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UNITED STATES DISTRICT COURT

FOR THE SOUTHERN DISTRICT OF GEORGIA


SAVANNAH DIVISION

UNITED STATES OF AMERICA, )


)
Plaintiff, )
)
v. ) Civil Action No.:
)
WASTE MANAGEMENT OF GEORGIA, ) Filed: [2/15/96]
INC., d/b/a )
WASTE MANAGEMENT OF )
SAVANNAH, and )
WASTE MANAGEMENT OF LOUISIANA, )
INC., d/b/a )
WASTE MANAGEMENT OF CENTRAL )
LOUISIANA, and )
WASTE MANAGEMENT, INC., )
)
Defendants. )
)

STIPULATION
It is stipulated by and between the undersigned parties, by
their respective attorneys, that:

1. The Court has jurisdiction over the subject matter of


this action and over each of the parties hereto for the purposes
of this proceeding. Defendant Waste Management of Georgia, Inc.,
d/b/a/ Waste Management of Savannah, transacts business and is
found within the district. Defendants Waste Management of
Louisiana, Inc., d/b/a Waste Management of Central Louisiana, and
Waste Management, Inc. consent to personal jurisdiction in this
proceeding. Defendants waive any objections as to venue and the
parties stipulate that venue for this action is proper in the

Southern District of Georgia;


EXHIBIT A
2. The parties consent that a Final Judgment in the form
hereto attached may be filed and entered by the Court, upon the

motion of any party or upon the Court's own motion, at any time
after compliance with the requirements of the Antitrust
Procedures and Penalties Act (15 U.S.C. § 16(b)-(h)), and

withoutfurther notice to any party or other proceedings, provided


that Plaintiff has not withdrawn its consent, which it may do at
any time before the entry of the proposed Final Judgment by

serving notice thereof on the Defendants and by filing that


notice with the Court; and
3. Defendants agree to be bound by the provisions of the

proposed Final Judgment pending its approval by the Court. If


the Plaintiff withdraws its consent or if the proposed Final
Judgment is not entered pursuant to this Stipulation, this

Stipulation shall be of no effect whatsoever, and the making of


this Stipulation shall be without prejudice to any party in this
or in any other proceeding.

DATED this ____th day of February, 1996.

Respectfully submitted,

2
FOR THE PLAINTIFF THE UNITED STATES OF AMERICA:
________________________ ___________________________
Anne K. Bingaman Anthony V. Nanni
Assistant Attorney General Chief, Litigation I Section
Antitrust Division
U.S. Department of Justice
__________________________
Nancy H. McMillen
__________________________
Lawrence R. Fullerton
Deputy Assistant Attorney
General
___________________________
Peter H. Goldberg
__________________________
Rebecca P. Dick ___________________________
Deputy Director of Evangelina Almirantearena
Operations
Attorneys
U.S. Department of Justice
Antitrust Division
City Center Building, Suite 4000
1401 H Street, N.W.
Washington, D.C. 20530
202/307-5777
Harry D. Dixon, Jr.
United States Attorney
Southern District of Georgia
FOR THE DEFENDANTS WASTE MANAGEMENT, INC., WASTE MANAGEMENT OF
GEORGIA, INC., and WASTE MANAGEMENT OF LOUISIANA, INC.:
_____________________________
Robert Bloch, Esquire
Mayer Brown & Platt
2000 Pennsylvania Ave., N.W.
Washington, D.C. 20006
______________________________
Michael Sennett, Esquire
Bell, Boyd & Lloyd
3 First National Plaza
70 West Madison Street
Chicago, IL 60602

_________________________________

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