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Case 3:12-cv-05102-JAP-TJB Document 9 Filed 01/02/13 Page 1 of 2 PageID: 87



Patrick J. Cerillo, Esq.
Patrick J. Cerillo, LLC
4 Walter Foran Blvd., Suite 402
Flemington, NJ 08822
T: (908) 284-0997
F: (908) 284-0915
[email protected]
Attorneys for Plaintiff


UNITED STATES DISTRICT COURT

FOR THE DISTRICT OF NEW JERSEY




MALIBU MEDIA, LLC,


Plaintiff,


v.

JOHN DOES 1-12,

Defendants.




Civil Action No. 3:12-cv-05102-JAP-TJB








PLAINTIFF’S NOTICE OF SETTLEMENT AND VOLUNTARY DISMISSAL

WITH PREJUDICE OF JOHN DOE10 ONLY



PLEASE TAKE NOTICE, Plaintiff has settled this matter with John Doe 10

(“Defendant”). Pursuant to the settlement agreement’s terms, Plaintiff hereby voluntarily

dismisses Defendant from this action with prejudice. John Doe 10 was assigned the IP Address

68.34.174.12. For the avoidance of doubt, Plaintiff is not voluntarily dismissing any other

Defendant.



Pursuant to Fed.R.Civ.P. 41(a)(1)(A)(i) Defendant John Doe 10 has neither answered

Plaintiff’s Complaint nor filed a motion for summary judgment.

Dated: December ____, 2012


























Respectfully submitted,

By:

/s/ Patrick J. Cerillo









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Case 3:12-cv-05102-JAP-TJB Document 9 Filed 01/02/13 Page 2 of 2 PageID: 88






























































Patrick J. Cerillo, Esquire
[email protected]
Attorney At Law
4 Walter Foran Boulevard, Suite 402
Flemington, NJ 08822

Phone: 908-284-0997

Attorney for Plaintiff













CERTIFICATE OF SERVICE





I hereby certify that on December ____, 2012, I electronically filed the foregoing
document with the Clerk of the Court using CM/ECF and that service was perfected on all
counsel of record and interested parties through this system.





By: /s/Patrick J. Cerillo
Patrick J. Cerillo, Esq.
































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