Opinion
2:21-cv-00213-KJD-BNW
04-11-2022
LAGOMARSINO LAW ANDRE M. LAGOMARSINO, ESQ. (#6711) CORY M. FORD, ESQ. (#15042) Attorneys for Plaintiff/Counter Defendant THE LAW OFFICE OF AMANDA L. IRELAND, LTD. AMANDA L. IRELAND, ESQ. (#13155) and GABRIEL L. GRASSO, P.C. GABRIEL L. GRASSO, ESQ. (#7358) Attorneys for Defendants/Counterclaimants
LAGOMARSINO LAW ANDRE M. LAGOMARSINO, ESQ. (#6711) CORY M. FORD, ESQ. (#15042) Attorneys for Plaintiff/Counter Defendant
THE LAW OFFICE OF AMANDA L. IRELAND, LTD. AMANDA L. IRELAND, ESQ. (#13155) and GABRIEL L. GRASSO, P.C. GABRIEL L. GRASSO, ESQ. (#7358) Attorneys for Defendants/Counterclaimants
STIPULATION AND ORDER OF DISMISSAL WITH PREJUDICE
Defendants/Counterclaimants LANE F. SMITH, M.D., SMITH SALON, LLC dba Chic La Vie, SMITH PLASTIC SURGERY, PC, and SMITH PLASTIC SURGERY BUILDING, LLC, by and through their counsel of record, The Law Office of Amanda L. Ireland Ltd. and Gabriel L. Grasso, PC and Plaintiff/Counter-Defendant SARAH KIM NGUYEN, by and through her counsel of record, Lagomarsino Law, hereby stipulate and agree, due to the existence of severe issues of proof with respect to certain allegations, and the preference of all parties to avoid the additional disruption and expense of protracted litigation and trial, that this action be dismissed in its entirety, with prejudice, with each party to bear their own attorneys' fees and costs, pursuant to Federal Rules of Civil Procedure Rule 41(a)(1)(ii). This dismissal includes all claims and counterclaims actually asserted or that could have been asserted by the parties hereto.
IT IS SO STIPULATED.
ORDER
Upon the stipulation of the parties and for good cause shown, the above captioned action, including all claims and counterclaims actually asserted or that could have been asserted, is dismissed in its entirety, with prejudice, with each party to bear their own attorneys' fees and costs.
IT IS SO ORDERED.