STIPULATION FOR DISMISSAL WITH PREJUDICE Sample Clauses
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STIPULATION FOR DISMISSAL WITH PREJUDICE. Upon execution of this Agreement, Releasors agree to dismiss all of their claims brought in this Litigation to the extent that they pertain to Colstrip Units 3 and 4 and/or the Units 3 and 4 EHP, with prejudice, as fully settled upon the merits. Each party shall pay their respective costs and attorneys’ fees. Releasors will dismiss all remaining claims brought in this Litigation upon entry of an Order in the Federal Court Litigation dismissing that matter.
STIPULATION FOR DISMISSAL WITH PREJUDICE. RightNow stipulates and agrees that upon: (A) execution of this General Release & Settlement Agreement, and the General Release & Settlement Agreement by and between RightNow, KANA, ▇▇▇▇▇▇▇▇▇ ▇▇▇▇▇, ▇▇▇ ▇▇▇▇▇, ▇▇▇▇ ▇▇▇▇▇▇▇ and ▇▇▇▇▇ ▇▇▇▇▇; and (B) payment by KANA of the $100,000.00 due to RightNow under Paragraph 1(a)(i), RightNow’s attorney of record shall dismiss with prejudice, as fully settled upon the merits, the above-described civil action. Each party shall pay its, his or her costs, expenses and attorneys’ fees. Notwithstanding the foregoing, mediation fees will be paid equally by RightNow and KANA. This General Release & Settlement Agreement is contingent upon the full execution of the General Release & Settlement Agreement by and between KANA, RightNow, ▇▇▇▇▇▇▇▇▇ ▇▇▇▇▇, ▇▇▇ ▇▇▇▇▇, ▇▇▇▇ ▇▇▇▇▇▇▇ and ▇▇▇▇▇ ▇▇▇▇▇.
STIPULATION FOR DISMISSAL WITH PREJUDICE. The Parties stipulate and agree their attorneys of record shall dismiss with prejudice, as fully settled upon the merits, the above-described Civil Cause. Each party shall pay their respective costs and attorneys’ fees.
STIPULATION FOR DISMISSAL WITH PREJUDICE. Pursuar.t to Rule 41(a)(1) of the Federal Rules of Civil Procedure, plaintiffs Gainesville Utilities Department and the City of Gainesville, Florida, and defendant Florida Power & Light Company hereby stipulate, consent and agree, without admission by any party as to any issue of law or fact herein, that this action shall be dismissed'with prejudice, with each party to bear its own costs. | For the Plaintiffs: | Wortn ▇▇▇▇▇▇, Attorney ' For the Defendant: ~ ~ ~ ~~ ▇▇▇▇▇ ▇. ▇▇▇▇, Attorney - Af 95 _ . THE CITY OF GAINESVILLE, et al., Civil Action No.
STIPULATION FOR DISMISSAL WITH PREJUDICE. Pursuant to Rule 1.440(a)(1)(B) of the Florida Rules of Civil Procedure and all other applicable rules of this Court, Plaintiffs, YUZZ BUZZ, LLC and ▇▇▇▇▇▇▇ ▇▇▇▇▇ (collectively, “Plaintiffs”), and SPRINGBIG, INC., now known as MEDICI HOLDINGS V, INC. (“Medici Holdings”), a Florida corporation, SPRINGBIG, INC. (“SpringBig”), a Delaware corporation, SPRINGBIG HOLDINGS, INC., a Delaware corporation, and ▇▇▇▇▇▇▇ ▇▇▇▇▇▇ (“▇▇▇▇▇▇”), an individual (collectively “Defendants”), who collectively constitute all current parties to this action, stipulate: (I) to the dismissal with prejudice of this action and all claims therein, including (a) the Plaintiffs’ Second Amended Complaint against the Defendants; and (b) Medici Holdings’, SpringBig’s, and ▇▇▇▇▇▇’ Amended Counterclaim against Defendants; (II) that each party shall bear CASE NO. 