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Notice of Dismissal in Lawsuit Against Dog The Bounty Hunter

This document is a stipulation of dismissal filed by the plaintiffs in a civil case. It dismisses the case with prejudice as to defendants Jane Collins and the United States of America, with their consent. It also dismisses the entire case without prejudice as to all remaining defendants, as none of them have yet answered or filed for summary judgment. Consent was declined by defendants Duane Lee Chapman and Lyssa Chapman. Defendant David Briggman initially consented but later withdrew his consent.

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0% found this document useful (0 votes)
12K views6 pages

Notice of Dismissal in Lawsuit Against Dog The Bounty Hunter

This document is a stipulation of dismissal filed by the plaintiffs in a civil case. It dismisses the case with prejudice as to defendants Jane Collins and the United States of America, with their consent. It also dismisses the entire case without prejudice as to all remaining defendants, as none of them have yet answered or filed for summary judgment. Consent was declined by defendants Duane Lee Chapman and Lyssa Chapman. Defendant David Briggman initially consented but later withdrew his consent.

Uploaded by

AndreaTorres
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as PDF, TXT or read online on Scribd
You are on page 1/ 6

Case 5:21-cv-00072-EKD Document 21 Filed 12/06/21 Page 1 of 5 Pageid#: 391

UNITED STATES DISTRICT COURT


FOR THE WESTERN DISTRICT OF VIRGINIA
Harrisonburg Division

ZACHARY CRUZ,
MICHEAL DONOVAN,
and RICHARD MOORE

Plaintiffs,

v. Civil Action No. 5:21-cv-00072 EKD

DUANE LEE CHAPMAN,


LYSSA CHAPMAN,
DAVID BAYRE BRIGGMAN,
LINDSAY COMBS,
JANE COLLINS, and
JOHN DOES 1-8.

Defendants.

PLAINTIFF’S STIPULATION OF DISMISSAL, NOTICE OF DISMISSAL (RULE 41)

NOW COMES Plaintiffs in this action, pursuant to Rule 41(a)(1)(A)(ii), Federal Rules of

Civil Procedure, and files this Stipulation of Dismissal with prejudice as to the Defendants Jane

Collins, and as to the United States of America. Counsel certifies that those Defendants have

given consent hereto, in compliance with the above Rule, and the Local Rules of this Court.

Plaintiff notes that Defendant Briggman first gave, and then withdrew his consent to this

Stipulation in two separate communications. Likewise, Counsel for the Chapman Defendants

declined to give consent for his clients.

In addition, and/or in the alternative, Plaintiffs, pursuant to Rule 41(a)(1)(A)(i), Federal

Rules of Civil Procedure, hereby file this Notice of Dismissal, dismissing this case in its entirety

as to all remaining Defendants without prejudice to refiling, where none of the Defendants have
Case 5:21-cv-00072-EKD Document 21 Filed 12/06/21 Page 2 of 5 Pageid#: 392

Answered, and no Defendant has filed a Motion for Summary Judgment. See Rule

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

We Ask For This:

ZACHARY CRUZ,
MICHEAL DONOVAN,
and RICHARD MOORE

By and through Counsel

/s/ Christopher M. Okay_____________________________


Christopher M. Okay, VSB#35611
Counsel for the Plaintiffs
Chris Okay, Attorney at Law
117 South Lewis Street, Suite 218
Staunton, Virginia 24401
(540) 466-3130
[email protected]

Seen and Agreed:

/s/ Elizabeth C. Wu
____________________________________
Elizabeth C. Wu, VSB No. 30057
Special Assistant U.S. Attorney
Acting Under Authority Conferred by
28 U.S.C. §515
Office of the United States Attorney
Eastern District of Virginia
919 East Main Street, Suite 1900
Richmond, Virginia 23219
Counsel For The United States

Seen and Agreed:

/s/ Jane Collins

_________________________________
Signature

2
Case 5:21-cv-00072-EKD Document 21 Filed 12/06/21 Page 3 of 5 Pageid#: 393

(please print name of Counsel, as appropriate)_________________________________for Jane


Collins, Defendant
105 Wilson Court
Charlottesville, Virginia 22901

Seen and Agreed:

____________________________________
David B. Briggman, Defendant Pro Se
7556 Mountain Valley Road
Keezletown, Virginia 22832
[email protected]

Seen and Agreed:

____________________________________
Bradley G. Pollack Attorney at Law Virginia State Bar No. 25290
753 South Main Street
Woodstock, VA 22664
[email protected]
Counsel for Defendant Duane Lee and Lyssa Chapman

Seen and Agreed:


/s/ Brian J. Brydges, Esq.
__________________________________
Brian J. Brydges, Esq.
Johnson, Ayers & Mathews PLC
P.O. Box 2200
Roanoke, Virginia 24009
Counsel for Defendant Lindsay Combs

3
Case 5:21-cv-00072-EKD Document 21 Filed 12/06/21 Page 4 of 5 Pageid#: 394

CERTIFICATE OF SERVICE
I hereby certify under penalty of perjury under the laws of the United States that

on the 6th day of December 2021, I electronically filed the foregoing Stipulation of

Dismissal, and Notice of Dismissal (Rule 41) with the Clerk of Court using the Court’s

CM/ECF system, which will send notification to Defendants’ counsel and by electronic

mail and U.S. Mail Service to those Defendants not yet approved for electronic filing:

Jessica D. Aber for


Elizabeth C. Wu, VSB No. 30057
Office of the United States Attorney
Eastern District of Virginia
919 East Main Street, Suite 1900
Richmond, Virginia 23219
Counsel For The United States

Jane Collins
105 Wilson Court
Charlottesville, Virginia 22901

David B. Briggman, Pro Se


7556 Mountain Valley Road
Keezletown, Virginia 22832
[email protected]

Bradley G. Pollack Attorney at Law Virginia State Bar No. 25290


753 South Main Street
Woodstock, VA 22664
[email protected]
Counsel for Defendant Duane Lee and Lyssa Chapman

Brian J. Brydges
Johnson, Ayers & Mathews PLC
P.O. Box 2200
Roanoke, Virginia 24009
Counsel for Defendant Lindsay Combs

_/s/ Christopher M. Okay___________________________________


Christopher M. Okay VSB#35611

4
Case 5:21-cv-00072-EKD Document 21 Filed 12/06/21 Page 5 of 5 Pageid#: 395

Chris Okay, Attorney at Law


117 South Lewis Street, Suite 218
Staunton, Virginia 24401
(540) 466-3130
[email protected]

5
Case 5:21-cv-00072-EKD Document 21-1 Filed 12/06/21 Page 1 of 1 Pageid#: 396

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