Rhizome Productions, Inc. v. Small Business Administration — Stipulation of Dismissal
- Issuer
- UNITED STATES DISTRICT COURT
- Document type
- PDF source document
- Date
- 2022-06-03
- Case
- Plaintiff, v. SMALL BUSINESS ADMINISTRATION, et al.,
- Case number
- 1:21-cv-03037-RDM
Summary
A stipulation of dismissal in Rhizome Productions, Inc. v. Small Business Administration, et al., Case No. 1:21-cv-03037-RDM, in the U.S. District Court for the District of Columbia before Judge Randolph D. Moss, dated June 3, 2022 and filed June 4, 2022 as Document 18. Under Federal Rule of Civil Procedure 41(a)(1)(A)(ii), the plaintiff and defendants SBA and Isabella Casillas Guzman, in her official capacity as Administrator of the SBA, stipulate to dismissal of the action without prejudice. Each party is to bear its own costs, attorneys' fees and expenses. The two-page filing is signed by Jeffrey E. McFadden as counsel for plaintiff and by Assistant United States Attorney Dedra S. Curteman as counsel for defendants.
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Full text
Case 1:21-cv-03037-RDM Document 18 Filed 06/04/22 Page 1 of 2
THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
RHIZOME PRODUCTIONS, INC.,
Plaintiff, Case No. 1:21-cv-03037-RDM
v. Judge Randolph D. Moss
SMALL BUSINESS ADMINISTRATION, et al.,
Defendants.
STIPULATION OF DISMISSAL
Pursuant to Federal Rule of Civil Procedure 41(a)(1)(A)(ii), Plaintiff Rhizome
Productions, Inc., and Defendants Small Business Administration (“SBA”) and Isabella Casillas
Guzman, in her official capacity as Administrator of the SBA, by and through the undersigned
counsel, stipulate to the dismissal of this action without prejudice, with each party to bear its own
costs, attorneys’ fees, and expenses.
Dated: June 3, 2022 Respectfully submitted,
MATTHEW M. GRAVES
United States Attorney
D.C. Bar #481052
BRIAN P. HUDAK
Chief, Civil Division
By: /s/ Jeffrey E. McFadden By: /s/ Dedra S. Curteman
JEFFREY E. McFADDEN DEDRA S. CURTEMAN,
D.C. Bar No. 434234 IL Bar #6279766
Law Offices of Jeffrey E. McFadden Assistant United States Attorney
312 Prospect Bay Drive East Civil Division
Grasonville, MD 21638 United States Attorney’s Office
(410) 490-1163 601 D Street N.W.
jmcfadden@jmcfaddenlaw.com Washington, DC 20530
Case 1:21-cv-03037-RDM Document 18 Filed 06/04/22 Page 2 of 2
(202) 252-2550
Counsel for Plaintiff dedra.curteman@usdoj.gov
Counsel for Defendants
2
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- rhizome_productions__docket-61468852__doc-18__id-202575690__Stipulation_of_Dismissal.pdf
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- SHA-256
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- Original
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