Opinion
CIVIL 2:21-cv-02132-GMN-BNW
08-29-2022
Yitzchak Zelman, Esq. MARCUS & ZELMAN, LLC PRO HAC VICE Attorneys for Plaintiff Todd Vandehey Rachael Swernofsky, Esq. QUILLING, SELANDER, LOWNDS, WINSLETT, MOSER, P.C. Attorneys for Defendant Transunion, LLC
Yitzchak Zelman, Esq. MARCUS & ZELMAN, LLC PRO HAC VICE Attorneys for Plaintiff Todd Vandehey
Rachael Swernofsky, Esq. QUILLING, SELANDER, LOWNDS, WINSLETT, MOSER, P.C. Attorneys for Defendant Transunion, LLC
STIPULATION OF DISMISSAL AS TRANSUNION, LLC
GLORIA M. NAVARRO, DISTRICT JUDGE UNITED STATES DISTRICT COURT
Pursuant to Rule 41(a)(1)(A)(ii) of the Federal Rules of Civil Procedure, the parties hereby stipulate to the Plaintiff's voluntary dismissal of all claims against Defendant, TRANSUNION, LLC in the above-captioned matter, with prejudice. A proposed Order of Dismissal as to TRANSUNION, LLC is annexed hereto as Exhibit A.
All parties shall bear their own attorneys' fees and costs incurred in the action against TRANSUNION, LLC.
ORDER
IT IS SO ORDERED.