Professional Documents
Culture Documents
O~IGINAL FILED .
1 ADRIANOS FACCHETTI, ESQ. (S.B.N. 243213) Supiilnor Court of Ciiliforma
County of Los Angeles
LAW OFFICES OF ADRIANOS FACCHETTI, P .C.
2 301 E. Colorado Blvd, Suite 514 MAY 08 2018
3 Pasadena, California 91101
Telephone: (626) 793-8607 Sherri R. carter, Executive Officer/Clerk
4 Facsimile: (626) 793-7293 By Geoffrey Charles, Deputy
Email: adrianos@facchettilaw.com
5
6 BRUCED. RUDMAN, ESQ. (S.B.N. 184610)
ABDULAZIZ, GROSSBART & RUDMAN
7 6454 Coldwater Canyon Ave.
North Hollywood, CA 91606
8 Telephone: (818) 760-2000
Facsimile: (818) 760-3908
9 Email: bdr@agrlaw.com
14
HORUSICKY CONSTRUCTION, INC., a CASE NO. BC641229
15 California corporation,
[Assigned to for all purposes to Hon. Robert
16 Plaintiff, L. Hess, Dept. 24]
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STIPULATION BETWEEN PLAINTIFF HORUSICKY CONSTRUCTION, INC. AND
GERARD DINOME FOR ENTRY OF JUDGMENT AND PERMANENT INJUNCTION
1 IT IS HEREBY STIPULATED by and between counsel for plaintiff HORUS ICKY
2 contractor to come to my house to attempt to sand down the sharp edges that his crew had
3 left in my pool and spa causing cuts on my kids. My family was without a pool for the
4 entire summer." At the time Mr. DiNome published this statement, he genuinely believed
5 that Horusicky caused avoidable delays to the project. However, after discussing the
6 matter with HORUS ICKY, the Parties came to the conclusion that the delays were caused
7 by certain misunderstandings between the Parties. To the extent the statement suggested
8 that the cause of the delays was not caused by both sides, it was not accurate.
14 concern HORUSICKY's business or occupation are alleged to have a natural tendency to injure
15 or cause damage.
17 A. HORUS ICKY is granted judgment in his favor on the Eighth Cause of Action in
22 GERARD DINOME shall cause the redaction, de-indexing, andlor removal of the Post from
24 II
25 II
26 II
27 II
28 II
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STIPULATION BETWEEN PLAINTIFF HORUSICKY CONSTRUCTION, INC. AND
GERARD DINOME FOR ENTRY OF JUDGMENT AND PERMANENT INJUNCTION
D. The Parties shall each bear their own costs of suit and attorneys' fees herein.
2
3 Dated: March 29, 2018 LANAK & HANNA, P.C.
.~
4 ~
~~~
5 By: ____________________________
6 MACW.CABAL
Attorney for Plaintiff/Cross-Defendants,
7 HORUS ICKY CONSTRUCTION, INC.,
MICHAEL HORUSICKY, JR.
8 SURETEC INDEMNITY COMPANY
9 Dated: March l.tt,2018 ABDULAZIZ, GROSSBART & RUDMAN
10
Ji/J_
By: ______~tr~~~~~~~~---------
11
12 BRUCE D. RUDMAN
Attorney for Defendants/Cross-Complainants
13 GERARD C. DINCOME and MAGGIE L.
DINOME .. :~-
14
Dated: April _2-.2018 LAW OFFICES OF ADRIANOS FACCHETTI, P.C.
15
16
17
18
By: ~/i~
Attorney for Defendants/Cross-Complainants
GERARD C. nINCOME and MAGGIE L.
19 DINOME
20
ORDER
21
Having read and considered the above stipulation, and good cause appearing therefor, the
22
23 Stipulation is accepted by the Court and the matters therein described decreed as of the date this
Jj'l
24 order is signed. ....:r
J!I
25 IT IS SO ORDERED.
26
27 DATED: >, ct· I r JUDGE OF THE SUPERIOR COURT
28
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STIPULATION BETWEEN PLAINTIFF HORUSICKY CONSTRUCTION, INC. AND
GERARD DINOME FOR ENTRY OF JUDGMENT AND PERMANENT INJUNCTION