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Government Development Bank for Puerto Rico
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Order | Filed: May 07, 2024 | Entered: May 08, 2024 In Re: Libor-Based Financial Instruments Antitrust Litigation
Anti-Trust | New York Southern
Notice of Voluntary Dismissal - Signed ~Util - Add and Terminate Parties
NOTICE OF VOLUNTARY DISMISSAL WITH PREJUDICE OF COPPERATIEVE CENTRALE RAIFFEISEN-BOERENLEENBANK B.A. PURSUANT TO F.R.C.P. 41(a)(1)(A)(i): PLEASE TAKE NOTICE that, pursuant to Federal Rule of Civil Procedure 41(a)(1)(A)(i), Plaintiffs, by and through their undersigned attorneys, hereby dismiss all of their claims against Defendant Cooperatieve Centrale Raiffeisen-Boerenleenbank B.A. ("Rabobank"), with prejudice from the action Triaxx Prime CDO 2006-1 Ltd. et al. v. Bank of America Corp. et al., 14-cv-00146-NRB (S.D.N.Y.), without interest to any party and with each party to bear its own attorneys' fees and costs. For the avoidance of doubt, this voluntary dismissal applies only to Rabobank, and Plaintiffs are continuing to pursue claims against other Defendants in this action. SO ORDERED. Cooperative Centrale Raiffeisen-Boerenleenbank B.A. terminated. (Signed by Judge Naomi Reice Buchwald on 5/7/2024) (tg)
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Response | Filed: May 06, 2024 | Entered: May 06, 2024 In Re: Libor-Based Financial Instruments Antitrust Litigation
Anti-Trust | New York Southern
Memorandum of Law in Opposition to Motion
MEMORANDUM OF LAW in Opposition re: 4021 MOTION for Disbursement of Funds AFTER DETERMINATION OF REASONABLE FEES DUE, IF ANY. Schlesinger Law Offices, P.A.'s Response In Opposition to David Klusendorf's Motion With Memorandum of Law. Document filed by Schlesinger Law Offices, P.A...(Haberman, Jeffrey)
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Response | Filed: May 06, 2024 | Entered: May 06, 2024 In Re: Libor-Based Financial Instruments Antitrust Litigation
Anti-Trust | New York Southern
Declaration in Opposition to Motion
DECLARATION of Jeffrey L. Haberman in Opposition re: 4021 MOTION for Disbursement of Funds AFTER DETERMINATION OF REASONABLE FEES DUE, IF ANY.. Document filed by David Klusendorf. (Attachments: # 1 Exhibit 1 - Contingency Fee Agreement Executed By David Klusendorf, # 2 Exhibit 2 - Notice of Settlement, # 3 Exhibit 3 - Corrected Plan of Distribution, # 4 Exhibit 4 - Partial Closing Statement Executed By David Klusendorf, # 5 Exhibit 5 - Correspondence to Settlement Administrator dated November 25, 2020, # 6 Exhibit 6 - Table of Timely Eligible Claims Submitted by Settlement Administrator, # 7 Exhibit 7 - Closing Statement, # 8 Exhibit 8 - Letter from J. Koutoulas to J. Haberman dated March 29, 2024, # 9 Exhibit 9 - Petition For Approval of Contingency Fee Contract Signed by David Klusendorf).(Haberman, Jeffrey)
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