slavin lawsuit three settlement

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UNITED STATES DISTRICT COURT EASTERN DISTRICT OF NEW YORK ------.------ ------------ ------------- RICHIE RIVERA, CARMEN RIVERA, DENNIS RIVERA, and ENRTQUE CASTELLANO, Plaintiffs, -against- THE CITY OF NEW YORK, POLICE OFFICER DAISY MARTINEZ (TAX 936077), SERGEANT JAMES SLAVIN (TAX 933362), CAPTAIN ERIC PEREZ (TAX 919919), SERGEANT MICHAEL MILLER (TAX 921596), POLICE OFFICER WILLIAM REDDIN (TAX 944924), and JOHN and JANE DOES 1-5, HLL :N CLERK'S O!FICE U.S. DISTRICT COURT E.D.N.Y. * NOV 052015 * BROOKLYN OFFICE STIPULATION AND ORDER OF DISMISSAL 14 CV 5220 (JBW)(MDG) Defendants. . ----- - -------------------------------------- x WHEREAS, the parties have reached a settlement agreement and now desire to resolve the remaining issues raised in this litigation, without further proceedings and without admitting any fault or liability; NOW, THEREFORE, IT IS HEREBY STIPULATED AND AGREED, by and between the undersigned, that 1, The above-referenced action is hereby dismissed with prejudice; and Case 1:14-cv-05220-JBW-MDG Document 26 Filed 11/05/15 Page 1 of 2 PageID #: 107

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The settlement agreement for lawsuit three against Sergeant Slavin for use of force.

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Page 1: Slavin Lawsuit Three Settlement

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF NEW YORK

------.------ ------------ -------------

RICHIE RIVERA, CARMEN RIVERA, DENNIS RIVERA, and ENRTQUE CASTELLANO,

Plaintiffs,

-against-

THE CITY OF NEW YORK, POLICE OFFICER DAISY MARTINEZ (TAX 936077), SERGEANT JAMES SLAVIN (TAX 933362), CAPTAIN ERIC PEREZ (TAX 919919), SERGEANT MICHAEL MILLER (TAX 921596), POLICE OFFICER WILLIAM REDDIN (TAX 944924), and JOHN and JANE DOES 1-5,

HLL :N CLERK'S O!FICE

U.S. DISTRICT COURT E.D.N.Y.

* NOV 052015 *

BROOKLYN OFFICE

STIPULATION AND ORDER OF DISMISSAL

14 CV 5220 (JBW)(MDG)

Defendants. . -------------------------------------------- x

WHEREAS, the parties have reached a settlement agreement and now desire to

resolve the remaining issues raised in this litigation, without further proceedings and without

admitting any fault or liability;

NOW, THEREFORE, IT IS HEREBY STIPULATED AND AGREED, by

and between the undersigned, that

1, The above-referenced action is hereby dismissed with prejudice; and

Case 1:14-cv-05220-JBW-MDG Document 26 Filed 11/05/15 Page 1 of 2 PageID #: 107

Page 2: Slavin Lawsuit Three Settlement

2. Notwithstanding the dismissal of this action in accordance with this agreement,

the District Court shall continue to maintain jurisdiction over this action for the purpose of

enforcing the terms of the settlement agreement reached between the parties and set forth in the

Stipulation of Settlement executed by the parties in this matter.

Dated: New York, New York C-Kk ,2015

REIBMAN & WEINER Attorneys for Plaintiff 26 Court Street Brooklyn, New York 11242

4"... c

By: By: JamesYanborn Attorney for Plaintiffs

ZACHARY W. CARTER Corporation Counsel of the

City of New York Attorney for Defendants City, Martinez,

Stavin, Perez, Miller, and Reddin 100 Church Street, 3 Floor New York, New York 10007

Carolyn K. Depoian couivel

SO

o

i2t, HON.TWEINSTEIN UNITED STS DISTRICT JUDGE

Datedi:.Ji1. ,2015

2

Case 1:14-cv-05220-JBW-MDG Document 26 Filed 11/05/15 Page 2 of 2 PageID #: 108