On May 19, 2017 a
PLTF'S NOT OF NONSUIT W/O PREJ
was filed
involving a dispute between
and
for INJURY OR DAMAGE, OTHER INJURY OR DAMAGE
in the District Court of Tarrant County.
Preview
017-292197-17
FILED
TARRANT COUNTY
10/20/2017 2:42 PM
THOMAS A. WILDER
Cause No. 017-292197-17 DISTRICT CLERK
STATE FARM LLOYDS AS SUBROGEE OF § IN THE DISTRICT COURT
JOSEPH AND MICHAEL BILLINGSLEY, §
Plaintiff, §
§
vs. §
§ TARRANT COUNTY, TEXAS
INTERLINE BRANDS INC., LINX, LTD., §
WATTS PLUMBING TECHNOLOGIES §
(TAIZHOU) CO. LTD. and §
WATTS REGULATOR CO., §
Defendants. § 17th JUDICIAL DISTRICT COURT
PLAINTIFF’S NOTICE OF NONSUIT WITHOUT PREJUDICE
TO THE HONORABLE JUDGE OF SAID COURT:
COMES NOW, Plaintiff STATE FARM LLOYDS AS SUBROGEE OF JOSEPH AND
MICHAEL BILLINGSLEY, and, in accordance with Texas Rule of Civil Procedure 162, files
this Notice of Nonsuit Without Prejudice. In support of the same, Plaintiff would show the Court
as follows:
At this time, Plaintiff does not wish to continue to pursue the claims it has asserted in this
matter against Defendants LINX, LTD. and WATTS PLUMBING
TECHNOLOGIES(TAIZHOU) CO. LTD. Plaintiff, however, retains its right to refile such
claims at a later date should it so choose. Accordingly, Plaintiff requests that the Court enter an
order dismissing all claims Plaintiff has filed in this suit against Defendant, without prejudice to
refiling the same.
For the foregoing reasons, Plaintiff STATE FARM LLOYDS AS SUBROGEE OF
JOSEPH AND MICHAEL BILLINGSLEY respectfully requests that the Court enter an order
dismissing all of Plaintiff’s claims against Defendants LINX, LTD. and WATTS PLUMBING
TECHNOLOGIES(TAIZHOU) CO. LTD, without prejudice to refiling the same.
PLAINTIFF’S NOTICE OF NONSUIT Page 1
Respectfully submitted,
CARPENTER & SCHUMACHER, P.C.
By: /s/ Craig M. Schumacher
Craig M. Schumacher
State Bar No. 00791622
cschumacher@cstriallaw.com
N. Scott Carpenter
State Bar No. 00790428
scarpenter@cstriallaw.com
Parkway Centre IV
2701 North Dallas Parkway, Suite 570
Plano, Texas 75093
(972) 403-1133
Fax (972) 403-0311
ATTORNEYS FOR PLAINTIFF
STATE FARM LLOYDS AS SUBROGEE
OF JOSEPH AND MICHAEL BILLINGSLEY
CERTIFICATE OF SERVICE
The undersigned hereby certifies that a true and correct copy of the above and foregoing
was served, in accordance with the Texas Rules of Civil Procedure, upon all counsel of record, on
the 20th day of October, 2017 as follows:
VIA E-SERVE VIA E-SERVE
James A. Tatem, III C. Vernon Hartline, Jr.
Germer, PLLC L Abigail Foreman
Three Allen Center Drew Thomas
333 Clay Street, Suite 4950 Hartline Dacus Barger Dreyer, LLP
Houston, Texas 77002 8750 N. Central Expwy., Ste. 1600
Counsel for Defendant Dallas, Texas 75231
Interline Brands, Inc. Counsel for Defendant
Watts Regulator Co.
/s/Craig M. Schumacher
CRAIG M. SCHUMACHER
PLAINTIFF’S NOTICE OF NONSUIT Page 2
Document Filed Date
October 20, 2017
Case Filing Date
May 19, 2017
Category
INJURY OR DAMAGE, OTHER INJURY OR DAMAGE
Status
DISMISSED OR NON-SUITED
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