Opinion
2:21-cv-01737-JCM-DJA
01-07-2022
MARISSA R. TEMPLE, ESQ. ROGERS, MASTRANGELO, CARVALHO & MITCHELL Attorneys for Defendant DIMOPOULOS INJURY LAW GARNET E. BEAL, ESQ. Attorneys for Plaintiff
MARISSA R. TEMPLE, ESQ.
ROGERS, MASTRANGELO, CARVALHO & MITCHELL
Attorneys for Defendant
DIMOPOULOS INJURY LAW
GARNET E. BEAL, ESQ.
Attorneys for Plaintiff
STIPULATION AND ORDER TO DISMISS CAUSES OF ACTION WITHOUT PREJUDICE
IT IS HEREBY STIPULATED by and between the parties hereto, through their respective counsel of record, that Plaintiff's Causes of Action contained in his Complaint for Breach of the Covenant of Good Faith and Fair Dealing and Violation of the Unfair Claims Practices Act (NRS § 686A.310) shall be dismissed, without prejudice. The Plaintiff's Cause of Action for Breach of Contract shall be the only remaining Cause of Action.
DATED THIS 3rd day of January, 2022.
ROGERS, MASTRANGELO, CARVALHO & MITCHELL
MARISSA R. TEMPLE
Attorney for Defendant
DIMOPOULOS INJURY LAW
GARNET E. BEAL, ESQ.
Attorneys for Plaintiff
IT IS SO ORDERED.