Bondy
Bondy v. Monsanto Company
Opinion
trial_court Opinion
Jason Edward Ochs, CAB: 232819 Ochs Law Firm, PC PO Box 10944 Jackson, WY 83001 Telephone: (307) 234.3239 Facsimile: (307) 235-6910 Email: jason@ochslawfirm.com
Attorney for Plaintiff Wayne Bondy
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
IN RE: ROUNDUP PRODUCTS MDL No. 2741
LIABILITY LITIGATION
Master Docket Case No. 3:16-md-02741
Honorable Vince Chhabria
THIS DOCUMENT RELATES TO:
Wayne Bondy v. Monsanto Co., Case No. 3:19-cv-06446-VC
MOTION TO DISMISS WITHOUT PREJUDICE
COMES NOW plaintiff WAYNE BONDY, by and through his undersigned attorney, who hereby submits the instant Motion to Dismiss without Prejudice and states as follows: 1. That at this time Plaintiff seeks to dismiss the instant action without prejudice as the Plaintiff was previously misdiagnosed as having non-hodgkin’s lymphoma, when in fact he does not. 2. That the dismissal of this action will not prejudice any parties. WHEREFORE, Counsel for Plaintiff Wayne Bondy respectfully requests this Court to dismiss the instant action without prejudice.
CERTIFICATE OF CONFERRAL
That undersigned Counsel hereby asserts and affirms that he emailed Counsel for Defendant and asked…