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Mustoe, et al v. Bayer Corporation Doc.

18

Case 1:04-cv-06067-AWI-SMS Document 18 Filed 06/19/2006 Page 1 of 3

Peter l 1. Meson (I3ar No. 71 839)


Douglas W. Stern (Bar No. 81973) ORIGINAL
dam P. Lal'fos (Bar No. 717669)
FULBRIGHT & JAWORSKI L.L.P.
555 South Flower Street, 41" Floor
Los Angeles, Calilbmia 90071
CLERK. U . q M T @ j T p
Telephone: (213 ) 892-9200 FAATFIIN OIW C IFORNIA

Attorneys for Defendant


BAYER CORPORATION

I
SANDRA MIJS'fOB. ) No. CV-1,-04-6067 A W I (SMS)
1
Plaint~ff, )
) STIPULATION AND [PROPOSED]
v. ) ORDER FOR DISMISSAL OF ENTIRE:
) ACTION WITH PREJUDICE
BAYEK CORPORATION, 1
Defendant. 1
1

Dockets.Justia.com
Case 1:04-cv-06067-AWI-SMS Document 18 Filed 06/19/2006 Page 2 of 3

Plaintiff Sandra Mustoe and Defendant Bayer Corporation, tluough their respective
counsel of record, hereby stipulate that the complaint, and each and every cause of action asserted
in this proceeding, shall be dismissed with prejudice, each party to bear its own attorneys' fees
and costs. The parties further stipulate that the Court may enter an order based upon this
stipulation.
IT IS SO STIPULATED.

CORY, WATSON, CROWDER


& De GARIS

-
BY
Leila H. Watson
Attorneys for Plaintiff
SANDRA MUSTOE
WILLIAM L.BERG & ASSOCIATES
I
BY " !.,tA&&?- 234 4f
William L. Berg
Attorneys for Plaintiff
0
SANDRA MUSTOE

ORDER
Based upon the foregoing, the complaint, and each and every cause of action asserted
therein, shall be dismissed with prejudice, each side to bear its own attorneys' fees and costs.
I
IT IS SO ORDERED.
I
DATED: I $ .20&

31012717.1
TALLAHASSEWS3696.1
78529.09714
Case 1:04-cv-06067-AWI-SMS Document 18 Filed 06/19/2006 Page 3 of 3

PK001; 01: SERVICl<


1013A(3) C.C.P. Kcviscd 5/97

Sl'A'I'L< 01: CAL,II:OKNIA. COUNTY 01: [,OS ANGL:I.I~S

I am employed in the County 01' I,os Angelcs, Statc ol'(:alifornia. I am over the agc 01' I H
I
and not a party to the within action; my business address is Vulbright & Jaworski I..l..I'.. 555
South Flower Street, 41" I:loor, Los Angelcs. California 90071.

On June 14, 2006, 1 served the foregoing document described as: STIPULATION AND
[PROPOSED] ORDER FOR DISMISSAL O F ENTIRE ACTION WITH PREJUDICE on
interested parties in this action as follows:

Leila H. Watson, Esq. William L. Berg, Esq.


Cory, Watson, Crowder & DeGaris Law Offices of William L. Berg & Assoc.
2 13 1 Magnolia Avenue 2440 Santa Clara Avenue
Birmingham, AL 35205 Alarneda, CA 94501
Telephone: (205) 328-2200 Telephone: (5 10) 523-3200

W (BY MAIL) I am "readil) familiar" with the firm's practice of collection and
processing correspondence for mailing. Under that practice it would be deposited with the IJnitcd
States Postal Service on that same day with postage thereon fully prepaid at Los Angclcs.
California in the ordinary course of business. I am aware that on motion of the party servcd.
service is presumed invalid if postal cancellation date or postage meter date is more than one day
after date of deposit for mailing affidavit.
(BY FEDERAL EXPRESS) I caused the aforementioned document to be placcd
in an envelope or package designated by Federal Express, with delivery fees fully paid and
addressed as stated on the attached Service 1,ist.
(BY PERSONAL SERVICE) I caused the aforementioned document to bc
personally served at the offices of all counsel as stated on the attached Service List.

(BY E-MAIL) I caused said document to be sent via e-mail to the interested
parties at the e-mail address as stated on the attached service list.

(BY FACSIMILE) I caused said document to be transmitted electronically to the


interested parties at the facsimile numbers as stated on the attached Service List.
Executed on June 14, 2006 at Los Angeles, California.

W (FEDERAL) 1 declare that I am employed in the office of a member of the bar of


I
this court at whose direction the service was made, '\

..
Mamie Page

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