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I JOHN D. PHILLIPS <br /> District Attorney <br /> 2 San Joaquin County 97 S'P 10 PH 2: 0 1- <br /> BYt DAVID J. MY,#142864 <br /> 3 DIANE P.KILCOYNE,#173547 1"''" "' l ;,f UL�h` <br /> Deputy District Attorneys ^��WRI�H <br /> 4 P.O. Box 990 Bti_ <br /> Stockton,CA 95201 <br /> 5 Phone: (209)468-2400 <br /> 6 Attorneys for Plaintiff <br /> 7 <br /> 8 SUPERIOR COURT FOR THE STATE OF CALIFORNIA <br /> 9 FOR THE COUNTY OF SAN JOAQUIN <br /> 10 <br /> I 1 THE PEOPLE OF THE STATE OF CALIFORNIA ) CASE NO. 001996 <br /> 12 Plaintiff, ) STIPULATION FOR <br /> FINAL JUDGMENT <br /> 13 V. ) (C.C.P. § 664.6) <br /> 14 DAVID FISCH,FISCH ENVIRONMENTAL ) AS TO DEFENDANTS <br /> CONSTRUCTION,DENNIS ROMERO, SHERRY ) DAVID FISCH,AND <br /> 15 ROMERO, and DOES 1 through 20, inclusive, ) FISCH ENVIRONMENTAL <br /> } CONSTRUCTION ONLY <br /> lb Defendants. <br /> ) <br /> 17 <br /> 18 Plaintiff, THE PEOPLE OF THE STATE OF CALIFORNIA,having filed their <br /> 19 complaint herein,JOHN D. PHILLIPS,District Attorney of San Joaquin County, DAVID J. <br /> 20 MY, Deputy District Attorney of San Joaquin County,and defendants DAVID FISCH and <br /> 21 FISCH ENVIRONMENTAL CONSTRUCTION, after review of their attorney STEVEN J. <br /> 22 COTTRELL hereby stipulate and consent to the entry of the Stipulated Final Judgment(attached <br /> 23 as Exhibit "A"). By signing this stipulation,the aforementioned defendants hereby admit the <br /> 24 allegations of paragraphs 10 and 10(a)of the complaint on file herein. This Stipulated Final <br /> 25 Judgment shall constitute evidence of admission or concession by said defendants regarding all <br /> 26 allegations of law and fact alleged in paragraphs 10 and 10(a)of the complaint on file herein as <br /> 27 to these defendants only. It is further stipulated that the underground storage tank in question, <br /> 28 previously located at 2523 East Scotts Street,Stockton, CA, was properly removed pursuant to <br /> 1 <br />