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`CRUISE CONTROL TECHNOLOGIES
`LLC,
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`PLAINTIFF,
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`V.
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`NISSAN NORTH AMERICA, INC.,
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`DEFENDANT.
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`Civil Action No. 2:14-cv-11519-
`AJT-RSW
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`The Honorable Arthur J. Tarnow
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`UNITED STATES DISTRICT COURT
`EASTERN DISTRICT OF MICHIGAN
`SOUTHERN DIVISION
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`JOINT STIPULATION
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`WHEREAS, Plaintiff Cruise Control Technologies LLC (“CCT”) and
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`Defendant Nissan North America, Inc. (“Nissan”) have resolved all disputes and
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`claims between them relating to this case.
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`NOW, THEREFORE, CCT and Nissan, stipulate to the dismissal of all
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`claims and counterclaims asserted or that could have been asserted by CCT and
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`Nissan in this action, including any claim for attorneys’ fees and costs. CCT and
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`Nissan jointly stipulate that each party shall bear its own attorneys’ fees, costs of
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`court and expenses.
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`2:14-cv-11519-AJT-RSW Doc # 9 Filed 12/10/14 Pg 2 of 4 Pg ID 60
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`/s/ w/consent Paul T. O’Neill
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`BOWMAN AND BROOKE LLP
`Paul T. O'Neill (P57293)
`41000 Woodward Avenue
`Suite 200 East
`Bloomfield Hills, MI 48304
`248.205.3300
`Fax: 248.205.3399
`paul.oneill@bowmanandbrooke.com
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`MORRIS, NICHOLS
`Jack B. Blumenfeld
`Attorney for Defendant
`1201 N. Market Street
`Wilmington, Delaware 19899
`(302) 658-9200
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`Attorneys for Defendant
`Nissan North America, Inc.
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`
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`DATE: December 10, 2014
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`
`/s/ Kristen L. Baiardi
`
`ABBOTT NICHOLSON, P.C.
`Robert Y. Weller II (P 31148)
`Kristen L. Baiardi (P71931)
`300 River Place, Suite 3000
`Detroit, MI 48207-4225
`TEL: 313.566.2500
`FAX: 313.566.2502
`ryweller@abbottnicholson.com
`klbaiardi@abbottnicholson.com
`
`Attorneys for Plaintiff Cruise Control
`Technologies LLC
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`2:14-cv-11519-AJT-RSW Doc # 9 Filed 12/10/14 Pg 3 of 4 Pg ID 61
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`
`CRUISE CONTROL TECHNOLOGIES
`LLC,
`
`PLAINTIFF,
`
`V.
`
`NISSAN NORTH AMERICA, INC.,
`
`DEFENDANT.
`
`
`
`
`
`
`
`
`Civil Action No. 2:14-cv-11519-
`AJT-RSW
`
`The Honorable Arthur J. Tarnow
`
`
`
`
`
`UNITED STATES DISTRICT COURT
`EASTERN DISTRICT OF MICHIGAN
`SOUTHERN DIVISION
`
`
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`ORDER OF DISMISSAL WITH PREJUDICE
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`On this day, Plaintiff Cruise Control Technologies LLC (“CCT”) and
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`Defendant Nissan North America, Inc. (“Nissan”) announced to the Court that
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`they have resolved all claims asserted or that could have been asserted by them
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`in this case. CCT and Nissan have therefore requested that the Court dismiss all
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`claims and counterclaims asserted or that could have been asserted by them in
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`this case with prejudice, including any claim for attorneys’ fees or taxation of
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`costs of court, with each party to bear its own attorneys’ fees, costs of court and
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`expenses.
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`The Court, having considered this request, is of the opinion that their
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`request for dismissal should be granted.
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`2:14-cv-11519-AJT-RSW Doc # 9 Filed 12/10/14 Pg 4 of 4 Pg ID 62
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`IT IS THEREFORE ORDERED that all claims and counterclaims asserted
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`in this case are dismissed with prejudice.
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`IT IS FURTHER ORDERED that all attorneys’ fees, costs of court and
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`expenses shall be borne by each party incurring the same.
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`IT IS SO ORDERED, this 10th day of December, 2014.
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` s/Arthur J. Tarnow
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` United States District Judge
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`4836-5148-0608, v. 1
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