Opinion
No. 11-cv-5514 Case No. C-07-5944 SC MDL No. 1917
03-14-2013
In re: CATHODE RAY TUBE (CRT) ANTITRUST LITIGATION This Document Relates To: Target et. al. v. Chunghwa Picture Tubes, Ltd. et al.
Jason C. Murray (CA Bar No. 169806) CROWELL & MORING LLP Counsel for Plaintiffs Old Comp Inc., Good Guys, Inc. Richard Snyder (admitted pro hac vice ) Freshfields Bruckhaus Deringer US LLP Attorney for Defendant Bejing Matsushita Color CRT Co. Ltd.
Jason C. Murray (CA Bar No. 169806)
CROWELL & MORING LLP
515 South Flower St., 40th Floor
Los Angeles, CA 90071
Telephone: 213-622-4750
Facsimile: 213-622-2690
Email: jmurray@crowell.com
Counsel for Plaintiffs
STIPULATION OF DISMISSAL
WHEREAS, Plaintiffs Old Comp Inc. and Good Guys, Inc. (collectively "Plaintiffs") initially filed a Complaint against Defendant Beijing Matsushita Color CRT Co., Ltd. ("BMCC") in November 2011 and subsequently filed an amended Complaint in January 2012;
WHEREAS, BMCC filed an Answer to Plaintiffs' Complaint on September 14, 2012;
WHEREAS, Plaintiffs opted out of the Indirect Purchaser Plaintiff Settlement Class regarding settlement with Defendant Chunghwa Picture Tubes, Ltd. in January 2012 (the "Settlement");
NOW, THEREFORE, IT IS WHEREBY STIPULATED AND AGREED by and among the undersigned counsel, on behalf of their respective clients, as follows:
1. Plaintiffs shall dismiss all of their claims against BMCC, without prejudice, pursuant to Rule 41(a)(1)(A)(ii) of the Federal Rules of Civil Procedure.
2. BMCC acknowledges that this dismissal shall not affect, nor will BMCC rely upon this dismissal to seek to prevent, Plaintiffs' inclusion in any future litigation or settlement classes in the above-captioned litigation, and this dismissal does not affect, nor will BMCC rely upon this dismissal to seek to prevent, Plaintiffs' right to seek inclusion in the Settlement.
3. Each party shall bear its own costs and attorneys' fees.
4. This stipulation does not affect the rights or claims of any other plaintiff against any other defendant or alleged co-conspirator in the above-captioned litigation.
IT IS SO STIPULATED.
______________________
Jason C. Murray (CA Bar No. 169806)
CROWELL & MORING LLP
Counsel for Plaintiffs Old Comp Inc., Good
Guys, Inc.
______________________
Richard Snyder (admitted pro hac vice)
Freshfields Bruckhaus Deringer US LLP
Attorney for Defendant Bejing Matsushita
Color CRT Co. Ltd.
IT IS SO ORDERED
Judge Samuel Conti