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Case 2:13-cv-00391-ES-JAD Document 419 Filed 01/19/18 Page 1 of 2 PageID: 7892
`
`I
`
`Charles M. Lizza
`William C. Baton
`SAUL EWING ARNSTEIN & LEt-JR LLP
`One Riverfront Plaza, Suite 1520
`Newark, New Jersey 07 102-5426
`(973) 286-6700
`clizza@saul.com
`
`AlIomnL’ys for Plaintiffs
`.Iazz PhannaceuticaLc, Inc. and
`Jazz PhannaceuticaLc Jreland Limited
`
`Sean R. Kelly
`Katherine A. Escanlar
`SAIBER LLC
`18 Columbia Turnpike, Suite 200
`Florham Park, New Jersey 07932
`(973) 645-4801
`srk@saiber.com
`
`Attorney for Defendant
`Par Phannaceutical, Inc.
`
`UNITED STATES DISTRICT COURT
`DISTRICT OF NEW JERSEY
`
`JAZZ PHARMACEUTICALS. INC.. et al..
`
`)
`
`)
`
`))
`
`) Civil Action No. 13-391 (ES)(JAD)
`) CONSOLIDATED
`)
`)
`)
`)
`)
`
`(Filed Electronically)
`
`Plaintiffs.
`
`V.
`
`AMNEAL PHARMACEUTICALS. LLC, et
`al.,
`
`Defendants.
`
`STIPULATION AND ORDER OF DISMISSAL
`
`Pursuant to Federal Rules of Civil Procedure 41(a)(l)(A)(ii) and 41(c). and by
`
`agreement between Plaintiffs Jazz Pharmaceuticals.
`
`Inc. and Jazz Pharmaceuticals Ireland
`
`Limited (collectively, “Plaintiffs”) and Defendant Par Pharmaceutical. Inc. (“Par,” and together
`
`with Plaintiffs, the “Parties”), the Parties hereby stipulate and agree that all claims, counterclaims
`
`and affirmative defenses asserted by the Parties against each other in the above-captioned action
`
`(the “Action”) are hereby dismissed without prejudice’ and, except as specifically provided by
`
`agreement, without costs, disbursements, or attorneys’ fees to any party.
`
`It is further stipulated
`
`The dismissal of the parties’ claims, defenses, and counterclaims in Civil Action No. 13-391 with respect to Par
`shall not result in the dismissal of claims, defenses, and counterclaims in that Action with respect to Amneal
`Pharmaceuticals LLC, Watson Laboratories, Inc., Lupin Ltd., Lupin Pharmaceuticals. Inc., and Lupin Inc.
`
`24252775 I 01/1212018
`
`

`

`Case 2:13-cv-00391-ES-JAD Document 419 Filed 01/19/18 Page 2 of 2 PageID: 7893
`
`that the U.S. District Court for the District of New Jersey retains jurisdiction to enforce and
`
`resolve any disputes related to the parties resolution of the Action and any related proceedings.
`
`SO STIPULATED:
`
`Dated: January 12, 2018
`
`SAUL EwING ARNSTETN & LEIIR LLP
`
`SABER LLC
`
`s! Charles M. Lizza
`Charles M. Lizza
`William C. Baton
`One Riverfront Plaza. Suite 1520
`Newark, New Jersey 07 102-5426
`(973) 286-6700
`clizza@saul.com
`
`Attorneys for Plain/i/ft
`Jazz Pharmaceuticals, Inc. and
`Jazz Pharmaceuticals Ireland Limited
`
`s! Sean R. Kelly
`Sean R. Kelly
`Katherine A. Escanlar
`18 Columbia Turnpike, Suite 200
`Florham Park, New Jersey 07932
`(973) 645-4801
`srk@saiber.com
`
`Attorney for Defendant
`Par Pharmaceutical, Inc.
`
`SO ORDERED:
`in 1’-
`I
`I day of
`
`This
`
`4
`
`/
`
`201 8
`
`24252775.1 OI)I’JOIS
`
`

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