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Case 1:11-cv-00895-LJO-JLT Document 10 Filed 08/12/11 Page 1 of 4

Tammy Hussin (Bar No. 155290)
Of Counsel
Lemberg & Associates LLC
6404 Merlin Dr., Suite #100
Carlsbad, CA 92011
Telephone (855) 301-2100 ext. 5514
[email protected]

Lemberg & Associates LLC
A Connecticut Law Firm
1100 Summer Street
Stamford, CT 06905
Telephone: (203) 653-2250
Facsimile: (203) 653-3424

Attorneys for Plaintiff,
Barbara Westmaas


UNITED STATES DISTRICT COURT

EASTERN DISTRICT OF CALIFORNIA



Case No.: 1:11-cv-00895-LJO -JLT

VOLUNTARY WITHDRAWAL

Barbara Westmaas,


Plaintiff,


vs.



Mandarich Law Group, LLP; and DOES
1-10, inclusive,


Defendants.





1:11-cv-00895-LJO -JLT








VOLUNTARY WITHDRAWAL


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Case 1:11-cv-00895-LJO-JLT Document 10 Filed 08/12/11 Page 2 of 4

NOTICE OF WITHDRAWAL OF COMPLAINT AND

VOLUNTARY DISMISSAL OF ACTION WITH PREJUDICE

PURSUANT TO RULE 41(a)







Barbara Westmaas (“Plaintiff”), by Plaintiff’s attorney, hereby

withdraws the complaint and voluntarily dismisses this action, with prejudice,

pursuant to Fed. R. Civ. P. 41(a)(1)(A)(i).














IT IS SO ORDERED:

_________________________

Honorable ____________________







By: /s/ Tammy Hussin
Tammy Hussin Of Counsel
Lemberg & Associates
Attorney for Plaintiff, Barbara Westmaas




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1:11-cv-00895-LJO -JLT


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Case 1:11-cv-00895-LJO-JLT Document 10 Filed 08/12/11 Page 3 of 4

CERTIFICATE OF SERVICE

I, the undersigned, certify and declare that I am over the age of 18 years, and

not a party to the above-entitled cause. On August 12, 2011, I served a true copy of

foregoing document(s): VOLUNTARY WITHDRAWAL.

Attorney for Defendants Mandarich
Law Group, LLP


BY ELECTRONIC FILING: I hereby
certify that on August 12, 2011, a copy of
the foregoing document was filed
electronically. Notice of this filing will be
sent by operation of the Court's electronic
filing system to all parties indicated on
the electronic filing receipt. All other
parties will be served by regular U.S.
Mail. Parties may access this filing
through the Court's electronic filing
system.

Ryan Vos, Esq.
Managing Attorney
877.414.0130
[email protected]




I am readily familiar with the firm's practice of collection and processing

correspondence for mailing. Under that practice it would be deposited with the U.S.

Postal Service on that same day with postage thereon fully prepaid in the ordinary

course of business. I am aware that on motion of the party served, service is presumed

invalid if postal cancellation date or postage meter date is more than one day after the

date of deposit for mailing in affidavit.

1:11-cv-00895-LJO -JLT


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Case 1:11-cv-00895-LJO-JLT Document 10 Filed 08/12/11 Page 4 of 4

I hereby certify that I am employed in the office of a member of the Bar of this

Court at whose direction the service was made.

Executed on August 12, 2011.







By: /s/ Tammy Hussin
Tammy Hussin Of Counsel
Lemberg & Associates
Attorney for Plaintiff, Barbara Westmaas

1:11-cv-00895-LJO -JLT


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