50-2022-CA-005163-XXXX-MB (AG) its own costs and attorney’s fees; and (III) that this Court shall retain jurisdiction to enforce the terms of this Stipulation and the underlying settlement agreement. ▇▇▇▇▇▇▇ ▇▇▇▇▇▇ ▇▇▇▇▇▇ ▇▇▇▇▇▇▇▇ ▇▇▇▇▇▇▇▇ & ▇▇▇▇▇▇▇▇▇, P.A. Attorneys for Yuzz Buzz, LLC and ▇▇▇▇▇▇▇ ▇▇▇▇▇ ▇▇▇ ▇▇▇▇ ▇▇▇▇▇▇▇ ▇▇▇▇▇▇, ▇▇▇▇▇ ▇▇▇▇ Miami, Florida 33130 Telephone: (▇▇▇) ▇▇▇-▇▇▇▇ By: Dated: ▇▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇, Esq. Florida Bar No. 661651 ▇▇▇▇▇▇▇▇@▇▇▇▇▇▇▇▇▇▇▇▇▇.▇▇▇ Attorneys for Medici Holdings V, Inc., Springbig, Inc., Springbig Holdings, Inc., and ▇▇▇▇▇▇▇ ▇▇▇▇▇▇ ▇▇▇ ▇▇▇▇▇▇ ▇▇▇▇▇▇, ▇▇▇▇▇ ▇▇▇▇ Cleveland, Ohio ▇▇▇▇▇-▇▇▇▇ Telephone: (▇▇▇) ▇▇▇-▇▇▇▇ By: Dated: ▇▇▇▇▇▇ ▇. ▇▇▇▇▇▇▇, Esq. Florida Bar No. 1008836 ▇▇▇▇▇▇▇▇@▇▇▇▇▇▇▇▇▇▇.▇▇▇ IN THE CIRCUIT COURT OF THE 15TH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA CIVIL DIVISION CASE NO. 50-2022-CA-005163-XXXX-MB (AG) YUZZ BUZZ, LLC, a Delaware limited liability company, ▇▇▇▇▇▇▇ ▇▇▇▇▇, an individual Plaintiffs,
STIPULATION FOR DISMISSAL WITH PREJUDICE. The Appellants, F.X. ▇▇▇▇▇▇, JR. and ▇▇▇▇▇▇▇▇ ▇▇▇▇▇▇ (“FARREYS”), and the Appellee, TOWN OF MIAMI LAKES (“TOWN”), have reached a settlement of their disputes and, by and through their undersigned counsel, and with the consent and approval of the parties, hereby jointly stipulate to dismissal of this action with prejudice, as provided in Rule 1.420(a)(1), Fla.R.Civ.P., and move the Court for entry of their Agreed Order of Dismissal with Prejudice as follows:
STIPULATION FOR DISMISSAL WITH PREJUDICE. THIS MATTER came before the Court upon a Stipulation For Dismissal With Prejudice (“Stipulation”) signed and filed by counsel to all parties joined in the above-captioned action (the “Action”). The Court, having reviewed the file, considered the Stipulation and being otherwise ▇▇▇▇ advised in the premises, it is hereby: ORDERED AND ▇▇▇▇▇▇▇▇ as follows:
STIPULATION FOR DISMISSAL WITH PREJUDICE. The parties, by their counsel, hereby stipulate as follows:
STIPULATION FOR DISMISSAL WITH PREJUDICE. Aurora stipulates and agrees that Aurora’s attorney of record shall dismiss the Civil Action with prejudice, as fully settled upon the merits. Each party shall pay their respective costs and attorneys’ fees.
STIPULATION FOR DISMISSAL WITH PREJUDICE. Plaintiff BTC Mall Associates LLC and Defendant City of Burlington, by their respective attorneys, hereby Stipulate that the Complaint filed by Plaintiff against Defendant shall be Dismissed with Prejudice. No costs are to be awarded to either party by the Court. Wherefore, Plaintiff and Defendant respectfully request that the Court Dismiss the Complaint and Counterclaims filed in this matter with prejudice. Dated at Burlington, Vermont this day of February, 2021. DOWNS ▇▇▇▇▇▇▇ ▇▇▇▇▇▇ PLLC ▇▇▇▇ ▇. ▇▇▇▇▇, Esq. ▇▇▇ ▇▇▇▇ ▇▇▇▇▇▇ ▇▇ ▇▇▇ ▇▇▇ Burlington, VT ▇▇▇▇▇-▇▇▇▇ Telephone ▇▇▇-▇▇▇-▇▇▇▇ Fax: ▇▇▇-▇▇▇-▇▇▇▇ Attorneys for City of Burlington ▇▇▇▇▇▇▇▇ ▇▇▇▇▇▇ & ▇▇▇▇, LLP ▇▇▇▇ ▇. ▇▇▇▇▇▇▇▇ PO Box 721, ▇▇▇ ▇▇▇▇▇▇▇ ▇▇▇▇▇▇ Burlington, VT 05402 ▇▇▇▇▇▇▇▇▇@▇▇▇▇▇▇▇▇.▇▇▇ Phone: (▇▇▇) ▇▇▇-▇▇▇▇ Attorneys for Defendant BTC Mall Associates, LLC Dated at Burlington, Vermont this day of February, 2021. SO ORDERED: Judge ▇▇▇▇▇▇ ▇▇▇▇ Presiding Judge