STIPULATION TO DISMISS (Fed. R. Civ. P. 41(a) and (c)) & ORDER
Pursuant to Rules 41(a)(1)(A)(ii) and 41(c) of the Federal Rules of Civil Procedure, Plaintiff and Counter-Defendant DFA PVA II Partners, LLC ("DFA"), Defendant and Counter-Claimant City of Manhattan Beach (the "City"), and Defendants IMG Worldwide, Inc. ("IMG"), USA Volleyball ("USAV"), Leverage Agency LLC ("Leverage Agency"), U.S. Tequila Cuervo La Rojena, S.A. De C.Y., and Jose Cuervo International, Inc., by and through their counsel of record, hereby stipulate to the dismissal of this action and all claims and counter-claims alleged therein, with prejudice, in its entirety. Each party shall bear its own costs, fees, and expenses. The parties respectfully request that the Clerk of the Court enter the dismissal as requested.
Date: Sept. 17, 2012 WINSTON & STRAWN LLP By: /s/ Jennifer A. GolinveauX Jennifer A. Golinveaux Attorneys for Plaintiff and Counter-Defendant DFA PVA II PARTNERS, LLC Date: Sept. 17, 2012 BRYAN CAVE LLP By: /s/ Katherine Keating Katherine Keating Attorneys for Defendant and Counter-Claimant CITY OF MANHATTAN BEACH Date: Sept. 17, 2012 AKIN GUMP STRAUSS HAUER & FELD LLP By: /s/ Julia I. De Beers Julia I. De Beers Attorneys for Defendants IMG WORLDWIDE INC., LEVERAGE AGENCY LLC, U.S. TEQUILA CUERVO LA ROJENA, S.A. DE C.Y., and JOSE CUERVO INTERNATIONAL, INC. Date: Sept. 17, 2012 SEDGWICK LLP By: /s/ Matthew A. Fischer Matthew A. Fischer Attorneys for Defendant USA VOLLEYBALL
I hereby attest that all other signatories listed, and on whose behalf the filing is submitted, concur in the filing's content and have authorized the filing.
Date: Sept. 17, 2012 BRYAN CAVE LLP By: /s/ Katherine Keating Katherine Keating Attorneys for Defendant and Counter-Claimant CITY OF MANHATTAN BEACH 9/19/12 PHILIP S. GUTIERREZ
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