America
CMG LAW TYLER GOLDBERG-HOSS, WSBA No. 41653, Attorney for Plaintiff
STIPULATED MOTION AND ORDER OF DISMISSAL
JOHN H. CHUN, United States District Judge
JOINT STIPULATION
The parties hereto, by and through their respective counsel of record, hereby stipulate that this action, including any and all claims, counterclaims and cross-claims, whether for indemnity and/or contribution by and among the parties hereto, and any and all others, whether or not actually asserted to date, shall be dismissed with prejudice without costs or fees to either party.
The parties further stipulate that this matter has been fully compromised and settled.
SO STIPULATED.
I certify that this memorandum contains 76 words, in compliance with the Local Civil Rules.
ORDER
The parties having so stipulated and agreed, it is hereby ORDERED that this case is dismissed with prejudice and without costs or fees to either party. This Court shall retain jurisdiction over the above-captioned action and the terms of the settlement thereof if and as necessary.