Opinion
2:21-cv-01681-JCM-BNW
10-11-2022
LAW OFFICES OF DAVID R. JOHNSON, PLLC David R. Johnson, Esq Attorneys for Plaintiff United States of America For The Use And Benefit of Completed Demo Services THE WRIGHT LAW GROUP, P.C.JOHN HENRY WRIGH T, ESQ.PHILIP S. GERSON, ESQ. Attorneys for Defendant MULTI-CORP RESOURCES, INC KREBS FARLEY &DRY,PLLC STEVEN K. CANNON, ESQ Attorneys for Defendant Argonaut Insurance Company THE HUSTEAD LAW FIRM CONNOR L. CANTRELL, ESQ. Admitted Pro H ac Vice Attorneys for Crossdefendant Markel Insurance Company
LAW OFFICES OF DAVID R. JOHNSON, PLLC David R. Johnson, Esq Attorneys for Plaintiff United States of America For The Use And Benefit of Completed Demo Services
THE WRIGHT LAW GROUP, P.C.JOHN HENRY WRIGH T, ESQ.PHILIP S. GERSON, ESQ. Attorneys for Defendant MULTI-CORP RESOURCES, INC
KREBS FARLEY &DRY,PLLC STEVEN K. CANNON, ESQ Attorneys for Defendant Argonaut Insurance Company
THE HUSTEAD LAW FIRM CONNOR L. CANTRELL, ESQ. Admitted Pro H ac Vice Attorneys for Crossdefendant Markel Insurance Company
STIPULATION AND ORDER TO DISMISS ALL CLAIMS WITH PREJUDICE
COME NOW, Defendant/Counterclaimant/Crossclaimant MULTI-CORP RESOURCES, INC., and Plaintiff/Counterdefendant COMPLETE DEMO SERVICES, Defendant ARGONAUT INSURANCE COMPANY, and Crossdefendant MARKEL INSURANCE COMPANY by and through their respective counsel of record, hereby stipulate and agree as follows:
WHEREAS, a lull and final settlement of the above-entitled action has been entered into and agreed to by the remaining parties to this action.
Therefore, said parties, by and through their respective counsel, hereby request and stipulate that all remaining claims against all remaining parties be dismissed with prejudice without an award of fees and costs to any party.
IT IS SO STIPULATED.
ORDER
IT IS SO ORDERED.