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Ocean Keith Joint Stipulation For Dismissal

This document is a joint stipulation for dismissal with prejudice filed in United States District Court. It states that the parties to the case, Frank Ocean v. Om'Mas Keith p/k/a Om'Mas et al., have reached a negotiated settlement and agree to dismiss all claims and counterclaims in the case with prejudice. Each party will bear their own attorney's fees and costs. The stipulation is signed by attorneys for both plaintiff Frank Ocean and defendants Om'Mas Keith p/k/a Om'Mas and The Analog Genius Corporation.

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0% found this document useful (0 votes)
2K views2 pages

Ocean Keith Joint Stipulation For Dismissal

This document is a joint stipulation for dismissal with prejudice filed in United States District Court. It states that the parties to the case, Frank Ocean v. Om'Mas Keith p/k/a Om'Mas et al., have reached a negotiated settlement and agree to dismiss all claims and counterclaims in the case with prejudice. Each party will bear their own attorney's fees and costs. The stipulation is signed by attorneys for both plaintiff Frank Ocean and defendants Om'Mas Keith p/k/a Om'Mas and The Analog Genius Corporation.

Uploaded by

unknownuser12345
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
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Case 2:18-cv-01383-SVW-MRW Document 33 Filed 01/24/19 Page 1 of 2 Page ID #:198

1 Edwin F. McPherson – State Bar No. 106084


emcpherson@mcphersonrane.com
2 Tracy B. Rane – State Bar No. 192959
trane@mcphersonrane.com
3 McPHERSON RANE LLP
1801 Century Park East
4 24th Floor
Los Angeles, CA 90067
5 Tel:(310)553-8833
Fax:(310)553-9233
6

7 Attorneys for Plaintiff and Counter-Defendant FRANK OCEAN


8

10 UNITED STATES DISTRICT COURT


11 FOR THE CENTRAL DISTRICT OF CALIFORNIA
12

13 FRANK OCEAN, an individual, ) CASE NO. 2:18-cv-01383-SVW (MRW)


)
14 Plaintiff, ) JOINT STIPULATION FOR
) DISMISSAL WITH PREJUDICE
15 v. )
)
16 OM’MAS KEITH p/k/a Om’Mas; THE )
ANALOG GENIUS CORPORATION, a )
17 New York corporation; and DOES 1 )
through 10, inclusive, )
18 ) Complaint Filed: April 20, 2018
Defendants. )
19 _________________________________ )
)
20 OM’MAS KEITH p/k/a Om’Mas, an )
individual; THE ANALOG GENIUS )
21 CORPORATION, a New York )
corporation, )
22 )
Counter-Claimants, )
23 )
v. )
24 )
FRANK OCEAN, an individual, )
25 )
Counter-Defendant. )
26 _________________________________ )
27 ///
28 ///

STIPULATION OF DISMISSAL
Case 2:18-cv-01383-SVW-MRW Document 33 Filed 01/24/19 Page 2 of 2 Page ID #:199

1 The parties to this action, acting through counsel, and pursuant to Federal Rule of Civil
2 Procedure 41(a)(1)(A)(ii), hereby stipulate, in consideration of a negotiated settlement
3 executed by them, to the Dismissal With Prejudice of this action, including all claims and
4 counterclaims stated herein against all parties, with each party to bear its own attorney’s fees
5 and costs.
6 IT IS SO STIPULATED AND AGREED.
7

8 Dated: January 24, 2019 Edwin F. McPherson


Tracy B. Rane
9 McPHERSON RANE LLP
10

11 By: /s/ Edwin F. McPherson


EDWIN F. McPHERSON
12 Attorneys for Plaintiff and
Counterdefendant
13 FRANK OCEAN
14
Dated: January 24, 2019 Corey D. Boddie, Esq.
15 BODDIE & ASSOCIATES, P.C.
16

17 By: /s/ Corey D. Boddie


COREY D. BODDIE
18 Attorneys for Defendants and
Counterclaimants
19 OM'MAS KEITH p/k/a Om'Mas
and THE ANALOG GENIUS
20 CORPORATION
21

22

23

24

25

26

27

28

2 STIPULATION OF DISMISSAL

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