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Case: 1:16-cv-08637 Document #: 4181 Filed: 01/18/21 Page 1 of 3 PageID #:277491
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`UNITED STATES DISTRICT COURT
`FOR THE NORTHERN DISTRICT OF ILLINOIS
`EASTERN DIVISION
`
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`Case No. 1:16-cv-08637
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`The Honorable Thomas M. Durkin
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`Magistrate Judge Jeffrey T. Gilbert
`
`
`IN RE BROILER CHICKEN ANTITRUST
`LITIGATION
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`This Document Relates To:
`Direct Purchaser Actions
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`NOTICE OF VOLUNTARY DISMISSAL WITHOUT PREJUDICE
`PURSUANT TO FED. R. CIV. P. 41(a)(1)(A)(i) AS TO THE AMICK
`COMPANY, INC., AMICK-OSI BROILERS, LLC, AND AMICK-
`OSI PROCESSING, LLC
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`PLEASE TAKE NOTICE that Direct Purchaser Plaintiffs, pursuant to Rule 41(a)(1) of the
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`Federal Rules of Civil Procedure, by and through their attorneys hereby provide notice of the
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`voluntary dismissal without prejudice of all claims against the following Defendants: The Amick
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`Company, Inc., Amick-OSI Broilers, LLC, and Amick-OSI Processing, LLC. These defendants
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`have not served either an answer or a motion for summary judgment, so dismissal pursuant to Rule
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`41(a)(1)(A)(i) is proper.
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`The Notice and Stipulation does not impact the status of Defendant Amick Farms, LLC or
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`of the Settlement between Direct Purchaser Plaintiffs and Amick Farms, LLC.
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`WHEREFORE, Direct Purchaser Plaintiffs hereby voluntarily dismiss without prejudice
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`all claims against Defendants The Amick Company, Inc., Amick-OSI Broilers, LLC, and Amick-
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`OSI Processing, LLC.
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`555950.1
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`

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`Case: 1:16-cv-08637 Document #: 4181 Filed: 01/18/21 Page 2 of 3 PageID #:277492
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`Dated: January 18, 2021
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`
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`W. Joseph Bruckner
`Brian D. Clark
`Simeon A. Morbey
`LOCKRIDGE GRINDAL NAUEN P.L.L.P.
`100 Washington Avenue South, Suite 2200
`Minneapolis, MN 55401
`T: (612) 339-6900
`F: (612) 339-0981
`wjbruckner@locklaw.com
`bdclark@locklaw.com
`samorbey@locklaw.com
`
`Bruce L. Simon
`Neil Swartzberg
`PEARSON, SIMON & WARSHAW, LLP
`350 Sansome Street, Suite 680
`San Francisco, CA 94104
`T: (415) 433-9000
`F: (415) 433-9008
`bsimon@pswlaw.com
`nswartzberg@pswlaw.com
`
`Clifford H. Pearson
`Daniel L. Warshaw
`Michael H. Pearson
`Bobby Pouya
`PEARSON SIMON & WARSHAW, LLP
`15165 Ventura Boulevard, Suite 400
`Sherman Oaks, CA 92403
`T: (818) 788-8300
`F: (818) 788-8104
`cpearson@pswlaw.com
`dwarshaw@pswlaw.com
`mpearson@pswlaw.com
`bpouya@pswlaw.com
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`Direct Purchaser Plaintiffs Interim Co-
`Lead DPP Counsel
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`555950.1
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`2
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`s/ Steven A. Hart
`Steven Hart (#6211008)
`Brian Eldridge (#6281336)
`John Marrese (#6306516)
`Kyle Pozan (#6306761)
`HART MCLAUGHLIN & ELDRIDGE, LLC
`22 West Washington Street, Suite 1600
`Chicago, IL 60602
`T: (312) 955-0545
`F: (312) 971-9243
`shart@hmelegal.com
`beldridge@hmelegal.com
`jmarrese@hmelegal.com
`kpozan@hmelegal.com
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`Direct Purchaser Plaintiffs Interim Liaison
`DPP Counsel
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`Case: 1:16-cv-08637 Document #: 4181 Filed: 01/18/21 Page 3 of 3 PageID #:277493
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`
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`CERTIFICATE OF SERVICE
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`The undersigned, an attorney, hereby certifies that on January 18, 2021, a true and correct
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`copy of the foregoing was electronically filed by CM/ECF, which caused notice to be sent to all
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`counsel of record.
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`
`
`By s/ Steven A. Hart
` Steven A. Hart
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`555950.1
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`

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