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govinfo:USCOURTS-cand-3_21-cv-00370-13
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Shawn A. McMillan, Esq. – SBN: 208529 Stephen D. Daner, Esq. – SBN: 259689 Evan D. Pullman, Esq. – SBN: 342431 THE LAW OFFICES OF SHAWN A. MCMILLAN, APC 4955 Via Lapiz San Diego, California 92122 Telephone: (858) 646-0069 Facsimile: (858) 746-5283 Tiffany T. Chung (SBN 275981) Tiffany@chunglegal.com Law Offices of Tiffany Chung 800 W. 6th Street, # 800 Los Angeles, CA 90017 Tel: 310-363-0327 Fax: 888-402-2078 Attorneys for Plaintiffs Edison Gatlin, by and through his successors in interest, Clarissa Simms and Edward Gatlin; and Clarissa Simms and Edward Gatlin, individually UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA Edison Gatlin, a deceased minor, by and through his successors in interest, Clarissa Simms and Edward Gatlin; Clarissa Simms, an individual; and Edward Gatlin, an individual, Plaintiffs, v. Contra Costa County, a public entity, et al. Case No. 3:21-cv-00370-SI JOINT STIPULATION AND REQUEST FOR DISMISSAL WITH PREJUDICE – ALL CLAIMS ALL COUNTY AFFILIATED PARTIES Courtroom: 1, 17th Floor Judge: Hon. Susan Illston, Presiding Date Action filed: January 14, 2021 Trial Date: N/A JOINT STIPULATION AND REQUEST FOR DISMISSAL WITH PREJUDICE – ALL CLAIMS ALL COUNTY AFFILIATED PARTIES Case 3:21-cv-00370-SI Document 240 Filed 01/22/26 Page 1 of 2 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 TO THE COURT AND THE PARTIES HEREIN: THIS STIPULATION is made between Plaintiffs Clarissa Simms, and Edward Gatlin, individually and as successors in interest to Edison Gatlin, Jr., and Defendants, Contra Costa County, Kimberly Baker, Barbara Crespo, Leslie Davis, Alexandria Kotran, Kerissa Lynch, Christy Roland, Georgette Shipe, Craig Thurmond, Eleanor Walker and Marcy Williamson, hereafter referred to as “County Defendants.” These parties, through their counsel, stipulate and agree, pursuant to FRCP Rule 41(a)(1)(ii), that all claims for relief against all County Defendants shall be dismissed in their entirety and with prejudice. IT IS SO STIPULATED. Dated: January 20, 2026 The Law Offices of Shawn A. McMillan, APC /s/ Shawn A. McMillan Shawn A. McMillan, Esq. Attorneys for Plaintiffs Dated: January 20, 2026 Office of County Counsel, Contra Costa County /s/ Jason W. Mauck Jason W Mauck, Esq. Attorneys for Defendants In addition to the foregoing, Plaintiffs Clarissa Simms, and Edward Gatlin, individually and as successors in interest to Edison Gatlin, Jr., further request that all remaining Defendants who have not already been dismissed from the action be dismissed without prejudice. Dated: January 20, 2026 The Law Offices of Shawn A. McMillan, APC /s/ Shawn A. McMillan Shawn A. McMillan, Esq. Attorneys for Plaintiffs JOINT STIPULATION AND REQUEST FOR DISMISSAL WITH PREJUDICE – ALL CLAIMS ALL COUNTY AFFILIATED PARTIES U N ITED STATES DISTRICTCOURT N O RTHERN DISTRICT OF CALIFO RN IA APPROVED Judge Susan Illston Case 3:21-cv-00370-SI Document 240 Filed 01/22/26 Page 2 of 2