History
  • No items yet
midpage
2:25-cv-02151
E.D. Cal.
Mar 10, 2026

DIGNA URBINA, an individual, Plaintiff, vs. SUNNYVALLEY SMOKED MEATS, INC., a California corporation; and DOES 1 - 100, inclusive, Defendants.

Case No. 2:25-cv-02151-TLN-AC

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA

Filed 03/10/26

JONATHON M. WATSON (CA SBN 333845)

jmwatson@spencerfane.com

JOSEPH H. HUNT (admitted pro hac vice)

jhunt@spencerfane.com

SPENCER FANE LLP

1700 Lincoln Street, Suite 2000

Denver, Colorado 80203

Telephone: (303) 839-3800

Facsimile: (303) 839-3838

Counsel for Defendant JBS Prepared Foods, Inc. f/k/a

Sunnyvalley Smoked Meats, Inc.

W. ZEV ABRAMSON (CA SBN 289387)

wza@abramsonlabor.com

BARUCH KREIMAN (CA SBN 306328)

baruch@abramsonlabor.com

ARAX ASLANYAN (CA SBN 339745)

roxy@abramsonlabor.com

ABRAMSON LABOR GROUP

1700 W. Burbank Boulevard

Burbank, California 91506

Telephone: (213) 493-6300

Facsimile: (213) 336-3704

Counsel for Plaintiff Digna Urbina

JOINT STIPULATION REGARDING PLAINTIFF’S CLAIMED DAMAGES AND ORDER

Pursuant to Local Rule 143 of the Local Rules of the U.S. District Court for the Eastern District of California, Defendant JBS Prepared Foods, Inc. f/k/a Sunnyvalley Smoked Meats, Inc. (“Defendant”) and Plaintiff Digna Urbina (“Plaintiff”) (together, the “Parties”), by and through their respective counsel, submit the following Joint Stipulation Regarding Plaintiff’s Claimed Damages:

1. Plaintiff initiated this lawsuit on June 27, 2025. Plaintiff filed a First Amended Complaint on October 2, 2025, which includes fourteen causes of action arising from Plaintiff’s former employment with Defendant and her termination of employment on April 8, 2025.

2. Plaintiff stipulates that Plaintiff does not seek, and hereby withdraws claims for, economic damages that Plaintiff would have earned but for her termination of employment for any period of time after April 8, 2025, including back pay, front pay, loss of benefits, loss of job security, expenses to obtain new employment, and other lost earnings, on any of Plaintiff’s causes of action.

3. Defendant hereby accepts the foregoing stipulation by Plaintiff.

IT IS SO STIPULATED

Dated: March 9, 2026

SPENCER FANE LLP

By: /s/ Joseph H. Hunt

Joseph H. Hunt

Attorneys for Defendant JBS Prepared Foods,

Inc. f/k/a Sunnyvalley Smoked Meats, Inc.

Dated: March 9, 2026

ABRAMSON LABOR GROUP

(Signed with permission as authorized on March 9, 2026)

By: /s/ Baruch Yosef Kreiman

Baruch Yosef Kreiman

Attorneys for Plaintiff Digna Urbina

IT IS SO ORDERED.

Dated: March 10, 2026

Troy L. Nunley

Chief United States District Judge

Case Details

Case Name: Urbina v. Sunnyvalley Smoked Meats, Inc.
Court Name: District Court, E.D. California
Date Published: Mar 10, 2026
Citation: 2:25-cv-02151
Docket Number: 2:25-cv-02151
Court Abbreviation: E.D. Cal.
AI-generated responses must be verified and are not legal advice.
Log In
    Urbina v. Sunnyvalley Smoked Meats, Inc., 2:25-cv-02151