On October 23, 2014 a
Complaint,Petition
was filed
involving a dispute between
Leeman Phd, Whitney R.,
and
Amazon Com, Inc,
Amazon.Com, Inc.,
Does 1 To 150, Inclusive,
Magnell Associate, Inc,
Newegg, Inc,
Rosewill, Inc,
Wal-Mart Stores, Inc.,
for civil
in the District Court of San Francisco County.
Preview
ClV-110
[ATTORNEY OR PARTY WITHOUT ATTORNEY:
ame: Brian Johnson
Firm Name: THE CHANLER GROUP:
STREET ADDRESS: 2560 Ninth Street, Suite 214
city: Berkeley STATE: CA ZIPCODE: 94710
TELEPHONE NO. (510)848-8880 FAXNO.: (510)848-8118
E-MAIL ADDRESS: brian@chanler.com
ATTORNEY FOR (Name): Plaintiff, Whitney R. Leeman, Ph.D.
STATEBARNO: 235965
SUPERIOR COURT OF CALIFORNIA, COUNTY OF San Francisco
‘STREET ADDRESS: 400 McAllister Street
MAILING ADDRESS: 400 McAllister Street
‘ciTy AND zip cope: San Francisco 94102-4514
FOR COURT USE ONLY
ELECTRONICALLY
FILED
Superior Court of California,
County of San Francisco
06/29/2017
Clerk of the Court
BY:ANNA TORRES
Deputy Clerk
BRANCH NAME: San Francisco Superior Court -- Unlimited Civil
Plaintiff/Petitioner: Whitney R. Leeman, Ph.D.
Defendant/Respondent: Newegg, Inc., et al.
‘CASE NUMBER:
REQUEST FOR DISMISSAL CGC-14-542330
A conformed copy will not be returned by the clerk unless a method of return is provided with the document.
This form may not be used for dismissal of a derivative action or a class action or of any party or cause of action in a class
action. (Cal. Rules of Court, rules 3.760 and 3.770.)
1. TO THE CLERK: Please dismiss this action as follows:
a. (1) [7] With prejudice (2) [[3¢] Without prejudice
b. (1) [3¢] Complaint (2) [_] Petition
(3) [£2] Cross-complaint filed by (name): ‘on (date):
(4) [-_] Cross-complaint filed by (name): ‘on (date):
(8) [_] Entire action of all parties and all causes of action
(6) [€] Other (specify):* As to Defendant WAL-MART STORES, INC.
2. (Complete in all cases except family law cases.)
The court [_] did [4] did not waive court fees and costs for a pat
clerk. if court fees and costs were waived, the declaration on the back
Date: June 29, 2017
Brian Johnson
(TYPE ORPRINT NAME OF [3] ATTORNEY [—~] PARTY waTHOUT ATTORNEY)
“if dismissal requested is of specified parties only of specified causes of action only,
or of specified cross-complaints only, so state and identify the parties, causes of
action, or cross-complaints to be dismissed.
This information may be obtained from the
(SIGNATURE)
Attorney or party without attorney for:
[Ge] Plaintift/Petitioner [7] Defendant/Respondent
[_] Cross Complainant
3. TO THE CLERK: Consent to the above dismissal is hereby given.**
Date: >
(TYPE OR PRINT NAME OF [~_] ATTORNEY [__] PARTY WITHOUT ATTORNEY) (SIGNATURE)
Attorney or party without attorney for:
[_] Piaintiff/Petitioner | ["_] Defendant/Respondent
[) Cross Complainant
** If cross-complaint - or Response (Family Law) seeking affirmative
relief ~ is on file, the attorney for crass-complainant (respondent) must sign
this consent if required by Code of Civil Procedure section 584 (i) or().
(To be completed by clerk)
4. ["_] Dismissal entered as requested on (date):
5 [_] Dismissal entered on (date): as to only (name):
6. [__] Dismissal not entered as requested for the following reasons (specify):
DISMISSAL ENTERED
7. a. [_] Attorney or party without attorney notified on (date):
b. [__] Attorney or party without attorney not notified, Filing party failed to provide
[-] a copy to be conformed [_] means to return conformed copy
Date: Clerk, by , Deputy Page { of 2
REQUEST FOR DISMISSAL Cote 87(0h Cal. Res of Cook 0 919
wow. courts.c2.g0Â¥
Form Adopted for Mandatory Use
Judicial Counci of Califomia
(CIV-140 [Rev. Jan. 1, 2043}CIV-110
itioner. Whi ASE NUMBER:
Plaintiff/Petitioner: Whitney R. Leeman, Ph.D. CGC-14.542330
Defendant/Respondent: Newegg, Inc., et al.
COURT'S RECOVERY OF WAIVED COURT FEES AND COSTS
If a party whose court fees and costs were initially waived has recovered or will recover $10,000 or more in
value by way of settlement, compromise, arbitration award, mediation settlement, or other means, the
court has a statutory lien on that recovery. The court may refuse to dismiss the case until the lien is
| satisfied. (Gov. Code, § 68637.)
l
Declaration Concerning Waived Court Fees
1. The court waived court fees and costs in this action for (name):
2. The person named in item 1 is (check one below):
a. [__] not recovering anything of value by this action.
b. [-_] recovering less than $10,000 in value by this action.
c. [-_] recovering $10,000 or more in value by this action. (If item 2c is checked, item 3 must be completed.)
3. [_] All court fees and court costs that were waived in this action have been paid to the court (check one): Yes No
| declare under penalty of perjury under the laws of the State of California that the information above is true and correct.
Date: >
(TYPE OR PRINT NAME OF [—_] ATTORNEY [___] PARTY MAKING DECLARATION) (SIGNATURE)
Cv.tt0 Re. January 1, 2013) REQUEST FOR DISMISSAL meeePROOF OF SERVICE
Iam over 18 years of age and not a party to this action. I am employed in the county where
the mailing took place. My business address is 2560 Ninth Street, Parker Plaza, Suite 214,
Berkeley, California 94710-2565.
On June 29, 2017, I caused to be served the following document(s), described as,
REQUEST FOR DISMISSAL
on each interested party as follows:
Brian M. Ledger, Esq. Lauren Shoor, Esq.
Gordon & Rees LLP Norton Rose Fulbright LLP
101 W. Broadway, Suite 2000 555 South Flower Street, 41“ Floor
San Diego, CA 92101 Los Angeles, CA 90071
bledger@gordonrees.com lauren.shoor@nortonrosefulbright.com
Attorneys for Wal-Mart Stores, Inc. Attorneys for Amazon.Com, Inc,
XXXXX (BY ELECTRONIC MAIL) I caused a copy of each document(s) to be electronically
served via File & ServeXpress on the recipients designated on the Service List located on the File &
ServeXpress website.
XXXXX (BYMAIL) I placed a true and correct copy of the foregoing document(s) in a sealed
envelope addressed to each interested party as set forth above. I placed each such envelope, with
postage thereon fully prepaid, for collection and mailing at The Chanler Group, located in Berkeley,
California. I am readily familiar with The Chanler Group’s practice for collection and processing of
documents for mailing with the United States Postal Service. Under that practice, the documents
are deposited with the United States Postal Service on the same day in the ordinary course of
business.
Executed this 29th day of June 2017, at Berkeley, California. I declare under the penalty of
perjury under the laws of the State of California that the foregoing is true and correct.
~~ PROOF OF SERVICE