Court filing
STATUS REPORT by KRISTINA HENDERSON, JAHBRAEL HORNE, ALYSHIA JOHNSON, JAIME JONES,… — Marshall Prestamos (Dkt. 171)
Record facts
| Court | U.S. District Court for the Eastern District of Pennsylvania |
|---|---|
| Filed | 2025-08-27 |
U.S. District Court for the Eastern District of Pennsylvania · No. 5:21-cv-04337-JMG · Doc. 171 · 2025-08-27 · Docket on CourtListener
Summary
A joint status report filed August 27, 2025 as Document 171 in Alicia Marshall, et al. v. Prestamos CDFI, LLC, Civil Action No. 5:21-cv-04337-JMG, in the U.S. District Court for the Eastern District of Pennsylvania, submitted in response to the Court's order dated August 5, 2025. The report states that the parties reached an agreement to settle the litigation in full on an individual, non-class basis, and that all parties have now finalized and signed the settlement agreement, Plaintiffs on July 31, 2025 and the Defendant's signatory on August 7, 2025. It states that the agreement provides that Plaintiffs, with the Defendant's consent, will file a notice voluntarily dismissing the lawsuit under Rule 41(a)(1)(A)(ii) of the Federal Rules of Civil Procedure. It states that not all settlement payments have been received and asks the Court to stay all proceedings until September 9, 2025.
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Full text
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF PENNSYLVANIA
ALICIA MARSHALL, et al.,
Plaintiffs,
v.
PRESTAMOS CDFI, LLC,
Defendant.
Civil Action No. 5:21-cv-04337-JMG
JOINT STATUS REPORT
Case 5:21-cv-04337-JMG Document 171 Filed 08/27/25 Page 1 of 4
2
Plaintiffs Alicia Marshall, Paris Townsend, Kristina Henderson, Jamie Jones, John
Martin, Gregory Lloyd, Alyshia Johnson, Lametria Marvel, Jahbrael Horne and Sharon Bradley
Smith (collectively, “Plaintiffs”) and defendant Prestamos CDFI, LLC (“Defendant”)
respectfully submit this joint status report in response to the Court’s Order dated August 5, 2025
(ECF No. 170).
As previously reported to the Court, the parties reached an agreement to settle this
litigation in full subject to entering into their written settlement agreement. ECF No. 169. As
also previously reported to the Court, the parties’ settlement is on an individual (i.e., non-class
action) basis and therefore would not require the approval of the Court which has denied class
certification. ECF Nos. 169, 152 – 153.
All parties have also now finalized and signed their settlement agreement. Specifically,
Plaintiffs signed the settlement agreement on July 31, 2025 (ECF No. 169), and Defendant’s
signatory signed the settlement agreement on August 7, 2025. As also previously reported to the
Court (ECF No. 169), the parties’ settlement agreement provides that subject to compliance with
the terms of the parties’ settlement, Plaintiffs with Defendant’s consent will file a notice
voluntarily dismissing this lawsuit pursuant to Rule 41(a)(1)(A)(ii) of the Federal Rules of Civil
Procedure.
As of this report, not all settlement payments have been received for various reasons.
Accordingly, the parties respectfully request that the Court continue to stay all proceedings in
this case until September 9, 2025. On September 9, 2025, the parties will file an updated joint
status report to the Court. Subject to full compliance with the parties’ settlement, Plaintiffs with
Defendant’s consent also intend to file on September 9, 2025 or as soon thereafter as full
compliance with the settlement is achieved their notice voluntarily dismissing this litigation in
Case 5:21-cv-04337-JMG Document 171 Filed 08/27/25 Page 2 of 4
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full and with prejudice.
Dated: August 27, 2025
Ballard Spahr LLP
By: /s/ Marcel S. Pratt
Marcel S. Pratt (Pa. ID 307483)
Edward D. Rogers (Pa. ID 69337)
Thomas J. Gallagher IV (Pa. ID 316269)
J. Chesley Burruss (Pa. ID 331521)
Travis W. Watson (Pa. ID 330753)
1735 Market Street, 51st Floor
Philadelphia, PA 19103
T.: 215-665-8500
prattm@ballardspahr.com
rogerse@ballardspahr.com
gallaghert@ballardspahr.com
burrussc@ballardspahr.com
watsontw@ballardspahr.com
Roy Herrera (admitted pro hac vice)
Daniel A. Arellano (admitted pro hac
vice)
Jillian Andrews (admitted pro hac vice)
Austin T. Marshall (admitted pro hac
vice)
Jane Ahern (admitted pro hac vice)
1001 North Central Avenue, Suite 404
Phoenix, AZ 85004
T.: 602-567-4820
Roy@ha-firm.com
Daniel@ha-firm.com
Jillian@ha-firm.com
Austin@ha-firm.com
Jane@ha-firm.com
Beatriz Aguirre (admitted pro hac vice)
600 Pennsylvania Avenue, Suite 300
Washington, DC 20003
T: 202-798-6488
Beatriz@ha-firm.com
Attorneys for Defendant
Respectfully submitted,
Bailey & Glasser LLP
By: /s/ Lawrence J. Lederer
Lawrence J. Lederer (Pa. ID 50445)
Bart D. Cohen (Pa. ID 57606)
1622 Locust Street
Philadelphia, PA 19103
T.: 202.463-2101
F.: 202.463-2103
llederer@baileyglasser.com
bcohen@baileyglasser.com
Bailey & Glasser LLP
Michael L. Murphy (pro hac vice)
1055 Thomas Jefferson Street NW, Suite 540
Washington, DC 20007
T.: 202.463-2101
F.: 202.463-2103
mmurphy@baileyglasser.com
Whiteman Osterman & Hanna LLP
Justin A. Heller (pro hac vice)
80 State Street, 11th Floor
Albany, NY 12207
T.: (518) 487-7600
F.: (518) 432-3123
jheller@woh.com
Attorneys for Plaintiffs
Case 5:21-cv-04337-JMG Document 171 Filed 08/27/25 Page 3 of 4
CERTIFICATE OF SERVICE
I hereby certify that on the 27th day of August 2025, the foregoing was electronically
filed and served through the Court’s CM/ECF system to counsel of record.
/s/ Lawrence J. Lederer
Lawrence J. Lederer
Case 5:21-cv-04337-JMG Document 171 Filed 08/27/25 Page 4 of 4File and source
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