arrow left
arrow right
  • MEDICAL HYPERBARICS, INC.  vs.  MARK WILLIAM ZAHAROFFCNTR CNSMR COM DEBT document preview
  • MEDICAL HYPERBARICS, INC.  vs.  MARK WILLIAM ZAHAROFFCNTR CNSMR COM DEBT document preview
  • MEDICAL HYPERBARICS, INC.  vs.  MARK WILLIAM ZAHAROFFCNTR CNSMR COM DEBT document preview
  • MEDICAL HYPERBARICS, INC.  vs.  MARK WILLIAM ZAHAROFFCNTR CNSMR COM DEBT document preview
  • MEDICAL HYPERBARICS, INC.  vs.  MARK WILLIAM ZAHAROFFCNTR CNSMR COM DEBT document preview
  • MEDICAL HYPERBARICS, INC.  vs.  MARK WILLIAM ZAHAROFFCNTR CNSMR COM DEBT document preview
						
                                

Preview

FILED 3/9/2023 11:23 AM FELICIA PITRE DISTRICT CLERK DALLAS CO., TEXAS Marissa Gomez DEPUTY CAUSE NO. DC-22—17264 MEDICAL HYPERBARICS INC., § IN THE DISTRICT COURT Plaintiffi § § V. § 95th JUDICIAL DISTRICT § MARK WILLIAM ZAHAROFF. § Defendant. § DALLAS COUNTY, TEXAS PLAINTIFF’S MOTION OF NONSUIT WITHOUT PREJUDICE TO THE HONORABLE JUDGE OF SAID COURT: COME NOW Plaintiff, MEDICAL HYPERBARICS, INC., by and through the undersigned counsel, and pursuant to Rule 162 of the TEXAS RULES OF CIVIL PROCEDURE hereby files this Motion to Nonsuit all of its claims against Defendant, MARK WILLIAM ZAHAROFF, without prejudice, that were included in Plaintiff’s Original Petition filed on December 16, 2022 and dismiss this Case. Plaintiff no longer wishes to pursue its claims against Defendant, MARK WILLIAM ZAHAROFF, at this time and Wished to nonsuit same Without prejudice and dismiss the above numbered cause. Defendant, MARK WILLIAM ZAHAROFF, has not been served with process, nor answered or sought affirmative relive. WHEREFORE, PREMISES CONSIDERED, Plaintiff, MEDICAL HYPERBARICS, INC., prays that the Court enter an order nonsuiting Defendant, MARK WILLIAM ZAHAROFF, without prejudice and dismissing the Case. PLAINTIFF’S MOTION OF NONSUIT WITHOUT PREJUDICE PAGE 1 Respectfully submitted, COOK KEITH & DAVIS A PROFESSIONAL CORPORATION /s/ Stephen W. Davis DARRELL W. COOK State Bar No. 00787279 dwcook@attorneycook.com STEPHEN W. DAVIS State Bar No. 24066792 stephen@attorneycook.com 6688 North Central Expressway, Suite 1000 Dallas, Texas 75206 (214) 368-4686 (214) 593-5713 Telecopy ATTORNEY FOR PLAINTIFF, MEDICAL HYPERBARICS INC. PLAINTIFF’S MOTION OF NONSUIT WITHOUT PREJUDICE PAGE 2 Automated Certificate of eService This automated certificate of service was created by the efiling system. The filer served this document via email generated by the efiling system on the date and to the persons listed below. The rules governing certificates of service have not changed. Filers must still provide a certificate of service that complies with all applicable rules. Darrell Cook on behalf of Darrell Cook Bar No. 00787279 all@cookkeithdavis.com Envelope ID: 73502238 Status as of 3/9/2023 12:09 PM CST Case Contacts Name BarNumber Email TimestampSubmitted Status stephen wdavis all@cookkeithdavis.com 3/9/2023 11:23:37 AM SENT