Opinion
No. CV 10-1427EJD
10-19-2011
RICHARD I. WIDEMAN, ESQ. Attorney for THE TORRLUBE COMPANY LLC TINGLEY, PIONTKOWSKI LLP BRUCE PIONTKOWESKI, ESQ. Attorneys for NET MERCURY, INC.
RICHARD I. WIDEMAN, Esq. (SB #41185)
3640 Sagunto Street #208
P.O. Box 1921
SabtaYnez, CA 93460-1921
(805)245-8916 FAX (805) 688-9424
riwlaw@gmail.com
Attorney for Plaintiff
JOINT MOTION TO DISMISS - FRCP Rule
It is jointly moved by the parties hereto, by their respective counsel of record, and subject to the approval of the Court, pursuant to Rule 41 (a) (1), as follows:
The parties hereto having entered into a binding confidential settlement on October 14, 2011, the parties move the court that all claims in this action for damages and otherwise shall be and are dismissed with prejudice.
Each party shall bear his, her or its own costs and attorneys fees. The Court shall retain jurisdiction to enforce the terms of the settlement.
All dates are vacated. [SIGNATURES ON NEXT PAGE]
RICHARD I. WIDEMAN, ESQ.
Attorney for THE TORRLUBE COMPANY LLC
TINGLEY, PIONTKOWSKI LLP
By: BRUCE PIONTKOWESKI, ESQ.
Attorneys for NET MERCURY, INC.
IT IS SO ORDERED . The Clerk shall close this file.
EDWARD J. DAVILA
UNITED STATES DISTRICT JUDGE