Loading...
HomeMy WebLinkAbout09-5971 VALERIE BRADLEY and AARON JONES, Individually and VALERIE BRADLEY and AARON JONES, as Co-Administrators of the Estate of CHASE JONES, Deceased Plaintiffs V. COLLEEN FOOS, M.D., CUMBERLAND VALLEY OBSTETRICS AND GYNECOLOGY, P.C. and HOLY SPIRIT HOSPITAL, Defendants IN THE COURT OF COMMON PLEAS CUMBERLAND CO., PENNSYLVANIA NO. 09-5971 CIVIL TERM CIVIL ACTION -MEDICAL c) PROFESSIONAL LIABILITY T?N n rnm z © ci "a rm ?-? 0 -4° JURY TRIAL DEMANDED zc-) 3 :Z FZ v co ORDER AND NOW, this _ day of rZr, -2011, upon consideration of the attached Petition for Approval of Decedent's Compromised Settlement and Distribution of Proceeds, IT IS HEREBY ORDERED THAT: 1. Settlement of the above-captioned matter by Petitioners, Valerie Bradley and Aaron Jones, Individually and Valerie Bradley and Aaron Jones, as Co-Administrators of the Estate of Chase Jones, Deceased, in accordance with the terms of the Petition, is Hereby Ratified and Approved. 2. Petitioners are authorized to execute the Release in this matter and all of the proceeds will be allocated as set forth in paragraph 16 of Petitioners' Petition for Approval of Decedent's Compromised Settlement and Distribution of Proceeds. 3. Pursuant to Defendants' Request, this Petition, Order and all exhibits shall be sealed as requested in paragraph 19 of Petitioners' Petition for Approval of Decedent's Compromised Settlement and Distribution of Proceeds. BY THE COURT: M icchoLO J. Ncwi?s _j - &q % ro h to . Aro se It , `? l 0 *0 MWjcj Or 19111 14 ok$ J. ¦ VALERIE BRADLEY and AARON JONES, Individually and VALERIE BRADLEY and AARON JONES, as Co-Administrators of the Estate of CHASE JONES, Deceased Plaintiffs V. COLLEEN FOOS, M.D., CUMBERLAND VALLEY OBSTETRICS AND GYNECOLOGY, P.C., Defendants : IN THE COURT OF COMMON PLEAS CUMBERLAND CO., PENNSYLVANIA NO. 09-5971 CIVIL TERM CIVIL ACTION - MEDICAL PROFESSIONAL LIABILITY ACTION JURY TRIAL DEMANDED PRAECIPE TO DISCONTINUE TO THE PROTHONOTARY OF CUMBERLAND COUNTY: Please mark the above-captioned action settled and discontinued. submitted, Cl) c N x-n r T -- W - o o -n Ln NA\VITSKY, OLSON & WISNESKI LLP NijoleC' ? son, Esque I.D. 5287 Michae J. Navitsky, Es I.D. N . 58803 2040 nglestown Road, Harris g, PA 17110 717/541 205 Counsel Plainti 303 CERTIFICATE OF SERVICE I, Lois Stauffer, an employee of the law firm of Navitsky, Olson & Wisneski LLP, hereby certify that a true and correct copy of the foregoing Praecipe to Discontinue was served upon the following person via first-class United States mail, postage prepaid on January 13, 2012: Sarah W. Arosell, Esquire Thomas, Thomas & Hafer, LLP P.O. Box 999 305 North Front Street, Sixth Fl. Harrisburg, PA 17101 Counsel for Defendants Colleen Foos, M.D. and Cumberland Valley Obstetrics and Gynecology, P.C. .- 4?? i"Ilj'?_11 Lois Sta er